Information Notice 2004-14, Use of Less Then Optimal Bounding Assumptions in Criticality Safety Analysis at Fuel Cycle Facilities: Difference between revisions
StriderTol (talk | contribs) (Created page by program invented by StriderTol) |
StriderTol (talk | contribs) (StriderTol Bot change) |
||
| Line 16: | Line 16: | ||
{{#Wiki_filter:UNITED STATES | {{#Wiki_filter:UNITED STATES | ||
NUCLEAR REGULATORY COMMISSION | ===NUCLEAR REGULATORY COMMISSION=== | ||
OFFICE OF NUCLEAR REACTOR REGULATION | OFFICE OF NUCLEAR REACTOR REGULATION | ||
OFFICE OF NUCLEAR MATERIAL SAFETY AND SAFEGUARDS | ===OFFICE OF NUCLEAR MATERIAL SAFETY AND SAFEGUARDS=== | ||
WASHINGTON, D.C. 20555 | |||
===July 19, 2004=== | |||
NRC INFORMATION NOTICE 2004-14: | |||
===USE OF LESS THAN OPTIMAL BOUNDING=== | |||
ASSUMPTIONS IN CRITICALITY SAFETY | ASSUMPTIONS IN CRITICALITY SAFETY | ||
ANALYSIS AT FUEL CYCLE FACILITIES | ===ANALYSIS AT FUEL CYCLE FACILITIES=== | ||
==Addressees== | ==Addressees== | ||
| Line 38: | Line 40: | ||
addressees to a safety concern arising from the use of less than optimal bounding assumptions | addressees to a safety concern arising from the use of less than optimal bounding assumptions | ||
in criticality safety analysis at fuel cycle facilities. It is expected that recipients will review the | in criticality safety analysis at fuel cycle facilities. It is expected that recipients will review the | ||
information for applicability to their facilities and consider actions, as appropriate, to avoid | information for applicability to their facilities and consider actions, as appropriate, to avoid | ||
similar problems. However, suggestions contained in this IN are not new NRC requirements; | similar problems. However, suggestions contained in this IN are not new NRC requirements; | ||
therefore, no specific action nor written response is required. | therefore, no specific action nor written response is required. | ||
| Line 51: | Line 53: | ||
masses of fissile material are required to analyze all accident scenarios leading to criticality and | masses of fissile material are required to analyze all accident scenarios leading to criticality and | ||
provide reliable controls to assure that inadvertent criticality events are highly unlikely. Typical | provide reliable controls to assure that inadvertent criticality events are highly unlikely. Typical | ||
criticality analysis identifies credible accident sequences leading to criticality; identifies | criticality analysis identifies credible accident sequences leading to criticality; identifies | ||
| Line 58: | Line 60: | ||
and establishes limits or boundaries of processes, equipment, or material within which | and establishes limits or boundaries of processes, equipment, or material within which | ||
bounding assumptions are applicable. Criticality may be deemed not credible when inherent | bounding assumptions are applicable. Criticality may be deemed not credible when inherent | ||
features of the process, equipment, or material in a specific accident sequence leading to | features of the process, equipment, or material in a specific accident sequence leading to | ||
criticality can be shown to constrain the reactivity of fissile material within subcritical limits. The | criticality can be shown to constrain the reactivity of fissile material within subcritical limits. The | ||
safety concern arises when accident scenarios leading to criticality are deemed not credible, based on bounding assumptions that are less than optimal for the system involved. | safety concern arises when accident scenarios leading to criticality are deemed not credible, based on bounding assumptions that are less than optimal for the system involved. | ||
| Line 68: | Line 70: | ||
Recently, a licensee reported an event, to NRC, concerning operation of an incinerator outside | Recently, a licensee reported an event, to NRC, concerning operation of an incinerator outside | ||
of the approved safety basis. The licensee had performed a criticality safety evaluation of an | of the approved safety basis. The licensee had performed a criticality safety evaluation of an | ||
incinerator approximately 8 years previously and concluded that criticality was not credible | incinerator approximately 8 years previously and concluded that criticality was not credible | ||
