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| issue date = 06/04/2001
| issue date = 06/04/2001
| title = May 24, 2001: Summary of Meeting with Risk-Informed Technical Specification Task Force (RITSTF)
| title = May 24, 2001: Summary of Meeting with Risk-Informed Technical Specification Task Force (RITSTF)
| author name = Dennig R L
| author name = Dennig R
| author affiliation = NRC/NRR/DRIP/RTSB
| author affiliation = NRC/NRR/DRIP/RTSB
| addressee name = Bradley B
| addressee name = Bradley B
Line 25: Line 25:


==Dear Mr. Bradley:==
==Dear Mr. Bradley:==
The purpose of this letter is to transmit the summary of a meeting with the RITSTF. The meeting was held at the U.S. Nuclear Regulatory Commission offices in Rockville, Maryland, on May 24, 2001.Sincerely, Robert L. Dennig, Acting Chief Technical Specifications Branch Division of Regulatory Improvement Programs Office of Nuclear Reactor Regulation
 
The purpose of this letter is to transmit the summary of a meeting with the RITSTF. The meeting was held at the U.S. Nuclear Regulatory Commission offices in Rockville, Maryland, on May 24, 2001.
Sincerely, Robert L. Dennig, Acting Chief Technical Specifications Branch Division of Regulatory Improvement Programs Office of Nuclear Reactor Regulation


==Enclosures:==
==Enclosures:==
: 1. 2. 3. 4. 5. 6.Meeting Summary Attendance List Agenda Project Description RITS (White Paper) RITS Initiative Status Consolidated Line Item Improvement Process (CLIIP) Flow Chart cc w/encl: See attached list June 4, 2001 Mr. Biff Bradley Nuclear Energy Institute Suite 400 1776 I Street, NW Washington, DC 20006-3708
: 1. Meeting Summary
: 2. Attendance List
: 3. Agenda
: 4. Project Description RITS (White Paper)
: 5. RITS Initiative Status
: 6. Consolidated Line Item Improvement Process (CLIIP) Flow Chart cc w/encl: See attached list
 
O Publicly Available      El Non-Publicly Available 0 Sensitive      El Non-Sensitive DOCUMENT NAME: G:\RTSB\Tjader\RIT§TF\RITSTF-MTG-05-24-01.wpd OFFICE SE/RTSB/DRIP              (A)B?*P        DRIP NAME      TRTjader              IRLDgrn'ig "
DATE      06/ 1 /2001            06/      /2001 DISTRIBUTION:
RTSB R/F RTSB Staff SCollins/RPZimmerman JJohnson BWSheron DBMafthews FPGillespie GMHolahan RJBarreft RLDennig FMReinhart MLWohl NTSaltos TSB Staff JAZwolinski JFWilliams AWMarkley SLMagruder JNHannon TRQuay DFThatcher WEScott JSCushing RMPulsifer SDBloom MACunningham, RES Markley, ACRS Staff


==SUBJECT:==
Mr. Biff Bradley cc via e-mail:
MAY 24, 2001:
Mr. Tony Pietrangelo              Mr. Rick Hill Nuclear Energy Institute          General Electric Nuclear Energy Mr. Tony Brooks                    Mr. Michael S. Kitlan, Jr.
Nuclear Energy Institute          Duke Energy Corporation Mr. Mike Schoppman                Mr. Noel Clarkson Nuclear Energy Institute          Duke Energy Corporation Mr. Alan Hackerott, Chairman      Mr. Donald Hoffman Omaha Public Power District        EXCEL Services Corporation Mr. Jim Kenny                      Mr. Stanley Levinson Pennsylvania Power & Light Company Framatome Technologies Mr. James Andrachek                Mr. R. J. Schomaker Westinghouse Electric Company      Framatome Technologies Mr. Jack Stringfellow              Mr. J. E. Rhoads Southern Nuclear Operating Company Energy Northwest Mr. Donald McCamy Browns Ferry Nuclear Plant Mr. Ray Schneider Westinghouse Electric Company


