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Category:AFFIDAVITS
MONTHYEARML20086B9891991-06-0606 June 1991 Affidavit in Support of DM Manning Application to Have Certain Records Withheld from Public Disclosure,Per 10CFR2.790 ML20086B9681991-06-0606 June 1991 Affidavit of RA Locy Re DM Manning Refusal to Provide Second Urine Sample on 901009 ML20086B9351991-06-0606 June 1991 Affidavit of W Fernandez Re DM Manning Refusal to Provide Second Urine Sample on 901009 ML20086B8931991-06-0606 June 1991 Affidavit of DM Manning,Senior Reactor Operator,Being Duly Sworn,Response to Order Suspending License & Order to Show Cause Why License Should Not Be Revoked ML20039G7411981-12-0707 December 1981 Affidavit Supporting NRC Motion to Dismiss Ucs & Ny Pirg Petitions for Review of NRC Decision Re Status of Offsite Radiological Emergency Response Plan.Emergency Planning Evaluation Process Incomplete.Related Correspondence ML19350F1691981-06-19019 June 1981 Affidavit That Licensees Could Not Meet CLI-80-21 820630 Deadline Due to Lack of Appropriate Regulatory Guidance to Allow Utils to Proceed W/Qualification,Replacement or Reanalysis of Equipment.W/Certificate of Svc ML19295C9741974-06-17017 June 1974 Affidavit Supporting Statements Made by Various Utils in Applications Re ECCS Calculations,New ECCS Evaluation Model, Current Schedule for Completion of Calculations & Expected Preliminary Estimates of Average Planar Linear Heat Rate 1991-06-06
[Table view] Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARJPN-99-029, Comment Supporting Proposed Rules 10CFR50 & 72 Re Reporting Requirement for Nuclear Power Reactors1999-09-20020 September 1999 Comment Supporting Proposed Rules 10CFR50 & 72 Re Reporting Requirement for Nuclear Power Reactors JPN-99-022, Comment Supporting Proposed Rule 10CFR50 Re Requirements for Industry Codes & Stds1999-06-22022 June 1999 Comment Supporting Proposed Rule 10CFR50 Re Requirements for Industry Codes & Stds JPN-98-052, Comment Supporting Proposed Rules 10CFR50,52 & 72 Re Changes,Tests & Experiments.Util Endorses & Supports Position Presented by NEI & Commends Commission for Initiative to Address Disconnects1998-12-21021 December 1998 Comment Supporting Proposed Rules 10CFR50,52 & 72 Re Changes,Tests & Experiments.Util Endorses & Supports Position Presented by NEI & Commends Commission for Initiative to Address Disconnects JPN-98-050, Comment on Proposed Rule 10CFR50 Re Monitoring Effectiveness of Maint at Nuclear Power Plants.Encourages NRC Staff to Withdraw Proposed Change & to Work with Nuclear Power Industry & Other Stakeholders to Accomplish Goal1998-12-14014 December 1998 Comment on Proposed Rule 10CFR50 Re Monitoring Effectiveness of Maint at Nuclear Power Plants.Encourages NRC Staff to Withdraw Proposed Change & to Work with Nuclear Power Industry & Other Stakeholders to Accomplish Goal ML20249C8261998-06-24024 June 1998 Exemption from Requirements on 10CFR70.24, Criticality Accident Requirements. Exemption Requires Licensee to Maintain Emergency Procedures for Each Area in Which Special Nuclear Matl Handled,Used or Stored JPN-98-021, Comment Opposing Proposed Rule 10CFR50 Re Codes & Stds1998-05-26026 May 1998 Comment Opposing Proposed Rule 10CFR50 Re Codes & Stds JPN-97-037, Comment on Final Direct Rule Changes to Paragraph (H) of 10CFR50.55a Codes & Standards. Effective Date of New Rule Should Be Delayed Until Listed Concerns Can Be Resolved & Appropriate Changes Incorporated1997-12-0101 December 1997 Comment on Final Direct Rule Changes to Paragraph (H) of 