ML22108A176

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E-mail: Proposed Order Conditions for In-Direct Transfer of Licenses Held by Energysolutions, LLC (Zion, TMI Unit-2, La Crosse Boiling Water Reactor, Kewaunee, Energysolutions Radioactive Materials License, and Energysolutions Export Licens
ML22108A176
Person / Time
Site: Kewaunee, Three Mile Island, La Crosse, Zion, 11005620, 11005897  File:ZionSolutions icon.png
Issue date: 04/14/2022
From: Jack Parrott
Reactor Decommissioning Branch
To: Van Noordennen G
EnergySolutions
Parrott J
References
Download: ML22108A176 (2)


Text

From: Parrott, Jack To: Gerard P. Van Noordennen Cc: kwrobuck@energysolutions.com; Russ G. Workman; Stenger, Daniel F.; Wachutka, Jeremy; Watson, Bruce

Subject:

ES indirect license transfer request Date: Thursday, April 14, 2022 5:22:00 PM Attachments:

Mr. Van Noordennen,

Along with the ZNPS pending license transfer addressed in your RAI response of March 30, 2022 (ADAMS accession # ML22091A275), there also a pending license transfer for La Crosse that is similar to the situation of ZNPSs pending license transfer.

Since EnergySolutions requested that the approval of the transfer of control of the ZNPS licenses be subject to a condition that would provide that if EnergySolutions does not indirectly hold the licenses for ZNPS and the general license for the ZNPS ISFSI at the time of closing of the indirect license transfer, then these licenses shall not be transferred as part of the indirect license transfer.

To efficiently deal with the La Crosse situation it may be appropriate to condition the indirect license transfer order with respect to La Crosse in the same way that EnergySolutions proposed conditioning the order for ZNPS. With that in mind, the proposed conditions for the EnergySolutions indirect license transfer order are below.

Please let us know if EnergySolutions has any objections to the proposed language of these conditions:

1) The NRC staffs approval of the license transfer is subject to the

Commissions authority to rescind, modify, or condition the approved transfer based on the outcome of any post-effectiveness hearing on

the license transfer application.

2) If EnergySolutions does not indirectly hold Facility Operating License

Nos. DPR-39 and DPR-48 for ZNPS, Units 1 and 2, respectively, and the general license for the ZNPS ISFSI, at the time of the closing of

the proposed indirect license transfer, then the ZNPS licenses shall not be transferred as part of the indirect license transfer.

3) If EnergySolutions does not indirectly hold Possession Only License No. DPR-45 for LACBWR, and the general license for the LACBWR

ISFSI, at the time of the closing of the proposed indirect license transfer, then the LACBWR licenses shall not be transferred as part

of the indirect license transfer.

4) If EnergySolutions does not indirectly hold Renewed Facility Operating License No. DPR-43 for KPS, and the general license for the KPS ISFSI, at the time of the closing of the proposed indirect

license transfer, then the KPS licenses shall not be transferred as part of the indirect license transfer.

Thanks,

Jack D. Parrott Senior Project Manager US Nuclear Regulatory Commission 301-415-6634