ML023360076

From kanterella
Jump to navigation Jump to search
Draft Regulatory Guide DG-1122, an Approach for Determining the Technical Adequacy of Probabilistic Risk Assessment Results for Risk-Informed Activities.
ML023360076
Person / Time
Issue date: 11/30/2002
From: Mary Drouin
Office of Nuclear Regulatory Research
To:
References
DG-1122
Download: ML023360076 (76)


Text

U.S. NUCLEAR REGULATORY COMMISSION November 2002 OFFICE OF NUCLEAR REGULATORY RESEARCH Division 1 DRAFT REGULATORY GUIDE

Contact:

M.T. Drouin (301)415-6675 DRAFT REGULATORY GUIDE DG-1122 AN APPROACH FOR DETERMINING THE TECHNICAL ADEQUACY OF PROBABILISTIC RISK ASSESSMENT RESULTS FOR RISK-INFORMED ACTIVITIES A. INTRODUCTION In 1995, the NRC issued a Policy Statement (Ref. 1) on the use of probabilistic risk analysis (PRA), encouraging its use in all regulatory matters. The Policy Statement states that . . . the use of PRA technology should be increased to the extent supported by the state of the art in PRA methods and data and in a manner that complements the NRCs deterministic approach. Since that time, many uses have been implemented or undertaken, including modification of NRCs reactor safety inspection program and initiation of work to modify reactor safety regulations.

Consequently, confidence in the information derived from a PRA is an important issue: the accuracy of the technical content must be sufficient to justify the specific results and insights that are used to support the decision under consideration.

This regulatory guide is being developed to describe one acceptable approach for determining that the quality of the PRA, in toto or for those parts that are used to support an application, are sufficient to provide confidence in the results such that they can be used in regulatory decision making for light-water reactors. This guidance is intended to be consistent with NRCs PRA policy statement and subsequent, more detailed, guidance in Regulatory Guide 1.174 (Ref. 2). It is also intended to reflect and endorse guidance provided by standards-setting and nuclear industry organizations.

This regulatory guide is being issued in draft form to involve the public in the early stages of the development of a regulatory position in this area. It has not received complete staff review or approval and does not represent an official NRC staff position.

Public comments are being solicited on this draft guide (including any implementation schedule) and its associated regulatory analysis or value/impact statement. Comments should be accompanied by appropriate supporting data. Written comments may be submitted to the Rules and Directives Branch, Office of Administration, U.S. Nuclear Regulatory Commission, Washington, DC 20555-0001. Comments may be submitted electronically or downloaded through the NRCs interactive web site at <WWW.NRC.GOV> through Rulemaking. Copies of comments received may be examined at the NRC Public Document Room, 11555 Rockville Pike, Rockville, MD. Comments will be most helpful if received by February 14, 2003.

Requests for single copies of draft or active regulatory guides (which may be reproduced) or for placement on an automatic distribution list for single copies of future draft guides in specific divisions should be made to the U.S. Nuclear Regulatory Commission, Washington, DC 20555, Attention: Reproduction and Distribution Services Section, or by fax to (301)415-2289; or by email to DISTRIBUTION@NRC.GOV. Electronic copies of this draft regulatory guide are available through the NRCs interactive web site (see above); the NRCs web site <WWW.NRC.GOV> in the Electronic Reading Room under Document Collections, Regulatory Guides; and in the NRCs ADAMS Documents at the same web site, under Accession Number ML023360076.

Regulatory guides are issued to describe to the public methods acceptable to the NRC staff for implementing specific parts of the NRCs regulations, to explain techniques used by the staff in evaluating specific problems or postulated accidents, and to provide guidance to applicants.

Regulatory guides are not substitutes for regulations, and compliance with regulatory guides is not required. Regulatory guides are issued in draft form for public comment to involve the public in developing the regulatory positions. Draft regulatory guides have not received complete staff review; they therefore do not represent official NRC staff positions.

B. DISCUSSION Existing Guidance Related to the Use of PRA in Reactor Regulatory Activities Since the PRA Policy Statement was issued, a number of documents have been written that provide guidance on the use of PRA information in reactor regulatory activities. These include:

  • At NRC, regulatory guidance documents have been written to address risk-informed applications that use PRA information. These include Regulatory Guide 1.174 (Ref. 2) and Standard Review Plan (SRP) Chapter 19 (Ref. 3), which provide general guidance on applications that address changes to the licensing basis. Key aspects of these documents are:

They describe a risk-informed integrated decision-making process that characterizes how risk information is used, and, more specifically, that such information is one element of the decision-making process. That is, decisions are expected to be reached in an integrated fashion, considering traditional engineering and risk information, and may be based on qualitative factors as well as quantitative analyses and information.

They reflect the staffs recognition that the PRA needed to support regulatory decisions can vary, i.e., that the scope, level of detail, and quality of the PRA is to be commensurate with the application for which it is intended and the role the PRA results play in the integrated decision process. For some applications and decisions, only particular parts1 of the PRA are needed to be used. In other applications, a full scope PRA is needed. General guidance regarding scope, level of detail, and quality for a PRA is provided in the documents.

While written in the context of one reactor regulatory activity (license amendments),

they provide guidance to a wide spectrum of reactor regulatory activities.

In addition, for specific applications, guidance is provided in separate regulatory guides for such applications as inservice testing (Ref. 4), inservice inspection (Ref. 5), quality assurance (Ref. 6), and technical specifications (Ref. 7). SRP chapters were also prepared for each of the application-specific regulatory guides with the exception of quality assurance.

  • PRA standards have been under development by the American Society of Mechanical Engineers (ASME) and American Nuclear Society (ANS). On April 5, 2002, ASME issued a standard for a full-power, internal events (excluding fire) Level 1 PRA and a limited Level 2 PRA (Ref. 8). In the future, ANS plans to issue standards for PRAs for evaluating external events and internal fire risk and risk from low power and shutdown modes of operation.

1 In this regulatory guide, a part of a PRA can be understood as being equivalent to that piece of the analysis for which an applicable PRA standard identifies a supporting level requirement.

2

  • Reactor owners groups have been developing and applying a PRA peer review program for several years. In a letter dated April 24, 2000, the Nuclear Energy Institute (NEI) submitted NEI-00-02 (Ref. 9) to the NRC for review in the context of the staffs work to risk-inform the scope of special treatment requirements contained in 10 CFR Part 50 (discussed in SECY-99-256 -Ref. 10).

On August 16, 2002, NEI submitted draft industry guidance for self-assessments (Ref. 11) to address the use of industry peer review results in demonstrating conformance with the ASME PRA standard. This additional guidance, which is intended to be incorporated into a revision of NEI-00-02 (per NEI, see Reference 11), contains:

Self assessment guidance document Appendix 1 - actions for industry self assessment Appendix 2 - industry peer review subtier criteria

  • SECY-00-0162 (Ref. 12) describes an approach for addressing PRA quality, including identification of the scope and minimal functional attributes of a technically acceptable PRA.
  • SECY-02-0070 (Ref. 13) provides a revision of Regulatory Guide 1.174 and SRP Chapter 19, and informed the Commission of the staffs plan for endorsement of the then pending ASME and ANS consensus standards and peer review programs on PRA. The endorsement was to be provided in a new regulatory guide (this document) and a new SRP Chapter (Ref. 14). Figure 1 displays the relationship among existing guidance, standards and industry guidance, and this regulatory guide.
  • SECY-02-0176 (Ref. 15) discusses, in a proposed draft regulatory guide DG 1121, how References 8 and 9, and this draft guide, could be used in the context of the proposed new rule (i.e., 50.69).

Purposes of this Regulatory Guide The purposes of this regulatory guide are to provide guidance to licensees in determining the technical adequacy of a PRA used in a risk-informed integrated decision making process, and to endorse standards and industry guidance. Guidance is provided in four areas:

(1) A minimal set of functional requirements of a technically acceptable PRA.

(2) NRC position on consensus PRA standards and industry PRA program documents.

(3) Demonstration that the PRA (in toto or specific parts) used in regulatory applications is of sufficient technical adequacy.

(4) Documentation that the PRA (in toto or specific parts) used in regulatory applications is of sufficient technical adequacy.

This regulatory guide provides more detailed guidance, relative to Regulatory Guide 1.174, on PRA technical adequacy in a risk-informed integrated decision-making process. It does not provide guidance on how PRA results are used in the application-specific decision-making processes; that guidance is provided in such documents as References 4 through 7, and the proposed DG1121, provided in Reference 15. Recognizing that many applications include the use of a full-scope PRA, this document provides guidance on the minimum technical attributes of such a PRA. However, it also recognized that, in some applications and decisions, methods other than 3

PRA (such as bounding analyses) can be used to address risk issues; guidance on such alternative methods is not provided in this guide.

Relationship to Other Guidance Documents This regulatory guide is a supporting document to other NRC regulatory guides that address risk-informed activities. These guides include, at a minimum, (1) Regulatory Guide 1.174 and SRP Chapter 19 (Refs. 2 and 3), which provide general guidance on applications that address changes to the licensing basis, and (2) the regulatory guides for specific applications such as for inservice testing, inservice inspection, quality assurance, and technical specifications is in References 4 through 7. There are corresponding SRP chapters for the application-specific guides.

Figure 1 shows the relationship of this new regulatory guide and risk-informed activities, application specific guidance, consensus PRA standards, and industry programs (e.g., NEI-00-02).

Figure 1. Relationship of DG-1122 to Other Risk-Informed Guidance C. REGULATORY POSITION

1. Functional Requirements of a Technically Acceptable PRA This section describes one acceptable approach for defining the technical adequacy for an acceptable PRA of a commercial nuclear power plant. In establishing the technical adequacy of a PRA for a particular application, both the scope and level of detail of the PRA need to be addressed. The scope is defined in terms of: (a) those events that can challenge the plant and, if not prevented or mitigated, would eventually result in core damage, and/or a large release, and (b) the metrics used to define risk. The level of detail required of the PRA model is determined ultimately by the application. However, a minimal level of detail is necessary to ensure that the impact of designed-in dependencies (e.g., support system dependencies, functional dependencies and dependencies on operator actions) are correctly captured and the PRA represents the as-built, 4

as-operated plant. This minimal level of detail is implicit in the technical characteristics and attributes discussed in this section. This section, consequently, provides guidance in three areas:

(1) The scope defining the PRA (2) The elements of a PRA (3) The technical attributes and characteristics for a full-scope PRA This guidance is given in accordance with SECY-00-0162.

1.1 Scope of PRA The scope of a PRA addressed in this regulatory guide defines what challenges are to be included in the analysis and the level of analysis to be performed. Specifically, the scope is defined in terms of:

  • the metrics used in characterizing the risk,
  • the plant operating states for which the risk is to be evaluated, and
  • the types of initiating events that can potentially challenge and disrupt the normal operation of the plant.

The metrics typically used for risk characterization in risk-informed integrated decision-making process are CDF and LERF (as surrogates for latent and early fatality risks, respectively).

Issues related to the reliability of barriers, in particular containment integrity and consequence mitigation, are addressed through other parts of this decision-making process, such as consideration of defense in depth. To provide the risk perspective for use in decision making, a Level 1 PRA is required to provide CDF. A limited Level 2 PRA is needed to address LERF.

An essential aspect of the risk characterization is an understanding of the associated uncertainties. Regulatory decision-making utilizing risk insights must be based on a full understanding of the contributors to the PRA results and the impacts of the uncertainties, both those that are explicitly accounted for in the results and those that are not. Consequently, as each technical element of the PRA is performed, the sources of uncertainty are identified and analyzed such that their impact are understood at this level (e.g., accident sequence development, human reliability) and on the risk results (i.e., CDF and LERF).

For the many applications and decisions that involve consideration of total plant risk, or to maximize the benefit from the PRA results and insights, the risk characterization (CDF and LERF) should account for all plant operating states and initiating events, either quantitatively or qualitatively.

Plant operating states (POSs) are used to subdivide the plant operating cycle into unique states such that the plant response can be assumed to be the same for all subsequent accident initiating events. Operational characteristics (such as reactor power level; in-vessel temperature, pressure, and coolant level; equipment operability; and changes in decay heat load or plant conditions that allow new success criteria) are examined to identify those important to defining plant operational states. The important characteristics are used to define the states, and the fraction of time spent in each state is estimated using plant specific information. The risk perspective is based on the total risk connected with the operation of the reactor, which includes not only full power operation, but also low power and shutdown conditions.

Initiating events are the events that have the ability to challenge the condition of the plant.

These events include failure of equipment from either internal plant causes such as hardware faults, operator actions, floods or fires, or external plant causes such as earthquakes or high winds. The risk perspective should be based on the total risk, which includes events from both internal and external sources.

5

1.2 Elements of a PRA Table 1 provides the list of general technical elements that are necessary for a PRA. A PRA that is missing one or more of these elements would not be considered a complete PRA. A brief discussion of the objective and purpose that these elements should accomplish is provided below.

Table 1. Technical Elements of a PRA Scope of Technical Element Analysis Level 1

  • Initiating event analysis
  • Parameter estimation analysis
  • Success criteria analysis
  • Human reliability analysis
  • Accident sequence analysis
  • Quantification
  • Systems analysis
  • Interpretation of results
  • Internal flood analysis
  • Internal fire analysis
  • External Hazards Analysis Level 2
  • Plant damage state analysis
  • Quantification
  • Accident progression analysis
  • Interpretation of results 1.2.1 Level 1 Technical Elements Initiating event analysis identifies and characterizes the random internal events that both challenge normal plant operation during power or shutdown conditions and require successful mitigation by plant equipment and personnel to prevent core damage from occurring. Events that have occurred at the plant and those that have a reasonable probability of occurring are identified and characterized. An understanding of the nature of the events is performed such that a grouping of the events into event classes, with the classes defined by similarity of system and plant responses (based on the success criteria), may be performed to manage the large number of potential events that can challenge the plant.

Success criteria analysis determines the minimum requirements for each function (and ultimately the systems used to perform the functions) to prevent core damage (or to mitigate a release) given an initiating event. The requirements defining the success criteria are based on acceptable engineering analyses that represent the design and operation of the plant under consideration. For a function to be successful, the criteria are dependent on the initiator and the conditions created by the initiator. The codes used to perform the analyses for developing the success criteria are validated and verified for both technical integrity and suitability to assess plant conditions for the reactor pressure, temperature, and flow range of interest, and they accurately analyze the phenomena of interest. Calculations are performed by personnel who are qualified to perform the types of analyses of interest and are well trained in the use of the codes.

Accident sequence development analysis models, chronologically, the different possible progression of events (i.e., accident sequences) that can occur from the start of the initiating event to either successful mitigation or to core damage. The accident sequences account for the systems and operator actions that are used (and available) to mitigate the initiator based on the defined success criteria and plant operating procedures (e.g., plant emergency and abnormal operating procedures and as practiced in simulator exercises). The availability of a system includes consideration of the functional, phenomenological, and operational dependencies and interfaces between the different systems and operator actions during the course of the accident progression.

6

Systems analysis identifies the different combinations of failures that can preclude the ability of the system to perform its function as defined by the success criteria. The model representing the various failure combinations includes, from an as-built and as-operated perspective, the system hardware and instrumentation (and their associated failure modes) and the human failure events that would prevent the system from performing its defined function. The basic events representing equipment and human failures are developed in sufficient detail in the model to account for dependencies between the different systems and to distinguish the specific equipment or human event (and its failure mechanism) that has a major impact on the systems ability to perform its function.

Parameter estimation analysis quantifies the frequencies of the identified initiating events and quantifies the equipment failure probabilities and equipment unavailabilities of the modeled systems. The estimation process includes a mechanism for addressing uncertainties, has the ability to combine different sources of data in a coherent manner, and represents the actual operating history and experience of the plant and applicable generic experience as applicable.

Human reliability analysis identifies and provides probabilities for the human failure events that can negatively impact normal or emergency plant operations. The human failure events associated with normal plant operation include the events that leave the system (as defined by the success criteria) in an unrevealed, unavailable state. The human failure events associated with emergency plant operation include the events that, if not performed, do not allow the needed system to function. Quantification of the probabilities of these human failure events is based on plant and accident specific conditions, where applicable, including any dependencies among actions and conditions.

Quantification provides an estimation of the CDF given the design, operation, and maintenance of the plant. This CDF is based on the summation of the estimated CDF from each initiator class. If truncation of accident sequences and cutsets is applied, truncation limits are set so that the overall model results are not impacted significantly and that important accident sequences are not eliminated. Therefore, the truncation limit can vary for each accident sequence.

Consequently, the truncation value is selected so that the accident sequence CDF before and after truncation only differs by less than one significant figure.

Interpretation of results entails examining and understanding the results of the PRA and identifying the important contributors sorted by initiating events, accident sequences, equipment failures, and human errors. Methods such as importance measure calculations (e.g., Fussel-Vessely, risk achievement, risk reduction, and Birnbaum) are used to identify the contributions of various events to the model estimation of core damage frequency for both individual sequences and the model as a total. An important aspect in understanding the PRA results is understanding the associated uncertainties. Sources of uncertainty are identified and their impact on the results analyzed. The sensitivity of the model results to model boundary conditions and other key assumptions is evaluated using sensitivity analyses to look at key assumptions both individually or in logical combinations. The combinations analyzed are chosen to fully account for interactions among the variables.

1.2.2 Level 2 Technical Elements Plant damage state analysis groups similar core damage scenarios together to allow a practical assessment of the severe accident progression and containment response resulting from the full spectrum of core damage accidents identified in the Level 1 analysis. The plant damage state analysis defines the attributes of the core damage scenarios that represent important boundary conditions to the assessment of severe accidents progression and containment response that ultimately affect the resulting source term. The attributes address the dependencies 7

between the containment systems modeled in the Level 2 analysis with the core damage accident sequence models to fully account for mutual dependencies. Core damage scenarios with similar attributes are grouped together to allow for efficient evaluation of the Level 2 response.

Severe accident progression analysis models the different series of events that challenge containment integrity for the core damage scenarios represented in the plant damage states. The accident progressions account for interactions among severe accident phenomena and system and human responses to identify credible containment failure modes, including failure to isolate the containment. The timing of major accident events and the subsequent loadings produced on the containment are evaluated against the capacity of the containment to withstand the potential challenges. The containment performance during the severe accident is characterized by the timing (e.g., early versus late), size (e.g., catastrophic versus bypass), and location of any containment failures. The codes used to perform the analysis are validated and verified for both technical integrity and suitability. Calculations are performed by personnel qualified to perform the types of analyses of interest and well trained in the use of the codes.

Source term analysis characterizes the radiological release to the environment resulting from each severe accident sequence leading to containment failure or bypass. The characterization includes the time, elevation, and energy of the release and the amount, form, and size of the radioactive material that is released to the environment. The source term analysis is sufficient to determine whether a large early release or a large late release occurs. A large early release is one involving significant, unmitigated releases from containment in a time frame prior to effective evacuation of the close-in population such that there is a potential for early health effects.

Such accidents generally include unscrubbed releases associated with early containment failure at or shortly after vessel breach, containment bypass events, and loss of containment isolation. With large late release, significant, unmitigated release from containment occurs in a time frame that allows effective evacuation of the close-in population such that early fatalities are unlikely.

Quantification integrates the accident progression models and source term evaluation to provide estimates of the frequency of radionuclide releases that could be expected following the identified core damage accidents. This quantitative evaluation reflects the different magnitudes and timing of radionuclide releases and specifically allows for identification of the LERF and the probability of a large late release.

Interpretation of results entails examining results from importance measure calculations (e.g., Fussel-Vesely, risk achievement, risk reduction, and Birnbaum) to identify the contributions of various events to the model estimation of LERF and large late release probability for both individual sequences and the model as a total. Sources of uncertainty are identified and their impact o the results analyzed. An important aspect in understanding the PRA results is understanding the associated uncertainties. The sensitivity of the model results to model boundary conditions and other key assumptions is evaluated using sensitivity analyses to look at key assumptions both individually or in logical combinations. The combinations analyzed are chosen to fully account for interactions among the variables.

1.2.3 Internal Floods Technical Elements Flood identification analysis identifies the plant areas where flooding could pose significant risk. Flooding areas are defined on the basis of physical barriers, mitigation features, and propagation pathways. For each flooding area, flood sources that are due to equipment (e.g.,

piping, valves, pumps) and other sources internal to the plant (e.g., tanks) are identified along with the affected SSCs. Flooding mechanisms are examined that include failure modes of components, human-induced mechanisms, and other water releasing events. Flooding types (e.g., leak, 8

rupture, spray) and flood sizes are determined. Plant walkdowns are performed to verify the accuracy of the information.

Flood evaluation analysis identifies the potential flooding scenarios for each flood source by identifying flood propagation paths of water from the flood source to its accumulation point (e.g.,

pipe and cable penetrations, doors, stairwells, failure of doors or walls). Plant design features or operator actions that have the ability to terminate the flood are identified. Credit given for flood isolation is justified. The susceptibility of each SSC in a flood area to flood-induced mechanisms is examined (e.g., submerge, spray, pipe whip, and jet impingement). Flood scenarios are developed by examining the potential for propagation and giving credit for flood mitigation. Flood scenarios can be eliminated on the basis of screening criteria. The screening criteria used are well defined and justified.