10CFR50.55a Codes & Standards. Effective Date of New Rule Should Be Delayed Until Listed Concerns Can Be Resolved & Appropriate Changes Incorporated ML20029C5771994-03-11011 March 1994 Comment on Proposed Rule 10CFR20 Re Draft Rule on Decommissioning.Informs That 15 Mrem/Yr Unreasonably Low Fraction of Icrp,Ncrp & Regulatory Public Dose Limit of 100 Mrem/Yr ML20057A6631993-08-30030 August 1993 Exemption from Requirements of Section Iv.A of App J to 10CFR50 Which Requires That Type A,B or C Leak Rate Test Be Performed Following Major Mod or Replacement of Component Which Is Part of Primary Containment Boundary ML20045F2451993-06-28028 June 1993 Comment on Proposal Re Radiological Criteria for Decommissioning NRC-licensed Facilities.Opposes Proposed Criteria JPN-93-045, Comment on Proposal Re Radiological Criteria for Decommissioning NRC-licensed Facilities.Opposes Proposed Criteria1993-06-28028 June 1993 Comment on Proposal Re Radiological Criteria for Decommissioning NRC-licensed Facilities.Opposes Proposed Criteria ML20128B0581993-01-29029 January 1993 Order Imposing Civil Monetary Penalties in Amount of $300,000.Violations Indicate Significant Breakdown in Mgt & Administrative Control of Licensed Activities at Plant ML20105C7581992-09-10010 September 1992 Exemptions from Requirements of 10CFR50,app R,Sections III.L.1.b & III.L.2.b JPN-02-034, Comment Supporting Proposed Rule 10CFR50.54 Re Receipt of Byproduct & Special Nuclear Matl1992-07-0606 July 1992 Comment Supporting Proposed Rule 10CFR50.54 Re Receipt of Byproduct & Special Nuclear Matl ML20079P9961991-11-0404 November 1991 Response of PASNY to Objections of DM Manning to Settlement Agreement.* Concludes That DM Manning Request That NRC Deny PASNY & NRC Joint Motion for Approval of Settlement Agreement Should Be Denied.W/Certificate of Svc ML20083B9041991-09-18018 September 1991 Exemption from Requirements of Section III.G.3 of App R to 10CFR50 Re Fixed Fire Suppression Sys in Battery Room Corridor ML20077N9191991-08-0909 August 1991 Modification of Order Modifying License (Effective Immediately) ML20076D8901991-07-24024 July 1991 Exemption from Requirements of 10CFR50.71(e)(4) & 10CFR50.54(a)(3) Re Annual Submittal of Changes to QA Program Description ML20086B9351991-06-0606 June 1991 Affidavit of W Fernandez Re DM Manning Refusal to Provide Second Urine Sample on 901009 ML20086B8931991-06-0606 June 1991 Affidavit of DM Manning,Senior Reactor Operator,Being Duly Sworn,Response to Order Suspending License & Order to Show Cause Why License Should Not Be Revoked ML20086B9891991-06-0606 June 1991 Affidavit in Support of DM Manning Application to Have Certain Records Withheld from Public Disclosure,Per 10CFR2.790 ML20086B9681991-06-0606 June 1991 Affidavit of RA Locy Re DM Manning Refusal to Provide Second Urine Sample on 901009 JPN-91-021, Comment on Proposed Rules 10CFR71,170 & 171, Rev of Fee Schedules;100% Fee Recovery. Endorses NUMARC Comments. Approx 300% Increase in NRC Fees for FY91 Will Have Major Impact Upon Operating & Maint Budgets of Plants1991-05-13013 May 1991 Comment on Proposed Rules 10CFR71,170 & 171, Rev of Fee Schedules;100% Fee Recovery. Endorses NUMARC Comments. Approx 300% Increase in NRC Fees for FY91 Will Have Major Impact Upon Operating & Maint Budgets of Plants ML20073J8691991-05-0202 May 1991 Order Modifying License (Effective Immediately) to Prohibit D Manning,Sro at Facility,From Being Involved in Activities Subj to Part 50 of License Because of Lack of Trustworthiness Demonstrated by Attempt to Use