outside of the primary combustion chamber. Licensee nuclear criticality safety (NCS) analysis | outside of the primary combustion chamber. Licensee nuclear criticality safety (NCS) analysis | ||
focused on accumulation of sufficient mass in the incinerator system to support criticality. | focused on accumulation of sufficient mass in the incinerator system to support criticality. | ||
Based on mass limits on the input waste stream, licensee NCS engineers determined that most | ML041760122 | ||
1 keff is the effective neutron multiplication factor for the system under consideration. | |||
The licensee had defined the critical point in its license as keff =0.98. Based on mass limits on the input waste stream, licensee NCS engineers determined that most | |||
mass resulting from incineration would accumulate in the primary combustion chamber and that | mass resulting from incineration would accumulate in the primary combustion chamber and that | ||
| Line 94: | Line 100: | ||
mass controls on the primary combustion chamber would limit uranium concentration in the ash | mass controls on the primary combustion chamber would limit uranium concentration in the ash | ||
to less than 21.6 wt% throughout the incinerator system. This led the licensees NCS engineers | to less than 21.6 wt% throughout the incinerator system. This led the licensees NCS engineers | ||
to conclude that criticality outside the primary combustion chamber was not credible. | to conclude that criticality outside the primary combustion chamber was not credible. | ||
| Line 102: | Line 108: | ||
quantities of ash outside the primary combustion chamber at concentrations in excess of | quantities of ash outside the primary combustion chamber at concentrations in excess of | ||
21.6 wt% U. The licensees investigation revealed that ash deposits at various locations in the | 21.6 wt% U. The licensees investigation revealed that ash deposits at various locations in the | ||
incinerator routinely exceeded the 21.6 wt% uranium concentration assumed to be bounding for | incinerator routinely exceeded the 21.6 wt% uranium concentration assumed to be bounding for | ||
| Line 111: | Line 117: | ||
In the described event, the chosen uranium concentration was arbitrary and did not bound the | In the described event, the chosen uranium concentration was arbitrary and did not bound the | ||
subject fissile system. 21.6 wt% U is not a natural limit on U concentration in incinerator ash | subject fissile system. 21.6 wt% U is not a natural limit on U concentration in incinerator ash | ||
and is less than optimal because higher uranium concentrations produce a more reactive fissile | and is less than optimal because higher uranium concentrations produce a more reactive fissile | ||
system. The value results from an infinite media calculation where optimum moderation | system. The value results from an infinite media calculation where optimum moderation | ||
conditions are established with ash replaced by a uranium dioxide and water mixture. The | conditions are established with ash replaced by a uranium dioxide and water mixture. The | ||
limiting concentration is related to the critical point, in this case keff = 0.98.1 To complete | limiting concentration is related to the critical point, in this case keff = 0.98.1 To complete | ||
analysis of the incinerator, the licensee looked at data from selected parts of the incinerator | analysis of the incinerator, the licensee looked at data from selected parts of the incinerator | ||
| Line 125: | Line 131: | ||
system and concluded that 21.6 wt% U far exceeded uranium concentrations typically expected | system and concluded that 21.6 wt% U far exceeded uranium concentrations typically expected | ||
in the system. However, U concentration frequently exceeded 21.6 wt% in the primary and | in the system. However, U concentration frequently exceeded 21.6 wt% in the primary and | ||
secondary combustion chambers and flue. The licensee failure to recognize that the actual U | secondary combustion chambers and flue. The licensee failure to recognize that the actual U | ||
content of the ash was related, in part, to weak documentation of bounding assumptions and | content of the ash was related, in part, to weak documentation of bounding assumptions and | ||
| Line 143: | Line 149: | ||
