Letter Sequence RAI |
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Initiation
- Request, Request, Request, Request, Request, Request, Request, Request, Request, Request, Request, Request, Request, Request, Request, Request, Request, Request, Request, Request, Request, Request, Request, Request, Request, Request, Request, Request, Request, Request, Request, Request, Request, Request, Request, Request, Request
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MONTHYEARULNRC-05830, Environmental Report; Operating License Renewal Stage Final, Chapter 3 Through Attachment D2011-12-15015 December 2011 Environmental Report; Operating License Renewal Stage Final, Chapter 3 Through Attachment D Project stage: Other ML1135403492011-12-15015 December 2011 Environmental Report; Operating License Renewal Stage Final, Cover Through Chapter 2 Project stage: Other ML1135303722011-12-15015 December 2011 Callaway, Unit 1, License Renewal Application Project stage: Request ML1135403542011-12-15015 December 2011 Environmental Report; Operating License Renewal Stage Final, Attachment E Through End Project stage: Other L-12-065, Submittal of Shield Building Root Cause Evaluation2012-02-27027 February 2012 Submittal of Shield Building Root Cause Evaluation Project stage: Request ML12056A0452012-03-12012 March 2012 Order Modifying Licenses with Regard to Requirements for Mitigation Strategies for Beyond-Design-Basis External Events Project stage: Request ULNRC-05842, Response to Commission Order to Modify Licenses with Regard to Requirements for Mitigation Strategies for Beyond-Design-Basis External Events (Order Number EA-12-049)2012-03-30030 March 2012 Response to Commission Order to Modify Licenses with Regard to Requirements for Mitigation Strategies for Beyond-Design-Basis External Events (Order Number EA-12-049) Project stage: Other ML12097A2162012-04-0505 April 2012 Firstenergy Notification of Filing Related to Proposed Shield Building Cracking Contention Project stage: Request ML12115A3722012-04-23023 April 2012 Attachment 1 - Declarations of Ruth Schaefer, Mary A. 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Facility Operating License NPF-030 Physical Security Plan, Revision 10 Project stage: Request ML12216A1192012-08-0303 August 2012 Order Granting Motion for Extension of Time to File an Answer Project stage: Request L-2012-305, 5 to the Physical Security Plan, Cover Letter2012-08-0303 August 2012 5 to the Physical Security Plan, Cover Letter Project stage: Request ML12219A2252012-08-0303 August 2012 Security Plan Change Revision 13 Project stage: Request ASLBP 12-919-06-LR-BD01, NRC Staff Answer to Missouri Coalition for the Environments Motion for Leave to File New Contention Concerning Temporary Storage and Ultimate Disposal of Nuclear Waste2012-08-0303 August 2012 NRC Staff Answer to Missouri Coalition for the Environments Motion for Leave to File New Contention Concerning Temporary Storage and Ultimate Disposal of Nuclear Waste Project stage: Request ML12221A3362012-08-0808 August 2012 Draft RAI on Revision to Security Plan Project stage: Draft RAI ML12229A2872012-08-13013 August 2012 Security Plan, Revision 9 to the Training and Qualification Plan, and Safeguards Contingency Plan Project stage: Request ML12237A0772012-08-23023 August 2012 Draft Request for Information Email - Related to Physical Security Plant (Psp), Training and Qualification Plan (T&Qp), and Safeguards Contingency Plan (Scp), Revision 14 (TAC D91660) Project stage: Draft RAI ML12229A4332012-09-0606 September 2012 Request for Additional Information Regarding Security Plan, Training and Qualification Plan, and Safeguards Contingency Plan, Revision 12 (TAC No. D91660) Project stage: RAI ML12251A0472012-09-11011 September 2012 Request for Additional Information, Review of Physical Security Plan (Psp), Training and Qualification Plan (T&Qp), and Safeguards Contingency Plan (Scp), Revision 14 (TAC D91660) Project stage: RAI ML12255A0742012-09-18018 September 2012 