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fissile shipping question, results
After a 3 day, world-wide query (via RADSAFE) it appears that the answers
to the questions below are null.
No one makes such shipments.
No one seems to have a basis for #3.
So it seems to me that the IAEA and DoT could eliminate a number of
paragraphs from their rules. Any objections?
Questions previously sent....
The DoT and IAEA shipping rules regarding fissile materials get rather
complex. Much of this complexity is related to common carrier mode (as
opposed to exclusive use mode). I wonder at the need for this complexity
because it ends up making the rules for exclusive use more complicated than
they need be.
1. Excluding PuBe sources is anyone aware of non-exempt fissile shipments,
e.g., >15 grams, via modes other than exclusive use? Or of a need for such?
2. If there is a specific need for common carrier shipments what is the
maximum mass that might be shipped via that mode? Presumably this number
is something greater than the 15 g exempt amount and less than the 1 kg
NRC threshold for security controls.
3. IAEA ST-1 and 49CFR177.842 restrict the presence of other radioactive
material shipments near fissile controlled shipments. Why? What
interaction could occur? Even for neutron source shipments the dose rate
limits reduce the flux to a level that should be inconsequential in terms
of possible fissions produced.
Thanks for any history you can provide.
Disclaimer: the above are the personal musings of the author, and do not
represent any past, present, or future position of NIST, the U.S.
government, or anyone else who might think that they are in a position of
authority.
Lester Slaback, Jr. [Lester.Slaback@NIST.GOV]
NBSR Health Physics
Center for Neutron Research
NIST
100 Bureau Dr. STOP 3543
Gaithersburg, MD 20899-3543
301 975-5810 voice
301 921-9847 fax
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