ML23151A576: Difference between revisions
StriderTol (talk | contribs) (StriderTol Bot insert) |
StriderTol (talk | contribs) (StriderTol Bot change) |
||
| Line 16: | Line 16: | ||
=Text= | =Text= | ||
{{#Wiki_filter:ADAMS Template: SECY-067 DOCUMENT DATE: | {{#Wiki_filter:ADAMS Template: SECY-067 | ||
DOCUMENT DATE: 09/15/1998 | |||
TITLE: PRM-036-001 - 63FR49298 -AMERICAN STANDARDS INSTITUTE N43.10 COMMITTEE; RECEIPT OF PETITION FOR RULEMAKING | |||
CASE | |||
==REFERENCE:== | ==REFERENCE:== | ||
PRM-036-001 63FR49298 KEYWORD: | PRM-036-001 | ||
63FR49298 | |||
KEYWORD: RULEMAKING COMMENTS | |||
Document Sensitivity: Non-sensitive - SUNSI Review Complete DOCKET NO. PRM-036-001 (63FR49298) | |||
In the Matter of AMERICAN STANDARDS INSTITUTE N43.10 COMMITTEE; RECEIPT OF PETITION FOR RULEMAKING | |||
DATE DATE OF TITLE OR DOCKETED DOCUMENT DESCRIP1ION OF DOCUMENT | |||
06/25198 03/24/98 LTR FM ERIC BEERS, CO-CHAIR, ANSI N43.10, ET AL. TMTG PETITION FOR RULEMAKING | |||
TMTG PETITION FOR RULEMAKING | |||
09/08/98 09/08/98 FEDERAL REGISTER NOTICE - RECEIPT OF PETITION FOR RULEMAKING 01/19/99 01/07/99 COMMENT OF OHIO DEPARTMENT OF HEALTH (ROBERT E. OWEN) ( 1), | |||
~ | f~~: D~aJ..,. 1 P.e:tit:t,.., t ~~ | ||
C ~ | |||
~ ~*-3"'--0I ~~,~~~* [7590-01-P] | |||
( (p3 Ft?.. 11 'J- '1 g ) | ( (p3 Ft?.. 11 'J- '1 g ) | ||
NUCLEAR REGULATORY COMMISSION 10 CFR Part 36 | NUCLEAR REGULATORY COMMISSION | ||
10 CFR Part 36 | |||
[Docket No. PRM-36-01] | [Docket No. PRM-36-01] | ||
American National Standards Institute N43.10 C,ommittee; Denial of Petition for Rulemaklng DOCKETED USNRC AGENCY: U.S. Nuclear Regulatory Commission. | |||
August 15, 2006 (3:37pm) | American National Standards Institute N43.10 C,ommittee; Denial of Petition for Rulemaklng DOCKETED USNRC AGENCY: U.S. Nuclear Regulatory Commission. August 15, 2006 (3:37pm) | ||
OFFICE OF SECRETARY RULEMAKINGS AND ACTION: Denial of petition for rulemaking. | |||
OFFICE OF SECRETARY RULEMAKINGS AND ACTION: Denial of petition for rulemaking. ADJUDICATIONS STAFF | |||
==SUMMARY== | ==SUMMARY== | ||
: The U.S. l>Juclear Regulatory Commission (NRG) is denying a petition for | : The U.S. l>Juclear Regulatory Commission (NRG) is denying a petition for | ||
* rulemaklng (PRM-36-01) submitted by the American National Standards Institute N43.1 O Committee. The petitioner requested that the NRG amend its regulations to provide relief from the requirements to have an opera{or present onslte whenever an irradiator is operated using an automatic product conveyor system and whenever product is moved into or out of the radiation room when an irradiator is operated in a batch mode. In addition, the petitioner requested relief from the requirement to have a person who has received training, described in the regulations, on how to respond to alarms onsite at a panoramic irradiator where static irradiations (no mov~ment of the product) are occurring. | * rulemaklng (PRM-36-01) submitted by the American National Standards Institute N43.1 O | ||
I ADDRESSES: Copies of the petition for rulemaking, the public comments received, and NRC's letter to the petitioner may be examined at NRC Public Document Room, Public File Area Room 01 F21, 11555 Rockville Pike, Rockville, MD. These documents also may be viewed and downloaded electronically via the rulemaking website. | |||
Committee. The petitioner requested that the NRG amend its regulations to provide relief from | |||
the requirements to have an opera{or present onslte whenever an irradiator is operated using | |||
an automatic product conveyor system and whenever product is moved into or out of the | |||
radiation room when an irradiator is operated in a batch mode. In addition, the petitioner | |||
requested relief from the requirement to have a person who has received training, described in | |||
the regulations, on how to respond to alarms onsite at a panoramic irradiator where static | |||
irradiations (no mov~ment of the product) are occurring. | |||
I | |||
ADDRESSES: Copies of the petition for rulemaking, the public comments received, and NRC's | |||
letter to the petitioner may be examined at NRC Public Document Room, Public File Area Room | |||
01 F21, 11555 Rockville Pike, Rockville, MD. These documents also may be viewed and | |||
downloaded electronically via the rulemaking website. | |||
The NRC n:,aintains an Agencywide Document Access and Management System (ADAMS), which provides text and Image flies of NRC's public documents. These documents may be' accessed through NRC's Public Electronic Reading Room on the Internet at "' | |||
http://www.nrc.gov/reading-rm/adams.html. If you do not have access to ADAMS, or if there | |||
are problems in accessing the documents located in ADAMS, contact the NRC's Public | |||
Document Room Reference staff at 1-800-397-4209, 301-415-4737, or by e-mail to: | |||
pdr@nrc.gov. | pdr@nrc.gov. | ||
FOR FURTHER INFORMATION CONTACT: Thomas Young, Office of Nuclear Material Safety j | |||
and Safeguards, U.S. Nuclear Regulatory Commission, Washington, DC 20555-0001, telephone: (301) 415-5795, e-mail: tfy@nrc.gov. | FOR FURTHER INFORMATION CONTACT: Thomas Young, Office of Nuclear Material Safety | ||
j and Safeguards, U.S. Nuclear Regulatory Commission, Washington, DC 20555-0001, | |||
telephone: (301) 415-5795, e-mail: tfy@nrc.gov. | |||
SUPPLEMENTARY INFORMATION: | SUPPLEMENTARY INFORMATION: | ||
The Petition On September 15, 1998 (63 FR 49298), the NRC published a notice of receipt of a petition for rulemaking filed by the American National Standards Institute N43.10 Committee. | |||
The petitioner requested that NRC amend 10 CFR 36.65(a) and (bf These regulations require that:' | The Petition | ||
(a) Both an irradiator operator and at least one other individual, who Is trained on how to respond and prepared to promptly render *or summon assistance if the access control alarm | |||
On September 15, 1998 (63 FR 49298), the NRC published a notice of receipt of a | |||
petition for rulemaking filed by the American National Standards Institute N43.10 Committee. | |||
The petitioner requested that NRC amend 10 CFR 36.65(a) and (bf These regulations require | |||
that:' | |||
(a) Both an irradiator operator and at least one other individual, who Is trained on how to | |||
respond and prepared to promptly render *or summon assistance if the access control alarm | |||
/' | |||
sounds, shall be present onslte: | sounds, shall be present onslte: | ||
(1) Whenever the irradiator is operated using an automatic product conveyor system; and (2) Whenever the product is moved into or out of the radiation room when the irradiator is operated in a batch mode. | 2 (1) Whenever the irradiator is operated using an automatic product conveyor system; | ||
(b) At a panoramic lrradlator at which static Irradiations (no movement of the product) are occurring, a person who has received the training on how to respond to alarms described in | |||
and | |||
(2) Whenever the product is moved into or out of the radiation room when the irradiator | |||
is operated in a batch mode. | |||
(b) At a panoramic lrradlator at which static Irradiations (no movement of the product) | |||
are occurring, a person who has received the training on how to respond to alarms described in | |||
§36.51 (g) must be onsite. | |||
The petitioner suggested revisions to require that: | The petitioner suggested revisions to require that: | ||
(1) The operator and at least one other trained individual would be present onsite | |||
conditions, although the probability of having two remote Incidents (irradiator and communication systems) occurring at one time is highly improbable for the unattended operation of a panoramic irradiator. In addition, the commenter suggested that an onsite security guard or other non-operator personnel could be trained to summon assistance as required without needing the operator. The comments were considered in the development of the NRC's decision on this petition. | whenever it is necessary lo enter the radiation room; | ||
Reasons for Denial The NRC is denying the petition for the following two reasons: | |||
: 1. In February 1993, the NRC amended its regulations to add 10 CFR Part 36, "Licenses and Radiation Safety Requirements for lrradiators," to specify radiation safety requirements and licensing requirements for the use of licensed radioactive materials in lrradlators. After the rule became effective, the NRG received numerous licensee event reports that described failures or non-functions of source mechanisms and related systems that needed intervention by personnel who had received training described in the regulations on how to | (2} An individual trained to respond to alarms would be available and prepared to | ||
- respond to alarms. The information reported to the NRG from 1990 to 2006 about events at irradiator facilities indicates no reduction in the number of events or the nature of events. The NRG determined that the data on events do not support the petitioner's request or indicate that the requirements should be revised. Rather, the NRC continues to believe that there is a need for individuals to be onsite to evaluate and respond to such emergencies, as well as to ensure dayNto-day radiation safety. | |||
: 2. The NRG does not believe that reliance on an automated communication system to notify a remote human operator via an electronic mechanism provides the same level of safety as currently provided by an onsite operator and/or a second individual who is trained to respond 5 | promptly attend to alarms, emergencies, or abnormal event conditions at any time the irradiator | ||
is operating; | |||
(3) If the individual ls not onsite, automatic means of communication would be provided | |||
from the irradiator. control system to the individual and the irradiator control system would be | |||
- secured from unauthorized access and the console key would be secured from removal from | |||
the control console when the individual is not onsite; (4) Inspection and maintenance for operability of the automatic communication system | |||
be completed; and | |||
(5) A definition be provided in 10 CFR 36.2 for the term, "onsite." | |||
Currently a licensee is required to maintain adequate coverage on all shifts of a | |||
continuously operating panoramic irradiator facility. However, the petitioner believes that based | |||
on domestic and international operating experience with panoramic irradiators, there is no | |||
significant benefit to safety from having the operator and an additional trained individual onsite | |||
3 as opposed to an individual being available to respond promptly from an offsite location. The | |||
petitioner believes the current cost for a licensee to employ individuals for continuous operation | |||
of the facility has a substantial impact on the expense associated with conducting business. | |||
The petitioner believes that revising the requirements as suggested above would result in cost | |||
containment without a reduction in safety. | |||
The petitioner believes that recent improvements in communications technology support | |||
the design of automated alert systems to provide offsite warning to an individual who could then | |||
respond through technologies such as pagers, cell and land-line telephones, remote process | |||
control monitoring, etc. The petitioner believes that remote response to alarms could require | |||
only slightly longer response time than if the responder were onslte. | |||
In its supporting information, the petitioner recognizes that during emergencies and | |||
abnormal events, human intervention is required to evaluate the situation and determine | |||
whether actions need to be taken and what specific action is required. The petitioner believes | |||
this evaluation can take place remotely, between the irradiator and an individual offsite. The | |||
petitioner also supports its position by stating that European irradiators of similar design and | |||
characteristics to those In the United States have had no Incidents that can be traced to the 4t practice of unattended operations. | |||
Public Comments on the Petition | |||
The notice of receipt of petition for rulemaking invited interested persons to submit | |||
comments. The NRC received one comment letter from the Manager of Technical Services, | |||
State of Ohio's Bureau of Radiation ProteQtion. The commenter was generally in favor of | |||
granting the petition. However, the commenter noted that the problem with remote | |||
communication systems is that they are likely to fail or become overloaded under extreme | |||
4 conditions, although the probability of having two remote Incidents (irradiator and | |||
communication systems) occurring at one time is highly improbable for the unattended | |||
operation of a panoramic irradiator. In addition, the commenter suggested that an onsite | |||
security guard or other non-operator personnel could be trained to summon assistance as | |||
required without needing the operator. The comments were considered in the development of | |||
the NRC's decision on this petition. | |||
Reasons for Denial | |||
The NRC is denying the petition for the following two reasons: | |||
: 1. In February 1993, the NRC amended its regulations to add 10 CFR Part 36, | |||
"Licenses and Radiation Safety Requirements for lrradiators," to specify radiation safety | |||
requirements and licensing requirements for the use of licensed radioactive materials in | |||
lrradlators. After the rule became effective, the NRG received numerous licensee event reports | |||
that described failures or non-functions of source mechanisms and related systems that needed | |||
intervention by personnel who had received training described in the regulations on how to | |||
- respond to alarms. The information reported to the NRG from 1990 to 2006 about events at | |||
irradiator facilities indicates no reduction in the number of events or the nature of events. The | |||
NRG determined that the data on events do not support the petitioner's request or indicate that | |||
the requirements should be revised. Rather, the NRC continues to believe that there is a need | |||
for individuals to be onsite to evaluate and respond to such emergencies, as well as to ensure | |||
dayNto-day radiation safety. | |||
: 2. The NRG does not believe that reliance on an automated communication system to | |||
notify a remote human operator via an electronic mechanism provides the same level of safety | |||
as currently provided by an onsite operator and/or a second individual who is trained to respond | |||
5 to irradiator alarms. This issue was previously raised in comments on the proposed rule for | |||
10 CFR Part 36. The Statements of Consideration (SOC) for the final rule (58 FR 7715; | |||
February 9, 1993) state that. for 10 CFR 36.65, "a considerable number of comments objected | |||
to the proposed requirements as excessive." A commenter ~uggested that an irradiator with an | |||
automatic conveyor system should be able to operate with only an operator present and an | |||
automatic telephone dialing device for responding to alarms. Another commenter suggested | |||
that the irradiator should be able to operate unattended but with an automatic telephone dialing | |||
device. The SOC state that the NRC did not accept either suggestion because the NRC | |||
) | |||
4I believed that automatic conveyer systems-have enough malfunctions to require that an operator | |||
be present at the site. In addition, the NRC believed that the operator should have some | |||
backup In case of problems. | |||
The petitioner has not provided a sufficient basis from which to conclude that thls*NRC | |||
judgement is no longer correct. Specifically, no new information has been provided by the * : | |||
petitioner that would warrant revising the existing regulations. The existing ' NRC regulations | |||
provide the basis for reasonable assurance that the common defense and security and public | |||
health and safety are adequately protected. | |||
For the reasons cited in this document, the NRC denies this petition. | For the reasons cited in this document, the NRC denies this petition. | ||
Dated at Rockville, Maryland, this | |||
Dated at Rockville, Maryland, this I{ day of /4,ds T, 2006. | |||
For the Nuclear Regulatory Commission. | For the Nuclear Regulatory Commission. | ||
i | i | ||
* Reyes, E | * Reyes, E cutive Director or Operations. | ||
6 | 6 | ||
(!) | |||
OHIO DEPARTMENT OF HEALTH DOC 'ETfD | |||
246 N. HIGH STREET GEORGE V. VOINOVICH U~r~RC Post Office Box 118 Governor Columbus, Ohio 43266-0118 WILLIAM RYAN Telephone (614) 466-3543 Director of Health *99 JAN 19 P 3 :40 | |||
o*.: 1, DOCKET NUMBER AD J r;L __ I | |||
January 7, 199 9 PETITIO RULE PRM _gte,-J f ftJ3FR 'I 'I :298') | |||
Secretary U.S. Nuclear Regulatory Commission Washington, D.C. 20555 | |||
ATTENTION: Rulemakings and Adjudications Staff | |||
Attached are our comments on the petition for rulemaking filed by the American National Standards Institute N43.10 Committee, requesting that the NRC amend its radiation safety requirements for irradiators to allow the operation of panoramic irradiator facilities without continuous onsite attendance. The petition was docketed as PRM-36-1 on June 25, 1998. | |||
Though comments on the above were due on November 30, 1998, I respectfully request that these comments be considered relative to revising 10 CFR 36. | Though comments on the above were due on November 30, 1998, I respectfully request that these comments be considered relative to revising 10 CFR 36. | ||
* Rb rt E. | * Rb rt E. we n Manager of Technical Services Bureau of Radiation Protection | ||
HEA 6413 (Rev. 5/97) | cf: Roger Suppes, Chief, Bureau of Radiation Protection Marcia Howard, Administrator, Nuclear Material Safety Program Carol Ray, Legal Counsel Library Document File | ||
~OWfecfged by cad JU 2 t THI | |||
I ae,,. -~.J: | |||
HEA 6413 (Rev. 5/97) A n Equa l Opportunity Emp loyer/Provider | |||
lJ.S. NUCLEAR REGULATORY COMMIStiluN RULEMAKINGS & OFFICE OFM SECRETARY ADJUDICATIONS STAFF | |||
