Search by property

Jump to navigation Jump to search

This page provides a simple browsing interface for finding entities described by a property and a named value. Other available search interfaces include the page property search, and the ask query builder.

Search by property

A list of all pages that have property "Title" with value "Commercial Data Encryption System Required by 10 CFR 73.21 (g)(3)". Since there have been only a few results, also nearby values are displayed.

Showing below up to 26 results starting with #1.

View (previous 50 | next 50) (20 | 50 | 100 | 250 | 500)


    

List of results

  • ML20003F554  + (Comments,On Behalf of Natl Energy Access Project,On Proposed Rule 10CFR2 Re Expedition of NRC Hearing Process.Elimination of Formal Discovery of NRC Will Unquestionably Hamper Intervenor Participation in Licensing Hearings)
  • ML20003F304  + (Comments,On Behalf of Natl League of Cities,On Proposed Rule 10CFR2 Re Expedition of NRC Hearing Process.Proposed Rule Will Further Insulate NRC Decisionmaking from Public Scrutiny.Discovery Process May Not Cause Delays)
  • ML19351G261  + (Comments,On Behalf of Niagara Mohawk Power Corp,Public Svc Co of In,Inc & Rochester Gas & Electric Corp,On Petition for Rulemaking 50-29 Re Atws.No Addl Requirements Should Be Imposed Prior to Public Hearing on Technical Justification)
  • ML19347E557  + (Comments,On Behalf of Ny State Dept of Environ Conservation, on NUREG-0586, Draft Generic EIS on Decommissioning of Nuclear Facilities. Statement Is Summary in Nature,Making Detailed Technical Review Difficult)
  • ML19347E049  + (Comments,On Behalf of Ofc of Governor,On Proposed Rules 10CFR2,50,70,73 & 71 Re Transportation of Radwaste & Spent Fuel,Per NRC 810116 Request.Supports Rules.Nrc Should Evaluate Prior State Experience W/Prenotification Sys)
  • ML20003F827  + (Comments,On Behalf of Ofc of Prosecuting Atty,On Proposed Rule 10CFR2 Re Expediting NRC Hearing Process.Limiting Discovery to 25 Days After Publication of Final Supplemental SER Is Unduly Restrictive)
  • ML20214W863  + (Comments,On Behalf of Physical Security Coordinating Group, on Proposed Rule 10CFR73 Re Requirements for Criminal History Checks.Licensees Should Not Be Responsible for Checking Contractor Personnel W/Access to Safeguards Info)
  • ML20003F040  + (Comments,On Behalf of Public Citizen,On Proposed Rule 10CFR2 Re Expedition of NRC Hearing Process.Aside from Dubious Legality of Rule That Would Abrogate Discovery Rights of Only Certain Parties,Rules Will Not Save Time)
  • ML20004C116  + (Comments,On Behalf of Public Service Co of Ok,On Proposed Rule 10CFR2 Re Immediate Effectiveness Rule.Supports Rule. Requests Rule Be Expanded to Include CP Applications)
  • ML19347D843  + (Comments,On Behalf of Public Svc Commission,On Proposed Rules 10CFR30,40,50,70 & 72 Re Draft Generic EIS on Decommissioning.Draft Should Discuss Effect of Various Operating Parameters on Decommissioning Costs)
  • ML20003D634  + (Comments,On Behalf of Salina,Ks Ywca,On Proposed Rule 10CFR71 Re Advance State Notification of Certain Nuclear Waste Transportation & 10CFR73 Re Advance Notification to Governors Re Shipments of Irradiated Reactor Fuel)
  • ML19347E345  + (Comments,On Behalf of Sc Electric & Gas Co,Tx Utils Generating Co & Wppss,On Proposed Rule 10CFR2 Re Expediting NRC Hearing Process.Supports All But Two Proposed Changes)
  • ML19347E505  + (Comments,On Behalf of Southern CA Edison Co,On Proposed Rule 10CFR2 Re Expedition of NRC Hearing Process.Reinstatement of Immediate Effectiveness Rule Is Best Procedural Change to Minimize Delay Between Review Completion & OL Issuance)
  • ML20003F897  + (Comments,On Behalf of Tx House of Representatives,On Proposed Rule 10CFR2 Re Expedition of NRC Hearing Process. NRC Should Mandate Guidelines Which Allow Intervenors to Engage in Formal Discovery)
  • ML20004C143  + (Comments,On Behalf of Ucs,On Proposed Rule 10CFR2 Re Immediate Effectiveness Rule.Opposes Rule)
  • ML19350D853  + (Comments,On Behalf of United Nuclear Corp,On Petition for Rulemaking 40-23 for Repeal of Licensing Exemptions Re Certain Inactive U Milling Sites & Byproduct Matls.Petition Is W/O Merit & Should Be Denied)
  • ML19321A092  + (Comments,On Behalf of Util Group on Atws,On ATWS Issue. Adjudicatory Rulemaking Should Be Used to Bring Issue to Sound & Lasting Resolution.Rule Adopted Should Meet Three Listed Criteria)
  • ML20035H549  + (Comments,Petition for Leave to Intervene & Requests for Finding of Significant Change & Hearing of Louisiana Energy Power Authority.* W/Certificate of Svc)
  • ML20035H585  + (Comments,Petition for Leave to Intervene & Requests for Finding of Significant Change & Hearing of Terrebonne Parish Consolidation Govt.* W/Notice of Appearance & Certificate of Svc)
  • ML19323E132  + (Comments,Submitted by Motor Vehicle Manufacturers Association on Proposed Rules 10CFR19,30,40,50,70,71 & 150: Rule Requires Posting of Form NRC-3, Notice to Employees, Over Unnecessarily Large Area of Licensed Facility)
  • ML19323D880  + (Comments,Submitted by Radx Corp,On Proposed Reg Guide 10.8: Inconceivable That Reg Guide Could Be Written W/O Input or Consultation from Major Manufacturers of Dose Calibrators. Respondent Has Wealth of Knowledge to Contribute)
  • ML19323E035  + (Comments,Submitted by Rs Landauer,Jr & Co, on Proposed Reg Guide 8.14,Revision 2:most Options Proposed for Estimate of Neutron Exposures Are Viable.Generic Dosimeter Identification (CR-39) Should Be Included as Option)
  • ML19323H870  + (Comments,Submitted on Behalf of Follett Corp,Re Restart of Facility.Return to Svc Will Reduce Cost of Replacement Power to Util Customers)
  • ML16355A045  + (Comments/Resolution on Proposed Change to the Enforcement Policy Regarding Processing of FFD D&A Issues)
  • ML051520210  + (Comments: Question to May 13, 2004 Internal NMC Memo from Charles Tomes to Mark Huting)