NRC-2013-0195, Comment (6) of Robert M. Mitchell, on Behalf of Yankee Atomic Electric Co., on Proposed Rulemaking and Guidance, Amendments to Material Control and Accounting Regulations

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Comment (6) of Robert M. Mitchell, on Behalf of Yankee Atomic Electric Co., on Proposed Rulemaking and Guidance, Amendments to Material Control and Accounting Regulations
ML14084A312
Person / Time
Site: Yankee Rowe
Issue date: 03/10/2014
From: Recasha Mitchell
Yankee Atomic Electric Co
To: Annette Vietti-Cook
Rules, Announcements, and Directives Branch, NRC/SECY/RAS
References
78FR67224 00006, BYR 2014-013, NRC-2009-0096, NRC-2013-0195
Download: ML14084A312 (4)


Text

4' YANKEE ATOMIC ELECTRIC COMPANY

.YANKKE 49 Yankee Road, Rowe, Massachusetts 01367 Ma trch I 0Q2014

'R 201-ý7013 BT)

Ms. Annette I Vi~tti-C~nk Secr~t~irv U.S. Nuclear Regulatory Commission "/ c.,

C/),

Washington, DC 20555-0001 -I*'7 ATTN: Rule makings and Adjudications Staff Yankee Atomic Electric Company I-0 Yankee Nuclear Power Plant Independent Spent Fuel Storage Installation NRC License No. DPR-3 (NRC Docket Nos.50-029 and 72-3 1)

Subject:

Comments on Proposed Rulemaking and Guidance, "Amendments to Material Control and Accounting Regulations," Docket ID NRC-2009-0096 and Docket ID NRC-2013-0195 Yankee Atomic Electric Company (YAEC) appreciates the opportunity to provide comments on the proposed rule and guidance for 10 CFR Part 74, "Amendments to Material Control and Accounting Regulations," which were published in the Federal Register on November 8, 2013 (78 FR 67224 and 78 FR 67225). YAEC is a 10 CFR Part 50 licensee that operated a single unit nuclear power plant that is now permanently shut down and decommissioned. All that remains at the site is an Independent Spent Fuel Storage Installation (ISFSI) that utilizes a 10 CFR Part 72 licensed dual-purpose dry cask storage system. Given the low risks associated with spent fuel stored in dry canisters at stand-alone ISFSI sites, YAEC believes that the NRC should utilize a risk-informed approach to determine if modifying the Material Control and Accounting rules associated with the regulation of stand-alone ISFSls is appropriate or necessary to achieve a safety benefit.

YAEC endorses the comments submitted by the Nuclear Energy Institute on behalf of the nuclear industry on March 10, 2014, in particular those regarding the following:

I. Failure to justify provisions purporting to "strengthen" the requirements for various licensees;

2. Failure to issue regulatory guidance for entire classes of licensees (e.g., ISFSIs);
3. Failure to reflect the 1985 Commission decision that given the low safeguards importance of low enriched uranium (LEU), in tandem with 10 CFR Part 73 physical protection requirements, and the high probability of detecting a significant amount of LEU, there should be significant differences in the Material Control and Accounting (MC&A) requirements for LEU when compared to strategic special nuclear material;
4. Use of absolute (e.g., all, any) and ambiguous terms that create new requirements that are impracticable for licensees to implement and NRC to enforce; SUNSI Review Complete Template = ADM - 013 E-RIDS= ADM-03 Add= 1 (ý7

Yankee Atomic Electric Company BYR 2014-013/March 10, 2014/Page 2 of 3

5. Failure to provide a backfit analysis for proposed provisions that would result in a modification or addition to a system, structure or component, procedure, or organization required to operate a facility; and
6. Failure to perform an adequate regulatory analysis that properly addresses industry implementation (quantitative costs) and security and safeguards considerations (qualitative benefits).

