ML23191A016

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NEI Comments on Risk-Informed Process for Evaluation (RIPE) DORL TSG - 7/11/23 Public Meeting Slides from NEI
ML23191A016
Person / Time
Site: Nuclear Energy Institute
Issue date: 07/11/2023
From: Anderson V, Mauer A
Nuclear Energy Institute
To:
Office of Nuclear Reactor Regulation
References
Download: ML23191A016 (1)


Text

©2023 Nuclear Energy Institute NRC Public Meeting on Risk-Informed Process for Evaluations Andrew Mauer Sr. Director, Regulatory Affairs Victoria Anderson Technical Advisor, Engineering and Risk July 11, 2023

©2023 Nuclear Energy Institute 2 Overview

RIPE process was approved by the NRC in January 2021

RIPE process was used successfully in in January 2022

The risk thresholds were initially set very low

Order of magnitude below NRCs definition of very low safety significance issues within the Reactor Oversight Process

The time is right to review the risk screening metrics, especially given that NRC will be reviewing any licensing action under RIPE

NEIs April 19, 2023 letter recommended adjustments to the RIPE risk thresholds

©2023 Nuclear Energy Institute 3 RIPE Risk Thresholds Should be Adjusted

Current thresholds in Section 2 of TSG-DORL-2021-01 are unnecessarily low

The issue contributes less than 1E-7/year to core damage frequency (CDF)

The issue contributes less than 1E-8/year to large early release frequency (LERF)

NEI recommends the following adjustments:

The issue contributes less than 5E-7/year to core damage frequency (CDF)

The issue contributes less than 5E-8/year to large early release frequency (LERF)

These adjusted risk thresholds are one half of the very small change acceptance guidelines given in RG 1.174 (1E-7/year change in CDF, 1E-8/year change in LERF)

©2023 Nuclear Energy Institute 4 1.00E-07 5.00E-07 1.00E-06 0.00E+00 2.00E-07 4.00E-07 6.00E-07 8.00E-07 1.00E-06 1.20E-06 Delta CDF Thresholds (per reactor year)

Current RIPE Proposed New Ripe RG 1.174 Very Small RIPE Risk Thresholds Should be Adjusted This is the region in which a detailed quantitative assessment of the base values of CDF and LERF is not necessary for RG 1.174 applications, indicating that the NRC finds such changes to be acceptably low in risk provided the other principles are met Additional Margin

©2023 Nuclear Energy Institute 5 RIPE Risk Thresholds Should not be Pass/Fail

A bright line approach to risk thresholds is inconsistent with NRCs risk-informed decision making philosophy

Section 2.5 of RG 1.174, states, In the context of integrated decision making, the acceptance guidelines should not be interpreted as being overly prescriptive. They are intended to give a numerical indication of what is considered acceptable. The lines between the regions are intentionally blurry to indicate that the NRC has discretion when making licensing decisions involving the risk acceptance guidelines