ML21039A675

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2-Digital Instrumentation and Controls Licensing and Inspection Workshop-Feb-10-2021-PM-Slides
ML21039A675
Person / Time
Issue date: 02/08/2021
From: William Roggenbrodt
NRC/NRR/DEX/EICB
To:
Roggenbrodt, William 301-150-0678
References
Download: ML21039A675 (30)


Text

Digital Instrumentation and Controls Licensing and Inspection Workshop (Afternoon Session)

February 10, 2021

Workshop Agenda (PM)

  • ISG-06 Alternate Review Process Reflection: NRC
  • ISG-06 Alternate Review Process Reflection: Industry
  • Open Discussion and Next Steps
  • Public Comments 2

ISG-06 ALTERNATE REVIEW PROCESSES REFLECTION: NRC 3

Comparison of Tier 1 and ARP 4

Comparison of Tier 1 and ARP

  • Tier 1 Process:

o is based on the evaluation of design outputs.

o should be used when the system design is based on an NRC approved platform and the design is expected to be implemented and tested prior to issuance of the license amendment.

  • Alternate Review Process:

o is based on the evaluation of design plans/processes and licensee commitments to implement those plans/processes.

o should be used when the system design is based on an NRC approved platform and an approved license amendment is needed or desired prior to implementing the system design.

5

Licensing and Oversight Comparison Summary Tier 1, 2, and 3 Review Process Alternate Review Process Document 2 Submittals 1 Submittal Submittals (LAR - Phase 1) (Supplement - Phase 2) (LAR)

Design Changes Design changes submitted during the Design changes during Implementation and After LAR Phase 2 review (before FAT) can be Testing phases will need to be performed under Submittal reviewed as part of the LAR review 10 CFR 50.59, or new LAR approval Potentially:

  • Implementation of high quality software development process (e.g., NQA-1-2015)

License None (Typically)

  • Vendor oversight Conditions
  • Resolution of plant specific action items identified in the topical report
  • Implementation and Test activities (e.g., FAT)
  • VOP Implementation Inspection
  • Vendor Inspection of later lifecycle phases
  • Regional Inspection of Post FAT Licensee (e.g. FAT)

Inspection Scope Activities (e.g., Installation, Maintenance,

  • Regional Inspection of Post FAT Licensee Training, Operations, Plans, SAT) Activities (e.g., Installation, Maintenance, Training, Operations, Plans, SAT) 6

Comparison of Licensing and Oversight Activities Timeline Ideal Tier 1 and Ideal ARP Tier 1 Review Process LA Issued LAR Submitted NRC: LAR (Phase 1) and Phase 2 Review, and Regulatory Audit(s) NRC: Regional Inspections Phase 1 Information of Site Activities Available Tier 1, 2, and 3 Licensee Activity:

Licensee/Vendor Activities Producing and Submitting Phase 2 Supplement Info (Not applicable to the Alternate Review Process)

Modification Concept High Level System and HW/SW Requirements, Implementation and and Phase 0 System Design, Detailed HW & SW Design Test Activities, Post FAT Licensee Activities, SAT Meeting(s) Planning and Fabrication including FAT Report Alternate Review Process LA Issued LAR Submitted NRC: LAR Review and NRC: VOP and Vendor NRC: Regional Inspections All Information to meet Regulatory Audit(s)

Inspections of of Site Activities Regulatory Requirements Implementation & Test Available Activities Timeline 7

