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{{#Wiki_filter:}} | {{#Wiki_filter:OPERABILITY PROCESS ENHANCEMENT & | ||
NEI 18-03 NRC PUBLIC MEETING JUNE 28, 2018 | |||
© NEI | |||
© 2018. | |||
2018All rights NEI. Allreserved. | |||
rights reserved. | |||
PURPOSE | |||
- Engage with NRC to enhance the predictability and efficiency of the Operability Determination process. | |||
- Inform the NRC on the process contained in NEI 18-03, Operability Determination | |||
- Identify areas within Inspection Manual Chapter (IMC) 0326 for revision | |||
© NEI 2018. All rights reserved. 2 | |||
AGENDA | |||
* Background | |||
* Overview of the NEI 18-03 process | |||
* Overview of crosswalk between IMC 0326 and NEI 18-03 | |||
* Detailed discussion of six areas to gain predictability and efficiency | |||
- Emphasizing that operability is the responsibility of the licensee | |||
- Separating operability determinations from the Corrective Action Program (CAP) | |||
- Defining common terms | |||
- Establishing entry criteria | |||
- Eliminating aspects not specifically tied to operability | |||
- Ensuring operability is separate from ASME Code compliance | |||
* Proposed engagement strategy and schedule | |||
© NEI 2018. All rights reserved. 3 | |||
BACKGROUND | |||
* At 2015 RUG III meeting, NRC questioned why industry relies on IMC 0326 for guidance (unique practice) | |||
* Engagement with NRC during process development | |||
* Control room burden of applying current OD process frequently not commensurate with safety significance | |||
* Recent, high-visibility plant issues illustrated challenges to predictability and efficiency of OD process | |||
© NEI 2018. All rights reserved. 4 | |||
NEI 18-03 OVERVIEW | |||
* Clean sheet approach | |||
- Use correct process tied to governing regulation and Technical Specifications (TS) | |||
* If no process change, retained IMC 0326 concept/wording | |||
* Guiding Principles | |||
- Operability is a binary decision | |||
- Operability is licensed operator responsibility | |||
- OD is separate from CAP | |||
© NEI 2018. All rights reserved. 5 | |||
NEI 18-03 OVERVIEW | |||
* Regulatory Basis | |||
- Entry criteria | |||
- Definitions | |||
- Functionality | |||
- ASME Code compliance | |||
© NEI 2018. All rights reserved. 6 | |||
NEI 18-03 HIGHLIGHTS | |||
* Foundation is TS definition of operability | |||
* Items will continue to be reviewed and assessed | |||
- Questions are addressed via correct process | |||
* Emphasis of revised process is on entry | |||
- Confirmed impact on operability | |||
* Degraded or Nonconforming condition concepts eliminated | |||
* Immediate and Prompt OD - no change to existing process | |||
* Defined specified safety function | |||
* Consistent with IMC 0326, do not attempt to specify detailed actions when performing operability | |||
- Engineering judgment acceptable | |||
© NEI 2018. All rights reserved. 7 | |||
COMPARISON TO IMC 0326 | |||
* Handouts provided in advance of meeting: | |||
- Draft NEI 18-03 | |||
- Crosswalk/comparison between NEI 18-03 and IMC 0326 | |||
© NEI 2018. All rights reserved. 8 | |||
SIX AREAS WHERE PREDICTABILITY AND EFFICIENCY CAN BE GAINED | |||
==Reference:== | |||
Letter from C. Earls to M. Gavrilas, Ensuring the Predictability and Efficiency of the Operability Determination Processes. May 22, 2018 | |||
© NEI 2018. All rights reserved. 9 | |||
PREDICTABILITY AND EFFICIENCY | |||
* Operability is the responsibility of the licensee | |||
- Consistent with concepts in IMC 0326 | |||
- Senior Reactor Operators are licensed by NRC and are responsible for compliance with the Technical Specifications | |||
© NEI 2018. All rights reserved. 10 | |||
PREDICTABILITY AND EFFICIENCY | |||
* Operability process is separate from CAP | |||
- NEI 18-03 focus is on the definition of operability in the TS | |||
* Operability decision is binary | |||
- CAP focuses station resources on restoration of the deficient condition | |||
© NEI 2018. All rights reserved. 11 | |||
PREDICTABILITY AND EFFICIENCY | |||
* Eliminating aspects not specifically tied to operability | |||
- Degraded and non-conforming condition classifications and functionality eliminated | |||
* No regulatory basis | |||
* Related to corrective action, not operability | |||
* Distraction to the binary determination of operability | |||
* Defining common terms | |||
- Specified Safety Function defined | |||
* Detailed derivation in Appendix B of NEI 18-03 | |||
© NEI 2018. All rights reserved. 12 | |||