==SUMMARY==
==SUMMARY==
OF MEETING WITH RISK-INFORMED TECHNICAL SPECIFICATION TASK FORCE (RITSTF)
OF THE MAY 24, 2001, NRC/INDUSTRY MEETING OF THE RISK-INFORMED TECHNICAL SPECIFICATION TASK FORCE The NRC staff met with the NEI Risk-Informed Technical Specification Task Force (RITSTF) on May 24, 2000, from 9:00 am to 12:30 pm. The meeting attendees are listed in enclosure 2.
First on the agenda (enclosure 3) was the NEI white paper presentation on the Project Description of Risk-Informed Technical Specifications (RITS) improvements (enclosure 4). The NEI white paper will be submitted formally. Biff Bradley of NEI presented the white paper. The following major issues were discussed: schedule, organization, process, status of initiatives, prioritization of RITS efforts, and management of initiatives. NEI expressed concern that the internal NRC review process is too slow and if it does not improve industry may cease their activities with the proposed initiatives; they cannot get funding if they cannot show results of their efforts. NEI is looking for a "timely" review of their documents. The NRC staff indicated that the initial RITS initiatives that go through the review and approval process may seem to take a long time due to the need to educate the staff on the efforts. The NRC staff is planning to more actively manage the review of the RITS initiative submittals through the Risk Informed Regulatory Implementation Plan (RIRIP). The NRC staff noted that not only can the NRC staff improve their review process, but the industry can better coordinate their submittals both among the vendor owners groups and the timeliness of their TSTF change proposals.
The status of the eight initiatives were discussed in detail. The industry provided their perspective on the status of the initiatives (enclosure 5). Following is an amplification of that status:
Initiative 1, TS Actions End States Modifications: NRC staff review of the industry topicals supporting the Risk-Informed Technical Specifications Task Force (RITSTF) initiative have begun. The CE topical SER is in concurrence. The BWR topical SER is scheduled to be ready for concurrence by the end of the year 2001.
TSTF-358, Initiative 2, Missed Surveillance Requirements (SR), SR 3.0.3 modifications: The NRC staff SER and the Federal Register Notice (FRN) for the Consolidated Line Item Improvement Program (CLIIP) process are in concurrence. It is at OGC for review (last stop before FRN), and OGC concurrence is expected by June 11.
TSTF-359, Initiative 3, Modification of mode restraint requirements of LCO 3.0.4: The RITSTF has submitted a TS change proposal (TSTF-359), and it has been distributed for staff review.
The staff SER is scheduled to be ready for concurrence by the end of September 2001.
Initiative 4, Risk Informed AOTs, use of a configuration risk management program (CRMP): A RITSTF concept/white paper is planned to be published in July and a submittal is expected by the end of the year 2001. The CLIIP change is planned to be available by the end of the year 2002.
Enclosure 1
 
Initiative 5, Relocation of non-safety SRs and relocation of all SR frequency requirements out of TS: A RITSTF concept/white paper is planned to be published in July and a submittal is expected by the end of the year 2001. The CLIIP change is planned to be available by the end of the year 2002.
Initiative 6, Modification of LCO 3.0.3 Actions and Completion Times: A CEOG submittal has been received, and staff review has begun. An SER is expected at the beginning of June 2001.
Initiative 7, Non-TS support system impact on TS operability determinations: A RITSTF concept/white paper is planned to be published in July and a submittal is expected by the end of the year 2001. The CLIIP change is planned to be available by the end of the year 2002.
Initiative 8, Relocate non-risk significant systems out of TS: A RITSTF submittal is expected at the end of the year 2002, and the CLIIP change is planned to be available by the end of the year 2003.
The CLIIP process was briefly discussed and a handout (enclosure 6) on the flow process was provided.
The next RTSB/NEI RITSTF meeting is scheduled on Tuesday, July 31, 2001. Tentatively, the morning of the meeting will be for process/initiative management, and the afternoon will be for breakout discussion on the details of the specific initiatives.
 