Less than optimal bounding assumptions for criticality safety are most often seen in ventilation | Less than optimal bounding assumptions for criticality safety are most often seen in ventilation | ||
and off-gas systems, waste-processing systems, and incinerators. Licensees should consider | and off-gas systems, waste-processing systems, and incinerators. Licensees should consider | ||
actions, as appropriate, to mitigate this vulnerability. These actions could include reviewing all | actions, as appropriate, to mitigate this vulnerability. These actions could include reviewing all | ||
accident sequences where less than optimal bounding assumptions were used to establish | accident sequences where less than optimal bounding assumptions were used to establish | ||
NCS controls or determine that criticality is not credible. Actions could also include verifying | NCS controls or determine that criticality is not credible. Actions could also include verifying that bounding assumptions are actually bounding, for example, by reviewing available material | ||
composition data for evidence that attributes such as isotope concentration are actually within | composition data for evidence that attributes such as isotope concentration are actually within | ||
| Line 159: | Line 161: | ||
expected values. | expected values. | ||
This IN requires no specific action nor written response. If you have any questions about the | This IN requires no specific action nor written response. If you have any questions about the | ||
information in this notice, please contact the technical contact listed below. | information in this notice, please contact the technical contact listed below. | ||
/RA/ | /RA/ | ||
William D. Beckner, Chief | /RA/ | ||
===William D. Beckner, Chief=== | |||
Robert C. Pierson, Director | |||
Reactor Operations Branch | ===Reactor Operations Branch=== | ||
Division of Fuel Cycle Safety | |||
Division of Inspection Program Management | ===Division of Inspection Program Management=== | ||
and Safeguards | |||
Office of Nuclear Reactor Regulation | ===Office of Nuclear Reactor Regulation=== | ||
Office of Nuclear Material Safety | |||
and Safeguards | and Safeguards | ||
| Line 177: | Line 185: | ||
===Dennis Morey, NMSS=== | ===Dennis Morey, NMSS=== | ||
301-415-6107 E-mail: dcm@nrc.gov | |||
Attachments: | Attachments: | ||
1. List of Recently Issued NMSS Information Notices | 1. List of Recently Issued NMSS Information Notices | ||
2. List of Recently Issued NRC Information Notices that bounding assumptions are actually bounding, for example, by reviewing available material | 2. List of Recently Issued NRC Information Notices that bounding assumptions are actually bounding, for example, by reviewing available material | ||
composition data for evidence that attributes such as isotope concentration are actually within | composition data for evidence that attributes such as isotope concentration are actually within | ||
| Line 188: | Line 196: | ||
expected values. | expected values. | ||
This IN requires no specific action nor written response. If you have any questions about the | This IN requires no specific action nor written response. If you have any questions about the | ||
information in this notice, please contact the technical contact listed below. | information in this notice, please contact the technical contact listed below. | ||
/RA/ | /RA/ | ||
William D. Beckner, Chief | /RA/ | ||
===William D. Beckner, Chief=== | |||
Robert C. Pierson, Director | |||
Reactor Operations Branch | ===Reactor Operations Branch=== | ||
Division of Fuel Cycle Safety | |||
Division of Inspection Program Management | ===Division of Inspection Program Management=== | ||
and Safeguards | |||
Office of Nuclear Reactor Regulation | ===Office of Nuclear Reactor Regulation=== | ||
Office of Nuclear Material Safety | |||
and Safeguards | and Safeguards | ||
| Line 206: | Line 220: | ||
===Dennis Morey, NMSS=== | ===Dennis Morey, NMSS=== | ||
301-415-6107 E-mail: dcm@nrc.gov | |||
Attachments: | Attachments: | ||
1. List of Recently Issued NMSS Information Notices | 1. List of Recently Issued NMSS Information Notices | ||
2. List of Recently Issued NRC Information Notices | |||
ML041760122 OFC | |||
TSG | |||
TSG | |||
Tech ED | |||
TSG | |||
OI | |||
NAME | |||
DMorey:dw | |||
RCesaro | |||
Ekraus: by fax | |||