Quantification analysis provides an estimation of the CDF of the plant that is due to internal floods. The frequency of flooding-induced initiating events that represent the design, operation, and experience of the plant are quantified. The Level 1 models are modified and the internal flood accident sequences quantified to: (1) modify accident sequence models to address flooding phenomena, (2) perform necessary calculations to determine success criteria for flooding mitigation, (3) perform parameter estimation analysis to include flooding as a failure mode, (4) perform human reliability analysis to account for performance shaping factors (PSFs) that are due to flooding, and (5) quantify internal flood accident sequence CDF. Modification of the Level 1 models are performed consistent with the characteristics for Level 1 elements for transients and loss of coolant accidents (LOCAs). In addition, an important aspect in understanding the PRA results is understanding the associated uncertainties; sources of uncertainty are identified and their impact on the results analyzed. The sensitivity of the model results to model boundary conditions and other key assumptions is evaluated using sensitivity analyses to look at key assumptions both individually or in logical combinations. The combinations analyzed are chosen to fully account for interactions among the variables.

1.2.4 Internal Fire Technical Elements Screening analysis identifies fire areas where fires could pose a significant risk. Fire areas that are not risk significant can be "screened out" from further consideration in the PRA analysis.

Both qualitative and quantitative screening criteria can be used. The former address whether an unsuppressed fire in the area poses a nuclear safety challenge; the latter are compared against a bounding assessment of the fire-induced core damage frequency for the area. The potential for fires involving multiple areas is addressed. Assumptions used in the screening analysis are verified through appropriate plant walkdowns. Key screening analysis assumptions and results, e.g., the area-specific conditional core damage probabilities (assuming fire-induced loss of all equipment in the area), are documented.

Fire initiation analysis determines the frequency and physical characteristics of the detailed (within-area) fire scenarios analyzed for the unscreened fire areas. The analysis identifies a range of scenarios that will be used to represent all possible scenarios in the area. The possibility of seismically induced fires is considered. The scenario frequencies reflect plant-specific experience, quantified in a manner that is consistent with their use in the subsequent fire damage analysis (discussed below). Each scenario is physically characterized in terms that will support the fire damage analysis (especially with respect to fire modeling).

Fire damage analysis determines the conditional probability that sets of potentially risk-significant components (including cables) will be damaged in a particular mode, given a specified fire scenario. The analysis addresses components whose failure will cause an initiating event, affect the plants ability to mitigate an initiating event, or affect potentially risk significant equipment 9

(e.g., through suppression system actuation). Damage from heat, smoke, and exposure to suppressants is considered. If fire models are used to predict fire-induced damage, compartment-specific features (e.g., ventilation, geometry) and target-specific features (e.g., cable location relative to the fire) are addressed. The fire suppression analysis accounts for the scenario-specific time to detect, respond to, and extinguish the fire. The models and data used to analyze fire growth, fire suppression, and fire-induced component damage are consistent with experience from actual nuclear power plant fire experience as well as experiments.

Plant response analysis involves the modification of appropriate plant transient and LOCA PRA models to determine the conditional core damage probability, given damage to the sets of components defined in the fire damage analysis. All potentially significant fire-induced initiating events, including such "special" events as loss of plant support systems and interactions between multiple nuclear units during a fire event, are addressed. The analysis addresses the availability of non-fire affected equipment (including control) and any required manual actions. For fire scenarios involving control room abandonment, the analysis addresses the circuit interactions raised in Reference 16, including the possibility of fire-induced damage prior to transfer to the alternate shutdown panels. The human reliability analysis of operator actions addresses fire effects on operators (e.g., heat, smoke, loss of lighting, effect on instrumentation) and fire-specific operational issues (e.g., fire response operating procedures, training on these procedures, potential complications in coordinating activities). In addition, an important aspect in understanding the PRA results is understanding the associated uncertainties; sources of uncertainty are identified and their impact o the results analyzed. The sensitivity of the model results to model boundary conditions and other key assumptions is evaluated using sensitivity analyses to look at key assumptions both individually or in logical combinations. The combinations analyzed are chosen to fully account for interactions among the variables.

1.2.5 External Hazards Technical Elements Screening and bounding analysis identifies external events other than earthquake (such as river-induced flooding) that may challenge plant operations and require successful mitigation by plant equipment and personnel to prevent core damage from occurring. The term "screening out" is used here for the process whereby an external event is excluded from further consideration in the PRA analysis. There are two fundamental screening criteria embedded here. An event can be screened out if either (1) it meets the design criteria, or (2) it can be shown using an analysis that the mean value of the design-basis hazard used in the plant design is less than 10-5/year, and that the conditional core-damage probability is less than 10-1, given the occurrence of the design-basis hazard. An external event that cannot be screened out using either of these criteria is subjected to the detailed-analysis.

Hazard analysis characterizes non-screened external events and seismic events, generally, as frequencies of occurrence of different sizes of events (e.g., earthquakes with various peak ground accelerations, hurricanes with various maximum wind speeds) at the site. The external events are site specific and the hazard characterization addresses both aleatory and epistemic uncertainties.

Fragility analysis characterizes conditional probability of failure of important structures, components, and systems whose failure may lead to unacceptable damage to the plant (e.g., core damage) given occurrence of an external event. For important SSCs, the fragility analysis is realistic and plant-specific. The fragility analysis is based on extensive plant-walkdowns reflecting as-built, as-operated conditions.

Level 1 model modification assures that the system models include all important external-event caused initiating events that can lead to core damage or large early release. The system 10

model includes external-event-induced SSC failures, non-external-event-induced failures (random failures), and human errors. The system analysis is well coordinated with the fragility analysis and is based on plant walkdowns. The results of the external event hazard analysis, fragility analysis, and system models are assembled to estimate frequencies of core damage and large early release. An important aspect in understanding the PRA results is understanding the associated uncertainties. Uncertainties in each step are propagated through the process and displayed in the final results. The quantification process is capable of conducting necessary sensitivity analyses and identifying dominant sequences and contributors.

1.2.6 Documentation Traceability and defensibility provide the necessary information such that the results can easily be reproduced and justified. The sources of information used in the PRA are both referenced and retrievable. The methodology used to perform each aspect of the work is described either through documenting the actual process or through reference to existing methodology documents. Assumptions2 made in performing the analyses are identified and documented along with their justification to the extent that the context of the assumption is understood. The results (e.g., products and outcomes) from the various analyses are documented.

1.3 Technical Adequacy of a PRA Tables 2 and 3 describe, for each technical element of a PRA, the technical characteristics and attributes that provide one acceptable approach for determining the technical adequacy of the PRA such that the goals and purposes, defined in Regulatory Position 1.2, are accomplished.

Table 2. Summary of Technical Characteristics and Attributes of a PRA Element Technical Characteristics and Attributes PRA Full Power, Low Power and Shutdown Level 1 PRA (internal events -- transients and LOCAs)

Initiating Event

  • sufficiently detailed identification and characterization of initiators Analysis
  • grouping of individual events according to plant response and mitigating requirements
  • based on best-estimate engineering analyses applicable to the actual plant Analysis design and operation
  • codes developed, validated, and verified in sufficient detail 6 analyze the phenomena of interest 6 be applicable in the pressure, temperature, and flow range of interest Accident
  • defined in terms of hardware, operator action, and timing requirements and Sequence desired end states (e.g., core damage or plant damage states (PDSs))

Development

  • includes necessary and sufficient equipment (safety and non-safety)

Analysis reasonably expected to be used to mitigate initiators

  • includes functional, phenomenological, and operational dependencies and interfaces 2

Assumptions include the decisions and judgments that were made in the course of the analysis.

11

Table 2. Summary of Technical Characteristics and Attributes of a PRA Element Technical Characteristics and Attributes Systems Analysis models developed in sufficient detail to:

  • reflect the as built, as operated plant including how it has performed during the plant history
  • reflect the success criteria for the systems to mitigate each identified accident sequence
  • capture impact of dependencies, including support systems and harsh environmental impacts
  • include both active and passive components and failure modes that impact the function of the system
  • include common cause failures, human errors, unavailability due to test and maintenance, etc.

Parameter

  • estimation of parameters associated with initiating event, basic event Estimation probability models, recovery actions, and unavailability events that account Analysis for plant-specific and generic data
  • consistent with component boundaries
  • estimation includes a characterization of the uncertainty Human Reliability
  • identification and definition of the human failure events that would result in Analysis initiating events or pre- and post-accident human failure events that would impact the mitigation of initiating events
  • quantification of the associated human error probabilities taking into account scenario (where applicable) and plant-specific factors and including appropriate dependencies both pre- and post-accident Quantification
  • estimation of the CDF for modeled sequences that are not screened due to truncation, given as a mean value
  • estimation of the accident sequence CDFs for each initiating event group
  • truncation values set relative to the total plant CDF such that the frequency in not significantly impacted Interpretation of
  • identification of the key contributors to CDF: initiating events, accident Results sequences, equipment failures and human errors
  • identification of sources of uncertainty and their impact on the results
  • understanding of the impact of the key assumptions* on the CDF and the identification of the accident sequence and their contributors Level 2 PRA Plant Damage
  • identification of the attributes of the core damage scenarios that influence State Analysis severe accident progression, containment performance, and any subsequent radionuclide releases
  • grouping of core damage scenarios with similar attributes into plant damage states
  • carryover of relevant information from Level 1 to Level 2 Severe Accident
  • use of verified, validated codes by qualified trained users with an Progression understanding of the code limitations and the means for addressing the Analysis limitations
  • assessment of the credible severe accident phenomena via a structured process
  • assessment of containment system performance including linkage with failure modes on non-containment systems
  • establishment of the capacity of the containment to withstand severe accident environments
  • assessment of accident progression timing, including timing of loss of containment failure integrity 12

Table 2. Summary of Technical Characteristics and Attributes of a PRA Element Technical Characteristics and Attributes Quantification

  • estimation of the frequency of different containment failure modes and resulting radionuclide source terms Source Term
  • assessment of radionuclide releases including appreciation of timing, Analysis location, amount and form of release
  • grouping of radionuclide releases into smaller subset of representative source terms with emphasis on large early release (LER) and on large late release (LLR)

Interpretation of

  • identification of the contributors to containment failure and resulting source Results terms
  • identification of sources of uncertainty and their impact on the results
  • understanding of the impact of the key assumptions* on Level 2 results Documentation Traceability and
  • the documentation is sufficient to facilitate independent peer reviews defensibility
  • the documentation describes all of the important interim and final results, insights, and important sources of uncertainties
  • walkdown process and results are fully described
  • Assumptions include those decisions and judgments that were made in the course of the analysis.

In addressing the above elements, because of the nature and impact of internal flood and fire and external hazards, their attributes are discussed separately in Table 3. This is because flood, fire, and external hazards analyses have the ability to cause initiating events but also have the capability to impact the availability of mitigating systems. Therefore, regarding the PRA model, the impact of flood, fire, and external hazards is to be considered in each of the above technical elements.

Table 3. Summary of Technical Characteristics and Attributes of an Internal Flood and Fire Analysis and External Hazards Analysis Areas of Analysis Technical Characteristics and Attributes**

Internal Flood Analysis Flood Identification

  • sufficiently detailed identification and characterization of:

Analysis 6 flood areas and SSCs located within each area 6 flood sources and flood mechanisms 6 the type of water release and capacity 6 the structures functioning as drains and sumps

  • verification of the information through plant walkdowns Flood Evaluation
  • identification and evaluation of Analysis 6 flood propagation paths 6 flood mitigating plant design features and operator actions 6 the susceptibility of SSCs in each flood area to the different types of floods
  • elimination of flood scenarios uses well defined and justified screening criteria 13

Table 3. Summary of Technical Characteristics and Attributes of an Internal Flood and Fire Analysis and External Hazards Analysis Areas of Analysis Technical Characteristics and Attributes**

Quantification

  • identification of flooding induced initiating events on the basis of a structured and systematic process
  • estimation of flooding initiating event frequencies
  • estimation of CDF for chosen flood sequences
  • modification of the Level 1 models to account for flooding effects including uncertainties Internal Fire Analysis Fire Area
  • all potentially risk-significant fire areas are identified and addressed Identification and
  • all mitigating components and their cables in each fire area are identified Screening
  • screening criteria are defined and justified Analysis
  • necessary walkdowns are performed to confirm the screening decisions
  • screening process and results are documented
  • unscreened events areas are subjected to appropriate level of evaluations (including detailed fire PRA evaluations as described below) as appropriate Fire Initiation
  • all potentially significant fire scenarios in each unscreened area are Analysis addressed
  • fire scenario frequencies reflect plant-specific features
  • fire scenario physical characteristics are defined
  • bases are provided for screening fire initiators Fire Growth and
  • damage to all potentially significant components is addressed; considers all Damage Analysis potential component failure modes
  • all potentially significant damage mechanisms are identified and addressed; damage criteria are specified
  • analysis addresses scenario-specific factors affecting fire growth, suppression, and component damage
  • models and data are consistent with experience from actual fire experience as well as experiments
  • includes evaluation of propagation of fire and fire effects (e.g., smoke) between fire compartments Plant Response
  • all potentially significant fire-induced initiating events are addressed so that Analysis their bases are included in the model
  • includes fire scenario impacts on core damage mitigation and containment systems including fire-induced failures
  • potential circuit interactions which can interfere with safe shutdown are addressed
  • human reliability analysis addresses effect of fire scenario-specific conditions on operator performance Quantification
  • estimation of fire CDF for chosen fire scenarios
  • identification of sources of uncertainty and their impact on the results
  • understanding of the impact of the key assumptions* on the CDF
  • all fire risk-significant sequences are traceable and reproducible External Hazards Analysis 14

Table 3. Summary of Technical Characteristics and Attributes of an Internal Flood and Fire Analysis and External Hazards Analysis Areas of Analysis Technical Characteristics and Attributes**

Screening and

  • credible external events (natural and man-made) that may affect the site are Bounding Analysis addressed
  • screening and bounding criteria are defined and results are documented
  • necessary walkdowns are performed
  • non-screened events are subjected to appropriate level of evaluations Hazard Analysis
  • the hazard analysis is site and plant-specific
  • the hazard analysis addresses uncertainties Fragility Analysis
  • fragility estimates are plant-specific for important SSCs
  • walkdowns are conducted to identify plant-unique conditions, failure modes, and as-built conditions.

Level 1 Model

  • important external event caused initiating events that can lead to core Modification damage and large early release are included
  • external event related unique failures and failure modes are incorporated
  • equipment failures from other causes and human errors are included.

When necessary, human error data is modified to reflect unique circumstances related to the external event under consideration

  • unique aspects of common causes, correlations, and dependencies are included
  • the systems model reflects as-built, as-operated plant conditions
  • the integration/quantification accounts for the uncertainties in each of the inputs (i.e., hazard, fragility, system modeling) and final quantitative results such as CDF and LERF
  • the integration/quantification accounts for all dependencies and correlations that affect the results
  • Assumptions include those decisions and judgments that were made in the course of the analysis.
    • Documentation also applies to flood, fire and external hazards.
2. CONSENSUS PRA STANDARDS AND INDUSTRY PRA PROGRAMS One acceptable approach to demonstrate conformance with Regulatory Position 1 is to use an industry consensus PRA standard; in addition, an alternative and acceptable approach to using an industry consensus PRA standard is to use an industry-developed peer review program.

2.1 Consensus PRA Standards One example of an industry consensus PRA standard is the ASME standard (Ref. 8), with a scope for a PRA for Level 1 and limited Level 2 (LERF) for full-power operation and internal events (excluding internal fires). The staff regulatory position regarding this document is provided in Appendix A to this regulatory guide. If it is demonstrated that the parts of a PRA that are used to support an application comply with the ASME standard, when supplemented to account for the staffs regulatory positions contained in Appendix A, it is considered that the PRA is adequate to support that risk-informed regulatory application.

Additional appendices will be added in future updates to this regulatory guide to address PRAs for other risk contributors, such as accidents caused by external hazards or internal fire or caused during the low power and shutdown modes of operation.

15

In general, if a PRA standard is used to demonstrate conformance with Regulatory Position 1, the standard should be based on a set of principles and objectives. Table 5 provides one acceptable set of principles and objectives, that were established and used by ASME (Ref. 8)

Table 5. Principles and Objectives of a Standard

1. The PRA standard provides well-defined criteria against which the strengths and weaknesses of the PRA may be judged so that decision makers can determine the degree of reliance that can be placed on the PRA results of interest.
2. The standard is based on current good practices as reflected in publicly available documents.

The need for the documentation to be publicly available follows from the fact that the standard may be used to support safety decisions.

3. To facilitate the use of the standard for a wide range of applications, categories can be defined to aid in determining the applicability of the PRA for various types of applications.
4. The standard thoroughly and completely defines what is technically required and should, where appropriate, identify one or more acceptable methods.
5. The standard requires a peer review process that identifies and assesses where the technical requirements of the standard are not met. The standard needs to ensure that the peer review process:

6 determines whether methods identified in the standard have been used appropriately; 6 determines that, when acceptable methods are not specified in the standard, or when alternative methods are used in lieu of those identified in the standard, the methods used are adequate to meet the requirements of the standard; 6 assesses the significance of the results and insights gained from the PRA of not meeting the technical requirements in the standard; 6 highlights assumptions that may significantly impact the results and provides an assessment of the reasonableness of the assumptions; 6 is flexible and accommodates alternative peer review approaches; and 6 includes a peer review team that is composed of members who are knowledgeable in the technical elements of a PRA, are familiar with the plant design and operation, and are independent with no conflicts of interest.

6. The standard addresses the maintenance and update of the PRA to incorporate changes that can substantially impact the risk profile so that the PRA adequately represents the current as-built and as-operated plant.
7. The standard is a living document. Consequently, it should not impede research. It is structured so that, when improvements in the state of knowledge occur, the standard can easily be updated.

2.2 Industry Peer Review Program An acceptable approach that can be used to ensure technical adequacy is to perform a peer review of the PRA. A peer review process can be used to identify the strengths and weaknesses in the PRA and their importance to the confidence in the PRA results. Specifically, an alternative and acceptable approach to using the ASME standard is to use the industry-developed peer review program (Ref. 9), with a scope for a PRA for Level 1 and limited Level 2 (LERF) for full-power operation and internal events (excluding internal floods and fires). The staff regulatory position on this document is provided in Appendix B to this regulatory guide. When the staffs regulatory positions contained in Appendix B are taken into account, use of this document can be used to demonstrate that the PRA is adequate to support a risk-informed application.

16

If a peer review process is used to demonstrate conformance with Regulatory Position 1, an acceptable peer review approach is one that is performed by qualified personnel, and according to an established process that compares the PRA against the characteristics and attributes, documents the results, and identifies both strengths and weaknesses of the PRA.

The team qualifications determine the credibility and adequacy of the peer reviewers. To avoid any perception of a technical conflict of interest, the peer reviewers will not have performed any actual work on the PRA. The members of the peer review team must have technical expertise in the PRA elements they review, including experience in the specific methods that are used to perform the PRA elements. This technical expertise includes experience in performing (not just reviewing) the work in the element assigned for review. Knowledge of the key features specific to the plant design and operation is essential. Finally, each member of the peer review team must be knowledgeable in the peer review process, including the desired characteristics and attributes used to assess the adequacy of the PRA.

The peer review process includes a documented procedure used to direct the team in evaluating the adequacy of a PRA. The review process compares the PRA against desired PRA characteristics and attributes such as those provided in Regulatory Position 2.4 and elaborated on in a PRA standard. In addition to reviewing the methods used in the PRA, the peer review determines whether the application of those methods was done correctly. The PRA models are compared against the plant design and procedures to validate that they reflect the as-built and as-operated plant. Key assumptions are reviewed to determine if they are appropriate and if they have a significant impact on the PRA results. The PRA results are checked for fidelity with the model structure and for consistency with the results from PRAs for similar plants. Finally, the peer review process examines the procedures or guidelines in place for updating the PRA to reflect changes in plant design, operation, or experience.

Documentation provides the necessary information such that the peer review process and the findings are both traceable and defensible. Descriptions of the qualifications of the peer review team members and the peer review process are documented. The results of the peer review for each technical element and the PRA update process are described, including the areas in which the PRA does not meet or exceed the desired characteristics and attributes used in the review process. This includes an assessment of the importance of any identified deficiencies on the PRA results and potential uses and how these deficiencies were addressed and resolved.

Table 4 provides a summary of the characteristics and attributes of a peer review.

Table 4. Summary of the Characteristics and Attributes of a Peer Review Element Characteristics and Attributes Team Qualifications

  • independent with no conflicts of interest
  • expertise in all the technical elements of a PRA including integration
  • knowledge of the plant design and operation
  • knowledge of the peer review process Peer Review Process
  • documented process
  • utilizes a set of desired PRA characteristics and attributes
  • reviews PRA methods
  • reviews application of methods
  • reviews key assumptions
  • determines if PRA represents as-built and as-operated plant
  • reviews results of each PRA technical element for reasonableness
  • reviews PRA maintenance and update process 17

Table 4. Summary of the Characteristics and Attributes of a Peer Review Element Characteristics and Attributes Documentation

  • describes the peer review team qualifications
  • describes the peer review process
  • documents where PRA does not meet desired characteristics and attributes
  • assesses and documents significance of deficiencies
3. Demonstrating the Technical Adequacy of a PRA Used To Support a Regulatory Application This section of the regulatory guide addresses the third purpose identified above, namely, to provide guidance to licensees on an approach acceptable to the NRC staff to demonstrate that the PRA used, in toto or for those parts that are used to support a regulatory application),are of sufficient quality to support the analysis. The role of this regulatory guide to support a specific application is discussed in the following sections.