OF THE ~ION Document Slatllb Postmelk Data, /t ;i I c; ct CoplesRecelwad / | |||
Add'IC( | Add'IC(iplaeA8pRJduced_ i __ _ | ||
7~ | |||
7~~'7<11)5 Comments on Part 36 proposed rule change published in vol 63 Federal Register 49298, Sept 15, 1998 | |||
The petitioners response was well supported in defending the lack of incidents at panoramic irradiators during unattended operation. | |||
Adding the of a definition of "onsite" is needed in §36.2 "Definitions" to clarify the terminology. | Adding the of a definition of "onsite" is needed in §36.2 "Definitions" to clarify the terminology. | ||
Adding the inspection and testing of applicable automatic communications systems under | Adding the inspection and testing of applicable automatic communications systems under | ||
§36.61(a)(l 7) as applicable is good and appropriate. | |||
The current requirements of §36.65(b) for attendance refers to §36.51 (g) which requires training of individuals responding to alarms. Of the sections covered under §36.Sl(g), as pertaining to panoramic irradiator, allow the responder to render or summon assistance. As such, an onsite security guard or other non-operator personnel could be trained to summon assistance as required without needing the operator or RSO onsite. | The current requirements of §36.65(b) for attendance refers to §36.51 (g) which requires training of individuals responding to alarms. Of the sections covered under §36.Sl(g), as pertaining to panoramic irradiator, allow the responder to render or summon assistance. As such, an onsite security guard or other non-operator personnel could be trained to summon assistance as required without needing the operator or RSO onsite. | ||
The heart of the petitioners request is the usage of automatic communication systems instead of a person to notify responders who will render assistance or corrective actions. The problem with remote communication systems is that they are likely to fail or become overloaded under extreme conditions. (A recent example was the misalignment of a satellite that severely disrupted phone and pager services in May 98.) | |||
The heart of the petitioners request is the usage of automatic communication systems instead of a | |||
* person to notify responders who will render assistance or corrective actions. The problem with remote communication systems is that they are likely to fail or become overloaded under extreme conditions. (A recent example was the misalignment of a satellite that severely disrupted phone and pager services in May 98.) | |||
The probability of having two remote incidents (irradiator and communication systems) occurring at one time is highly improbable for the unattended operation of a panoramic irradiator. The requirements established in Part 36 for maintenance and inspection, as well as emergency procedures already cover issues that would be brought up for consideration under "what if" situations during unattended operations. | The probability of having two remote incidents (irradiator and communication systems) occurring at one time is highly improbable for the unattended operation of a panoramic irradiator. The requirements established in Part 36 for maintenance and inspection, as well as emergency procedures already cover issues that would be brought up for consideration under "what if" situations during unattended operations. | ||
The petitioners request is acceptable. | |||
I:., | I:., | ||
Lt. ~ | Lt. ~A ttlfi 3'7- / | ||
((p3F~ 'l'l:i9B) | ((p3F~ 'l'l:i9B) [7590-01-P] | ||
NUCLEAR REGULATORY COMMISSION 10 CFR Part 36 | |||
[Docket No. | NUCLEAR REGULATORY COMMISSION | ||
American National Standards Institute N43.10 Committee; Receipt of Petition for Rulemaking AGENCY: Nuclear Regulatory Commission . | |||
* | 10 CFR Part 36 | ||
[Docket No. PR M-36-1] | |||
American National Standards Institute N43.10 Committee ; | |||
Receipt of Petition for Rulemaking | |||
AGENCY: Nuclear Regulatory Commission. | |||
* ACT IO N: Petition for rulemaking; Notice of receipt. | |||
==SUMMARY== | ==SUMMARY== | ||
: The Nuclear Regulatory Commission (NRC) has received and requests public comment on a petition for rulemaking filed by the American National Standards Institute N43.1 O Committee. The petition was docketed as PRM-36-1 on June 25, 1998. The petitioner requests that the NRC amend its radiation safety requirements for irradiators to allow the operation of panoramic irradiator facilities without continuous onsite attendance. | : The Nuclear Regulatory Commission (NRC) has received and requests public | ||
Comments received after this date will be considered if it is practical to do so, but assurance of consideration cannot be given except as to comments received on or before this date. | comment on a petition for rulemaking filed by the American National Standards Institute N43.1 O | ||
ADDRESSES: Submit comments to: Secretary, U.S. Nuclear Regulatory Commission, Washington, DC 20555. Attention: Rulemakings and Adjudications Staff. | |||
Deliver comments to 11555 Rockville Pike, Rockville, Maryland, between 7:30 am and 4:15 pm on Federal workdays. | Committee. The petition was docketed as PRM-36-1 on June 25, 1998. The petitioner | ||
requests that the NRC amend its radiation safety requirements for irradiators to allow the | |||
operation of panoramic irradiator facilities without continuous onsite attendance. | |||
~ 301 I '/ '/ 8' DATE: Submit comments by (15 days followi,,g pt1blieatio" i" ti,e 1-edefal Register). | |||
Comments received after this date will be considered if it is practical to do so, but assurance of | |||
consideration cannot be given except as to comments received on or before this date. | |||
ADDRESSES: Submit comments to: Secretary, U.S. Nuclear Regulatory Commission, | |||
Washington, DC 20555. Attention: Rulemakings and Adjudications Staff. | |||
Deliver comments to 11555 Rockville Pike, Rockville, Maryland, between 7:30 am and | |||
4:15 pm on Federal workdays. | |||
?J. b'Y\\ t:t/t6/tt8 J" l,3Fte4'1 :J'l'i 2 | |||
For a copy of the petition, write: David L. Meyer, Office of Administration, U.S. Nuclear | |||
Regulatory Commission, Washington, DC 20555-0001. | |||
You may also provide comments via the NRC's interactive rulemaking website through, | |||
the home page (http://www.nrc.gov). This site provides the availability to upload comments as | |||
the home page (http://www.nrc.gov). This site provides the availability to upload comments as files (any format), if your web browser supports the function. For information about the interactive rulemaking website, contact Carol Gallagher, 301-415-5905 (e-mail: CAG@nrc.gov). | files (any format), if your web browser supports the function. For information about the | ||
FOR FURTHER INFORMATION CONTACT: David L. Meyer, Office of Administration, U.S, Nuclear Regulatory Commission, Washington DC 20555-0001. Telephone: 301-415-7162 or Toll Free: 800-368-5642 or e-mail: DLM1@nrc.gov. | |||
interactive rulemaking website, contact Carol Gallagher, 301-415-5905 (e-mail: CAG@nrc.gov). | |||
FOR FURTHER INFORMATION CONTACT: David L. Meyer, Office of Administration, U.S, | |||
Nuclear Regulatory Commission, Washington DC 20555-0001. Telephone: 301-415-7162 or | |||
Toll Free: 800-368-5642 or e-mail: DLM1@nrc.gov. | |||
SUPPLEMENT ARY INFORMATION: | |||
===Background=== | ===Background=== | ||
The NRC's current regulations at 10 CFR 36.65 (a) and (b) describe how an irradiator must be attended during operation. The regulations specify that: | The NRC's current regulations at 10 CFR 36.65 (a) and (b) describe how an irradiator | ||
(1) Whenever the lrradiator is operated using an automatic product conveyor system; and | must be attended during operation. The regulations specify that: | ||
{2) Whenever the product is moved Into or out of the radiation room when the irradiator is operated in a batch mode. | |||
(b) At a panoramic irradiator at which static irradiations (no movement of the product) are occurring, a person who has received the training on how to respond to alarms described in | (a) Both an irradiator operator and at least one other individual, who is trained on how to | ||
* respond and prepared to promptly render or summon assistance if the access control alarm | |||
sounds, shall be present onsite: | |||
(1) Whenever the lrradiator is operated using an automatic product conveyor system; | |||
and | |||
{2) Whenever the product is moved Into or out of the radiation room when the irradiator | |||
is operated in a batch mode. | |||
(b) At a panoramic irradiator at which static irradiations (no movement of the product) | |||
are occurring, a person who has received the training on how to respond to alarms described in | |||
§35.51 (g) must be onsite. | |||
3 | |||
The petitioner states that at the time this regulation was published (February 9, 1993; | |||
58 FR 7715), the Intent was to ensure that appropriately trained personnel were available to | |||
provide prompt response to emergencies or abnormal event conditions that could occur during | |||
the operation of a panoramic irradiator. The petitioner further states that based on case | |||
histories of accidents at panoramic irradiators and on the potential for automatic conveyor | |||
systems to maJfunction, the regulation was designed to ensure that Individuals responding to an | |||
abnormal event be physically located at the irradiator site to render assistance promptly. | |||
The Suggested Revisions | |||
1 O CFR 36.65 (a) and (b) | |||
(a) Both an irradiator operator and at least one other individual, who is trained on how to | |||
(a) Both an irradiator operator and at least one other individual, who is trained on how to respond to alarms as described in §36.51.{g) and prepared to promptly render or summon assistance, shall be present onsite whenever it is nece~ry to enter the radiation room. | respond to alarms as described in §36.51.{g) and prepared to promptly render or summon | ||
(b) At least one individual who has received the training on how to respond to alarms described in §36.51 (g) must be available and prepared to promptly respond to alarms, | |||
assistance, shall be present onsite whenever it is nece~ry to enter the radiation room. | |||
(b) At least one individual who has received the training on how to respond to alarms | |||
described in §36.51 (g) must be available and prepared to promptly respond to alarms, | |||
* emergencies, or abnormal event conditions at any time a panoramic irradiator is operating. | * emergencies, or abnormal event conditions at any time a panoramic irradiator is operating. | ||
4 | If the individual is not onsite, | ||
10 CFR 36.2 "Definitions" Onsite means within the building housing the irradiator or on property controlled by the licensee that is contiguous with the building housing the irradiator. | |||
Grounds for Request The petitioner states that the current requirements dictate that personnel be employed to maintain adequate coverage on all shifts of a continuously operating panoramic irradiator facility. However, according to the petitioner, based on both domestic and international operational experience with these large irradiators, there Is no significant benefit to safety from having an indMdual onsite as opposed to being available to respond promptly from an offsite location. | (1) Automatic means of communications must be provided from the irradlator control | ||
In addition, the petitioner states that the number of personnel required to operate and safely manage an irradiator has a substantial impact on the expense associated with conducting business, that personnel expenses in salary, benefits, insurance, training, and affiliated costs must eventually be passed on to customers. The petitioner offers that employing a minimal number of employees without compromising safety provides an opportunity to optimize cost containment without eroding the facility's financial ability to maintain operations. | |||
system to alert the individual to alarms, emergencies, or abnormal event conditions. As a | |||
minimum, the automatic communication system must alert the individual to those emergency or | |||
abnormal events listed in §36.53(b); | |||
(2) The irradiator control system must be secured from unauthorized access at any time | |||
an irradiator operator is not onsite. This security must include physically securing the key | |||
described in §36.31 (a) from being removed from the control console. | |||
0 4 | |||
1 O CFR 36.61 (a) "Inspection and Maintenance" | |||
(17) Operability of automatic communications systems used to alert individuals to | |||
alarms, emergencies, or abnormal event conditions if required by §36.65(b)(1 ). | |||
10 CFR 36.2 "Definitions" | |||
Onsite means within the building housing the irradiator or on property controlled by the | |||
licensee that is contiguous with the building housing the irradiator. | |||
Grounds for Request | |||
The petitioner states that the current requirements dictate that personnel be employed | |||
to maintain adequate coverage on all shifts of a continuously operating panoramic irradiator | |||
facility. However, according to the petitioner, based on both domestic and international | |||
operational experience with these large irradiators, there Is no significant benefit to safety from | |||
having an indMdual onsite as opposed to being available to respond promptly from an offsite | |||
location. | |||
In addition, the petitioner states that the number of personnel required to operate and | |||
safely manage an irradiator has a substantial impact on the expense associated with | |||
conducting business, that personnel expenses in salary, benefits, insurance, training, and | |||
affiliated costs must eventually be passed on to customers. The petitioner offers that | |||
employing a minimal number of employees without compromising safety provides an | |||
opportunity to optimize cost containment without eroding the facility's financial ability to maintain | |||
operations. | |||
5 | |||
Supporting lnfonnatlon | |||
The petitioner states that panoramic gamma lrradlators are designed to require minimal | |||
or no operator Intervention with the system to continue routine operations f<?llowing start-up. | |||
The petitioner notes that although the current regulations require the operator and other | |||
Individuals to be onsite during routine product processing, their involvement with the irradiator | |||
controls or safety systems is minimal while the product is being irradiated during nonnal | |||
operations. The petitioner asserts that human intervention is required only during *emergencies | |||
or abnonnal events. Controlling the response to emergencies and abnonnal events, such as | |||
those listed in 10 CFR 36.53(b) according to the petitioner, requires intervention by the operator | |||
* or other appropriately trained personnel to evaluate the situation and detennine whether actions | |||
need to be taken and what specific action would be required*. The petitioner believes that the | |||
need to have indMduals physically present onsite during operation is governed by the potential | |||
need to respond to emergencies and abnonnal events. | |||
The petitioner states that at the time Part 36 was published, the best method for alerting | The petitioner states that at the time Part 36 was published, the best method for alerting | ||
6 offsite individual, according to the petitioner, is located so as to be available to respond promptly, response to alarms could require only a slightly longer time than If the individual were onsite. | indMduals to emergency or abnonnal event conditions was considered to be audible and visible | ||
The petitioner notes that the irradiator operator makes the first response in the event of an emergency or abnormal event Under the conditions of the current regulations, the implicit assumption is that, during evening or night shifts when the facility management or the Radiation Safety Officer (RSO) are not assumed to be present, the irradiator operator would respond to | * alann systems that would annunciate within_ the facility, and that individuals responsible for | ||
responding to the alarms would be onsite to answer the alanns promptly. However, the | |||
petitioner notes that with recent improvements of communications technology, including | |||
wireless communications, and in continuing improvements in process control technology, | |||
alerting an individual to an abnormal event in an operating system does not have to rely solely | |||
on audible and visible signals within the facility to ensure that the alert is made. The petitioner | |||
offers that automated alert systems can now be easily designed to provide an offsite alert to an | |||
individual available to respond promptly through technologies such as pagers, cellular | |||
telephones, land-line telephones, remote process control monitoring, or other methods. If the 6 | |||
offsite individual, according to the petitioner, is located so as to be available to respond | |||
promptly, response to alarms could require only a slightly longer time than If the individual were | |||
onsite. | |||
The petitioner notes that the irradiator operator makes the first response in the event of | |||
an emergency or abnormal event Under the conditions of the current regulations, the implicit | |||
assumption is that, during evening or night shifts when the facility management or the Radiation | |||
Safety Officer (RSO) are not assumed to be present, the irradiator operator would respond to | |||
the alert and assess the situation. The petitioner states that in typical emergency procedures | |||
* for panoramic lrradiators, one of the first responsibilities of the irradiator operator responding to | |||
an alert, is to notify the RSO of the condition, and to rely on the RSO or facility management to | |||
provide specific Instructions to take In responding to the emergency. Therefore, the initial | |||
response by an irradiator operator onsite during an abnormal event would be to secure the | |||
irradiator against entry and notify the RSO or other responsible party. | |||
The petitioner states that for response to any emergency situation, appropriate actions | |||
