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Category:CORRESPONDENCE-LETTERS
MONTHYEARML20217D2841999-10-0404 October 1999 Forwards Status Rept for Ga Tech Research Reactor Decommissioning Program Covering Sept 1999 ML20211Q6361999-09-0303 September 1999 Forwards Status Rept for Georgia Tech Research Reactor Decommissioning Program Covering Jul & Aug 1999 ML20211J4181999-08-30030 August 1999 Forwards Insp Rept 50-160/99-203 on 990119-21.No Violations Noted ML20210E9231999-07-22022 July 1999 Provides Responses to 990228 Comments on Georgia Tech Research Reactor Decommissioning Plan ML20210E9251999-07-22022 July 1999 Forwards Amend 14 to License R-97 & Safety Evaluation.Amend Authorizes Decommissioning of Gtrr,Per 10CFR50.82(b),IAW Decommissioning Plan,As Presented in 980701,990208 & 0528 Ltrs ML20210F3021999-07-22022 July 1999 Provides Responses to 990413 Comment on Georgia Tech Research Reactor Decommissioning Plan.Comment on Removal of Cobalt-60 Should Be Referred to State of Georgia ML20196K3381999-07-0202 July 1999 Forwards Copy of EA & Fonsi Related to Application for Amend Dated 980701.Proposed Amend Would Change Facility OL R-97, Authorizing Decommissioning IAW Proposed Decommissioning Plan ML20195C3531999-05-28028 May 1999 Forwards Environ Rept for Decommissioning of Ga Tech Research Reactor,Per NRC Regulation 51.53(d).Environ Rept Submitted in Apr 1994,encl ML20207A9581999-05-21021 May 1999 Ack Receipt of Re Comments on Georgia Tech Research Reactor Decommissioning Plan.Comments Will Be Considered as Part of NRC Ongoing Review of Decommissioning Plan ML20206R3061999-04-13013 April 1999 Submits Georgians Against Nuclear Energy Comments Re Intent of Georgia Tech to Decommission Neely Research Reactor at Georgia Inst of Technology,Atlanta,Ga ML20204G7561999-03-23023 March 1999 Ack Receipt of to Executive Director for Operations That Provided Comment on Georgia Tech Research Reactor Decommissioning Plan ML20204G7701999-02-28028 February 1999 Submits Comment on NRC Approval of Georgia Inst of Technology Decommissioning Plan for Their Neely Nuclear Research Reactor on Campus of Georgia Tech Pursuant to 10CFR20.1405 & 10CFR50.82(b)(5) ML20210P1381999-02-0808 February 1999 Forwards Response to NRC Request for Addl Info,Dtd 981228. Rev 0 to Quality Assurance Program Plan for Site Characterization of Georgia Tech Neely Nuclear Research Ctr Encl ML20202A8031999-01-25025 January 1999 Forwards Notice of Solicitation of Comments,Per 10CFR20.1405 & 10CFR50.82 (b)(5) for Proposed Action Concerning Decommissioning ML20202A8401999-01-25025 January 1999 Forwards Notice & Solicitation of Comments,Per 10CFR20.1405 & 10CFR50.82(b)(5) for Proposed Action Concerning Decommissioning ML20202A8691999-01-25025 January 1999 Forwards Notice of Solicitation of Comments,Per 10CFR20.1405 & 10CFR50.82(b)(5) for Proposed Action Concerning Decommissioning ML20198K8781998-12-28028 December 1998 Forwards Request for Addl Info Re Decommissioning Plan & License Termination Request for Facility License R-97 for Georgia Tech Research Reactor Submitted on 980701 ML20206P2481998-12-21021 December 1998 Expresses Appreciation for Opportunity to Comment Re Considered Issuance of Emergency Planning Exemption at Facility ML20197J3771998-12-10010 December 1998 Forwards Copy of Environ Assessment & Fonsi for Exemption from Emergency Plan Requirement of 10CFR50.54(q) for Georgia Inst of Technology Research Reactor.Exemption Granted ML20197J2801998-12-0404 December 1998 Responds to to NRC Commissioners Re Concerns That 980924 Response to Was Not from Commissioners. Weiss Response to Subj Ltr Reflects Positions & Policies Established by Commission ML20196H0821998-12-0303 December 1998 Forwards Environmental Assessment & Finding of No Significant Impact