NRC/INDUSTRY MEETING OF THE RISK-INFORMED TECHNICAL SPECIFICATION TASK FORCE ATTENDANCE LIST MAY 24, 2001 NAME                    AFFILIATION BIFF BRADLEY            NUCLEAR ENERGY INSTITUTE TONY PIETRANGELO        NUCLEAR ENERGY INSTITUTE TONY BROOKS            NUCLEAR ENERGY INSTITUTE MIKE SCHOPPMAN          NUCLEAR ENERGY INSTITUTE RAY SCHNEIDER          WESTINGHOUSE/CEOG ALAN HACKEROTT          OMAHA PUBLIC POWER DISTRICT/CEOG JACK STRINGFELLOW      SOUTHERN NUCLEAR OPERATING COMPANY DONALD HOFFMAN          EXCEL SERVICES JIM ANDRACHEK          WESTINGHOUSE/WOG JIM KENNY              PP&L/BWROG DON MCCAMY              TENNESSEE VALLEY AUTHORITY/BWROG J. E. RHOADS            ENERGY NORTHWEST/BWROG MIKE KITLAN            DUKE POWERIBWOG NOEL CLARKSON          DUKE POWER/BWOG STANLEY LEVINSON        FRAMATOME ANP R. J. SCHOMAKER        FRAMATOME ANP FRANK GILLESPIE        NRC/NRR/DRIP NICK SALTOS            NRC/NRR/DSSA/SPSB MILLARD WOHL            NRC/NRR/DSSNSPSB BOB DENNIG              NRC/NRR/DRIP/RTSB BOB TJADER              NRC/NRR/DRIP/RTSB NAN GILLES              NRC/NRRJDRIP/RTSB PETE HEARN              NRC/NRR/DRIP/RTSB KERI KAVANAGH          NRC/NRR/DRIP/RTSB JACK CUSHING            NRC/NRR/DLPM JOHN HANNON            NRC/NRR/DSSANSPLB STU MAGRUDER            NRC/NRR/DRIP/RGEB WAYNE SCOTT            NRC/NRR/DIPM/IQPB Enclosure 2
 
AGENDA TSB/NEI RITSTF Meeting May 24, 2001 from 9:00 AM to 1:00 PM, in O-9B4 0 NEI White Paper Presentation, on the RI Initiatives and Integrated Effect (1 hr) 0 Status of Initiatives (1.5 hrs)
  -      TSTF-358, Initiative 2, SR 3.0.3 Missed Surveillances
  -      TSTF-359, Initiative 3, SR 3.0.4 (Mode Restraint) Flexibility
  -      Initiative 7, Non-TS Support System Operability Impact on TS System
  -      Initiative 5, STI Evaluation Methodology
  -      Initiative 4, RI AOTs with CRMP
  -      Initiative 1, Action End States
  -      Initiative 6, LCO 3.0.3 Actions and Completion Times 0 Process and Planning (lhr)
  -      Risk Informed Regulatory Implementation Plan (RIRIP)
  -      CLIIP vs non-CLIIP changes
  -      OG Coordination o  Schedule Next Meeting (15 min) 0  Closing Comments (15 min)
Enclosure 3
 
Project Description Risk-Informed Technical Specifications Nuclear Energy Institute May 2001 Enclosure 4 1


==Dear Mr. Bradley:==
TABLE OF CONTENTS 1 Introduction 2 Purpose of paper 3 Need for change
The purpose of this letter is to transmit the summary of a meeting with the RITSTF. The meeting was held at the U.S. Nuclear Regulatory Commission offices in Rockville, Maryland, on May 24, 2001.Sincerely, /RA/ Robert L. Dennig, Acting Chief Technical Specifications Branch Division of Regulatory Improvement Programs Office of Nuclear Reactor Regulation