MGalloway | |||
MKFahey | |||
DATE | |||
6/ 24 /04 | |||
6/ 29 /04 | |||
6/ 22 /04 | |||
6/ 30 /04 | |||
7/ 01 /04 OFC | |||
NRR | |||
FCSS | |||
NAME | |||
WBeckner | |||
RPierson | |||
DATE | |||
7/ 02 /04 | |||
7/ 19 /04 C = COVER | |||
E = COVER & ENCLOSUREN = N0 COPY | |||
===OFFICIAL RECORD COPY=== | |||
______________________________________________________________________________________ | |||
OL = Operating License | |||
CP = Construction Permit | |||
===Attachment 1 LIST OF RECENTLY ISSUED=== | |||
NMSS INFORMATION NOTICES | NMSS INFORMATION NOTICES | ||
_____________________________________________________________________________________ | _____________________________________________________________________________________ | ||
Information | Information | ||
Date of | |||
Notice No. | |||
Subject | |||
Issuance | |||
Issued to | |||
_____________________________________________________________________________________ | _____________________________________________________________________________________ | ||
2004-13 | 2004-13 | ||
Assurance Requirements for | ===Registration, Use, and Quality=== | ||
Assurance Requirements for | |||
NRC-Certified Transportation | NRC-Certified Transportation | ||
Packages | Packages | ||
06/30/2004 All materials and | |||
decommissioning reactor | |||
licensees. | |||
2004-03 | |||
===Radiation Exposures to=== | |||
Members of the Public in | Members of the Public in | ||
Excess of Regulatory Limits | ===Excess of Regulatory Limits=== | ||
Caused by Failures to Perform | |||
===Appropriate Radiation Surveys=== | |||
During Well-logging Operations | |||
02/24/2004 All well-logging licensees. | |||
2004-02 Strontium-90 Eye Applicators | |||
===New Calibration Values and Use=== | |||
02/05/2004 | |||
===All U.S. Nuclear Regulatory=== | |||
Commission (NRC) medical-use | |||
licensees and NRC master | licensees and NRC master | ||
| Line 265: | Line 342: | ||
permittees. | permittees. | ||
2003-22 | 2003-22 | ||
===Heightened Awareness for=== | |||
Patients Containing Detectable | |||
===Amounts of Radiation from=== | |||
Medical Administrations | |||
12/09/2003 | |||
===All medical licensees and NRC=== | |||
Master Materials Licens | |||
medical use permittees. | |||
2003-21 | 2003-21 High-Dose-Rate-Remote- | ||
Afterloader Equipment Failure | ===Afterloader Equipment Failure=== | ||
11/24/2003 All medical licensees. | |||
Note: | Note: | ||
NRC generic communications may be received in electronic format shortly after they are issued by | |||
subscribing to the NRC listserver as follows: | subscribing to the NRC listserver as follows: | ||
To subscribe send an e-mail to <listproc@nrc.gov >, no subject, and the following command in the | |||
message portion: | message portion: | ||
subscribe gc-nrr firstname lastname | |||
______________________________________________________________________________________ | ______________________________________________________________________________________ | ||
| Line 290: | Line 376: | ||
CP = Construction Permit | CP = Construction Permit | ||
Attachment 2 LIST OF RECENTLY ISSUED | ===Attachment 2 LIST OF RECENTLY ISSUED=== | ||
NRC INFORMATION NOTICES | NRC INFORMATION NOTICES | ||
_____________________________________________________________________________________ | _____________________________________________________________________________________ | ||
Information | Information | ||
Date of | |||
Notice No. | |||
Subject | |||
Issuance | |||
Issued to | |||
_____________________________________________________________________________________ | _____________________________________________________________________________________ | ||
2004-13 | 2004-13 | ||
Assurance Requirements for | ===Registration, Use, and Quality=== | ||
Assurance Requirements for | |||
NRC-Certified Transportation | NRC-Certified Transportation | ||
Packages | Packages | ||
06/30/2004 | |||
===All materials and=== | |||
decommissioning reactor | |||
licensees. | |||
2004-12 | |||
===Spent Fuel Rod Accountability=== | |||
06/25/2004 | |||
===All holders of operating licenses=== | |||
for nuclear power reactors, research and test reactors, decommissioned sites storing | for nuclear power reactors, research and test reactors, decommissioned sites storing | ||
| Line 316: | Line 421: | ||
spent fuel storage sites. | spent fuel storage sites. | ||