Re Licensee Application for Exemption from Emergency Planning Requirements of 10CFR50.54(q).Notice Indicates That NRC Considering Issuance of Exemption ML20155G9681998-11-0404 November 1998 Forwards Amend 13 to License R-97 & Safety Evaluation.Amend Removes Requirements for Security Plan to Protect Special Nuclear Matl Because License Does Not Allow Possession of SNM ML20154J8561998-10-0808 October 1998 Responds to Requesting Termination of Requalification Program for RO & Sro.Nrc Finds Request to Eliminate Operator Requalification Program Requirements Acceptable ML20154E3821998-10-0101 October 1998 Forwards bi-monthly Status Rept for Georgia Tech Research Reactor Decommissioning Program for Months of Aug & Sept 1998 ML20197J3061998-10-0101 October 1998 Submits Complain That Addressed to NRC Commissioners Was Answered by Someone Else in Different Section ML20154D7881998-10-0101 October 1998 Forwards Three Entries in Safeguards Event Log Made During Months of Jul,Aug & Sept 1998,per 10CFR73.71(a) Through (C) ML20153H2381998-09-24024 September 1998 Responds to on Concerns Related to Georgia Institute of Technology & Other Matters.Georgia Institute of Technology Submitted Decommissioning Plan by Ltr & Plan Currently Under Review by NRC Staff ML20153H2671998-08-27027 August 1998 Expresses Concern Re Georgia Institute of Technology Neely Nuclear Research Reactor,Contaminated Campus Area, Contaminated Reactor Bldg,Heavy Water & 200,000 Curies of Cobalt-60 Stored in Adjacent Bldg & in Pool ML20237E2461998-08-20020 August 1998 Requests NRC Approval of Exemption to Maintain Nnrc Emergency Preparedness Plan.Georgia Tech Was Defueled in Feb 1996 & All Nuclear Fuel Was Removed ML20237B6731998-08-10010 August 1998 Forwards Status Rept for Georgia Tech Research Reactor Decommissioning Program for Month of Jul 1998 ML20236U4891998-07-21021 July 1998 Informs of Termination of Tritium Monitoring Activities Due to Requirement Specified in TS Tables 2.1 & 3.1 ML20236U4061998-07-15015 July 1998 Forwards Status Rept for Georgia Tech Research Reactor Decommissioning Program for Month of June 1998 ML20236J2561998-07-0101 July 1998 Informs That No Entries Were Made in Safeguards Event Log During Months of Apr,May & June 1998,per 10CFR73.71(a) Through (C) ML20236Q0671998-07-0101 July 1998 Requests Decommissioning Order for Ga Tech Research Reactor. Documentation Supporting Request,Listed.Reactor Is Currently in Safe Shutdown Condition & in Full Compliance W/Possession Only License.Page N-579 of Incoming Submittal Not Include ML20236Q0731998-06-30030 June 1998 Issues Statement of Intent in Compliance w/10CFR50.75(e)(IV) Re State of Ga Support of Cost Estimate for Decommissioning of Ga Technology Research Reactor ML20236H5771998-06-18018 June 1998 Forwards Synopsis of NRC OI Completed Rept Re Alleged Discrimination by Georgia Institute of Technology Against Employee Who Filed Complaint W/Dol.Determined There Was Insufficient Evidence to Substantiate Allegation ML20154D6621998-06-0101 June 1998 Requests Termination of Requalification Program for Ros/Sros for License R-97.All Licenses for Ros/Sros Should Also Be Terminated.Fuel Has Been Removed from Facility & Licenses No Longer Needed ML20248J6711998-05-21021 May 1998 Forwards Monthly Status Rept for Ga Tech Research Reactor Decommissioning Program for Month of Apr 1998 ML20247K3591998-05-0707 May 1998 Forwards Insp Rept 50-160/98-201 on 980420-21.No Violations Noted.Various Aspects of Safety & Emergency Preparedness Programs Including Selective Exams of Procedures & Representative Records Were Inspected ML20217G2681998-04-20020 April 1998 Forwards Status Rept for Ga Tech Research Reactor Decommissioning Program for Month of Mar 1998 ML20217K6181998-04-0202 April 1998 Forwards Amend 12 to