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| number = ML003739563
| number = ML003739563
| issue date = 09/30/1975
| issue date = 09/30/1975
| title = 1975/09/30-Regulatory Guide 8.10, Revision 1-R, Operating Philosophy for Maintaining Occupational Radiation Exposures as Low as Is Reasonably Achievable
| title = R, Operating Philosophy for Maintaining Occupational Radiation Exposures as Low as Is Reasonably Achievable
| author name =  
| author name =  
| author affiliation = NRC/RES
| author affiliation = NRC/RES
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{{#Wiki_filter:Revision 1-R U.S. NUCLEAR REGULATORY COMMISSION                                                                               September 1975 REGULATORY GUIDE OFFICE OF STANDARDS DEVELOPMENT                                                                               (This page reissued May 1977)
{{#Wiki_filter:U.S. NUCLEAR REGULATORY COMMISSION Revision 1-R September 1975 REGULATORY GUIDE OFFICE OF STANDARDS DEVELOPMENT (This page reissued May 1977)
REGULATORY GUIDE 8.10 OPERATING PHILOSOPHY FOR MAINTAINING OCCUPATIONAL RADIATION EXPOSURES AS LOW AS IS REASONABLY ACHIEVABLE A. INTRODUCTION                                                             In addition to maintaining doses to individuals as far below the limits as is reasonably achievable, the sum of Paragraph 20.1(c) of 10 CFR Part 20, "Standards                                           the doses received by all exposed individuals should also for Protection Against Radiation," states, in part, that be maintained at the lowest practicable level. It would licensees should make every reasonable effort to main-not be desirable, for example, to hold the highest doses tain radiation exposures as far below the limits specified to individuals to some fraction of the applicable limit if in that part as practicable. This guide describes to this involved exposing additional people and signifi-licensees a general operating philosophy acceptable to cantly increasing the sum of radiation doses received by the NRC staff as a necessary basis for a program of all involved individuals.
REGULATORY GUIDE 8.10 OPERATING PHILOSOPHY FOR MAINTAINING OCCUPATIONAL RADIATION EXPOSURES AS LOW AS IS REASONABLY ACHIEVABLE A. INTRODUCTION Paragraph 20.1(c) of 10 CFR Part 20, "Standards for Protection Against Radiation," states, in part, that licensees should make every reasonable effort to main-tain radiation exposures as far below the limits specified in that part as practicable. This guide describes to licensees a general operating philosophy acceptable to the NRC staff as a necessary basis for a program of maintaining occupational exposures to radiation as low as is reasonably achievable.
maintaining occupational exposures to radiation as low as is reasonably achievable.
Both this guide and Regulatory Guide 8.8, "Infor-mation Relevant to Maintaining Occupational Radiation Exposure as Low as is Reasonably Achievable (Nuclear Power Reactors)," deal with the concept of "as low as is reasonably achievable" occupational exposures to radia-tion. The main difference between the two guides, aside from the fact that Regulatory Guide 8.8 applies only to nuclear power reactors and this guide applies to all specific licensees, is that Regulatory Guide 8.8 is addressed to applicants for a license and tells them what information relevant to "as low as is reasonably achiev-able" should be included in their license applications.
C. REGULATORY POSITION Both this guide and Regulatory Guide 8.8, "Infor-Two basic conditions are considered necessary in mation Relevant to Maintaining Occupational Radiation any program for keeping occupational exposures as far Exposure as Low as is Reasonably Achievable (Nuclear                                             below the specified limits as is reasonably achievable.
This guide, on the other hand, describes an operating philosophy that the NRC staff believes all specific licensees should follow to keep occupational exposures.
Power Reactors)," deal with the concept of "as low as is                                         The management of the licensed facility should be reasonably achievable" occupational exposures to radia-                                         committed to maintaining exposures as low as is tion. The main difference between the two guides, aside                                         reasonably achievable, and the personnel responsible for from the fact that Regulatory Guide 8.8 applies only to                                         radiation protection should be continually vigilant for nuclear power reactors and this guide applies to all                                             means to reduce exposures.
to radiation as low as is reasonably achievable.
specific licensees, is that Regulatory Guide 8.8 is addressed to applicants for a license and tells them what                                       1. Management Commitment information relevant to "as low as is reasonably achiev-able" should be included in their license applications.
B. DISCUSSION Even though current occupational exposure limits provide a very low risk of injury, it is prudent to avoid unnecessary exposure to radiation. The objective is thus to reduce occupational exposures as far below the specified limits as is reasonably achievable by means of good radiation protection planning and practice, as well as by management commitment to policies that foster vigilance against departures from good practice.
The commitment made by licensee management to This guide, on the other hand, describes an operating                                           minimize exposures should provide clearly defined radia-philosophy that the NRC staff believes all specific                                             tion protection responsibilities and an environment in licensees should follow to keep occupational exposures.                                         which the radiation protection staff can do its job to radiation as low as is reasonably achievable.                                               properly. There are several aspects to this commitment:
In addition to maintaining doses to individuals as far below the limits as is reasonably achievable, the sum of the doses received by all exposed individuals should also be maintained at the lowest practicable level. It would not be desirable, for example, to hold the highest doses to individuals to some fraction of the applicable limit if this involved exposing additional people and signifi-cantly increasing the sum of radiation doses received by all involved individuals.