Specifically, YAEC has concerns regarding the following:

1. The proposed change to 10 CFR 74.3(e) that would require that information related to MC&A to be stored in a locked file cabinet or office. This new requirement would result in a modification and/or addition to the ISFSI site procedures.
2. The proposed change to 10 CFR 74.19(e) that would require ISFSIs to establish, document, implement, and maintain an item control system. Although the NRC has not provided guidance for ISFSIs, such a new requirement would necessarily result in a modification and/or addition to the ISFSI site operating procedures for material that is stored in sealed canister systems.
3. The fact that the NRC did not address or include guidance specific to stand-alone ISFSI sites associated with the proposed new regulations.
4. The proposed implementation period of six-months. Should the new rules be promulgated, the time period proposed by NEI in their comments would be more appropriate.

YAEC supports NEI's position that the proposed rule appears opposed to the fundamental underpinnings of the current regulations that emphasize the negligible safeguards risk to public health from low enriched uranium. In addition, the proposed rule provides no safety basis, data or analysis to justify the fundamental restructuring of the current MC&A regulations. Given the low risks associated with spent fuel stored in dry canisters at stand-alone ISFST sites, YAEC believes that the NRC should utilize a risk-informed approach to determine if modifying the Material Control and Accounting rules associated with the regulation of stand-alone ISFSIs is

.appropriate or necessary to achieve a safety benefit.

Respectfully,

/1411 Robert M. Mitchell ISFSI Manager

Yankee Atomic Electric Company BYR 2014-013/March 10, 2014/Page 3 of 3 cc: W. M. Dean, NRC Region I Administrator M. S. Ferdas, Chief, Decommissioning Branch, NRC, Region I J. Goshen, NRC Project Manager

RulemakingComments Resource From: Stan Day <sday@3yankees.com>

Sent: Monday, March 10, 2014 12:21 PM To: RulemakingComments Resource Cc: Bob M. Mitchell; Karen Sucharzewski; Bob Capstick

Subject:

YAEC Comments on MC&A Proposed Rulemaking Attachments: BYR 2014-013 COMMENTS ON PROPOSED RULEMAKING AND GUIDANCE AMENDMENTS TO MATERIAL CONTROL AND ACCOUNTING REGULATIONS.pdf The attached provide Yankee Atomic Electric Company's comments regarding the proposed rulemaking regarding Material Control & Accounting.

Stan Day Licensing Engineer 1

Text

4' YANKEE ATOMIC ELECTRIC COMPANY

.YANKKE 49 Yankee Road, Rowe, Massachusetts 01367 Ma trch I 0Q2014

'R 201-ý7013 BT)

Ms. Annette I Vi~tti-C~nk Secr~t~irv U.S. Nuclear Regulatory Commission "/ c.,

C/),

Washington, DC 20555-0001 -I*'7 ATTN: Rule makings and Adjudications Staff Yankee Atomic Electric Company I-0 Yankee Nuclear Power Plant Independent Spent Fuel Storage Installation NRC License No. DPR-3 (NRC Docket Nos.50-029 and 72-3 1)

Subject:

Comments on Proposed Rulemaking and Guidance, "Amendments to Material Control and Accounting Regulations," Docket ID NRC-2009-0096 and Docket ID NRC-2013-0195 Yankee Atomic Electric Company (YAEC) appreciates the opportunity to provide comments on the proposed rule and guidance for 10 CFR Part 74, "Amendments to Material Control and Accounting Regulations," which were published in the Federal Register on November 8, 2013 (78 FR 67224 and 78 FR 67225). YAEC is a 10 CFR Part 50 licensee that operated a single unit nuclear power plant that is now permanently shut down and decommissioned. All that remains at the site is an Independent Spent Fuel Storage Installation (ISFSI) that utilizes a 10 CFR Part 72 licensed dual-purpose dry cask storage system. Given the low risks associated with spent fuel stored in dry canisters at stand-alone ISFSI sites, YAEC believes that the NRC should utilize a risk-informed approach to determine if modifying the Material Control and Accounting rules associated with the regulation of stand-alone ISFSls is appropriate or necessary to achieve a safety benefit.