License R-97 & Se.Amend Removes Authority from License to Operate,Authorizes possession-only & Changes TS to Remove Operational Requirements of Reactor ML20202F4471998-02-0404 February 1998 Forwards Addl Info in Support of possession-only-license Amend Application Dtd 970807.Revised TS Re Rev to Facilitate Decommissioning,Encl ML20198H2661998-01-0202 January 1998 Forwards Status Rept for Ga Tech Research Reactor Decommissioning Program for Months of Nov & Dec 1997 ML20197J9891997-12-12012 December 1997 Responds to to Atlanta Ofc of EPA Re Georgia Tech Research Reactor.Nrc Evaluations Will Continue to Ensure Acceptable Application of Regulations to Protect Public Health & Safety,Including Decommissioning Activities ML20197G7441997-12-12012 December 1997 Forwards RAI Re Submittals for Possession Only License for Georgia Tech Research Reactor.Response Requested within 60 Days of Date of Ltr ML20197H3701997-12-12012 December 1997 Forwards Request for Addl Info Re Submittals for Possession Only License for Georgia Tech Research Reactor ML20199K8571997-11-24024 November 1997 Forwards Insp Rept 50-160/97-201 on 971027-31.No Violations Noted.Various Aspects of Operations,Safety & Security Programs Inspected Including Selective Exams of Procedures & Representative Records & Interviews W/Personnel ML20199G9971997-11-17017 November 1997 Forwards Ga Tech Research Reactor 1997 Emergency Preparedness Exercise Scenario.Exercise Scheduled for 971211 ML20202D1131997-11-13013 November 1997 Forwards Status Rept for Georgia Tech Research Reactor Deommissioning Program for Month of Oct 1997 ML20198T4371997-11-0606 November 1997 Submits Addl Info in Support of possession-only-license Amend & in Response to 970916 RAI 1999-09-03
[Table view] Category:OUTGOING CORRESPONDENCE
MONTHYEARML20211J4181999-08-30030 August 1999 Forwards Insp Rept 50-160/99-203 on 990119-21.No Violations Noted ML20210F3021999-07-22022 July 1999 Provides Responses to 990413 Comment on Georgia Tech Research Reactor Decommissioning Plan.Comment on Removal of Cobalt-60 Should Be Referred to State of Georgia ML20210E9251999-07-22022 July 1999 Forwards Amend 14 to License R-97 & Safety Evaluation.Amend Authorizes Decommissioning of Gtrr,Per 10CFR50.82(b),IAW Decommissioning Plan,As Presented in 980701,990208 & 0528 Ltrs ML20210E9231999-07-22022 July 1999 Provides Responses to 990228 Comments on Georgia Tech Research Reactor Decommissioning Plan ML20196K3381999-07-0202 July 1999 Forwards Copy of EA & Fonsi Related to Application for Amend Dated 980701.Proposed Amend Would Change Facility OL R-97, Authorizing Decommissioning IAW Proposed Decommissioning Plan ML20207A9581999-05-21021 May 1999 Ack Receipt of Re Comments on Georgia Tech Research Reactor Decommissioning Plan.Comments Will Be Considered as Part of NRC Ongoing Review of Decommissioning Plan ML20204G7561999-03-23023 March 1999 Ack Receipt of to Executive Director for Operations That Provided Comment on Georgia Tech Research Reactor Decommissioning Plan ML20202A8691999-01-25025 January 1999 Forwards Notice of Solicitation of Comments,Per 10CFR20.1405 & 10CFR50.82(b)(5) for Proposed Action Concerning Decommissioning ML20202A8401999-01-25025 January 1999 Forwards Notice & Solicitation of Comments,Per 10CFR20.1405 & 10CFR50.82(b)(5) for Proposed Action Concerning Decommissioning ML20202A8031999-01-25025 January 1999 Forwards Notice of Solicitation of Comments,Per 10CFR20.1405 & 10CFR50.82 (b)(5) for Proposed Action Concerning Decommissioning ML20198K8781998-12-28028 December 1998 Forwards Request for Addl Info Re Decommissioning Plan & License Termination Request for Facility License R-97 for Georgia Tech Research Reactor Submitted on 980701 ML20197J3771998-12-10010 December 1998 Forwards Copy of Environ Assessment & Fonsi