ML090410533: Difference between revisions
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| issue date = 02/17/2009 | | issue date = 02/17/2009 | ||
| title = Annual FOCI Certification Notice | | title = Annual FOCI Certification Notice | ||
| author name = Silvious A | | author name = Silvious A | ||
| author affiliation = NRC/NSIR/DSO/ISB | | author affiliation = NRC/NSIR/DSO/ISB | ||
| addressee name = Ridenoure R | | addressee name = Ridenoure R | ||
| addressee affiliation = Southern California Edison Co | | addressee affiliation = Southern California Edison Co | ||
| docket = 05000206, 05000361, 05000362 | | docket = 05000206, 05000361, 05000362 | ||
| license number = | | license number = | ||
| contact person = Everly J | | contact person = Everly J NSIR/DSO/ISB 301-415-7048 | ||
| document type = Letter | | document type = Letter | ||
| page count = 3 | | page count = 3 | ||
| Line 21: | Line 21: | ||
==Dear Mr. Ridenoure:== | ==Dear Mr. Ridenoure:== | ||
In accordance with national policy, all companies that want to retain a favorable Foreign Ownership, Control or Influence (FOCI) determination are required to certify annually the following information: | In accordance with national policy, all companies that want to retain a favorable Foreign Ownership, Control or Influence (FOCI) determination are required to certify annually the following information: | ||
: 1. No significant changes have occurred in the extent and nature of FOCI that would affect answers to the questions provided in the organization's Certificate Pertaining to Foreign | : 1. No significant changes have occurred in the extent and nature of FOCI that would affect answers to the questions provided in the organization's Certificate Pertaining to Foreign | ||
Interest; | Interest; | ||
: 2. No changes have occurred in the organization's ownership; and | : 2. No changes have occurred in the organization's ownership; and | ||
: 3. No changes have occurred in the organization's officers, directors, and executive personnel. | : 3. No changes have occurred in the organization's officers, directors, and executive personnel. | ||
Our records indicate that San Onofre Nuclear Generating Station's annual certification is due. The same certification is also required for any tier parents associated with your company. To assist you in this effort, enclosed is an Annual Certification form that must be signed and dated | Our records indicate that San Onofre Nuclear Generating Station's annual certification is due. The same certification is also required for any tier parents associated with your company. To assist you in this effort, enclosed is an Annual Certification form that must be signed and dated | ||
| Line 41: | Line 41: | ||
==Enclosures:== | ==Enclosures:== | ||
: 1. Annual Certification Form | : 1. Annual Certification Form | ||
: 2. OODEPs Form | : 2. OODEPs Form | ||
Revision as of 02:32, 12 July 2019
| ML090410533 | |
| Person / Time | |
|---|---|
| Site: | San Onofre |
| Issue date: | 02/17/2009 |
| From: | Silvious A NRC/NSIR/DSO/ISB |
| To: | Ridenoure R Southern California Edison Co |
| Everly J NSIR/DSO/ISB 301-415-7048 | |
| References | |
| Download: ML090410533 (3) | |
Text
February 17, 2009
Mr. Ross T. Ridenoure Senior Vice President and Chief Nuclear Officer Southern California Edison Company San Onofre Nuclear Generating Station P.O. Box 128 San Clemente, CA 92674-0128
Dear Mr. Ridenoure:
In accordance with national policy, all companies that want to retain a favorable Foreign Ownership, Control or Influence (FOCI) determination are required to certify annually the following information:
- 1. No significant changes have occurred in the extent and nature of FOCI that would affect answers to the questions provided in the organization's Certificate Pertaining to Foreign
Interest;
- 2. No changes have occurred in the organization's ownership; and
- 3. No changes have occurred in the organization's officers, directors, and executive personnel.
Our records indicate that San Onofre Nuclear Generating Station's annual certification is due. The same certification is also required for any tier parents associated with your company. To assist you in this effort, enclosed is an Annual Certification form that must be signed and dated
by an authorized official identified on your Owners, Officers, Directors, and Executive Personnel (OODEPs) list.
If your company has undergone any of the changes listed above, please identify those changes to me in writing along with documentation that supports the changes. In addition, please include
an explanation as to why these changes were not reported at the time they occurred. It should also be noted that a Facility Security Officer (FSO) must be designated and included on your company's OODEPs list. If you have not previously included your FSO on your OODEPs list, please do so and submit a new OODEPs list to me as well. A blank OODEPs form is provided for your use if needed. Please respond to this request within 30 days from the date of this letter.
R. T. Ridenoure
If you have any questions, please contact J. Keith Everly of my staff at 301-415-7048.
Sincerely, /RA/ A. Lynn Silvious, Chief Information Security Branch Division of Security Operations Office of Nuclear Security and Incident Response
Enclosures:
- 1. Annual Certification Form
- 2. OODEPs Form
cc w/o encls.: P. J. Jackson, DOE/ORO
ML090410533 OFFICE ISB/DSO/NSIR ISB/DSO/NSIR C: ISB/DSO/NSIR NAME ASteen JKEverly ALSilvious DATE 2/17/09 2/17/09 2/17/09