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{{#Wiki_filter:Entergy Nuclear Operations, Inc. 1340 Echelon Parkway Jackson, MS 39213 Tel 601-368-5573 Mandy K. Halter Director, Nuclear Licensing LETTER NUMBER: 2.18.066 November 30, 2018 U. S. Nuclear Regulatory Commission ATTN: Document Control Desk Washington, DC 20555-0001 | {{#Wiki_filter:Entergy Nuclear Operations, Inc. | ||
1340 Echelon Parkway Jackson, MS 39213 Tel 601-368-5573 Mandy K. Halter Director, Nuclear Licensing LETTER NUMBER: 2.18.066 November 30, 2018 U. S. Nuclear Regulatory Commission ATTN: Document Control Desk Washington, DC 20555-0001 | |||
==SUBJECT:== | ==SUBJECT:== | ||
Response to Request for Additional Information | Response to Request for Additional Information - Exemption from the Requirements of 10 CFR 50.47 and Appendix E to 10 CFR Part 50, Entergy Nuclear Operations, Inc. Pilgrim Nuclear Power Station Pilgrim Nuclear Power Station Docket 50-293 Renewed License No. DPR-35 | ||
-Exemption from the Requirements of 10 CFR 50.47 and Appendix E to 10 CFR Part 50, Entergy Nuclear Operations, Inc. Pilgrim Nuclear Power Station Pilgrim Nuclear Power Station Docket 50-293 Renewed License No. DPR-35 | |||
==REFERENCES:== | ==REFERENCES:== | ||
: 1. Entergy Nuclear Operations, Inc. letter to NRC, "Request for Exemptions from Portions of 10 CFR 50.47 and 10 CFR Part 50 Appendix E," dated July 3, 2018 (ADAMS Accession No. | : 1. Entergy Nuclear Operations, Inc. letter to NRC, "Request for Exemptions from Portions of 10 CFR 50.47 and 10 CFR Part 50 Appendix E," dated July 3, 2018 (ADAMS Accession No. ML18186A635) | ||
: 2. NRC email to Entergy Nuclear Operations, Inc., ''RAls - Pilgrim EP Exemption," dated October 16, 2018 (ADAMS Accession No. ML18289A407) | |||
==Dear Sir or Madam:== | ==Dear Sir or Madam:== | ||
In Reference 1, Entergy Nuclear Operations, Inc. (ENO) submitted a request to the Nuclear Regulatory Commission (NRC) for exemption from portions of 10 CFR 50.47 and 10 CFR Part 50 Appendix E for Pilgrim Nuclear Power Station (PNPS). | |||
In Reference 1, Entergy Nuclear Operations, Inc. (ENO) submitted a request to the Nuclear Regulatory Commission (NRC) for exemption from portions of 10 CFR 50.47 and 10 CFR Part 50 Appendix E for Pilgrim Nuclear Power Station (PNPS). In Reference 2, the NRC requested additional information concerning the exemption request. | In Reference 2, the NRC requested additional information concerning the exemption request. to this letter provides the ENO response to the NRC request for additional information (RAI). Attachment 2 provides revised pages of the exemption request. These revised pages supersede the original pages in their entirety. | ||
This RAI response does not impact the conclusions of the no significant hazards evaluation or the environmental considerations evaluation presented in Reference | This RAI response does not impact the conclusions of the no significant hazards evaluation or the environmental considerations evaluation presented in Reference 1. | ||
A copy of this submittal has been provided to the designated Commonwealth of Massachusetts officials. | |||
If you have any questions or require additional information, please contact Mr. Peter J. Miner at (508) 830-7127. | If you have any questions or require additional information, please contact Mr. Peter J. Miner at (508) 830-7127. | ||
Entergy Nuclear Operations, Inc. | |||
l Entergy Nuclear Operations, Inc. Letter No. 2.18.066 Pilgrim Nuclear Power Station Page 2 of 3 This letter contains no new commitments and no revisions to existing commitments. | |||
Sincerely, Mandy K. Halter MKH/dd/mjp Attachments: | Sincerely, Mandy K. Halter MKH/dd/mjp Attachments: | ||
: 1. Response to Request for Additional Information | : 1. Response to Request for Additional Information - Request for Exemptions from Portions of 10 CFR 50.47 and 10 CFR Part 50, Appendix E for the Pilgrim Nuclear Power Station | ||
-Request for Exemptions from Portions of | : 2. Revised Pages of the PNPS Request for Exemptions from Portions of 10 CFR 50.47 and 10 CFR Part 50 Appendix E | ||
The review considered the storage of the spent nuclear fuel in the spent fuel pool (SFP) and the onsite independent spent fuel storage installation, and the low likelihood of any credible accident resulting in radiological releases requiring offsite protective measures. | |||
Based on the NRG staff's initial review of PNPS's EP exemption request, the following requests for additional information (RA ls) are required to facilitate completion of the staff's technical review. NRC RAI-PNPS-1 The exemption for item 1 in Table 1 (Attachment 1), page 6 of 72, states: 10 CFR 50.47(b) The onsite aRd, except as provided iR paragraph (d) of this sectioR, offsite emergency response plans for nuclear power reactors must meet the following standards: | Entergy Nuclear Operations, Inc. Letter No. 2.18.066 Pilgrim Nuclear Power Station Page 3 of 3 cc: | ||
In the basi,s for the exemption PNPS states, that: PNPS maintains procedures and strategies for the movement of any necessary portable equipment that will be relied upon for mitigating the loss of SFP water. These mitigative strategies, addressing events involving a loss of SFP cooling and/or water inventory, include implementation of SFP inventory makeup strategies required under 10 CFR 50.54(hh)(2), which will continue to be maintained to satisfy applicable License Conditions of the Renewed Facility Operating License. These diverse strategies provide defense-in-depth and ample time to provide makeup water or spray to the SFP prior to the onset of zirconium Page 1 of 5 LETTER NO. 2.18.066 ATTACHMENT 1 cladding ignition when considering ve,y low probability beyond design basis events affecting the SFP. The on-shift individuals described in the Permanently Oefueled Emergency Plan will be able to implement the necessa,y tasks within the required timeframe. | Mr. David C. Lew Acting Regional Administrator, Region I U.S. Nuclear Regulatory Commission 2100 Renaissance Blvd, Suite 100 King of Prussia, PA 19406-2713 Mr. John Lamb, Senior Project Manager Office of Nuclear Reactor Regulation U. S. Nuclear Regulatory Commission Mail Stop 0-9012 Washington, DC 20555-0001 Mr. John Giarrusso, Jr. | ||
Staff Decommissioning Assumptions (SDA) 1 in Table 5, "PNPS Compliance with NSIR!OPR-ISG-02 Staff Decommissioning Assumptions (SOAs)," (Attachment 1), page 61 of 72, states: Licensee's SFP cooling design will be at least as capable as that assumed in the risk assessment, including instrumentation. | Planning, Preparedness and Nuclear Section Chief Massachusetts Emergency Management Agency 400 Worcester Road Framingham, MA 01702 Mr. John Priest, Director Massachusetts Department of Public Health Radiation Control Program Commonwealth of Massachusetts 529 Main Street, Suite 1 M2A Charlestown, MA 02129-1121 NRG Senior Resident Inspector Pilgrim Nuclear Power Station | ||
