ML17053C953

From kanterella
Jump to navigation Jump to search
Responds to 811020 Memo Re Status of Offsite Emergency Preparedness at Plant.Spec of Which Deficiences Must Be Resolved to Allow FEMA Finding of Adequate Offsite Preparedness & Schedule of FEMA Assessment Actions Needed
ML17053C953
Person / Time
Site: Nine Mile Point, FitzPatrick  Constellation icon.png
Issue date: 11/05/1981
From: Grimes B
NRC OFFICE OF INSPECTION & ENFORCEMENT (IE)
To: Krimm R
Federal Emergency Management Agency
References
NUDOCS 8112030699
Download: ML17053C953 (2)


Text

Docket Nos 50-220 and'50-3 NOVEMBER 5

1981

'DISTRIBUTION:

'EHQPIIL Col'E Reading DEP Reading BGrimes NRC PDR MEMORANDUM PORa Richard Krimm, Acting Assistant Associate Director Office of Natural and Technological Hazards Programs PRON!

Brian K. GrimosF Director Division of Emergency Preparedness Office of Inspection and Enforcement SUBJECTE OPPSITE EMERGENCY PREPAREDNESS AT TiiE NXNE MILE POXNT AND JAMES A FITZPATRICK NUCLlUQ< POWER PACILITIES With respect to R. T. Jasko's October 20, 1981 memorandum to me on the status of offsite emergency preparedness at the Nine Mile Point Nuclear Power Station, we will need a more specific conclusion with respect to the significant deficiencies before we can decide whether to take action under our regulations Wo need, in particular, a specification of which of the deficiencies indicated in the documents you forwarded must bo removed in order to allow a PENA finding of ndecpxnte offsite preparedness and vrhethor the course of action nnd schodulo proposed by offsite authoritios to remedy such deficiencies is adocxunte As you know, oux regulations provide for a period of up to four months within which significant deficiencies are to be rectified once tho regulations nre invoked.

The schedule of actions which PENA is planning to reassess offsite preparedness is also needed.

Xn this regard, the findings appear to affect the nearby James A. PitsPatxick plant, as noted in R. Jaske's October 23> 1981 memorandum to mo, our consideration is sought of the adequacy of tho use of an exorcise on this plant to verify that offsite preparedness has been improved.

The statement in the transmittal report relating to tho inndeIXuacy of the scenario to demonstrate offsite xmas>'onso raises n ~iuestion with respect to the application of Guidance Memorandum 617.

Tho intent of this guidance<

developed by the PENA/NRC Steering Committee was to provide the basis for fully adequate scenarios.

Your consideration of the role of GN 017 in this case is xecgmsted.

Original Signed hy Brian IC. Grimes cca R. Haynes~

Region I Q. Smithi Region X

S. Schwarz Po Pagano K.

orkins Brian K. Grimes, Director Division of Emergency Preparedness

~<f h=

NOYl 6 1981~

1I U.S. NUO.IAE IIIGULATOIT EOMIAISSOII lp Office of Xnspe and Enforcement Viz-O i

+'FFICE)

SURNAME)

DATEP I:D P,,

. 6 es esp.

IIII2030$ IP9 fI F

PDR *000II IIOS 08000gg 0 '..

(PSR i

"""~~vl)

Cg/

~

~

NRC FORM 3IS (ICjSO) NRCM 0240 OFFICIAL RECORD COPY

-~ l~

~ l I

ll 4'.(

a I'