Request for Additional Information, Changes to Callaway Physical Security Plan (TAC No. D91660) Project stage: RAI 2CAN101202, Cycle 23, Core Operating Limits Report2012-10-0404 October 2012 Cycle 23, Core Operating Limits Report Project stage: Request ML12286A3362012-10-0404 October 2012 (ANO) Units 1 and 2, Revision 14 of the ANO Security Plan Project stage: Request ML12284A0182012-10-0505 October 2012 NRR E-mail Capture - (D91660) Request for Additional Information (RAI) Draft Questions Corporate Security Plans Submitted 7/30/2012 Project stage: Draft RAI ULNRC-05921, Response to Request for Additional Information Regarding Changes to Security Plan (TAC No. D91660)2012-10-18018 October 2012 Response to Request for Additional Information Regarding Changes to Security Plan (TAC No. D91660) Project stage: Response to RAI ML12296A0102012-10-19019 October 2012 NRR E-mail Capture - D91660 - Dominion Physical Security Plan - Request for Additional Information - This Message Is Publically Available and non-sensitive Project stage: RAI ML12296A9302012-10-23023 October 2012 Enclosudraft Request for Additional Information Project stage: RAI ML12305A0432012-10-29029 October 2012 Email Security-Related Request for Additional Information, Review of Revision 10 of the Physical Security Plan, Training and Qualification Plan, and Safeguards Contingency Plan (TAC D91660) Project stage: RAI ML12305A0192012-10-30030 October 2012 NRR E-mail Capture - FW: D91660 - NextEra Energy Duane Arnold Physical Security Plan - RAI - This Message Is Publically Available and non-sensitive Project stage: RAI 2012-06-13
[Table View] |
Text
From:
Kalyanam, Kaly To:
Madden, Fred Cc:
Singal, Balwant
Subject:
Request for Additional Information - Physical Security Plan, Training and Qualification Plan, and Safeguards Contingency Plan, Revision 7 for the CPNPP Date:
Thursday, November 01, 2012 3:12:00 PM Attachments:
NSIR Review_TAC D91660_RAI to licensee_ML12298A422.pdf
- Fred, By letter dated July 26, 2012 (Agencywide Documents Access and Management System Accession No. ML12216A147), Luminant Generation Company LLC (Luminant Power),
submitted the Physical Security Plan, Training and Qualification Plan, and Safeguards Contingency Plan, Revision 7 for the Comanche Peak Nuclear Power Plant (CPNPP). The enclosure to the letter contained Safeguards Information and has been withheld from public disclosure.
The Nuclear Regulatory Commission staff is currently reviewing the submittal to ensure compliance with Title 10 of the Code of Federal Regulations, Section 50.54(p)(2). The staff has determined that additional information is necessary to complete its review.
The Request for Additional Information (RAI) is attached. Please review the RAI and please provide the response within 60 days (in view of the ensuing holidays) from the receipt of the request. If for any reason, additional time is needed, please let us know as soon as you can so that the resources here can be properly planned.
Thanks Kaly N. Kalyanam Backup PM, CPNPP. Units 1 and 2
Enclosure NSIR REVIEW - TAC D91660 10 CFR 50.54(p)(2) CHANGES TO SECURITY PLAN COMANCHE PEAK NUCLEAR POWER PLANT UNITS 1 AND 2 LUMINANT GENERATION COMPANY LLC (LUMINANT POWER)
DOCKET NOS. 50-445 AND 50-446 LICENSE NOS. NPF-87 AND NPF-89 By letter dated July 26, 2012 (Agencywide Documents Access and Management System Accession No. ML12216A147), Luminant Generation Company LLC (Luminant Power) submitted the Comanche Peak Nuclear Power Plants Physical Security Plan (PSP), Training and Qualification Plan (T&QP), and Safeguards Contingency Plan, Revision 7. The enclosure to the letter contained Safeguards Information and has been withheld from public disclosure.
The U.S. Nuclear Regulatory Commission (NRC) staff is currently reviewing the submittal to ensure compliance with Title 10 of the Code of Federal Regulations (10 CFR),
Section 50.54(p)(2). The NRC staff has determined that the additional information requested below is needed to complete its review.