Cocaine JPN-91-005, Comment Re SECY-90-347, Regulatory Impact Survey Rept. Util Concurs W/Numarc Comments.Analysis of Info from NUREG-1395 Insufficient to Complete Evaluation.Root Cause Analysis of Seven Themes Listed in SECY-90-347 Recommended1991-01-28028 January 1991 Comment Re SECY-90-347, Regulatory Impact Survey Rept. Util Concurs W/Numarc Comments.Analysis of Info from NUREG-1395 Insufficient to Complete Evaluation.Root Cause Analysis of Seven Themes Listed in SECY-90-347 Recommended JPN-90-068, Comment Supporting Proposed Rule 10CFR51 Re Renewal of Nuclear Plant OLs & NRC Intent to Prepare Generic EIS1990-10-22022 October 1990 Comment Supporting Proposed Rule 10CFR51 Re Renewal of Nuclear Plant OLs & NRC Intent to Prepare Generic EIS JPN-90-067, Comment on Proposed Rules 10CFR2,50 & 54 Re Nuclear Power Plant License Renewal.Endorses Comments Submitted by NUMARC1990-10-15015 October 1990 Comment on Proposed Rules 10CFR2,50 & 54 Re Nuclear Power Plant License Renewal.Endorses Comments Submitted by NUMARC JPN-90-052, Comment Supporting Petition for Rulemaking PRM-50-55 Re Revs to FSAR1990-07-0909 July 1990 Comment Supporting Petition for Rulemaking PRM-50-55 Re Revs to FSAR JPN-90-050, Comment on Proposed Rule 10CFR55 Re Operators Licenses Mod for fitness-for-duty.Proposed Rule Will Place More Stringent Restrictions on Licensed Operators & Unnecessary1990-07-0202 July 1990 Comment on Proposed Rule 10CFR55 Re Operators Licenses Mod for fitness-for-duty.Proposed Rule Will Place More Stringent Restrictions on Licensed Operators & Unnecessary ML20248F2241989-10-0303 October 1989 Grants Exemption from 10CFR50,App J,Section Iv.A Requirements Re Performance of Type A,B or C Leak Rate Test JPN-89-008, Comment Opposing Proposed Rule 10CFR50 Re Ensuring Effectiveness of Maint Programs for Nuclear Power Plants1989-02-27027 February 1989 Comment Opposing Proposed Rule 10CFR50 Re Ensuring Effectiveness of Maint Programs for Nuclear Power Plants JPN-88-063, Comment on Proposed Rule 10CFR26 Re Fitness for Duty Program.Util Has Constitutional Concerns Re Proposed Random Testing Which Should Be Fully Addressed Prior to Rule Being Promulgated.Endorses NUMARC & EEI Comments1988-11-18018 November 1988 Comment on Proposed Rule 10CFR26 Re Fitness for Duty Program.Util Has Constitutional Concerns Re Proposed Random Testing Which Should Be Fully Addressed Prior to Rule Being Promulgated.Endorses NUMARC & EEI Comments ML20206G0531988-11-16016 November 1988 Exemption from 10CFR50,App J Re Containment Integrated Leak Rate Test,Retest Schedule ML20205T1681988-11-0707 November 1988 Exemption from Requirements of 10CFR50.62(c)(4) to Allow Lower Min Injection Flow Rate & Lower Sodium Pentaborate Solution Concentration in Standby Liquid Control Sys JPN-88-056, Comment Supporting Proposed Rule 10CFR50 Re Advanced Notice of Proposed Rulemaking Concerning Regulatory Options for Nuclear Plant License Renewal.Supports Comments Made by NUMARC Nuplex1988-10-28028 October 1988 Comment Supporting Proposed Rule 10CFR50 Re Advanced Notice of Proposed Rulemaking Concerning Regulatory Options for Nuclear Plant License Renewal.Supports Comments Made by NUMARC Nuplex ML20247N7531988-07-28028 July 1988 Petition for Rulemaking PRM-50-53 Requesting NRC Action to Review Undue Risk Posed by BWR Thermal Hydraulic Instability.Nrr Should Issue Order Requiring All GE BWRs to Be Placed in Cold Shutdown for Stated Reasons JPN-88-015, Comment Opposing Proposed Rule 10CFR50 Re Licensee Announcements of Inspectors.Rule Includes Requirement