: a. Plant personnel should be made aware of B. DISCUSSION                                                    management's commitment to keep occupational ex-posures as low as is reasonably achievable. The commit-Even though current occupational exposure limits                                          ment should appear in policy statements, instructions to provide a very low risk of injury, it is prudent to avoid                                        personnel, and similar documents. As a minimum, unnecessary exposure to radiation. The objective is thus workers should be sufficiently familiar with this commit-to reduce occupational exposures as far below the ment that they can explain what the management specified limits as is reasonably achievable by means of commitment is, what "as low as is reasonably achievable good radiation protection planning and practice, as well exposure to radiation" means, why it is recommended, as by management commitment to policies that foster vigilance against departures from good practice.                                                and how they have been advised to implement it on their jobs.
C. REGULATORY POSITION Two basic conditions are considered necessary in any program for keeping occupational exposures as far below the specified limits as is reasonably achievable.
USNRC REGULATORY GUIDES                                                 Comments should be sent to the Secretary of the Commission US.
The management of the licensed facility should be committed to maintaining exposures as low as is reasonably achievable, and the personnel responsible for radiation protection should be continually vigilant for means to reduce exposures.
Regulatory Guides are issued to describe and make                                            lasory Commission, Warshington. D.C. 20555, Attention: Docketing     Nuclear Regu-available to the public methods                                                                               and Service acceptable to the NRC staff of Implementing specific parts                                   Branch.
: 1. Management Commitment The commitment made by licensee management to minimize exposures should provide clearly defined radia-tion protection responsibilities and an environment in which the radiation protection staff can do its job properly. There are several aspects to this commitment:
of the Commissaon-s regulations, to delineate techniques used by the staff in evaluating specific problems     The guides are issued in the following ten broad divisions or postulated accidents or to provide guidance to applicants. Regulatory are not substitutes for regulations, and compliance with them                       Guides is not required. 1. Power Reactors Methods and solutions different from those set out in the guides                                                                           6. Products able f they provide a basis for the findings requisite to the issuance     will be  accept-  2. Research and Test Reactors or continuance                                                   7. Transportation of a permit or license by the Comniission                                                    3. f uels and Materials Facilities           8. Occupational Health
: a.
: 4. Environmental nd Siting                   9. Antitrust Review Comments and suggestions for improvements in these guides are encouraged at all
Plant personnel should be made aware of management's commitment to keep occupational ex-posures as low as is reasonably achievable. The commit-ment should appear in policy statements, instructions to personnel, and similar documents. As a minimum, workers should be sufficiently familiar with this commit-ment that they can explain what the management commitment is, what "as low as is reasonably achievable exposure to radiation" means, why it is recommended, and how they have been advised to implement it on their jobs.
: 5. Materials and Plant Protection          io. Generel times, and guides will be revisedas appropriate, to accommodate comm nts and to   Requests for single copies of issued guides lwhich may be reproduced) reflect new information or experience However, the staff's consideration                                                                                             or ments received during the initial public comment period for thisguide              of corn. ment on an automatic distribution list for single copies of future guides for place.
USNRC REGULATORY GUIDES Comments should be sent to the Secretary of the Commission US. Nuclear Regu-lasory Commission, Warshington. D.C.
hesresulted    divisions should be made in writing to the US. Nuclear Regulatory         in specific in the determirtation that there is no need for a revision at this time.                                                                                             Commission, Washington, D.C. 20555, Attention: Director, Division of Document Control.
20555, Attention: Docketing and Service Regulatory Guides are issued to describe and make available to the public methods Branch.
acceptable to the NRC staff of Implementing specific parts of the Commissaon-s regulations, to delineate techniques used by the staff in evaluating specific problems The guides are issued in the following ten broad divisions or postulated accidents or to provide guidance to applicants. Regulatory Guides are not substitutes for regulations, and compliance with them is not required.
: 1. Power Reactors
: 6. Products Methods and solutions different from those set out in the guides will be accept-
: 2. Research and Test Reactors
: 7. Transportation able f they provide a basis for the findings requisite to the issuance or continuance
: 3. f uels and Materials Facilities
: 8. Occupational Health of a permit or license by the Comniission
: 4. Environmental nd Siting
: 9. Antitrust Review
: 5. Materials and Plant Protection io. Generel Comments and suggestions for improvements in these guides are encouraged at all times, and guides will be revisedas appropriate, to accommodate comm nts and to Requests for single copies of issued guides lwhich may be reproduced) or for place.
reflect new information or experience However, the staff's consideration of corn.
ment on an automatic distribution list for single copies of future guides in specific ments received during the initial public comment period for thisguide he sresulted divisions should be made in writing to the US. Nuclear Regulatory Commission, in the determirtation that there is no need for a revision at this time.
Washington, D.C.
20555, Attention:
Director, Division of Document Control.