* must be taken to prevent individuals from entering the radiation room while the sources are | |||
7 entry into the radiation room, area around pool, or another alarmed area; (9) Natural phenomena, including an earthquake, a tornado, flooding, or phenomena as appropriate for the | unshielded (i,e., to prevent personnel exposures) and to protect the sources from damage. The | ||
petitioner lists the 1 O emergency and abnormal event conditions identified in 1 O CFR 36.53(b) | |||
for which a licensee must implement procedures to address. These are: (1) Sources stuck in | |||
the unshielded position; (2) Personnel overexposures; (3) A radiation alarm from the product | |||
exit portal monitor or pool monitor; (4) Detection of leaking sources, pool contamination, or | |||
alarm caused by contamination of pool water; (5) A low or high water level indicator, and | |||
abnormal water loss, or leakage from the source storage pool; (6) A prolonged loss of electrical | |||
power; (7) A fire alarm or explosion in the radiation room; (8) An alarm indicating UfJBUthorized 7 | |||
entry into the radiation room, area around pool, or another alarmed area; (9) Natural | |||
phenomena, including an earthquake, a tornado, flooding, or phenomena as appropriate for the | |||
( | ( | ||
geographical location of the facility; and {10) The jamming of automatic conveyor systems. | geographical location of the facility; and {10) The jamming of automatic conveyor systems. | ||
8 having the same indMdual offsite, but available to respond promptly. In particular, the petitioner notes that sources stuck in an unshielded position (Item 1 from the 11st), while potentially causing damage to the product being irradiated if it cannot be independently removed from the radiation room, do not present an immediate threat to personnel, provided the access control system operates in accordance with the 10 CFA 36.23 design requirements. | The petitioner states that 1 0 CFR 36, Subpart C specifies the design features of a | ||
panoramic irradiator that address most of the items from the list in tenns of preventing | |||
personnel exposures and damage to the sources during an abnormal event. SpecificaJly, the | |||
petitioner states that access control system as described In 10 CFR 36.23 will prevent | |||
unauthorized entry and protect against personnel exposure {item 2 on the list). In 1 0 CFR | |||
36.39, the conveyor system must automatically be stopped if the exit radiation monitor detects a | |||
source (item 3). Sources must be returned to the shielded position and access controls | |||
maintained during a prolonged loss of electrical power as described in 10 CFR 36.37 (item 6). | |||
A fire protection system designed to meet the requirements of 1 0 CFR 36.27 will cause the | |||
sources to return to the shielded position in the event a fire is detected, thereby protecting the | |||
sources from fire damage (Item 7). Unauthorized entry to the radiation room must, under | |||
* 10 CFR 36.23 {a) cause the sources to return to the shielded position (item 8). If an automatic | |||
conveyor system jams, the source rack protection required by 1 o CFR 3~.35 ensures that some | |||
cause other than interference with the source rack is the cause of the jam, which will aJlow the | |||
sources to be safely 'returned to the shielded position (item 10). | |||
The petitioner contends that In the remaining abnormal event conditions listed in | |||
1 0 CFR 36.53, appropriate response to the conditions would not necessarily be required | |||
Immediately. That ls, responding to the event would entail some evaluation of the conditions | |||
before deciding the proper actions to take. The petitioner believes that having individuals onsite | |||
to respond to these conditions would not present a substantive improvement in safety over 8 | |||
having the same indMdual offsite, but available to respond promptly. In particular, the | |||
petitioner notes that sources stuck in an unshielded position (Item 1 from the 11st), while | |||
potentially causing damage to the product being irradiated if it cannot be independently | |||
removed from the radiation room, do not present an immediate threat to personnel, provided | |||
the access control system operates in accordance with the 10 CFA 36.23 design requirements. | |||
Nor does a stuck source rack, in and of itself, pose a threat to the integrity of the sources. | Nor does a stuck source rack, in and of itself, pose a threat to the integrity of the sources. | ||
9 in product conveyance. The petitioner notes that there have been no Incidents at these irradiators that can be traced to the practice of unattended operations. | Similarly, detection of a leaking source (item 4) would _not require quicker action than could be | ||
NUREG-1345 Review of Events at Large Pool lrradlators The petitioner notes that in reviewing information notices issued to irradiator operators by the NRC over the past several years that none of the events described in the notices occurred during unattended operations. However, the petitioner notes that NUREG-1345, entitled "Review of Events at Large Pool -Type lrradiators," which summarizes 45 events at Category IV irradiators, specifically mentions three events that occurred during unattended operations. They were: | |||
* 1. Failure of Pool Water Purification System at RTI, Rockaway, NJ, September 22, I 1986. | provided by an offsite indMdual, as long as the water circulation system is automatically | ||
: 2. Product Conveyance Jam at Johnson & Johnson, Sydney, Australia, November 13, 1982. | |||
stopped to prevent accumulation of contaminants In the water treatment and filtration system. | |||
Water level alarms (item 5) and natural phenomena (item 9) would not present an immediate | |||
hazard requiring onsite assistance, provided that the radiation room access control system is | |||
operating properly. | |||
Therefore, the petitioner contends that in considering the design requirements for | |||
panoramic irradiators and the potential emergency or abnormal event conditions that are | |||
* addressed in procedures as well as facility design, response by the licensee would not be | |||
substantively impaired if the lndMdual responding to the alarms were not located onsite. The | |||
petitioner states that automated communication system using current technology would provide | |||
adequate protection of personnel and source integrity by alerting an offsite person who is able | |||
to respond promptly. | |||
In considering the potential imp~cts from the proposed rule change, the petitioner cites | |||
that European nations permit unattended operation of irradiators, as requested in this petition. | |||
The petitioner states that these lrradiators have similar or identical design characteristics to | |||
those operating in the United States, In terms of the safety and monitoring systems, as well as 9 | |||
in product conveyance. The petitioner notes that there have been no Incidents at these | |||
irradiators that can be traced to the practice of unattended operations. | |||
NUREG-1345 | |||
Review of Events at Large Pool lrradlators | |||
The petitioner notes that in reviewing information notices issued to irradiator operators | |||
by the NRC over the past several years that none of the events described in the notices | |||
occurred during unattended operations. However, the petitioner notes that NUREG-1345, | |||
entitled "Review of Events at Large Pool -Type lrradiators," which summarizes 45 events at | |||
* Category IV irradiators, specifically mentions three events that occurred during unattended | |||
operations. They were: | |||
* 1. Failure of Pool Water Purification System at RTI, Rockaway, NJ, September 22, | |||
I 1986. | |||
: 2. Product Conveyance Jam at Johnson & Johnson, Sydney, Australia, November 13, | |||
1982. | |||
: 3. Contaminated Water Spill at International Nutronics, Inc., Dover, NJ, December 31, | |||
* 1982. | * 1982. | ||
10 continued loss of pool water could have presented shielding problems Inside the irradiator. In the second event, approximately 15 hours passed between the initiating event (conveyor jam) and the fire, which would have allowed more than adequate time for response and mitigation had the offsite lndMdual been promptly notified. | The petitioner provides a paragraph summarizing how each event occurred. The | ||
The third event that occurred during unattended operations resulted not from the lrradiator operation, but from operation of a pool water clean-up system. Under existing regulations, attendance during this operation would not be specifically required. | |||
Analysis of Events and Lessons Learned The petitioner notes that in the "Analysis of Events and Lessons Learned" section of NUREG-1345, Category IV irradiator events are grouped into several types and that to evaluate whether the proposed regulatory revision is adequate to protect worker and public health and safety, the potential consequences of each type of event under unattended operations as described In this petition must be examined . | petitioner states the situations prompting the first two events (I.e., low water level and product | ||
* The petitioner states that of the event types listed in NUREG-1345, those described as management deficiencies are not directly related to attendance during operations. That is, the presence of individuals onsite during operations would have no relevance to mitigating potential consequences of management deficiencies, except as may be related to system problems with | |||
conveyance system jam) are listed in the abnormal event procedures required under | |||
10 CFR 36.53(b). The petitioner offers that under the proposed revision described In this | |||
petition, both instances would require notification of the offsite indMdual. In the first event, | |||
there were no offsite consequences or threats to worker or public health and safety, although 10 | |||
continued loss of pool water could have presented shielding problems Inside the irradiator. In | |||
the second event, approximately 15 hours passed between the initiating event (conveyor jam) | |||
and the fire, which would have allowed more than adequate time for response and mitigation | |||
had the offsite lndMdual been promptly notified. | |||
The third event that occurred during unattended operations resulted not from the | |||
lrradiator operation, but from operation of a pool water clean-up system. Under existing | |||
regulations, attendance during this operation would not be specifically required. | |||
Analysis of Events and Lessons Learned | |||
The petitioner notes that in the "Analysis of Events and Lessons Learned" section of | |||
NUREG-1345, Category IV irradiator events are grouped into several types and that to evaluate | |||
whether the proposed regulatory revision is adequate to protect worker and public health and | |||
safety, the potential consequences of each type of event under unattended operations as | |||
described In this petition must be examined. | |||
* The petitioner states that of the event types listed in NUREG-1345, those described as | |||
management deficiencies are not directly related to attendance during operations. That is, the | |||
presence of individuals onsite during operations would have no relevance to mitigating potential | |||
consequences of management deficiencies, except as may be related to system problems with | |||
* the irradiator itself. | * the irradiator itself. | ||
11 NUREG-1345, this type of event is subdMded Into: (1) access control systems; (2) source movement and suspension; (3) encapsulation; (4) pool leakage and pool purification system; and (5) miscellaneous systems. The petitioner notes that in considering whether mitigation of these types of events would be compromised by not having the irradiator operator onslte, the most serious potential consequences would be the failure of the access control systems. The petitioner notes that in NUREG-1345, three of the four events involving the access control system resulted from systems that either were not operating properly or were not designed to meet the criteria as currently specified in | The petitioner asserts that events stemming from system problems are the most likely | ||
Unauthorized Access to the lrradiator The petitioner argues that if the irradiator access control system is designed to meet the requirements of | |||
type of event that would have adverse consequences from unattended operations and that ir:, | |||
Other Type of lrradlator Events The petitioner believes that response and mitigation of other type of events described in NUREG-1345 would not be greatly Improved by having an onslte Individual to respond as compared to the indMdual being offslte, but able to respond promptly. For example, source | 11 | ||
NUREG-1345, this type of event is subdMded Into: (1) access control systems; (2) source | |||
movement and suspension; (3) encapsulation; (4) pool leakage and pool purification system; | |||
and (5) miscellaneous systems. The petitioner notes that in considering whether mitigation of | |||
these types of events would be compromised by not having the irradiator operator onslte, the | |||
most serious potential consequences would be the failure of the access control systems. The | |||
petitioner notes that in NUREG-1345, three of the four events involving the access control | |||
system resulted from systems that either were not operating properly or were not designed to | |||
meet the criteria as currently specified in 1 O CFR 36. The other event involved an interlock | |||
design defect that was corrected through wiring modification. | |||
Unauthorized Access to the lrradiator | |||
The petitioner argues that if the irradiator access control system is designed to meet the | |||
requirements of 1 O CFR 36, that the primary and backup access control systems will ensure | |||
that Inadvertent entry to the irradiator is not possible, even under conditions of unattended | |||
operation. In addition, the petitioner states that the existing regulations require that the key | |||
used to operate the irradiator be the same key used to open the door to the radiation room and | |||
* that only one such key be in service at the facility. The petitioner proposes in the suggested | |||
amendments that physically securing the key from removal would provide an additional layer of | |||
protection against unauthorized access to the irradiator. | |||
Other Type of lrradlator Events | |||
The petitioner believes that response and mitigation of other type of events described in | |||
NUREG-1345 would not be greatly Improved by having an onslte Individual to respond as | |||
compared to the indMdual being offslte, but able to respond promptly. For example, source 12 | |||
racks stuck in the unshielded position typically require several hours or days to correct; that | |||
mitigative and corrective actions in such instances would be accomplished by a team of | |||
indMduals and would not be done solely by the two people required by the existing regulations | |||
to be onsite. The petitioner believes that the small additional delay resulting from an indMdual | |||
offsite being the first to respond to such an abnormal event would not have a discernible effect | |||
on the adequacy of response. | |||
As another example, the petitioner states that NUREG-1345 lists several events that | As another example, the petitioner states that NUREG-1345 lists several events that | ||
13 mitigation of abnormal events or emergencies, and would not compromise safety of either the workers or the general public. | resulted in fires in the irradiator, that might be considered to have important consequences for | ||
* unattended operations. The petitioner states that events in which there was an initiating event | |||
Dated at Rockville, Maryland, this d- | |||
from the irradlator system involved a significant time Interval between the initiating event, | |||
usually a stuck source rack, and the fire. In those events, according to the petitioner, the time | |||
delay ranged from approximately nine hours to eleven days, which would allow adequate time | |||
for an offsite individual to respond and summon appropriate assistance. The petitioner notes | |||
that properly designed source rack protective barriers, as required under 1 O CFR 36.35 | |||
minimizes the probability of having a source rack become stuck from product or carrier | |||
* interference, which further reduces the fire potential in irradiators designed in accordance with | |||
10 CFR 36 criteria. | |||
Conclusion | |||
The petitioner concludes that the consequences of Category IV irradiator events | |||
described In NUREG-1345 would not be increased under the conditions proposed in this | |||
petition. The petitioner believes that having an offslte operator with automatic communication | |||
capabilities as described in this petition would not appreciably diminish response to and | |||
13 | |||
mitigation of abnormal events or emergencies, and would not compromise safety of either the | |||
workers or the general public. | |||
;-1.. | |||
Dated at Rockville, Maryland, this d - day of September, 1998. | |||
For the Nuclear Regulatory Commission. | For the Nuclear Regulatory Commission. | ||
l)()Cl(IT1:0 March 24, 1998 | John Seer of the Commission | ||
__ .. .... ~1t1111GSAND | |||
l)()Cl(IT1:0 March 24, 1998 JUN 2 5 1998 | |||
Attention: Rulemakings and Adjudications Staff | ~ __...... ~1t1111GSAND BER Attention: Rulemakings and Adjudications Staff ~ITAfF U.S. Nuclear Regulatory Commission ~ 3&.-f (~3FR~"f:l'IB) | ||
Washington, DC 2055-0001 | |||
U.S. Nuclear Regulatory Commission | |||