Licensees will have at least one motor-driven and one diesel-driven fire pump capable of delivering invento,y to the SFP. Also, in the response to SDA 1 PNPS states, in part, that: The SFP has redundant cooling pumps, redundant heat exchangers, and multiple make-up sources, in addition to the normal condensate transfer system. The additional sources include tie-ins to the Firewater system, with Jockey pump P-146, Electric pump P-135, and diesel driven pump P-140. The make-up source for the firewater is a Municipal water system. Please provide additional details regarding the diverse mitigation strategies, to include the identification of the trained on-shift personnel designated for carrying out the necessary tasks and the timeframe for implementation of these diverse mitigation strategies. | |||
LETTER NO. 2.18.066 ATTACHMENT 1 Response to Request for Additional Information Request for Exemptions from Portions of 10 CFR 50.47 and 10 CFR Part 50, Appendix E for the Pilgrim Nuclear Power Station 5 pages follow | |||
LETTER NO. 2.18.066 ATTACHMENT 1 A Nuclear Regulatory Commission (NRC) request for additional information (RAI) regarding a request for exemptions from portions of 10 CFR 50.47 and 10 CFR Part 50, Appendix E for the Pilgrim Nuclear Power Station (PNPS) was received by Entergy Nuclear Operations, Inc. (ENO) via electronic mail (email) dated October 16, 2018. ENO responses to the RAI request are provided below. | |||
NRCREQUEST By letter dated July 3, 2018 (Agencywide Documents Access and Management System (ADAMS) Accession No. ML18186A635), Entergy Nuclear Operations, Inc. requested an exemption from specific emergency planning requirements of Title 10 of the Code of Federal Regulations (10 CFR) Part 50 for the Pilgrim Nuclear Power Station (PNPS), | |||
based on the proposed permanent cessation of power operations and removal of fuel from the reactor vessel, which is expected no later than June 1, 2019. The exemption request has been reviewed against the requirements in 10 CFR 50.47, "Emergency plans," and Appendix E to 10 CFR Part 50, "Emergency Planning and Preparedness for Production and Utilization Facilities," using the guidance provided in Interim Staff Guidance (ISG) NSIRIDPR-ISG-02, "Emergency Planning Exemption requests for Decommissioning Nuclear Power Plants" (ADAMS Accession No. ML14106A057). The review considered the storage of the spent nuclear fuel in the spent fuel pool (SFP) and the onsite independent spent fuel storage installation, and the low likelihood of any credible accident resulting in radiological releases requiring offsite protective measures. | |||
Based on the NRG staff's initial review of PNPS's EP exemption request, the following requests for additional information (RA ls) are required to facilitate completion of the staff's technical review. | |||
NRC RAI-PNPS-1 The exemption for item 1 in Table 1 (Attachment 1), page 6 of 72, states: | |||
10 CFR 50.47(b) The onsite aRd, except as provided iR paragraph (d) of this sectioR, offsite emergency response plans for nuclear power reactors must meet the following standards: | |||
In the basi,s for the exemption PNPS states, that: | |||
PNPS maintains procedures and strategies for the movement of any necessary portable equipment that will be relied upon for mitigating the loss of SFP water. These mitigative strategies, addressing events involving a loss of SFP cooling and/or water inventory, include implementation of SFP inventory makeup strategies required under 10 CFR 50.54(hh)(2), which will continue to be maintained to satisfy applicable License Conditions of the Renewed Facility Operating License. | |||
These diverse strategies provide defense-in-depth and ample time to provide makeup water or spray to the SFP prior to the onset of zirconium Page 1 of 5 | |||
LETTER NO. 2.18.066 ATTACHMENT 1 cladding ignition when considering ve,y low probability beyond design basis events affecting the SFP. The on-shift individuals described in the Permanently Oefueled Emergency Plan will be able to implement the necessa,y tasks within the required timeframe. | |||
Staff Decommissioning Assumptions (SDA) 1 in Table 5, "PNPS Compliance with NSIR!OPR-ISG-02 Staff Decommissioning Assumptions (SOAs)," (Attachment 1), page 61 of 72, states: | |||
Licensee's SFP cooling design will be at least as capable as that assumed in the risk assessment, including instrumentation. Licensees will have at least one motor-driven and one diesel-driven fire pump capable of delivering invento,y to the SFP. | |||
Also, in the response to SDA 1 PNPS states, in part, that: | |||
The SFP has redundant cooling pumps, redundant heat exchangers, and multiple make-up sources, in addition to the normal condensate transfer system. The additional sources include tie-ins to the Firewater system, with Jockey pump P-146, Electric pump P-135, and diesel driven pump P-140. The make-up source for the firewater is a Municipal water system. | |||
Please provide additional details regarding the diverse mitigation strategies, to include the identification of the trained on-shift personnel designated for carrying out the necessary tasks and the timeframe for implementation of these diverse mitigation strategies. | |||
ENO Response to RAI-PNPS-1 As indicated on Table 2.1, On-Shift and Emergency Response Organization Staffing Requirements, of the Pilgrim Nuclear Power Station Permanently Defueled Emergency Plan (PDEP) provided to the NRC in Reference 1, the Control Room Supervisor, Non-Certified Operator and Radiation Protection Technician are required to direct or perform site-specific mitigation strategies required for a catastrophic loss of SFP inventory. | ENO Response to RAI-PNPS-1 As indicated on Table 2.1, On-Shift and Emergency Response Organization Staffing Requirements, of the Pilgrim Nuclear Power Station Permanently Defueled Emergency Plan (PDEP) provided to the NRC in Reference 1, the Control Room Supervisor, Non-Certified Operator and Radiation Protection Technician are required to direct or perform site-specific mitigation strategies required for a catastrophic loss of SFP inventory. | ||
As indicated in the Response to IDC-4, provided in Table 4 of the Exemption Request (Reference 2), following permanent shut down and permanent removal of fuel from the reactor vessel, the on-shift plant operators, including Certified Fuel Handlers (CFH) and Non-Certified Operators, will be appropriately trained on the relevant procedures and on the various actions needed to provide makeup to the SFP to ensure appropriate personnel receive initial and continuing training on 8.5.b event-related procedures and strategies credited in applicable License Conditions required by | As indicated in the Response to IDC-4, provided in Table 4 of the Exemption Request (Reference 2), following permanent shut down and permanent removal of fuel from the reactor vessel, the on-shift plant operators, including Certified Fuel Handlers (CFH) and Non-Certified Operators, will be appropriately trained on the relevant procedures and on the various actions needed to provide makeup to the SFP to ensure appropriate personnel receive initial and continuing training on 8.5.b event-related procedures and strategies credited in applicable License Conditions required by 10 CFR 50.54(hh)(2). | ||
