ML19093A891

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NRC Presentation for April 3 2019 OD Public Meeting
ML19093A891
Person / Time
Issue date: 04/03/2019
From: John Marshall
Office of Nuclear Reactor Regulation
To:
Wilkins L, NRR/DLP, 415-1377
References
Download: ML19093A891 (13)


Text

Operability Initiative Public Meeting NRC Staff Feedback Related To NEI 2/15/19 Presentation Jane Marshall Deputy Director, Division of Safety Systems Office of Nuclear Reactor Regulation April 3, 2019

Purpose & Agenda

  • Provide feedback on the topics presented by NEI during the Feb 15 public meeting related to ASME Code & Operability
  • Agenda

- 12:00 - 12:15 Opening Comments/Intros

- 12:15 - 02:00 NRC Presentation

- 02:00 - 02:30 NRC/Industry Discussion

- 02:30 - 02:45 Stakeholder Participation

- 02:45 - 03:00 Actions Documented/Closing Remarks

Determination Of Operability Is Separate From Code Compliance

  • NEI 18-03 does not include structural integrity as part of the SSF definition

Use Of Any Technically Acceptable Method

  • Staff needs clarification regarding any technically acceptable method
  • NRC is not clear that any technically acceptable method is applicable in all cases (Section XI)
  • NRC suggesting a tabletop discussion using complex examples to achieve mutual understanding
  • Seeking input from NRC Office of General Counsel (OGC) to ensure clear understanding of past and current regulatory positions

NRC Approval Of Alternate Methods Used

  • NRC position directly related to previous slide
  • Seeking input from OGC to ensure clear understanding of past and current regulatory positions

Restoration Of Compliance

  • Staff agrees that restoration of compliance falls within the Corrective Action Program (CAP)

- Regarding time requirements, licensees should plan and implement according to risk significance and ensure the requirements of IWA-4160 are met before returning systems to service that are not compliant with Section XI requirements.

Principles Were Used In The Following Sections:

  • A.5 Piping and Piping Support Requirements
  • A.6 Structural Requirements
  • A.7 Technical Specification Operability vs.

ASME OM Code Criteria

  • A.10 Flaw Evaluation

A.5 - Piping & Piping Support

  • Inspector will utilize IMC 0326, Section C.11
  • Changes to IMC 0326 Section C.11 to incorporate updated guidance

A.6 - Structural Requirements

  • Staff agrees that the OD process is the licensees responsibility
  • Staff reiterates that NRC is always speaking to the IMC 0326 definition of SSF
  • Licensees are expected to document and justify, consistent with any regulatory requirements, any standard or any value that deviates from the Current Licensing Basis (CLB)

A.7 - TS Operability vs. OM Code

  • Staff disagrees with industrys position taken because Technical Specification (TS) incorporate In-Service Testing (IST) requirements
  • TS have Surveillance Requirements (SR) and criteria that state that a licensee must comply with the IST program specifications
  • The requirements of OM Code Sections ISTB-6200 and ISTC-5153 are to be followed for IST failures

A.10 - Flaw Evaluation

  • Staff agrees that Operability SHALL be assessed when American Society Mechanical Engineers (ASME) Class 1, 2, or 3 components do not meet ASME or construction Code acceptance standards (this includes wall thinning)

Future Endeavors

  • Future Engagement

- Public call to occur following input from OGC to ensure clear understanding of past and current regulatory positions

- Tabletop exercises using complex examples provided by both industry and NRC staff (May timeframe at NRC HQ)

- Public meeting to discuss open items/deltas and respective documents (June timeframe - Location TBD)

- Final draft revision prepared - Sept 2019

- Staff to schedule public meeting to solicit external stakeholder feedback

- Final revision issued - Oct 2019

Discussion

  • Clarification questions from industry?
  • Comments from industry?
  • Open Discussion
  • Action items, if any, documented