The first page of this guide is being reissued with the words "For Corment" deleted. The staff's consideration of comments received during the initial public comment period has resulted in the determination that there is no need for a revision at this time.
The first page of this guide is being reissued with the words "For Corment" deleted.
It is suggested that you attach this page to the first page of the complete guide. No changes have been made to the text of either this page or the remainder of the guide.
The staff's consideration of comments received during the initial public comment period has resulted in the determination that there is no need for a revision at this time.
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It is suggested that you attach this page to the first page of the complete guide.
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U.S NUCLEAR REGULATORY COMMISSION                                                                                                                   Revision 1 September 1975 REGULATORY GUIDE OFFICE OF STANDARDS DEVELOPMENT REGULATORY GUIDE 8.10 OPERATING PHILOSOPHY FOR MAINTAINING OCCUPATIONAL RADIATION EXPOSURES AS LOW AS IS REASONABLY ACHIEVABLE A. INTRODUCTION                                                   In addition to maintaining doses to individuals as far below the limits as is reasonably achievable, the sum of Paragraph 20.1(c) of 10 CFR Part 20, "Standards                             the doses received by all exposed individuals should also for Protection Against Radiation," states, in part, that                           be maintained at the lowest practicable level. It would licensees should make every reasonable effort to main-                             not be desirable, for example, to hold the highest doses tain radiation exposures as far below the limits specified                         to individuals to some fraction of the applicable limit if in that part as practicable. This guide describes to                               this involved exposing additional people and signifi-licensees a general operating philosophy acceptable to                             cantly increasing the sum of radiation doses received by the NRC staff as a necessary basis for a program of                                 all involved individuals.
U.S NUCLEAR REGULATORY COMMISSION REGULATORY GUIDE Revision 1 September 1975 OFFICE OF STANDARDS DEVELOPMENT REGULATORY GUIDE 8.10 OPERATING PHILOSOPHY FOR MAINTAINING OCCUPATIONAL RADIATION EXPOSURES AS LOW AS IS REASONABLY ACHIEVABLE A. INTRODUCTION Paragraph 20.1(c) of 10 CFR Part 20, "Standards for Protection Against Radiation," states, in part, that licensees should make every reasonable effort to main-tain radiation exposures as far below the limits specified in that part as practicable. This guide describes to licensees a general operating philosophy acceptable to the NRC staff as a necessary basis for a program of maintaining occupational exposures to radiation as low as is reasonably achievable.
maintaining occupational exposures to radiation as low as is reasonably achievable.                                                                           C. REGULATORY POSITION Both this guide and Regulatory Guide 8.8, "Infor-                                 Two basic conditions are considered necessary in mation Relevant to Maintaining Occupational Radiation                               any program for keeping occupational exposures as far Exposure as Low as is Reasonably Achievable (Nuclear                               below the specified limits as is reasonably achievable.
Both this guide and Regulatory Guide 8.8, "Infor-mation Relevant to Maintaining Occupational Radiation Exposure as Low as is Reasonably Achievable (Nuclear Power Reactors)," deal with the concept of "as low as is reasonably achievable" occupational exposures to radia-tion. The main difference between the two guides, aside from the fact that Regulatory Guide 8.8 applies only to nuclear power reactors and this guide applies to all specific licensees, is that Regulatory Guide 8.8 is addressed to applicants for a license and tells them what information relevant to "as low as is reasonably achiev-able" should be included in their license applications.
Power Reactors)," deal with the concept of "as low as is                           The management of the licensed facility should be reasonably achievable" occupational exposures to radia-                             committed to maintaining exposures as low as is tion. The main difference between the two guides, aside                             reasonably achievable, and the personnel responsible for from the fact that Regulatory Guide 8.8 applies only to                             radiation protection should be continually vigilant for nuclear power reactors and this guide applies to all                                 means to reduce exposures.
This guide, on the other hand, describes an operating philosophy that the NRC staff believes all specific licensees should follow to keep occupational exposures to radiation as low as is reasonably achievable.
specific licensees, is that Regulatory Guide 8.8 is addressed to applicants for a license and tells them what                           1. Management Commitment information relevant to "as low as is reasonably achiev-able" should be included in their license applications.                                     The commitment made by licensee management to This guide, on the other hand, describes an operating                               minimize exposures should provide clearly defined radia-philosophy that the NRC staff believes all specific                                 tion protection responsibilities and an environment in licensees should follow to keep occupational exposures                               which the radiation protection staff can do its job to radiation as low as is reasonably achievable.                                   properly. There are several aspects to this commitment:
B. DISCUSSION Even though current occupational exposure limits provide a very low risk of injury, it is prudent to avoid unnecessary exposure to radiation. The objective is thus to reduce occupational exposures as far below the specified limits as is reasonably achievable by means of good radiation protection planning and practice, as well as by management commitment to policies that foster vigilance against departures from good practice.
: a. Plant personnel should be made aware of B. DISCUSSION                                          management's commitment to keep occupational ex-posures as low as is reasonably achievable. The commit-Even though current occupational exposure limits                            ment should appear in policy statements, instructions to provide a very low risk of injury, it is prudent to avoid                            personnel, and similar documents. As a minimum, unnecessary exposure to radiation. The objective is thus                            workers should be sufficiently familiar with this commit-to reduce occupational exposures as far below the                                   ment that they can explain what the management specified limits as is reasonably achievable by means of                           commitment is, what "as low as is reasonably achievable good radiation protection planning and practice, as well                            exposure to radiation" means, why it is recommended, as by management commitment to policies that foster                                and how they have been advised to implement it on their vigilance against departures from good practice.                                    jobs.
In addition to maintaining doses to individuals as far below the limits as is reasonably achievable, the sum of the doses received by all exposed individuals should also be maintained at the lowest practicable level. It would not be desirable, for example, to hold the highest doses to individuals to some fraction of the applicable limit if this involved exposing additional people and signifi-cantly increasing the sum of radiation doses received by all involved individuals.
