OMB 3150-0218_Final SS for NRC Form 850 Series

OMB 3150-0218_Final SS for NRC Form 850 Series.doc

NRC Forms 850A "Request for NRC Contractor Building Access," 850B "Request for NRC Contractor Information Technology Access Authorization," and 850C "Request for NRC Contractor Security Clearance"

OMB: 3150-0218

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FINAL SUPPORTING STATEMENT FOR

NRC FORM 850A, “REQUEST FOR NRC CONTRACTOR BUILDING ACCESS

AUTHORIZATION”

NRC FORM 850B, “REQUEST FOR NRC CONTRACTOR INFORMATION TECHNOLOGY ACCESS AUTHORIZATION”

NRC FORM 850C, “REQUEST FOR NRC CONTRACTOR SECURITY CLEARANCE”


(3150-0218)



Description of the Information Collection

Title 10, Code of Federal Regulations, Part 10, "Criteria and Procedures for Determining Eligibility for Access to Restricted Data or National Security Information or an Employment Clearance,” establishes requirements that individuals requiring an access authorization and/or employment clearance must have an investigation of their background. U.S. Nuclear Regulatory Commission (NRC) Management Directive 12.3, "Personnel Security Program" establishes requirements that NRC contractors, subcontractors and other non-NRC individuals requiring access to NRC Information Technology (IT) systems, sensitive information, sensitive unclassified information, classified information or access to NRC buildings shall require a background investigation.

  • NRC Form 850A, “Request for NRC Contractor Building Access Authorization,” will be used to obtain information on individuals needing access to NRC buildings in order to perform their contracted work.

  • NRC Form 850B, “Request for NRC Contractor Information Technology Access Authorization,” will be used to obtain information on individuals needing access to NRC information technology resources in order to perform their contracted work.

  • NRC Form 850C, “Request for NRC Contractor Security Clearance,” will be used to obtain information on individuals needing access to sensitive, sensitive unclassified, or classified information in order to perform their contracted work.

    1. JUSTIFICATION

  1. Need for and Practical Utility of the Collection of Information


A completed NRC Form 850A, 850B or 850C is required to obtain an NRC access authorization or clearance for NRC contractors, subcontractors, or other individuals who are not applicants for employment with NRC. The name and signature of the authorizing NRC Contracting Officer’s Representative (COR) must appear on the form. The information on the form will be reviewed by NRC Division of Facilities and Security (DFS) personnel.


In addition to the contracting officer name and signature mentioned above, the form contains the applicant’s name, social security number, date of birth, place of birth (city, state, and country if not the United States), telephone number, email address and the level of access authorization/clearance requested, and other appropriate remarks (e.g., previous clearance history). A personnel security packet received without one of these forms or without the authorizing official's signature will result in no action being taken on the access authorization/clearance request. This information collection is needed to afford the NRC a greater degree of control over who is granted access to NRC IT systems, sensitive information, sensitive unclassified information, and classified information or NRC buildings.


  1. Agency Use of Information


The NRC will use the information on these forms to determine whether a contractor is eligible for access to IT systems, NRC buildings, sensitive information, sensitive unclassified information, or classified information. The forms are completed by the NRC COR with input from the contractor, and then forwarded to DFS for administrative review and processing for access authorization/clearance. If the individual for whom access/clearance is being sought currently has an active access authorization/clearance with another Federal agency, DFS may request certification of this access authorization/clearance from the agency concerned. Upon receipt of this certification, DFS will reply to the requester indicating that the requested access authorization/clearance has been granted. This process normally can be completed within 30 days. If the individual for whom access is being sought does not have an active access authorization/clearance with another Federal agency, DFS will take action to obtain the type of investigation necessary to support the level of access sought.


Upon favorable review of the completed investigation, DFS will notify the requester of the access authorization/clearance approval. If after review of the investigation, DFS determines that there is a question of the individual’s eligibility for NRC access authorization/clearance, the "due process" provisions of 10 CFR Part 10 may be invoked.


