ML20148C916

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Advises That Operator & Radiation Manuals Submitted Should Be Updated.Info That Requires Updating Listed.Requests That Encl Certificates of Registration for Products Be Reviewed & Updated to Reflect Any Mods to Devices.W/O Encl
ML20148C916
Person / Time
Issue date: 09/30/1987
From: Miller V
NRC OFFICE OF NUCLEAR MATERIAL SAFETY & SAFEGUARDS (NMSS)
To: Seaman S
SEAMAN NUCLEAR CORP.
Shared Package
ML20148C660 List:
References
NUDOCS 8801250290
Download: ML20148C916 (2)


Text

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SEP 3 0 til87 Seaman Nuclear Corporation Attention: Scott C. Seaman, Radiation Safety Officer 7315 South First Street Oak Creek, WI 53154

Dear Mr. Seaman:

Due to a recent examination of training and licensing requirements of portable moisture density gauge manufacturers and users, we have performed a review of the certificates of registration that Seaman Nuclear Corporation has on file with the NRC. As a result of this review it has become apparent that the Operator's and Radiation Manuals that you have submitted to the NRC need to be updated. Below is the information that needs to be updated and other concerns we have with these manuals:

o The Radiation Manual, that is supplied with each gauge and the Operator's Manual for the Models C-75 R-75 and C-100 gauges contain the incorrect address and telephone number for Secman Nuclear Corporation, o The Notifications of Incidents -- Immediate Notification section on page 17 of your Radiation Manua'l is not correct. The current requirements of 10 CFR 20.403 state that dauge to property in excess of 200,000 dollars requires inrnediate notification of the NRC and damage in excess of 2,000 dollars requires notification within 24 hours2.777778e-4 days <br />0.00667 hours <br />3.968254e-5 weeks <br />9.132e-6 months <br />, o The Radiation Posters section on page 58 of the Radiation Manual contains an outdated sample of a Radioactive II Transport Label and the contact names and telephone numbers are incorrect, o Appendix's A and B of the Radiation Manual are incorrect.

Enclosures 2 and 3 are current copies of the Agreement States contacts and an NRC Notice to Employees.

OCT t 1937 8801250290 871210 REG 3 LIC30 PDR 48-12016-01

2 o The ALARA concept should be included in Chapter 1, Introduction of the Radiation Manual, o The description of reciprocity in Chapter 4 of the Radiattun Manual should clearly state that a licensee applies for reciprocity, that it is not nierely a Notification and that reciprocity has a 180 day i limit in any particular year. l l

We have also enclosed the certificates of registration we have for your i products. Please review these documents and provide any updates of the l information on these models that is necessary to accurately reflect j modifications to your device since these registrations were issued. Don  !

Mackenzie will be pleased to discuss this information request during his visit  !

to your facility on November 6 and 7, 1987. I Sincerely, I

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, dy L. fill er, Chief dical', Academic and l Commercial Use Safety, NMSS I

Enclosures:

As stated

cc
. Bruce Mallett,2R egion'III-l I

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