Washington, DC 2055-0001 Attached is a petition for rulemaking from the committee charged with revision of American National Standards Institute standard N43.10, "Safe Design and Use of Panoramic, Wet Source Storage Gamma Irradiators (Category IV) and Panoramic, Dry Source Storage Gamma Irradiators (Categorry II)" (revised title). The petition is for revision to the regulation at Title 10 Code of Federal Regulations, §36.65 (a) and (b) in regard to attendance during operation for panoramic irradiators. | Attached is a petition for rulemaking from the committee charged with revision of American National Standards Institute standard N43.10, "Safe Design and Use of Panoramic, Wet Source Storage Gamma Irradiators (Category IV) and Panoramic, Dry Source Storage Gamma Irradiators (Categorry II)" (revised title). The petition is for revision to the regulation at Title 10 Code of Federal Regulations, §36.65 (a) and (b) in regard to attendance during operation for panoramic irradiators. | ||
Correspondence related to the petition should be addressed to the Eric Beers, Co-Chair of the committee at the addres" shown below. | Correspondence related to the petition should be addressed to the Eric Beers, Co-Chair of the committee at the addres" shown below. | ||
n t.."":f! Fl'tl~ D 1998 JUtJ 25 AH 8: I LI RULES & Uii /. ui"Y*NCH | Eric Beers, Co-Chair, ANSI N43.l0 c/o SteriGenics International 23 l l Lincoln A venue Hayward, CA 94545-1117 | ||
Petitioner? ANS 10 Committee | |||
,,, ' I. | |||
Eric Beers, Co-Chair n t.."":f! Fl'tl~ D 1998 JUtJ 25 AH 8: I LI RULES & Uii US NRG /. ui"Y*NCH Petition to Amend Regulations at 10 CFR §36.65(a) and (b) | |||
: 1. Background Information | |||
In the Nuclear Regulatory Commission regulations for Licenses and Radiation Safety Requirements for Irradiators, 10 CFR §36.65(a) and (b), "Attendance during operation" state | |||
"(a) Both an irradiator operator and at least one other individual, who is trained on how to respond and prepared to promptly render or summon assistance if the access control alarm sounds, shall be present onsite: | |||
(1) Whenever the irradiator is operated using an automatic product conveyor system; and (2) Whenever the product is moved into or out of the radiation room when the irradiator is operated in a batch mode. | |||
(b) At a panoramic irradiator at which static irradiations (no movement of the product) are | |||
* occurring, a person who has received the training on how to respond to alarms described in §36.51(g) must be onsite." | |||
At the time this regulation was promulgated in 1993, the intent was to ensure that appropriately trained personnel were available to provide prompt response to emergency or abnormal event conditions that could occur during operation of a panoramic irradiator. Based on case histories of accidents at panoramic irradiators and on the potential for automatic conveyor system malfunctions, (see Part 36 Statements of Consideration, February 9, 1993) the regulation was designed to ensure that the individuals responding to the abnormal event were physically located at the irradiator site to render prompt assistance. | At the time this regulation was promulgated in 1993, the intent was to ensure that appropriately trained personnel were available to provide prompt response to emergency or abnormal event conditions that could occur during operation of a panoramic irradiator. Based on case histories of accidents at panoramic irradiators and on the potential for automatic conveyor system malfunctions, (see Part 36 Statements of Consideration, February 9, 1993) the regulation was designed to ensure that the individuals responding to the abnormal event were physically located at the irradiator site to render prompt assistance. | ||
Proposed Revision Based on considerations discussed later in this petition, the following wording is suggested as a revision to 10 CFR §36.65(a) and (b), "Attendance during operation": | |||
Proposed Revision | |||
Based on considerations discussed later in this petition, the following wording is suggested as a revision to 10 CFR §36.65(a) and (b), "Attendance during operation": | |||
"(a) Both an irradiator operator and at least one other individual who is trained on how to respond to alarms as described in §36.Sl(g) and prepared to promptly render or summon assistance, shall be present onsite whenever it is necessary to enter the radiation room. | |||
(b) At least one individual who has received the training on how to respond to alarms described in §36.51 (g) must be available and prepared to promptly respond to alarms, emergencies, or abnormal event conditions at any time a panoramic irradiator is operating. | (b) At least one individual who has received the training on how to respond to alarms described in §36.51 (g) must be available and prepared to promptly respond to alarms, emergencies, or abnormal event conditions at any time a panoramic irradiator is operating. | ||
If the individual is not onsite, (1) Automatic means of communications must be provided from the irradiator control system to alert the individual to alarms, emergencies, or abnormal event conditions. As a minimum, the automatic communication system must alert the individual to those emergency or abnormal events listed in §36.53(b). | If the individual is not onsite, (1) Automatic means of communications must be provided from the irradiator control system to alert the individual to alarms, emergencies, or abnormal event conditions. As a minimum, the automatic communication system must alert the individual to those emergency or abnormal events listed in §36.53(b). | ||
Petition to Amend Regulation11 at 10 CFR §36.65(a) and (b) Page2 Petitioner. ANSI N43.10 Committee | |||
(2) The irradiator control system must be secured from unauthorized access at any time an irradiator operator is not on.site. This security must include physically securing the key descnoed in §36.3 l(a) from being removed from the control CQnsole." | |||
In addition, to provide an adequate level of assurance that safety will not be compromised by the actions under the proposed revision, an additional item should be incorporated into the requirements at 10 CFR §36.61(a), "Inspection and Maintenance": | In addition, to provide an adequate level of assurance that safety will not be compromised by the actions under the proposed revision, an additional item should be incorporated into the requirements at 10 CFR §36.61(a), "Inspection and Maintenance": | ||
"( 17) Operability of automatic communications systems used to alert individuals to alarms, emergencies, or abnormal event conditions if required by §36.65(b)(l)" | |||
To clarify the meaning of these revisions, 10 CFR §36.2 should also be amended to include the following definition: | To clarify the meaning of these revisions, 10 CFR §36.2 should also be amended to include the following definition: | ||
: 3. | "Onsite means within the building housing the irradiator or on property controlled by the licensee that is contiguous with the building housing the irradiator." | ||
: 3. Grounds for and Interest in Action Requested | |||
Operation of a panoramic irradiator in other than static or batch modes under the existing regulations requires that at least two individuals be on.site at any time. Static irradiation can occur with one individual on site. These requirements dictate that personnel be employed to maintain adequate coverage on all shifts of a continuously operating panoramic irradiator facility. From both domestic and international operational experience with these large irradiators, there is no significant benefit to safety from having an individual on.site as opposed to being available to respond promptly from an offsite location. | |||
In addition, the number of personnel required to operate and safely manage an irradiator has a substantial impact on the expense associated with conducting business. Personnel expenses in salary, benefits, insurance, training, and affiliated costs must eventually be passed on to customers. Employing a minimal number of employees without compromising safety provides an opportunity to optimize cost containment without eroding the facility's financial ability to maintain operations. | In addition, the number of personnel required to operate and safely manage an irradiator has a substantial impact on the expense associated with conducting business. Personnel expenses in salary, benefits, insurance, training, and affiliated costs must eventually be passed on to customers. Employing a minimal number of employees without compromising safety provides an opportunity to optimize cost containment without eroding the facility's financial ability to maintain operations. | ||
: 4. | : 4. Supporting Information | ||
Panoramic gamma irradiators are designed to require minimal or no operator intervention with the system to continue routine operations following start-up. While the operator and other individuals are required under the current regulations to be present on.site during routine product processing, their involvement with the irradiator controls or safety systems is minimal while the product is being irradiated during normal operations. Only during emergencies or abnormal Petition to Amend Reguladons at 10 CFR §36.63(a) and (b) Page 3 Petitioner: ANSI N43.10 Committee | |||
events is some sort of human intervention required. Controlling the response to emergencies and abnonnal events, such as those listed in 10 CFR §36.53(b), requires intervention by the operator or other appropriately trained personnel to evaluate the situation and determine whether actions need to be taken and what specific action would be required. Therefore, the consideration as to the need to have individuals physically present onsite during operation is governed by the potential need to respond to emergencies and abnormal events. | |||
At the time that Part 36 was promulgated, the best method for alerting individuals to emergency or abnormal event conditions was considered to be audible and visible alann systems that would annunciate within the facility. Individuals responsible for responding to the a1anns would be onsite and able to answer these a1anns promptly. | At the time that Part 36 was promulgated, the best method for alerting individuals to emergency or abnormal event conditions was considered to be audible and visible alann systems that would annunciate within the facility. Individuals responsible for responding to the a1anns would be onsite and able to answer these a1anns promptly. | ||
Wi~h recent improvements of communications technology, including wi!-eless communications, and in continuing improvement in process control technology, alerting an individual to an abnonnal event in an operating system does not have to rely solely on audible and visible signals within the facility to ensure that the alert is made. Automated alert systems can now be easily designed to provide an offsite alert to an individual available to respond promptly through technologies such as pagers, cellular telephones, land-line tdephones, remote process control monitoring, or other methods. Provided that the offsite individual is located so as to be available to respond promptly, response to a1arms could require only a slightly longer time than if the individual were onsite. | Wi~h recent improvements of communications technology, including wi!-eless communications, and in continuing improvement in process control technology, alerting an individual to an abnonnal event in an operating system does not have to rely solely on audible and visible signals within the facility to ensure that the alert is made. Automated alert systems can now be easily designed to provide an offsite alert to an individual available to respond promptly through technologies such as pagers, cellular telephones, land-line tdephones, remote process control monitoring, or other methods. Provided that the offsite individual is located so as to be available to respond promptly, response to a1arms could require only a slightly longer time than if the individual were onsite. | ||
In the event of an emergency or abnormal event at an irradiator, the individual making the first response is typically the irradiator operator. Under the conditions of the current regulations, the implicit assumption is that, during evening or night shifts when the facility management or Radiation Safety Officer (RSO) are not assumed to be present, the irradiator operator would respond to the alert and assess the situation. In typical emergency procedures for panoramic irradiators, one of the first responsibilities of the irradiator operator responding to an alert is to notify the RSO of the condition and to rely on the RSO or facility management to provide specific instructions to take in responding to the emergency. Therefore, the initial response by an irradiator operator onsite during an abnormal event would be to secure the irradiator against entry and notify the RSO or other responsible party. | In the event of an emergency or abnormal event at an irradiator, the individual making the first response is typically the irradiator operator. Under the conditions of the current regulations, the implicit assumption is that, during evening or night shifts when the facility management or Radiation Safety Officer (RSO) are not assumed to be present, the irradiator operator would respond to the alert and assess the situation. In typical emergency procedures for panoramic irradiators, one of the first responsibilities of the irradiator operator responding to an alert is to notify the RSO of the condition and to rely on the RSO or facility management to provide specific instructions to take in responding to the emergency. Therefore, the initial response by an irradiator operator onsite during an abnormal event would be to secure the irradiator against entry and notify the RSO or other responsible party. | ||
For response to any emergency situation, appropriate actions must be taken to prevent individuals from entering the radiation room while the sources are unshielded (i.e., to prevent personnel exposures) and to protect the sources from damage. The emergency and abnormal event conditions for which a licensee must implement procedures to address, as identified in 10 CPR | For response to any emergency situation, appropriate actions must be taken to prevent individuals from entering the radiation room while the sources are unshielded (i.e., to prevent personnel exposures) and to protect the sources from damage. The emergency and abnormal event conditions for which a licensee must implement procedures to address, as identified in 10 CPR | ||
§36.53(b) are | §36.53(b) are | ||
( 1) Sources stuck in the unshielded position: | ( 1) Sources stuck in the unshielded position: | ||
(2) Personnel overexposures; (3) A radiation alarm from the product exit portal monitor or pool monitor; (4) Detection ofleaking sources, pool contamination. or alann caused by contamination of pool water; | (2) Personnel overexposures; (3) A radiation alarm from the product exit portal monitor or pool monitor; (4) Detection ofleaking sources, pool contamination. or alann caused by contamination of pool water; Petition to Amend Regulations at IO CFR §36.65(a) and (b) Page4 Petitioner: ANSI N43.10 Committee | ||
(5) A low or high water level indicator, an abnormal water loss, or leakage from the source storage pool; (6) A prolonged loss of electrical power; (7) A fire a1arm or explosion in the radiation room; (8) An alarm indicating unauthorized entry into the radiation room, area aroood pool, or another alarmed area; (9) Natural phenome~ including an earthquake, a tornado, flooding, or other phenomena as appropriate for the geographical location of the facility; and (10) The jamming of automatic conveyor systems. | |||
Design features of a panoramic irradiator, as required under 10 CFR 36, Subpart C, address most items from this list in terms of preventing personnel exposures and damage to the sources during an abnormal event. Specifically, the access control system as described frl 10 CFR §36.23 will prevent unauthorized entry and protect against personnel exposure (item 2 on the above list). In 10 CFR §36.39, the conveyor system must automatically be stopped if the exit radiation monitor detects a source (item 3). Sources must be returned to the shielded position and access controls maintained during a pro longed loss of electrical power as descnbed in 10 CFR §36.3 7 (item 6). | Design features of a panoramic irradiator, as required under 10 CFR 36, Subpart C, address most items from this list in terms of preventing personnel exposures and damage to the sources during an abnormal event. Specifically, the access control system as described frl 10 CFR §36.23 will prevent unauthorized entry and protect against personnel exposure (item 2 on the above list). In 10 CFR §36.39, the conveyor system must automatically be stopped if the exit radiation monitor detects a source (item 3). Sources must be returned to the shielded position and access controls maintained during a pro longed loss of electrical power as descnbed in 10 CFR §36.3 7 (item 6). | ||
A fire protection system designed to meet the requirements of 10 CFR §36.27 will cause the sources to return to the shielded position in the event a fire is detecte~ thereby protecting the sources from fire damage (item 7). Unauthorized entry to the radiation room must, under 10 CFR §36.23(a), cause the sources to return to the shielded position (item 8). If an automatic conveyor system.jams, the source rack protection required by 10 CFR §36.35 ensures that some cause other than interference with the source rack is the cause of the jam, which will allow the sources to be safely returned to the shielded position (item 10). | A fire protection system designed to meet the requirements of 10 CFR §36.27 will cause the sources to return to the shielded position in the event a fire is detecte~ thereby protecting the sources from fire damage (item 7). Unauthorized entry to the radiation room must, under 10 CFR §36.23(a), cause the sources to return to the shielded position (item 8). If an automatic conveyor system.jams, the source rack protection required by 10 CFR §36.35 ensures that some cause other than interference with the source rack is the cause of the jam, which will allow the sources to be safely returned to the shielded position (item 10). | ||