USNRC REGULATORY GUIDES                                      Com      .entsshould be sent to the Secretary of the Commission  US  Nuclear Regulatory Giides a'e issued to dssc,,be and nake avadfable to the publc          Regulatory Comnission. Washington.          C 2066. Attention  Dockeaing  and methods acieplable to the NRC staff of Implementing specitic parts of the          Svice Secton Conmission , regulations to delineate techniqoes used by the slata n evelu          The guides are issued in the following ton broad diisions at.nq specific problems o' postulated accidents. or to provide guidance to appT.
C. REGULATORY POSITION Two basic conditions are considered necessary in any program for keeping occupational exposures as far below the specified limits as is reasonably achievable.
cents Regulatory Gu-des are not Substitutes to, regulations. and compliance        1 Po-e, Reactots                      6 Products with them s not required Methods and solutions different from those set out in      2 Research and Test Reactors          7. Transportation the guides wll be acceptable If then provide a besis for the findings requisite to  3 Fuels and Materials Facilities      S. Occupational Health the issuance o' tonti-- ice of a permit or license by the Commission                4 Enytronmental and Siting            9 Antitrust Review Comments aiid                  to Improvements In thes- guides ate encouraged fuggestions                                          5 Materials and Plant Protection      10 Generat at all times and guides mill be revised as appropriate to accommodate con, mentv and to ilect      nen informaton o' eoperrence However, comments on            Copies of published guides mov be obtained by written equest indiating the th is guide i reieiced wthin about tw0o months after -Is issuance will be par      divisions desired to the U S. Nuclear Regulftorn Commission. Washington. D C X, ulaly isef aiul eoaloarui  the need lo, X -ifrln-sion                            20656. Attention Director. Office of Standards Oevefopment
The management of the licensed facility should be committed to maintaining exposures as low as is reasonably achievable, and the personnel responsible for radiation protection should be continually vigilant for means to reduce exposures.
: b. Management should periodically perform a for.                demonstrate that improvements have been tough:, that mal audit to determine how exposures might be lowered.                modifications have been considered, and that they have This should include reviews of operating procedures and               been implemented where practicable. Where modifica-past exposure records, plant inspections, and consulta-              tions have been considered but not implemented, the tions with the radiation protection staff or outside                  licensee should be prepared to describe the reasons for consultants. As a minimum, management should be able                  not implementing them to discuss which operating procedures were reviewed, in which locations most exposures are being received, what groups of workers are receiving the highest exposures,                2. Vigilance by the RSO and the Radiation Protection what discussions they have had with the radiation                          Staff protection staff or outside consultants, and what steps they have taken to reduce exposures.                                      It should be the responsibility of the RSO and the radiation protection staff to conduct surveillance pro-
: 1. Management Commitment The commitment made by licensee management to minimize exposures should provide clearly defined radia-tion protection responsibilities and an environment in which the radiation protection staff can do its job properly. There are several aspects to this commitment:
*
: a.
: c. The management should ensure that there is a                 grams and investigations to ensure that occupational well-supervised radiation protection capability with                  exposures are as far below the specified limits as is well-defined responsibilities. The qualifications for the            reasonably achievable. Additionally, they should be Radiation Protection Manager for a nuclear power                      vigilant in searching out new and better ways to perform reactor facility are presented in Regulatory Guides 1.8              all radiation jobs with less exposure. There are several and 8.8. Applicants submitting applications for any                  aspects to this responsibility.
Plant personnel should be made aware of management's commitment to keep occupational ex-posures as low as is reasonably achievable. The commit-ment should appear in policy statements, instructions to personnel, and similar documents. As a minimum, workers should be sufficiently familiar with this commit-ment that they can explain what the management commitment is, what "as low as is reasonably achievable exposure to radiation" means, why it is recommended, and how they have been advised to implement it on their jobs.
specific license other than a nuclear power reactor license should select and state the qualifications for the                a. The RSO and the radiation protection staff lead individual who will be responsible for implementing              should know the origins of radiation exposures in the the radiation protection program for the facility, i.e., the          plant. They should know these by location, operation, Radiation Safety Officer (RSO)." The qualifications                 and job category and should be aware of trends in selected should be commensurate with the potential                    exposures. Where radiation work permits are used, problems anticipated to be encountered in a facility of              exposures received should be recorded on the permits.
USNRC REGULATORY GUIDES Com
the type subject to the license.                                      The RSO and the radiation protection staff should be able to describe which locations, operations, and jobs are
.ents should be sent to the Secretary of the Commission U S Nuclear Regulatory Giides a'e issued to dssc,,be and nake avadfable to the publc Regulatory Comnission. Washington.
: d. The management should see that plant workers                associated with the highest exposures and why exposures receive sufficient training. Section 19.12 of 10 CFR Part             are increasing or decreasing.
C 2066.
19 requires instruction of personnel on radiation protec-tion. The radiation worker should understand how                           b. The RSO and the radiation protection staff radiation protection relates to his job and should be                 should look for ways to reduce exposures. When unusual tested on this understanding at least once per year. He               exposures have occurred, the radiation protection staff should have frequent opportunities to discuss radiation               should direct and participate in an investigation of the safety with the radiation protection staff whenever the               circumstances of such exposures to determine the causes need arises. Management should be committed to a                     and take steps to reduce the likelihood of similar future review of radiation protection at least once every three             occurrences. For each such occurrence, the RSO should years. Training should be sufficient to ensure that the             be able to demonstrate that such an investigation has workers can correctly answer questions on radiation                 been carried out, that conclusions were reached as a protection as it relates to their jobs.                               result of the investigation, and that corrective action was taken, as appropriate.
Attention Dockeaing and methods acieplable to the NRC staff of Implementing specitic parts of the Svice Secton Conmission, regulations to delineate techniqoes used by the slata n evelu The guides are issued in the following ton broad diisions at.nq specific problems o' postulated accidents. or to provide guidance to appT.