SPECIFIED SAFETY FUNCTIONS 10 CFR 50.36(c)(2)(ii) requires an LCO be established on an SSC if it meets one of the criteria. | |||
CRITERIA = LCO A TS LCO requires an SSC to be operable, equating LCO compliance with SSC operability. | |||
LCO = OPERABILITY The TS definition of operability states that an operable SSC must be capable of performing its specified safety functions, equating operability with specified safety functions. | |||
OPERABILITY = SSF Therefore, the regulations and the TS establish a link between the criteria in 10 CFR 50.36(c)(2)(ii) and the specified safety functions of an SSC. | |||
CRITERIA = LCO = OPERABILITY = SPECIFIED SAFETY FUNCTIONS | |||
© NEI 2018. All rights reserved. 13 | |||
PREDICTABILITY AND EFFICIENCY | |||
* Establishing entry criteria | |||
: 1. The deficient condition must affect a TS SSC installed in an operating unit. | |||
: 2. The deficient condition must have a functional impact on the SSC. This includes the ability to perform required functions under postulated, off-normal design conditions. | |||
: 3. The functional impact of the deficient condition must be substantive (i.e., non-trivial). | |||
* All three conditions must be met for immediate OD to be required | |||
- SRO retains discretion to enter OD process at any time | |||
© NEI 2018. All rights reserved. 14 | |||
PREDICTABILITY AND EFFICIENCY | |||
* Ensuring operability is separate from ASME Code compliance | |||
- References to Code compliance in IMC 0326 not generally included in NEI 18-03 | |||
- Determination of operability is separate from Code compliance | |||
- Any technically acceptable method can be used to determine if a specified safety function can be met (alternate methods) | |||
- Licensed operator decision -NRC approval not required if technically defensible method used to determine operability | |||
- Restoration of Code compliance is governed by CAP and 10 CFR 50.55a | |||
© NEI 2018. All rights reserved. 15 | |||
PROPOSED ENGAGEMENT STRATEGY AND SCHEDULE | |||
© NEI 2018. All rights reserved. 16 | |||
STRATEGY | |||
* Apply lessons learned from successful and expedient engineering inspection streamlining effort | |||
- NRC team composed of senior executive sponsor and headquarters and regional branch chiefs | |||
- Industry team composed of regulatory and operations leaders empowered to make timely decisions | |||
- Meeting locations include Rockville and regional offices to encourage inspector participation and awareness | |||
- Meetings address distinct, specific technical issues | |||
- Industry and NRC alternate who is in listening mode | |||
* Scaled to align with impact of proposed change to operability | |||
© NEI 2018. All rights reserved. 17 | |||
SCHEDULE (2018) | |||
June Public meeting - Overview of NEI 18-03 July No meeting - NRC reads NEI 18-03 and aligns internally on understanding and concerns August Public meeting - NEI introduction of entry criteria September Public meeting - NRC feedback on entry criteria October Public meeting - NEI introduction of OD/CAP interface, definitions, and items eliminated from OD November No meeting December Public meeting - NRC feedback on OD/CAP interface, definitions, and items eliminated from OD | |||
© NEI 2018. All rights reserved. 18 | |||
SCHEDULE (2019) | |||
January Public meeting - NEI introduction of Code compliance changes February Public meeting - NRC feedback on Code compliance changes March No meeting - Ongoing work featured in panel discussion at Regulatory Information Conference April Public meeting - Finalize discussions, determine path forward (i.e. revision to NEI 18-03 and IMC 0326) | |||
May No meeting - NEI incorporates feedback and transmits final NEI 18-03, NRC begins work on IMC 0326 revision June Final public meeting on OD | |||
© NEI 2018. All rights reserved. 19 | |||
==SUMMARY== | |||
* Licensee continues to own operability | |||
- Industry developed its own guidance to do so | |||
* Limited changes to existing process | |||
* No change to continuously assessing operability | |||
* Adding predictable entry criteria | |||
* Aligning to other plant processes to improve efficiency | |||
© NEI 2018. All rights reserved. 20 | |||
QUESTIONS / DISCUSSION | |||
© NEI 2018. All rights reserved. 21}} |
Latest revision as of 22:39, 20 October 2019
ML18178A587 | |
Person / Time | |
---|---|
Issue date: | 06/28/2018 |
From: | Joseph Holonich NRC/NRR/DLP/PLPB |
To: | |
Holonich J, NRR/DLP, 415-7297 | |
References | |
Download: ML18178A587 (21) | |
Text
OPERABILITY PROCESS ENHANCEMENT &
NEI 18-03 NRC PUBLIC MEETING JUNE 28, 2018
© NEI
© 2018.