for Exemption from Emergency Plan Requirement of 10CFR50.54(q) for Georgia Inst of Technology Research Reactor.Exemption Granted ML20197J2801998-12-0404 December 1998 Responds to to NRC Commissioners Re Concerns That 980924 Response to Was Not from Commissioners. Weiss Response to Subj Ltr Reflects Positions & Policies Established by Commission ML20196H0821998-12-0303 December 1998 Forwards Environmental Assessment & Finding of No Significant Impact Re Licensee Application for Exemption from Emergency Planning Requirements of 10CFR50.54(q).Notice Indicates That NRC Considering Issuance of Exemption ML20155G9681998-11-0404 November 1998 Forwards Amend 13 to License R-97 & Safety Evaluation.Amend Removes Requirements for Security Plan to Protect Special Nuclear Matl Because License Does Not Allow Possession of SNM ML20154J8561998-10-0808 October 1998 Responds to Requesting Termination of Requalification Program for RO & Sro.Nrc Finds Request to Eliminate Operator Requalification Program Requirements Acceptable ML20153H2381998-09-24024 September 1998 Responds to on Concerns Related to Georgia Institute of Technology & Other Matters.Georgia Institute of Technology Submitted Decommissioning Plan by Ltr & Plan Currently Under Review by NRC Staff ML20236H5771998-06-18018 June 1998 Forwards Synopsis of NRC OI Completed Rept Re Alleged Discrimination by Georgia Institute of Technology Against Employee Who Filed Complaint W/Dol.Determined There Was Insufficient Evidence to Substantiate Allegation ML20247K3591998-05-0707 May 1998 Forwards Insp Rept 50-160/98-201 on 980420-21.No Violations Noted.Various Aspects of Safety & Emergency Preparedness Programs Including Selective Exams of Procedures & Representative Records Were Inspected ML20217K6181998-04-0202 April 1998 Forwards Amend 12 to License R-97 & Se.Amend Removes Authority from License to Operate,Authorizes possession-only & Changes TS to Remove Operational Requirements of Reactor ML20197J9891997-12-12012 December 1997 Responds to to Atlanta Ofc of EPA Re Georgia Tech Research Reactor.Nrc Evaluations Will Continue to Ensure Acceptable Application of Regulations to Protect Public Health & Safety,Including Decommissioning Activities ML20197G7441997-12-12012 December 1997 Forwards RAI Re Submittals for Possession Only License for Georgia Tech Research Reactor.Response Requested within 60 Days of Date of Ltr ML20197H3701997-12-12012 December 1997 Forwards Request for Addl Info Re Submittals for Possession Only License for Georgia Tech Research Reactor ML20199K8571997-11-24024 November 1997 Forwards Insp Rept 50-160/97-201 on 971027-31.No Violations Noted.Various Aspects of Operations,Safety & Security Programs Inspected Including Selective Exams of Procedures & Representative Records & Interviews W/Personnel ML20217G6711997-10-0808 October 1997 Ack Receipt of 970630 & 0926 Ltrs,Informing NRC of Retirement of RA Karam & Appointment of N Hertel as Director of Neely Research Ctr & Addl Changes to Distribution List ML20211D9031997-09-16016 September 1997 Forwards RAI Re 970807 Submittal for Possession Only License for Georgia Tech Research Reactor ML20217P2781997-08-19019 August 1997 Responds to from P Blockey-O'Brien & Recent Telcons Re Denial of 10CFR 2.206 Petition ML20198F7741997-08-0101 August 1997 Informs That on 970804,non-power Reactor Insp Program Will Be Transferred from Region II Ofc to NRR DD-97-16, Informs That Time Provided by NRC Regulation within Which Commission May Act to Review Director'S Decision (DD-97-16) Expired.Commission Declined Review.Decision Became Final on 970722.W/Certificate of Svc.Served on 9707241997-07-24024 July 1997 Informs That Time Provided by NRC Regulation within Which Commission May Act to Review Director'S Decision (DD-97-16) Expired.Commission