2ndForm664ssRev031407

2ndForm664ssRev031407.doc

NRC Form 664, General Licensee Registration

OMB: 3150-0198

Document [doc]
Download: doc | pdf


FINAL OMB SUPPORTING STATEMENT

FOR NRC FORM 664

GENERAL LICENSEE REGISTRATION

3150-0198


(EXTENSION RENEWAL WITH BURDEN ADJUSTMENT)


Description of the Information Collection


NRC Form 664, “General Licensee Registration,” is used by the Nuclear Regulatory Commission (NRC) for the collection of information pertaining to generally licensed devices which are subject to registration. The annual registration criteria are based on radionuclide and the amount of byproduct material contained in the device at the time of purchase. If a generally licensed device contains one or more of the following isotopes, it is subject to an annual registration: 1) 370 megabecquerel (10 millicurie) cesium-137; 2) 37 megabecquerel (1 millicurie) cobalt-60; 3) 37 megabecquerel (1 millicurie) Am-241, or any other transuranic; or 4) 3.7 megabecquerel (0.1 millicurie) strontium-90. The form and instructions will be provided by the NRC to all affected general licensees.


The NRC has developed a standard format, NRC Form 664, “General Licensee Registration,” for general licensees to provide the required information. When sent to the general licensee by the NRC, the form will provide available information to the general licensee and requires the general licensee to verify and update the information as necessary. Essential information to be verified/updated on the form consists of: 1) the name, title, and telephone number of the individual responsible for the device; 2) a mailing address and an address of use or storage for the device; and 3) information pertaining to the device such as manufacturer’s name, device serial number, device model number, and the isotope and activity contained within the device.


In 2003, the burden estimate was 3,000 responses. Based on the actual number of responses received over the past 3 years, the number of responses in this next clearance package will be

1,000.


  1. JUSTIFICATION


1. Need for and Practical Utility of the Information Collection


In the past, general licensees were not contacted by the NRC on a regular basis for information on devices possessed, because of the relatively small radiation risk posed by these devices. However, a number of occurrences involving generally licensed devices suggest better accounting for such devices may be beneficial. For example, one or more cesium gauges were mixed in with scrap metal that was smelted to form steel, and the entire batch of steel was contaminated. There have been other types of incidents involving NRC generally licensed devices; however, loss of accountability remains the most common problem and the predominant concern.


The NRC has concluded that there is a lack of adequate awareness of applicable regulations on the part of the device user and inadequate handling and accounting for these devices. NRC further concluded that these two problems can be addressed by more frequent and timely contact between the general licensee and NRC in the form of a registration program for the higher risk devices. NRC Form 664 is used for the collection of information pertaining to the registration program.

2. Agency Use of the Information


General licensees would be required to submit information periodically which would allow the Agency to better track generally licensed devices, and so that licensees can be contacted or inspected to ensure that the devices can be identified or tracked even if lost or damaged.


3. Reduction of Burden Through Information Technology


There are no legal obstacles to reducing the burden associated with this information collection. The NRC encourages respondents to use information technology when it would be beneficial to them. NRC issued a regulation on October 10, 2003 (68 FR 58791), consistent with the Government Paperwork Elimination Act, which allows its licensees, vendors, applicants, and members of the public the option to make submissions electronically via CD-ROM, e-mail, special Web-based interface or other means. It is estimated that approximately 0% of the potential responses are filed electronically.


Currently NRC scans the form manually or by an automatic batch scanner to upload the information into the general licensing tracking data base.


4. Effort to Identify Duplication and Use Similar Information


There is no duplication of requirements. NRC has in place an ongoing program to examine all information collections with the goal of eliminating all duplication and/or unnecessary information collections.


5. Effort to Reduce Small Business Burden


Because the majority of the general licensees are small businesses, care was taken to require only the minimum amount of information needed in order to assure that the health and safety of the public is protected. In an effort to simplify the process, licensees will be provided with information from the NRC database for verification and correction, rather than being required to provide all information on a blank form. It is not possible to further reduce burden on small businesses by reducing the information collection and still adequately track ownership and disposition of the devices.


6. Consequences to Federal Program or Policy Activities if the Collection is not Conducted or is Conducted Less Frequently


Periodic reporting is essential to assure that devices containing byproduct material are maintained and transferred properly. Less frequent reporting would result in a higher probability of devices being inadvertently discarded, and could lead to a diminished level of protection for the health and safety of the public, and the environment.


7. Circumstances Which Justify Variation From OMB Guidelines


There is no variation from OMB guidelines.


8. Consultation Outside the NRC


Opportunity for public comment on the information collection requirements was published in the Federal Register on September 20, 2006 (71 FR 55032). No comments were received.


9. Payment or Gift to Respondents


Not applicable.


10. Confidentiality of Information


Confidential or proprietary information is handled in accordance with NRC regulations at 10 CFR 9.17(a) and 10 CFR 2.390(b).


11. Justification for Sensitive Questions


This information collection does not request sensitive information.


12. Estimated Burden and Burden Hour Cost

Approximately 1,000 general licensees are expected to respond to written registration requests from the NRC annually. The average burden per response to these written requests is 20 minutes for an overall estimated annual burden of 333 hours (1,000 x 1/3 hour), and a cost of approximately $71,262 (333 x $214/hour). The estimated cost per burden hour is based upon NRC’s annual fee recovery rule.


13. Estimate of Other Additional Costs


There are no other additional costs.


14. Estimated Annualized Cost to the Federal Government


Based on the current estimate of affected licensees, the estimated annualized cost to the Federal Government for registration, as a result of the amendment to 10 CFR 31.5(c)(11) is as follows:


Mailing a request for verification of devices possessed by general licensees and logging the response into the computerized directory or recording that verification has been received, will take approximately 50 hours (1,000 requests @ 3 minutes per request). The annual cost would be approximately $10,700 (50 hours x $214 per hour).


It is estimated that approximately 300 general licensees (30% of 1,000 requests) will call for technical assistance in each round for the next three years. Approximately 15 minutes of staff time will be required to respond to each of about 300 of these requests, or 75 hours. Approximately 30 minutes of staff time will be required to respond to each of the other 200 technical requests, or 100 hours, for a total of 175 hours. Thus, the average cost for technical assistance requests is approximately $37,450 (175 hours x $214 per hour).


The total annual average registration cost to the Federal Government estimated for the next three years is $48,150 ($10,700 + $37,450). Note that this does not include the costs associated with the scanning of the returned registrations, nor the resolutions of those registrations that require significant amount of follow-up or require NRC regional inspections.


This cost is fully recovered through fee assessments to NRC licensees pursuant to 10 CFR Parts 170 and/or 171.


15. Reasons for Changes in Burden or Cost


The change in the overall burden estimate for licensees to register general licensed devices containing radioisotopes on NRC Form 664 has decreased because of a re-estimate of the number of annual responses based on the actual number of responses received during the past 3 years. The number of responses decreased by 2,000 from 3,000 to 1,000 resulting in a reduction of 667 hours from 1,000 to 333 hours.


The hourly rate has increased from $158 per hour to $214 per hour in accordance with Part 170.


16. Publication for Statistical Use


None.


17. Reason for not Displaying the Expiration Date


The date will be displayed on the form.


18. Exceptions to the Certification Statement


No statistical use of the information will be made.
















File Typeapplication/msword
File TitleFINAL OMB SUPPORTING STATEMENT
AuthorMargie Janney
Last Modified Bytud
File Modified2007-03-15
File Created2007-03-15

© 2024 OMB.report | Privacy Policy