|
---|
Category:Letter
MONTHYEARML24310A0552024-11-0404 November 2024 Comment (001) - Request for Extension of Comment Period from the Nuclear Energy Institute on Part 53 Rulemaking - Risk-Informed Technology-Inclusive Regulatory Framework for Advanced Reactors ML24307A0012024-10-31031 October 2024 Fee Exemption Extension Request for Pre-Submittal Activities, Review, and Endorsement of NEI 20-07, Guidance for Addressing Common Cause Failure in High Safety-Significant Safety-Related Digital I&C Systems ML24304A3482024-10-29029 October 2024 10-29-24 NEI Letter to NRC Status and Way Forward on NEI 99-04 Revision 1 ML24302A3112024-10-28028 October 2024 NEI Input on Improvements to Licensing and Oversight Programs ML24274A3112024-09-30030 September 2024 Request for NRC Review and Endorsement of NEI 99-01, Development of Emergency Action Levels for Non-Passive Reactors, Revision 7 ML24255A0702024-09-0909 September 2024 09-09-24_NRC_Industry Timeliness Request Regarding Items Relied Upon for Safety ML24204A2162024-07-22022 July 2024 Withdrawal of Fee Exemption Request for Endorsement of NEI White Paper, Selection of a Seismic Scenario for an EPZ Boundary Determination ML24204A2082024-07-22022 July 2024 07-22-24_NRC_NEI Withdrawal of Fee Exemption Request for Wp Selection of Seismic Scenario for EPZ Determination ML24187A0552024-07-0303 July 2024 Fee Exemption Request for NEI White Paper Selection of Seismic Scenario for EPZ Determination ML24184C1212024-07-0202 July 2024 NEI - Request for NRC Endorsement of NEI 24-05 Revision 0, an Approach for Risk-Informed Performance-Based Emergency Planning ML24173A2712024-06-14014 June 2024 NEI - Proposed Changes to Inspection Procedure (IP) 71130.10, Cybersecurity ML24165A0862024-06-13013 June 2024 NEI White Paper - Proposed Control Room Dose Acceptance Criteria Supporting RG 1.183 R2 ML24165A0852024-06-13013 June 2024 NEI White Paper - Impact of Higher Source Term Fractions on EQ Doses ML24165A0872024-06-12012 June 2024 NEI White Papers Supporting NRC Workshop Discussions Regarding Nuclear Regulatory Commissions (NRC) Potential Changes to Regulatory Guide 1.183 ML24152A3242024-05-31031 May 2024 NEI Concept Paper: Regulation of Rapid High-Volume Deployable Reactors in Remote Locations ML24159A7312024-05-23023 May 2024 05-23-24 Nuclear Energy Institute Letter to the U.S. Nuclear Regulatory Commission Re Industry Comments on Buildings as Items Relied on for Safety ML24135A1982024-04-23023 April 2024 SFAQ No 2022-02, SAE Program Requirements - NEI Withdrawal Letter ML24078A2212024-03-15015 March 2024 3-15-24 NEI Letter Aveil from Juhle on Pur ML24061A0572024-02-29029 February 2024 Endorsement of NEI 08-09, Revision 7, Changes to NEI 08-09 Cyber Security Plan for Nuclear Power Reactors ML24023A0392024-01-22022 January 2024 NEI Comments on the Information Collection Renewal for Domestic Licensing of Special Nuclear Material, Docket Id NRC-2023-0118 ML23355A1972023-12-14014 December 2023 NEI, Comments on NRC Draft Resolution of SFAQ 2022-02, SAE Program Requirements ML23219A1672023-10-25025 October 2023 Response Letter to Fee Exemption Request for Pre-Submittal Activities, Review, and Endorsement of NEI 20-07 ML23270B9002023-09-27027 September 2023 NEI Letter Request for an Extension of Comment Period on Proposed Revision to Standard Review Plan Section 15.0, Introduction - Transient and Accident Analyses, Docket Id NRC 2023 0079 ML23268A0102023-09-22022 September 2023 NEI, Fee Exemption Request for Endorsement, Review and Meeting to Discuss Draft Nuclear Energy Institute Technical Report NEI 23-01, Operator Cold License Training Plan for Advanced Nuclear Reactors ML23241A8612023-08-25025 August 2023 Consolidated Industry Comments to NRC Regulatory Issue Summary 2023-02, Scheduling Information for the Licensing of Accident Tolerant, Increased Enrichment, and Higher Burnup Fuels ML23236A4992023-08-24024 August 2023 Industry Feedback on Region II Fuel Cycle Facility Construction Oversight Workshop Held August 15, 2023, and Suggested Topics for Additional Public Meetings in Fall 2023 ML23256A1622023-08-0101 August 2023 