Declined Review.Decision Became Final on 970722.W/Certificate of Svc.Served on 970724 ML20149H2461997-07-22022 July 1997 Responds to Requesting Pol for Gtrr.Forwards Info to Prepare Pol Application ML20148K2961997-06-11011 June 1997 Forwards Results of Retake Exams Administered on 960408 & Initial Exam Rept 50-160/OL-97-02.Exam & Answer Key Encl ML20137R9241997-04-0909 April 1997 Forwards Senior Reactor Operator License Certificate to Bd Statham.Commission Provides Certificates Suitable for Framing to New Operator Licensees in Recognition of Important Role.W/O Encl ML20137U7731997-04-0101 April 1997 Ack Receipt of Informing NRC of Steps Taken to Correct Exercise Weakness Noted in Insp Rept 50-160/96-05 ML20137U8081997-03-25025 March 1997 Informs of Relocation of Region II Ofc to Atlanta Federal Ctr Complex on 970425.During Transition Period of 970425-27, Ofc Will Not Be Open for Business.Ofc Will Reopen on 970428 ML20135F2231997-02-27027 February 1997 Ack Receipt of Informing NRC of Steps Taken to Correct Violations Noted in Insp Rept 50-160/96-05 Issued on 961220.Addl Info Required to Complete Review.Response Requested within 30 Days of Receipt of Ltr ML20138H5521996-12-20020 December 1996 Forwards Insp Rept 50-160/96-05 on 961125-27.No Violations Noted.Concern Re Weakness in Training & Developmental Program for Alternate Emergency Directors in Areas of Emergency Classification,Command & Control ML20134Q1651996-11-20020 November 1996 Informs That Due to NRC Organizational Changes During Oct 1995,revs Necessary to Previous Guidance Re Submittal of Exercise Objectivies & Scenario Details ML20134C6671996-09-0909 September 1996 Ack Receipt of Informing NRC of Steps Taken to Correct Violations Noted in Insp 50-160/96-02 on 960718 ML20058P6251993-12-0202 December 1993 Forwards Insp Rept 50-160/93-03 on 931102-05.Expresses Concern Re Adequacy & Effectiveness of Licensee Current Approach to Scenario Development ML20059K6441993-11-0101 November 1993 Forwards Insp Rept 50-160/93-02 on 930923-30 & Notice of Violation ML20059B4401993-10-16016 October 1993 Informs of Written & Operating Exams Scheduled for Wk of 940222.Ref Matls Listed in Encl 1 Should Be Submitted at Least 60 Days Prior to Exam Date ML20057C3441993-09-14014 September 1993 Forwards Info Received During Discussions Between Region II Personnel & Concerned Individual.Encl Withheld (Ref 10CFR2.790) IR 05000160/19920041993-01-20020 January 1993 Ack Receipt of Informing NRC of Steps Taken to Correct Violations Noted in Insp Rept 50-160/92-04 ML20126E3051992-12-10010 December 1992 Forwards Insp Rept 50-160/92-04 on 921109-10 & Nov.Nov Describes Repeat of Noncited Violation as Noted in Insp Rept 50-160/91-04 ML20059H7921990-09-12012 September 1990 Forwards Request for Addl Info & Clarification Re Amend to License R-97.Response Requested within 60 Days of Ltr Date ML20058L7261990-07-30030 July 1990 Ack Receipt of 900717 Response to Violations Noted in Insp Rept 50-160/90-02.Implementation of Corrective Actions Will Be Examined During Future Insps ML20058Q3001990-07-25025 July 1990 Forwards Exam Rept 50-160/OL-90-02 on 900507 ML20055G9261990-07-20020 July 1990 Forwards Request for Addl Info & Clarification Re Amend to License R-97 ML20055H4021990-07-11011 July 1990 Forwards Insp Rept 50-160/90-02 on 900612-14 & Notice of Violation ML20247Q7671989-09-19019 September 1989 Forwards Insp Rept 50-160/89-03 on 890822-24.No Violations or Deviations Noted 1999-08-30
[Table view] |
See also: IR 05000160/1996002
Text
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September 9, 1996
Georgia Institute of Technology I
ATTN: Dr. Ratib A. Karam Director
Neely Nuclear Research Center I
225 North Avenue
Atlanta, GA 30332
SUBJECT: NRC INSPECTION REPORT NO. 50 160/96 02 .