The application-specific regulatory guides identify the specific PRA results to support the decision making and the analysis needed to provide those results. The parts of the PRA to support that analysis must be identified, and it is for these elements that the guidance in this regulatory guide is applied.

3.1 Identification of Parts of a PRA Used To Support the Application When using this regulatory guide, it is anticipated that the licensees description of the application will include the following:

  • Structures, systems, and components (SSCs), operator actions, and plant operational characteristics affected by the application
  • A description of the cause-effect relationships between the change and the above SSCs, operator actions, and plant operational characteristics
  • Mapping of the cause-effect relationships onto PRA model elements
  • A definition of the acceptance criteria or guidelines:

Identification of the PRA results that will be used to compare against the acceptance criteria or guidelines, and how the comparison is to be made Scope of risk contributors to support the decision.

Based on an understanding of how the PRA model is to be used to achieve the desired results, the licensee will have identified those parts of the PRA required to support a specific application. These include not only the logic model events onto which the cause-effect relationships are mapped, but also all the events that appear in the accident sequences in which the first group of elements appear and the parts of the analysis to evaluate the necessary results.

For some applications, this may be a limited set, but for others, e.g., risk-informing the scope of special treatment requirements, all parts of the PRA model are relevant.

3.2 Scope of Risk Contributors Addressed by the PRA Model Based on the definition of the application, and in particular the acceptance criteria or guidelines, the scope of risk contributors (internal and external initiating events and modes of plant operation) for the PRA can be identified. For example, if the application is designed around using the acceptance guidelines of Regulatory Guide 1.174, the evaluations of core damage frequency 18

(CDF), CDF, large early release frequency (LERF), and LERF should be performed with a full-scope PRA, including external initiating events and all modes of operation. However, since most PRAs do not address this full scope, the decision makers must make allowances for these omissions. Examples of approaches to making allowances include the introduction of compensatory measures, restriction of the implementation of the proposed change to those aspects of the plant covered by the risk model, and use of bounding arguments to cover the risk contributions not addressed by the model. This regulatory guide does not address this aspect of decision making, but it is focused specifically on the quality of the PRA information used.

The PRA standards and industry PRA programs that have been, or are in the process of being, developed address a specific scope. For example, the ASME PRA standard (Ref. 8) addresses internal events at full power for a limited Level2 PRA analysis. Similarly NEI-00-02 (Ref. 9) is a peer review process for the same scope (with the exception of internal flooding, which is not considered in NEI-00-02). Neither addresses external (including internal fire) initiating events nor the low power and shutdown modes of operation. The different PRA standards or industry PRA programs are addressed separately in appendices to this regulatory guide. In using this regulatory guide, the applicant will identify which of these appendices is applicable to the PRA analysis.

3.3 Demonstration of Technical Adequacy of the PRA There are two aspects to demonstrating the technical adequacy of the parts of the PRA to support an application. The first aspect is the assurance that the parts of the PRA used in the application have been performed in a technically correct manner, and the second aspect is the assurance that the assumptions and approximations used in developing the PRA are appropriate.

For the first, assurance that the parts of the PRA used in the application have been performed in a technically correct manner implies that: (a) the PRA model, or those parts of the model required to support the application, represents the as-built and as-operated plant, which, in turn, implies that the PRA is up to date and reflects the current design and operating practices, (b) the PRA logic model has been developed in a manner consistent with industry practice and that it correctly reflects the dependencies of systems and components on one another and on operator actions, and (c) the probabilities and frequencies used are estimated consistently with the definitions of the corresponding events of the logic model.

For the second, the current state of the art in PRA technology is that there are issues for which there is no consensus on methods of analysis. Furthermore, PRAs are models, and in that sense the developers of those models rely on certain approximations to make the models tractable, and on certain assumptions to address uncertainties as to how to model specific issues.

This is recognized in Regulatory Guide 1.174, which gives guidance on how to address the uncertainties. In accordance with that guidance, the impact of these assumptions and approximations on the results of interest to the application needs to be understood.

3.3.1 Assessment that the PRA Model is Technically Correct When using risk insights based on a PRA model, the applicant must ensure that the PRA model, or at least those parts of it needed to provide the results, is technically correct as discussed above.

The licensee is to demonstrate that the model is up to date in that it represents the current plant design and configuration, and represents current operating practices to the extent required to support the application. This can be achieved through a PRA maintenance plan that includes a commitment to update the model periodically to reflect significant changes.

19

The various consensus PRA standards and industry PRA programs that provide guidance on the performance of, or reviews of, PRAs are addressed individually in the appendices to this regulatory guide. These appendices document the staffs regulatory position on each of these standards or programs.

When the issues raised by the staff are taken into account, the standard or program in question may be interpreted to be adequate for the purpose for which it was intended. If the parts of the PRA can be shown to have met the requirements of these documents, with attention paid to the NRCs clarifications or objections, it can be assumed that the analysis is technically correct and review by NRC staff will not be necessary, other than an audit. Where deviations from these documents exist, the applicant must demonstrate either that its approach is equivalent or that the influence on the results used in the application are insignificant.

3.3.2 Assessment of Assumptions and Approximations Since the standards and industry PRA programs are not (or are not expected to be) prescriptive, there is some freedom on how to model certain phenomena or processes in the PRA; different analysts may make different assumptions and still be consistent with the requirements of the standard or the assumptions may be acceptable under the guidelines of the peer review process. The choice of a specific assumption or a particular approximation may, however, influence the results of the PRA. For each application that calls upon this regulatory guide, the applicant identifies the assumptions and approximations that have the potential to significantly alter the results used in the application. This will be used to identify sensitivity studies as input to the decision making associated with the application. Each of the documents addressed in the appendices either requires, or in the case of the industry peer review program, represents, a peer review. One of the functions of the peer review is to address the assumptions and make judgments as to their appropriateness. This in turn provides a basis for the sensitivity studies.

4. DOCUMENTATION AND SUBMITTAL 4.1 Introduction To facilitate the NRC staffs review of a risk-informed submittal, the licensee provides documentation to demonstrate that the parts of the PRA used in a regulatory application are of sufficient quality to support the analysis.

4.2 Archival Documentation Archival documentation includes a detailed description of the process used to determine the adequacy of the PRA. In addition, should the staff elect to perform an audit on all or any parts of the PRA used in the risk-informed application, the documentation maintained by the licensee must be legible and retrievable (i.e., traceable), and of sufficient detail that the staff can comprehend the bases supporting the results used in the application. Regulatory Position 2.4 of this guide provides the attributes and characteristics of archival documentation.

The archival documentation associated with a specific application is expected to include enough information to demonstrate that the scope of the review of the base PRA is sufficient to support the application. This includes:

  • the impact of the application on the plant design, configuration, or operational practices
  • the acceptance guidelines and method of comparison 20
  • the scope of the risk assessment in terms of initiating events and operating modes modeled
  • the parts of the PRA required to provide the results needed to support comparison with the acceptance guidelines.

4.3 Licensee Submittal Documentation To demonstrate that the technical adequacy of the PRA used in an application is of sufficient quality, the staff expects the following information will be submitted to the NRC:

  • A description of the process for maintenance, update, and control of the PRA.
  • Identification of changes to design or operational practices whose impacts have not been incorporated in the PRA model used to support the application, and either a justification of why this does not impact the results used or the results of a sensitivity study to demonstrate that the impact is not significant.
  • Documentation that the parts of the PRA required to produce the results used in the decision are performed consistently with the standard or peer review process as endorsed in the appendices to this regulatory guide, or a discussion of the impact of not meeting the standard or the criteria of the peer review process on the results and either a justification of why this does not impact the results used or the results of a sensitivity study that demonstrate that the impact is not significant.
  • A characterization of the assumptions and approximations that have a significant impact on the results used in the decision-making process. This characterization also includes the peer reviewers assessment of those assumptions. These characterizations provide information that the NRC staff may find useful to support the assessment of whether the use of these assumptions and approximations is either appropriate for the application, or whether sensitivity studies performed to support the decision are appropriate.
  • A discussion of the resolution of the peer review comments that are applicable to the parts of the PRA required for the application. This may take the form of: (1) a discussion of how the PRA model has been changed, (2) a justification of why the particular issue raised does not impact the results used, or (3) the results of a sensitivity study that demonstrate that the impact is not significant.

The standards or peer review process documents recognize different categories or grades that are related to level of detail, degree of conservatism, and degree of plant specificity. The licensees documentation is to identify the use of the parts of the PRA that conform to the less detailed categories, and the limitations this imposes.

21

References

1. USNRC, Use of Probabilistic Risk Assessment Methods in Nuclear Activities: Final Policy Statement, Federal Register, Vol. 60, p. 42622 (60 FR 42622), August 16, 1995.
2. USNRC, An Approach for Using Probabilistic Risk Assessment in Risk-Informed Decisions on Plant-Specific Changes to the Licensing Basis, Regulatory Guide 1.174, July 1998.1
3. USNRC, Use of Probabilistic Risk Assessment in Plant-Specific, Risk-Informed Decisionmaking: General Guidance, Chapter 19 of the Standard Review Plan, NUREG-0800, July 1998.1
4. USNRC, An Approach for Plant-Specific, Risk-Informed Decisionmaking: Inservice Testing, Regulatory Guide 1.175, August 1998.1
5. USNRC, An Approach for Plant-Specific, Risk-Informed Decisionmaking: Inservice Inspection of Piping, Regulatory Guide 1.178, September 1998.1
6. USNRC, An Approach for Plant-Specific, Risk-Informed Decisionmaking: Graded Quality Assurance, Regulatory Guide 1.176, August 1998.1
7. USNRC, An Approach for Plant-Specific, Risk-Informed Decisionmaking: Technical Specifications, Regulatory Guide 1.177, August 1998.1
8. American Society of Mechanical Engineers, Standard for Probabilistic Risk Assessment for Nuclear Power Plant Applications, ASME RA-S-2002, April 5, 2002.2
9. Nuclear Energy Institute, Probabilistic Risk Assessment Peer Review Process Guidance, NEI-00-02, Revision A3, March 20, 2000.3
10. USNRC, SECY-99-256, Rulemaking Plan for Risk-Informing Special Treatment Requirements, October 29, 1999.4
11. Letter from NEI, Anthony Pietrangelo, Director of Risk and Performance Based Regulation Nuclear Generation, to the USNRC, Ashok Thadani, Director of Office of Nuclear Regulatory Research, December 18, 2001.

1 Requests for single copies of draft or active regulatory guides (which may be reproduced) and certain SRP sections, or for placement on an automatic distribution list for single copies of future draft guides in specific divisions should be made in writing to the U.S. Nuclear Regulatory Commission, Washington, DC 20555, Attention: Reproduction and Distribution Services Section, or by fax to (301)415-2289; email

<DISTRIBUTION@NRC.GOV>. Copies are available for inspection or copying for a fee from the NRC Public Document Room at 11555 Rockville Pike (first floor), Rockville, MD; the PDRs mailing address is USNRC PDR, Washington, DC 20555; telephone (301)415-4737 or (800)397-4209; fax (301)415-3548; e-mail

<PDR@NRC.GOV>.

2 Copies may be obtained from the American Society of Mechanical Engineers, Three Park Avenue, New York, NY 10016-5990; phone (212)591-8500.

3 Copies may be obtained from the Nuclear Energy Institute, Attn: Mr. Biff Bradley, Suite 400, 1776 I Street, NW, Washington, DC 20006-3708; phone (202)739-8083.

4 Copies are available electronically through NRCs web site, <www.nrc.gov> through the Electronic Reading Room to Commission Documents. Copies are also available for inspection or copying for a fee from the NRC Public Document Room at 11555 Rockville Pike (first floor), Rockville, MD; the PDRs mailing address is USNRC PDR, Washington, DC 20555; telephone (301)415-4737 or 1-(800)397-4209; fax (301)415-3548; e-mail

<PDR@NRC.GOV>.

22

12. USNRC, Addressing PRA Quality In Risk-Informed Activities, SECY-00-0162, July 28, 2000.5
13. USNRC, Publication of Revisions 1 to Regulatory Guide 1.174 and SRP Chapter 19 and Notice of a Staff Plan for Endorsing Consensus Probabilistic Risk Assessment Standards and Industry Peer Review Programs, SECY-02-0070, April 24, 2002.5
14. USNRC, Determining the Technical Adequacy of Probabilistic Risk Assessment Results fro Risk-Informed Activities, Draft Standard Review Plan Chapter 19.1.
15. USNRC, Proposed Rulemaking to Add New Section 10 CFR 50.69, Risk-Informed Categorization and Treatment of Structures, Systems, and Components WITS 199900061,"

SECY-02-0176, September 30, 2002.5

16. J.A. Lambright et al., Fire Risk Scoping Study, NUREG/CR-5088, USNRC, January 1989.5 5

Copies are available at current rates from the U.S. Government Printing Office, P.O. Box 37082, Washington, DC 20402-9328 (telephone (202)512-1800); or from the National Technical Information Service by writing NTIS at 5285 Port Royal Road, Springfield, VA 22161; (telephone (703)487-4650; <http://www.ntis.gov/ordernow>. Copies are available for inspection or copying for a fee from the NRC Public Document Room at 11555 Rockville Pike, Rockville, MD; the PDRs mailing address is USNRC PDR, Washington, DC 20555; telephone (301)415-4737 or (800)397-4209; fax (301)415-3548; email is PDR@NRC.GOV.

23

APPENDIX A NRC REGULATORY POSITION ON ASME PRA STANDARD Introduction The American Society of Mechanical Engineers (ASME) has published ASME RA-S-2002, "Standard for Probabilistic Risk Assessment for Nuclear Power Plant Applications" (April 5, 2002). The standard states that it "sets forth requirements for probabilistic risk assessments (PRAs) used to support risk informed decisions for commercial nuclear power plants, and describes a method for applying these requirements for specific applications." The NRC staff has reviewed ASME RA-S-2002 against the characteristics and attributes for a technically acceptable PRA as discussed in Chapter 3 of this regulatory guide. The staffs position on each requirement (referred to in the standard as a requirement, a high-level requirement, or a supporting requirement) in ASME RA-S-2002 is categorized as "no objection," "no objection with clarification," or "no objection subject to the following qualification," and defined as follows:

 No objection: the staff has no objection to the requirement.

 No objection with clarification: the staff has no objection to the requirement. However, certain requirements, as written, are either unclear or ambiguous and therefore, the staff has provided its understanding of these requirements.

 No objection subject to the following qualification: the staff has a technical concern with the requirement and has provided a qualification to resolve the concern.

Table A-1 provides the staff position on each requirement in ASME RA-S-2002. A discussion of the staff concern (issue) and the staff proposed resolution is provided. In the proposed staff resolution, the staff clarification or qualification to the requirement is indicated either in bolded text (i.e., bold) or strikeout text (i.e., strikeout); that is, the necessary additions or deletions to the requirement (as written in ASME RA-S-2002) for the staff to have no objection are provided.

Table A-1 Staff Position on ASME RA-S-2002 Index No Issue Position Resolution Chapter 1 1.1 The standard is only for current Clarification "This Standard sets forth requirements for PRAs generation LWRs, the used to support risk-informed decisions for requirements may not be sufficient commercial light water reactor nuclear power or adequate for other types of plants, and prescribes a method for applying these reactors requirements for specific applications (additional or revised requirements may be needed for more advanced reactor designs)."

1.2 - 1.7 ----------------- No objection ----------------------------

Tbl 1.3-1 ----------------- No objection ----------------------------

Chapter 2 2.1 ----------------- No objection ----------------------------

2.2 24

Table A-1 Staff Position on ASME RA-S-2002 Index No Issue Position Resolution Accident The definition provided is very Clarification accident sequence, a representation in terms of sequence general and does not distinguish an initiating event followed by a sequence of the different types of accident failures or successes of events (such as system, sequences developed in a PRA. function, or operator performance) that can This distinction is necessary lead to undesired consequences, with a because some of the SRs are specified end state (e.g., core damage or large dependent on the accident early release). A representation in terms of an sequence type. initiating event followed by a combination of system, function, and operator failures or successes, of an accident that can lead to undesired consequences, with a specified end state (e.g., core damage or large early release). An accident sequence may contain many unique variations of events (minimal cut sets) that are similar.

accident sequence, class, a grouping of accident sequences by initiator type (e.g.,

LOCA, LOSP) or by similar functional loss (e.g., station blackout, loss of decay heat).

accident sequence, functional, the sequence of events are represented by the key safety functions necessary to mitigate the effects of the initiating event.

accident sequence, systemic, the sequence of events are represented by the front-line systems necessary to mitigate the effects of the initiating event.

accident sequence, scenario, the sequence of events are represented by the specific components or trains, support systems and operator actions necessary to mitigate the effects of the initiating event.

25

Table A-1 Staff Position on ASME RA-S-2002 Index No Issue Position Resolution Accident The first part of the definition Clarification accident sequence, dominant: an accident sequence, provides little value and may be sequence that is usually represented by the top 10 dominant inaccurate, a large fraction may be or 20 events or groups of events modeled in a outside the stated range (i.e., PRA and accounts for a large fraction of the core smaller or larger than 10 to 20). In damage or large early release frequency.

addition, it is not clear what is meant by large fraction. The term dominant, significant, important, contributor, "dominant" is also used to modify an entity or entities (contributor(s) or event(s) other events such as contributors, such as failure of a specific piece(s) of human events. equipment, human failure event(s), accident sequence(s)) that exercises the most influence Several different terms (modifiers) or control to an outcome, and where each are used in the standard. In some dominant entity has the ability to effect the places, these modifiers are used second significant figure of the quantitative interchangeably (to have the same outcome (i.e., x.yE-z).

meaning) and in other places, they are used to convey different meanings (e.g., used to distinguish whether a requirement is imposed).

A common and specific quantitative understanding of these modifiers is necessary.

Specifically, these modifiers include: important, significant and dominant.

Best estimate Best estimate, as defined, is never Qualification best estimate: the point estimate of a parameter used in the standard. The term, as that is not biased by conservatism or optimism.

used in the standard (SC-B1), does Generally, the best estimate of a parameter is not match the provided definition; represented as a mean value.

the term is used to mean realistic which is already stated in the requirement (see SC-B1) key safety The functions listed are imprecise Qualification "...These include reactivity control, core heat functions and redundant (e.g., core heat removal, reactor pressure control, reactor removal is redundant with both coolant inventory control, reactor coolant heat reactor coolant inventory control removal, decay heat removal, and containment and reactor coolant heat removal) integrity in appropriate combinations..."

and other safety functions are missing.

large early QHOs address both early and Clarification "...of off-site emergency response and protective release latent fatalities where LERF is actions such that there is a potential for early used as a surrogate for the early health effects."

fatality QHO, therefore, the definition to include the potential for early health effects is necessary.

Skill of the This term is used in the standard Qualification skill of the craft: that level skill expected of the craft and a definition is necessary. personnel performing the associated function unavailability Fraction of time is one method for Qualification "The probability that a system or component is calculating unavailability, it is not not capable of supporting its function..."

suitable for calculating unavailabilities such as failure on demand.

26

Table A-1 Staff Position on ASME RA-S-2002 Index No Issue Position Resolution Other ----------------- No objection ----------------------------

definitions Chapter 3 No objection 3.1 thru 3.6 ----------------- No objection ----------------------------

Chapter 4 4.1 - 4.2 ----------------- No objection ----------------------------

4.3 4.3.1-4.3.2 ----------------- No objection ----------------------------

4.3.3 The use of the word "should" does Clarification "The PRA analysis team shall should use outside not provide a minimum experts..."

requirement.

4.3.4-4.3.7 ----------------- No objection ----------------------------

4.4 ----------------- No objection ----------------------------

4.5 The standard provides SRs for Qualification "... a PRA will meet that HLR.

different PRA capabilities, but The capability category that has been met there is no requirement for the for each SR shall be identified and PRA to identify which capability documented.

category is met for each SR. Boldface is used....in the three Capability Categories."

4.5 Tables No objection 4.5.1-2(d) 4.5.2-2(c) 4.5.3-2(c) 4.5.4-2(c) 4.5.5-2(i) 4.5.6-2(e) 4.5.7-2(f) 4.5.8-2(f) 4.5.9-2(g) 4.5.1 - IE 4.5.1.1 ----------------- No objection ----------------------------

Table 4.5.1-1 ----------------- No objection ----------------------------

Tables 4.5.1-2(a) thru 4.5.1-2(d)

IE-A1,A3, ----------------- No objection ----------------------------

A7,A8,A9, A10 IE-A2 There is no definition of "active Clarification "...(c) ISLOCAs: INCLUDE postulated events components." As such, the representing active components (i.e., components requirement is unclear and too that will need to change state) in systems open ended. interfacing with the reactor coolant system..."

27

Table A-1 Staff Position on ASME RA-S-2002 Index No Issue Position Resolution IE-A4 As written, the distinction between Clarification Cat II: "USE a structured approach .... to assess Cat II and III could be taken to and document the possibility of an initiating event mean that only those initiating resulting from individual systems or train events resulting from failures of failures."

complete systems as opposed to single trains of systems will be considered.

IE-A5 As written, there is an implication Clarification "....INCORPORATE (a) events that have occurred that more work is needed in (a): at condition other than at-power operation (i.e.,

not every event that occurs at other during low power or shutdown conditions, unless than at-power operation should be it is determined that an event is not applicable incorporated. to at-power operation. (b) events...."