2018All rights NEI. Allreserved.
rights reserved.
PURPOSE
- Engage with NRC to enhance the predictability and efficiency of the Operability Determination process.
- Inform the NRC on the process contained in NEI 18-03, Operability Determination
- Identify areas within Inspection Manual Chapter (IMC) 0326 for revision
© NEI 2018. All rights reserved. 2
AGENDA
- Background
- Overview of the NEI 18-03 process
- Detailed discussion of six areas to gain predictability and efficiency
- Emphasizing that operability is the responsibility of the licensee
- Separating operability determinations from the Corrective Action Program (CAP)
- Defining common terms
- Establishing entry criteria
- Eliminating aspects not specifically tied to operability
- Ensuring operability is separate from ASME Code compliance
- Proposed engagement strategy and schedule
© NEI 2018. All rights reserved. 3
BACKGROUND
- At 2015 RUG III meeting, NRC questioned why industry relies on IMC 0326 for guidance (unique practice)
- Engagement with NRC during process development
- Control room burden of applying current OD process frequently not commensurate with safety significance
- Recent, high-visibility plant issues illustrated challenges to predictability and efficiency of OD process
© NEI 2018. All rights reserved. 4
NEI 18-03 OVERVIEW
- Clean sheet approach
- Use correct process tied to governing regulation and Technical Specifications (TS)
- If no process change, retained IMC 0326 concept/wording
- Guiding Principles
- Operability is a binary decision
- Operability is licensed operator responsibility
© NEI 2018. All rights reserved. 5
NEI 18-03 OVERVIEW
- Regulatory Basis
- Entry criteria
- Definitions
- Functionality
- ASME Code compliance
© NEI 2018. All rights reserved. 6
NEI 18-03 HIGHLIGHTS
- Foundation is TS definition of operability
- Items will continue to be reviewed and assessed
- Questions are addressed via correct process
- Emphasis of revised process is on entry
- Confirmed impact on operability
- Degraded or Nonconforming condition concepts eliminated
- Immediate and Prompt OD - no change to existing process
- Defined specified safety function
- Consistent with IMC 0326, do not attempt to specify detailed actions when performing operability
- Engineering judgment acceptable
© NEI 2018. All rights reserved. 7
COMPARISON TO IMC 0326
- Handouts provided in advance of meeting:
- Draft NEI 18-03
- Crosswalk/comparison between NEI 18-03 and IMC 0326
© NEI 2018. All rights reserved. 8
SIX AREAS WHERE PREDICTABILITY AND EFFICIENCY CAN BE GAINED
Reference:
Letter from C. Earls to M. Gavrilas, Ensuring the Predictability and Efficiency of the Operability Determination Processes. May 22, 2018
© NEI 2018. All rights reserved. 9
PREDICTABILITY AND EFFICIENCY
- Operability is the responsibility of the licensee
- Consistent with concepts in IMC 0326
- Senior Reactor Operators are licensed by NRC and are responsible for compliance with the Technical Specifications
© NEI 2018. All rights reserved. 10
PREDICTABILITY AND EFFICIENCY
- Operability process is separate from CAP
- NEI 18-03 focus is on the definition of operability in the TS
- Operability decision is binary
- CAP focuses station resources on restoration of the deficient condition
© NEI 2018. All rights reserved. 11
PREDICTABILITY AND EFFICIENCY
- Eliminating aspects not specifically tied to operability
- Degraded and non-conforming condition classifications and functionality eliminated
- No regulatory basis
- Related to corrective action, not operability
- Distraction to the binary determination of operability
- Defining common terms
- Specified Safety Function defined
- Detailed derivation in Appendix B of NEI 18-03
© NEI 2018. All rights reserved. 12
SPECIFIED SAFETY FUNCTIONS 10 CFR 50.36(c)(2)(ii) requires an LCO be established on an SSC if it meets one of the criteria.