: e. The RSO should be given sufficient authority to enforce safe plant operation. The RSO should have                             The RSO and the radiation protection staff the authority to prevent unsafe practices and to com-               should periodically review operating procedures that municate promptly with an appropriate level of manage-               may affect radiation safety and survey plant operations ment about halting an operation he deems unsafe.                      to identify situations in which exposures can be reduced.
cents Regulatory Gu-des are not Substitutes to, regulations. and compliance 1 Po-e, Reactots 6 Products with them s not required Methods and solutions different from those set out in 2 Research and Test Reactors
Operating procedures related to radiation safety should              Indicated changes should be promptly implemented.
: 7. Transportation the guides wll be acceptable If then provide a besis for the findings requisite to 3 Fuels and Materials Facilities S. Occupational Health the issuance o' tonti-- ice of a permit or license by the Commission 4 Enytronmental and Siting 9 Antitrust Review Comments aiid fuggestions to Improvements In thes-guides ate encouraged 5 Materials and Plant Protection 10 Generat at all times and guides mill be revised as appropriate to accommodate con, mentv and to ilect nen informaton o' eoperrence However, comments on Copies of published guides mov be obtained by written equest indiating the th is guide i reieiced wthin about tw0o months after -Is issuance will be par divisions desired to the U S. Nuclear Regulftorn Commission. Washington. D C X, ulaly isef aiul eoaloarui the need lo, X
be reviewed and approved by radiation protection                     Procedures for receiving and evaluating suggestions personnel. This authority should be demonstrable by                   relating to radiation protection from employees should written policy Statements.                                            be established. Workers should be knowledgeable of the procedures for making suggestions on radiation protec-
-ifrln-sion 20656. Attention Director. Office of Standards Oevefopment
: f. Modifications to operating and maintenance                  tion.
: b. Management should periodically perform a for.
procedures and to plant equipment and facilities should be made where they will substantially reduce exposures                      c. Adequate equipment and supplies for radiation at a reasonable cost. The management should be able to              protection work should be provided. The RSO should be responsible for ensuring that proper equipment and I*Lines indicate substantive changes from previous issue.              supplies are available, are maintained in good working I  The term "Radiation Safety Officer" is used by many licensees;      order, and are used properly. Written procedures for the other terms are equally acceptable.                                use of the equipment should be available and followed.
mal audit to determine how exposures might be lowered.
This should include reviews of operating procedures and past exposure records, plant inspections, and consulta-tions with the radiation protection staff or outside consultants. As a minimum, management should be able to discuss which operating procedures were reviewed, in which locations most exposures are being received, what groups of workers are receiving the highest exposures, what discussions they have had with the radiation protection staff or outside consultants, and what steps they have taken to reduce exposures.
: c. The management should ensure that there is a well-supervised radiation protection capability with well-defined responsibilities. The qualifications for the Radiation Protection Manager for a nuclear power reactor facility are presented in Regulatory Guides 1.8 and 8.8. Applicants submitting applications for any specific license other than a nuclear power reactor license should select and state the qualifications for the lead individual who will be responsible for implementing the radiation protection program for the facility, i.e., the Radiation Safety Officer (RSO)." The qualifications selected should be commensurate with the potential problems anticipated to be encountered in a facility of the type subject to the license.
: d. The management should see that plant workers receive sufficient training. Section 19.12 of 10 CFR Part 19 requires instruction of personnel on radiation protec-tion. The radiation worker should understand how radiation protection relates to his job and should be tested on this understanding at least once per year. He should have frequent opportunities to discuss radiation safety with the radiation protection staff whenever the need arises. Management should be committed to a review of radiation protection at least once every three years. Training should be sufficient to ensure that the workers can correctly answer questions on radiation protection as it relates to their jobs.
: e.
The RSO should be given sufficient authority to enforce safe plant operation. The RSO should have the authority to prevent unsafe practices and to com-municate promptly with an appropriate level of manage-ment about halting an operation he deems unsafe.
Operating procedures related to radiation safety should be reviewed and approved by radiation protection personnel. This authority should be demonstrable by written policy Statements.
: f.
Modifications to operating and maintenance procedures and to plant equipment and facilities should be made where they will substantially reduce exposures at a reasonable cost. The management should be able to I *Lines indicate substantive changes from previous issue.
I The term "Radiation Safety Officer" is used by many licensees; other terms are equally acceptable.
demonstrate that improvements have been tough:, that modifications have been considered, and that they have been implemented where practicable. Where modifica-tions have been considered but not implemented, the licensee should be prepared to describe the reasons for not implementing them
: 2. Vigilance by the RSO and the Radiation Protection Staff It should be the responsibility of the RSO and the radiation protection staff to conduct surveillance pro-grams and investigations to ensure that occupational exposures are as far below the specified limits as is reasonably achievable. Additionally, they should be vigilant in searching out new and better ways to perform all radiation jobs with less exposure. There are several aspects to this responsibility.
: a. The RSO and the radiation protection staff should know the origins of radiation exposures in the plant. They should know these by location, operation, and job category and should be aware of trends in exposures. Where radiation work permits are used, exposures received should be recorded on the permits.
The RSO and the radiation protection staff should be able to describe which locations, operations, and jobs are associated with the highest exposures and why exposures are increasing or decreasing.
: b. The RSO and the radiation protection staff should look for ways to reduce exposures. When unusual exposures have occurred, the radiation protection staff should direct and participate in an investigation of the circumstances of such exposures to determine the causes and take steps to reduce the likelihood of similar future occurrences. For each such occurrence, the RSO should be able to demonstrate that such an investigation has been carried out, that conclusions were reached as a result of the investigation, and that corrective action was taken, as appropriate.
The RSO and the radiation protection staff should periodically review operating procedures that may affect radiation safety and survey plant operations to identify situations in which exposures can be reduced.
Indicated changes should be promptly implemented.
Procedures for receiving and evaluating suggestions relating to radiation protection from employees should be established. Workers should be knowledgeable of the procedures for making suggestions on radiation protec-tion.
: c. Adequate equipment and supplies for radiation protection work should be provided. The RSO should be responsible for ensuring that proper equipment and supplies are available, are maintained in good working order, and are used properly. Written procedures for the use of the equipment should be available and followed.
8.10-2
8.10-2