ISG-06 Rev. 2 Structure & Focus Areas (1) The design meets the applicable regulatory criteria (2) The design is developed and will be developed using a high quality process Tier 1, 2, and 3 Process Overview Alternate Review Process Overview Section C.1 refers to the review guidance described Section C.2 refers to the review guidance in Sections D.1 through D.3, and D.5 through D.9 described in Sections D.1 through D.8 Section D.1 Section D.1 Plant System Description Plant System Description Section D.2 Section D.2 System Architecture System Architecture Section D.3 Section D.3 Hardware Equipment Qualification Hardware Equipment Qualification Review of Software Section D.4 Design, Implementation, I&C System Development Processes & Test Plans and Section D.5 Section D.5 Processes Applying a Referenced TR Safety Evaluation Applying a Referenced TR Safety Evaluation Section D.6 Section D.6 Compliance Matrix for IEEE Stds 603 and 7-4.3.2 Compliance Matrix for IEEE Stds 603 and 7-4.3.2 Section D.7 Section D.7 Technical Specifications Technical Specifications Review of design Section D.8 Licensee Commitments outputs Section D.8 Secure Development and Operational Environment Secure Development and Operational Environment that Implementation and (Implementation Section D.9 Test Activities will be and Test Results Other Review Guidance for Tier 1, 2, and 3 Reviews adequately implemented Information)

Needed for Item (1) Needed for Item (2) Needed for Items (1) & (2) 8

Alternate Review Process Focus Areas

  • (1) The design meets the applicable regulatory criteria
  • (2) The design will be developed using a high quality process
  • Some attributes of development activities are critical to our early regulatory compliance finding for certain 10 CFR 50.55a requirements and implementing standards. For example:

o following the development plans and processes, consistent with the LAR o following the VOP, consistent with the VOP summary o completing PSAIs o completing FAT o demonstrating risk-significant attributes of the final design specified in the LAR 9

Generic Lessons Learned: License Review Processes

  • The characteristics of the Tiered Process and the ARP as described in the ISG may be considered the ideal scenarios for each review process.
  • Reality: Both the information that is submitted and the system development timelines can vary from that which is assumed in the ISG.
  • While piloting the ARP in pre-submittal and review activities, the staff has identified some unique challenges:

o Conducting the licensing review based on the VOP Summary and regulatory commitments related to future activities.

o Defining the role of licensing audit and Appendix B inspections of licensee development activities during the technical reviews.

  • NRC may need to adjust its approach and consider aspects of both processes to resolve some technical issues in an efficient and timely manner.

10

Pre-submittal Meetings, and Licensing Review Efficiency 11

Pre-submittal Interactions Multiple pre-submittal meetings have proven to be beneficial:

  • to the licensee for preparing a LAR that can be accepted for review
  • to the staff for preparing for the review The following topics have been shown to be important in early interactions:
  • Licensee-identified LAR Review Process and system development schedule
  • ISG-06 Enclosure B table applicability and information availability
  • Description of deviations from NRC guidance or the approved platform
  • Details of the overall I&C systems architecture to demonstrate the fundamental I&C design principles of Redundancy, Independence, Diversity, and Determinism
  • Approach for addressing potential CCF
  • Vendor Oversight Process and planned activities
  • Approach for Equipment Qualification testing before and after LAR submittal 12

Licensing Review Efficiency Open Items List Electronic Biweekly Reading Public Room Meetings 13

Licensing Review Efficiency

  • Open Items List
  • A means to clarify staff questions
  • Early identification of potential Requests for Additional Information (RAIs) and audit activities
  • Reduces RAIs and review time
  • Electronic Reading Room (e.g., portal, SharePoint, Box.com)
  • Used to perform virtual audits of undocketed material
  • Minimized document submittals
  • Allows for auditing of living documents which are revised throughout the review (e.g., System Requirement Specifications and Vendor Oversight Plan)
  • Helps identify which document or portions of a document need to be docketed
  • Biweekly Public Meetings
  • Provides a means to discuss open items, potential RAIs, audit planning activities
  • Closed portions used to discuss proprietary information
  • The frequency of the meetings is adjusted based on need and scheduling conflicts 14

Vendor Oversight Plan and Inspection Activities 15

VOP and VOP Summary

  • ISG-06 ARP is based on staff evaluation of the docketed summary of the VOP in lieu of licensee submitting the entire VOP.
  • The VOP framework should supplement the licensees overall QA program descriptions with specific system, hardware, and software development activities, including a description of the proposed

- development life cycles,

- development documents to be produced, and

- management activities that will be implemented in the design and development of digital I&C safety-related systems

  • The VOP Summary will be reviewed against the requirements of Appendix B to 10 CFR Part 50.

