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agsoci ted with current radiation protection peseurces that
Sue
arento guide Federal agencies in their radiation protection
activities.
DOE cannot unilaterally change the philosophy es 6%
the basis numerical standards that have been derived therefron.
It has also been our practice to tomelard
te a factor of
conversatism atgnly one place jn applying Federal radiation
i Arte (UeREL, YA the
standards,to real worlé problens.
ang, az ce Carerthy.
Liepeke, ‘
this explains why the average
or most, likely value rather than “worst case is used for the many
ettpT
%
with the
.
.
.
.
.
involved in developing dose estimates for comparison
criteria selected.
If worst case or maximum credible
for each fora wiry om Tit fic eh AMAT Se 8,7
wapues were used,
prs: CPS gel lee Meraadgt he
the answers derived would be witre—corsesya -
V5 etiamtabh Ns,vey Preaccitce.
SER
WineTer ee
st of cleanup was not, a, factor, this-kind-of, evalua- a
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waned
tion; dontaooloe but—we—de-nes—bedsseve—this-is—a-pradétical”
Beta,
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Age cripic tee
approach.-in-this instance. |
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—~ In applying Federal Standards the Task. Group selected 50 percent *3
of the annual doses for individuals in the general public and 80
oad, ‘the best“dyailable
information indicated that am at an average’
evel of 400 pCi/g,
exposures of people living in the area may reach the standard.
The Task Group selected 40 pCi/g or 10 percent of the 400 pCi/g
as the level below which soil cleanup would not be required.
None of this has been changed or made more stringent..
pPreach tu dere &
DMA 2s
Tapet objected butthon-acreed-ith the tefl Group,recommendation
ok despre cd VeCowa, dd Cpie+ $ G1 Tritt dum, A
on cleanup criteria.
°c te Yeh OHH
ting” land use options, For tleanup or
Santo \wero
Peeof,
Behe30°“year, doseforthepopulationfor yse in, pyalua- 5.
Their concern was that if these criteria were
set this low for cleanup of XK Enewetak, a precedent would be set
fro! mp wtp orwo e of
‘Bert saa 4 fe
oy
ee
ry4.
aed