IE-A6 As written, there is an implication Clarification Cat II: "INTERVIEW plant operations, ... to that more work is needed for Cat II determine if potential initiating event have been than for Cat III, since it is not clear overlook." Information from interviews whether the interviews from other conducted at similar plants may be used.

plants are to be used instead of or as a complement to plant specific interviews. However, interviews from other plants would appear to be more resource intensive.

IE-B2,B3, B4 -------------------------- No objection --------------------------

IE-B1 For the functional IE categories Clarification "....in the Quantification element (para.4.5.8).

and quantification IE categories, as Functional initiating event categories refer to written, it is implied that two initiating events grouped for the purpose of different groupings are performed. accident sequence definition, while quantification Therefore two different sets of initiating event categories refer to those grouped accident sequences would be for separate quantification of the accident developed and quantified. In sequences. When initiating events are not grouped addition, the definitions provided for either of these purposes, PROVIDE a separate are too limiting, other IE accident-sequence evaluation for each selected categories can exist for grouping. initiating event."

IE-C2,C3, ----------------- No objection ----------------------------

C4,C6,C7,C8, C10, C11 IE-C1 As written, there appears to be an Clarification "...USE the most recent applicable data to internal inconsistency -- SR quantify the initiating event frequencies.

requires the "USE of the most JUSTIFY excluded data that is not considered recent data" then requires to be either recent or applicable (e.g., provide justification to exclude "data from evidence via design or operational change that the initial year of commercial the data are no longer applicable). CREDIT operation. Further in IE-C5, SR recovery actions(see note) as appropriate; JUSTIFY requires justification of "exclusion each such credit (as evidenced such as through of earlier years" procedures or training). Data from the initial year of commercial operation may be excluded; if It is not clear what is an acceptable excluded, JUSTIFY.

justification for deviating from the Note: these recovery actions are those standard, as such the requirement implied in IE-C4(c) or those implied and is too open ended. discussed in IE-C6 through IE-C9."

28

Table A-1 Staff Position on ASME RA-S-2002 Index No Issue Position Resolution IE-C5 It is not clear what is an acceptable Clarification Cat III: "...JUSTIFY excluded data that is not justification for deviating from the considered to be either recent or applicable standard, as such the requirement (e.g., provide evidence via design or is too open ended. operational change that the data are no longer applicable) exclusion of earlier years that are not SR needs to be consistent with IE- representative of current data. One acceptable C1 methodology....""

IE-C9 Fault tree modeling of an initiating Clarification Cat I: No requirement to use plant-specific event is plant-specific by definition information in the fault-tree modeling. "If fault-(see IE-C6 thru IE-C8) and the tree modeling is used, USE plant-specific treatment of recovery actions needs information in the assessment and to be consistent with the quantification of recovery actions where requirements in the HRA section available. See Human Reliability Analysis of the standard (HR-F and HR-G). (para. 4.5.5) for further guidance."

IE-C12 For Cat I and II, there is no Clarification Cat I and II: "In the ISLOCA frequency analysis, minimum list of features and INCLUDE features of plant and procedures that procedures that could significantly could significantly influence the ISLOCA influence the ISLOCA frequency. frequency:

(a) configuration of potential pathways including numbers and types of valves and their relevant failure modes, existence and positioning of relief valves (b) provision of protective interlocks (c) relevant surveillance test procedures" IE-D2,D3, D4 ----------------- No objection ----------------------------

IE-D1 It is not clear what is an acceptable Clarification "....(a) LIST and JUSTIFY (by plant-specific or justification for deviating from the applicable generic analyses) functional standard, as such the requirement categories..."

is too open ended.

4.5.2. - AS No objection Table 4.5.2-1 HLR-AS-B is inconsistent with the Clarification HLR-AS-B Dependencies due to initiating HLR written for Table 4.5.2-2(b). events, human interface, functional dependencies, The SRs in Table 4.5.2-2(b) are environmental and spatial impacts, and common appropriate for the HLR as written cause failures shall be addressed.

for that table. "Dependencies that can impact the ability of the mitigating systems to operate and function shall be addressed."

Tables 4.5.2-2(a) thru 4.5.2-2(c)

Table 4.5.2- ----------------- No objection ----------------------------

2(b)

AS-A1, A2,A3 ----------------- No objection ----------------------------

A4, A5,A7,A8,A10

,A11 AS-A6 As written, with the term "when Clarification "Where practical, sequentially ORDER....in the practical," there is no minimum, accident progression. Where not practical, there is no SR for when it is not provide the bases and provide the rationale practical. used for the ordering."

29

Table A-1 Staff Position on ASME RA-S-2002 Index No Issue Position Resolution AS-A9 This SR appears to be redundant Clarification Cat I, II and III: "...thermal-hydraulic analyses to with SRs in SC; effects other than determine accident progression parameters (e.g.,

environmental are addressed by the timing, temperature, pressure, steam) the requirements under success environmental effects (e.g., temperature, criteria. pressure, steam) during the accident progression that could potentially affect the operability of the mitigating systems."

AS-B1, B2, B3 ----------------- No objection ----------------------------

B4,B5 AS-B6 As written, there appears to be an Clarification "INCLUDE events for which time-phased implication that the list provided is dependencies might exist. Examples are:...."

complete.

AS-C1, ----------------- No objection ----------------------------

C2,C3,C4 4.5.3 - SC 4.5.3.1 ----------------- No objection ----------------------------

Table 4.5.3-1 ----------------- No objection ----------------------------

Tables 4.5.3-2(a) thru 4.5.3-2(c)

SC-A1, A2,A3 ----------------- No objection ----------------------------

A4, A5,A6 SC-B2, B3,B4 ----------------- No objection ----------------------------

B5, B6 SC-B1 The meaning of "best-estimate" as Qualification Cat II: "USE appropriate realistic best-estimate used in this requirement does not generic analyses/evaluations.....requiring detailed agree with the definition in Section computer modeling. Realistic models or analyses 2; in the SC-B1 context it is may be supplemented..."

redundant with "realistic" and is Cat III: "USE best-estimate realistic, plant-not needed. specific models...."

SC-C1, ----------------- No objection ----------------------------

C2,C3,C4 4.5.4 - SY 4.5.4.1 ----------------- No objection ----------------------------

Table 4.5.4-1 ----------------- No objection ----------------------------

Tables 4.5.4-2(a) thru 4.5.4-2(c)

SY-A1 thru ----------------- No objection ----------------------------

A18, A20, A21, A22 SY-A8 Boundaries of a component must Qualification "....MATCH the definitions used to establish the match the data. component failure data, or JUSTIFY an alternative assumption. For example, if the pump failure data for the pump include control circuit failures, then the pump boundary must include the control circuitry. ...."

30

Table A-1 Staff Position on ASME RA-S-2002 Index No Issue Position Resolution SY-A19 If there are not any engineering Qualification Cat I and II: "...If engineering analyses are not analyses, there can be no available, ASSUME that the equipment/system justification for the assumption. fails with a probability of 1.0. or JUSTIFY the assumed failure probability."

SY-A23 There are no commonly used Clarification "....is justified through an adequate recovery analysis methods for recovery in analysis or examination of data collected in the sense of repair, other than use accordance with DA-C14." (See DA-C14.)

of actuarial data.

SY-B2 thru ----------------- No objection ----------------------------

B9, SY-B12 thru B16 SY-B1 For Cat I, as written, this implies Clarification For Cat I: "MODEL intra-system common-cause more effort than probably intended failures when supported by generic or plant-by this requirement. specific data (an acceptable model is the screening approach of NUREG/CR-5485, which is consistent with DA-D5), or SHOW that they do not impact the results."

SY-B11 It is not clear what is an acceptable Clarification "....MODEL them unless a justification is justification for deviating from the provided (i.e., that is unique to the system and standard; as such, the requirement highly reliable). ....."

is too open ended.

SY-B12 It is not clear what is an acceptable Clarification "COMPARE MODEL the limitation of the justification for deviating from the available inventories of air, power, and cooling standard; as such, the requirement with those required respect to supporting the is too open ended. mission time. TREAT these inventories in the model unless a justification is provided."

SY-C1,C2 C3 ----------------- No objection ----------------------------

4.5.5 - HR 4.5.5.1 ----------------- No objection ----------------------------

Table 4.5.5-1 ----------------- No objection ----------------------------

Tables 4.5.5-2(a) thru 4.5.5-2(i)

HR-A1, A2, ----------------- No objection ----------------------------

A3 HR-B1,B2 ----------------- No objection ----------------------------

HR-C1, C2,C3 ----------------- No objection ----------------------------

HR-D1, ----------------- No objection ----------------------------

D2,D3, D4,D5, D6,D7 HR-E1, E2, ----------------- No objection ----------------------------

E3, E4 HR-F1,F2 ----------------- No objection ----------------------------

31

Table A-1 Staff Position on ASME RA-S-2002 Index No Issue Position Resolution HR-G1, ----------------- No objection ----------------------------

G2,G3, G5,G6, G7,G9 HR-G4 For Cat II, plant-specific thermal- Clarification Cat II: "BASE the time available to complete hydraulic analysis is required actions on appropriate, realistic generic which seems inconsistent with SC- thermal-hydraulic analyses, or simulations B1 that allows realistic but "similar from similar plants (e.g., plant of similar plant" T-H for Cat II. design and operation). SPECIFY the point in time at which operators are expected to receive relevant indications.

Cat III: "BASE the time available to complete actions on plant-specific thermal-hydraulic analyses, or simulations SPECIFY the point in time at which operators are expected to receive relevant indications.

HR-G8 It is not clear what is an acceptable Clarification "DEFINE and JUSTIFY (provide evidence that justification; as such, the there are not any dependencies, e.g., shaping requirement is too open ended. factors, management, among the human failure events such that cutsets were inappropriately truncated) the minimum probability...."

HR-H1 To be consistent with HR-H2 and Clarification Cat I and II: "INCLUDE....the dominant HR-H3, it is necessary that this SR sequences. Recovery actions are limited to clearly indicate that recovery does those to which HRA techniques can be applied, not include repair, which is dealt such as system reconfiguration, or simple with actuarially, not by modeling actions such as manually opening or closing a via human reliability analysis. failed valve, but not repair."

Cat III: "INCLUDE.....components. Recovery actions are limited to those to which HRA techniques can be applied, such as system reconfiguration, or simple actions such as manually opening or closing a failed valve, but not repair."

HR-H2 The criteria provided for crediting Qualification "....skill of the craft exist recovery actions are incomplete; (c) attention is given to the relevant there are other factors equally performance shaping factors provided in HR-important that are to be addressed G3 before credit can be allowed. (d) there is sufficient manpower to perform the action.

As written, there is no requirement If credit is taken for multiple operator to justify multiple recovery actions recovery actions ENSURE that it has been which can result in inaccurate and determined that the appropriate manpower is misleading results. available, taking into account such things as the fluctuating manpower with time of the day."

HR-I1 ----------------- No objection ----------------------------

4.5.6 - DA 4.5.6.1 No objection Table 4.5.6-1 ----------------- No objection ----------------------------

Tables 4.5.6-2(a) thru 4.5.6-2(e) 32

Table A-1 Staff Position on ASME RA-S-2002 Index No Issue Position Resolution DA-A1, ----------------- No objection ----------------------------

A2,A3 DA-B1,B2 ----------------- No objection ----------------------------

DA-C1, ----------------- No objection ----------------------------

C2,C3,C4,C5, C6,C7, C8,C9, C10,C11, C12,C13, C15 DA-C14 This SR, which provides a Qualification "IDENTIFY instances of plant-specific justification for crediting component repair from both plant-specific and equipment repair, assumes plant- industry experience and for each repair, specific data will be sufficient to COLLECT...."

justify this credit. For such components as pump repair, plant-specific data is insufficient and a broader base is necessary.

DA-D2, D4, ----------------- No objection ----------------------------

D6, D7 DA-D1 For Cat I, as written, the Clarification Cat I: "USE plant-specific parameter estimates requirements are not practical in for events modeling the unique design or that they are difficult if not operational features if available, or use generic impossible to meet. If the feature information modified as discussed in DA-D2; is unique, there may be little to no USE with generic information for the remaining plant-specific data. events."

For Cat II and III, as written, Cat II: "CALCULATE realistic parameter requirements appear to be estimates for dominant contributors; if sufficient inconsistent with Table 1.3-1 and plant-specific data is not available, use a IE-C2 Bayesian update process of generic industry data. CHOOSE prior distributions as either non-informative, or representative of variability in industry data. CALCULATE parameter estimates for the remaining events by using generic industry data."

Cat III: "CALCULATE realistic parameter estimates; if sufficient plant-specific data is not available, use a Bayesian update process of generic industry data. CHOOSE prior distributions as either non-informative, or representative of variability in industry data."

33

Table A-1 Staff Position on ASME RA-S-2002 Index No Issue Position Resolution DA-D3 For Cat II, a mean value is Qualification Cat II: "PROVIDE a mean value of, and a required for CDF and LERF; statistical representation of the uncertainty assigning mean values only to intervals for, the parameter estimates that events that "contribute contribute measurably to CDF and LERF. The measurably" can result in parameter estimates that contribute combining events where some measurably are those events that are retained have mean values and some are in the sequences that survive truncation in the point estimates, which does not final quantification of CDF and LERF.

result in a mean CDF or LERF. Acceptable systematic methods include Bayesian updating, frequentist method, or expert Cat II and III, as written, a mean judgment."

value of the uncertainty intervals is Cat III: "PROVIDE a mean value of, and a required, which is incorrect statistical representation of the uncertainty (caused by incorrect comma after intervals for, the parameter estimates.

representation of). Acceptable systematic methods include Bayesian updating, frequentist method, or expert judgment."

DA-D5 Cat I, does not appear to be Clarification Cat I: "USE the Beta-factor approach (i.e., the consistent with SY-B1. screening approach in NUREG/CR-5485) or an equivalent for the estimation of CCF parameters."

Cat II and III: the SR already Cat II and III: "...JUSTIFY the use of alternative provides the generally used and methods (i.e., provide evidence of peer review known approaches, therefore, it is or QA of the method which demonstrates its not clear what is an acceptable acceptability).

justification for an alternative. As such, the requirement is too open ended.

DA-E1 ----------------- No objection ----------------------------

4.5.7 - IF 4.5.7.1 ----------------- No objection ----------------------------

Table 4.5.7-1 ----------------- No objection ----------------------------

Tables 4.5.7-2(a) thru 4.5.7-2(f)

IF-A1,A2, A3 ----------------- No objection ----------------------------

A4 IF-B1,B2, B3 ----------------- No objection ----------------------------

B4 IF-C1,C3 ----------------- No objection ----------------------------

C4,C6 IF-C2 It is not clear what is an acceptable Clarification "....JUSTIFY any credit given, particularly any justification for deviating from the credit given for INCLUDE credit only when there standard; as such, the requirement are available non-flood proof doors or barriers, is too open ended. and credit procedures or skill of the craft exist for isolation of a flood source including the method of detection (i.e., operator detection via control room indication or alarms),

accessibility to the isolation device, and time available to perform the action.

34

Table A-1 Staff Position on ASME RA-S-2002 Index No Issue Position Resolution IF-C5 Cat II and III: the SR already Clarification "....JUSTIFY any other qualitative screening provides criteria, therefore, it is not criteria (provide evidence that the qualitative clear what is an acceptable alternative used is acceptable)."

justification for an alternative; as such, the requirement is too open ended.

IF-D1,D2, D3 ----------------- No objection ----------------------------

D4, D5 IF-E1,E2, ----------------- No objection ----------------------------

E3,E4,E6, E7 IF-E5 Use of JUSTIFY is too open Clarification "...JUSTIFY the use of extraordinary recovery ended, particularly considering actions that are not proceduralized (i.e., provide these are extraordinary recovery evidence of appropriate training that would actions that are not proceduralized. ensure knowledge, skill of the craft).

IF-F1,F2 ----------------- No objection ----------------------------

4.5.8 - QU 4.5.8.1 ----------------- No objection ----------------------------

Table 4.5.8-1 HLR-QU-A and Table 4.5.8-2(a) Clarification HLR-QU-A: "...core damage frequency and shall objective statement just before support the quantification of LERF."

table: These objective statements do not exactly agree.

Tables 4.5.8-2(a) thru 4.5.8-2(f)

QU-A1,A3 A4 ----------------- No objection ----------------------------

QU-A2 The SR is incomplete, and as Qualification Cat I: "ESTIMATE the overall point estimate written, a point estimate may be from internal events. QUANTIFY PROVIDE quantified for CDF and LERF for estimates of the individual sequences in a Cat II and III. manner consistent with the estimation of total CDF to identify dominant sequences....is appropriately reflected. The estimates may be accomplished by using....split fractions."

Cat II: "ESTIMATE the overall mean CDF from internal events, ensuring that the "state-of-knowledge" correlation between event probabilities is taken into account.

QUANTIFY PROVIDE estimates of the individual sequences in a manner consistent with the estimation of total CDF to identify dominant sequences....is appropriately reflected.

The estimates may be accomplished by using....split fractions."

35

Table A-1 Staff Position on ASME RA-S-2002 Index No Issue Position Resolution Cat III: ESTIMATE CALCULATE the overall mean CDF from internal events by propagating the uncertainty distributions, ensuring that the "state-of-knowledge" correlation between event probabilities is taken into account.

QUANTIFY PROVIDE estimates of the individual sequences in a manner consistent with the estimation of total CDF to identify dominant sequences....is appropriately reflected.

The estimates may be accomplished by using....split fractions."

QU-B1, B2, ----------------- No objection ----------------------------

B3, B4, B5, B6, B7, B8, B9, QU-C2,C3 ----------------- No objection QU-C1 Screening values as used in the Clarification "IDENTIFY cutsets with multiple HFEs by Human Reliability Analysis requantifying the PRA model with HEP values section are values that, if shown set to values that are sufficiently high that the not to contribute, may be retained cutsets are not truncated. The final in the model as is. QU-C1 is to quantification of these post-initiator HFEs may be perform an analysis using done at the cutset level or saved sequence level."

artificially high values for HEPs to identify those cutsets that contain multiple HFEs and are to be reviewed for dependency.

QU-D1,D2 ----------------- No objection ----------------------------

D3, D4, D5 QU-E1,E2 E4 ----------------- No objection ----------------------------

QU-E3 For Cat II, the uncertainty intervals Qualification Cat II: "ESTIMATE the uncertainty interval of associated with parameter the overall CDF results. ESTIMATE the uncertainties are to be estimated uncertainty intervals associated with parameter taking into account the "state of uncertainties taking into account the "state-of-knowledge" correlations. knowledge" correlation."

QU-F1, F2, ----------------- No objection ----------------------------

F4, F5, F6 QU-F3 Important assumptions and causes Qualification Cat I and II: "DOCUMENT important of uncertainty can significantly assumptions and causes of uncertainty, such effect the decision-making when as: possible optimistic or conservative success using results from any category criteria, ... possible spatial dependencies, etc."

and QU-F3 is inconsistent with No requirement to document important QU-F1(l) for categories I and II. assumptions and causes of uncertainty.

4.5.9 - LE 4.5.9.1 ----------------- No objection ----------------------------

Table 4.5.9-1 No objection Tables 4.5.9-2(a) thru 4.5.9-2(g) 36

Table A-1 Staff Position on ASME RA-S-2002 Index No Issue Position Resolution LE-A1,A2, ----------------- No objection ----------------------------

A3, A4, A5 LE-B1, B3 ----------------- No objection ----------------------------

LE-B2 The modifiers (e.g., may, possible) Clarification Cat I: "...An acceptable alternative is the in Cat I, II, and III appear to approach in NUREG/CR-6595 [Note (1)]."

eliminate the distinction between Realistics loads may be used when available.

Category I, II, and III, and do not Cat II: USE containment loads....that are realistic provide a minimum in Cat I or II. when possible for significant challenges to containment. Conservative treatment may be is used for non-dominant LERF contributors.

Cat III: USE containment loads....that are realistic when possible for significant challenges to containment.

LE-C1,C5 C6, ----------------- No objection ----------------------------

C7 LE-C2 It is not clear what is an acceptable Clarification Cat II and III: "...Repair of equipment may be justification; as such, the considered if it can be established that the plant requirement is too open ended. conditions do not preclude repair and actuarial data exists from which to estimate the repair Credit for equipment repair is to be failure probability." appropriate justified consistent with the Level 1 requirements.

LE-C3 It is not clear what is an acceptable Clarification Cat II and III: "...PROVIDE technical justification justification; as such, the (by plant-specific or applicable generic requirement is too open ended. calculations demonstrating the feasibility of the actions, scrubbing mechanisms, or beneficial failures) ..."

LE-C4 The modifiers (e.g., may, possible) Clarification Cat I: "USE conservative system success criteria."

in Cat I, II and III appear to Realistic criteria may be used.

eliminate the distinction between Cat II: "....Conservative system success criteria Category I, II and III, and do not may be is used for non-dominant LERF provide a minimum in Cat I or II. contributors."

LE-C8 The modifiers (e.g., may, possible) Clarification Cat I: "...An acceptable alternative is the in Cat I, II and III appear to approach in NUREG/CR-6595 [Note (1)]." A eliminate the distinction between realistic treatment may be used.

Category I, II and III, and do not Cat II: "....in a realistic manner when possible.

provide a minimum in Cat I or II. Conservative treatment may be is used for non-dominant LERF contributors.

Cat III: "TREAT .... in a realistic manner" when possible.