In the remaining abnonnal event conditions listed in 10 CFR §36.53, appropriate response to the conditions would not necessarily be required immediately. That is, responding to the event would entail some evaluation of the conditions before deciding the proper actions to take. Having individuals onsite to respond to these conditions would not present a substantive improvement in safety over having the same individual offsite, but available to respond promptly. In pru ticular, sources stuck in an unshielded position (item 1 from the above list), while potentially causing damage to the product being irradiated if it cannot be independently removed from the radiation room, do not present an immediate threat to personnel provided the access control system operates in accordance with the 10 CFR §36.23 design requirements. Nor does a stuck source rack, in and of itself, pose a threat to the integrity of the sources. Similarly, detection of a leaking source (item 4) would not require quicker action than could be provided by an offsite individual, as long as the water circulation system is automatically stopped to prevent accumulation of contaminants in the water treatment and filtration system. Water level alarms (item 5) and natural phenomena (item 9) would not present an immediate hazard requiring onsite assistance, provided that the radiation room access control system is operating properly. | In the remaining abnonnal event conditions listed in 10 CFR §36.53, appropriate response to the conditions would not necessarily be required immediately. That is, responding to the event would entail some evaluation of the conditions before deciding the proper actions to take. Having individuals onsite to respond to these conditions would not present a substantive improvement in safety over having the same individual offsite, but available to respond promptly. In pru ticular, sources stuck in an unshielded position (item 1 from the above list), while potentially causing damage to the product being irradiated if it cannot be independently removed from the radiation room, do not present an immediate threat to personnel provided the access control system operates in accordance with the 10 CFR §36.23 design requirements. Nor does a stuck source rack, in and of itself, pose a threat to the integrity of the sources. Similarly, detection of a leaking source (item 4) would not require quicker action than could be provided by an offsite individual, as long as the water circulation system is automatically stopped to prevent accumulation of contaminants in the water treatment and filtration system. Water level alarms (item 5) and natural phenomena (item 9) would not present an immediate hazard requiring onsite assistance, provided that the radiation room access control system is operating properly. | ||
Petition to Amend Regulations at 10 CFR §36.6S(a) and (b) | Therefore, in considering the design requirements for panoramic irradiators and the potential emergency or abnormal event conditions that are addressed in procedures as well as facility Petition to Amend Regulations at 10 CFR §36.6S(a) and (b) Page5 Petitioner: ANSI N43.IO Committee | ||
design, response by the licensee would not be substantively impaired if the individual responding to the alarms were not located onsite. Automated communication systems using current technology would provide for adequate protection of personnel and source integrity by alerting an offsite person who is able to respond promptly. | |||
In considering the potential impacts from the proposed rule change, it should also be noted that European nations permit unattended operation of irradiators, as requested in this petition. These irradiators have similar or identical design characteristics to those operating in the United States, in terms of the safety and monitoring systems, as well as in product conveyence. There have been no incidents at these irradiators that can be traced to the practice of unattended operations. | In considering the potential impacts from the proposed rule change, it should also be noted that European nations permit unattended operation of irradiators, as requested in this petition. These irradiators have similar or identical design characteristics to those operating in the United States, in terms of the safety and monitoring systems, as well as in product conveyence. There have been no incidents at these irradiators that can be traced to the practice of unattended operations. | ||
In reviewing information notices issued to irradiator operators by the NRC over the past several years, none Jfthe events described in the notices were described as having occurred during unattended operations. However, NUREG-1345, ''Review of Events at Large Pool-Type Irradiators" (1989), which summarized 45 events at Category IV irradiators, specifically mentioned three events as having occurred during unattended operations. These were: | |||
: 1. | In reviewing information notices issued to irradiator operators by the NRC over the past several years, none Jfthe events described in the notices were described as having occurred during unattended operations. However, NUREG-1345, ''Review of Events at Large Pool-Type Irradiators" (1989), which summarized 45 events at Category IV irradiators, specifically | ||
: 2. | * mentioned three events as having occurred during unattended operations. These were: | ||
: 1. Failure of Pool Water Purification System at RTI, Rockaway, NJ, September 22, 1986 | |||
In this event, failure of the pool water purification system during unattended operations had resulted in release of uncontaminated pool water into pump room, which subsequently drained to the site sanitary sewer. A low-water alarm was activated in the irradiator control system. | |||
: 2. Product Conveyance Jam at Johnson & Johnson, Sydney, Australia, November 13, 1982 | |||
In this event, the product conveyance systemjammed during unattended operation. | |||
Coupled with a failure of the protective interlock that was to have shut the system down in the event of a product conveyor jam, a fire resulted. The conveyor jam was recorded as occurring shortly aner 2:00 PM, while the fire resulted at about 5:00 AM the following day. | Coupled with a failure of the protective interlock that was to have shut the system down in the event of a product conveyor jam, a fire resulted. The conveyor jam was recorded as occurring shortly aner 2:00 PM, while the fire resulted at about 5:00 AM the following day. | ||
: 3. | : 3. Contaminated Water Spill at International Nutronics, Inc., Dover, NJ, December 31, 1982 | ||
Situations prompting the first two of these events (i.e., low water level an<l product conveyance systemjam) are listed in the abnormal event procedures required under 10 CFR §36.53(b). Under the proposed regulatory revision described in this petition. both instances would require notification of the offsite individual. Note that, in the first event. there were no offsite consequences nor threat to worker or public health and safety, although continued loss of pool | |||
This event occurred during unattended pool water clean-up operations in which a water line broke, resulting in release of contaminated water to the facility floor and soil outside the facility. | |||
Situations prompting the first two of these events (i.e., low water level an<l product conveyance systemjam) are listed in the abnormal event procedures required under 10 CFR §36.53(b). Under the proposed regulatory revision described in this petition. both instances would require notification of the offsite individual. Note that, in the first event. there were no offsite consequences nor threat to worker or public health and safety, although continued loss of pool Petition to Amend Regulations at 10 CFR §36.65(*) and (b) Page6 Petitioner: ANSI N43.l0 Committee | |||
water could have presented shielding problems inside the irradiator. In the second event, approximately 15 hours passed between the initiating event ( conveyor jam) and the fire, which would have allowed more than adequate time for response and mitigation had the ofl:site individual been promptly notified. | |||
The third event shown as occurring during unattended operations resulted not from the irradiator operation, but from operation of a pool water clean-up system Under existing regulations, attendance during this operation would not be specifically required. | The third event shown as occurring during unattended operations resulted not from the irradiator operation, but from operation of a pool water clean-up system Under existing regulations, attendance during this operation would not be specifically required. | ||
In the "Analysis of Events and Lessons Learned" section ofNUREG-1345, Category IV irradiator events are grouped into several types. To evaluate whether the proposed regulatory revision is adequate to protect worker and public health and safety, the potential consequences of each of type of event under unattended operations as described in this petition must ,e examined . | |||
In the "Analysis of Events and Lessons Learned" section ofNUREG-1345, Category IV irradiator events are grouped into several types. To evaluate whether the proposed regulatory revision is adequate to protect worker and public health and safety, the potential consequences of each of type of event under unattended operations as described in this petition must,e examined. | |||
Of the event types listed in NUREG-1345, those described as management deficiencies are not | |||
* directly related to attendance during operations. That is, the presence of individuals onsite during operations would have no relevance to mitigating potential consequences of management deficiencies, except as may be related to system problems with the irradiator itself. | |||
Events stemming from system problems are the most likely type of event in which adverse consequences from unattended operation could be postulated. In NUREG-1345, this type of event is sulxiivided into ( l) access control systems, (2) source movement and suspension, (3) encapsulation, (4) pool leakage and pool purification system, and (5) miscellaneous systems. | Events stemming from system problems are the most likely type of event in which adverse consequences from unattended operation could be postulated. In NUREG-1345, this type of event is sulxiivided into ( l) access control systems, (2) source movement and suspension, (3) encapsulation, (4) pool leakage and pool purification system, and (5) miscellaneous systems. | ||
Considering whether mitigation of these types of events would be compromised by not having the irradiator operator onsite, the most serious potential consequences would be in failure of the access control systems. In NUREG-1345, three of the four events involving the access control | Considering whether mitigation of these types of events would be compromised by not having the irradiator operator onsite, the most serious potential consequences would be in failure of the access control systems. In NUREG-1345, three of the four events involving the access control system resulted from systems that either were not operating properly or were not designed to meet the criteria as currently specified in 10 CFR 36. The other event involved an interlock | ||
* design defect that was corrected through wiring modification. | |||
* If the irradiator access control system is designed to meet the requirements of 10 CFR 36, primary and backup access control systems will ensure that inadvertent entry to the irradiator is not possible, even under conditions of unattended operation. In addition, the existing regulations require that the key used to operate the irradiator be the same as the key used to open the door to the radiation room and that only one such key be in service at the facility. Under the revisions proposed in this petition, physically securing that key from removal would provide an additional layer of protection against unauthorized access to the irradiator. | * If the irradiator access control system is designed to meet the requirements of 10 CFR 36, primary and backup access control systems will ensure that inadvertent entry to the irradiator is not possible, even under conditions of unattended operation. In addition, the existing regulations require that the key used to operate the irradiator be the same as the key used to open the door to the radiation room and that only one such key be in service at the facility. Under the revisions proposed in this petition, physically securing that key from removal would provide an additional layer of protection against unauthorized access to the irradiator. | ||
Petition to Ameod Regulations at IO CFR §36.63(a) and (b) | Response to a11d mitigation of other types of events described in NUREG-1345 would not be greatly improved by having an onsite individual to respond as compared to the individual being ofl:site, but able to respond promptly. For example, source racks stuck in the unshielded position typically require several hours or days to correct. Mitigative and corrective actions in such instances W<?uld be accomplished by a team of individuals and would not be done solely by the Petition to Ameod Regulations at IO CFR §36.63(a) and (b) Page 7 Pedtioner: ANSI N43.IO Committee | ||
two people required by existing regulations to be onsite. The small additional delay resulting from an offsite individual being the first to respond to such abnormal event conditions would not have a discemable effect on the adequacy of response. | |||
As another example, NUREG-1345 lists several events that resulted in fires in the irradiator, which might be considered to have important consequences for unattended operations. However, events in which there was an initiating event from the irradiator system involved a significant time interval between the initiating event, usually a stuck source rack, and the fire. In those events listed in NUREG-1345, this time delay ranged from approximately nine hours to eleven days, which would allow adequate time for an offsite individual to respond and summon appropriate assistance. | As another example, NUREG-1345 lists several events that resulted in fires in the irradiator, which might be considered to have important consequences for unattended operations. However, events in which there was an initiating event from the irradiator system involved a significant time interval between the initiating event, usually a stuck source rack, and the fire. In those events listed in NUREG-1345, this time delay ranged from approximately nine hours to eleven days, which would allow adequate time for an offsite individual to respond and summon appropriate assistance. | ||
Properly designed sourr" rack protective barriers, as required under 10 CFR §36.35, minimize the probability of having a source rack become stuck from product or carrier interference. This further reduces the fire potential in irradiators designed to 10 CFR 36 criteria. | Properly designed sourr" rack protective barriers, as required under 10 CFR §36.35, minimize the probability of having a source rack become stuck from product or carrier interference. This further reduces the fire potential in irradiators designed to 10 CFR 36 criteria. | ||
In summary, the consequences of Category IV irradiator events that described in NUREG-1345 would not be increased under the conditions proposed in this petition. Having an offsite operator with automatic communications capabilities as described in this petition would not appreciably diminish response to and mitigation of abnormal events or emergencies, and would not compromise safety of either the workers or the general public.}} | In summary, the consequences of Category IV irradiator events that described in NUREG-1345 would not be increased under the conditions proposed in this petition. Having an offsite operator with automatic communications capabilities as described in this petition would not appreciably diminish response to and mitigation of abnormal events or emergencies, and would not compromise safety of either the workers or the general public.}} | ||
Revision as of 12:58, 14 November 2024
| ML23151A576 | |
| Person / Time | |
|---|---|
| Issue date: | 09/15/2023 |
| From: | NRC/SECY |
| To: | |
| References | |
| PRM-036-011, 63FR49298 | |
| Download: ML23151A576 (1) | |
Text
DOCUMENT DATE: 09/15/1998
TITLE: PRM-036-001 - 63FR49298 -AMERICAN STANDARDS INSTITUTE N43.10 COMMITTEE; RECEIPT OF PETITION FOR RULEMAKING
CASE
REFERENCE:
PRM-036-001
63FR49298
KEYWORD: RULEMAKING COMMENTS
Document Sensitivity: Non-sensitive - SUNSI Review Complete DOCKET NO. PRM-036-001 (63FR49298)
In the Matter of AMERICAN STANDARDS INSTITUTE N43.10 COMMITTEE; RECEIPT OF PETITION FOR RULEMAKING
DATE DATE OF TITLE OR DOCKETED DOCUMENT DESCRIP1ION OF DOCUMENT
06/25198 03/24/98 LTR FM ERIC BEERS, CO-CHAIR, ANSI N43.10, ET AL. TMTG PETITION FOR RULEMAKING
09/08/98 09/08/98 FEDERAL REGISTER NOTICE - RECEIPT OF PETITION FOR RULEMAKING 01/19/99 01/07/99 COMMENT OF OHIO DEPARTMENT OF HEALTH (ROBERT E. OWEN) ( 1),
f~~: D~aJ..,. 1 P.e:tit:t,.., t ~~
C ~
~ ~*-3"'--0I ~~,~~~* [7590-01-P]
( (p3 Ft?.. 11 'J- '1 g )
NUCLEAR REGULATORY COMMISSION
[Docket No. PRM-36-01]
American National Standards Institute N43.10 C,ommittee; Denial of Petition for Rulemaklng DOCKETED USNRC AGENCY: U.S. Nuclear Regulatory Commission. August 15, 2006 (3:37pm)
OFFICE OF SECRETARY RULEMAKINGS AND ACTION: Denial of petition for rulemaking. ADJUDICATIONS STAFF
SUMMARY
- The U.S. l>Juclear Regulatory Commission (NRG) is denying a petition for
- rulemaklng (PRM-36-01) submitted by the American National Standards Institute N43.1 O
Committee. The petitioner requested that the NRG amend its regulations to provide relief from
the requirements to have an opera{or present onslte whenever an irradiator is operated using
an automatic product conveyor system and whenever product is moved into or out of the
radiation room when an irradiator is operated in a batch mode. In addition, the petitioner
requested relief from the requirement to have a person who has received training, described in
the regulations, on how to respond to alarms onsite at a panoramic irradiator where static
irradiations (no mov~ment of the product) are occurring.
