ML20134C418

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Voided Matls Licensing Action for License SNM-1375 for St Mary'S Hosp.Control:257310
ML20134C418
Person / Time
Site: 07001397
Issue date: 12/31/1996
From: Heim D
NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION II)
To:
NRC
References
257310, NUDOCS 9702030067
Download: ML20134C418 (4)


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(FOR LFMS USE)
INFORMATION FROM LTS BETWEEN:  : -------------------- **'
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License Fee Management Branch, ARM  : Program Code: 22160

, and  : Status Code: 0 Regional Licensing Sections  : Fee Categonr: EX 7C

Exp. Date: 20030930

- Fee Conments: PACEMAKER /45-11367-02 j

- Decom Fin Assur Reqd: N LICENSE FEE TRANSMITTAL A. REGION

1. APPLICATIOK ' ' ACHED Applicant / Licensee: ST. MARY'S HOSPITAL Received Date: %1213 Docket No: 7001397 Control No.: 257310 License No.: SNM-1375 Action Type: Amensnent
2. FEE ATTACHED Amount: none Check No.:
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ST. MARY'S HOSPITAL; 800 Secours Health Systerr November 13,1996 1

1 Earl G. Wright 1 U.S. Nuclear Regulatory Commission Region 11 Nuclear Materials Licensing Section 101 Marietta Street, Suite 2900 Atlanta, GA 30323 l

Re: Transfer Request, St. Mary's Hospital,  ;

NRC Licenses SNM-1375 and 45-11367-02 i

Dear Mr. Wright:

On behalf of St. Mary's Hospital, we are writing to inform you about a transaction involving this facility, as well as a second Bon Secours facility whose Nuclear Medicine department falls under the jurisdiction and licensure of St. Mary's Hospital. The address of the facility is 5801 Bremo Road, Richmond, Virginia 23226.

I Effective September 1,1996, St. Mary's Hospital of Richmond, Incorporated, ("SMH")

. the owner and operator of the Hospital has a new sole member Bon Secours-Richmond

! Health System, incorporated (" Bon Secours".) The members of Bon Secours are the Health Corporation of Virginia, incorporated and Bon Secours Richmond Health Corporation. Previously, Bon Secours Richmond Health Corporation had been the sole member of SMH. This reorganization will not result in a change in the owner or operator of the Hospital or pharmcy nor in the services that the Hospital or pharmacy provides.

SMH will continue to exist as a not-for-profit corporation qualified to do business in Virginia. The transaction does not involve a transfer of SMH's assets nor is it structured i as a merger.

The name of the hospital will not change at the present time. Pending SCC approval, you will be notified at a future date of any changes in order to obtain an amended license reflecting the correct institutional name.

Pursuant to the Regulations, Guidelines, and License Requirements of the Nuclear /0 Regulatory Commission ("NRC"), notice is hereby provided about this anticipatOU 73g jgg 3801 Bremo Road. Richmond. Vrginia 23226 804/285-201: Good vp to those in need since 18?4 f b'o .

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. G. Wright

. ./13/96 l . Page 2 4

i addition of a member. We do not believe that a change in name or a change in a j member of a hospital's owner or operator requires a transfer of the license pursuant to the NRC's regulations. However, in the event that you may decide that a license transfer is required, I have enclosed the information listed as required in Faragraph 4 of j the " Guidelines for Material Licensing Cases involving Change of Ownership" i

i Subsequent to this addition of a member, all of the rights, privileges, immunities, powers, franchises and authority and all assets and property of every description and i every interest therein, of or belonging to SMH and related to the license will continue to l be vested in SMH. SMH will retain all of its liabilities and obligations and will continue to abide by all constraints, conditions, requirements, commitments and representations

, made in connection with the current license and operation of regulated activities at

! SMH. SMH represents that all surveillance items and records are current and that any i

and all corrective actions required by NRC inspections are complete. All records related to the license will remain at the facility. No changes in equipment, personnel, supplies, or procedures are expected to result from the addition of a member.

1 Also to be included in the licensure revision is Richmond Community Hospital. Please refer to the letter from Sam Lillard, Executive Vice President / Administrator of RCH, dated October 21,1996, reflecting the changes at RCH. i Thus, please reissue the license with the new hospital name. Correspondence with  !

respect to this acquisition and license transfer request should be returned directly to me I and copied to: '

Karie K. Delshad Jones, Day, Reavis & Pogue i 1950 G Street, N.W.

Washington, D.C. 20005  !

If you have any questions or need further information, please contact me by mail at the  !

address listed or by telephone at (804) 281-8316.

Very truly yours, e b i Ann Honeycutt

< Executive Vice President / Administrator St. Mary's Hospital of Richmond, Inc.

g'3(O Enclosures cc: Karie K. Delshad

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