On June 27, 2013, the NRC issued a Notice of Violation to Nordlund and Associates for a Severity Level III problem. One of the violations included in the Severity Level III problem involved the failure to confine possession and use of byproduct materials to the locations and purposes authorized by the license as required by 10 CFR 30.34(c). As for accelerator-produced radioactive material or discrete sources of radium-226 that require a license amendment, licensees may continue to use these materials for authorized purposes until the specified date provided the person submits an amendment application within 6 months from the NRC's waiver expiration date. However, from August 7, 2009, to April 3, 2013, the licensee possessed four radium-226 gauges and used one of these gauges for density measurements at a temporary job site on July 3 and 5, 2012. The licensee was not authorized to possess the gauges and did not submit a license amendment until February 19, 2013, which is more than 6 months from the waiver expiration date. Another violation involved the conduct of operations so that the dose in any unrestricted area from external sources does not exceed 2 millirem in any one hour as required by 10 CFR 20.1301(a)(2). Specifically, as of January 16, 2013, the licensee stored its radium gauges in an outdoor shed in an unrestricted area in a manner that resulted in a dose of approximately 4.5 millirem per hour external to the shed.