I
ADDRESSES: Copies of the petition for rulemaking, the public comments received, and NRC's
letter to the petitioner may be examined at NRC Public Document Room, Public File Area Room
01 F21, 11555 Rockville Pike, Rockville, MD. These documents also may be viewed and
downloaded electronically via the rulemaking website.
The NRC n:,aintains an Agencywide Document Access and Management System (ADAMS), which provides text and Image flies of NRC's public documents. These documents may be' accessed through NRC's Public Electronic Reading Room on the Internet at "'
http://www.nrc.gov/reading-rm/adams.html. If you do not have access to ADAMS, or if there
are problems in accessing the documents located in ADAMS, contact the NRC's Public
Document Room Reference staff at 1-800-397-4209, 301-415-4737, or by e-mail to:
pdr@nrc.gov.
FOR FURTHER INFORMATION CONTACT: Thomas Young, Office of Nuclear Material Safety
j and Safeguards, U.S. Nuclear Regulatory Commission, Washington, DC 20555-0001,
telephone: (301) 415-5795, e-mail: tfy@nrc.gov.
SUPPLEMENTARY INFORMATION:
The Petition
On September 15, 1998 (63 FR 49298), the NRC published a notice of receipt of a
petition for rulemaking filed by the American National Standards Institute N43.10 Committee.
The petitioner requested that NRC amend 10 CFR 36.65(a) and (bf These regulations require
that:'
(a) Both an irradiator operator and at least one other individual, who Is trained on how to
respond and prepared to promptly render *or summon assistance if the access control alarm
/'
sounds, shall be present onslte:
2 (1) Whenever the irradiator is operated using an automatic product conveyor system;
and
(2) Whenever the product is moved into or out of the radiation room when the irradiator
is operated in a batch mode.
(b) At a panoramic lrradlator at which static Irradiations (no movement of the product)
are occurring, a person who has received the training on how to respond to alarms described in
§36.51 (g) must be onsite.
The petitioner suggested revisions to require that:
(1) The operator and at least one other trained individual would be present onsite
whenever it is necessary lo enter the radiation room;
(2} An individual trained to respond to alarms would be available and prepared to
promptly attend to alarms, emergencies, or abnormal event conditions at any time the irradiator
is operating;
(3) If the individual ls not onsite, automatic means of communication would be provided
from the irradiator. control system to the individual and the irradiator control system would be
- secured from unauthorized access and the console key would be secured from removal from
the control console when the individual is not onsite; (4) Inspection and maintenance for operability of the automatic communication system
be completed; and
(5) A definition be provided in 10 CFR 36.2 for the term, "onsite."
Currently a licensee is required to maintain adequate coverage on all shifts of a
continuously operating panoramic irradiator facility. However, the petitioner believes that based
on domestic and international operating experience with panoramic irradiators, there is no
significant benefit to safety from having the operator and an additional trained individual onsite
3 as opposed to an individual being available to respond promptly from an offsite location. The
petitioner believes the current cost for a licensee to employ individuals for continuous operation
of the facility has a substantial impact on the expense associated with conducting business.
The petitioner believes that revising the requirements as suggested above would result in cost
containment without a reduction in safety.
The petitioner believes that recent improvements in communications technology support
the design of automated alert systems to provide offsite warning to an individual who could then
respond through technologies such as pagers, cell and land-line telephones, remote process
control monitoring, etc. The petitioner believes that remote response to alarms could require
only slightly longer response time than if the responder were onslte.
In its supporting information, the petitioner recognizes that during emergencies and
abnormal events, human intervention is required to evaluate the situation and determine
whether actions need to be taken and what specific action is required. The petitioner believes
this evaluation can take place remotely, between the irradiator and an individual offsite. The
petitioner also supports its position by stating that European irradiators of similar design and
characteristics to those In the United States have had no Incidents that can be traced to the 4t practice of unattended operations.
Public Comments on the Petition
The notice of receipt of petition for rulemaking invited interested persons to submit
comments. The NRC received one comment letter from the Manager of Technical Services,
State of Ohio's Bureau of Radiation ProteQtion. The commenter was generally in favor of
granting the petition. However, the commenter noted that the problem with remote
communication systems is that they are likely to fail or become overloaded under extreme
4 conditions, although the probability of having two remote Incidents (irradiator and
communication systems) occurring at one time is highly improbable for the unattended
operation of a panoramic irradiator. In addition, the commenter suggested that an onsite
security guard or other non-operator personnel could be trained to summon assistance as
required without needing the operator. The comments were considered in the development of
the NRC's decision on this petition.
Reasons for Denial
The NRC is denying the petition for the following two reasons:
- 1. In February 1993, the NRC amended its regulations to add 10 CFR Part 36,
"Licenses and Radiation Safety Requirements for lrradiators," to specify radiation safety
requirements and licensing requirements for the use of licensed radioactive materials in
lrradlators. After the rule became effective, the NRG received numerous licensee event reports
that described failures or non-functions of source mechanisms and related systems that needed
intervention by personnel who had received training described in the regulations on how to
- respond to alarms. The information reported to the NRG from 1990 to 2006 about events at
irradiator facilities indicates no reduction in the number of events or the nature of events. The
NRG determined that the data on events do not support the petitioner's request or indicate that
the requirements should be revised. Rather, the NRC continues to believe that there is a need
for individuals to be onsite to evaluate and respond to such emergencies, as well as to ensure
dayNto-day radiation safety.
- 2. The NRG does not believe that reliance on an automated communication system to
notify a remote human operator via an electronic mechanism provides the same level of safety
as currently provided by an onsite operator and/or a second individual who is trained to respond
5 to irradiator alarms. This issue was previously raised in comments on the proposed rule for
10 CFR Part 36. The Statements of Consideration (SOC) for the final rule (58 FR 7715;
February 9, 1993) state that. for 10 CFR 36.65, "a considerable number of comments objected
to the proposed requirements as excessive." A commenter ~uggested that an irradiator with an
automatic conveyor system should be able to operate with only an operator present and an
automatic telephone dialing device for responding to alarms. Another commenter suggested
that the irradiator should be able to operate unattended but with an automatic telephone dialing
device. The SOC state that the NRC did not accept either suggestion because the NRC
)
4I believed that automatic conveyer systems-have enough malfunctions to require that an operator
be present at the site. In addition, the NRC believed that the operator should have some
backup In case of problems.
The petitioner has not provided a sufficient basis from which to conclude that thls*NRC
judgement is no longer correct. Specifically, no new information has been provided by the * :
petitioner that would warrant revising the existing regulations. The existing ' NRC regulations
provide the basis for reasonable assurance that the common defense and security and public
health and safety are adequately protected.
For the reasons cited in this document, the NRC denies this petition.
Dated at Rockville, Maryland, this I{ day of /4,ds T, 2006.
For the Nuclear Regulatory Commission.
i
- Reyes, E cutive Director or Operations.
6
(!)
OHIO DEPARTMENT OF HEALTH DOC 'ETfD
246 N. HIGH STREET GEORGE V. VOINOVICH U~r~RC Post Office Box 118 Governor Columbus, Ohio 43266-0118 WILLIAM RYAN Telephone (614) 466-3543 Director of Health *99 JAN 19 P 3 :40
o*.: 1, DOCKET NUMBER AD J r;L __ I
January 7, 199 9 PETITIO RULE PRM _gte,-J f ftJ3FR 'I 'I :298')
Secretary U.S. Nuclear Regulatory Commission Washington, D.C. 20555
ATTENTION: Rulemakings and Adjudications Staff
Attached are our comments on the petition for rulemaking filed by the American National Standards Institute N43.10 Committee, requesting that the NRC amend its radiation safety requirements for irradiators to allow the operation of panoramic irradiator facilities without continuous onsite attendance. The petition was docketed as PRM-36-1 on June 25, 1998.
Though comments on the above were due on November 30, 1998, I respectfully request that these comments be considered relative to revising 10 CFR 36.
- Rb rt E. we n Manager of Technical Services Bureau of Radiation Protection
cf: Roger Suppes, Chief, Bureau of Radiation Protection Marcia Howard, Administrator, Nuclear Material Safety Program Carol Ray, Legal Counsel Library Document File
~OWfecfged by cad JU 2 t THI
I ae,,. -~.J:
HEA 6413 (Rev. 5/97) A n Equa l Opportunity Emp loyer/Provider
lJ.S. NUCLEAR REGULATORY COMMIStiluN RULEMAKINGS & OFFICE OFM SECRETARY ADJUDICATIONS STAFF
OF THE ~ION Document Slatllb Postmelk Data, /t ;i I c; ct CoplesRecelwad /
Add'IC(iplaeA8pRJduced_ i __ _
7~~'7<11)5 Comments on Part 36 proposed rule change published in vol 63 Federal Register 49298, Sept 15, 1998
The petitioners response was well supported in defending the lack of incidents at panoramic irradiators during unattended operation.
Adding the of a definition of "onsite" is needed in §36.2 "Definitions" to clarify the terminology.
Adding the inspection and testing of applicable automatic communications systems under
§36.61(a)(l 7) as applicable is good and appropriate.
The current requirements of §36.65(b) for attendance refers to §36.51 (g) which requires training of individuals responding to alarms. Of the sections covered under §36.Sl(g), as pertaining to panoramic irradiator, allow the responder to render or summon assistance. As such, an onsite security guard or other non-operator personnel could be trained to summon assistance as required without needing the operator or RSO onsite.
The heart of the petitioners request is the usage of automatic communication systems instead of a
- person to notify responders who will render assistance or corrective actions. The problem with remote communication systems is that they are likely to fail or become overloaded under extreme conditions. (A recent example was the misalignment of a satellite that severely disrupted phone and pager services in May 98.)
The probability of having two remote incidents (irradiator and communication systems) occurring at one time is highly improbable for the unattended operation of a panoramic irradiator. The requirements established in Part 36 for maintenance and inspection, as well as emergency procedures already cover issues that would be brought up for consideration under "what if" situations during unattended operations.
The petitioners request is acceptable.
I:.,
Lt. ~A ttlfi 3'7- /
((p3F~ 'l'l:i9B) [7590-01-P]
NUCLEAR REGULATORY COMMISSION
[Docket No. PR M-36-1]
American National Standards Institute N43.10 Committee ;
Receipt of Petition for Rulemaking
AGENCY: Nuclear Regulatory Commission.
- ACT IO N: Petition for rulemaking; Notice of receipt.
SUMMARY
- The Nuclear Regulatory Commission (NRC) has received and requests public
comment on a petition for rulemaking filed by the American National Standards Institute N43.1 O
Committee. The petition was docketed as PRM-36-1 on June 25, 1998. The petitioner
requests that the NRC amend its radiation safety requirements for irradiators to allow the
operation of panoramic irradiator facilities without continuous onsite attendance.
~ 301 I '/ '/ 8' DATE: Submit comments by (15 days followi,,g pt1blieatio" i" ti,e 1-edefal Register).
Comments received after this date will be considered if it is practical to do so, but assurance of
consideration cannot be given except as to comments received on or before this date.
ADDRESSES: Submit comments to: Secretary, U.S. Nuclear Regulatory Commission,
Washington, DC 20555. Attention: Rulemakings and Adjudications Staff.
Deliver comments to 11555 Rockville Pike, Rockville, Maryland, between 7:30 am and
4:15 pm on Federal workdays.
?J. b'Y\\ t:t/t6/tt8 J" l,3Fte4'1 :J'l'i 2
For a copy of the petition, write: David L. Meyer, Office of Administration, U.S. Nuclear
Regulatory Commission, Washington, DC 20555-0001.
You may also provide comments via the NRC's interactive rulemaking website through,
the home page (http://www.nrc.gov). This site provides the availability to upload comments as
files (any format), if your web browser supports the function. For information about the
interactive rulemaking website, contact Carol Gallagher, 301-415-5905 (e-mail: CAG@nrc.gov).
FOR FURTHER INFORMATION CONTACT: David L. Meyer, Office of Administration, U.S,
Nuclear Regulatory Commission, Washington DC 20555-0001. Telephone: 301-415-7162 or
Toll Free: 800-368-5642 or e-mail: DLM1@nrc.gov.
SUPPLEMENT ARY INFORMATION:
Background
The NRC's current regulations at 10 CFR 36.65 (a) and (b) describe how an irradiator
must be attended during operation. The regulations specify that:
(a) Both an irradiator operator and at least one other individual, who is trained on how to
- respond and prepared to promptly render or summon assistance if the access control alarm
sounds, shall be present onsite:
(1) Whenever the lrradiator is operated using an automatic product conveyor system;
and
{2) Whenever the product is moved Into or out of the radiation room when the irradiator
is operated in a batch mode.
(b) At a panoramic irradiator at which static irradiations (no movement of the product)
are occurring, a person who has received the training on how to respond to alarms described in
§35.51 (g) must be onsite.
3
The petitioner states that at the time this regulation was published (February 9, 1993;
58 FR 7715), the Intent was to ensure that appropriately trained personnel were available to
provide prompt response to emergencies or abnormal event conditions that could occur during
the operation of a panoramic irradiator. The petitioner further states that based on case
histories of accidents at panoramic irradiators and on the potential for automatic conveyor
systems to maJfunction, the regulation was designed to ensure that Individuals responding to an
abnormal event be physically located at the irradiator site to render assistance promptly.
The Suggested Revisions
1 O CFR 36.65 (a) and (b)
(a) Both an irradiator operator and at least one other individual, who is trained on how to
respond to alarms as described in §36.51.{g) and prepared to promptly render or summon
assistance, shall be present onsite whenever it is nece~ry to enter the radiation room.
