ML20141L014
| ML20141L014 | |
| Person / Time | |
|---|---|
| Site: | Millstone |
| Issue date: | 04/10/1997 |
| From: | Shirley Ann Jackson, The Chairman NRC COMMISSION (OCM) |
| To: | Hoyle J NRC OFFICE OF THE SECRETARY (SECY) |
| Shared Package | |
| ML20141L002 | List: |
| References | |
| SECY-97-036-C, SECY-97-36-C, NUDOCS 9706020243 | |
| Download: ML20141L014 (2) | |
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NOTATION VOTE
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'I RESPONSE SHEET
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1 TO:
John C.
Hoyle Secretary of the Commission FROM:
CHAIRMAN JACKSON
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SUBJECT:
SECY-97-036 - MILLSTONE LESSONS LEARNE REPORT, PART 2:
POLICY ISSUES (SUPPLEMENTAL V0TE)
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Approved w/ comments Disapproved-Abstain Not Participating Request Discussion OMMENTS:
l SEE ATTACHED COMMENTS l
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b Shirley Ann Jackson SIGNATURE Rolease Vote
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i 4/10/97 DATE Withhold Vote
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1 Entered on "AS" Yes No l
l 9706020243 97o520 PDR COMMs NRCC CORRESPONDENCE,PDR
1 i CHAIRMAN JACKSON'S COMMENTS ON SECY-97-036 (Supplement to original vote)
Regarding the timing and process for performing the FSAR updates, I have the following additional comments:
Specifically, on a forward-looking basis, the staff should encourage licensees to use a risk-informed approach to selecting information that would be added to the FSAR.
The process for making the risk-informed decisions relating to l
information to be contained in the UFSAR should be coordinated with industry l
and formalized as regulatory guidance.
In the short term (e.g., no later than the next FSAR update) the staff shotNi ensure that licensees have updated the FSARs to reflect the most safety /rist.
significant issues (e.g., SB0, ATWS....).
In the longer term (e.g., no longer than two FSAR update cycles), the staff shou.ld ensure that licensees consider changes to the design bases and effects of other analyses performed since original licensing which should have been included by the regulation, consistent with the priority established by their risk ranking.
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