  1. 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. Because these forms require a signature by the NRC COR, there is currently no electronic means for submission. It is estimated that approximately none (0%) of the potential responses will be filed electronically.


  1. Effort to Identify Duplication and Use Similar Information


No sources of similar information are available. There is no duplication of requirements.


Some of the forms in the 850 series require the same information. For example, the applicant’s name and their identifiers are required on all forms. This is necessary because, depending upon the security clearance or access required, an individual will only complete one of the three forms.


  1. Effort to Reduce Small Business Burden


The information collected on the NRC Form 850 series of forms is the minimum necessary for the NRC to conduct background checks to ensure the security of its buildings and resources. Burden on small businesses cannot be further reduced without endangering the United States common defense and national security. NRC staff estimates that 46% of the responses will come from small business.


  1. Consequences to Federal Program or Policy Activities if the Collection Is Not Conducted or Is Conducted Less Frequently


This collection of information is only required when one applies for access authorization/clearance. In most cases, this is a one-time event and less frequent collection would mean eliminating the collection altogether. Although contractors are required to undergo a reinvestigation after 5 years, the forms will not be required for reinvestigations.


If the information is not collected, the assurance that only individuals who are properly authorized to have access to NRC IT systems, sensitive information, sensitive unclassified information, classified information or access to NRC buildings would be reduced. Thus, less frequent collection may endanger the U.S. common defense and national security.


  1. Circumstances Which Justify Variation from OMB Guidelines


Not applicable.


  1. Consultations Outside the NRC


Opportunity for public comment on the information collection requirements for this clearance package was published In the Federal Register on September 9, 2016 (81 FR 62546).  Additionally, one licensee AQIWO was contacted through email and two licensees Centerra and Georgetown Hill were contacted by phone. No comments were received.  


  1. Payment or Gift to Respondents


Not applicable.


  1. Confidentiality of Information


Confidential and proprietary information is protected in accordance with NRC Regulations 10 CFR 9.17(a) and 10 CFR 2.390(b). The information is used for determining eligibility for a security clearance or access authorization. The information is protected from public disclosure under the Privacy Act of 1974 and is handled in accordance with routine uses specified in the Privacy Act Statement contained on the form.


  1. Justification for Sensitive Questions


Not applicable.



  1. Estimated Burden and Burden Hour Cost


An estimated 10 minutes, or 0.17 hours, (based on staff experience) is required to complete each NRC form in the 850 series, resulting in a total annual burden to the public of 85 hours. The estimated annual cost shared among the contractors is $22,780 (85 hrs. X $268 per hour for professional effort).


Form

Burden per Response

Number of Responses

Total Burden

Cost at $268/hr

NRC Form 850A

0.17

100

17

$4,556

NRC Form 850B

0.17

300

51

$13,668

NRC Form 850C

0.17

100

17

$4,5566

Total

--

500

85

$22,780


  1. Estimate of Other Additional Costs


Not applicable.


  1. Estimated Annualized Cost to the Federal Government

NRC staff estimates that it will receive approximately 500 forms in the NRC Form 850 series annually. Each form requires 10 minutes of clerical effort at a rate of $47/hr. resulting in a cost of $3,995 (0.17 hrs. x 500 x $47/hr. = $3,995), and 5 minutes of professional effort at a rate of $268/hr. resulting in a cost of $10,720 (0.08 hrs. x 500 x $268/hr.). The total annual cost to NRC is estimated to be $14,715 ($3,995 + $10,720).


  1. Reasons for Change in Burden or Cost


There is no change in burden for this clearance. However, the professional cost per hour decreased from $274 per hour to $268 per hour.


  1. Publication for Statistical Use


Not applicable.


  1. Reason for Not Displaying the Expiration Date


The expiration date is displayed.


  1. Exceptions to the Certification Statement


None.


  1. COLLECTIONS OF INFORMATION EMPLOYING STATISTICAL METHODS


Not applicable.



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File Typeapplication/msword
File TitleFINAL SUPPORTING STATEMENT
Authorkeb1
Last Modified ByMajeed, Fajr
File Modified2016-12-20
File Created2016-12-20

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