ML17326B008

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Forwards XN-NF-85-28, DC Cook Unit 2,Cycle 6 SAR & Proprietary Suppl 1 to XN-NF-85-28(P), DC Cook Unit 2, Cycle 6 Sar:Disposition of Srp.... Proprietary Suppl Withheld (Ref 10CFR2.790(b))
ML17326B008
Person / Time
Site: Cook American Electric Power icon.png
Issue date: 10/15/1985
From: Copeland R
SIEMENS POWER CORP. (FORMERLY SIEMENS NUCLEAR POWER
To: Harold Denton
Office of Nuclear Reactor Regulation
Shared Package
ML17326B009 List:
References
RAC:069:85, RAC:69:85, NUDOCS 8510170289
Download: ML17326B008 (7)


Text

E@OM NUCLEAR COMPANY, INC.

2101 HORN RAPIDS ROAD. PO BOX 130, RICHLAND,WA99352 (509I 375 8100 TELEX: 15.2878 October 15, 1985 RAC:069:85 Donald C. Cook Nuclear Plant Unit No. 2 Docket No. 50-316 License No. DPR-74 TRANSMITTAL OF CYCLE 6 SAFTY ANALYSIS REPORT IN SUPPORT OF UNIT 2 OPERATION Mr. Harold R. Denton, Director Office of Nuclear Reactor Regulation U.S. Nuclear Regulatory Commission Washington, D.C. 20555 Refs: (1) XN-NF-85-28, "D.C. Cook Unit 2, Cycle 6 Safety Analysis Report,"

Exxon Nuclear Company, July 1985 (2) XN-NF-85-28(P), Supplement 1, "D.C. Cook Unit 2, Cycle 6 Safety Analysis Report: Disposition of the Standard Review Plan Chapter 15 Events," Exxon Nuclear Company, October 1985

Dear Mr. Denton:

Enclosed are five copies of each of the reference Exxon Nuclear Company technical reports which support operation of the D.C. Cook Unit 2 Nuclear Plant.

At the request of American Electric Power Service Company (AEPSC), this report is being transmitted directly by Exxon Nuclear.

Exxon Nuclear Company considers information contained in the enclosed reference 2 report to be proprietary. In accordance with the Commission's Regulation 10 CFR 2.790(b), th'e enclosed Affidavit executed by Mr. H.E.

Williamson of Exxon Nuclear provides the necessary information to support the withholding of the enclosed technical report from public disclosure.

If you have any questions regarding this transmittal, please contact Mr.

James G. Feinstein of AEPSC at (614) 233-2040.

Sincerely, p~9

~gO 85i 0170289 85i015 05000816 PDR, ADOCK R. A. Copeland P PDR PWR Reload Licensing naa WOO cc: Mr. D.L. Wigginton (NRC) (w/att.) go~

Mr. N. Lauben (NRC) (w/att.)

Mr. M.P. Alexich (AEPSC)

AN AFFIUATEOF EXXON CORPORATION

AFF IDA V IT STATE OF WASHINGTON )

COUNTY OF BENTON

), ss.

I, H. E. Williamson being duly sworn, hereby say and depose:

1. I am Manager, Licensing and Safety Engineering, for Exxon Nuclear Company, Inc. ("ENC")", and as such I am authorized to execute this Affidavit.

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2. I am familiar with ENC's detailed document control system and policies which govern the protection and control of information.

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3. I am fam'iliar with the document entitled referred to as "Document." Information contained in this Document has been classified by ENC as proprietary in accordance with the control system and policies established by ENC for the control and protection of in form ati on.
4. The docunent contains information of a proprietary and confidential nature and is of the type customarily held in confidence by ENC and not made available to the public. Based on my experience, I am aware that other companies regard information of the kind contained in the Document as proprietary and confidential.

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5. 'he Docunent has been made available to the U.S. Nuclear 4

Regul atory Commissi on. in confidence, wi th the request that the information contained in the Document will not be di scl osed or div ul g ed.

6. The Document contains information which is vital to a competitive advantage of ENC and would be helpful to canpetitors of ENC I

when competing with ENC.

7. The information contained in the Document is considered to be proprietary by ENC because it reveal s certain di stingui shing aspects of which secure competitive advantage to ENC for, fuel design optimi zation and marketability, and incl udes information util i zed by ENC in its business which affords ENC an opportunity to. obtain a competitive advantage over its competitors who do not or may not know or use the information contained in the Document.
8. The disclosure of the proprietary information contained in the Document to. a competitor would permit the competitor to reduce its expenditure of money and manpower and to improve its competitive position by giving it extremely valuable insights into and would result in substantial harm to the competitive position of ENC.

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9. The Document contains proprietary information which is held in confidence by ENC and is not available in public sources.

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10. In accordance wi th ENC pol icies governing and control of information, proprietary info mati on the'rotection contained in the Document has been made available,'on a limited basis, to others outside ENC only as required and under suitable agreement providing for non-disclosure and limited use of the information.

ENC policy requires that proprietary infomation be kept in a secured file or area and distributed on a need-to-know basis.

12. Thi s Document prov ides information whi ch reveal s I

developed by ENC over the past several years. ENC has invested millions of doll ars and many man-years of effort in developing the revealed in the Document. Assuming a competitor had available the same background data and incentives as ENC, the competitor might, at a minimum, develop the infomation for the same expenditure.- of manpower and money as ENC.

13. Based on my experience in the industry, I do not believe that the background data and incentives of ENC' canpetitors are sufficiently simil ar to the corresponding background 'data and incentives of ENC to reasonably expect such competitors would be in a position to duplicate ENC's proprietary information contained in the Doc ument.

4 THAT the statements made hereinabove are, to the best of my knowledge, information, and belief, truthful and complete.

FURTHER AFFIANT SAYETH NOT.

SMORN TO AND SUBSCRIBED before me this F~ day of 198<

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