YAEC endorses the comments submitted by the Nuclear Energy Institute on behalf of the nuclear industry on March 10, 2014, in particular those regarding the following:

I. Failure to justify provisions purporting to "strengthen" the requirements for various licensees;

2. Failure to issue regulatory guidance for entire classes of licensees (e.g., ISFSIs);
3. Failure to reflect the 1985 Commission decision that given the low safeguards importance of low enriched uranium (LEU), in tandem with 10 CFR Part 73 physical protection requirements, and the high probability of detecting a significant amount of LEU, there should be significant differences in the Material Control and Accounting (MC&A) requirements for LEU when compared to strategic special nuclear material;
4. Use of absolute (e.g., all, any) and ambiguous terms that create new requirements that are impracticable for licensees to implement and NRC to enforce; SUNSI Review Complete Template = ADM - 013 E-RIDS= ADM-03 Add= 1 (ý7

Yankee Atomic Electric Company BYR 2014-013/March 10, 2014/Page 2 of 3

5. Failure to provide a backfit analysis for proposed provisions that would result in a modification or addition to a system, structure or component, procedure, or organization required to operate a facility; and
6. Failure to perform an adequate regulatory analysis that properly addresses industry implementation (quantitative costs) and security and safeguards considerations (qualitative benefits).

Specifically, YAEC has concerns regarding the following:

1. The proposed change to 10 CFR 74.3(e) that would require that information related to MC&A to be stored in a locked file cabinet or office. This new requirement would result in a modification and/or addition to the ISFSI site procedures.
2. The proposed change to 10 CFR 74.19(e) that would require ISFSIs to establish, document, implement, and maintain an item control system. Although the NRC has not provided guidance for ISFSIs, such a new requirement would necessarily result in a modification and/or addition to the ISFSI site operating procedures for material that is stored in sealed canister systems.
3. The fact that the NRC did not address or include guidance specific to stand-alone ISFSI sites associated with the proposed new regulations.
4. The proposed implementation period of six-months. Should the new rules be promulgated, the time period proposed by NEI in their comments would be more appropriate.

YAEC supports NEI's position that the proposed rule appears opposed to the fundamental underpinnings of the current regulations that emphasize the negligible safeguards risk to public health from low enriched uranium. In addition, the proposed rule provides no safety basis, data or analysis to justify the fundamental restructuring of the current MC&A regulations. Given the low risks associated with spent fuel stored in dry canisters at stand-alone ISFST sites, YAEC believes that the NRC should utilize a risk-informed approach to determine if modifying the Material Control and Accounting rules associated with the regulation of stand-alone ISFSIs is

.appropriate or necessary to achieve a safety benefit.

Respectfully,

/1411 Robert M. Mitchell ISFSI Manager

Yankee Atomic Electric Company BYR 2014-013/March 10, 2014/Page 3 of 3 cc: W. M. Dean, NRC Region I Administrator M. S. Ferdas, Chief, Decommissioning Branch, NRC, Region I J. Goshen, NRC Project Manager

RulemakingComments Resource From: Stan Day <sday@3yankees.com>

Sent: Monday, March 10, 2014 12:21 PM To: RulemakingComments Resource Cc: Bob M. Mitchell; Karen Sucharzewski; Bob Capstick

Subject:

YAEC Comments on MC&A Proposed Rulemaking Attachments: BYR 2014-013 COMMENTS ON PROPOSED RULEMAKING AND GUIDANCE AMENDMENTS TO MATERIAL CONTROL AND ACCOUNTING REGULATIONS.pdf The attached provide Yankee Atomic Electric Company's comments regarding the proposed rulemaking regarding Material Control & Accounting.

Stan Day Licensing Engineer 1