ML17130A742

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Request for Fee Waiver Regarding Pilot Review of Tornado Missile Risk Evaluator License Amendment Request
ML17130A742
Person / Time
Site: Grand Gulf Entergy icon.png
Issue date: 07/03/2017
From: Maureen Wylie
NRC/OCFO
To: Emily Larson
Entergy Operations
Blaney, W
References
CAC MF9677
Download: ML17130A742 (4)


Text

UNITED STATES NUCLEAR REGULATORY COMMISSION WASHINGTON, D.C. 20555-0001 Mr. Eric A. Larson Site Vice President Grand Gulf Nuclear Station Entergy Operations, Inc.

P.O. Box 756 Port Gibson, MS 39150

SUBJECT:

GRAND GULF NUCLEAR STATION - REQUEST FOR FEE WAIVER REGARDING PILOT REVIEW OF TORNADO MISSILE RISK EVALUATOR LICENSE AMENDMENT REQUEST (CAC NO. MF9677)

Dear Mr. Larson:

On behalf of the U.S. Nuclear Regulatory Commission (NRC), I am responding to your letter dated April 26, 2017 (Agencywide Documents Access and Management System Accession No. ML17116A579), requesting a fee waiver under Title 10 of the Code of Federal Regulations (10 CFR) 170.11(b) for NRC review of a risk-informed methodology known as the Tornado Missile Risk Evaluator (TMRE) and for NRC activities performed during the pilot review of the proposed TMRE license amendment request (LAR) for the Grand Gulf Nuclear Station (Grand Gulf).

The TMRE methodology is being developed by the Nuclear Energy Institute (NEI) to address non-conforming conditions associated with the tornado missile protection features at nuclear power plants. Grand Gulf, along with Shearon Harris Nuclear Plant, Unit 1, and Vogtle Electric Generating Plant, Units 1 and 2, have all requested pilot status to assist in the development of the TMRE methodology and to demonstrate how it might handle unique site characteristics.

This letter only addresses the Grand Gulf request.

The NRC has established regulations for the granting of fee exemptions under 10 CFR 170.11, Exemptions, for which licensees may apply in accordance with 10 CFR 170.5, Communications. The regulation in 10 CFR 170.11(b) states:

(b) The Commission may, upon application by an interested person, or upon its own initiative, grant such exemptions from the requirements of this part as it determines are authorized by law and are otherwise in the public interest.

Applications for exemption under this paragraph may include activities such as, but not limited to, the use of licensed materials for educational or noncommercial public displays or scientific collections.

July 3, 2017

E.

However, the NRC does not need to evaluate whether granting a fee waiver would be in the public interest because the NRC can consider your request based on 10 CFR 170.11(a), which states:

No application fees, license fees, renewal fee, inspection fees, or special project fees shall be required for: (1) A special project that is a request/report submitted to the NRC(ii) In response to an NRC request from the Office Director level or above to resolve an identified safety, safeguards, or environmental issue, or to assist NRC in developing a rulemaking, regulatory guide, policy statement, generic letter or bulletin; In your letter dated April 26, 2017, you state that the TMRE methodology may support the resolution of low risk compliance issues and improve risk-informed regulations associated with tornado missiles on identified unprotected components. The letter further states that it is anticipated that the basis for the request is to assist in developing NRC guidance for the implementation of TMRE.

The NRC staff anticipates receiving 15 to 20 TMRE LARs in the upcoming fiscal years.

Development of the TMRE methodology and NRC guidance, in parallel with NRC review of the Grand Gulf pilot LAR, is proposed to support the eventual acceptability of the methodology. The development of the TMRE methodology and NRC guidance for future TMRE LARs will save NRC and industry resources by increasing the efficiency of the review time and effort. Thus, the request from EOI with regards to NRC review of the TMRE methodology and pilot LAR applies to 10 CFR 170.11(a)(1)(ii) because it assists the NRC in generic regulatory improvements through supporting the development of NRC guidance.

Additionally, 10 CFR 170.11(a)(13) states:

All fee exemption requests must be submitted in writing to the Chief Financial Officer in accordance with § 170.5, and the Chief Financial Officer will grant or deny such requests in writing.

The fee exemption request for the NRC development activities regarding the TMRE methodology and Grand Gulf LAR was submitted in writing by EOI to the NRC Document Control Desk and, thus, to the NRC Chief Financial Officer. Therefore, EOIs request meets the requirement in 10 CFR 170.11(a)(13).

The NRC staff concludes that the development of the TMRE methodology and review of the proposed LAR for Grand Gulf meets the applicable criteria under 10 CFR 170.11. Therefore, the request for a fee waiver is approved for the NRC staff review of the TMRE methodology and LAR for Grand Gulf.

The expiration of this specific fee waiver will occur with any of the following: (1) issuance, withdrawal, or denial of the initial LAR for Grand Gulf; (2) publishing of the TMRE methodology by NEI; or (3) 1-year from the date of the initial LAR submittal for Grand Gulf. Any future review of the TMRE methodology beyond that cited in the granting of this fee waiver will require a new fee waiver request for NRC consideration, pursuant to the fee exemption provisions under 10 CFR 170.11.

E.

If you have any technical questions regarding this matter, please contact, Mr. G. Edward Miller at 301-415-2481. Please contact Mr. William Blaney, of my staff, at 301-415-5092, for any fee-related questions.

Sincerely,

/RA/ Mary C. Muessle (for)

Maureen E. Wylie Docket No. 50-416

ML17130A742

  • via e-mail CFO-0009 OFFICE NRR/DORL/PM OCFO/DPB/LFPT NRR/DORL/LA NRR/DRA/APHB/BC NRR/DORL/BC NAME SLingam WBlaney JBurkhardt GCasto RPascarelli DATE 5/18/17 5/22/17 5/10/17 5/23/17 5/22/17 OFFICE NRR/DORL/D NRR/D OGC OCFO/DOC OCFO/DPB/LFPT NAME MJRoss-Lee (A)

WDean JSuttenburg DDAbate MKaplan DATE 5/24/17 5/30/17 6/15/17 6/16/17 06/27/17 OFFICE OCFO/DPB OCFO/DPB DCFO CFO NAME RAllwein LBFicks MCMuessle MEWylie MCM (for)

DATE 06/27/17 06/27/17 07/03/17 07/03/17