Palo Verde FSAR states the following for Contamination Control: "Areas found contaminated beyond specified limits are roped off or otherwise delineated with a physical barrier, posted appropriately, and decontaminated as soon as practical. A stepoff pad or other appropriate means may be used to prevent the spread of contamination."
Followed by: "Nuclear Administrative and Technical Manual procedures incorporate those recommendations of Regulatory Guide 1.39 which are considered applicable for housekeeping activities occurring during the operations phase that are comparable to those occurring during the construction phase (refer to section 1.8)." Following up to section 1.8, as mention above, give a detailed response to RG 1.39. Please let me know if you have more questions or would like the detailed given regarding RG 1.39. [cid:[email protected]] Michelle L Comolli Senior Health Physicist, Radiological Engineering 5801 South Wintersburg Road, Tonopah, AZ 85354-7529, M.S. 7397 Office 623.393.3130 Cell 480.296.1449 From: Williams, Michelle Lewis [mailto:[email protected]] Sent: Tuesday, October 03, 2017 1:00 PM To: '[email protected]' Subject: [powernet] FSAR Question ____________________________________________________ USE CAUTION - EXTERNAL SENDER: ([email protected]<mailto:[email protected]>) Do not click on links or open attachments that are not expected. For questions or concerns, please email the APS Cyber Defense Center team at [email protected]<mailto:[email protected]> ____________________________________________________ At Vogtle 1&2 the FSAR contains the statement "that any area found contaminated is roped off or otherwise delineated with a physical barrier, posted with appropriate signs, and decontaminated as soon as practicable. In areas where the radiation level is high or where it is considered impractical to decontaminate the area to general radiation controlled area limits, a step-off pad is used to prevent the spread of contamination." This seems to contains more detail than necessary and requires a swing gate or rope at the ingress/egress area. The practice was questioned by INPO at boundaries in which a rope was utilized as the barrier. Question: Does your utility have that much detail in your FSAR for contamination control? Michelle Williams RP Superintendent Support Services Plant Vogtle Units 1&2 706.848.4236 tel 919.770.7138 cell [southern_nucl_h_rgb] --- NOTICE --- This message is for the designated recipient only and may contain confidential, privileged or proprietary information. If you have received it in error, please notify the sender immediately and delete the original and any copy or printout. Unintended recipients are prohibited from making any other use of this e-mail. Although we have taken reasonable precautions to ensure no viruses are present in this e-mail, we accept no liability for any loss or damage arising from the use of this e-mail or attachments, or for any delay or errors or omissions in the contents which result from e-mail transmission.