On May 22, 2018, Pilgrim performed a validation exercise demonstrating that the 8.5.b SFP Spray Strategy could be performed with designated personnel. | On May 22, 2018, Pilgrim performed a validation exercise demonstrating that the 8.5.b SFP Spray Strategy could be performed with designated personnel. The timeframe was determined to be 95 minutes. The PDEP staffing table identifies the individuals in the on-shift crew responsible for implementing the mitigation activities. | ||
The timeframe was determined to be 95 minutes. The PDEP staffing table identifies the individuals in the on-shift crew responsible for implementing the mitigation activities. | Page 2 of 5 | ||
Page 2 of 5 LETTER NO. 2.18.066 ATTACHMENT 1 NRC RAI-PNPS-2 The exemption for item 11 in Table 1, "Exemptions Requested from 10 CFR 50.47(b) and 50.47(c)(2)," (Attachment 1 ), page 9 of 72, states: 10 CFR 50.47(b)(10): | |||
A range of protective actions has been developed for the plume exposuro pathv.ray EPZ for emergency workers and the public. IR elev-eloping this range of actions, consideration has been gi*/en to evacuation, sheltering, and, as a supplement to these, the prophylactic use of potassium iodide (Kl}, as appropriate. | LETTER NO. 2.18.066 ATTACHMENT 1 NRC RAI-PNPS-2 The exemption for item 11 in Table 1, "Exemptions Requested from 10 CFR 50.47(b) and 50.47(c)(2)," (Attachment 1), page 9 of 72, states: | ||
Evacuation time estimates have been developed by applicants and licensees. | 10 CFR 50.47(b)(10): A range of protective actions has been developed for the plume exposuro pathv.ray EPZ for emergency workers and the public. IR elev-eloping this range of actions, consideration has been gi*/en to evacuation, sheltering, and, as a supplement to these, the prophylactic use of potassium iodide (Kl}, as appropriate. Evacuation time estimates have been developed by applicants and licensees. Licensees shall update the e*.tacuation time estimates on a periodic basis. Guidelines for the choice of protecti'/e actions during an emergency, consistent with Fede!'al guidance, are developed and in place, and protectiv-e actions for the ingestion exposure pathway EPZ appropriate to the locale ha*,.te been developed. | ||
Licensees shall update the e*.tacuation time estimates on a periodic basis. Guidelines for the choice of protecti'/e actions during an emergency, consistent with Fede!'al guidance, are developed and in place, and protectiv-e actions for the ingestion exposure pathway EPZ appropriate to the locale ha*,.te been developed. | However, the guidance in Table 1, "Exemptions for Consideration," in NSIRIDPR-ISG-02 states: | ||
However, the guidance in Table 1, "Exemptions for Consideration," in NSIRIDPR-ISG-02 states: 10 CFR 50.47(b)(10): | 10 CFR 50.47(b)(10): A range of protective actions has been developed for the plume exposure pathway EPZ for emergency workers and the public. IR developing this range of actions, consideration has been gi*/en to evacuation, shelte!'!ng, and, as a supplement to these, the prophylactic use of potassium iodide (Kl}, as appropriate. Evacuation time estimates have been developed by applicants and licensees. Licensees shall update the evacuation time estimates on a periodic basis. Guidelines for the choice of protective actions during an emergency, consistent with Federal guidance, are developed and in place, and protectiv-e actions for the ingestion exposuro pathway EPZ appropriate to the locale have been developed. | ||
A range of protective actions has been developed for the plume exposure pathway EPZ for emergency workers and the public. IR developing this range of actions, consideration has been gi*/en to evacuation, shelte!'!ng, and, as a supplement to these, the prophylactic use of potassium iodide (Kl}, as appropriate. | |||
Evacuation time estimates have been developed by applicants and licensees. | |||
Licensees shall update the evacuation time estimates on a periodic basis. Guidelines for the choice of protective actions during an emergency, consistent with Federal guidance, are developed and in place, and protectiv-e actions for the ingestion exposuro pathway EPZ appropriate to the locale have been developed. | |||
Please provide justification for the exemption of the "and the public" as this is not consistent with the guidance and past precedent. | Please provide justification for the exemption of the "and the public" as this is not consistent with the guidance and past precedent. | ||
ENO Response to RAI-PNPS-2 The phrase "and the public" was unintentionally included in the proposed exemption language. | ENO Response to RAI-PNPS-2 The phrase "and the public" was unintentionally included in the proposed exemption language. | ||
The Request for Exemptions from Portions of 10 CFR 50.47 and 10 CFR Part 50 Appendix E will be revised such that "and the public" is not included as part of the exemption request. This revision is included in Attachment 2 of this response. | The Request for Exemptions from Portions of 10 CFR 50.47 and 10 CFR Part 50 Appendix E will be revised such that "and the public" is not included as part of the exemption request. This revision is included in Attachment 2 of this response. | ||
Page 3 of 5 LETTER NO. 2.18.066 ATTACHMENT 1 NRC RAI-PNPS-3 The exemption for item 40 in Table 2, "Exemptions Requested from 10 CFR 50, Appendix E," (Attachment 1 ), page 24 of 72, states: C.2 By J1,me 20, 2012, nuclear power reactor licensees shall establish and maintain the capability to assess, classify, and declare an emergency condition within 15 mtm,tes after the availability of indications to plant operators that an emergency action level has been exceeded and shall promptly declare the emergency condition as soon as possible following identification of the appropriate emergency classification level. Also, the exemption for item 43 in Table 2 (Attachment 1), pages 26-27 of 72, states, in part: D. 3. A licensee shall have the capability to notify responsible State and local governmental agencies V'lithtn 15 minutes after declaring an emergency. | Page 3 of 5 | ||
In the basis for the exemption for both item 40 and item 43, PNPS states, in part, that: During these meetings have included discussions of the regulatory exemption requests. | |||