(b) At least one individual who has received the training on how to respond to alarms
described in §36.51 (g) must be available and prepared to promptly respond to alarms,
- emergencies, or abnormal event conditions at any time a panoramic irradiator is operating.
If the individual is not onsite,
(1) Automatic means of communications must be provided from the irradlator control
system to alert the individual to alarms, emergencies, or abnormal event conditions. As a
minimum, the automatic communication system must alert the individual to those emergency or
abnormal events listed in §36.53(b);
(2) The irradiator control system must be secured from unauthorized access at any time
an irradiator operator is not onsite. This security must include physically securing the key
described in §36.31 (a) from being removed from the control console.
0 4
1 O CFR 36.61 (a) "Inspection and Maintenance"
(17) Operability of automatic communications systems used to alert individuals to
alarms, emergencies, or abnormal event conditions if required by §36.65(b)(1 ).
10 CFR 36.2 "Definitions"
Onsite means within the building housing the irradiator or on property controlled by the
licensee that is contiguous with the building housing the irradiator.
Grounds for Request
The petitioner states that the current requirements dictate that personnel be employed
to maintain adequate coverage on all shifts of a continuously operating panoramic irradiator
facility. However, according to the petitioner, based on both domestic and international
operational experience with these large irradiators, there Is no significant benefit to safety from
having an indMdual onsite as opposed to being available to respond promptly from an offsite
location.
In addition, the petitioner states that the number of personnel required to operate and
safely manage an irradiator has a substantial impact on the expense associated with
conducting business, that personnel expenses in salary, benefits, insurance, training, and
affiliated costs must eventually be passed on to customers. The petitioner offers that
employing a minimal number of employees without compromising safety provides an
opportunity to optimize cost containment without eroding the facility's financial ability to maintain
operations.
5
Supporting lnfonnatlon
The petitioner states that panoramic gamma lrradlators are designed to require minimal
or no operator Intervention with the system to continue routine operations f<?llowing start-up.
The petitioner notes that although the current regulations require the operator and other
Individuals to be onsite during routine product processing, their involvement with the irradiator
controls or safety systems is minimal while the product is being irradiated during nonnal
operations. The petitioner asserts that human intervention is required only during *emergencies
or abnonnal events. Controlling the response to emergencies and abnonnal events, such as
those listed in 10 CFR 36.53(b) according to the petitioner, requires intervention by the operator
- or other appropriately trained personnel to evaluate the situation and detennine whether actions
need to be taken and what specific action would be required*. The petitioner believes that the
need to have indMduals physically present onsite during operation is governed by the potential
need to respond to emergencies and abnonnal events.
The petitioner states that at the time Part 36 was published, the best method for alerting
indMduals to emergency or abnonnal event conditions was considered to be audible and visible
- alann systems that would annunciate within_ the facility, and that individuals responsible for
responding to the alarms would be onsite to answer the alanns promptly. However, the
petitioner notes that with recent improvements of communications technology, including
wireless communications, and in continuing improvements in process control technology,
alerting an individual to an abnormal event in an operating system does not have to rely solely
on audible and visible signals within the facility to ensure that the alert is made. The petitioner
offers that automated alert systems can now be easily designed to provide an offsite alert to an
individual available to respond promptly through technologies such as pagers, cellular
telephones, land-line telephones, remote process control monitoring, or other methods. If the 6
offsite individual, according to the petitioner, is located so as to be available to respond
promptly, response to alarms could require only a slightly longer time than If the individual were
onsite.
The petitioner notes that the irradiator operator makes the first response in the event of
an emergency or abnormal event Under the conditions of the current regulations, the implicit
assumption is that, during evening or night shifts when the facility management or the Radiation
Safety Officer (RSO) are not assumed to be present, the irradiator operator would respond to
the alert and assess the situation. The petitioner states that in typical emergency procedures
- for panoramic lrradiators, one of the first responsibilities of the irradiator operator responding to
an alert, is to notify the RSO of the condition, and to rely on the RSO or facility management to
provide specific Instructions to take In responding to the emergency. Therefore, the initial
response by an irradiator operator onsite during an abnormal event would be to secure the
irradiator against entry and notify the RSO or other responsible party.
The petitioner states that for response to any emergency situation, appropriate actions
- must be taken to prevent individuals from entering the radiation room while the sources are
unshielded (i,e., to prevent personnel exposures) and to protect the sources from damage. The
petitioner lists the 1 O emergency and abnormal event conditions identified in 1 O CFR 36.53(b)
for which a licensee must implement procedures to address. These are: (1) Sources stuck in
the unshielded position; (2) Personnel overexposures; (3) A radiation alarm from the product
exit portal monitor or pool monitor; (4) Detection of leaking sources, pool contamination, or
alarm caused by contamination of pool water; (5) A low or high water level indicator, and
abnormal water loss, or leakage from the source storage pool; (6) A prolonged loss of electrical
power; (7) A fire alarm or explosion in the radiation room; (8) An alarm indicating UfJBUthorized 7
entry into the radiation room, area around pool, or another alarmed area; (9) Natural
phenomena, including an earthquake, a tornado, flooding, or phenomena as appropriate for the
(
geographical location of the facility; and {10) The jamming of automatic conveyor systems.
The petitioner states that 1 0 CFR 36, Subpart C specifies the design features of a
panoramic irradiator that address most of the items from the list in tenns of preventing
personnel exposures and damage to the sources during an abnormal event. SpecificaJly, the
petitioner states that access control system as described In 10 CFR 36.23 will prevent
unauthorized entry and protect against personnel exposure {item 2 on the list). In 1 0 CFR
36.39, the conveyor system must automatically be stopped if the exit radiation monitor detects a
source (item 3). Sources must be returned to the shielded position and access controls
maintained during a prolonged loss of electrical power as described in 10 CFR 36.37 (item 6).
A fire protection system designed to meet the requirements of 1 0 CFR 36.27 will cause the
sources to return to the shielded position in the event a fire is detected, thereby protecting the
sources from fire damage (Item 7). Unauthorized entry to the radiation room must, under
- 10 CFR 36.23 {a) cause the sources to return to the shielded position (item 8). If an automatic
conveyor system jams, the source rack protection required by 1 o CFR 3~.35 ensures that some
cause other than interference with the source rack is the cause of the jam, which will aJlow the
sources to be safely 'returned to the shielded position (item 10).
The petitioner contends that In the remaining abnormal event conditions listed in
1 0 CFR 36.53, appropriate response to the conditions would not necessarily be required
Immediately. That ls, responding to the event would entail some evaluation of the conditions
before deciding the proper actions to take. The petitioner believes that having individuals onsite
to respond to these conditions would not present a substantive improvement in safety over 8
having the same indMdual offsite, but available to respond promptly. In particular, the
petitioner notes that sources stuck in an unshielded position (Item 1 from the 11st), while
potentially causing damage to the product being irradiated if it cannot be independently
removed from the radiation room, do not present an immediate threat to personnel, provided
the access control system operates in accordance with the 10 CFA 36.23 design requirements.
Nor does a stuck source rack, in and of itself, pose a threat to the integrity of the sources.
Similarly, detection of a leaking source (item 4) would _not require quicker action than could be
provided by an offsite indMdual, as long as the water circulation system is automatically
stopped to prevent accumulation of contaminants In the water treatment and filtration system.
Water level alarms (item 5) and natural phenomena (item 9) would not present an immediate
hazard requiring onsite assistance, provided that the radiation room access control system is
operating properly.
Therefore, the petitioner contends that in considering the design requirements for
panoramic irradiators and the potential emergency or abnormal event conditions that are
- addressed in procedures as well as facility design, response by the licensee would not be
substantively impaired if the lndMdual responding to the alarms were not located onsite. The
petitioner states that automated communication system using current technology would provide
adequate protection of personnel and source integrity by alerting an offsite person who is able
to respond promptly.
In considering the potential imp~cts from the proposed rule change, the petitioner cites
that European nations permit unattended operation of irradiators, as requested in this petition.
The petitioner states that these lrradiators have similar or identical design characteristics to
those operating in the United States, In terms of the safety and monitoring systems, as well as 9
in product conveyance. The petitioner notes that there have been no Incidents at these
irradiators that can be traced to the practice of unattended operations.
Review of Events at Large Pool lrradlators
The petitioner notes that in reviewing information notices issued to irradiator operators
by the NRC over the past several years that none of the events described in the notices
occurred during unattended operations. However, the petitioner notes that NUREG-1345,
entitled "Review of Events at Large Pool -Type lrradiators," which summarizes 45 events at
- Category IV irradiators, specifically mentions three events that occurred during unattended
operations. They were:
- 1. Failure of Pool Water Purification System at RTI, Rockaway, NJ, September 22,
I 1986.
- 2. Product Conveyance Jam at Johnson & Johnson, Sydney, Australia, November 13,
1982.
- 3. Contaminated Water Spill at International Nutronics, Inc., Dover, NJ, December 31,
- 1982.
The petitioner provides a paragraph summarizing how each event occurred. The
petitioner states the situations prompting the first two events (I.e., low water level and product
conveyance system jam) are listed in the abnormal event procedures required under
10 CFR 36.53(b). The petitioner offers that under the proposed revision described In this
petition, both instances would require notification of the offsite indMdual. In the first event,
there were no offsite consequences or threats to worker or public health and safety, although 10
continued loss of pool water could have presented shielding problems Inside the irradiator. In
the second event, approximately 15 hours1.736111e-4 days <br />0.00417 hours <br />2.480159e-5 weeks <br />5.7075e-6 months <br /> passed between the initiating event (conveyor jam)
and the fire, which would have allowed more than adequate time for response and mitigation
had the offsite lndMdual been promptly notified.
The third event that occurred during unattended operations resulted not from the
lrradiator operation, but from operation of a pool water clean-up system. Under existing
regulations, attendance during this operation would not be specifically required.
Analysis of Events and Lessons Learned
The petitioner notes that in the "Analysis of Events and Lessons Learned" section of
NUREG-1345, Category IV irradiator events are grouped into several types and that to evaluate
whether the proposed regulatory revision is adequate to protect worker and public health and
safety, the potential consequences of each type of event under unattended operations as
described In this petition must be examined.
- The petitioner states that of the event types listed in NUREG-1345, those described as
management deficiencies are not directly related to attendance during operations. That is, the
presence of individuals onsite during operations would have no relevance to mitigating potential
consequences of management deficiencies, except as may be related to system problems with
- the irradiator itself.
The petitioner asserts that events stemming from system problems are the most likely
type of event that would have adverse consequences from unattended operations and that ir:,
11
NUREG-1345, this type of event is subdMded Into: (1) access control systems; (2) source
movement and suspension; (3) encapsulation; (4) pool leakage and pool purification system;
and (5) miscellaneous systems. The petitioner notes that in considering whether mitigation of
these types of events would be compromised by not having the irradiator operator onslte, the
most serious potential consequences would be the failure of the access control systems. The
petitioner notes that in NUREG-1345, three of the four events involving the access control
system resulted from systems that either were not operating properly or were not designed to
meet the criteria as currently specified in 1 O CFR 36. The other event involved an interlock
design defect that was corrected through wiring modification.
Unauthorized Access to the lrradiator
The petitioner argues that if the irradiator access control system is designed to meet the
requirements of 1 O CFR 36, that the primary and backup access control systems will ensure
that Inadvertent entry to the irradiator is not possible, even under conditions of unattended
operation. In addition, the petitioner states that the existing regulations require that the key
used to operate the irradiator be the same key used to open the door to the radiation room and
- that only one such key be in service at the facility. The petitioner proposes in the suggested
amendments that physically securing the key from removal would provide an additional layer of
protection against unauthorized access to the irradiator.
Other Type of lrradlator Events
The petitioner believes that response and mitigation of other type of events described in
NUREG-1345 would not be greatly Improved by having an onslte Individual to respond as
compared to the indMdual being offslte, but able to respond promptly. For example, source 12
racks stuck in the unshielded position typically require several hours or days to correct; that
mitigative and corrective actions in such instances would be accomplished by a team of
indMduals and would not be done solely by the two people required by the existing regulations
to be onsite. The petitioner believes that the small additional delay resulting from an indMdual
offsite being the first to respond to such an abnormal event would not have a discernible effect
on the adequacy of response.
As another example, the petitioner states that NUREG-1345 lists several events that
resulted in fires in the irradiator, that might be considered to have important consequences for
- unattended operations. The petitioner states that events in which there was an initiating event
from the irradlator system involved a significant time Interval between the initiating event,
usually a stuck source rack, and the fire. In those events, according to the petitioner, the time
delay ranged from approximately nine hours to eleven days, which would allow adequate time
for an offsite individual to respond and summon appropriate assistance. The petitioner notes
that properly designed source rack protective barriers, as required under 1 O CFR 36.35
minimizes the probability of having a source rack become stuck from product or carrier
- interference, which further reduces the fire potential in irradiators designed in accordance with
10 CFR 36 criteria.
Conclusion
The petitioner concludes that the consequences of Category IV irradiator events
described In NUREG-1345 would not be increased under the conditions proposed in this
petition. The petitioner believes that having an offslte operator with automatic communication
capabilities as described in this petition would not appreciably diminish response to and
13
mitigation of abnormal events or emergencies, and would not compromise safety of either the
workers or the general public.
- -1..
Dated at Rockville, Maryland, this d - day of September, 1998.
For the Nuclear Regulatory Commission.
John Seer of the Commission
l)()Cl(IT1:0 March 24, 1998 JUN 2 5 1998
~ __...... ~1t1111GSAND BER Attention: Rulemakings and Adjudications Staff ~ITAfF U.S. Nuclear Regulatory Commission ~ 3&.-f (~3FR~"f:l'IB)
Washington, DC 2055-0001
Attached is a petition for rulemaking from the committee charged with revision of American National Standards Institute standard N43.10, "Safe Design and Use of Panoramic, Wet Source Storage Gamma Irradiators (Category IV) and Panoramic, Dry Source Storage Gamma Irradiators (Categorry II)" (revised title). The petition is for revision to the regulation at Title 10 Code of Federal Regulations, §36.65 (a) and (b) in regard to attendance during operation for panoramic irradiators.
Correspondence related to the petition should be addressed to the Eric Beers, Co-Chair of the committee at the addres" shown below.
Eric Beers, Co-Chair, ANSI N43.l0 c/o SteriGenics International 23 l l Lincoln A venue Hayward, CA 94545-1117
Petitioner? ANS 10 Committee
,,, ' I.
Eric Beers, Co-Chair n t.."":f! Fl'tl~ D 1998 JUtJ 25 AH 8: I LI RULES & Uii US NRG /. ui"Y*NCH Petition to Amend Regulations at 10 CFR §36.65(a) and (b)
- 1. Background Information
In the Nuclear Regulatory Commission regulations for Licenses and Radiation Safety Requirements for Irradiators, 10 CFR §36.65(a) and (b), "Attendance during operation" state
"(a) Both an irradiator operator and at least one other individual, who is trained on how to respond and prepared to promptly render or summon assistance if the access control alarm sounds, shall be present onsite:
(1) Whenever the irradiator is operated using an automatic product conveyor system; and (2) Whenever the product is moved into or out of the radiation room when the irradiator is operated in a batch mode.