==Enclosures:==
===4 Background===
: 1. 2. 3. 4. 5. 6.Meeting Summary Attendance List Agenda Project Description RITS (White Paper) RITS Initiative Status Consolidated Line Item Improvement Process (CLIIP) Flow Chart cc w/encl: See attached list DISTRIBUTION:
5 Initiatives 6 Discussion of initiatives 2
See next page ADAMS ACCESSION NUMBER: O Publicly Available El Non-Publicly Available 0 Sensitive El Non-Sensitive DOCUMENT NAME: G:\RTSB\Tjader\RIT§TF\RITSTF-MTG-05-24-01.wpd OFFICE SE/RTSB/DRIP (A) DRIP NAME TRTjader I RLDgrn'ig
" DATE 06/ 1 /2001 06/ /2001 OFFICIAL RECORD COPY DISTRIBUTION:
RTSB R/F RTSB Staff SCollins/RPZimmerman JJohnson BWSheron DBMafthews FPGillespie GMHolahan RJBarreft RLDennig FMReinhart MLWohl NTSaltos TSB Staff JAZwolinski JFWilliams AWMarkley SLMagruder JNHannon TRQuay DFThatcher WEScott JSCushing RMPulsifer SDBloom MACunningham, RES Markley, ACRS Staff Mr. Biff Bradley cc via e-mail: Mr. Tony Pietrangelo Nuclear Energy Institute Mr. Tony Brooks Nuclear Energy Institute Mr. Mike Schoppman Nuclear Energy Institute Mr. Alan Hackerott, Chairman Omaha Public Power District Mr. Jim Kenny Pennsylvania Power & Light Company Mr. James Andrachek Westinghouse Electric Company Mr. Jack Stringfellow Southern Nuclear Operating Company Mr. Donald McCamy Browns Ferry Nuclear Plant Mr. Ray Schneider Westinghouse Electric Company Mr. Rick Hill General Electric Nuclear Energy Mr. Michael S. Kitlan, Jr. Duke Energy Corporation Mr. Noel Clarkson Duke Energy Corporation Mr. Donald Hoffman EXCEL Services Corporation Mr. Stanley Levinson Framatome Technologies Mr. R. J. Schomaker Framatome Technologies Mr. J. E. Rhoads Energy Northwest