PNPS will continue to meet with representatives from the Commonwealth of Massachusetts, local emergency preparedness personnel, and Regional leadership from FEMA. These discussions have addressed changes to onsite and offsite emergency preparedness throughout the decommissioning process, including the proposed 30-minute declaration time and the 60-minute notification time. Emergency management officials have not objected to the proposed changes. Please provide documentation that the Commonwealth of Massachusetts and the Town of Plymouth is in agreement with the proposed 30-minute declaration time and the 60-minute timeframe for notification. | LETTER NO. 2.18.066 ATTACHMENT 1 NRC RAI-PNPS-3 The exemption for item 40 in Table 2, "Exemptions Requested from 10 CFR 50, Appendix E," (Attachment 1), page 24 of 72, states: | ||
ENO Response to RAI-PNPS-3 We have engaged representatives of the Town of Plymouth and the Commonwealth of Massachusetts to obtain written documentation of concurrence with the proposed 30-minute declaration time and the 60-minute timeframe for notification. | C.2 By J1,me 20, 2012, nuclear power reactor licensees shall establish and maintain the capability to assess, classify, and declare an emergency condition within 15 mtm,tes after the availability of indications to plant operators that an emergency action level has been exceeded and shall promptly declare the emergency condition as soon as possible following identification of the appropriate emergency classification level. | ||
Although we have had further discussions subsequent to receipt of the request for information, we have not yet secured written documentation. | Also, the exemption for item 43 in Table 2 (Attachment 1), pages 26- 27 of 72, states, in part: | ||
We anticipate providing concurrence from the Town of Plymouth and the Commonwealth of Massachusetts by February 15, 2019. Page 4 of 5 LETTER NO. 2.18.066 ATTACHMENT 1 NRC RAI-PNPS-4 The exemption for item 104 in Table 2 (Attachment 1), page 45 of 72, states: Footnotes 3, 4, 5, and 6 are proposed for exemption. | D. 3. A licensee shall have the capability to notify responsible State and local governmental agencies V'lithtn 15 minutes after declaring an emergency. | ||
The basis for the exemption, states: ENO considers PNPS to be exempt from Footnotes 3, 4, 5, and 6 because PNPS will be exempt from the umbrella provisions of Section F.2. Please provide further justification for Footnote 3 as it is not exempt from the umbrella provisions of Section F. 2. ENO Response to RAI-PNPS-4 Footnote 3 will be removed from the exemption request. The Request for Exemptions from Portions of 10 CFR 50.47 and 10 CFR Part 50 Appendix E will be revised such that Footnote 3 is not included as part of the exemption request. This revision is included in Attachment 2 of this response. | In the basis for the exemption for both item 40 and item 43, PNPS states, in part, that: | ||
During these meetings have included discussions of the regulatory exemption requests. PNPS will continue to meet with representatives from the Commonwealth of Massachusetts, local emergency preparedness personnel, and Regional leadership from FEMA. These discussions have addressed changes to onsite and offsite emergency preparedness throughout the decommissioning process, including the proposed 30-minute declaration time and the 60-minute notification time. | |||
Emergency management officials have not objected to the proposed changes. | |||
Please provide documentation that the Commonwealth of Massachusetts and the Town of Plymouth is in agreement with the proposed 30-minute declaration time and the 60-minute timeframe for notification. | |||
ENO Response to RAI-PNPS-3 We have engaged representatives of the Town of Plymouth and the Commonwealth of Massachusetts to obtain written documentation of concurrence with the proposed 30-minute declaration time and the 60-minute timeframe for notification. Although we have had further discussions subsequent to receipt of the request for information, we have not yet secured written documentation. We anticipate providing concurrence from the Town of Plymouth and the Commonwealth of Massachusetts by February 15, 2019. | |||
Page 4 of 5 | |||
LETTER NO. 2.18.066 ATTACHMENT 1 NRC RAI-PNPS-4 The exemption for item 104 in Table 2 (Attachment 1), page 45 of 72, states: | |||
Footnotes 3, 4, 5, and 6 are proposed for exemption. | |||
The basis for the exemption, states: | |||
ENO considers PNPS to be exempt from Footnotes 3, 4, 5, and 6 because PNPS will be exempt from the umbrella provisions of Section F.2. | |||
Please provide further justification for Footnote 3 as it is not exempt from the umbrella provisions of Section F. 2. | |||
ENO Response to RAI-PNPS-4 Footnote 3 will be removed from the exemption request. The Request for Exemptions from Portions of 10 CFR 50.47 and 10 CFR Part 50 Appendix E will be revised such that Footnote 3 is not included as part of the exemption request. This revision is included in Attachment 2 of this response. | |||
References | References | ||
: 1. Entergy Nuclear Operations, Inc. letter to NRC, "License Amendment Request to Revise the Pilgrim Nuclear Power Station Emergency Plan and Emergency Action Level Scheme to Address the Permanently Defueled Condition," dated August 1, 2018 (ADAMS Accession No. ML 18218184) | : 1. Entergy Nuclear Operations, Inc. letter to NRC, "License Amendment Request to Revise the Pilgrim Nuclear Power Station Emergency Plan and Emergency Action Level Scheme to Address the Permanently Defueled Condition," dated August 1, 2018 (ADAMS Accession No. ML 18218184) | ||
: 2. Entergy Nuclear Operations, Inc. letter to NRC, "Request for Exemptions from Portions of 10 CFR 50.47 and 10 CFR Part 50 Appendix E," dated July 3, 2018 (ADAMS Accession No. | : 2. Entergy Nuclear Operations, Inc. letter to NRC, "Request for Exemptions from Portions of 10 CFR 50.47 and 10 CFR Part 50 Appendix E," dated July 3, 2018 (ADAMS Accession No. ML18186A635) | ||
Page 5 of 5 LETTER NO. 2.18.066 ATTACHMENT 2 Revised Pages of the PNPS Request for Exemptions from Portions of 10 CFR 50.47 and 10 CFR Part 50 Appendix E (Attachment 1 of the Exemption Request) 3 pages follow CNR0-2018-00031 ATTACHMENT 1 Table 1 Exemptions Requested from 10 CFR 50.47(b) and 50.47(c)(2) | Page 5 of 5 | ||
Item# Regulation in 10 CFR 50.47 Basis for Exemption Also see the basis for 10 CFR 50.47 (b). 7 10 CFR 50. | |||
IAfeFrnatieA is rnase availasle to tRe See the basis for 10 CFR 50.47(b). 13uslis oA a 13eFiosis sasis eA Row tRey will se Ratifies aAEl wRat | LETTER NO. 2.18.066 ATTACHMENT 2 Revised Pages of the PNPS Request for Exemptions from Portions of 10 CFR 50.47 and 10 CFR Part 50 Appendix E (Attachment 1 of the Exemption Request) 3 pages follow | ||
te a losal smassast statieA aAEl mrnaiA | |||
tRe J:)Rysical losatioA OF lesatieAs) are estab | CNR0-2018-00031 ATTACHMENT 1 Table 1 Exemptions Requested from 10 CFR 50.47(b) and 50.47(c)(2) | ||
9 10 CFR 50.47(b)(8) | Item# Regulation in 10 CFR 50.47 Basis for Exemption Also see the basis for 10 CFR 50.47(b). | ||
: Adequate emergency facilities and No exemption | 7 10 CFR 50.47(b)(6): Provisions exist for prompt See the basis for 10 CFR 50.47(b) . | ||