(b) At a panoramic irradiator at which static irradiations (no movement of the product) are
- occurring, a person who has received the training on how to respond to alarms described in §36.51(g) must be onsite."
At the time this regulation was promulgated in 1993, the intent was to ensure that appropriately trained personnel were available to provide prompt response to emergency or abnormal event conditions that could occur during operation of a panoramic irradiator. Based on case histories of accidents at panoramic irradiators and on the potential for automatic conveyor system malfunctions, (see Part 36 Statements of Consideration, February 9, 1993) the regulation was designed to ensure that the individuals responding to the abnormal event were physically located at the irradiator site to render prompt assistance.
Proposed Revision
Based on considerations discussed later in this petition, the following wording is suggested as a revision to 10 CFR §36.65(a) and (b), "Attendance during operation":
"(a) Both an irradiator operator and at least one other individual who is trained on how to respond to alarms as described in §36.Sl(g) and prepared to promptly render or summon assistance, shall be present onsite whenever it is necessary to enter the radiation room.
(b) At least one individual who has received the training on how to respond to alarms described in §36.51 (g) must be available and prepared to promptly respond to alarms, emergencies, or abnormal event conditions at any time a panoramic irradiator is operating.
If the individual is not onsite, (1) Automatic means of communications must be provided from the irradiator control system to alert the individual to alarms, emergencies, or abnormal event conditions. As a minimum, the automatic communication system must alert the individual to those emergency or abnormal events listed in §36.53(b).
Petition to Amend Regulation11 at 10 CFR §36.65(a) and (b) Page2 Petitioner. ANSI N43.10 Committee
(2) The irradiator control system must be secured from unauthorized access at any time an irradiator operator is not on.site. This security must include physically securing the key descnoed in §36.3 l(a) from being removed from the control CQnsole."
In addition, to provide an adequate level of assurance that safety will not be compromised by the actions under the proposed revision, an additional item should be incorporated into the requirements at 10 CFR §36.61(a), "Inspection and Maintenance":
"( 17) Operability of automatic communications systems used to alert individuals to alarms, emergencies, or abnormal event conditions if required by §36.65(b)(l)"
To clarify the meaning of these revisions, 10 CFR §36.2 should also be amended to include the following definition:
"Onsite means within the building housing the irradiator or on property controlled by the licensee that is contiguous with the building housing the irradiator."
- 3. Grounds for and Interest in Action Requested
Operation of a panoramic irradiator in other than static or batch modes under the existing regulations requires that at least two individuals be on.site at any time. Static irradiation can occur with one individual on site. These requirements dictate that personnel be employed to maintain adequate coverage on all shifts of a continuously operating panoramic irradiator facility. From both domestic and international operational experience with these large irradiators, there is no significant benefit to safety from having an individual on.site as opposed to being available to respond promptly from an offsite location.
In addition, the number of personnel required to operate and safely manage an irradiator has a substantial impact on the expense associated with conducting business. Personnel expenses in salary, benefits, insurance, training, and affiliated costs must eventually be passed on to customers. Employing a minimal number of employees without compromising safety provides an opportunity to optimize cost containment without eroding the facility's financial ability to maintain operations.
- 4. Supporting Information
Panoramic gamma irradiators are designed to require minimal or no operator intervention with the system to continue routine operations following start-up. While the operator and other individuals are required under the current regulations to be present on.site during routine product processing, their involvement with the irradiator controls or safety systems is minimal while the product is being irradiated during normal operations. Only during emergencies or abnormal Petition to Amend Reguladons at 10 CFR §36.63(a) and (b) Page 3 Petitioner: ANSI N43.10 Committee
events is some sort of human intervention required. Controlling the response to emergencies and abnonnal events, such as those listed in 10 CFR §36.53(b), requires intervention by the operator or other appropriately trained personnel to evaluate the situation and determine whether actions need to be taken and what specific action would be required. Therefore, the consideration as to the need to have individuals physically present onsite during operation is governed by the potential need to respond to emergencies and abnormal events.
At the time that Part 36 was promulgated, the best method for alerting individuals to emergency or abnormal event conditions was considered to be audible and visible alann systems that would annunciate within the facility. Individuals responsible for responding to the a1anns would be onsite and able to answer these a1anns promptly.
Wi~h recent improvements of communications technology, including wi!-eless communications, and in continuing improvement in process control technology, alerting an individual to an abnonnal event in an operating system does not have to rely solely on audible and visible signals within the facility to ensure that the alert is made. Automated alert systems can now be easily designed to provide an offsite alert to an individual available to respond promptly through technologies such as pagers, cellular telephones, land-line tdephones, remote process control monitoring, or other methods. Provided that the offsite individual is located so as to be available to respond promptly, response to a1arms could require only a slightly longer time than if the individual were onsite.
In the event of an emergency or abnormal event at an irradiator, the individual making the first response is typically the irradiator operator. Under the conditions of the current regulations, the implicit assumption is that, during evening or night shifts when the facility management or Radiation Safety Officer (RSO) are not assumed to be present, the irradiator operator would respond to the alert and assess the situation. In typical emergency procedures for panoramic irradiators, one of the first responsibilities of the irradiator operator responding to an alert is to notify the RSO of the condition and to rely on the RSO or facility management to provide specific instructions to take in responding to the emergency. Therefore, the initial response by an irradiator operator onsite during an abnormal event would be to secure the irradiator against entry and notify the RSO or other responsible party.
For response to any emergency situation, appropriate actions must be taken to prevent individuals from entering the radiation room while the sources are unshielded (i.e., to prevent personnel exposures) and to protect the sources from damage. The emergency and abnormal event conditions for which a licensee must implement procedures to address, as identified in 10 CPR
§36.53(b) are
( 1) Sources stuck in the unshielded position:
(2) Personnel overexposures; (3) A radiation alarm from the product exit portal monitor or pool monitor; (4) Detection ofleaking sources, pool contamination. or alann caused by contamination of pool water; Petition to Amend Regulations at IO CFR §36.65(a) and (b) Page4 Petitioner: ANSI N43.10 Committee
(5) A low or high water level indicator, an abnormal water loss, or leakage from the source storage pool; (6) A prolonged loss of electrical power; (7) A fire a1arm or explosion in the radiation room; (8) An alarm indicating unauthorized entry into the radiation room, area aroood pool, or another alarmed area; (9) Natural phenome~ including an earthquake, a tornado, flooding, or other phenomena as appropriate for the geographical location of the facility; and (10) The jamming of automatic conveyor systems.
Design features of a panoramic irradiator, as required under 10 CFR 36, Subpart C, address most items from this list in terms of preventing personnel exposures and damage to the sources during an abnormal event. Specifically, the access control system as described frl 10 CFR §36.23 will prevent unauthorized entry and protect against personnel exposure (item 2 on the above list). In 10 CFR §36.39, the conveyor system must automatically be stopped if the exit radiation monitor detects a source (item 3). Sources must be returned to the shielded position and access controls maintained during a pro longed loss of electrical power as descnbed in 10 CFR §36.3 7 (item 6).
A fire protection system designed to meet the requirements of 10 CFR §36.27 will cause the sources to return to the shielded position in the event a fire is detecte~ thereby protecting the sources from fire damage (item 7). Unauthorized entry to the radiation room must, under 10 CFR §36.23(a), cause the sources to return to the shielded position (item 8). If an automatic conveyor system.jams, the source rack protection required by 10 CFR §36.35 ensures that some cause other than interference with the source rack is the cause of the jam, which will allow the sources to be safely returned to the shielded position (item 10).
In the remaining abnonnal event conditions listed in 10 CFR §36.53, appropriate response to the conditions would not necessarily be required immediately. That is, responding to the event would entail some evaluation of the conditions before deciding the proper actions to take. Having individuals onsite to respond to these conditions would not present a substantive improvement in safety over having the same individual offsite, but available to respond promptly. In pru ticular, sources stuck in an unshielded position (item 1 from the above list), while potentially causing damage to the product being irradiated if it cannot be independently removed from the radiation room, do not present an immediate threat to personnel provided the access control system operates in accordance with the 10 CFR §36.23 design requirements. Nor does a stuck source rack, in and of itself, pose a threat to the integrity of the sources. Similarly, detection of a leaking source (item 4) would not require quicker action than could be provided by an offsite individual, as long as the water circulation system is automatically stopped to prevent accumulation of contaminants in the water treatment and filtration system. Water level alarms (item 5) and natural phenomena (item 9) would not present an immediate hazard requiring onsite assistance, provided that the radiation room access control system is operating properly.
Therefore, in considering the design requirements for panoramic irradiators and the potential emergency or abnormal event conditions that are addressed in procedures as well as facility Petition to Amend Regulations at 10 CFR §36.6S(a) and (b) Page5 Petitioner: ANSI N43.IO Committee
design, response by the licensee would not be substantively impaired if the individual responding to the alarms were not located onsite. Automated communication systems using current technology would provide for adequate protection of personnel and source integrity by alerting an offsite person who is able to respond promptly.
In considering the potential impacts from the proposed rule change, it should also be noted that European nations permit unattended operation of irradiators, as requested in this petition. These irradiators have similar or identical design characteristics to those operating in the United States, in terms of the safety and monitoring systems, as well as in product conveyence. There have been no incidents at these irradiators that can be traced to the practice of unattended operations.
In reviewing information notices issued to irradiator operators by the NRC over the past several years, none Jfthe events described in the notices were described as having occurred during unattended operations. However, NUREG-1345, Review of Events at Large Pool-Type Irradiators" (1989), which summarized 45 events at Category IV irradiators, specifically
- mentioned three events as having occurred during unattended operations. These were:
- 1. Failure of Pool Water Purification System at RTI, Rockaway, NJ, September 22, 1986
In this event, failure of the pool water purification system during unattended operations had resulted in release of uncontaminated pool water into pump room, which subsequently drained to the site sanitary sewer. A low-water alarm was activated in the irradiator control system.
- 2. Product Conveyance Jam at Johnson & Johnson, Sydney, Australia, November 13, 1982
In this event, the product conveyance systemjammed during unattended operation.
Coupled with a failure of the protective interlock that was to have shut the system down in the event of a product conveyor jam, a fire resulted. The conveyor jam was recorded as occurring shortly aner 2:00 PM, while the fire resulted at about 5:00 AM the following day.
- 3. Contaminated Water Spill at International Nutronics, Inc., Dover, NJ, December 31, 1982
This event occurred during unattended pool water clean-up operations in which a water line broke, resulting in release of contaminated water to the facility floor and soil outside the facility.
Situations prompting the first two of these events (i.e., low water level an<l product conveyance systemjam) are listed in the abnormal event procedures required under 10 CFR §36.53(b). Under the proposed regulatory revision described in this petition. both instances would require notification of the offsite individual. Note that, in the first event. there were no offsite consequences nor threat to worker or public health and safety, although continued loss of pool Petition to Amend Regulations at 10 CFR §36.65(*) and (b) Page6 Petitioner: ANSI N43.l0 Committee
water could have presented shielding problems inside the irradiator. In the second event, approximately 15 hours1.736111e-4 days <br />0.00417 hours <br />2.480159e-5 weeks <br />5.7075e-6 months <br /> passed between the initiating event ( conveyor jam) and the fire, which would have allowed more than adequate time for response and mitigation had the ofl:site individual been promptly notified.
The third event shown as occurring during unattended operations resulted not from the irradiator operation, but from operation of a pool water clean-up system Under existing regulations, attendance during this operation would not be specifically required.
In the "Analysis of Events and Lessons Learned" section ofNUREG-1345, Category IV irradiator events are grouped into several types. To evaluate whether the proposed regulatory revision is adequate to protect worker and public health and safety, the potential consequences of each of type of event under unattended operations as described in this petition must,e examined.
Of the event types listed in NUREG-1345, those described as management deficiencies are not
- directly related to attendance during operations. That is, the presence of individuals onsite during operations would have no relevance to mitigating potential consequences of management deficiencies, except as may be related to system problems with the irradiator itself.
Events stemming from system problems are the most likely type of event in which adverse consequences from unattended operation could be postulated. In NUREG-1345, this type of event is sulxiivided into ( l) access control systems, (2) source movement and suspension, (3) encapsulation, (4) pool leakage and pool purification system, and (5) miscellaneous systems.
Considering whether mitigation of these types of events would be compromised by not having the irradiator operator onsite, the most serious potential consequences would be in failure of the access control systems. In NUREG-1345, three of the four events involving the access control system resulted from systems that either were not operating properly or were not designed to meet the criteria as currently specified in 10 CFR 36. The other event involved an interlock
- design defect that was corrected through wiring modification.
- If the irradiator access control system is designed to meet the requirements of 10 CFR 36, primary and backup access control systems will ensure that inadvertent entry to the irradiator is not possible, even under conditions of unattended operation. In addition, the existing regulations require that the key used to operate the irradiator be the same as the key used to open the door to the radiation room and that only one such key be in service at the facility. Under the revisions proposed in this petition, physically securing that key from removal would provide an additional layer of protection against unauthorized access to the irradiator.
Response to a11d mitigation of other types of events described in NUREG-1345 would not be greatly improved by having an onsite individual to respond as compared to the individual being ofl:site, but able to respond promptly. For example, source racks stuck in the unshielded position typically require several hours or days to correct. Mitigative and corrective actions in such instances W<?uld be accomplished by a team of individuals and would not be done solely by the Petition to Ameod Regulations at IO CFR §36.63(a) and (b) Page 7 Pedtioner: ANSI N43.IO Committee
two people required by existing regulations to be onsite. The small additional delay resulting from an offsite individual being the first to respond to such abnormal event conditions would not have a discemable effect on the adequacy of response.
As another example, NUREG-1345 lists several events that resulted in fires in the irradiator, which might be considered to have important consequences for unattended operations. However, events in which there was an initiating event from the irradiator system involved a significant time interval between the initiating event, usually a stuck source rack, and the fire. In those events listed in NUREG-1345, this time delay ranged from approximately nine hours to eleven days, which would allow adequate time for an offsite individual to respond and summon appropriate assistance.
Properly designed sourr" rack protective barriers, as required under 10 CFR §36.35, minimize the probability of having a source rack become stuck from product or carrier interference. This further reduces the fire potential in irradiators designed to 10 CFR 36 criteria.
In summary, the consequences of Category IV irradiator events that described in NUREG-1345 would not be increased under the conditions proposed in this petition. Having an offsite operator with automatic communications capabilities as described in this petition would not appreciably diminish response to and mitigation of abnormal events or emergencies, and would not compromise safety of either the workers or the general public.