Incoming NEI Letter Dated August 1, 2023 Regarding Increase in Fees 2023-2025 ML23206A0292023-07-24024 July 2023 Incoming Fee Exemption Request for Pre-Submittal Activities, Review, and Endorsement of NEI 20-07 ML23143A1232023-06-22022 June 2023 NRC Fee Waiver Request for Draft NEI 23-01 ML23200A1662023-05-30030 May 2023 NEI Proposed Metrics for a Performance-Based Emergency Preparedness Program ML23116A0732023-05-25025 May 2023 Letter to Hillary Lane in Response to a Request for a Fee Exemption for NEI 23-03 ML23135A7332023-05-0909 May 2023 NEI Comments on NRC Safety Culture Program Effectiveness Review ML23110A6762023-04-18018 April 2023 04-18-23_NRC_NEI 23-03 Review + Endorse ML23110A6782023-04-18018 April 2023 Request for Review and Endorsement of NEI 23-03, Supplemental Guidance for Application of 10 CFR 50.59 to Digital Modifications at Non-Power Production or Utilization Facilities ML23110A6752023-04-18018 April 2023 04-18-23_NRC_Fee Waiver for NEI 23-03 ML24120A2702023-04-0404 April 2023 Melody Rodridguez NEI Comment on Controlled Unclassified Information ML23107A2302023-03-31031 March 2023 NEI Letter, to Andrea Veil, NRC, Regarding Industry Recommendations for a 10 CFR 50.46a/c Combined Rulemaking ML23083B4622023-03-24024 March 2023 Transmittal of NEI 22-05 Revision a, Technology Inclusive Risk Informed Change Evaluation (Tirice) Guidance for the Evaluation of Changes to Facilities Utilizing NEI 18-04 and NEI 21-07 ML23138A1662023-03-24024 March 2023 Transmittal of NEI 22-05 Revision a, Technology Inclusive Risk Informed Change Evaluation (Tirice) Guidance for the Evaluation of Changes to Facilities Utilizing NEI 18-04 and NEI 21-07 ML23060A3272023-03-0101 March 2023 NEI, Wireless Cyber Security Guidance ML23060A2142023-03-0101 March 2023 NEI, Request for NRC Endorsement of NEI White Paper, Enabling a Remote Response by Members of an Emergency Response Organization, Revision 0 ML23023A2752023-01-23023 January 2023 Request for Extension of Comment Period from the Nuclear Energy Institute on PRM-50-124 - Licensing Safety Analysis for Loss-of-Coolant Accidents ML22348A1122023-01-17017 January 2023 Letter to Richard Mogavero Response to Fee Exemption NEI 08-09 Revision 7 ML22353A6082023-01-11011 January 2023 U.S. Nuclear Regulatory Commission Report of the Regulatory Audit of the NEI-Proposed Aging Management Program Revision to Selective Leaching Program (XI.M33) ML22349A1012022-12-12012 December 2022 LTR-22-0343 Ellen Ginsberg, Sr. Vice President, General Counsel and Secretary, Nuclear Energy Institute, Expresses Concerns Related to Issuance of Regulatory Issue Summary 2022-02; Operational Leakage ML22336A0372022-11-16016 November 2022 Fee Exemption Request for NEI 08-09 Revision 7 - Changes to NEI 08-09 Cyber Security Plan for Nuclear Power Reactors ML22321A3152022-11-16016 November 2022 NEI Letter with Comments on Significance Determination Process Timeliness Review ML22298A2262022-10-25025 October 2022 Endorsement of NEI 15-09, Cyber Security Event Notifications, Revision 1, Dated October 2022 ML22298A2302022-10-17017 October 2022 Submittal of NEI 22-03, Draft Revision 0, Nuclear Generation Quality Assurance Program Description ML22207B6512022-07-26026 July 2022 NEI, Full Fee Exemption Request for Industry Guidance Proposal - Weather Related Administrative Controls During Transient Outdoor Dry Cask Operations 2024-09-09
[Table view] |
Text
ROD MCCULLUM Sr. Director, Decommissioning and Used Fuel 1201 F Street, NW, Suite 1100 Washington, DC 20004 P: 202.739.8082 rxm@nei.org nei.org November 8, 2019 Ms. Andrea Kock, Director Division of Fuel Management Office of Nuclear Material Safety and Safeguards U.S. Nuclear Regulatory Commission Washington, DC 20555-0001
Subject:
Industry White Paper - Defining Spent Fuel Performance Margins Project Number: 689
Dear Ms. Kock:
The Nuclear Energy Institute (NEI)1, on behalf of its members, submits for your consideration a White Paper entitled Defining Spent Fuel Performance Margins. The purpose of this White Paper is to communicate what has been learned about dry storage safety margin through the deployment of more than 3,000 storage systems over the past 33 years in order to improve the efficiency of the dry storage licensing process, consistent with NRCs principles of good regulation. This paper constitutes industrys vision for implementing the Key Principles for Nuclear Material Safety and Safeguards Reviews articulated by Marc Dapas in his January 15, 2019 memorandum to NRC staff 2. It has been informed by substantial dialogue between industry and NRC staff over the past year, including during a public meeting specifically focused on this topic that was held on April 23, 2019.
This paper examines performance margin in 5 areas: 1) Source Terms, 2) Thermal Parameters, 3) Radiological Parameters, 4) Fuel Qualification, and 5) Criticality. Based on what is now understood about performance margin in each of these areas, the paper develops 16 specific recommendations. These recommendations fall into the following three categories:
- 1. Actions that industry can take within the confines of existing regulations and guidance,
- 2. Actions that NRC can take by tailoring their regulatory guidance and their review and inspection practices to recognize the existence of performance margin, and 1
The Nuclear Energy Institute (NEI) is responsible for establishing unified policy on behalf of its members relating to matters affecting the nuclear energy industry, including the regulatory aspects of generic operational and technical issues. NEIs members include entities licensed to operate commercial nuclear power plants in the United States, nuclear plant designers, major architect and engineering firms, fuel cycle facilities, nuclear materials licensees, and other organizations involved in the nuclear energy industry.
2 Key Principles for Nuclear Material Safety and Safeguards Reviews, Marc Dapas, January 15, 2019 ML19015A290
Ms. Andrea Kock November 8, 2019 Page 2
- 3. Actions that will need industry and NRC to engage in a dialogue to develop improved regulatory tools and guidance.
Because none of these recommendations will require rulemaking and many of them can be implemented without the development of additional formal guidance, the paper concludes that meaningful improvements in regulatory efficiency can be achieved in a relatively short period of time and with minimal resources (with respect to the Category 1 and 2 recommendations). These improvements can be further extended through dialogue proposed in the Category 3 Recommendations. Some of the recommendations will translate into Certificate of Compliance Amendments or Topical Reports that industry would submit to NRC for review and approval. These improvements will be vital to assuring the continued long-term success of dry spent fuel storage.
We look forward to discussing this White Paper and its recommendations with NRC staff in the public meeting scheduled for November 18. We understand that the main purpose of the public meeting is to discuss an industry Petition for Rulemaking (PRM 72-7) that was filed in 2012. We are hopeful that the discussion at this meeting will lead to consensus that most of the objectives of PRM 72-7 can be better accomplished through the recommendations of the enclosed White Paper, hence obviating the need to devote resources to a time-consuming rulemaking. We think the conduct of a series of public workshops between industry and NRC would represent a productive way to advance these recommendations.
We trust that NRC will find the enclosed White Paper to be useful. We request a written response from NRC summarizing the discussion on November 18, providing any initial feedback on the White Paper, and outlining NRCs intentions regarding future workshops addressing our recommendations. An initial response would be appreciated by December 20, 2019. Please contact me or Mark Richter of my staff (mar@nei.org) with any comments or questions on the content of this letter.
Sincerely, Rod McCullum
Enclosure:
Industry White Paper - Defining Spent Fuel Performance Margins c: Mr. John Lubinski, NRC/NMSS Mr. Christopher Regan, NRC/NMSS/DFM Mr. James Rubenstone, NRC/NMSS/DFM