2004-11 | 2004-11 | ||
===Cracking in Pressurizer Safety=== | |||
and Relief Nozzles and in | |||
===Surge Line Nozzle=== | |||
05/06/2004 | |||
===All holders of operating licenses or=== | |||
construction permits for nuclear | |||
power reactors, except those that | |||
have permanently ceased | have permanently ceased | ||
| Line 330: | Line 442: | ||
removed from the reactor. | removed from the reactor. | ||
2004-10 | 2004-10 | ||
===Loose Parts in Steam=== | |||
Generators | |||
05/04/2004 | |||
===All holders of operating licenses=== | |||
for pressurized-water reactors | |||
(PWRs), except those who have | (PWRs), except those who have | ||
| Line 344: | Line 462: | ||
the reactor. | the reactor. | ||
2004-09 | 2004-09 | ||
Containment and Containment | ===Corrosion of Steel=== | ||
Containment and Containment | |||
Liner | Liner | ||
04/27/2004 | |||
===All holders of operating licenses=== | |||
for nuclear power reactors except | |||
those who have permanently | |||
ceased operation and have | ceased operation and have | ||
| Line 358: | Line 484: | ||
reactor vessel. | reactor vessel. | ||
Note: | Note: | ||
NRC generic communications may be received in electronic format shortly after they are issued by | |||
subscribing to the NRC listserver as follows: | subscribing to the NRC listserver as follows: | ||
To subscribe send an e-mail to <listproc@nrc.gov >, no subject, and the following command in the | |||
message portion: | message portion: | ||
subscribe gc-nrr firstname lastname}} | |||
{{Information notice-Nav}} | {{Information notice-Nav}} | ||
Latest revision as of 02:33, 16 January 2025
| ML041760122 | |
| Person / Time | |
|---|---|
| Issue date: | 07/19/2004 |
| From: | Beckner W, Pierson R Office of Nuclear Material Safety and Safeguards, NRC/NRR/DIPM |
| To: | |
| References | |
| IN-04-014 | |
| Download: ML041760122 (6) | |
UNITED STATES
NUCLEAR REGULATORY COMMISSION
OFFICE OF NUCLEAR REACTOR REGULATION
OFFICE OF NUCLEAR MATERIAL SAFETY AND SAFEGUARDS
WASHINGTON, D.C. 20555
July 19, 2004
NRC INFORMATION NOTICE 2004-14:
USE OF LESS THAN OPTIMAL BOUNDING
ASSUMPTIONS IN CRITICALITY SAFETY
ANALYSIS AT FUEL CYCLE FACILITIES
Addressees
All licensees authorized to possess a critical mass of special nuclear material.
Purpose
The U.S. Nuclear Regulatory Commission (NRC) is issuing this information notice (IN) to alert
addressees to a safety concern arising from the use of less than optimal bounding assumptions
in criticality safety analysis at fuel cycle facilities. It is expected that recipients will review the
information for applicability to their facilities and consider actions, as appropriate, to avoid
similar problems. However, suggestions contained in this IN are not new NRC requirements;
therefore, no specific action nor written response is required.
Description of Circumstances
Under 10 CFR Parts 70 and 76, certain licensees processing, storing, or handling critical
masses of fissile material are required to analyze all accident scenarios leading to criticality and
provide reliable controls to assure that inadvertent criticality events are highly unlikely. Typical
criticality analysis identifies credible accident sequences leading to criticality; identifies
reasonable bounding assumptions related to the processes, equipment, or material analyzed;
and establishes limits or boundaries of processes, equipment, or material within which
bounding assumptions are applicable. Criticality may be deemed not credible when inherent
features of the process, equipment, or material in a specific accident sequence leading to
criticality can be shown to constrain the reactivity of fissile material within subcritical limits. The
safety concern arises when accident scenarios leading to criticality are deemed not credible, based on bounding assumptions that are less than optimal for the system involved.
Recently, a licensee reported an event, to NRC, concerning operation of an incinerator outside
of the approved safety basis. The licensee had performed a criticality safety evaluation of an
incinerator approximately 8 years previously and concluded that criticality was not credible
outside of the primary combustion chamber. Licensee nuclear criticality safety (NCS) analysis
focused on accumulation of sufficient mass in the incinerator system to support criticality.