LE-C9 The modifiers (e.g., may, possible) Clarification Cat I: "...An acceptable alternative is the in Cat I, II and III appear to approach in NUREG/CR-6595 [Note (1)]." A eliminate the distinction between realistic treatment may be used.

Category I, II and III, and do not Cat II: "....in a realistic manner when possible.

provide a minimum in Cat I or II. Conservative treatment may be is used for non-dominant LERF contributors.

Cat III: "TREAT .... in a realistic manner" when possible.

37

Table A-1 Staff Position on ASME RA-S-2002 Index No Issue Position Resolution LE-C10 Modifiers in Cat I appear to Clarification Cat I: "...An acceptable alternative is the eliminate the distinction between approach in NUREG/CR-6595 [Note (1)]."

Cat I and II, and therefore, there is Realistic treatment may be used.

not a minimum in Cat I Cat II and III: "...JUSTIFY any credit taken for reducing the class of the release by scrubbing (i.e.,

It is not clear what is an acceptable provide the source of the decontamination justification; as such, the factor used)."

requirement is too open ended.

LE-D1 It is not clear what is an acceptable Clarification Cat I: "....USE a conservative evaluation of justification; as such, the containment capacity for dominant containment requirement is too open ended. failure modes. A realistic evaluation may be used......

The may term in Cat I and II EVALUATE impact of ..... vent pipe bellows, appears to eliminate the distinction and INCLUDE in as potential failure modes, as between Cat I and II, and does not required.....

provide a minimum in Cat I or II. Such considerations may need to be included for small volume containments...."

Cat II: "...PERFORM a realistic containment capacity analysis for dominant containment failure modes. The analysis may include some conservative parameters USE a conservative evaluation of containment capacity for non-dominant containment failure modes.

EVALUATE impact of ..... vent pipe bellows, and INCLUDE in as potential failure modes, as required....

JUSTIFY applicability to the plant being evaluated. Analyses may consider use of similar containment designs or estimating containment capacity based on design pressure and a realistic multiplier relating containment design pressure and median ultimate failure pressure. Quasi-static containment capability evaluations ....

Such considerations may need to be included for small volume containments...."

LE-D2 It is not clear what is an acceptable Clarification Cat I: "...JUSTIFY applicability of generic and justification; as such, the other analyses. Analyses may consider requirement is too open ended. conservative comparison with similar failure locations in similar containment designs. An acceptable alternative...."

LE-D3 Stating a "realistic evaluation is Clarification Cat I: "USE a conservative evaluation of acceptable" in Cat I appears to interfacing system failure probability for eliminate the distinction between dominant failure modes. A realistic evaluation is Cat I and II, and does not provide a acceptable. IF generic analyses generated for minimum in Cat I. similar plants are used, JUSTIFY applicability to the plant being evaluated. Analyses may It is not clear what is an acceptable consider conservative comparison with similar justification; as such, the interfacing systems in similar containment requirement is too open ended. designs."

38

Table A-1 Staff Position on ASME RA-S-2002 Index No Issue Position Resolution Cat II: "PERFORM a realistic interfacing system failure probability analysis. Evaluation .... may include conservatisms. USE a conservative evaluation of interfacing system failure probability for non-dominant failure modes.....

JUSTIFY applicability to the plant being evaluated. Analyses may consider realistic comparison with similar interfacing systems in similar containment designs Cat III: "PERFORM a realistic interfacing system failure probability analysis for dominant the failure modes.....

LE-D4 The may term in Cat I appears to Clarification Cat I: "USE a conservative evaluation of eliminate the distinction between secondary side isolation capability for dominant Cat I and II, and does not provide a SG tube failure modes. A realistic evaluation minimum in Cat I. may be used. IF generic analyses generated for similar plants are used, JUSTIFY applicability to It is not clear what is an acceptable the plant being evaluated. Analyses may justification; as such the consider conservative comparison with similar requirement is too open ended. isolation capability in similar containment designs."

Cat II: "PERFORM a realistic secondary side isolation capability analysis for dominant SG tube failure modes. Evaluation .... may include conservatisms. USE a conservative evaluation of secondary side isolation capability for non-dominant SG tube failure modes.....

JUSTIFY applicability to the plant being evaluated. Analyses may consider realistic comparison with similar isolation capability in similar containment designs" Cat III: "PERFORM a realistic secondary side isolation capability analysis for dominant SG tube failure modes..."

LE-D5 The modifiers (e.g., may, possible) Clarification Cat I: "TREAT induced SG tube rupture in a in Cat I, II and III appear to conservative manner." A realistic treatment may eliminate the distinction between be used.

Cat I, II and III, and do not provide Cat II: "TREAT induced SG tube rupture in a a minimum in Cat I or II. realistic manner, when practical. Conservative treatment may be used, when justified."

LE-D6 The may term in Cat I appears to Clarification Cat I: "TREAT containment isolation in a eliminate the distinction between conservative manner." A realistic treatment may Cat I and II, and does not provide a be used.

minimum in Cat I. Cat II: "TREAT containment isolation in a realistic manner for dominant contributors.

Conservative treatment is may be used for non-dominant contributors.

LE-E1,E3 ----------------- No objection ----------------------------

39

Table A-1 Staff Position on ASME RA-S-2002 Index No Issue Position Resolution LE-E2 Modifiers in Cat II appears to Clarification Cat II: "USE realistic parameter estimates when eliminate the distinction between possible for dominant LERF sequences.

Cat II and III, and therefore, there Conservative parameter estimates are used for is not a minimum in Cat II. non-dominant LERF sequences."

Cat III: "USE realistic parameter estimates when possible."

LE-F1 Inconsistent with QU-D5. Clarification Cat I: "LIST the dominant contributors to LERF....REVIEW for reasonableness."

Cat II and III: PERFORM an importance analysis

.... to LERF."

LE-F2 Inconsistent with QU-E Clarification Cat III: "PROVIDE uncertainty analysis which identifies the key sources of uncertainty and includes sensitivity studies."

LE-G1, ----------------- No objection ----------------------------

G2,G3, G4,G5, G6,G7, G8 Table 4.5.9-3 ----------------- No objection ----------------------------

Chapter 5 5.1 thru 5.3 ----------------- No objection ----------------------------

5.4 As a PRA is maintained, it may go Clarification 3rd para: "Changes to a PRA due to PRA through changes such that the maintenance and PRA upgrade (where results are significantly impacted ( applicable) shall meet the requirements of e.g., very different contributors, Section 4. Prior to an application, if the order magnitude change in CDF). changes have significantly impacted the PRA results, the maintained PRA shall receive a peer review and which satisfy the peer review requirements specified in Section 6, but limited to aspects of the PRA that have been maintained. Upgrades of a PRA shall receive a peer review and shall satisfy the peer review requirements specified in Section 6, but limited to aspects of the PRA that have been upgraded."

5.5 The use of the word "should" does Clarification "....These changes shall should be addressed in a not provide a minimum fashion..."

requirement.

5.6 No objection 5.7 ----------------- No objection ----------------------------

5.8 (a)-(d), (f)- ----------------- No objection ----------------------------

(g) 5.8 (e) It is unclear what is to be Clarification "(e) record of the performance and results of the documented from the peer review. appropriated PRA reviews (consistent with the requirements of Section 6.6)"

Chapter 6 40

Table A-1 Staff Position on ASME RA-S-2002 Index No Issue Position Resolution 6.1 The purpose, as written, implies Clarification "...The peer review shall assess the PRA to the that it is solely an audit against the extent necessary to determine if the methodology requirements of Section 4. A key and its implementation meet the requirements of objective of the peer review is to this Standard to determine the strengths and ensure when evaluating the PRA weaknesses in the PRA. Therefore, the peer against the requirements in Section review shall also assess the appropriateness of 4, the "quality" (i.e., strengths and the significant assumptions. The peer review weaknesses) of the PRA; this goal need not assess..."

is to be clearly understood by the peer review team.

6.1.1 See issue discussed on 5.4. Clarification "....When peer reviews are conducted on PRA maintenance or PRA upgrades, the latest review shall be considered the review of record...."

6.1.2 See issue discussed on 5.4. Clarification 3rd para: "NEI-00-02 provides an example of an acceptable review methodology (subject to clarifications and qualifications described in Appendix B of this regulatory guide); however, the differences....."

6.2 6.2.1 ----------------- No objection ----------------------------

6.2.2 As written, in Section 6.2.2.2, it Clarification "6.2.2.1 The peer review team members appears that the constraints on the individually shall (a) be knowledgeable....(b) be team members only apply when the experienced ....for which the reviewer is assigned.

review is performed for a PRA The peer review team members shall (a) not upgrade. be allowed to review their own work or work for which they have contributed, (b) not be See issue discussed on 5.4. allowed to review a PRA for which they have a conflict of interest, such as a financial or career path incentive or disincentive that may influence the outcome of the peer review.

6.2.2.2 When a peer review is being performed on a PRA maintenance or a PRA upgrade, reviewers shall have knowledge and experience appropriate for the specific PRA Elements being reviewed. However, the other requirements of this Sections shall also apply."

The peer review team members shall (a) not be allowed to review their own work or work for which they have contributed, (b) not be allowed to review a PRA for which they have a conflict of interest, such as a financial or career path incentive or disincentive that may influence the outcome of the peer review.

6.2.3 See issue discussed on 5.4. Clarification 5th para: "...such as a review of a maintenance or upgrade of a PRA element,..."

As written, it appears that the last 6th para: "Exceptions to the requirements of this paragraph could allow a team to be paragraph may be taken based on the availability composed of a single member. of appropriate personnel to develop a team (where a team is a group of several individuals). All such exceptions shall be documented in accordance with para. 6.6 of this Standard."

41

Table A-1 Staff Position on ASME RA-S-2002 Index No Issue Position Resolution 6.3 As written, there does not appear Clarification 1st para: "The peer review team shall use the to be a minimum set. The requirements..... of this Standard. For each PRA requirement as written provides element, a set of review topics required for the "suggestions." A minimal set of peer review team are provided in the items is to be provided; the peer subparagraphs of para. 6.3. Some reviewers have flexibility in subparagraphs of para. 6.3 contain specific deciding on the scope and level of suggestions for the review team to consider during detail for each of the minimal the review. Additional material for those items. Elements may be reviewed depending on the results obtained. The judgment of the reviewer shall be used to determined the specific scope and depth of each review topic for each PRA element."

6.3.1 ----------------- No objection ----------------------------

6.3.2 ----------------- No objection ----------------------------

6.3.3 (a)-(j) ----------------- No objection ----------------------------

6.3.4 ----------------- No objection ----------------------------

6.3.5 The requirement, as written, is Qualification "(i) the selection and identification of the HFEs only for the reviewers to look at associated with the HEPs for the above review the HEPs and does not include the topics."

HFEs. Identification of the HFEs is a major part of the HRA, as indicated in Section 4.5.5.

6.3.6 (a) As written, it does not appear that Clarification "(a) data values and the defined component review of the data values would boundary for component failure modes include the defined boundary for contributing to the CDF or LERF (including the component, which is an active components with high RAW values) essential aspect of the review. calculated in the PRA" It is not clear that "contributing" would include components, if degraded would have a significant impact.

6.3.6 (b)-(d) ----------------- No objection ----------------------------

6.3.7 ----------------- No objection ----------------------------

6.3.8 No objection 6.3.9 ----------------- No objection ----------------------------

6.4 ----------------- No objection ----------------------------

6.5 See issue discussed on 5.4. Clarification "The peer review team shall review the process, including implementation, for maintaining or upgrading the PRA against the configuration control requirements of this Standard."

6.6 42

Table A-1 Staff Position on ASME RA-S-2002 Index No Issue Position Resolution 6.6.1 As written, It is not clear whether Clarification "(j) identification of the strengths and certain essential items are included weaknesses that have a significant impact on in the documentation requirements the PRA that are necessary to accomplish (k) assessment (e.g., significance) of the the goal of the peer review. assumptions playing a key role in the PRA results (l) confirmation of the capability categories noted in the PRA for each SR from Section 4.5 of the Standard."

6.6.2 ----------------- No objection ----------------------------

43

APPENDIX B NRC POSITION ON THE NEI PEER REVIEW PROCESS (NEI 00-02)

INTRODUCTION The NEI Peer Review Process is documented in NEI 00-02. It provides guidance for the peer review of PRAs and the grading of the PRA subelements into one of four capability categories. This document is supplemented by the NEI subtier criteria (to be included in a revised version of NEI 00-02). The NEI subtier criteria provide the criteria for assigning a grade to each PRA subelement. The NEI subtier criteria for a Grade 3 PRA have been compared by NEI to the requirements in the ASME PRA standard listed for a Capability Category II PRA. A comparison of the criteria for other grades/categories of PRAs was not performed since NEI contends that the results of the peer review process generally indicate the reviewed PRAs are consistent with the Grade 3 criteria in NEI 00-

02. The comparison of the NEI subtier criteria with the ASME PRA standard has indicated that some of the Capability Category II ASME PRA standard requirements are not addressed in the NEI Grade 3 PRA subtier criteria.

Thus, NEI has provided guidance to the licensees to perform a self-assessment of their PRAs against the criteria in the ASME PRA standard that was not addressed during the NEI peer review of their PRA. A self-assessment is likely to be performed in support of risk-informed applications. This self-assessment guidance will eventually be included in NEI 00-02.

This appendix provides the staffs position on the NEI Peer Review Process (i.e., NEI 00-02), the proposed self-assessment process, and the self-assessment actions. The staffs positions are categorized as following:

 No objection: the staff has no objection to the requirement.

 No objection with clarification: the staff has no objection to the requirement. However, certain requirements, as written, are either unclear or ambiguous, and therefore the staff has provided its understanding of these requirements.

 No objection subject to the following qualification: the staff has a technical concern with the requirement and has provided a qualification to resolve the concern.

In the proposed staff resolution, the staff clarification or qualification that is needed for the staff to have no objection are provided.

NRC POSITION ON NEI 00-02 Table B-1 provides the NRC position on the NEI Peer Review Process documented in NEI 00-02. The stated positions are based on the historical use of NEI 00-02 and on the performance of a self assessment to address those requirements in the ASME PRA standard that are not included in the NEI subtier criteria. If NEI 00-02 is used for future peer review, the staff would have to revisit the stated positions in this appendix.

Table B-1. NRC Regulatory Position on NEI 00-02.

Report Section Regulatory Commentary/Resolution Position Section 1 INTRODUCTION 44

Table B-1. NRC Regulatory Position on NEI 00-02.

Report Section Regulatory Commentary/Resolution Position 1.1 Overview and Clarification The NEI process uses "a set of checklists as a framework within which to evaluate the scope, Purpose comprehensiveness, completeness, and fidelity of the PRA being reviewed." The checklists by themselves are insufficient to provide the basis for a peer review since they do not provide the criteria that differentiates the different grades of PRA. The NEI subtier criteria provide a means to differentiate between grades of PRA.

The ASME PRA standard (with the staffs position provided in Appendix A of this regulatory guide) can provide an adequate basis for a peer review of an at-power, internal events PRA (including internal flooding) that would be acceptable to the staff. Since the NEI subtier criteria does not address all of the requirements in the ASME PRA standard, the staffs position is that a peer review based on these criteria is incomplete. The PRA standard requirements that are not included in the NEI subtier criteria (identified for a Grade 3 PRA in Table B-3) need to be addressed in the NEI self-assessment process as endorsed by the staff in this appendix.

1.1 Scope Clarification This section states that the NEI peer review process is a one-time evaluation process but indicates that additional peer review may be required if substantial changes are made to the PRA models or methodology. The staff position on additional peer reviews is to follow the guidance in Section 5 of the ASME PRA standard which requires a peer review for both PRA maintenance (plant changes) and updates (PRA methodology changes).

1.2 Historical No objection Perspective 1.3 Process Clarification Figure 1-3 indicates in several locations that the checklists included in NEI 00-02 are used in the peer review process. As indicated in the comment on Section 1.1 of NEI 00-02, the staffs position is that a peer review based on the checklists and supplemental subtier criteria is incomplete. The NEI self-assessment process, as endorsed by the staff in this appendix, should be performed.

1.4 PRA Peer Clarification The NEI peer review process provides a summary grade for each PRA element. The use of a PRA Review Criteria and for risk-informed applications needs to be determined at the subelement level. The staff does not Grades agree with the use of an overall PRA element grade in the assessment of a PRA.

Clarification This section indicates that "the process requires that the existing PRA meet the process criteria or that enhancements necessary to meet the criteria have been specifically identified by the peer reviewers and committed to by the host utility." Thus, the assigned grade for a subelement can be contingent on the utility performing the prescribed enhancement. An application submittal that utilizes the NEI peer review results needs to identify any of the prescribed enhancements that were not performed.

Clarification The staff believes that the use of PRA in a specific application should be of sufficient quality to support its use by the decision makers for that application. The NEI peer review process does not require the documentation of the basis for assigning a grade for each specific subtier criterion.

However, the staff position is that assignment of a grade for a specific PRA subelement implies that all of the requirements listed in the NEI subtier criteria have been met.

1.5 No Objection 45

Table B-1. NRC Regulatory Position on NEI 00-02.

Report Section Regulatory Commentary/Resolution Position Section 2 PEER REVIEW PROCESS 2.1 Objectives Clarification See comment for Section 1.1.

2.2 Process Clarification The ASME PRA standard (with the staffs position provided in Appendix A of this regulatory Description guide) can provide an adequate basis for a peer review of an at-power, internal events PRA (including internal flooding) that would be acceptable to the staff. Since the NEI subtier criteria does not address all of the requirements in the ASME PRA standard, the staffs position is that a peer review based on these criteria is incomplete. The PRA standard requirements that are not included in the NEI subtier criteria (identified for a Grade 3 PRA in Table B-3) need to be addressed in the NEI self-assessment process as endorsed by the staff in this appendix.

Steps 4, 7, & 8 Clarification See previous comment.

2.3 PRA Peer Clarification The peer reviewer qualifications do not appear to be consistent with the following requirements Review Team specified in Section 6.2 of the ASME PRA standard:

the need for familiarity with the plant design and operation the need for each person to have knowledge of the specific areas they review the need for each person to have knowledge of the specific methods, codes, and approaches used in the PRA The NEI self-assessment process needs to address the peer reviewer qualifications with regard to these factors.

2.4 and 2.5 No objection Section 3 PRA PEER REVIEW PROCESS ELEMENTS AND GUIDANCE 3.1 No objection 3.2 Criteria Clarification See comment for Section 1.1.

and 3.3 Grading 3.3 Grading Clarification The NEI peer review process grades each PRA element from 1 to 4, while the ASME PRA standard uses Capability Categories I, II, and III. The staff equates Grades 2, 3, and 4 as corresponding to Capability Categories I, II, and III, respectively.

Qualification The staff believes that different applications of a PRA can require different PRA subelment grades. The NEI peer review process is performed at the subelement level and does not provide an overall PRA grade. Therefore, it is inappropriate to suggest an overall PRA grade for the specific applications listed in this section. The staff does not agree with the assigned overall PRA grades provided for the example applications listed in this section of NEI 00-02.

3.4 Additional Clarification The general use and interpretation of the checklists in the grading of PRA subelements is Guidance on the addressed in this section. The subtier criteria provide a more substantial documentation of the Technical Elements interpretations of the "criteria" listed in the checklists. However, as previously indicated, the Review subtier criteria does not fully address all of the PRA standard requirements. The PRA standard requirements that are not included in the NEI subtier criteria (identified for a Grade 3 PRA in Table B-3) need to be addressed in the NEI self-assessment process as endorsed by the staff in this appendix.

46

Table B-1. NRC Regulatory Position on NEI 00-02.

Report Section Regulatory Commentary/Resolution Position Section 4 PEER REVIEW PROCESS RESULTS AND DOCUMENTATION 4.1 Report Clarification A primary function of a peer review is to identify those assumptions and models that have a significant impact on the results of a PRA and to pass judgement on the validity and appropriateness of the assumptions. The peer review requirements in the ASME PRA standard requires analysis of important assumptions. A review of the NEI 00-02 and the subtier criteria section on quantification and results interpretation failed to identify specific wording in any requirements to review the impact of key assumptions on the results. However, there are requirements to "identify unique or unusual sources of uncertainty not present in typical or generic plant analyses." Since the evaluation of the impact of assumptions is critical to the evaluation of a PRA and its potential uses, the NEI peer review process need to address all important assumptions, not just those that are unique or unusual. The NEI self-assessment process needs to address those assumptions not reviewed in the NEI peer review process.

Qualification The NEI peer review report provides a summary grade for each PRA element. The use of a PRA for risk-informed applications needs to be determined at the subelement level. The staff does not agree with the use of an overall PRA element grade in the assessment of a PRA.

4.2 and 4.3 No objection Appendix A PREPARATION MATERIAL FOR THE PEER TEAM REVIEW A.1 through A.6 No objection A.7 Sensitivity Clarification A list of sensitivity calculations that a utility can perform prior to the peer review is provided.

Calculations Additional or alternative sensitivities can be identified by the utility. Sensitivity calculations that address key assumptions that may significantly impact the risk-informed applications results needs to be considered in the NEI self-assessment process.

A.8 through A.10 No objection Appendix B TECHNICAL ELEMENT CHECKLISTS Checklist tables No objection As previously stated, the staff position is that the checklists by themselves are insufficient to provide the basis for a peer review (see the comment for Section 1.1). Because of this, the staff has not reviewed the contents or the assigned grades in these checklists. However, the staff position on the comparison of the Grade 3 NEI subtier criteria to the Capability Category II requirements in the ASME PRA standard is documented in Table B-3.