tRis not present , so potassium iodide (Kl) distribution offsite would no FaA§!e of astieAs , GoAsiseFatieA Ras seeA §!iveA to ei.,asuatieA , longer serve as an effective or necessary supplemental protective sRelteFiA§!, aAEl , as a su1313lerneAt to tRese , tRe J:lFOJ:) | communications among principal response organ izations to emergency personnel aAEl te tRe 13usliG. | ||
8 10 CFR 50.47(b)(7): IAfeFrnatieA is rnase availasle to tRe See the basis for 10 CFR 50.47(b) . | |||
13uslis oA a 13eFiosis sasis eA Row tRey will se Ratifies aAEl wRat tReiF iAitial astieAs sReuls se iA aA erneF§leAGY (e.§1 ., listeAiA§! te a losal smassast statieA aAEl mrnaiA iA§! iAElems), [T)he principal points of contact with the news media for dissemination of information during an emergency (iAGlusiA§! tRe J:)Rysical losatioA OF lesatieAs) are estab lished in advance, and procedures for coordinated dissem ination of information to the public are established. | |||
The frequency of EROS testing | 9 10 CFR 50.47(b)(8) : Adequate emergency facilities and No exemption is requested . | ||
*,¥Ren uses in conjunction witl=l emer§ency 13repareaness exercises for a particular site means appro13riate Page 45 of 72}} | equipment to support the emergency response are provided and maintained . | ||
10 10 CFR 50.47 (b)(9) : Adequate methods, systems, and See the bas is for 10 CFR 50.47(b). | |||
equipment for assessing and monitoring actual or potentia l e#site consequences of a radiologica l emergency condition are in use. | |||
11 10 CFR 50.47(b)(10): A range of protective actions has been In the unlikely event of a SFP accident, the iodine isotopes which developed for tRe 13lurne ex:13osuFe 13atRway ePl feF emergency contribute to an offsite dose from an operating reactor accident are workers and the public aAEl tRe 13usliG. IA Elevelo13iA§! tRis not present, so potassium iodide (Kl) distribution offsite would no FaA§!e of astieAs, GoAsiseFatieA Ras seeA §!iveA to ei.,asuatieA , longer serve as an effective or necessary supplemental protective sRelteFiA§! , aAEl , as a su1313lerneAt to tRese , tRe J:lFOJ:)Rylastis use action . Protective actions will be maintained for emergency workers Page 9 of 72 | |||
CNR0-2018-00031 ATTACHMENT 1 Table 2 Exemptions Requested from 10 CFR 50, Appendix E Item# Regulation in Part 50 , Appendix E Basis for Exemption fuel at the facility in a manner that is protective of public health and safety. PNPS will maintain a level of emergency response that does not require add itional response by headquarters personnel. The on-shift and emergency response positions are defined in the Permanently Defueled Emergency Plan and will be regularly tested through drills and exercises, audited , and inspected by PNPS and the NRC. | |||
Also see the basis for 10 CFR 50.47(b). Therefore, exempting licensee's headquarters personnel from training requirements is considered to be reasonable . | |||
78 F.1 .ix. Security personne l. No exemption is requested . | |||
79 F.1. In addition , a radiological orientation train ing program shall Because there will no longer be any expected actions that must be be made available to local services personnel; e.g., local taken by the public during an emergency, it is no longer necessary to emergency services/Civil Defense, local law enforcement pre-plan the dissemination of this information to the public or to personnel , local news med ia persons. provide radiolog ical orientation tra ining to local news media persons . | |||
The phrase "Civil Defense" is no longer a commonly used term and is no longer applicable as an example in the regulation . | |||
80 F.2. The plan shall descri be provisions for the conduct of PNPS analyses demonstrate that 10 months after permanent emergency preparedness exercises as follows : cessation of power operations , no remaining postulated accidents at PNPS will result in radiological releases requiring offsite protective Exercises shall test the adequacy of timing and content of actions, or in the event of beyond design basis accidents, 10 hours is implementing procedures and methods , test emergency available to take mitigative actions, and if needed , implement offsite equipment and communications networks, test the public alert protective actions using a comprehensive emergency management and notification system, and ensure that emergency plan. Therefore, the public alert and notification system will not be organization personnel are familiar with their duties. 33 used and no testing would be required . | |||
Page 36 of 72 | |||
CNR0-2018-00031 ATTACHMENT 1 Table 2 Exemptions Requested from 10 CFR 50, Appendix E Item# Regulation in Part 50, Appendix E Basis for Exemption near real-time electronic data link between the licensee's onsite necessary to transmit safety system parameter data. No exemption is computer system and the NRC Operations Center that provides requested because this change in the EROS data requirement is for the automated transmission of a limited data set of selected identified in 10 CFR Part 50, Appendix E, Section Vl.2 . | |||
parameters. The EROS supplements the existing vo ice transmission over the Emergency Notification System (ENS) by providing the NRC Operations Center with timely and accurate updates of a limited set of parameters from the licensee's installed onsite computer system in the event of an emergency. | |||
When selected plant data are not available on the licensee's onsite computer system , retrofitting of data points is not required . The licensee shall test the EROS periodically to verify system availability and operability. The frequency of EROS testing will be quarterly unless otherwise set by NRC based on demonstrated system performance. | |||
: 2. Except for Big Rock Point and all nuclear power facilities that are shut down permanently or indefinitely, onsite hardware shall be provided at each unit by the licensee to interface with the NRC receiving system . Software, which will be made available by the NRC, will assemble the data to be transmitted and transmit data from each unit via an output port on the appropriate data system. | |||
104 10 CFR 50 Appendix E ENO considers PNPS to be exempt from Footnotes M , 5, and 6 because PNPS will be exempt from the umbrella provisions of Footnotes M , 5, and 6 are proposed for exemption . | |||
Section F.2. | |||
:i Use of site specific simulators or computers is acceptable for any exercise. | |||
4 i;:u1113articipation *,¥Ren uses in conjunction witl=l emer§ency 13repareaness exercises for a particular site means appro13riate Page 45 of 72}} |
Latest revision as of 14:50, 2 February 2020
ML18338A205 | |
Person / Time | |
---|---|
Site: | Pilgrim |
Issue date: | 11/30/2018 |
From: | Halter M Entergy Nuclear Operations |
To: | Document Control Desk, Office of Nuclear Reactor Regulation |
References | |
2.18.066 | |
Download: ML18338A205 (13) | |
Text
Entergy Nuclear Operations, Inc.