CRITERIA = LCO A TS LCO requires an SSC to be operable, equating LCO compliance with SSC operability.
LCO = OPERABILITY The TS definition of operability states that an operable SSC must be capable of performing its specified safety functions, equating operability with specified safety functions.
OPERABILITY = SSF Therefore, the regulations and the TS establish a link between the criteria in 10 CFR 50.36(c)(2)(ii) and the specified safety functions of an SSC.
CRITERIA = LCO = OPERABILITY = SPECIFIED SAFETY FUNCTIONS
© NEI 2018. All rights reserved. 13
PREDICTABILITY AND EFFICIENCY
- Establishing entry criteria
- 1. The deficient condition must affect a TS SSC installed in an operating unit.
- 2. The deficient condition must have a functional impact on the SSC. This includes the ability to perform required functions under postulated, off-normal design conditions.
- 3. The functional impact of the deficient condition must be substantive (i.e., non-trivial).
- All three conditions must be met for immediate OD to be required
- SRO retains discretion to enter OD process at any time
© NEI 2018. All rights reserved. 14
PREDICTABILITY AND EFFICIENCY
- Ensuring operability is separate from ASME Code compliance
- References to Code compliance in IMC 0326 not generally included in NEI 18-03
- Determination of operability is separate from Code compliance
- Any technically acceptable method can be used to determine if a specified safety function can be met (alternate methods)
- Licensed operator decision -NRC approval not required if technically defensible method used to determine operability
- Restoration of Code compliance is governed by CAP and 10 CFR 50.55a
© NEI 2018. All rights reserved. 15
PROPOSED ENGAGEMENT STRATEGY AND SCHEDULE
© NEI 2018. All rights reserved. 16
STRATEGY
- Apply lessons learned from successful and expedient engineering inspection streamlining effort
- NRC team composed of senior executive sponsor and headquarters and regional branch chiefs
- Industry team composed of regulatory and operations leaders empowered to make timely decisions
- Meeting locations include Rockville and regional offices to encourage inspector participation and awareness
- Meetings address distinct, specific technical issues
- Industry and NRC alternate who is in listening mode
- Scaled to align with impact of proposed change to operability
© NEI 2018. All rights reserved. 17
SCHEDULE (2018)
June Public meeting - Overview of NEI 18-03 July No meeting - NRC reads NEI 18-03 and aligns internally on understanding and concerns August Public meeting - NEI introduction of entry criteria September Public meeting - NRC feedback on entry criteria October Public meeting - NEI introduction of OD/CAP interface, definitions, and items eliminated from OD November No meeting December Public meeting - NRC feedback on OD/CAP interface, definitions, and items eliminated from OD
© NEI 2018. All rights reserved. 18
SCHEDULE (2019)
January Public meeting - NEI introduction of Code compliance changes February Public meeting - NRC feedback on Code compliance changes March No meeting - Ongoing work featured in panel discussion at Regulatory Information Conference April Public meeting - Finalize discussions, determine path forward (i.e. revision to NEI 18-03 and IMC 0326)
May No meeting - NEI incorporates feedback and transmits final NEI 18-03, NRC begins work on IMC 0326 revision June Final public meeting on OD
© NEI 2018. All rights reserved. 19
SUMMARY
- Licensee continues to own operability
- Industry developed its own guidance to do so
- Limited changes to existing process
- No change to continuously assessing operability
- Adding predictable entry criteria
- Aligning to other plant processes to improve efficiency
© NEI 2018. All rights reserved. 20
QUESTIONS / DISCUSSION
© NEI 2018. All rights reserved. 21