47

Table B-1. NRC Regulatory Position on NEI 00-02.

Report Section Regulatory Commentary/Resolution Position Appendix C GUIDANCE FOR THE PEER REVIEW TEAM C.1 Purpose No objection C.2 Peer Review No objection Team Mode of Operation C.3 Recommended Clarification See comment for Section 4.1.

Approach to Completing the Review C.4 Grading Clarification/Q See the two comments on Section 3.3.

ualification C.5 Peer Review No objection Team Good Practice List C.6 Output Qualification See the comments on Section 4.1.

C.7 Forms Clarification The staff does not agree with the use of an overall PRA element grade (documented in Tables C.7-5 & C.7-6) in the assessment of a PRA.

NRC POSITION ON SELF-ASSESSMENT PROCESS The staff position on the self-assessment process proposed by NEI to address the requirements in the ASME PRA standard that are not included in the NEI subtier criteria are addressed in this section. Both the self-assessment process and the specific actions recommended by NEI to address missing ASME standard requirements are addressed.

Table B-2 provides the NRC position on the NEI self-assessment process. The staffs position on specific aspects of this process use the categories provided in Section B.2 of this regulatory guide.

Table B-2. NRC Regulatory Position on NEI Self-Assessment Process.

Report Section Regulatory Commentary/Resolution Position Summary No objection Regulatory No objection Framework Industry PRA Peer Clarification See the staff comments on the NEI peer review process provided in Table B-1.

Review Process ASME PRA Clarification See the staff comments on the ASME PRA standard provided in Appendix A of this regulatory Standard guide.

Comparison of NEI Clarification The staff does not agree or disagree with the number of supporting requirements of the ASME 00-02 and ASME PRA standard that are addressed (completely or partially) in the NEI subtier criteria. The staffs Standard focus is on ensuring that the self-assessment addresses important aspects of a PRA that are not explicitly addressed in the NEI subtier criteria.

48

Table B-2. NRC Regulatory Position on NEI Self-Assessment Process.

Report Section Regulatory Commentary/Resolution Position General Notes for Self-Assessment Process

1. Clarification The review of the NEI comparison of the subtier criteria to the ASME PRA standard was performed under the condition that all of the requirements in the NEI subtier criteria be mandatory. Thus, the staff position on the self-assessment process is predicated on the requirement that all of the requirements in the NEI subtier criteria are interpreted as "shall" being required.

The self-assessment process needs to identify subelements using the verb "should" that were not required and the requirements where alternative approaches or substantially different interpretations were used.

2. Clarification Certain ASME PRA standard requirements, although not explicitly listed in the NEI subtier criteria, may generally be included as good PRA practice. Credit may be taken for meeting these ASME requirements subject to confirmation in the self-assessment that the requirements were in fact addressed by the peer review. Table B-3 identifies the ASME PRA standard requirements not explicitly addressed in the NEI subtier criteria that the staff believes needs to be addressed in the NEI self-assessment process.
3. No objection Self-Assessment Process
1. Clarification The ASME PRA standard and the staffs position on the standard documented in Appendix A of this regulatory guide needs to be used in the self-assessment of the PRA subelements required for the application against the missing requirements.
2. A Clarification The staffs comments on which ASME PRA requirements that needs to be addressed in the self-assessment and on the NEI suggested actions (Appendix 1 of the NEI self-assessment guidance) are provided in Table B-3.

The list of items subject to the self assessment needs to include those requirements where "Yes" is listed in the "Addressed by NEI" column and there are actions listed in the "Industry Self Assessment Actions" column.

2. B No objection
2. C Clarification For the PRA subelements assigned a grade other than a Grade 3 in the NEI peer review (i.e., a Grade 1, 2, or 4), a self-assessment of those PRA subelements required for the application against the corresponding Capability Category requirements in the ASME PRA standard (as qualified in Appendix A of this regulatory guide) needs to be performed and documented.
2. D No objection
3. No objection Tables B-3 and B-4 provide the staff position on the NEI comparison of the NEI 00-02 (including the subtier criteria) to the ASME PRA standard and the self-assessment actions provided in Appendix 1 of the NEI self-assessment process. The staffs position on the ASME PRA standard documented in Appendix A of this regulatory guide was considered in the comparison. The review of the NEI comparison and proposed actions was performed under the assumption that all of the requirements in the NEI subtier criteria were treated as mandatory. Thus, the staff position is predicated on the requirement that all of the requirements in the NEI subtier criteria are interpreted as "shall" being required.

Table B-3 provides the staff position of the "explanatory" table preceding the comparison and self assessment actions table provided in Appendix 1. The first two columns are taken directly from the table in Appendix 1.

49

Table B-3 NRC Regulatory Positions on Actions Utilities Need to Take in Self Assessment Actions TEXT UTILITY ACTIONS REGULATORY COMMENT/RESOLUTION POSITION YES and NONE in None No objection Action column YES and Review comment. It is believed Peer Clarification As written, no action may be taken which is clarifications Review Process addressed the in conflict with the actions specified in the included in action requirements. Unless it is suspected a table providing the industry self assessment column problem exists, no further action required. actions. It is assumed that the actions provided in that table will be taken.

PARTIAL Take action(s) specified in comments No Objection column NO Take action(s) specified in comments No Objection column In Table B-4, the "NEI Assessment" includes, for each supporting requirement in the ASME standard (ASME SR), NEIs assessment if this SR is addressed in NEI 00-02 (NEI 00-02), if it is addressed then where it is addressed (NEI 00-02 ELEMENTS), and whether NEI recommends any self assessment by the licensee (INDUSTRY SELF ASSESSMENT ACTIONS).

Table B-4. NRC Regulatory Position on Industry Self Assessment Actions.

NEI ASSESSMENT REGULATORY POSITION ASME NEI 00- NEI 00-02 INDUSTRY SELF ASSESSMENT SR 02? ELEMENTS ACTIONS INITIATING EVENTS IE-A1 Yes IE-7, IE-8, IE- None No objection 9, IE-10 IE-A2 Yes IE-5, IE-7, IE- Confirm that the initiators were included. No objection with clarification: Self-9, IE-10 This can be done by either citing peer assessment needs to also confirm that review facts and observations (F&Os) human-induced initiators were or examples from your model. included; the definition of active component provided in the NEI 00-02 does not explicitly mention clarification of IE-A2 in Appendix A human-induced initiators but in practice needs to be used when verifying peer reviews have addressed this.

ISLOCAs were modeled; IE-7 is the applicable NEI 00-02 element IE-A3 Yes IE-8, IE-9 None No objection; IE-8 is the applicable NEI 00-02 element IE-A4 Partial IE-5, IE-7, IE- Check for initiating events that can be No objection; IE-10 is the applicable 9, IE-10 caused by a train failure as well as a NEI 00-02 element system failure.

IE-A5 Yes IE-8 No further action required. No objection with clarification: Self-Identification of low power and assessment needs to document if shutdown events not explicitly addressed events at low power that could in NEI 00-02, but in practice, the peer occur at power were included in reviews have addressed events resulting the PRA in a controlled shutdown that include a scram prior to reaching low power.

50

Table B-4. NRC Regulatory Position on Industry Self Assessment Actions.

NEI ASSESSMENT REGULATORY POSITION ASME NEI 00- NEI 00-02 INDUSTRY SELF ASSESSMENT SR 02? ELEMENTS ACTIONS IE-A6 Yes IE-16 No further action required. No objection with clarification:

Specifying plant Operations, etc Self-assessment needs to review and participation is not document if interviews with plant explicitly addressed in NEI 00-02, operations were used to identify but in practice, the peer reviews potential IEs. Per the clarification have addressed the need for of IE-A6 provided in Appendix A, examination of plant experience interviews conducted at similar (e.g., LERs), and input from plants are not acceptable knowledgeable plant personnel. justification for excluding IEs.

IE-A7 Yes IE-16, IE-10 None No objection with qualification:

Self-assessment needs to document if precursor information was used in IE quantification.

IE-A8 Yes IE-10 None No objection IE-A9 Yes IE-5, IE-10 None No objection; IE-5 is the applicable NEI 00-02 element IE-A10 Yes IE-6 None No objection IE-B1 Yes AS-4, IE-4 None No objection IE-B2 Yes IE-4, IE-7 None No objection IE-B3 Yes IE-4, IE-12 None No objection IE-B4 Yes IE-4 None No objection IE-C1 Yes IE-13, IE-15, None No objection with qualification:

IE-16, IE-17 Self-assessment needs to confirm that appropriate justification for crediting recovery actions was used in the PRA. Appropriate justification is provided in the clarification of IE-C1 provided in Appendix A. IE-16 is the applicable NEI 00-02 element; .

IE-C2 Yes IE-13, IE-16 None No objection; IE-16 is the applicable NEI 00-02 element IE-C3 No Document that the ASME standard No objection requirements were met. NEI 00-02 does not address this supporting requirement.

IE-C4 No Document that the ASME standard No objection. Acceptable criteria requirements were met. Specific for dismissing IEs are listed in IE-screening criteria were not used in C4 in the ASME PRA standard.

NEI-00-02, but bases for screening of events were examined in the peer reviews. The text of the ASME standard needs to be assessed.

IE-C5 No req. N/A No objection; the ASME PRA for standard only requires time trend Cat II analysis for a Cat III PRA IE-C6 Yes IE-15, IE-17 Check that fault tree analysis when No objection used to quantify IEs, meet the appropriate systems analysis requirements.

IE-C7 No Document that the ASME standard No objection requirements were met. NEI 00-02 does not address this supporting requirement.

IE-C8 No Document that the ASME standard No objection requirements were met. NEI 00-02 does not address this supporting requirement.

51

Table B-4. NRC Regulatory Position on Industry Self Assessment Actions.

NEI ASSESSMENT REGULATORY POSITION ASME NEI 00- NEI 00-02 INDUSTRY SELF ASSESSMENT SR 02? ELEMENTS ACTIONS IE-C9 Yes IE-15, IE-16 Check that the recovery events No objection included in the IE fault trees meet the appropriate recovery analysis requirements. This can be done by either citing peer review F&Os or examples from your model.

IE-C10 Yes IE-13 None No objection IE-C11 Yes IE-12, IE-13, Check that the expert elicitation No objection; IE-15 is the IE-15 requirements in the ASME PRA applicable NEI 00-02 element standard were used when expert judgement was applied to quantifying extremely rare events.

IE-C12 Yes IE-14 NRC has added a clarification in No objection Appendix A on IE-C12 (to be confirmed by them); the features listed for a Grade 4 PRA (in the subtier criteria) must also be considered for a Grade 3 PRA.

IE-D1 Partial IE-18, IE-19 In general specified documentation No objection; see the clarification items not explicitly addressed in NEI to IE-D1 in Appendix A 00-02 checklists were addressed by the peer review teams. Action is to confirm availability of documentation.

If not available, documentation may need to be generated to support particular applications or respond to NRC request for additional information (RAIs) relative to applications.

IE-D2 Partial IE-9, IE-20 In general specified documentation No objection items not explicitly addressed in NEI 00-02 checklists were addressed by the peer review teams. Action is to confirm availability of documentation.

If not available, documentation may need to be generated to support particular applications or respond to NRC RAIs relative to applications.

IE-D3 Partial IE-9, IE-18, In general specified documentation No objection IE-19 items not explicitly addressed in NEI 00-02 checklists were addressed by the peer review teams. Action is to confirm availability of documentation.

If not available, documentation may need to be generated to support particular applications or respond to NRC RAIs relative to applications.

IE-D4 Partial AS-4, DE-5, In general specified documentation No objection SY-21 items not explicitly addressed in NEI 00-02 checklists were addressed by the peer review teams. Action is to confirm availability of documentation.

If not available, documentation may need to be generated to support particular applications or respond to NRC RAIs relative to applications.

ACCIDENT SEQUENCE ANALYSIS AS-A1 Yes AS-4, AS-8 None No objection 52

Table B-4. NRC Regulatory Position on Industry Self Assessment Actions.

NEI ASSESSMENT REGULATORY POSITION ASME NEI 00- NEI 00-02 INDUSTRY SELF ASSESSMENT SR 02? ELEMENTS ACTIONS AS-A2 Yes AS-6, AS-7, None No objection; AS-6 is the AS-8, AS-9, applicable NEI 00-02 element AS-17 AS-A3 Yes AS-7, SY-17, None No objection; AS-17 is the AS-17 applicable NEI 00-02 element AS-A4 Yes AS-19, SY-5 None No objection; AS-19 is the applicable NEI 00-02 element AS-A5 Yes AS-5, AS-18, None No objection AS-19, SY-5 AS-A6 Yes AS-8, AS-13, None No objection AS-4 AS-A7 Yes AS-4, AS-5, None No objection AS-6, AS-7, AS-8, AS-9 AS-A8 Partial AS-20, AS- Since there is no explicit requirement No objection 21, AS-22, for steady state condition for end AS-23 state in NEI 00-02 checklists, this should be evaluated even though this was an identified issue in some reviews. This can also be done by either citing peer review F&Os or examples from your model. Refer to SC-A5.

AS-A9 Yes AS-18, TH-4 None No objection with qualification; AS-A9 is related to the environment conditions challenging the equipment during the accident sequence, AS-18 and TH-4 are focused on the initial success criteria.

AS- Yes AS-4, AS-5, None No objection; AS-4 and AS-7 are A10 AS-6, AS-7, the applicable NEI 00-02 AS-8, AS-9, elements.

AS-19, SY-5, SY-8, HR-23 AS- Yes AS-8, AS-10, AS-8 states that transfers may be No objection A11 AS-15, DE-6, treated quantitatively or qualitatively AS Checklist while AS-15 states that transfers Note 8 between event trees should be explicitly treated in the quantification.

The guidance in AS-15 must be followed.

AS-B1 Yes IE-4, IE-5, IE- None No objection; AS-4 is the 10, AS-4, applicable NEI 00-02 element AS-5, AS-6, AS-7, AS-8, AS-9, AS-10, AS-11, DE-5 AS-B2 Yes AS-10, AS- None No objection; AS-10 and AS-11 11, DE-4, are the applicable NEI 00-02 DE-5, DE-6 elements AS-B3 Yes DE-10, SY- None No objection; AS-10 and SY-11 11, TH-8, AS- are the applicable NEI 00-02 10 elements AS-B4 Yes AS-8, AS-9, NEI-00-02 does not attempt to No objection with clarification:

AS-10, AS- instruct on use of specific analysis Self-assessment needs to confirm 11 software; ensure the software is that the requirement of AS-B4 was used properly. met (the staff disagrees that this is a software issue).

53

Table B-4. NRC Regulatory Position on Industry Self Assessment Actions.

NEI ASSESSMENT REGULATORY POSITION ASME NEI 00- NEI 00-02 INDUSTRY SELF ASSESSMENT SR 02? ELEMENTS ACTIONS AS-B5 Yes DE-4, DE-5, NEI 00-02 does not provide an No objection; AS-10, AS-11, DE-6, DE-6, AS-10, explicit discussion of flag settings. QU-25 are the applicable NEI 00-AS-11, QU- Ensure settings are properly made. 02 elements 25 AS-B6 Yes AS-13 None No objection AS-C1 Yes AS-24, AS- None No objection 25 AS-C2 Yes AS-24, AS- None No objection; AS-26 is the 25; AS-26 applicable NEI 00-02 element AS-C3 Partial AS-11, AS- In general specified documentation No objection 17, AS-20, items not explicitly addressed in NEI AS-24, TH-5, 00-02 checklists were addressed by DE-6 the peer review teams. Action is to confirm availability of documentation.

If not available, documentation may need to be generated to support particular applications or respond to NRC RAIs relative to applications.

AS-C4 Partial AS-11, AS- In general specified documentation No objection 24 items not explicitly addressed in NEI 00-02 checklists were addressed by the peer review teams. Action is to confirm availability of documentation.

If not available, documentation may need to be generated to support particular applications or respond to NRC RAIs relative to applications..

SUCCESS CRITERIA SC-A1 Yes AS-20, AS- None No objection 22, AS FOOTNoTE 4

SC-A2 Yes TH-4, TH-5, None No objection TH-7, AS-22, AS FOOTNoTE 4

SC-A3 Yes AS-6, AS-7, None No objection; AS-6 is the AS-17, AS- applicable NEI 00-02 element 20 SC-A4 Yes AS-7, AS-17, Confirm that this requirement is met. No objection AS-18, SY- This can be done by either citing 17, TH-9, IE- peer review F&Os or examples from 6, DE-5, SY- your model. Although there is no 8 explicit requirement in NEI 00-02 that mitigating systems shared between units be identified, in practice, review teams have evaluated this.

SC-A5 Partial AS-21, AS- Ensure mission times are adequately No objection 23, AS-20 discussed as per the ASME standard. Since there are no explicit requirements for steady state condition for end state, refer to the ASME standard for requirements or cite peer review F&O's or examples from your model. Refer to AS-A8.

54

Table B-4. NRC Regulatory Position on Industry Self Assessment Actions.

NEI ASSESSMENT REGULATORY POSITION ASME NEI 00- NEI 00-02 INDUSTRY SELF ASSESSMENT SR 02? ELEMENTS ACTIONS SC-A6 Yes AS-5, AS-18, None No objection; TH-5 is the AS-19, TH-4, applicable NEI 00-02 element TH-5, TH-6, TH-8, ST-4, ST-5, ST-7, ST-9, SY-5 SC-B1 Yes AS-18, SY- None No objection 17, TH-4, TH-6, TH-7 SC-B2 No TH-4, TH-8 NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements.

Refer to SC-C2.

SC-B3 Yes AS-18, TH-4, None No objection TH-5, TH-6, TH-7 SC-B4 Yes AS-18, TH-4, None No objection TH-6, TH-7 SC-B5 Yes TH-9, TH-7 None No objection; TH-7 is the applicable NEI 00-02 element SC-B6 Yes QU-27, QU- None No objection 28 SC-C1 Yes ST-13, SY- None No objection; TH-9 and TH-10 are 10, SY-17, the applicable NEI 00-02 elements SY-27, TH-8, TH-9, TH-10, AS-17, AS-18 SC-C2 No TH-10 NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements.

Refer to SC-B2.

SC-C3 Yes AS-12, AS- None No objection; TH-10 is the 13, TH-9, TH- applicable NEI 00-02 element 10 SC-C4 Partial AS-24, SY- In general specified documentation No objection 27, TH-9, TH- items not explicitly addressed in NEI 10, HR-30 00-02 checklists were addressed by the peer review teams. Action is to confirm availability of documentation.

If not available, documentation may need to be generated to support particular applications or respond to NRC RAIs relative to applications.

SYSTEMS ANALYSIS SY-A1 Yes SY-4, SY-19 None No objection; SY-19 is the applicable NEI 00-02 element SY-A2 Yes AS-19, SY-5, None No objection; SY-5 and SY-16 are SY-13, SY-16 the applicable NEI 00-02 elements SY-A3 Yes SY-5, SY-6, None No objection with clarification:

SY-8, SY-12, Although there are no explicit SY-14 requirements in NEI 00-02 that match SY-A3, performance of the systems analysis would require a review of plant-specific information sources 55

Table B-4. NRC Regulatory Position on Industry Self Assessment Actions.

NEI ASSESSMENT REGULATORY POSITION ASME NEI 00- NEI 00-02 INDUSTRY SELF ASSESSMENT SR 02? ELEMENTS ACTIONS SY-A4 Partial DE-11, SY- Confirm that this requirement is met. No objection 10, SY This can be done by either citing FOOTNoTE peer review F&Os or example 5 documentation. NEI 00-02 does not address interviews with system engineers and plant operators to confirm that the model reflects the as-built, as-operated plant.

SY-A5 Partial QU-12, QU- Although NEI 00-02 does not No objection with clarification:

13, SY-8, SY- explicitly address both normal and Self-assessment needs to confirm 11 abnormal alignments, their impacts that the PRA considered both are generally captured in the peer normal and abnormal system review of the listed elements. This alignments can be done by either citing peer review F&Os or example documentation.

SY-A6 Yes SY-7, SY-8, None No objection SY-12, SY-13, SY-14 SY-A7 Yes SY-6, SY-7, Check for simplified system No objection SY-8, SY-9, modeling as addressed in SY-A7.

SY-19 SY-A8 Partial SY-6, SY-9 Check to ensure boundaries are No objection properly established. This can be done by either citing peer review F&Os or example documentation.

NEI 00-02 does not address component boundaries except for EDGs. There is no explicit requirement that addresses modeling shared portions of a component boundary. In practice, the peer reviews have examined consistency of component and data analysis boundaries.

SY-A9 Yes QU-12, QU- None No objection; SY-6 is the 13, SY-6, SY- applicable NEI 00-02 element 19 SY- Partial SY-9 NEI 00-02 does not address all No objection A10 aspects of modularization.

Determine if the requirements of the ASME standard are met.

SY- Yes AS-10, AS- None No objection A11 13, AS-16, AS-17, AS-18, SY-12, SY-13, SY-17, SY-23 SY- Partial SY-6, SY-7, Document that modeling is No objection. The criteria in SY-7 A12 SY-8, SY-9, consistent with exclusions provided states that passive components SY-12, SY- in SY-A14 should be included in a Grade 4 13, SY-14 PRA if they influence the CDF or LERF. No definition of the word influence is provided. Consistent with subelement SY-A12 of the ASME PRA standard, critical passive components whose failure affect system operability must be included in system models regardless of the grade of PRA.