1340 Echelon Parkway Jackson, MS 39213 Tel 601-368-5573 Mandy K. Halter Director, Nuclear Licensing LETTER NUMBER: 2.18.066 November 30, 2018 U. S. Nuclear Regulatory Commission ATTN: Document Control Desk Washington, DC 20555-0001
SUBJECT:
Response to Request for Additional Information - Exemption from the Requirements of 10 CFR 50.47 and Appendix E to 10 CFR Part 50, Entergy Nuclear Operations, Inc. Pilgrim Nuclear Power Station Pilgrim Nuclear Power Station Docket 50-293 Renewed License No. DPR-35
REFERENCES:
- 1. Entergy Nuclear Operations, Inc. letter to NRC, "Request for Exemptions from Portions of 10 CFR 50.47 and 10 CFR Part 50 Appendix E," dated July 3, 2018 (ADAMS Accession No. ML18186A635)
- 2. NRC email to Entergy Nuclear Operations, Inc., RAls - Pilgrim EP Exemption," dated October 16, 2018 (ADAMS Accession No. ML18289A407)
Dear Sir or Madam:
In Reference 1, Entergy Nuclear Operations, Inc. (ENO) submitted a request to the Nuclear Regulatory Commission (NRC) for exemption from portions of 10 CFR 50.47 and 10 CFR Part 50 Appendix E for Pilgrim Nuclear Power Station (PNPS).
In Reference 2, the NRC requested additional information concerning the exemption request. to this letter provides the ENO response to the NRC request for additional information (RAI). Attachment 2 provides revised pages of the exemption request. These revised pages supersede the original pages in their entirety.
This RAI response does not impact the conclusions of the no significant hazards evaluation or the environmental considerations evaluation presented in Reference 1.
A copy of this submittal has been provided to the designated Commonwealth of Massachusetts officials.
If you have any questions or require additional information, please contact Mr. Peter J. Miner at (508) 830-7127.
l Entergy Nuclear Operations, Inc. Letter No. 2.18.066 Pilgrim Nuclear Power Station Page 2 of 3 This letter contains no new commitments and no revisions to existing commitments.
Sincerely, Mandy K. Halter MKH/dd/mjp Attachments:
- 1. Response to Request for Additional Information - Request for Exemptions from Portions of 10 CFR 50.47 and 10 CFR Part 50, Appendix E for the Pilgrim Nuclear Power Station
- 2. Revised Pages of the PNPS Request for Exemptions from Portions of 10 CFR 50.47 and 10 CFR Part 50 Appendix E
Entergy Nuclear Operations, Inc. Letter No. 2.18.066 Pilgrim Nuclear Power Station Page 3 of 3 cc:
Mr. David C. Lew Acting Regional Administrator, Region I U.S. Nuclear Regulatory Commission 2100 Renaissance Blvd, Suite 100 King of Prussia, PA 19406-2713 Mr. John Lamb, Senior Project Manager Office of Nuclear Reactor Regulation U. S. Nuclear Regulatory Commission Mail Stop 0-9012 Washington, DC 20555-0001 Mr. John Giarrusso, Jr.
Planning, Preparedness and Nuclear Section Chief Massachusetts Emergency Management Agency 400 Worcester Road Framingham, MA 01702 Mr. John Priest, Director Massachusetts Department of Public Health Radiation Control Program Commonwealth of Massachusetts 529 Main Street, Suite 1 M2A Charlestown, MA 02129-1121 NRG Senior Resident Inspector Pilgrim Nuclear Power Station
LETTER NO. 2.18.066 ATTACHMENT 1 Response to Request for Additional Information Request for Exemptions from Portions of 10 CFR 50.47 and 10 CFR Part 50, Appendix E for the Pilgrim Nuclear Power Station 5 pages follow
LETTER NO. 2.18.066 ATTACHMENT 1 A Nuclear Regulatory Commission (NRC) request for additional information (RAI) regarding a request for exemptions from portions of 10 CFR 50.47 and 10 CFR Part 50, Appendix E for the Pilgrim Nuclear Power Station (PNPS) was received by Entergy Nuclear Operations, Inc. (ENO) via electronic mail (email) dated October 16, 2018. ENO responses to the RAI request are provided below.
NRCREQUEST By letter dated July 3, 2018 (Agencywide Documents Access and Management System (ADAMS) Accession No. ML18186A635), Entergy Nuclear Operations, Inc. requested an exemption from specific emergency planning requirements of Title 10 of the Code of Federal Regulations (10 CFR) Part 50 for the Pilgrim Nuclear Power Station (PNPS),
based on the proposed permanent cessation of power operations and removal of fuel from the reactor vessel, which is expected no later than June 1, 2019. The exemption request has been reviewed against the requirements in 10 CFR 50.47, "Emergency plans," and Appendix E to 10 CFR Part 50, "Emergency Planning and Preparedness for Production and Utilization Facilities," using the guidance provided in Interim Staff Guidance (ISG) NSIRIDPR-ISG-02, "Emergency Planning Exemption requests for Decommissioning Nuclear Power Plants" (ADAMS Accession No. ML14106A057). The review considered the storage of the spent nuclear fuel in the spent fuel pool (SFP) and the onsite independent spent fuel storage installation, and the low likelihood of any credible accident resulting in radiological releases requiring offsite protective measures.
Based on the NRG staff's initial review of PNPS's EP exemption request, the following requests for additional information (RA ls) are required to facilitate completion of the staff's technical review.
NRC RAI-PNPS-1 The exemption for item 1 in Table 1 (Attachment 1), page 6 of 72, states:
10 CFR 50.47(b) The onsite aRd, except as provided iR paragraph (d) of this sectioR, offsite emergency response plans for nuclear power reactors must meet the following standards:
In the basi,s for the exemption PNPS states, that:
PNPS maintains procedures and strategies for the movement of any necessary portable equipment that will be relied upon for mitigating the loss of SFP water. These mitigative strategies, addressing events involving a loss of SFP cooling and/or water inventory, include implementation of SFP inventory makeup strategies required under 10 CFR 50.54(hh)(2), which will continue to be maintained to satisfy applicable License Conditions of the Renewed Facility Operating License.
These diverse strategies provide defense-in-depth and ample time to provide makeup water or spray to the SFP prior to the onset of zirconium Page 1 of 5
LETTER NO. 2.18.066 ATTACHMENT 1 cladding ignition when considering ve,y low probability beyond design basis events affecting the SFP. The on-shift individuals described in the Permanently Oefueled Emergency Plan will be able to implement the necessa,y tasks within the required timeframe.
Staff Decommissioning Assumptions (SDA) 1 in Table 5, "PNPS Compliance with NSIR!OPR-ISG-02 Staff Decommissioning Assumptions (SOAs)," (Attachment 1), page 61 of 72, states:
Licensee's SFP cooling design will be at least as capable as that assumed in the risk assessment, including instrumentation. Licensees will have at least one motor-driven and one diesel-driven fire pump capable of delivering invento,y to the SFP.
