I'm not sure this went out properly, appreciate any feedback.  Thanks, Eric 
Goldin, CHP


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<div>-------- Original message --------</div><div>From: Eric Goldin 
<emgol...@yahoo.com> </div><div>Date:02/25/2015  6:09 PM  (GMT-08:00) 
</div><div>To: powernet@hps1.org </div><div>Subject: Advance notification for 
rad material shipments </div><div>
</div>For those involved in rad material shipments, I have a couple of 
questions regarding updates to advance notification requirements. Since I 
wasn’t involved in all the RAMQC issues about 10 years ago, I’m having trouble 
finding specifics since a lot of those documents were considered safeguards or 
were otherwise withheld from public disclosure. With 10 CFR 37 now in place, 
can someone tell me the basis for these criteria that we currently have in a 
procedure?  And if the Part 37 advance notifications requirements supercede 
them (many of the Increased Controls were rescinded with the implementation of 
Part 37):
 
Shipments over 100 curies (was this from EA 05-006 and/or EA 05-007?)
Shipments over 500 curies with > 500 gm U-233 or Pu, or with SNM
 
Thanks, Eric Goldin, CHP

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