CRCPD and NORM & NARM 49th Annual National Conference on Radiation Control Scottsdale, Arizona May 8, 2017 Edgar D. Bailey, P.E., CHP.

Slides:



Advertisements
Similar presentations
IAEA International Atomic Energy Agency Introductions; Objectives and Scope of the Course Tr aining course on Authorization and Inspection of Uranium Mining.
Advertisements

Compatibility Issues Regarding Agreement State Regulations for Portable Devices Containing RAM Sources Sean Chapel, President Presented at the 2006 Annual.
National Statement Country II. Current Status of the Country 1. Nuclear power stations are not planned in the county. 2. Widespread of SRS for industrial.
A U.S. Department of Energy Office of Science Laboratory Operated by The University of Chicago Office of Science U.S. Department of Energy Risk-Based Regulation.
Definition of Solid Waste Final Rule Public Meeting Charlotte Mooney Office of Resource Conservation and Recovery U.S. Environmental Protection Agency.
DOE 2010 Long-Term Surveillance and Maintenance Conference November 17, 2010 Loren W. Setlow, CPG Office of Radiation and.
U.S. EPA Regulations Review Update: Subpart W NESHAPS (40 CFR 61) Uranium and Thorium Mill Tailings (40 CFR Part 192) Andrea Cherepy, Phil Egidi, Reid.
A Partnership Dedicated to Radiation Protection Conference of Radiation Control Program Directors, Inc. (CRCPD) The structure, working groups, and activities.
Texas Underground Injection Control Program 2015
NUNAVUT TUNNGAVIK INCORPORATED Lands Policy Advisory Committee Draft Uranium Policy.
LOW-LEVEL RADIOACTIVE WASTE FORUM, INC. CRCPD and DSWG Survey of State Program Directors CRCPD Annual Meeting St. Louis, MOMay 17-21, 2015.
Advisory Committee on the Medical Uses of Isotopes Update to the Organization of Agreement States August 29, 2012 Darice Bailey Texas Department of State.
Authorization and Inspection of Cyclotron Facilities Authorization for the Decommissioning of the Facility.
Stephen Dembek, Section Chief Export Controls and International Organizations Section Office of International Programs Contact Info: ,
NSTS Current State of Things Cliff Harris, PhD NC Radioactive Materials Branch.
PROCESSES AND ISSUES TO CONSIDER ON WHETHER OR NOT TO AMEND AGREEMENT STATE STATUS Uranium Working Group August 2, 2012.
Radiation Regulatory Agencies: Keeping Them Straight Norman W. Henry III, MS,CIH.
SUMMARY OF INFORMAL COMMENTS Temporary Waiver of Terms Regulations May 2006.
OAS Meeting August 2012 Jennifer Opila (CO) and David Allard (PA)
Radium Removal and Disposal in Wisconsin
1 A Consultancy on management of large amounts of radioactive waste after an emergency situation ~ Experience on aftermath of Fukushima Daiichi NPS accident.
Regulatory Framework for Uranium Production Facilities in the U.S.
Algerian nuclear power programme Status, needs and perspectives T/M on development of nuclear infrastructure of NP programme February, ,Vienna.
Status of Ongoing Rulemakings OAS Annual Meeting August 29, 2012 Deborah Jackson, Deputy Director Division of Intergovernmental Liaison and Rulemaking.
Update on NRC Low-Level Waste (LLW) Program Activities.
Status of the regulation for safe and secure transport of radioactive materials in Madagascar By Dr. J.L.R. Zafimanjato Head of the Department of Dosimetry.
Jim Grice, Licensing Lead April 12, Topics of Discussion  Who we are  What we do  Recent Statutory and Regulatory Changes  Energy Fuels Uranium.
STRENGTHENING NATIONAL INFRASTRUCTURES FOR THE CONTROL OF RADIATION SOURCES RER/9/096 REGIONAL PLANNING MEETING ARMENIA ASHOT MNATSAKANYAN Head of Radiation.
Organization and Implementation of a National Regulatory Program for the Control of Radiation Sources Program Performance Criteria.
Meet your Regulator Workshop with FANR licensees October 2011 Dr. John Loy Director, Radiation Safety Federal Authority for Nuclear Regulation.
Policy Committee Report Virginia Recycling Association Annual Members Meeting Charlottesville, Virginia November 8, VRA Policy Committee Report1.
Regulations Under Revision Hazardous Waste
Conference of Radiation Control Program Directors, Inc. (CRCPD)
Background - Federal Legislation
Status Update on the NRC Proposed Rule to Amend 10 CFR Part 61
Utah Division of Radiation Control
Director, Environmental Assessment & Control Directorate
Low-Level Radioactive Waste Forum Spring 2016 Meeting – Park City, UT
Utah Division of Waste Management and Radiation Control
LOW LEVEL RADIOACTIVE WASTE FORUM--FALL 2014 MEETING
CRCPD SR-N Suggested Regulations Part N: TENORM Rules Task Force
Regional Workshop on Establishing a National Strategy for
Implementation of the Revised Branch Technical Position on Concentration Averaging and Encapsulation A. Christianne Ridge Division of Decommissioning,
Pre-Investigational New Drug (pre-IND) Meeting with FDA
Utah Division of Radiation Control
Proposed Revisions to 10 CFR Part 61
Update on EPA Regulatory and Guidance Activities
TENORM in Ohio Michael Snee
Safety of radiation sources
NRC Update of Low Level Waste Emerging Issues
Vesa Tanner European Commission Directorate-General Energy
Office of Nuclear Material Safety and Safeguards (NMSS)
NRC’s LLW Regulatory Program: Update of Emerging Issues
Updating the NRC’s Alternative Disposal Request Guidance Document
Radium Contamination at Non-Military Sites
Texas Radiation Regulatory Conference Austin, TX September 11-12, 2014
Fingerprinting for Unescorted Access to Radioactive Material
Radiation Protection Standards for Nuclear Power Operations
EPA Work in TENORM Philip Egidi U.S. Environmental Protection Agency
TOPICAL TRAINING SESSION TENORM
Residential Placement Application 2011
Ruth E. McBurney, CHP CRCPD NCRP
NRC’s Low-Level Radioactive Waste Program
Director, Environmental Assessment & Control Directorate
CABINET X-RAY MACHINE OPERATOR RADIATION SAFETY TRAINING COURSE
Module 5 RASP Regulations.
Exempt and Low Activity Radioactive Waste Disposal
Radioactive Materials Section Update
Regulatory Perspective of the Use of EHRs in RCTs
S.M. Oyeyemi, T .C. Akpa, T.A. Faru
Presentation transcript:

CRCPD and NORM & NARM 49th Annual National Conference on Radiation Control Scottsdale, Arizona May 8, 2017 Edgar D. Bailey, P.E., CHP

Definitions NORM – Naturally Occurring Radioactive Materials NARM – Naturally Occurring and Accelerator-Produced Radioactive Materials

AEC/NRC Did Not Regulate NARM in the 20th Century HOWEVER---Most states did regulate (or had the legal authority to regulate) NARM as radioactive material However there was not consistency or uniformity in how states regulated NARM Unfortunately several manufacturers and distributors using NARM were located in non-Agreement States

Licensing of NARM In the early 1970’s and prior: All of the regulatory guidance on the evaluation of sealed radioactive sources and gauges was two pages on sources and two pages on gauges CRCPD decided that more definitive and complete guidance was needed for sealed sources and gauges evaluations for those containing NARM

Licensing of NARM cont. In 1977 the CRCPD issued a report entitled: “Evaluation and Distribution of Radioactive Sources and Devices Not Manufactured Under the Atomic Act” (DHEW Pub. 77-8021) This report was updated and republished in 1978 (DHEW Pub. 78-8054)

Radioactive Materials Reference Manual (RMRM) Similar to the Sealed Source and Device Sheets of AEC/NRC (now the Sealed Source and Device Registry) Maintained by Bureau of Radiologic Health, FDA in hard copy only

RMRM cont. RMRM had three different types of “sheets” (which were different colors too): Sheets for “fully” evaluated and approved sources and devices Sheets for “partially” evaluated sources and devices that have not been “approved” Sheets for sources and devices that had merely been identified as existing

Licensing States A state (either Agreement or non-Agreement) could request CRCPD to evaluate the state’s radiation control program for evaluating and regulating NARM sealed sources and devices If the state’s program was deemed adequate, the state was designed a “Licensing State” Some states began to not license NARM products unless they were produced in a Licensing State and there was a RMRM sheet

Encouragement Over the next few years states were encouraged to become Licensing States without a great deal of success The use of accelerator-produced radioactive materials in gauges and devices increased Radium usage in gauges and other devices increased at the same time the states and the federal were conducting programs to collect and dispose of Ra sources used in medicine Gauge manufacturers in two non-Agreement States were particularly noted for the questionable use of Ra in industrial gauges

NORM Elevated levels of NORM (primarily Ra) were well known to exist in a variety industries including the mining industry, fertilizer production, oil and gas exploration and production, and water treatment facilities for examples. With the general public dose limits set at 500 millirems per year, these increased levels were considered more of a curiosity than a real public health issue With the reduction of the public dose limit to 100 millirems per year, more concern began to be felt regarding some practices that involved the use of NORM with elevated levels

NORM cont. The passage of the Uranium Mill Tailings Radiation Control Act of 1978 (UMTRCA) and the subsequent implementation of the 25 millirems per year dose limit for the general public settled the question of whether or not NORM usage and disposal could exceed that limit Clearly that dose limit could be exceeded

THE IMPETUS for PART N

Phosphogypsum Both Louisiana and Texas had huge piles of phosphogypsum from the production of phosphate fertilizer Florida had similar waste piles from phosphate ore production and processing The companies wanted to be allowed to use the wastes in a variety of offsite projects

Part N Committee(s) In response to this multistate problem a CRCPD committee was formed in the early 1980’s to provide Suggested State Regulations to address NORM As the Committee met and started talking and researching the areas that needed regulations it began apparent that a “NEW” part for the SSRCR was needed

Part N Committee(s) cont. The encouragement of the use of fly ash in concrete soon joined phosphogypsum as an issue Both priorities got blown away by a plague of lawsuits against oil and gas operators and well service companies The next years were FUN

Part N By 1988 Draft 6 of Part N 1991 Part N was proposed 1993 Part N Finalized and included in SSRCRs 2003 Implementation Guidance

QUESTIONS? COMMENTS?