Contrary to Mgt Notification Practices.Rule Should Clarify Length of Time Applicable Once Inspector Arrives on Site1988-04-18018 April 1988 Comment Opposing Proposed Rule 10CFR50 Re Licensee Announcements of Inspectors.Rule Includes Requirement Contrary to Mgt Notification Practices.Rule Should Clarify Length of Time Applicable Once Inspector Arrives on Site ML20154G6131988-04-0101 April 1988 Comment Supporting Proposed Rule 10CFR50 Re Alternative Method for Leakage Rate Testing.Believes Method Accurately Calculates Containment Leakage Rate W/Less Statistical Uncertainty than Total Time Method JPN-88-002, Comment Supporting Proposed Rule 10CFR50 Re Proposed Policy Statement on Integrated Schedules for Implementation of Plant Mods.Concerns Re Schedule as License Amend Expressed1988-01-25025 January 1988 Comment Supporting Proposed Rule 10CFR50 Re Proposed Policy Statement on Integrated Schedules for Implementation of Plant Mods.Concerns Re Schedule as License Amend Expressed JPN-87-062, Comment on Proposed Rules 10CFR4,11,25,30,31,32,34,35,40,50, 60,61,70,71,73,74,75,95 & 110 Re Retention Period for Records.Proposed Changes Ineffective in Reducing Record Vol & Rule Remains Inconsistent & Complex1987-12-31031 December 1987 Comment on Proposed Rules 10CFR4,11,25,30,31,32,34,35,40,50, 60,61,70,71,73,74,75,95 & 110 Re Retention Period for Records.Proposed Changes Ineffective in Reducing Record Vol & Rule Remains Inconsistent & Complex JPN-87-053, Comment Supporting Proposed Rule 10CFR50 Re Revising Backfitting Process for Power Reactors.Minor Alterations Urged Re Conditions Under Which Backfit Needed to Assure Adequate Protection1987-10-15015 October 1987 Comment Supporting Proposed Rule 10CFR50 Re Revising Backfitting Process for Power Reactors.Minor Alterations Urged Re Conditions Under Which Backfit Needed to Assure Adequate Protection JPN-87-051, Comment Opposing Draft NUREG-1150, Reactor Risk Ref Document. Reduced Uncertainty in Risk Assessment Found to Be Significant W/Respect to NUREG-1150.NUREG Also Does Not Consider Value of Operator Actions.Addl Comments Encl1987-09-28028 September 1987 Comment Opposing Draft NUREG-1150, Reactor Risk Ref Document. Reduced Uncertainty in Risk Assessment Found to Be Significant W/Respect to NUREG-1150.NUREG Also Does Not Consider Value of Operator Actions.Addl Comments Encl ML20132E2111985-09-18018 September 1985 Exemption from Requirements of 10CFR50,App J,Paragraph III.D.2(b)(ii) Re Performance of Seal Leakage Test in Lieu of Full Pressure Test Prior to Restoring Containment Integrity When Airlock Doors Opened ML20080Q2391984-02-0101 February 1984 Exemption from Requirement of App R to 10CFR50.48 Re Reactor Bldg Cresent Area & Stairwells ML20079Q1191983-12-30030 December 1983 Exemption from Certain Requirements of 10CFR50.44(c)(3)(ii) Re Combustible Gas Control ML20080D4531983-08-22022 August 1983 Exemption Extending Date of Compliance w/10CFR50.44(c)(3)(ii) Re Combustible Gas Control Until 831231 ML20023C9371983-04-28028 April 1983 Exemption Granting Relief from Requirements of 10CFR50,App E Re Schedule for Conducting Emergency Preparedness Exercise. Next Exercise Must Be Conducted No Later than 831015 ML20053B3101982-05-10010 May 1982 Exemption from 10CFR50.48(c) App R,Extending Date of Submittal of Fire Protection Action Plans ML20039G7411981-12-0707 December 1981 Affidavit Supporting NRC Motion to Dismiss Ucs & Ny Pirg Petitions for Review of NRC Decision Re Status of Offsite Radiological Emergency Response Plan.Emergency Planning Evaluation Process Incomplete.Related Correspondence ML20038B9421981-12-0404 December 1981 Petition to Enforce & Modify License Conditions.Director of NRR Should Find Util in Violation of License Conditions. Conditions Should Be Modified to Prevent Anticompetitive Activities.Apps & Certificate of Svc Encl 1999-09-20