D. IMPLEMENTATION                           with the specified portions of the Commission's regula-tions, the methods described herein will be used in the The purpose of this section is to provide informa-      evaluation of submittals in connection with appLications tion to appicants and licensees regarding the NRC staffs      for a specific license.
D. IMPLEMENTATION The purpose of this section is to provide informa-tion to appicants and licensees regarding the NRC staffs plans for utilizing this regulatory guide.
plans for utilizing this regulatory guide.
Except in those cases in which the applicant or licensee proposes an alternative method for complying with the specified portions of the Commission's regula-tions, the methods described herein will be used in the evaluation of submittals in connection with appLications for a specific license.
Regulatory Guides I . and 8.8 address nuclear power reactor facilities specifically and will be used by Except in those cases in which the applicant or          the NRC staff in evaluating submittals in connection licensee proposes an alternative method for complying        with licensing actions for nuclear power reactors.
Regulatory Guides I.
and 8.8 address nuclear power reactor facilities specifically and will be used by the NRC staff in evaluating submittals in connection with licensing actions for nuclear power reactors.
8.10-3}}
8.10-3}}

Latest revision as of 02:09, 17 January 2025

R, Operating Philosophy for Maintaining Occupational Radiation Exposures as Low as Is Reasonably Achievable
ML003739563
Person / Time
Issue date: 09/30/1975
From:
Office of Nuclear Regulatory Research
To:
References
Reg Guide 8.10, Rev 1-R
Download: ML003739563 (5)


Text

U.S. NUCLEAR REGULATORY COMMISSION Revision 1-R September 1975 REGULATORY GUIDE OFFICE OF STANDARDS DEVELOPMENT (This page reissued May 1977)

REGULATORY GUIDE 8.10 OPERATING PHILOSOPHY FOR MAINTAINING OCCUPATIONAL RADIATION EXPOSURES AS LOW AS IS REASONABLY ACHIEVABLE A. INTRODUCTION Paragraph 20.1(c) of 10 CFR Part 20, "Standards for Protection Against Radiation," states, in part, that licensees should make every reasonable effort to main-tain radiation exposures as far below the limits specified in that part as practicable. This guide describes to licensees a general operating philosophy acceptable to the NRC staff as a necessary basis for a program of maintaining occupational exposures to radiation as low as is reasonably achievable.

Both this guide and Regulatory Guide 8.8, "Infor-mation Relevant to Maintaining Occupational Radiation Exposure as Low as is Reasonably Achievable (Nuclear Power Reactors)," deal with the concept of "as low as is reasonably achievable" occupational exposures to radia-tion. The main difference between the two guides, aside from the fact that Regulatory Guide 8.8 applies only to nuclear power reactors and this guide applies to all specific licensees, is that Regulatory Guide 8.8 is addressed to applicants for a license and tells them what information relevant to "as low as is reasonably achiev-able" should be included in their license applications.

This guide, on the other hand, describes an operating philosophy that the NRC staff believes all specific licensees should follow to keep occupational exposures.

to radiation as low as is reasonably achievable.

B. DISCUSSION Even though current occupational exposure limits provide a very low risk of injury, it is prudent to avoid unnecessary exposure to radiation. The objective is thus to reduce occupational exposures as far below the specified limits as is reasonably achievable by means of good radiation protection planning and practice, as well as by management commitment to policies that foster vigilance against departures from good practice.

In addition to maintaining doses to individuals as far below the limits as is reasonably achievable, the sum of the doses received by all exposed individuals should also be maintained at the lowest practicable level. It would not be desirable, for example, to hold the highest doses to individuals to some fraction of the applicable limit if this involved exposing additional people and signifi-cantly increasing the sum of radiation doses received by all involved individuals.

C. REGULATORY POSITION Two basic conditions are considered necessary in any program for keeping occupational exposures as far below the specified limits as is reasonably achievable.

The management of the licensed facility should be committed to maintaining exposures as low as is reasonably achievable, and the personnel responsible for radiation protection should be continually vigilant for means to reduce exposures.

1. Management Commitment The commitment made by licensee management to minimize exposures should provide clearly defined radia-tion protection responsibilities and an environment in which the radiation protection staff can do its job properly. There are several aspects to this commitment:
a.

Plant personnel should be made aware of management's commitment to keep occupational ex-posures as low as is reasonably achievable. The commit-ment should appear in policy statements, instructions to personnel, and similar documents. As a minimum, workers should be sufficiently familiar with this commit-ment that they can explain what the management commitment is, what "as low as is reasonably achievable exposure to radiation" means, why it is recommended, and how they have been advised to implement it on their jobs.