1 keff is the effective neutron multiplication factor for the system under consideration.
The licensee had defined the critical point in its license as keff =0.98. Based on mass limits on the input waste stream, licensee NCS engineers determined that most
mass resulting from incineration would accumulate in the primary combustion chamber and that
ash resulting from incineration would never exceed a concentration of 21.6 weight percent
uranium (wt% U) which is always subcritical in infinite media at the optimal moderator ratio.
Based on this conclusion, criticality safety limits and controls were developed and implemented
only for the primary combustion chamber, which was a small fraction of the incinerator system.
Licensee NCS engineers believed that very limited amounts of ash would carry over from the
incinerator primary combustion chamber to the remainder of the incinerator system and that
mass controls on the primary combustion chamber would limit uranium concentration in the ash
to less than 21.6 wt% throughout the incinerator system. This led the licensees NCS engineers
to conclude that criticality outside the primary combustion chamber was not credible.
On March 5, 2004, the licensee reported an event concerning the accumulation of significant
quantities of ash outside the primary combustion chamber at concentrations in excess of
21.6 wt% U. The licensees investigation revealed that ash deposits at various locations in the
incinerator routinely exceeded the 21.6 wt% uranium concentration assumed to be bounding for
ash and that the mass of ash deposited also exceeded expectations.
Discussion:
In the described event, the chosen uranium concentration was arbitrary and did not bound the
subject fissile system. 21.6 wt% U is not a natural limit on U concentration in incinerator ash
and is less than optimal because higher uranium concentrations produce a more reactive fissile
system. The value results from an infinite media calculation where optimum moderation
conditions are established with ash replaced by a uranium dioxide and water mixture. The
limiting concentration is related to the critical point, in this case keff = 0.98.1 To complete
analysis of the incinerator, the licensee looked at data from selected parts of the incinerator
system and concluded that 21.6 wt% U far exceeded uranium concentrations typically expected
in the system. However, U concentration frequently exceeded 21.6 wt% in the primary and
secondary combustion chambers and flue. The licensee failure to recognize that the actual U
content of the ash was related, in part, to weak documentation of bounding assumptions and
poor definition of incinerator system boundaries to which the bounding assumptions applied.
The accumulation of material outside the primary combustion chamber at the U concentrations
seen, along with the availability of water in the incinerator off-gas quench system, results in the
conclusion that criticality was actually credible in the incinerator secondary combustion
chamber.
Less than optimal bounding assumptions for criticality safety are most often seen in ventilation
and off-gas systems, waste-processing systems, and incinerators. Licensees should consider
actions, as appropriate, to mitigate this vulnerability. These actions could include reviewing all
accident sequences where less than optimal bounding assumptions were used to establish
NCS controls or determine that criticality is not credible. Actions could also include verifying that bounding assumptions are actually bounding, for example, by reviewing available material
composition data for evidence that attributes such as isotope concentration are actually within
expected values.
This IN requires no specific action nor written response. If you have any questions about the
information in this notice, please contact the technical contact listed below.
/RA/
/RA/
William D. Beckner, Chief
Robert C. Pierson, Director
Reactor Operations Branch
Division of Fuel Cycle Safety
Division of Inspection Program Management
and Safeguards
Office of Nuclear Reactor Regulation
Office of Nuclear Material Safety
and Safeguards
Technical Contact:
Dennis Morey, NMSS
301-415-6107 E-mail: dcm@nrc.gov
Attachments:
1. List of Recently Issued NMSS Information Notices
2. List of Recently Issued NRC Information Notices that bounding assumptions are actually bounding, for example, by reviewing available material
composition data for evidence that attributes such as isotope concentration are actually within
expected values.
This IN requires no specific action nor written response. If you have any questions about the
information in this notice, please contact the technical contact listed below.