Also, in the response to SDA 1 PNPS states, in part, that:
The SFP has redundant cooling pumps, redundant heat exchangers, and multiple make-up sources, in addition to the normal condensate transfer system. The additional sources include tie-ins to the Firewater system, with Jockey pump P-146, Electric pump P-135, and diesel driven pump P-140. The make-up source for the firewater is a Municipal water system.
Please provide additional details regarding the diverse mitigation strategies, to include the identification of the trained on-shift personnel designated for carrying out the necessary tasks and the timeframe for implementation of these diverse mitigation strategies.
ENO Response to RAI-PNPS-1 As indicated on Table 2.1, On-Shift and Emergency Response Organization Staffing Requirements, of the Pilgrim Nuclear Power Station Permanently Defueled Emergency Plan (PDEP) provided to the NRC in Reference 1, the Control Room Supervisor, Non-Certified Operator and Radiation Protection Technician are required to direct or perform site-specific mitigation strategies required for a catastrophic loss of SFP inventory.
As indicated in the Response to IDC-4, provided in Table 4 of the Exemption Request (Reference 2), following permanent shut down and permanent removal of fuel from the reactor vessel, the on-shift plant operators, including Certified Fuel Handlers (CFH) and Non-Certified Operators, will be appropriately trained on the relevant procedures and on the various actions needed to provide makeup to the SFP to ensure appropriate personnel receive initial and continuing training on 8.5.b event-related procedures and strategies credited in applicable License Conditions required by 10 CFR 50.54(hh)(2).
On May 22, 2018, Pilgrim performed a validation exercise demonstrating that the 8.5.b SFP Spray Strategy could be performed with designated personnel. The timeframe was determined to be 95 minutes. The PDEP staffing table identifies the individuals in the on-shift crew responsible for implementing the mitigation activities.
Page 2 of 5
LETTER NO. 2.18.066 ATTACHMENT 1 NRC RAI-PNPS-2 The exemption for item 11 in Table 1, "Exemptions Requested from 10 CFR 50.47(b) and 50.47(c)(2)," (Attachment 1), page 9 of 72, states:
10 CFR 50.47(b)(10): A range of protective actions has been developed for the plume exposuro pathv.ray EPZ for emergency workers and the public. IR elev-eloping this range of actions, consideration has been gi*/en to evacuation, sheltering, and, as a supplement to these, the prophylactic use of potassium iodide (Kl}, as appropriate. Evacuation time estimates have been developed by applicants and licensees. Licensees shall update the e*.tacuation time estimates on a periodic basis. Guidelines for the choice of protecti'/e actions during an emergency, consistent with Fede!'al guidance, are developed and in place, and protectiv-e actions for the ingestion exposure pathway EPZ appropriate to the locale ha*,.te been developed.
However, the guidance in Table 1, "Exemptions for Consideration," in NSIRIDPR-ISG-02 states:
10 CFR 50.47(b)(10): A range of protective actions has been developed for the plume exposure pathway EPZ for emergency workers and the public. IR developing this range of actions, consideration has been gi*/en to evacuation, shelte!'!ng, and, as a supplement to these, the prophylactic use of potassium iodide (Kl}, as appropriate. Evacuation time estimates have been developed by applicants and licensees. Licensees shall update the evacuation time estimates on a periodic basis. Guidelines for the choice of protective actions during an emergency, consistent with Federal guidance, are developed and in place, and protectiv-e actions for the ingestion exposuro pathway EPZ appropriate to the locale have been developed.
Please provide justification for the exemption of the "and the public" as this is not consistent with the guidance and past precedent.
ENO Response to RAI-PNPS-2 The phrase "and the public" was unintentionally included in the proposed exemption language.
The Request for Exemptions from Portions of 10 CFR 50.47 and 10 CFR Part 50 Appendix E will be revised such that "and the public" is not included as part of the exemption request. This revision is included in Attachment 2 of this response.
Page 3 of 5
LETTER NO. 2.18.066 ATTACHMENT 1 NRC RAI-PNPS-3 The exemption for item 40 in Table 2, "Exemptions Requested from 10 CFR 50, Appendix E," (Attachment 1), page 24 of 72, states:
C.2 By J1,me 20, 2012, nuclear power reactor licensees shall establish and maintain the capability to assess, classify, and declare an emergency condition within 15 mtm,tes after the availability of indications to plant operators that an emergency action level has been exceeded and shall promptly declare the emergency condition as soon as possible following identification of the appropriate emergency classification level.
Also, the exemption for item 43 in Table 2 (Attachment 1), pages 26- 27 of 72, states, in part:
D. 3. A licensee shall have the capability to notify responsible State and local governmental agencies V'lithtn 15 minutes after declaring an emergency.
In the basis for the exemption for both item 40 and item 43, PNPS states, in part, that:
During these meetings have included discussions of the regulatory exemption requests. PNPS will continue to meet with representatives from the Commonwealth of Massachusetts, local emergency preparedness personnel, and Regional leadership from FEMA. These discussions have addressed changes to onsite and offsite emergency preparedness throughout the decommissioning process, including the proposed 30-minute declaration time and the 60-minute notification time.
Emergency management officials have not objected to the proposed changes.
Please provide documentation that the Commonwealth of Massachusetts and the Town of Plymouth is in agreement with the proposed 30-minute declaration time and the 60-minute timeframe for notification.
ENO Response to RAI-PNPS-3 We have engaged representatives of the Town of Plymouth and the Commonwealth of Massachusetts to obtain written documentation of concurrence with the proposed 30-minute declaration time and the 60-minute timeframe for notification. Although we have had further discussions subsequent to receipt of the request for information, we have not yet secured written documentation. We anticipate providing concurrence from the Town of Plymouth and the Commonwealth of Massachusetts by February 15, 2019.
Page 4 of 5
LETTER NO. 2.18.066 ATTACHMENT 1 NRC RAI-PNPS-4 The exemption for item 104 in Table 2 (Attachment 1), page 45 of 72, states:
Footnotes 3, 4, 5, and 6 are proposed for exemption.
The basis for the exemption, states:
ENO considers PNPS to be exempt from Footnotes 3, 4, 5, and 6 because PNPS will be exempt from the umbrella provisions of Section F.2.
Please provide further justification for Footnote 3 as it is not exempt from the umbrella provisions of Section F. 2.
ENO Response to RAI-PNPS-4 Footnote 3 will be removed from the exemption request. The Request for Exemptions from Portions of 10 CFR 50.47 and 10 CFR Part 50 Appendix E will be revised such that Footnote 3 is not included as part of the exemption request. This revision is included in Attachment 2 of this response.