USNRC REGULATORY GUIDES Comments should be sent to the Secretary of the Commission US. Nuclear Regu-lasory Commission, Warshington. D.C.

20555, Attention: Docketing and Service Regulatory Guides are issued to describe and make available to the public methods Branch.

acceptable to the NRC staff of Implementing specific parts of the Commissaon-s regulations, to delineate techniques used by the staff in evaluating specific problems The guides are issued in the following ten broad divisions or postulated accidents or to provide guidance to applicants. Regulatory Guides are not substitutes for regulations, and compliance with them is not required.

1. Power Reactors
6. Products Methods and solutions different from those set out in the guides will be accept-
2. Research and Test Reactors
7. Transportation able f they provide a basis for the findings requisite to the issuance or continuance
3. f uels and Materials Facilities
8. Occupational Health of a permit or license by the Comniission
4. Environmental nd Siting
9. Antitrust Review
5. Materials and Plant Protection io. Generel Comments and suggestions for improvements in these guides are encouraged at all times, and guides will be revisedas appropriate, to accommodate comm nts and to Requests for single copies of issued guides lwhich may be reproduced) or for place.

reflect new information or experience However, the staff's consideration of corn.

ment on an automatic distribution list for single copies of future guides in specific ments received during the initial public comment period for thisguide he sresulted divisions should be made in writing to the US. Nuclear Regulatory Commission, in the determirtation that there is no need for a revision at this time.

Washington, D.C.

20555, Attention:

Director, Division of Document Control.

The first page of this guide is being reissued with the words "For Corment" deleted.

The staff's consideration of comments received during the initial public comment period has resulted in the determination that there is no need for a revision at this time.

It is suggested that you attach this page to the first page of the complete guide.

No changes have been made to the text of either this page or the remainder of the guide.

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40

U.S NUCLEAR REGULATORY COMMISSION REGULATORY GUIDE Revision 1 September 1975 OFFICE OF STANDARDS DEVELOPMENT REGULATORY GUIDE 8.10 OPERATING PHILOSOPHY FOR MAINTAINING OCCUPATIONAL RADIATION EXPOSURES AS LOW AS IS REASONABLY ACHIEVABLE A. INTRODUCTION Paragraph 20.1(c) of 10 CFR Part 20, "Standards for Protection Against Radiation," states, in part, that licensees should make every reasonable effort to main-tain radiation exposures as far below the limits specified in that part as practicable. This guide describes to licensees a general operating philosophy acceptable to the NRC staff as a necessary basis for a program of maintaining occupational exposures to radiation as low as is reasonably achievable.

Both this guide and Regulatory Guide 8.8, "Infor-mation Relevant to Maintaining Occupational Radiation Exposure as Low as is Reasonably Achievable (Nuclear Power Reactors)," deal with the concept of "as low as is reasonably achievable" occupational exposures to radia-tion. The main difference between the two guides, aside from the fact that Regulatory Guide 8.8 applies only to nuclear power reactors and this guide applies to all specific licensees, is that Regulatory Guide 8.8 is addressed to applicants for a license and tells them what information relevant to "as low as is reasonably achiev-able" should be included in their license applications.

This guide, on the other hand, describes an operating philosophy that the NRC staff believes all specific licensees should follow to keep occupational exposures to radiation as low as is reasonably achievable.

B. DISCUSSION Even though current occupational exposure limits provide a very low risk of injury, it is prudent to avoid unnecessary exposure to radiation. The objective is thus to reduce occupational exposures as far below the specified limits as is reasonably achievable by means of good radiation protection planning and practice, as well as by management commitment to policies that foster vigilance against departures from good practice.

In addition to maintaining doses to individuals as far below the limits as is reasonably achievable, the sum of the doses received by all exposed individuals should also be maintained at the lowest practicable level. It would not be desirable, for example, to hold the highest doses to individuals to some fraction of the applicable limit if this involved exposing additional people and signifi-cantly increasing the sum of radiation doses received by all involved individuals.

C. REGULATORY POSITION Two basic conditions are considered necessary in any program for keeping occupational exposures as far below the specified limits as is reasonably achievable.

The management of the licensed facility should be committed to maintaining exposures as low as is reasonably achievable, and the personnel responsible for radiation protection should be continually vigilant for means to reduce exposures.

1. Management Commitment The commitment made by licensee management to minimize exposures should provide clearly defined radia-tion protection responsibilities and an environment in which the radiation protection staff can do its job properly. There are several aspects to this commitment:
a.

Plant personnel should be made aware of management's commitment to keep occupational ex-posures as low as is reasonably achievable. The commit-ment should appear in policy statements, instructions to personnel, and similar documents. As a minimum, workers should be sufficiently familiar with this commit-ment that they can explain what the management commitment is, what "as low as is reasonably achievable exposure to radiation" means, why it is recommended, and how they have been advised to implement it on their jobs.

USNRC REGULATORY GUIDES Com

.ents should be sent to the Secretary of the Commission U S Nuclear Regulatory Giides a'e issued to dssc,,be and nake avadfable to the publc Regulatory Comnission. Washington.

C 2066.