16

Vendor Oversight Plan Level of Detail

  • The NRC staff summarized what guidance in BTP 7-14 that vendor oversight should address, during a previous ISG-06 workshop.
  • Specific guidance on what information should be presented in the VOP summary was not provided in ISG-06.
  • Recent lessons learned shows that more detail may be necessary in the VOP summary for the staff to make a reasonable assurance finding that implementation of the oversight activities will ensure that design outputs and FAT results meet the system and development process requirements.

17

Software Development

  • The ISG-06 ARP specifies that the LAR should include:

- a description of the software life cycle processes to be used;

- identification of any planned exceptions and clarifications; and

- a description of how these planned exceptions and clarifications meet the underlying regulations.

  • These items can be satisfied for LARs referencing an NRC approved Software Program Manual (SPM) for the development of application software.
  • The VOP and VOP Summary should address how the licensee's oversight activities, that will verify the software development processes and the lifecycle design outputs, meet the software development process descriptions summarized in the LAR or any referenced SPM.

18

Interface with Inspections

  • Inspections of licensees oversight activities as documented in the VOP will be conducted in accordance with IP 35017, Quality Assurance Implementation Inspection.

- IP 35017 was updated in 2020 to address digital I&C LARs

  • Inspections of vendor system development activities will be conducted in accordance with:

- IP 43002, Routine Inspections of Nuclear Vendors

- IP 35710, QA Inspection of Software Used in Nuclear Applications

  • The NRC staff is evaluating IP 52003 for revision to address site activities for the digital I&C modifications and testing.

19

ARP Licensing vs Inspection LICENSE REVIEW INSPECTIONS (Submittal Review & Audits) (Vendor & Licensee)

System Design Information:

  • System Architecture
  • System Requirements Specification
  • Equipment Qualification Results
  • D3, Redundancy, Independence, Determinism Sufficiency of System Development Processes: Appendix B Implementation of Processes:
  • BTP 7-14 (B.3.1) Review of Plans
  • Design changes
  • Crediting of SPM as applicable
  • Design outputs for implementation and testing lifecycle phases
  • Resolution of PSAIs or commitments to
  • Factory Acceptance Tests address PSAIs
  • Site Acceptance Tests Sufficiency of Vendor Oversight Plan for: Appendix B Implementation of VOP:

Scope

  • Verification and Validation (during Detailed Implementation, V&V, and FAT)
  • Configuration Management
  • Verifying oversight of vendor activities performed during
  • Design Activities those phases meet requirements for design control (e.g.,
  • Implementation Activities design changes, independent V&V)
  • Integration Activities
  • Verify that documentary evidence exists to ensure that the
  • Testing Activities procured system conform to procurement requirements
  • Installation Activities
  • Verifying that appropriate corrective actions were taken to address any deficiencies identified during oversight activities of the vendor
  • Verifying that the licensee performed required external audits on the vendor for activities performed during the above phases ADAMS Accession No. for the one pager of this table is ML20267A173.

ARP Licensing vs Inspection LICENSE REVIEW INSPECTIONS (Submittal Review & Audits) (Vendor & Licensee)

Compliance Findings:

Findings

  • GDCs
  • Appendix B (e.g., QA Plan, VOP Summary) 1 Not in Scope Not in Scope
  • Implementation of software and hardware
  • Sufficiency of Design
  • Design output documentation and detailed V&V
  • Conformance with IEEE 603 & 7.4-3-2 results for lifecycle phases after detailed
  • Vendor Oversight Plan Sufficiency (which may be audited software and hardware design during the LAR review to support the VOP summary
  • Resolution of Non-Conformances review)
  • Factory Acceptance Test Results 1 These items would be subject to detailed license review and audit under the traditional review process 21