56

Table B-4. NRC Regulatory Position on Industry Self Assessment Actions.

NEI ASSESSMENT REGULATORY POSITION ASME NEI 00- NEI 00-02 INDUSTRY SELF ASSESSMENT SR 02? ELEMENTS ACTIONS SY- Yes DA-4, SY-15, None No objection A13 SY-16 SY- No NEI 00-02 does not address this No objection A14 supporting requirement. Use the ASME standard for requirements.

SY- Yes SY-8, HR-4, None No objection; SY-8 and HR-4 are A15 HR-5, HR-7 the applicable NEI 00-02 elements SY- Yes SY-8, HR-8, None No objection; SY-8 and HR-8 are A16 HR-9, HR-10 the applicable NEI 00-02 elements SY- Yes AS-13, SY- NRC stated that NEI 00-02 does not No objection with clarification:

A17 10, SY-11, explicitly address including Self-assessment needs to confirm SY-13 conditions that cause a system to that each system models address isolate or trip. NEI disagreed with the conditions that cause the NRC comment. system to isolate or trip.

SY- Yes DA-7, SY-8, None No objection; DA-7 is the A18 SY-22 applicable NEI 00-02 element SY- Yes AS-18, DE- Ensure there is a documented basis No objection; SY-A19, as qualified A19 10, SY-11, (engineering calculations are not in Appendix A, requires that the SY-13, SY- necessarily needed) for modeling of system be assumed to fail with a 17, TH-8 the conditions addressed in SY-A19. probability of 1.0 if there is no engineering basis for system operation under adverse conditions.

SY- Partial AS-19, SY-5, Document component capabilities No objection A20 SY-11, SY- where applicable. NEI 00-02 does 13, SY-22, not explicitly require a check for TH-8 crediting components beyond their design basis.

SY- Yes SY-18 None. Comment: footnote to SY-18 No objection A21 explains lack of Grade provision for this sub-element.

SY- Yes DE-4, DE-5, None No objection; SY-12 is the A22 DE-6, AS-10, applicable NEI 00-02 element AS-11, SY- (wording in this element is vague 12, SY-18 and may not be interpreted as addressing support states)

SY- Yes SY-24, DA- Determine if any repair credit is No objection with clarification:

A23 15, QU-18 appropriately justified and disagree that SY-24, DA-15 and documented by actual data, QU-18 address SY-A23; however, resources and time. agree with self assessment actions SY-B1 Yes DA-8, DA-14, None No objection DE-8, DE-9, SY-8 SY-B2 No req. None No objection for Cat II SY-B3 Yes DE-8, DE-9, None No objection DA-10, DA-12 SY-B4 Yes DA-8, DA-10, None No objection; DA-8 is the DA-11, DA- applicable NEI 00-02 element 12, DA-13, DA-14, DE-8, DE-9, QU-9, SY-8 SY-B5 Yes DE-4, DE-5, None No objection DE-6, SY-12, 57

Table B-4. NRC Regulatory Position on Industry Self Assessment Actions.

NEI ASSESSMENT REGULATORY POSITION ASME NEI 00- NEI 00-02 INDUSTRY SELF ASSESSMENT SR 02? ELEMENTS ACTIONS SY-B6 Yes SY-12, SY-13 None No objection with qualification:

Self-assessment needs to confirm that the support system success criteria reflect the variability in the conditions that may be present during postulated accidents.

SY-B7 Yes AS-18, SY- None No objection 13, SY-17, TH-7, TH-8 SY-B8 Yes DE-11, SY- None No objection; SY-10 is the 10 applicable NEI 00-02 element SY-B9 Yes AS-20, L2-8, None No objection; SY-10 is the L2-9, L2-11, applicable NEI 00-02 element L2-13, SY-10 SY- Yes SY-12, SY-13 None No objection B10 SY- Yes SY-8, SY-12, Confirm by either citing peer review No objection with clarification:

B11 SY-13, F&Os or examples from your model. self-assessment needs to NEI 00-02 does not explicitly consider clarification to SY-B11 in address permissives and control Appendix A logic. In practice, the items in SY-B11 have generally been examined in the peer reviews.

SY- Yes SY-13 None No objection B12 SY- No NEI 00-02 does not address this No objection B13 supporting requirement. Use the ASME standard for requirements.

SY- Partial DE-6, AS-6 Confirm that by either citing peer No objection B14 review F&Os or examples from your model. Ensure that modeling includes situations where one component can disable more than one system.

SY- Yes SY-11 None No objection B15 SY- Yes SY-8 None No objection B16 SY-C1 Partial SY-23, SY- In general specified documentation No objection 25, SY-26, items not explicitly addressed in NEI SY-27 00-02 checklists were addressed by the peer review teams. Action is to confirm availability of documentation.

If not available, documentation may need to be generated to support particular applications or respond to NRC RAIs relative to applications.

SY-C2 Yes SY-5, SY-6, None No objection SY-9, SY-27 SY-C3 Yes SY-18, SY-27 None. Comment: footnote to SY-18 No objection explains lack of Grade provision for this sub-element.

HUMAN RELIABILITY ANALYSIS HR-A1 Yes HR-4, HR-5 Determine if analysis has included No objection and documented failure to restore equipment following test or maintenance.

HR-A2 Yes HR-4, HR-5 None No objection HR-A3 Yes DE-7, HR-5 None No objection 58

Table B-4. NRC Regulatory Position on Industry Self Assessment Actions.

NEI ASSESSMENT REGULATORY POSITION ASME NEI 00- NEI 00-02 INDUSTRY SELF ASSESSMENT SR 02? ELEMENTS ACTIONS HR-B1 Yes HR-5, HR-6 None No objection; HR-6 is the applicable NEI 00-02 element HR-B2 Partial HR-5, HR-6, Since the screening rules in HR-6 do No objection.

HR-7, HR-26, not preclude screening of activities DA-5, DA-6 that can affect multiple trains of a system, ensure single actions with multiple consequences are evaluated in pre-initiators.

HR-C1 Yes HR-27, SY-8, None No objection SY-9 HR-C2 Yes HR-7, HR-27, Confirm that this requirement is met. No objection SY-8, SY-9 The specific list of impacts in HR-C2 is not included in NEI 00-02, but in practice the peer reviewers (in reviewing sub-elements HR-7 and related sub-elements) addressed these items.

HR-C3 Yes HR-5, HR-27, None No objection SY-8, SY-9 HR-D1 Yes HR-6 None No objection HR-D2 Yes HR-6 None No objection HR-D3 No This item is implicitly included in the No objection with clarification:

peer review of HEP by virtue of the Self-assessment needs to also ability to implement the procedure confirm and document that the within the required time under the factors listed in HR-D3 were conditions of the accident. Action is considered in the pre-action to confirm and document that the human error probability evaluation procedure quality is sufficient to (NEI action statement incorrectly support the crew response within the implies this is for post-action times assigned in the PRA errors).

evaluation.

HR-D4 No NEI 00-02 does not address use of No objection with clarification:

expert judgment. Use the ASME This requirement does not pertain standard for requirements. to expert judgement. Self-assessment needs to address requirements in HR-D4.

HR-D5 Yes DE-7, HR-26, None No objection; HR-26 is the HR-27 applicable NEI 00-02 element HR-D6 No NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements.

HR-D7 No NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements.

HR-E1 Yes AS-19, HR-9, None No objection; the example process HR-10, HR- in HR-9 for a Grade 3 PRA (i.e.,

16, SY-5 identify those operator actions identified by others) is not good practice and contrary to HR-10 which is the recommended process in HR-E1 HR-E2 Yes HR-8, HR-9, None No objection (HR-9 and HR-10 do HR-10, HR- not appear to match subject 21, HR-22, matter but HR-8 does)

HR-23, HR-25 59

Table B-4. NRC Regulatory Position on Industry Self Assessment Actions.

NEI ASSESSMENT REGULATORY POSITION ASME NEI 00- NEI 00-02 INDUSTRY SELF ASSESSMENT SR 02? ELEMENTS ACTIONS HR-E3 Partial HR-10, HR- NEI 00-02 does not explicitly specify No objection 14, HR-20 the same level of detail that is included in the ASME standard. The peer review team experience is relied upon to investigate the PRA given general guidance and criteria.

The ASME standard supporting requirements are to be used during the self-assessment to confirm that the ASME intent is met for this requirement.

HR-E4 Partial HR-14, HR- NEI 00-02 does not explicitly specify No objection 16 the same level of detail that is included in the ASME standard. The peer review team experience is relied upon to investigate the PRA given general guidance and criteria.

The ASME standard supporting requirements are to be used during the self-assessment to confirm that the ASME intent is met for this requirement.

HR-F1 Yes AS-19, HR- None No objection 16, SY-5 HR-F2 Partial AS-19, HR- NEI 00-02 does not explicitly No objection 11, HR-16, address indication for detection and HR-17, HR- evaluation. Determine whether the 19, HR-20, requirements of the ASME standard SY-5 are met.

HR-G1 Yes HR-15, HR- None No objection 17, HR-18 HR-G2 Yes HR-2, HR-11 NEI 00-02 criteria for Grade 3 No objection with qualification:

requires a methodology that is self-assessment needs to consistent with industry practice. document if both cognitive and This includes the incorporation of execution errors are included in both the cognitive and execution the evaluation of HEPS human error probabilities in the HEP assessment. HR-11 provides further criteria to ensure that the cognitive portion of the HEP uses the correct symptoms to formulate the crew response.

HR-G3 Partial HR-17, HR- NEI 00-02 does not explicitly specify No objection 18 the same level of detail that is included in the ASME standard. The peer review team experience is relied upon to investigate the PRA given general guidance and criteria.

The ASME standard supporting requirements are to be used during the self-assessment to confirm that the ASME intent is met for this requirement.

60

Table B-4. NRC Regulatory Position on Industry Self Assessment Actions.

NEI ASSESSMENT REGULATORY POSITION ASME NEI 00- NEI 00-02 INDUSTRY SELF ASSESSMENT SR 02? ELEMENTS ACTIONS HR-G4 Partial AS-13, HR- NEI 00-02 does not explicitly specify No objection; HR-19 is the 18, HR-19, the same level of detail that is applicable NEI 00-02 element and HR-20 included in the ASME standard. The agrees with the clarification of HR-peer review team experience is G4 provided in Appendix A relied upon to investigate the PRA given general guidance and criteria.

The ASME standard supporting requirements are to be used during the self-assessment to confirm that the ASME intent is met for this requirement.

HR-G5 Partial HR-16, HR- Evaluate proper inputs per the No objection 18, HR-20 ASME standard or cite peer review F&Os or examples from your model.

NEI 00-02 does not explicitly address observation or operations staff input for time required, although HR-16 includes simulator observations.

HR-G6 Yes HR-12 Check to ensure they are met by No objection citing peer review F&Os or examples from your model. HR-12 does not explicitly address all the items of the ASME standard list. In practice peer reviews addressed these items.

HR-G7 Partial DE-7, HR-26 Check to see if factors that are No objection typically assumed to lead to dependence were included, e.g., use of common indications and/or cues to alert control room staff to need for action; and a common procedural direction that leads to the actions.

This can also be done by either citing peer review F&Os or examples from your model. NEI 00-02 does not provide explicit criteria that address the degree of dependence between HFEs that appear in the same accident sequence cutset. In general, the peer reviews addressed this. See also QU-C2.

HR-G8 No HR-27 The lower bound combined HEP of No objection; see the clarification 1E-06 suggested in HR-27 is of HR-G8 in Appendix A for probably too low. Justify the lower acceptable means of justification bound.

HR-G9 No NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements.

HR-H1 Yes HR-21, HR- None No objection with qualification:

22, HR-23 The self-assessment needs to confirm that the additional requirements specified in the staffs qualification of HR-H1, provided in Appendix A were addressed in the HRA; HR-21 is the applicable NEI 00-02 element 61

Table B-4. NRC Regulatory Position on Industry Self Assessment Actions.

NEI ASSESSMENT REGULATORY POSITION ASME NEI 00- NEI 00-02 INDUSTRY SELF ASSESSMENT SR 02? ELEMENTS ACTIONS HR-H2 Yes HR-22, HR- The additional requirements No objection with clarification:

23 specified in the staffs qualification of The self-assessment needs to HR-H2, provided in Appendix A, are confirm that the additional not covered in NEI 00-02 requirements specified in the staffs qualification of HR-H2, provided in Appendix A were included in the HRA HR-H3 Yes HR-26 None No objection HR-I1 Partial HR-28, HR- In general specified documentation No objection 30 items not explicitly addressed in NEI 00-02 checklists were addressed by the peer review teams. Action is to confirm availability of documentation.

If not available, documentation may need to be generated to support particular applications or respond to NRC RAIs relative to applications.

DATA ANALYSIS DA-A1 Yes DA-4, DA-5, None No objection DA-15, SY-8, SY-14 DA-A2 No NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements.

DA-A3 Yes DA-4, DA-5, None No objection with qualification:

DA-6, DA-7, The subject matter in DA-A3 is not SY-8 explicitly addressed in NEI 00-002 (not a critical requirement since identification of the needed parameters would be a natural part of the data analysis)

DA-B1 Yes DA-5 None No objection DA-B2 Yes DA-5, DA-6 Confirm that this requirement is met. No objection Grouping criteria listed in DA-5 should be supplemented with a caution to look for unique components and/or operating conditions and to avoid grouping them.

DA-C1 Yes DA-4, DA-7, None No objection DA-9, DA-19, DA-20 DA-C2 Yes DA-4, DA-5, None No objection DA-6, DA-7, DA-14, DA-15, DA-19, DA-20, MU-5 DA-C3 Partial DA-4, DA-5, NEI 00-02 does not address this No objection DA-6, DA-7, supporting requirement. Use the MU-5 ASME standard for requirements.

DA-C4 No NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements.

DA-C5 No NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements.

62

Table B-4. NRC Regulatory Position on Industry Self Assessment Actions.

NEI ASSESSMENT REGULATORY POSITION ASME NEI 00- NEI 00-02 INDUSTRY SELF ASSESSMENT SR 02? ELEMENTS ACTIONS DA-C6 Yes DA-6, DA-7 Confirm that this requirement is met. No objection NEI 00-02 only addresses data needs when the standby failure rate model is used for demands. There are no criteria for the demand failure model; however, in practice this was addressed during peer reviews.

DA-C7 Yes DA-6, DA-7 None No objection DA-C8 No NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements.

DA-C9 Yes DA-4, DA-6, Confirm that this requirement is met. No objection DA-7 Although there is no specific criteria for determining operational time of components in operation or in standby, the development needs to include these times. These issues were addressed during peer reviews.

DA- No NEI 00-02 does not address this No objection C10 supporting requirement. Use the ASME standard for requirements.

DA- No NEI 00-02 does not address this No objection C11 supporting requirement. Use the ASME standard for requirements.

DA- No NEI 00-02 does not address this No objection C12 supporting requirement. Use the ASME standard for requirements.

DA- No NEI 00-02 does not address this No objection C13 supporting requirement. Use the ASME standard for requirements.

DA- Yes DA-15, AS- None No objection; DA-15 agrees with C14 16, SY-24 clarification of DA-C14 provided in Appendix A DA- Yes IE-13, IE-15, Confirm that this requirement is met. No objection.

C15 IE-16, AS-16, Although, it is relatively rare to see DA-15, SY- credit taken for repair of failed 24, QU-18 equipment in PRAs (except in modeling of support system initiating events), any credit taken for repair should be well justified, based on ease of diagnosis, the feasibility of repair, ease of repair, and availability of resources, time to repair and actual data. This can be done by either citing peer review F&Os or example documentation.

DA-D1 No NEI 00-02 does not address this No objection. The clarification, supporting requirement. Use the provided in Appendix A, of the ASME standard for requirements. requirements in subelement DA-D1 of the ASME PRA standard specifies the staff position on when Bayesian analysis should be used to calculate parameter estimates for important components.

DA-D2 No NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements.

63

Table B-4. NRC Regulatory Position on Industry Self Assessment Actions.

NEI ASSESSMENT REGULATORY POSITION ASME NEI 00- NEI 00-02 INDUSTRY SELF ASSESSMENT SR 02? ELEMENTS ACTIONS DA-D3 Partial QU-30 A requirement for establishing the No objection.

parameter distributions is not in the data analysis section but could be inferred from QU-30. QU-30 does not provide guidance on which events to include in the uncertainty analysis. The guidance in the qualification of DA-D3 provided in Appendix A to NRC Reg Guide should be followed.

DA-D4 No NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements.

DA-D5 Partial DA-8, DA-9, Check for acceptable common No objection; use the clarification DA-10, DA- cause failure models. The criteria to DA-D5 in Appendix A in the self 11, DA-12, for NEI 00-02 elements DA-13 & DA- assessment DA-13, DA- 14 only apply to Grade 4. This can 14 be done by either citing peer review F&Os or example documentation.

DA-D6 Partial DA-8, DA-9, Check for plant-specific screening of No objection DA-10, DA- generic common cause failure data.

11, DA-12, The criteria for NEI 00-02 elements DA-13, DA- DA-13 & DA-14 only apply to Grade 14 4. This can be done by either citing peer review F&Os or example documentation.

DA-D7 No NEI 00-02 does not specifically No objection address how to deal with data for equipment that has been changed.

Use the ASME standard for requirements.

DA-E1 Partial DA-1, DA-19, In general specified documentation No objection DA-20 items not explicitly addressed in NEI 00-02 checklists were addressed by the peer review teams. Action is to confirm availability of documentation.

If not available, documentation may need to be generated to support particular applications or respond to NRC RAIs relative to applications.

INTERNAL FLOODING IF-A1 No NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements.

IF-A2 No NEI 00-02 does not address this No objection. The subject matter supporting requirement. Use the in IF-A2 is covered in NEI 00-02 in ASME standard for requirements. element DE-10 IF-A3 No NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements.

IF-A4 No NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements.

IF-B1 No NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements.

IF-B2 No NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements.

64

Table B-4. NRC Regulatory Position on Industry Self Assessment Actions.

NEI ASSESSMENT REGULATORY POSITION ASME NEI 00- NEI 00-02 INDUSTRY SELF ASSESSMENT SR 02? ELEMENTS ACTIONS IF-B3 No NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements.

IF-B4 No NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements.

IF-C1 No NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements.

IF-C2 No NEI 00-02 does not address this No objection; use the clarification supporting requirement. Use the to IF-C2 in Appendix A in the self ASME standard for requirements. assessment IF-C3 No NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements.

IF-C4 No NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements.

IF-C5 No NEI 00-02 does not address this No objection with clarification:

supporting requirement. Use the use the clarification to IF-C5 in ASME standard for requirements. Appendix A in the self assessment IF-C6 No NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements.

IF-D1 No NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements.

IF-D2 No NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements.

IF-D3 No NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements.

IF-D4 No NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements.

IF-D5 No NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements.

IF-E1 No NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements.

IF-E2 No NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements.

IF-E3 No NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements.

IF-E4 No NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements.

IF-E5 No NEI 00-02 does not address this No objection with clarification:

supporting requirement. Use the use the qualification to IF-E5 in ASME standard for requirements. Appendix A in the self assessment IF-E6 No NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements.

65

Table B-4. NRC Regulatory Position on Industry Self Assessment Actions.

NEI ASSESSMENT REGULATORY POSITION ASME NEI 00- NEI 00-02 INDUSTRY SELF ASSESSMENT SR 02? ELEMENTS ACTIONS IF-E7 No NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements.

IF-F1 No NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements.

IF-F2 No NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements.

QUANTIFICATION ANALYSIS QU-A1 Yes AS-4, AS-5, None No objection; the requirement in AS-6, AS-7, QU-A1 is not explicitly stated in AS-8, AS-9, any element but is achieved by AS-10, AS- compliance with other NEI 00-02 19 elements QU-A2 Yes QU-8 None No objection with qualification:

the self-assessment needs to confirm that the requirements in the ASME standard as qualified in Appendix A of this regulatory guide have been met QU-A3 Yes QU-4, QU-8, None No objection; the requirement in QU-9, QU- QU-A3 is not explicitly stated in 10, QU-11, any element but is achieved by QU-12, QU- compliance with other NEI 00-02 13 elements QU-A4 Yes QU-18, QU- None No objection 19 QU-B1 Yes QU-4, QU-5, None No objection except QU-5 and QU-6 portions of QU-4 are not pertinent to the requirements in QU-B1 QU-B2 Yes QU-21, QU- Confirm that this requirement is met. No objection; QU-21 and QU-23 22, QU-23, In practice, the industry peer reviews are the relevant elements that QU-24 have generally used the stated addresses the requirements in guidance as a check on the final QU-B2 while the remaining NEI cutset level quantification truncation 00-02 elements provide additional limit applied in the PRA. guidance on truncation. It is not clear what events and failure modes are being addressed in QU-22. If the element is referring to a cutset truncation limit, then the values presented are reasonable.

QU-B3 Partial QU-19, QU- Evaluation before and after recovery No objection; the staffs position is 22, QU-24 actions are applied is not relevant that the final truncation limit must unless there are two models - with be such that convergence towards and w/o recovery actions. The a stable value of CDF is achieved.

truncation guidance in NEI-00-02 This requirement is addressed in does not exclude important cutsets QU-24.

that include recovery.