Attention Dockeaing and methods acieplable to the NRC staff of Implementing specitic parts of the Svice Secton Conmission, regulations to delineate techniqoes used by the slata n evelu The guides are issued in the following ton broad diisions at.nq specific problems o' postulated accidents. or to provide guidance to appT.

cents Regulatory Gu-des are not Substitutes to, regulations. and compliance 1 Po-e, Reactots 6 Products with them s not required Methods and solutions different from those set out in 2 Research and Test Reactors

7. Transportation the guides wll be acceptable If then provide a besis for the findings requisite to 3 Fuels and Materials Facilities S. Occupational Health the issuance o' tonti-- ice of a permit or license by the Commission 4 Enytronmental and Siting 9 Antitrust Review Comments aiid fuggestions to Improvements In thes-guides ate encouraged 5 Materials and Plant Protection 10 Generat at all times and guides mill be revised as appropriate to accommodate con, mentv and to ilect nen informaton o' eoperrence However, comments on Copies of published guides mov be obtained by written equest indiating the th is guide i reieiced wthin about tw0o months after -Is issuance will be par divisions desired to the U S. Nuclear Regulftorn Commission. Washington. D C X, ulaly isef aiul eoaloarui the need lo, X

-ifrln-sion 20656. Attention Director. Office of Standards Oevefopment

b. Management should periodically perform a for.

mal audit to determine how exposures might be lowered.

This should include reviews of operating procedures and past exposure records, plant inspections, and consulta-tions with the radiation protection staff or outside consultants. As a minimum, management should be able to discuss which operating procedures were reviewed, in which locations most exposures are being received, what groups of workers are receiving the highest exposures, what discussions they have had with the radiation protection staff or outside consultants, and what steps they have taken to reduce exposures.

c. The management should ensure that there is a well-supervised radiation protection capability with well-defined responsibilities. The qualifications for the Radiation Protection Manager for a nuclear power reactor facility are presented in Regulatory Guides 1.8 and 8.8. Applicants submitting applications for any specific license other than a nuclear power reactor license should select and state the qualifications for the lead individual who will be responsible for implementing the radiation protection program for the facility, i.e., the Radiation Safety Officer (RSO)." The qualifications selected should be commensurate with the potential problems anticipated to be encountered in a facility of the type subject to the license.
d. The management should see that plant workers receive sufficient training. Section 19.12 of 10 CFR Part 19 requires instruction of personnel on radiation protec-tion. The radiation worker should understand how radiation protection relates to his job and should be tested on this understanding at least once per year. He should have frequent opportunities to discuss radiation safety with the radiation protection staff whenever the need arises. Management should be committed to a review of radiation protection at least once every three years. Training should be sufficient to ensure that the workers can correctly answer questions on radiation protection as it relates to their jobs.
e.

The RSO should be given sufficient authority to enforce safe plant operation. The RSO should have the authority to prevent unsafe practices and to com-municate promptly with an appropriate level of manage-ment about halting an operation he deems unsafe.

Operating procedures related to radiation safety should be reviewed and approved by radiation protection personnel. This authority should be demonstrable by written policy Statements.

f.

Modifications to operating and maintenance procedures and to plant equipment and facilities should be made where they will substantially reduce exposures at a reasonable cost. The management should be able to I *Lines indicate substantive changes from previous issue.

I The term "Radiation Safety Officer" is used by many licensees; other terms are equally acceptable.

demonstrate that improvements have been tough:, that modifications have been considered, and that they have been implemented where practicable. Where modifica-tions have been considered but not implemented, the licensee should be prepared to describe the reasons for not implementing them

2. Vigilance by the RSO and the Radiation Protection Staff It should be the responsibility of the RSO and the radiation protection staff to conduct surveillance pro-grams and investigations to ensure that occupational exposures are as far below the specified limits as is reasonably achievable. Additionally, they should be vigilant in searching out new and better ways to perform all radiation jobs with less exposure. There are several aspects to this responsibility.
a. The RSO and the radiation protection staff should know the origins of radiation exposures in the plant. They should know these by location, operation, and job category and should be aware of trends in exposures. Where radiation work permits are used, exposures received should be recorded on the permits.

The RSO and the radiation protection staff should be able to describe which locations, operations, and jobs are associated with the highest exposures and why exposures are increasing or decreasing.

b. The RSO and the radiation protection staff should look for ways to reduce exposures. When unusual exposures have occurred, the radiation protection staff should direct and participate in an investigation of the circumstances of such exposures to determine the causes and take steps to reduce the likelihood of similar future occurrences. For each such occurrence, the RSO should be able to demonstrate that such an investigation has been carried out, that conclusions were reached as a result of the investigation, and that corrective action was taken, as appropriate.

The RSO and the radiation protection staff should periodically review operating procedures that may affect radiation safety and survey plant operations to identify situations in which exposures can be reduced.

Indicated changes should be promptly implemented.

Procedures for receiving and evaluating suggestions relating to radiation protection from employees should be established. Workers should be knowledgeable of the procedures for making suggestions on radiation protec-tion.

c. Adequate equipment and supplies for radiation protection work should be provided. The RSO should be responsible for ensuring that proper equipment and supplies are available, are maintained in good working order, and are used properly. Written procedures for the use of the equipment should be available and followed.

8.10-2

D. IMPLEMENTATION The purpose of this section is to provide informa-tion to appicants and licensees regarding the NRC staffs plans for utilizing this regulatory guide.

Except in those cases in which the applicant or licensee proposes an alternative method for complying with the specified portions of the Commission's regula-tions, the methods described herein will be used in the evaluation of submittals in connection with appLications for a specific license.

Regulatory Guides I.

and 8.8 address nuclear power reactor facilities specifically and will be used by the NRC staff in evaluating submittals in connection with licensing actions for nuclear power reactors.

8.10-3