Dear Dr. Karam:
)
Thank you for your response of July 18, 1996, to our Notice of Violation which l
was. issued on July 3,1996, concerning activities conducted at your Georgia l
Institute of Technology Research Reactor. We have examined your response and
found that it meets the requirements of 10 CFR 2.201. l
1
In your response, you provided corrective actions for both cited violations
(A and B). You denied that violation B was committed under- your NRC license.
After careful consideration of the bases of your denial of the violation, we
have concluded, for reasons presented in the enclosure to this letter, that :
the violation occurred as stated in the Notice of Violation.. We also l
determined that the violation should be modified to make it clear that it was !
for NRC licensed activities connected with the shipment of unirradiated and !
irradiated reactor fuel in January and February 1996. No further response !
regarding this violation is necessary because your July 18, 1996, response ;
' described the steps which you plan to take to correct the violation, the ;
results you expect to achieve, the corrective steps which will be taken to '
avoid further violations, and the date when full compliance will be achieved. J
You should note, however, that training under your Procedure 9510 alone, does i
not satisfy the training requirements set forth in 49 CFR 172.704 as indicated ,
in Enclosure 1. A revised Notice of Violation is preser,ted in Enclosure 2. !
Your letter requested clear, well-defined boundaries for jurisdictional
responsibilities between the NRC and the State of Georgia in this case. In
the. case of transportation, the boundaries are clear, the transport of
materials, defined as licensed materials in 10 CFR 71.4, is subject to NRC
jurisdiction.
Your corrective actions associated with the violations and the deviation noted
in NRC Inspection Report 50 160/96 02 will be reviewed during future
inspections.
n **j 3 0i * **
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9609270351 960909
PDR ADOCK 05000160
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Should you have any questions concerning this letter, please contact us.
Sincerely,
f/iVm'
Bruce S. Mallett, Director
Division of Nuclear Materials Safety
Docket No. 50 160
License No. R 97
Enclosures: 1. Evaluation and Conclusion
2. Revised Notice of Violation
!
cc w/encls -
Dr. John A. White, Dean '
College of Engineering
Georgia Institute of Technology
225 North Avenue
Atlanta, GA 30332 '
Dr. William G. Vernetson
Director of Nuclear Facilities
Department of. Nuclear Engineering l
Sciences
University of Florida l
202 Nuclear Sciences Center i
Gainesville, FL 32611 i
Pedro B. Perez, Associate Director
Nuclear Reactor Program
North Carolina State University
P. O. Box 7909
Raleigh, NC 27695-7909
Dr. R. U. Mulder, Director
Reactor Facility
University of Virginia
Charlottesville, VA 22901
James.Setser, Chief
Program Coordination Branch
Environmental' Protection Division
Department of Natural Resources l
Floyd Tower E 1166 l
205 Butler Street, SE, Suite 1252
..
J
Atlanta, GA 30334
(cc w/ encl cont'd - see page 3) {
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GIT 3 l
(cc w/ encl cont'd)
Mayor of the City of Atlanta !
55 Trinity Avenue, SW
Suite 2400
Atlanta, GA 30335
l
Pamela Blockey 0'Brien l
023 Golden Valley I
Douglasville, GA 30134
Office of Commission Appellate
Adjudication i
U. S. Nuclear Regulatory Commission
Washington, DC 20555 ;
Administrative Judge
Jerry R. Kline
Atomic Safety and Licensing Board :
Mail Stop T 3 F 23
U. S. Nuclear Regulatory Commission
Washington, DC 20555
'
Administrative Judge
Peter S. Lam '
Atomic Safety and Licensing Board ;
Mail Stop T-3 F 23 .
U. S. Nuclear Regulatory Commission
Washington, DC 20555 ,
Administrative Judge
Charles Bechoefer
Atomic Safety and Licensing Board '
Mail Stop T 3 F 23 ,
U. S. Nuclear Regulatory Commission -
Washington, DC 20555
,
Randy A. Nordin, Esq.