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cMITun aTATna wre u u n.ast u tomY ecuminaten
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- . t.,e Mattwr of !
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DAY!D M. IOXWIWQ, ) Dockst No. 55-86'S senior Reactor operator.
) License No. SCP-1056;.1 I
! Enforcement Action '
) No.91-054 STATE Or NEW YO U) ss:
cot lNTY OF OSWIGC )
i WILLI AM FEMAND8 3, II, being duly evorn, respectfally l deposes and states to the United States Nuclest kegulatory j consission (commission) that: ;
- 1. I am Resident Manager in charge of the overall operation of the James A.
TitsPatrick Nuclear Plant (TittPatra:k of the New York Power Authority (the Authority) lectcod at Scrita, Nav York. I have been employed by the Authority at Tit Patrick since June 1974 cnd, prior to my becoming Resident Manager in January of 1949, I served as the Assistant to the Maintenance Superintendent (June 1974 to April 1940), Technical Services Superintendent (April 1980 to October 1982), Maintenant l Superintendent (Gctober1982toJanuary1985), operations d Superintendent (January 1985 to August 1985) and Superintendent l
of Power (August 1985 to January 1989) .
- 2. I have a Masters degree in Builiness Administration from Syracuse University, a Bachelor of Science degree in 6
9111210143 91110b PDR ADDCK OD003615 1 0 l'Uli -
. _.. _ _. - _ . _ __.____. . _ _ _ - . ~ _ . - _ _ _ . _ . _ .
Mechanical Engineering from Rensselaer Polytechnic Institute. I received an honorable discharge from the U.S. Navy as a Lieutenant Commander and Nuclear Qualified Submarine officer.
- 3. I as fully familiar with the operation of the rit: Patrick Nuclear Plant and have extensive experience in working with licensed reactor operatora, both in my employment with the Authority and in my experience as a naval officer. With regard to David M. Manning, senior Reactor operator, I indirectly supervised him when I served as operations superintendent.
- 4. I as familiar with what has occurred with Mr. Manning since october 9, 1990. My personal involvement includes, but is not limited to, personal conversations with and observatiuns of Mr. Manning, verbal and written reports from the Employee Assistance Program (EAP) and the reports of those who have supervised Mr. Manning, both before October 9, 1990 and since his return to work on December 3, 1990. I have also had numerous t
consultations with the headquarters and regional staff of the commission regarding Mr. Manning. The particular details of my involvement and what has occurred are as follows:
i A. Upon Mr. Manning's refusal to provide a second urine sample on october 9, 1990, I was called to the test site. I advised Mr. Manning what would
, i happen if he refused the test. I treated Mr.
i Manning's refusal as a first positive test under I
Part 26 and the new TittPatrick Fitness For Duty
- Program. Due to a prior event in 1988, Mr. Manning was informed that the incident would be treated as
- a second offense against the established union-management agreement on Fitness For Duty (in effect prior to NRC Part 26 rule making) . I then j
suspended Mr. Manning's unescorted access for a minimum of fourteen days and referred him to the i EAP.
i 2
i .