==SUMMARY==
INTRODUCTION Purpose of paper Risk-informed improvements to technical specifications have the potential for safety benefits and improved plant performance. This paper serves as a vehicle to communicate the industry's activities to achieve risk informed improvements to operating plant technical specifications. It is intended to inform various stakeholders in this effort, including industry, NRC, and other parties that may have an interest. The paper serves as a means to coordinate and integrate industry activities, and to provide the status and milestones of the various industry initiatives that make up the improvement project. It will be periodically updated to reflect progress achieved.
OF THE MAY 24, 2001, NRC/INDUSTRY MEETING OF THE RISK-INFORMED TECHNICAL SPECIFICATION TASK FORCE The NRC staff met with the NEI Risk-Informed Technical Specification Task Force (RITSTF) on May 24, 2000, from 9:00 am to 12:30 pm. The meeting attendees are listed in enclosure
Need for Change Plant configuration control requirements have, until last year, been solely contained in the technical specifications, which are an appendix to the plant operating license. 10 CFR 50.36 provides the general requirements for the content of technical specifications, and changes to the technical specifications are controlled through 10 CFR 50.90 (license amendments) and 50.92 (no significant hazards analysis and opportunity for public participation). Technical specifications address configuration control through specifying time limits for equipment out of service, and actions, generally leading to plant shutdown, when the out of service times are exceeded. Technical specifications are primarily based on the deterministic design basis accidents, and do not consider the plant risk impact as a factor in the action requirements. Further, technical specifications are not intended to consider the synergistic effects of multiple out of service conditions.
: 2. First on the agenda (enclosure
: 3) was the NEI white paper presentation on the Project Description of Risk-Informed Technical Specifications (RITS) improvements (enclosure 4). The NEI white paper will be submitted formally.
Biff Bradley of NEI presented the white paper. The following major issues were discussed:
schedule, organization, process, status of initiatives, prioritization of RITS efforts, and management of initiatives.
NEI expressed concern that the internal NRC review process is too slow and if it does not improve industry may cease their activities with the proposed initiatives; they cannot get funding if they cannot show results of their efforts. NEI is looking for a "timely" review of their documents.
The NRC staff indicated that the initial RITS initiatives that go through the review and approval process may seem to take a long time due to the need to educate the staff on the efforts. The NRC staff is planning to more actively manage the review of the RITS initiative submittals through the Risk Informed Regulatory Implementation Plan (RIRIP). The NRC staff noted that not only can the NRC staff improve their review process, but the industry can better coordinate their submittals both among the vendor owners groups and the timeliness of their TSTF change proposals.
The status of the eight initiatives were discussed in detail. The industry provided their perspective on the status of the initiatives (enclosure 5). Following is an amplification of that status: Initiative 1, TS Actions End States Modifications:
NRC staff review of the industry topicals supporting the Risk-Informed Technical Specifications Task Force (RITSTF) initiative have begun. The CE topical SER is in concurrence.
The BWR topical SER is scheduled to be ready for concurrence by the end of the year 2001. TSTF-358, Initiative 2, Missed Surveillance Requirements (SR), SR 3.0.3 modifications:
The NRC staff SER and the Federal Register Notice (FRN) for the Consolidated Line Item Improvement Program (CLIIP) process are in concurrence.
It is at OGC for review (last stop before FRN), and OGC concurrence is expected by June 11. TSTF-359, Initiative 3, Modification of mode restraint requirements of LCO 3.0.4: The RITSTF has submitted a TS change proposal (TSTF-359), and it has been distributed for staff review. The staff SER is scheduled to be ready for concurrence by the end of September 2001. Initiative 4, Risk Informed AOTs, use of a configuration risk management program (CRMP): A RITSTF concept/white paper is planned to be published in July and a submittal is expected by the end of the year 2001. The CLIIP change is planned to be available by the end of the year 2002.Enclosure 1  Initiative 5, Relocation of non-safety SRs and relocation of all SR frequency requirements out of TS: A RITSTF concept/white paper is planned to be published in July and a submittal is expected by the end of the year 2001. The CLIIP change is planned to be available by the end of the year 2002. Initiative 6, Modification of LCO 3.0.3 Actions and Completion Times: A CEOG submittal has been received, and staff review has begun. An SER is expected at the beginning of June 2001. Initiative 7, Non-TS support system impact on TS operability determinations:
A RITSTF concept/white paper is planned to be published in July and a submittal is expected by the end of the year 2001. The CLIIP change is planned to be available by the end of the year 2002. Initiative 8, Relocate non-risk significant systems out of TS: A RITSTF submittal is expected at the end of the year 2002, and the CLIIP change is planned to be available by the end of the year 2003. The CLIIP process was briefly discussed and a handout (enclosure
: 6) on the flow process was provided.
The next RTSB/NEI RITSTF meeting is scheduled on Tuesday, July 31, 2001. Tentatively, the morning of the meeting will be for process/initiative management, and the afternoon will be for breakout discussion on the details of the specific initiatives.