E. Gail Gunnells, Esq.
Georgia Institute of Technology
400 10th Street, NW
Atlanta, GA 30332 0420
l
Glenn Carroll
139 Kings Highway !
Decatur, GA 30030
Patricia Guilday, Esq. I
l Alfred L. Evans, Jr. , Esq.
l Georgia Department of Law
l
40 Capitol Square, NW
Atlanta, GA 30334 1300
Distribution w/ encl: (See Page 4) -
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Distribution w/ encl: ,
M. Mendonca, NRR l
C. Bassett, RII :
E. McAlpine. RII
J. White, RI
C. Pederson. RIII l
B. Murray, RIV
F. Wenslawski, RIV ,
S. Turk, 0GC
PUBLIC
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SIGNATURE I
I NAME CBassett e'n E CEvans # N ,, M&Meh j
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DATE OfLL 2'f / 96 08 /J l / 96 08 / 2 L/ 96 08 / M O 96 OPF / 96 08 / / 96
COPY? (VES ) NO YES N0 h NO YES N0 DES) NO YES NO
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OFF]CIAL RECORD COPY DOCUMENI NAME: I:\f f B]I\REPORISWAI9602R.RS5 A g/ ,r
, 650. )Y Ny
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EVALUATION AND CONCLUSION
On July 3,1996, a Notice of Violation (Notice) was issued for violations
identified during a routine NRC inspection. Georgia Institute of Technology
(Georgia Tech) responded to the Notice on July 18, 1996. In that response.
Georgia Tech denied violation B. The NRC's evaluation and conclusion
regarding the licensee's arguments are as follows:
Restatement of the Violation:
,
10 CFR 71.5 requires each licensee who transports licensed material outside
,
the confines of its plant or other place of use to comply with the applicable
4 requirements of the Department of Transportation (DOT) in 49 CFR Parts 170
- through 189.
?
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49 CFR 172.704(a) specifies the general awareness, function specific, and
4
safety training requirements for hazmat employees.
.
l 49 CFR 172.704(c) specifies that a hazmat employee employed after July 2,1993
. shall be initially trained prior to October 1,1993.and at least once every
two years thereafter.
i 49 CFR 172.704(d)(4) requires certification that the hazmat employee has been
- trained and tested as required by this subpart.
I
! - 49 CFR 171,8 defines a hazmat employee as an individual employed by a hazmat
i employer who, during the course of employment, loads or unloads or handles
a hazardous materials; prepares hazardous material for transportation; is
.
responsible for safety of transporting hazardous materials; or tests,
j reconditions, modifies, marks, or otherwise represents containers, drums, or
t
packagings as qualified for use in the transportation of hazardous materials.
49 CFR 172.702(d) requires each hazmat employer to ensure.that each hazmat
employee is tested by appropriate means on the training subjects covered in
49 CFR 172.704.
Contrary to the above, since October 1,1993, the licensee failed to train
and a>propriately test all hazmat employees on the subjects covered in
49 CFR 172.704 in that the hazmat employees had not received the specified
training with the exception of one emaloyee who was trained on the safety
portions of the requirements of 49 CFR 172 in December 1995.
Summary of Licensee's Resoonse:
The licensee admitted that all employees at the Neely Research Center were not
trained and appropriately tested for safe handling, packaging, and shipping of -
hazardous material. The licensee argued that, although only one em)loyee had
been trained and tested in compliance with the requirements of 49 C:R 172.704,
no shipments of hazardous materials were made under the NRC license until
Enclosure 1
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January 31, 1996. All the other shipments containing radioactive material
from Georgia Tech were made under the broad license, which is under the
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regulatory authority of the State of Georgia. The licensee also argued that
training on the material covered in Procedure 9510 Radioactive Material
Shipment, met or exceeded the requirements in 49 CFR 172.704. Therefore, the
only deficiency was that the licensee did not test the trainees on their
j proficiency in all relevant materials in Procedure 9510.