- 3. Also on October 9, 1990, by telephone to the i
NRC's event notification operations center, the NAc was made aware of what had occurred regarding Mr.
Manning and my initial actione in response.
- c. on or about october 10, 1990, Mr. Manning reported to the EAP which was at that time operated under contract for the Authority by Managed Health Network, Inc. (MHN).
D. On October 12, 1990 I had a telephone conference call with representatives of the consission at both the regional and headquarters offices. I reported what had occurred and discussed Mr. Manning's employment history including an earlier positive urine test in 1988.
E. On or about October 18, 1990, I learned that Mr. Manning's evaluation had been completed and that the EAP recommended he receive inpatient treatment.
T. October 22, 1990 - Mr. Mannin itted to the n atient treatne t facility, for a mont ong treatman prog ram. By correspondence, dated October 22, 1990, sent to Mr. Thomas T. Martin, Regional Administrator of the consission, I advised the commission of Mr. Manning's removal from licensed duties (Reference Exhibits, Exhibit Tab E).
G. October 29, 1990 - I participated in a second conference call with the regional and headquarters -
offices of the Comaission to update them. ,
, H. Movember 16, 1990 - I again spoke by conference
- telephone call with the headquarters and regional commission offices about Mr. Manning. I was tt,1d that a letter would be forthcoming from the commission officially requesting information
. regarding Mr. Manning and what had occurred.
- I. Y er 21, 990 - Mr. Manning was discharged
! fr J. On November 26, 1990, I spoke with of NHM, EAP Program Administrators abo e discharge summary. I discussed those issues which
' should be followed-up with Mr. Manning.
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.. Also on November 26, 199 ,
I again spoke with j tne C:ssission and reported on the seating with Mr.
- Manning and what and how he was doing.
i l M. November 30, 1990 - I received the official discharge summary free Managed Haalth Network j
(Medical /Tinancial Records Exhibit Tab 0).
O. December 3, 1990 - I had my second nauting with l Mr. Manning, his union representatives and others '
which lasted at least an hour. I reviewed each of the recommendations with Mr. Manning, in detail, and was satisfied that he had made significant progress in addressing his problem. M )
l he would be disenarged if he rela se1. i 1
determined to put Mr. Manning back to war in a non-licensed position. He was granted unescorted access to the facility. l t
- p. On or about December 3, 1990, in a telephone cernferance with representatives of the conaission. ,
! I informed them of my plaa of returning Mr. Manning l to non-licensed duties, observing him for three to !
four months and then, if appropriate, returning hia l to his licenced duties. The representatives of the
=
1 commission did net object te RY pina or my return of Mr. Manning to unescorted kccess.
ls 4 !
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i g,
! In early December 1990, in a telephone conference
! e 11 with the cos.misoton's statt, initiated oy them, l I was told that the provtously indicsted commissten
! tottet of inquiry would not be forthcou.nq arid that what I was doing regarding Mr. Manning was acceptable.
h R. Be twe en Dec e mbo r 3, 1990 and M&y 2, 1991, I l did, on a f requent bes ts, speak with Mr. Manning in j regaris to his progress in af ter care and how Mr.
j Aanning was doing generally. I also frequently set
- and spoke with Mr. Manning'. immediate supervisor, Douglas Lindsey, Planning superinterdent, as to his work performance and conduct. My personal I
i 1
- 5. In March and April of 1991, while at the regional office of the Commission, I inquired about l the proper steps to be followed to racertify Mr.