/RA/
/RA/
William D. Beckner, Chief
Robert C. Pierson, Director
Reactor Operations Branch
Division of Fuel Cycle Safety
Division of Inspection Program Management
and Safeguards
Office of Nuclear Reactor Regulation
Office of Nuclear Material Safety
and Safeguards
Technical Contact:
Dennis Morey, NMSS
301-415-6107 E-mail: dcm@nrc.gov
Attachments:
1. List of Recently Issued NMSS Information Notices
2. List of Recently Issued NRC Information Notices
ML041760122 OFC
Tech ED
NAME
DMorey:dw
RCesaro
Ekraus: by fax
MGalloway
MKFahey
DATE
6/ 24 /04
6/ 29 /04
6/ 22 /04
6/ 30 /04
7/ 01 /04 OFC
FCSS
NAME
WBeckner
RPierson
DATE
7/ 02 /04
7/ 19 /04 C = COVER
E = COVER & ENCLOSUREN = N0 COPY
OFFICIAL RECORD COPY
______________________________________________________________________________________
OL = Operating License
CP = Construction Permit
Attachment 1 LIST OF RECENTLY ISSUED
NMSS INFORMATION NOTICES
_____________________________________________________________________________________
Information
Date of
Notice No.
Subject
Issuance
Issued to
_____________________________________________________________________________________
2004-13
Registration, Use, and Quality
Assurance Requirements for
NRC-Certified Transportation
Packages
06/30/2004 All materials and
decommissioning reactor
licensees.
2004-03
Radiation Exposures to
Members of the Public in
Excess of Regulatory Limits
Caused by Failures to Perform
Appropriate Radiation Surveys
During Well-logging Operations
02/24/2004 All well-logging licensees.
2004-02 Strontium-90 Eye Applicators
New Calibration Values and Use
02/05/2004
All U.S. Nuclear Regulatory
Commission (NRC) medical-use
licensees and NRC master
materials license medical-use
permittees.
2003-22
Heightened Awareness for
Patients Containing Detectable
Amounts of Radiation from
Medical Administrations
12/09/2003
All medical licensees and NRC
Master Materials Licens
medical use permittees.
2003-21 High-Dose-Rate-Remote-
Afterloader Equipment Failure
11/24/2003 All medical licensees.
Note:
NRC generic communications may be received in electronic format shortly after they are issued by
subscribing to the NRC listserver as follows:
To subscribe send an e-mail to <listproc@nrc.gov >, no subject, and the following command in the
message portion:
subscribe gc-nrr firstname lastname
______________________________________________________________________________________
OL = Operating License
CP = Construction Permit
Attachment 2 LIST OF RECENTLY ISSUED
NRC INFORMATION NOTICES
_____________________________________________________________________________________
Information
Date of
Notice No.
Subject
Issuance
Issued to
_____________________________________________________________________________________
2004-13
Registration, Use, and Quality
Assurance Requirements for
NRC-Certified Transportation
Packages
06/30/2004
All materials and
decommissioning reactor
licensees.
2004-12
Spent Fuel Rod Accountability
06/25/2004
All holders of operating licenses
for nuclear power reactors, research and test reactors, decommissioned sites storing
spent fuel in a pool, and wet
spent fuel storage sites.
2004-11
Cracking in Pressurizer Safety
and Relief Nozzles and in
Surge Line Nozzle
05/06/2004
All holders of operating licenses or
construction permits for nuclear
power reactors, except those that
have permanently ceased
operations and have certified that
fuel has been permanently
removed from the reactor.
2004-10
Loose Parts in Steam
Generators
05/04/2004
All holders of operating licenses
for pressurized-water reactors
(PWRs), except those who have
permanently ceased operations
and have certified that fuel has
been permanently removed from
the reactor.
2004-09
Corrosion of Steel
Containment and Containment
Liner
04/27/2004
All holders of operating licenses
for nuclear power reactors except
those who have permanently
ceased operation and have
certified that fuel has been
permanently removed from the
reactor vessel.
Note:
NRC generic communications may be received in electronic format shortly after they are issued by
subscribing to the NRC listserver as follows:
To subscribe send an e-mail to <listproc@nrc.gov >, no subject, and the following command in the
message portion:
subscribe gc-nrr firstname lastname