References
- 1. Entergy Nuclear Operations, Inc. letter to NRC, "License Amendment Request to Revise the Pilgrim Nuclear Power Station Emergency Plan and Emergency Action Level Scheme to Address the Permanently Defueled Condition," dated August 1, 2018 (ADAMS Accession No. ML 18218184)
- 2. Entergy Nuclear Operations, Inc. letter to NRC, "Request for Exemptions from Portions of 10 CFR 50.47 and 10 CFR Part 50 Appendix E," dated July 3, 2018 (ADAMS Accession No. ML18186A635)
Page 5 of 5
LETTER NO. 2.18.066 ATTACHMENT 2 Revised Pages of the PNPS Request for Exemptions from Portions of 10 CFR 50.47 and 10 CFR Part 50 Appendix E (Attachment 1 of the Exemption Request) 3 pages follow
CNR0-2018-00031 ATTACHMENT 1 Table 1 Exemptions Requested from 10 CFR 50.47(b) and 50.47(c)(2)
Item# Regulation in 10 CFR 50.47 Basis for Exemption Also see the basis for 10 CFR 50.47(b).
7 10 CFR 50.47(b)(6): Provisions exist for prompt See the basis for 10 CFR 50.47(b) .
communications among principal response organ izations to emergency personnel aAEl te tRe 13usliG.
8 10 CFR 50.47(b)(7): IAfeFrnatieA is rnase availasle to tRe See the basis for 10 CFR 50.47(b) .
13uslis oA a 13eFiosis sasis eA Row tRey will se Ratifies aAEl wRat tReiF iAitial astieAs sReuls se iA aA erneF§leAGY (e.§1 ., listeAiA§! te a losal smassast statieA aAEl mrnaiA iA§! iAElems), [T)he principal points of contact with the news media for dissemination of information during an emergency (iAGlusiA§! tRe J:)Rysical losatioA OF lesatieAs) are estab lished in advance, and procedures for coordinated dissem ination of information to the public are established.
9 10 CFR 50.47(b)(8) : Adequate emergency facilities and No exemption is requested .
equipment to support the emergency response are provided and maintained .
10 10 CFR 50.47 (b)(9) : Adequate methods, systems, and See the bas is for 10 CFR 50.47(b).
equipment for assessing and monitoring actual or potentia l e#site consequences of a radiologica l emergency condition are in use.
11 10 CFR 50.47(b)(10): A range of protective actions has been In the unlikely event of a SFP accident, the iodine isotopes which developed for tRe 13lurne ex:13osuFe 13atRway ePl feF emergency contribute to an offsite dose from an operating reactor accident are workers and the public aAEl tRe 13usliG. IA Elevelo13iA§! tRis not present, so potassium iodide (Kl) distribution offsite would no FaA§!e of astieAs, GoAsiseFatieA Ras seeA §!iveA to ei.,asuatieA , longer serve as an effective or necessary supplemental protective sRelteFiA§! , aAEl , as a su1313lerneAt to tRese , tRe J:lFOJ:)Rylastis use action . Protective actions will be maintained for emergency workers Page 9 of 72
CNR0-2018-00031 ATTACHMENT 1 Table 2 Exemptions Requested from 10 CFR 50, Appendix E Item# Regulation in Part 50 , Appendix E Basis for Exemption fuel at the facility in a manner that is protective of public health and safety. PNPS will maintain a level of emergency response that does not require add itional response by headquarters personnel. The on-shift and emergency response positions are defined in the Permanently Defueled Emergency Plan and will be regularly tested through drills and exercises, audited , and inspected by PNPS and the NRC.
Also see the basis for 10 CFR 50.47(b). Therefore, exempting licensee's headquarters personnel from training requirements is considered to be reasonable .
78 F.1 .ix. Security personne l. No exemption is requested .
79 F.1. In addition , a radiological orientation train ing program shall Because there will no longer be any expected actions that must be be made available to local services personnel; e.g., local taken by the public during an emergency, it is no longer necessary to emergency services/Civil Defense, local law enforcement pre-plan the dissemination of this information to the public or to personnel , local news med ia persons. provide radiolog ical orientation tra ining to local news media persons .
The phrase "Civil Defense" is no longer a commonly used term and is no longer applicable as an example in the regulation .
80 F.2. The plan shall descri be provisions for the conduct of PNPS analyses demonstrate that 10 months after permanent emergency preparedness exercises as follows : cessation of power operations , no remaining postulated accidents at PNPS will result in radiological releases requiring offsite protective Exercises shall test the adequacy of timing and content of actions, or in the event of beyond design basis accidents, 10 hours1.157407e-4 days <br />0.00278 hours <br />1.653439e-5 weeks <br />3.805e-6 months <br /> is implementing procedures and methods , test emergency available to take mitigative actions, and if needed , implement offsite equipment and communications networks, test the public alert protective actions using a comprehensive emergency management and notification system, and ensure that emergency plan. Therefore, the public alert and notification system will not be organization personnel are familiar with their duties. 33 used and no testing would be required .
Page 36 of 72
CNR0-2018-00031 ATTACHMENT 1 Table 2 Exemptions Requested from 10 CFR 50, Appendix E Item# Regulation in Part 50, Appendix E Basis for Exemption near real-time electronic data link between the licensee's onsite necessary to transmit safety system parameter data. No exemption is computer system and the NRC Operations Center that provides requested because this change in the EROS data requirement is for the automated transmission of a limited data set of selected identified in 10 CFR Part 50, Appendix E, Section Vl.2 .
parameters. The EROS supplements the existing vo ice transmission over the Emergency Notification System (ENS) by providing the NRC Operations Center with timely and accurate updates of a limited set of parameters from the licensee's installed onsite computer system in the event of an emergency.
When selected plant data are not available on the licensee's onsite computer system , retrofitting of data points is not required . The licensee shall test the EROS periodically to verify system availability and operability. The frequency of EROS testing will be quarterly unless otherwise set by NRC based on demonstrated system performance.
- 2. Except for Big Rock Point and all nuclear power facilities that are shut down permanently or indefinitely, onsite hardware shall be provided at each unit by the licensee to interface with the NRC receiving system . Software, which will be made available by the NRC, will assemble the data to be transmitted and transmit data from each unit via an output port on the appropriate data system.
104 10 CFR 50 Appendix E ENO considers PNPS to be exempt from Footnotes M , 5, and 6 because PNPS will be exempt from the umbrella provisions of Footnotes M , 5, and 6 are proposed for exemption .
Section F.2.
- i Use of site specific simulators or computers is acceptable for any exercise.
4 i;:u1113articipation *,¥Ren uses in conjunction witl=l emer§ency 13repareaness exercises for a particular site means appro13riate Page 45 of 72