i Manning f or operator duties. Shortly therea f ter, ! ,
' received a telephone call from Mr. Wayne Hodges, 01 rec *or, Division of Reactor safety within the
! Commission's Regional of fice, concerning the
! reinstatement process. Conversation included some ,
- of the forms that would require submittal and the
! fact that the commission desired to work in
! parallel with us during the process. ,
! 4. Prior to octsber 9, 1990, I knew Mr. Manning to be a i i
! good employee with a good record of positive accomplishment wh:
}
on the job. I believed this to be exemplified by Mr. Manning's fi 4
rapid licensure as a Senior Reactor operator, his three upgrad ,
- I to Assistant Shift supervisor, and by his being selected as th l l i
j ,
operator liaison on the three person team which oversaw the
! I j creation and installation of the piant specific operations l
i i
l, simulator. I never doubted that Kr. Manning safely and i
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5 :
I h
appropriately supervtsed the operation of tha reactor and saw tit to offer him a promotion to AssLatant Shif t supervisor on a tu; * . .
stas basts.
S.
Since his return to employment, but not to operattnq dut;es, Mr. Manning has success f ully performed his job assite. e..:
in the planning Department by taking on roles of tesponsabilt:y in planning, scheduling and monitoring the progress of a planned outage at the Tit:Patrtek Huclear Plant.
Mr. Manning worked 1:n; nours and up to six day work weeks, all while continuing his recovery program. Mr. Manning's participation in the planned outage contributed to its success.
- 6. I believed in October, and still do, that the f alse sample was symptomatic of a drug probles and not an issue of trustverthiness or ability. Mr. Manning's access authorisat :n process was similar to other individuals with identified fitness for duty problems and was handled in accordance with the provisions of 10 crR 26.and cite procedures. This process allowed the ability to continue to observe and evaluate Mr.
Manning in his recovery from his substance abuse problan in orde to be totally confident that Mr. Manning's rehabilitation progressed and that the return to his normal duties would not give rise to 8 relapse.
- 7. -It is both my legal and moral obligation to run a sa and efficient plant. This includes amploying personnel who are trustworthy and fit for duty. I will not permit any employee t i
work at Fitzpatrick who I do not believe to be so qualified.
6
- 8. I believe that en otherwise qualified employee can, with the appropriate care and treateent, and his or her own strengtn of character, recover from a su.bstance abure precies.
Th;s is the rationale behind the Authority's ritness Tor Outy Program, and I believe, was an assumption in the KRC rule to CTR.
Part 26.
- 9. I have f aithfully f ollowed the ritness Tor Outy Program, Wor.k Activity control Procedure of the Authorit/ in regards to this matter (Exhibit Tab F). At his asetings on November 26 and Cecember 3, 1990, Mr. Manning committed to me t=
As recommended by the reployee Assistance Prograr and to continue to be free of all involvesant with drugs as required by the procedure. The R.AF has provided me with a report attesting to Mr. Manning's fitness for duty (Medical /
rinancial Records, Exhibit Tab D) and a satisf actory follow-up program has been established which Mr. Manning has been adher:nq r I
to. I know from reports made to as that Mr. Manning has been randomly tested about eight times since his return to work and j
all have been negative.
i .
l 10. In regards to Mr. Manning, the Fitness for Duty I
l
- Program has successfully accompilshed what it is intended to do I
j detect drug use, evaluate the problem, treat it, establish a
' rehabilitation program, and return him to work. ;
L 11. I heileve that Mr. Manning has and continues to make significant progress in his rehabilitation from his
- and, at this time, have no reason to doubt that Mr. Manning's 1 a
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- 12. tr e rmi t t ed to continue the plan of monitoring Mr.
l Manning' p r og r e s.s ,
which includes continued test;ng
) .
l f or drug usa, and his on-the-job performance, together with a l j
i program of training for racertification as a senior Reactor I Operator, I anticipate that Mr. Manning can be returned to nor-a i
duties as an operator.
l t i t i
(
/s/ William Fernandet. II WILLI AM TERNANDEZ, 11 l l i Sworn to before me this 6th day of June, 1991 ;
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