QU-B4 Yes QU-4 None No objection. Although the stated purpose of the criterion for QU-4 is to verify that the base computer code and its inputs have been tested and demonstrated to produce reasonable results, the sub-tier criteria do not address this criterion, but instead provides some dos and donts for quantification.

QU-B5 Yes QU-14 None No objection 66

Table B-4. NRC Regulatory Position on Industry Self Assessment Actions.

NEI ASSESSMENT REGULATORY POSITION ASME NEI 00- NEI 00-02 INDUSTRY SELF ASSESSMENT SR 02? ELEMENTS ACTIONS QU-B6 Yes AS-8, AS-9, Check for proper accounting of No objection QU-4, QU- success terms. The NEI-00-02 20, QU-25 guidance adequately addresses this requirement, but QU-25 should not be restricted to addressing just delete terms.

QU-B7 Yes QU-26 None No objection QU-B8 No NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements.

QU-B9 Partial SY-9 SY-9 addresses the traceability of No objection; the self assessment basic events in modules but does needs to confirm that the warnings not address the correct formulation in SY-A10 were considered in the of modules that are truly modularization process independent. The warnings in SY-A10 must be considered in the modularization process.

QU-C1 Yes QU-10, QU- None No objection; the requirement in 17, HR-26 QU-C1, as clarified in Appendix A, is achieved by compliance with these NEI 00-02 elements and HR-27 QU-C2 Partial QU-10, QU- NEI 00-02 does not address No objection 17 cognitive aspects. Use the ASME standard for these requirements.

See also HR-G7.

QU-C3 Yes QU-20 Confirm that this requirement is met. No objection QU-20 does not explicitly require that the critical characteristic, not just the frequency, be transferred, but in practice during peer reviews this was addressed.

QU-D1 Yes QU-8, QU-9, None No objection; the requirements in QU-10, QU- QU-D1 are addressed primarily in 11, QU-12, QU-8. The requirements in QU-9, QU-13, QU- QU-10, QU-14, QU-16, and QU-17 14, QU-15, appear to be focused on modeling QU-16, QU- and not interpretation of results.

17 As such, they are redundant to elements in the data, dependent failure, and HRA sections.

QU-D2 Partial QU-27, QU- The identified NEI 00-02 elements No objection 28, SY-22 do not address the consistency of the human actions with the procedures and the range of conditions modeled in the PRA. Use the ASME standard for requirements related to human actions.

QU-D3 Yes QU-8, QU- None No objection; consistency with 11, QU-31 other PRA results is also addressed in QU-8 and QU-31 QU-D4 Yes QU-15 None No objection 67

Table B-4. NRC Regulatory Position on Industry Self Assessment Actions.

NEI ASSESSMENT REGULATORY POSITION ASME NEI 00- NEI 00-02 INDUSTRY SELF ASSESSMENT SR 02? ELEMENTS ACTIONS QU-D5 Yes QU-8, QU-31 Confirm that this requirement is met. No objection The subject matter in QU-D5 is partially addressed in NEI 00-02 in element QU-31 (QU-8 checks the reasonableness of the results). The contributions from IEs, component failures, common cause failures, and human errors are not addressed. In practice, these were addressed during peer reviews.

QU-E1 Yes QU-30 NEI 00-02 provides for an alternative No objection with qualification:

for assessing uncertainties by, A QU-30 does not provide guidance quantification of selected consistent with DA-D3 on which uncertainties is performed, or the events to include in the uncertainty impact of the selected uncertainties analysis. The guidance in the on the final risk measures is qualification of DA-D3 provided in estimated. This was generally Appendix A needs to be addressed in peer reviews. addressed in the self assessment.

QU-E2 Yes QU-27, QU- Confirm that this requirement is met. No objection 28 QU-27 and QU-28 focus on the unusual sources of uncertainty.

Unusual sources of uncertainty correspond to plant specific hardware, procedural, or environmental issues that would significantly alter the degree of uncertainty relative to plants that have been assessed previously, such as NUREG-1150 or RMIEP, Unusual sources of uncertainty could also be introduced by the PRA methods and assumptions.

In practice, when applying NEI-00-02 sub-elements QU-27 and QU-28, the reviewers considered sources of uncertainty in a broad sense.

QU-E3 Partial QU-30 Key model uncertainties should be No objection; the estimate of the propagated or justified. An estimate uncertainty in the overall CDF of the overall uncertainty interval is needs to include the qualification required, including parametric, to QU-E3 provided in Appendix A.

modeling, and completeness contributors to uncertainty.

QU-E4 Partial QU-28, QU- NEI 00-02 does not explicitly specify No objection 29, QU-30 that sensitivity studies of logical combinations of assumptions and parameters be evaluated. Use the ASME standard for requirements.

QU-F1 Partial QU-31, QU- In general specified documentation No objection 32, QU-34 items not explicitly addressed in NEI 00-02 checklists were addressed by the peer review teams. Action is to confirm availability of documentation.

If not available, documentation may need to be generated to support particular applications or respond to NRC RAIs relative to applications.

QU-F2 Yes QU-31 None No objection 68

Table B-4. NRC Regulatory Position on Industry Self Assessment Actions.

NEI ASSESSMENT REGULATORY POSITION ASME NEI 00- NEI 00-02 INDUSTRY SELF ASSESSMENT SR 02? ELEMENTS ACTIONS QU-F3 Yes QU-27, QU- None No objection with qualification:

28, QU-32 The self assessment needs to address the qualification to QU-F3 in Appendix A, which states that important assumptions and causes of uncertainty must be identified for all categories of PRAs. No element in NEI 00-02 requires documentation of assumptions and uncertainties (QU-27 and QU-28 requires their identification).

QU-F4 Yes QU-12, QU- None No objection 13 QU-F5 Yes QU-4, MU-7 No action required. Normal industry No objection with qualification:

practice requires documentation of Self assessment needs to confirm computer code capabilities. computer code has been sufficiently verified such that there is confidence in the results QU-F6 No NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements at the time of doing an application.

LERF ANALYSIS LE-A1 Yes AS-14, AS- No further action required. NEI 00- No objection with qualification:

20, AS-21, 02 does not address criteria for the See comment for LE-A5 for self AS-22, AS- grouping into PDSs, i.e., there are assessment action. NEI 00-02 23, L2-7, L2- no criteria provided as to what does not address the 8, L2-22 information has to be transferred requirements in LE-A1. L2-7 from the Level 1 to the Level 2 states the transfer from Level 1 to analysis. L2-7 states the transfer Level 2 should be done to from Level 1 to Level 2 should be maximize the transfer of relevant done to maximize the transfer of information, but does not identify relevant information, but does not the type of information that must specifically identify the type of be transferred. AS-20, AS-22, information that must be transferred. L2-8, and L2-22 are not pertinent L2-7 does refer to grouping to Level1 physical characteristics sequences with similar needed for the LERF analysis characteristics and cautions care in transferring dependencies on accident conditions, equipment status and operator errors. In practice this step included review of the process for developing and binning the plant damage states (PDSs) and ensuring consistency between the PDSs and the plant state. Thus the adequacy of the transfers and the process of developing the PDSs were addressed in peer reviews.

69

Table B-4. NRC Regulatory Position on Industry Self Assessment Actions.

NEI ASSESSMENT REGULATORY POSITION ASME NEI 00- NEI 00-02 INDUSTRY SELF ASSESSMENT SR 02? ELEMENTS ACTIONS LE-A2 Yes L2-7, L2-8, No further action required. NEI 00- No objection with qualification:

AS-21 02 does not address criteria for the See comment for LE-A5 for self grouping into PDSs, i.e., there are assessment action no criteria provided as to what information has to be transferred from the Level 1 to the Level 2 analysis. L2-7 states the transfer from Level 1 to Level 2 should be done to maximize the transfer of relevant information, but does not identify the type of information that must be transferred. The adequacy of the transfers were addressed in peer reviews.

LE-A3 Yes L2-7, L2-8, No further action required. NEI 00- No objection with qualification:

L2-21 02 does not address criteria for the See comment for LE-A5 for self grouping into PDSs, i.e., there are assessment action. L2-21 is not no criteria provided as to what pertinent to the subject matter in information has to be transferred LE-A3 and specific methods for from the Level 1 to the Level 2 transferring Level 1 information to analysis. L2-7 states the transfer the LERF analysis are not from Level 1 to Level 2 should be identified.

done to maximize the transfer of relevant information, but does not identify the type of information that must be transferred. The adequacy of the transfers were addressed in peer reviews.

LE-A4 Yes AS-20, AS- No further action required. NEI 00- No objection with qualification:

21, L2-7, L2- 02 does not address criteria for the See comment for LE-A5 for self

21. L2-8 grouping into PDSs, i.e., there are assessment action. AS-20 and no criteria provided as to what L2-21 are not pertinent to the information has to be transferred subject matter in LE-A3 and from the Level 1 to the Level 2 specific methods for transferring analysis. L2-7 states the transfer Level 1 information to the LERF from Level 1 to Level 2 should be analysis are not identified.

done to maximize the transfer of relevant information, but does not identify the type of information that must be transferred. The adequacy of the transfers were addressed in peer reviews.

LE-A5 Yes AS-20, L2-8, No further action required. NEI 00- No objection with qualification:

L2-21 02 does not address criteria for the The self assessment needs to grouping into PDSs, i.e., there are confirm the requirements in LE-A5 no criteria provided as to what have been met.

information has to be transferred from the Level 1 to the Level 2 analysis. L2-7 states the transfer from Level 1 to Level 2 should be done to maximize the transfer of relevant information, but does not identify the type of information that must be transferred. The adequacy of the transfers were addressed in peer reviews.

LE-B1 Yes L2-8, L2-10, None No objection; It appears that the L2-15, L2-16, intent of the requirements of LE-L2-17, L2-19 B1 are met by the identified elements 70

Table B-4. NRC Regulatory Position on Industry Self Assessment Actions.

NEI ASSESSMENT REGULATORY POSITION ASME NEI 00- NEI 00-02 INDUSTRY SELF ASSESSMENT SR 02? ELEMENTS ACTIONS LE-B2 Yes L2-13, L2-14 None No objection; adequately addresses the clarification to LE-B2 provided in Appendix A LE-B3 Yes ST-4, L2-14, No further action required. NEI 00- No objection with qualification:

L2-15 02 does not specify that plant- The self assessment needs to specific thermal-hydraulic analyses confirm that plant-specific thermal-be performed to evaluate the hydraulic analyses were used to containment and RPV under severe evaluate the containment and accident conditions; however, this RPV under severe accident was addressed during peer reviews. conditions.

LE-C1 Yes L2-24 None No objection LE-C2 Yes L2-9, L2-12, Repair of equipment would be No objection with clarification:

L2-25 subsumed under recovery actions in The self assessment needs to L2-9 and L2-5. If credit was taken confirm that the guidance provided for repair, actual data and sufficient in the clarification of LE-C2 in time must be available and justified. Appendix A was followed for any repairs included in the LERF evaluation.

LE-C3 Yes L2-8, L2-24, None No objection with qualification:

L2-25 L2-25 provides general requirements that may cover those in LE-C3. The self assessment needs to confirm that the justification for inclusion of any of the features listed in LE-C3 meet the requirements in the clarification of LE-C3 provided in Appendix A.

LE-C4 Yes L2-4, L2-5, None No objection with qualification:

L2-6 The self assessment needs to confirm that the requirements of LE-C4 and the clarification provided in Appendix A were met.

LE-C5 Yes AS-20, AS- None No objection except that L2-11 21, L2-7, L2- appears to be the only relevant 11, L2-25 element that addresses the requirements in LE-C5 LE-C6 Yes L2-12, L2-24, None No objection except that L2-12 L2-25 appears to be the relevant element that addresses the requirements in LE-C6 LE-C7 Yes L2-7, L2-11, None No objection with qualification:

L2-12, L2-24 The self assessment needs to confirm that the requirements in LE-C7 were met.

LE-C8 Yes L2-11, L2-12 None No objection with qualification:

The self assessment needs to confirm that the treatment of environmental impacts meet the requirements of LE-C8 as clarified in Appendix A.

LE-C9 Yes AS-20, L2- No further action required. NEI 00- No objection with qualification:

11, L2-12, 02 does not differentiate between The self assessment needs to L2-16, L2-24, containment harsh environments confirm that the treatment of L2-25 and containment failure effects on environmental impacts meet the systems and operators. This was requirements of LE-C9 as clarified addressed during peer reviews. in Appendix A.

LE- No NEI 00-02 does not address this No objection with clarification; the C10 supporting requirement. Use the clarification to LE-C10 in Appendix ASME standard for requirements. A also needs to be considered in the self assessment.

71

Table B-4. NRC Regulatory Position on Industry Self Assessment Actions.

NEI ASSESSMENT REGULATORY POSITION ASME NEI 00- NEI 00-02 INDUSTRY SELF ASSESSMENT SR 02? ELEMENTS ACTIONS LE-D1 Yes L2-14, L2-15, None No objection with qualification:

L2-16, L2-17, The self assessment needs to L2-18, L2-19, confirm that the containment L2-20, ST-5, performance analysis meets the ST-6 requirements of LE-D1 as clarified in Appendix A.

LE-D2 No NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements.

LE-D3 Yes IE-14, ST-9 No further action required. In No objection with qualification:

practice, peer review teams The self assessment needs to evaluated the ISLOCA frequency confirm that the ISLOCA analysis calculation. F&Os under IE and AS meets the requirements in LE-D3 would be written if this was not as clarified in Appendix A.

adequate.

LE-D4 No NEI 00-02 does not address this No objection with clarification; the supporting requirement. Use the clarification to LE-D4 in Appendix ASME standard for requirements. A also needs to be considered in the self assessment.

LE-D5 No NEI 00-02 does not address this No objection with clarification; the supporting requirement. Use the clarification to LE-D5 in Appendix ASME standard for requirements. A also needs to be considered in the self assessment.

LE-D6 Yes L2-16, L2-18, No further action required. The No objection with qualification:

L2-19, L2-24, guidance provided in NEI 00-02 The guidance provided in NEI 00-L2-25 does not explicitly address the 02 does not explicitly address the requirements in LE-D6, but in requirements in LE-D6. The self practice the peer review teams assessment needs to confirm that addressed this. the containment isolation treatment meets the requirements in LE-D6 as clarified in Appendix A.

LE-E1 No L2-5, L2-11, NEI 00-02 does not address No objection; except L2-5 is not L2-12 equipment reliability data related to applicable to the requirement in harsh environments for the LERF LE-E1.

analysis. Use the ASME standard for requirements.

LE-E2 Yes DA-4, HR-15, None No objection with qualification:

L2-12, L2-13, The self assessment needs to L2-17, L2-18, confirm that the parameter L2-19, L2-20 estimation meet the requirements in LE-E2 as clarified in Appendix A.

LE-E3 Yes QU sub- No objection with qualification:

elements The self assessment needs to applicable to confirm that the ASME standard LERF requirements are met.

LE-F1 Yes QU-8, QU-9, None No objection with clarification; The QU-10, QU- requirement in LE-F1 appears to 11, QU-31 be addressed in L2-26 LE-F2 No QU-27 NEI 00-02 does not address this No objection supporting requirement. Use the ASME standard for requirements.

72

Table B-4. NRC Regulatory Position on Industry Self Assessment Actions.

NEI ASSESSMENT REGULATORY POSITION ASME NEI 00- NEI 00-02 INDUSTRY SELF ASSESSMENT SR 02? ELEMENTS ACTIONS LE-G1 Partial L2-26, L2-27, In general specified documentation No objection L2-28 items not explicitly addressed in NEI 00-02 checklists were addressed by the peer review teams. Action is to confirm availability of documentation.

If not available, documentation may need to be generated to support particular applications or respond to NRC RAIs relative to applications.

LE-G2 Partial L2-26, L2-27, In general specified documentation No objection L2-28 items not explicitly addressed in NEI 00-02 checklists were addressed by the peer review teams. Action is to confirm availability of documentation.

If not available, documentation may need to be generated to support particular applications or respond to NRC RAIs relative to applications.

LE-G3 Partial L2-26, L2-27, In general specified documentation No objection L2-28 items not explicitly addressed in NEI 00-02 checklists were addressed by the peer review teams. Action is to confirm availability of documentation.

If not available, documentation may need to be generated to support particular applications or respond to NRC RAIs relative to applications.

LE-G4 Partial L2-26, L2-27, In general specified documentation No objection L2-28 items not explicitly addressed in NEI 00-02 checklists were addressed by the peer review teams. Action is to confirm availability of documentation.

If not available, documentation may need to be generated to support particular applications or respond to NRC RAIs relative to applications.

LE-G5 Partial L2-26, L2-27, In general specified documentation No objection L2-28 items not explicitly addressed in NEI 00-02 checklists were addressed by the peer review teams. Action is to confirm availability of documentation.

If not available, documentation may need to be generated to support particular applications or respond to NRC RAIs relative to applications.

LE-G6 Partial L2-26, L2-27, In general specified documentation No objection L2-28 items not explicitly addressed in NEI 00-02 checklists were addressed by the peer review teams. Action is to confirm availability of documentation.

If not available, documentation may need to be generated to support particular applications or respond to NRC RAIs relative to applications.

73

Table B-4. NRC Regulatory Position on Industry Self Assessment Actions.

NEI ASSESSMENT REGULATORY POSITION ASME NEI 00- NEI 00-02 INDUSTRY SELF ASSESSMENT SR 02? ELEMENTS ACTIONS LE-G7 Partial L2-26, L2-27, In general specified documentation No objection L2-28 items not explicitly addressed in NEI 00-02 checklists were addressed by the peer review teams. Action is to confirm availability of documentation.

If not available, documentation may need to be generated to support particular applications or respond to NRC RAIs relative to applications.

LE-G8 Partial L2-26, L2-27, In general specified documentation No objection L2-28 items not explicitly addressed in NEI 00-02 checklists were addressed by the peer review teams. Action is to confirm availability of documentation.

If not available, documentation may need to be generated to support particular applications or respond to NRC RAIs relative to applications.

74

DRAFT REGULATORY ANALYSIS

1. STATEMENT OF THE PROBLEM Over the past 25 years a significant number of probabilistic risk assessments (PRAs) have been performed by the NRC and the nuclear industry. The results from these PRAs have increasingly been used in the regulatory process, starting from generic safety issue prioritization and progressing to regulatory analysis in support of rulemaking and backfits, and most recently in decision-making for risk-informed regulatory activities. In 1995, the Commission issued a policy statement saying that ....the use of PRA technology should be increased to the extent supported by the state-of-the-art in PRA methods and data and in a manner that complements the NRCs deterministic approach. Consistent with the Policy Statement on PRA, in 1998, the staff published a series of guidance documents, regulatory guides, and standard review plan (SRP) sections, addressing the application of PRA in various risk-informed regulatory activities. These activities were inservice inspection, technical specifications, inservice testing, and graded quality assurance. Draft Regulatory Guide DG-1122 complements the previously published risk-informed documents in that it provides guidance on the quality of a PRA analysis and the documentation needed to support a specific regulatory application. This topic was not addressed explicitly in the 1998 guidance documents. Confidence in the information derived from a PRA is an important issue; The accuracy of the technical content must be of sufficient rigor to justify its use in regulatory decision making. In addition, this information must be documented appropriately for the specific application. PRA standards have been under development by the American Society of Mechanical Engineers and the American Nuclear Society. A part of the purpose of the proposed regulatory guide DG-1122 is to provide the NRC position on the PRA consensus standards and other industry PRA program documents.
2. OBJECTIVE To: (1) provide guidance to power reactor licensees on an acceptable approach to demonstrate with appropriate documentation that those parts of the PRA used in a regulatory application are of sufficient quality to support the analysis, (2) provide guidance on determining the technical adequacy of the PRA results (via, e.g., consensus PRA standards) and (3) provide the NRC position on consensus PRA standards and industry PRA program documents.
3. ALTERNATIVES The increased use of PRA information in regulatory decision making as addressed in the PRA Policy Statement, in DG-1122, and in the previously issued RGs and SRPs, is voluntary. Licensees can continue to operate their plants under the existing deterministicly oriented approaches defined in their current licensing bases. It is expected that licensees will choose to utilize a PRA approach to address future regulatory issues only when it is perceived to be to their benefit to do so.
4. CONSEQUENCES The staff believes that the net effect of the plant risk changes associated with risk-informed programs (such as are addressed in DG-1122 and in the 1998 regulatory guides and standard review plan sections), should result in either small and acceptable increases in risk (as defined in Regulatory Guide 1.174), essentially no significant change in risk, or net reductions in risk in some cases. The regulatory 75

guidance provided in DG-1122 will contribute to improving the quality of information used in decision-making situations that affect plant risk.

5. DECISION RATIONALE In the Commissions approval of the Policy Statement on the expanded use of PRA, the Commission stated its expectation that the implementation of this policy would improve the regulatory process in three areas: (1) foremost, through safety decision-making enhanced by the use of PRA insights, (2) through more efficient use of agency resources, and (3) through a reduction in unnecessary burdens on licensees. Indeed, it is believed that the changes in regulatory approach provided for in the risk-informed RGs and SRPs will result in a significant improvement in the allocation of resources spent for reactor safety, both for the NRC and for the industry (due to the improved prioritization of activities). It is also believed that the use of PRA in risk-informed regulatory activities can be implemented while maintaining an adequate level of safety at the plants that choose to implement risk-informed programs.

76