1
4 NRC Evaluation:
,
! The NRC concludes that the licensee's argument that there were no shipments of
! material under the NRC jurisdiction is invalid. There was one shipment of
unirradiated fuel made on January 31, 1996 and a second shipment of irradiated
i fuel made on February 18, 1996 under the NRC license. With regard to the
! other shipments made, during the period an NRC inspector reviewed the shipping
i documents for radioactive material shipped from August 1994 through April
- 1996. Because the shipments appeared to be a mixture of NRC and State of
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Georgia licensed material, the nature of the material and the license under
which the material was shipped were discussed with licensee representatives
- during the inspection. The Manager, Office of Radiation Safety (MORS)
indicated that several of the shipments made during that period had been made
under the NRC license. This clarification was accepted by the ins)ector
,
i
!
i because the shipping documents a
t were made under the NRC license.ppeared to indicate
.The licensee's that several
response counters sli:ments
t11s by
i
' saying, in writing, that the shipments were made under the broad license,
which is under the State of Georgia jurisdiction. The NRC accepts this and
will modify the violation to state that it only occurred with regard to the
- shipments made under NRC jurisdiction.
.
I The licensee admitted that only one employee had been trained, tested, and
.
certified in all the requirements of 49 CFR 172.704 at the time the irradiated l
! fuel shipment was made on January 31, 1996. However, the licensee indicated
that one staff member was train 3d in an OSHA course and the health physics
[ staff were trained in the licensee's procedures.
As stated in the Notice 49 CFR 171.8 defines a hazmat employee as an
, individual employed by a hazmat employer who, during the course of employment,
', loads or unloads or handles hazardous materials; prepares hazardous material
for transportation; is responsible for the safety of transporting hazardous ,
! materials; or tests, reconditions, modifies, marks, or otherwise represents i
i containers.-drums, or packagings as qualified for use in the transportation of
, hazardous materials. As indicated, this requirement applies not only to those
j who handle hazardous material but to those w b represent or certify that the
j packagings are qualified for use. In the case of Georgia Tech, this
i definition would apply to those who routinely handle hazardous (radioactive)
- material, to those who package the material for shipment, and to those who
- represent or certify that the packaging is qualified for use in transportation
i of hazardous material such as a person who reviews the shipping pa)ers and
2
signs that the aaoerwork is in order and the material is ready to )e shipped.
j Specifically, t;is requirement would apply to health physics personnel and to
- Enclosure 1
i
l
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, . _ _ . _ __ -__ _ _ _ _ _ - _ . _
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the HORS because they routinely prepare the radioactive material for shipment,
review the shipping paperwork to ensure that the shipment complies with the
regulations, and are responsible for the safety of transporting hazardous
materials. Given the fact that employees who handled the material as
described above were not trained and tested, the violation should stand as
issued.
.
The licensee also argued that training on the material covered in Procedure
9510. Radioactive Material Shipment, met or exceeded the requirements in
, 49 CFR 172.704: however, a deficiency existed in that the licensee did not
test the trainees on their proficiency in all relevant materials in Procedure
9510. 49 CFR 172.704 specifies that hazmat employee training shall
include the following: (1) General awareness / familiarization training:
(2) Function specific training; and (3) Safety training. Although the
! licensee's procedure appears to provide an acceptable method for packaging and
- shipping of radioactive materials to ensure that package integrity is
! maintained during transportation and to ensure compliance with the shipping
1
regulations, it did not satisfy the content, testing and certification
requirements of 49 CFR 172.704. Specifically, the following was noted: (1)
'
the procedure did not address how the em)loyee is to recognize and identify
hazardous materials consistent with the lazards communications standards as
' part of the General awareness / familiarization training: (2) the procedure did
not include emergency response information recuired by subpart G of part 172
as part of the Safety training: (3) the procecure did not include the measures
for 3rotecting employees from the dangers associated with hazardous materials
'
to w11ch they may be exposed in the work place. This includes specific
measures the hazmat employer has implemented to protect employees from
exposure and the methods and procedures for avoiding accidents, such as the
- proper procedures for handling packages containing hazardous materials as part
'
of the Safety training.
t
NRC Conclusion:
'
! For the above stated reasons, the NRC staff concludes that the violation
occurred as stated, but should be modified to indicate it was only for
shipments of materials licensed by the NRC.
+
Enclosure 1