Other Technical Review Areas 22

Crediting of Self-Diagnostics to Eliminate Surveillance Requirements from Technical Specifications

  • Self-diagnostics of digital I&C safety-related systems could be credited to either reduce or eliminate I&C surveillance testing.
  • Supporting FMEA needs to be provided as part of technical basis.
  • Licensees will need to provide analyses to justify the crediting of self-diagnostics for TS surveillance requirement reduction or elimination.
  • Licensees will need to still perform periodic functional tests of the self-diagnostics features to satisfy BTP 7-17 guidance.
  • Licensees will need to provide a description of plant administrative controls that will provide assurance (defense-in-depth) that faults are captured and investigated.

o This may include items such as operator rounds, and system engineer monthly reports that evaluate and document the health, errors, and faults of the safety system.

23

Accident Analysis and Defense-in-Depth and Diversity The following information needs to be clearly identified in the LAR:

  • Chapter 15 events that credit functions performed by the modified system
  • Potential changes to Design Basis Accident Analyses
  • Acceptability of the new response times and methods used (including calculations)
  • Approach for addressing potential CCF, such as the D3 strategy and D3 coping analysis 24

Human Factors Engineering

  • NUREG-0700, Rev. 3, Human-System Interface Design Review Guidelines (ADAMS Accession ML20162A214), provides detailed acceptance criteria for HFE design attributes; both are referenced in SRP Chapter 18 and NUREG-0711 mentioned in the ISG.
  • NUREG-0700, Rev. 3 references the following IEEE Standards:

- IEEE Std. 497-2002, IEEE Standard Criteria for Accident Monitoring Instrumentation for Nuclear power Generating Stations

- IEEE Std. 7-4.3.2-2003, IEEE Standard Criteria for Digital Computers in Safety Systems in Nuclear Power Generating Stations

- IEEE Std. 603-1998, IEEE Standard Criteria for Safety Systems for Nuclear Power Generating Stations 25

Use of Risk Insights

  • The staff implemented the Integrated Review Team (IRT) approach outlined in LIC-206, Integrated Risk-Informed Decision-Making for Licensing Reviews.
  • The staff is utilizing risk insights to the extent practical to aid current and future DI&C reviews.
  • NRRs Division of Risk Assessment (DRA) supports the IRTs, as necessary, with qualitative risk insights to inform the scope and depth of the review.
  • This activity is at an early stage for DI&C reviews; the extent of its applicability will be plant-specific, dependent on the proposed change, and availability of risk insights.

26

Open Discussion 27

Acronyms ADAMS - Agencywide Documents Access and Management System ARP - Alternate Review Process ASME - American Society of Mechanical Engineers BTP - Branch Technical Position CCF - common cause failure D3 - Defense-in-Depth and Diversity DI&C - Digital Instrumentation and Controls DRA - Division of Risk Assessment FAT - Factory Acceptance Test FMEA - Failure Modes and Effects Analysis GDC - General Design Criteria HW - Hardware HFE - Human Factors Engineering 28

Acronyms HSSSR - high safety-significant safety-related IEEE - Institute of Electrical and Electronics Engineers I&C - Instrumentation and Controls IP - Inspection Procedure IRT - Integrated Review Team ISG - Interim Staff Guidance LAR - License Amendment Request MP - Modernization Plan NEI - Nuclear Energy Institute NQA - Nuclear Quality Assurance NRC - Nuclear Regulatory Commission OpE - operational experience QA - Quality Assurance 29

Acronyms RAI - Requests for Additional Information RIS - Regulatory Issue Summary RG - Regulatory Guide SAT - Site Acceptance Test SDOE - Secure Development and Operational Environment SPM - Software Program Manual SW - Software SWCCF - software common cause failure TR - Topical Report TS - Technical Specifications VOP - Vendor Oversight Plan V&V - Verification and Validation 30