- 1. Section 15.1 of the PSP describes illumination at the facility that supports the physical protection program. The last sentence of the third paragraph within Section 15.1 of the PSP indicates that the lighting levels within the isolation zones and select exterior areas of the protected area (PA) are maintained through a power source that is independent of the back-up power source. Describe the capabilities of the power source for the illumination assets within the isolation zones and select exterior areas of the PA during the loss of normal power. Describe how the illumination within the isolation zones, during the loss of normal power, enables the use of the camera systems at the PA boundary to meet the PA perimeter assessment requirements of 10 CFR 73.55. Section 15.3 describes alternative technology used for the assessment of the PA boundary.
Describe how the alternative technology provides the capability to perform PA perimeter assessment in no-light or low-light conditions and specifically during the loss of normal power. Describe how the alternative technology is integrated within the PA perimeter intrusion detection and assessment systems to meet the requirements of 10 CFR 73.55(e)(7)(i)(C), 10 CFR 73.55(i)(2), and 10 CFR 73.55(i)(3)(vii). See Security Frequently Asked Question 10-15. Additionally, appropriate changes should be made during the next revision of the sites PSP to ensure the language clearly describes the illumination and alternative technology capabilities for PA perimeter assessment during a loss of normal power, and how the alternative technology meets the requirements of 10 CFR 73.55(e)(7)(i)(C), 10 CFR 73.55(i)(2), and 10 CFR 73.55(i)(3)(vii).
Regulatory Basis:
Consistent with 10 CFR 73.55(c)(3), the licensee shall establish, maintain, and implement a PSP which describes how the performance objective and requirements set forth in this section will be implemented.
Consistent with 10 CFR 73.55(e)(7)(i)(C), the isolation zone shall be monitored with assessment equipment designed to satisfy the requirements of Section 73.55(i) and provide real-time and play-back/recorded video images of the detected activities before and after each alarm annunciation.
Consistent with 10 CFR 73.55(i)(2), intrusion detection equipment must annunciate and video assessment equipment shall display concurrently, in at least two continuously staffed onsite alarm stations, at least one of which must be protected in accordance with the requirements of the central alarm station within this section.
Consistent with 10 CFR 73.55(i)(3)(vii), the licensees intrusion detection and assessment systems must be designed to ensure intrusion detection and assessment equipment at the PA perimeter remains operable from an uninterruptible power supply in the event of the loss of normal power.
Consistent with 10 CFR 73.55(i)(6)(iii), the licensee shall describe in the security plans how the lighting requirements of this section are met and, if used, the type(s) and application of low-light technology.
- 2. Section 3.3 of the T&QP provides a description of the Critical Task Matrix (CTM) used within the security `training and qualification program at the site. This section contains a duty position listing that is applicable to the CTM (Table 1) of the T&QP; however, the listing within Section 3.3 and the duty positions of the CTM within Table 1 are not consistent. The CTM within Table 1 does not identify armed security officers that are not assigned response duties. The CTM within Table 1 of the T&QP has two columns (second and third columns from the left) for armed responders, one of which identifies security officers with armed response duties. The duties of the armed responders that are identified within the critical task matrix (second column from the left) appear to conflict with the requirement of 10 CFR 73.55(k)(5)(iii). Provide clarifying descriptions of the duty positions identified in the second and third columns of the CTM, Table 1 of the T&QP. Describe the duties and responsibilities of the armed responders identified in the CTM, Table 1 of the T&QP, second column from the left. Describe the differences in the duties and responsibilities of the armed responders identified in the CTM, Table 1 of the T&QP, second and third columns from the left. Additionally, appropriate changes should be made during the next revision of the sites T&QP to ensure the language clearly describes the duty positions of the security organization and the critical tasks in which each duty position must be trained and qualified to implement the sites physical protection program and protective strategy.
Regulatory Basis:
Consistent with 10 CFR 73.55(k)(5)(iii), armed responders shall be available at all times inside the PA and may not be assigned other duties and responsibilities that could interfere with their assigned response duties.
Consistent with 10 CFR 73.55(c)(4), the licensee shall establish, maintain, and implement and follow a T&QP that describes how criteria set forth in Appendix B of 10 CFR Part 73, General Criteria for Security Personnel will be implemented.
Consistent with 10 CFR 73 Appendix B VI.A.6, the licensee may not allow any individual to perform any security function, assume any security duties or responsibilities, or return
to security duty, until that individual satisfies the training and qualification requirements of this appendix and the Commission-approved T&QP, unless specifically authorized by the Commission.