NRC/INDUSTRY MEETING OF THE RISK-INFORMED TECHNICAL SPECIFICATION TASK FORCE ATTENDANCE LIST MAY 24, 2001 NAME BIFF BRADLEY TONY PIETRANGELO TONY BROOKS MIKE SCHOPPMAN RAY SCHNEIDER ALAN HACKEROTT JACK STRINGFELLOW DONALD HOFFMAN JIM ANDRACHEK JIM KENNY DON MCCAMY J. E. RHOADS MIKE KITLAN NOEL CLARKSON STANLEY LEVINSON R. J. SCHOMAKER FRANK GILLESPIE NICK SALTOS MILLARD WOHL BOB DENNIG BOB TJADER NAN GILLES PETE HEARN KERI KAVANAGH JACK CUSHING JOHN HANNON STU MAGRUDER WAYNE SCOTT AFFILIATION NUCLEAR ENERGY INSTITUTE NUCLEAR ENERGY INSTITUTE NUCLEAR ENERGY INSTITUTE NUCLEAR ENERGY INSTITUTE WESTINGHOUSE/CEOG OMAHA PUBLIC POWER DISTRICT/CEOG SOUTHERN NUCLEAR OPERATING COMPANY EXCEL SERVICES WESTINGHOUSE/WOG PP&L/BWROG TENNESSEE VALLEY AUTHORITY/BWROG ENERGY NORTHWEST/BWROG DUKE POWERIBWOG DUKE POWER/BWOG FRAMATOME ANP FRAMATOME ANP NRC/NRR/DRIP NRC/NRR/DSSA/SPSB NRC/NRR/DSSNSPSB NRC/NRR/DRIP/RTSB NRC/NRR/DRIP/RTSB NRC/NRRJDRIP/RTSB NRC/NRR/DRIP/RTSB NRC/NRR/DRIP/RTSB NRC/NRR/DLPM NRC/NRR/DSSANSPLB NRC/NRR/DRIP/RGEB NRC/NRR/DIPM/IQPB Enclosure 2
AGENDA TSB/NEI RITSTF Meeting May 24, 2001 from 9:00 AM to 1:00 PM, in O-9B4 0 NEI White Paper Presentation, on the RI Initiatives and Integrated Effect (1 hr) 0 Status of Initiatives (1.5 hrs) -TSTF-358, Initiative 2, SR 3.0.3 Missed Surveillances
-TSTF-359, Initiative 3, SR 3.0.4 (Mode Restraint)
Flexibility
-Initiative 7, Non-TS Support System Operability Impact on TS System -Initiative 5, STI Evaluation Methodology
-Initiative 4, RI AOTs with CRMP -Initiative 1, Action End States -Initiative 6, LCO 3.0.3 Actions and Completion Times 0 Process and Planning (lhr) -Risk Informed Regulatory Implementation Plan (RIRIP) -CLIIP vs non-CLIIP changes -OG Coordination o Schedule Next Meeting (15 min) 0 Closing Comments (15 min)Enclosure 3
Project Description Risk-Informed Technical Specifications Nuclear Energy Institute May 2001 Enclosure 4 1 TABLE OF CONTENTS 1 Introduction 2 Purpose of paper 3 Need for change 4 Background 5 Initiatives 6 Discussion of initiatives 2
INTRODUCTION Purpose of paper Risk-informed improvements to technical specifications have the potential for safety benefits and improved plant performance.
This paper serves as a vehicle to communicate the industry's activities to achieve risk informed improvements to operating plant technical specifications.
It is intended to inform various stakeholders in this effort, including industry, NRC, and other parties that may have an interest.
The paper serves as a means to coordinate and integrate industry activities, and to provide the status and milestones of the various industry initiatives that make up the improvement project. It will be periodically updated to reflect progress achieved.
Need for Change Plant configuration control requirements have, until last year, been solely contained in the technical specifications, which are an appendix to the plant operating license. 10 CFR 50.36 provides the general requirements for the content of technical specifications, and changes to the technical specifications are controlled through 10 CFR 50.90 (license amendments) and 50.92 (no significant hazards analysis and opportunity for public participation).
Technical specifications address configuration control through specifying time limits for equipment out of service, and actions, generally leading to plant shutdown, when the out of service times are exceeded.
Technical specifications are primarily based on the deterministic design basis accidents, and do not consider the plant risk impact as a factor in the action requirements.
Further, technical specifications are not intended to consider the synergistic effects of multiple out of service conditions.
Industry has achieved substantial gains in plant capacity factors over the last several years through reduced planned outage duration and increased use of on-line maintenance.
Industry has achieved substantial gains in plant capacity factors over the last several years through reduced planned outage duration and increased use of on-line maintenance.
Plant maintenance generally involves temporary impacts on equipment availability that are balanced by increased reliability.
Plant maintenance generally involves temporary impacts on equipment availability that are balanced by increased reliability. It is recognized that plant configuration control decisions can have non-negligible temporary impacts on plant risk profiles. Accordingly, in November of 2000, a risk-informed plant configuration control provision was added to the maintenance rule, 10 CFR 50.65, requiring assessment and consideration of risk prior to performance of both online and shutdown maintenance. Industry developed guidance to accompany this rulemaking through a revision to the maintenance rule implementation guideline. That document, NUMARC 93701, revision 3, provides guidance on the use of quantitative probabilistic safety assessment (PSA), qualitative risk assessment, and plant operating experience to assess plant risk due to maintenance activities. It also provides guidance on actions that may be taken to manage the risk as determined by the assessment. The guidance also incorporates the shutdown risk management approach of NUMARC 91-06, which is based on preservation of key shutdown safety functions.
It is recognized that plant configuration control decisions can have non-negligible temporary impacts on plant risk profiles.
3
Accordingly, in November of 2000, a risk-informed plant configuration control provision was added to the maintenance rule, 10 CFR 50.65, requiring assessment and consideration of risk prior to performance of both online and shutdown maintenance.
 
Industry developed guidance to accompany this rulemaking through a revision to the maintenance rule implementation guideline.
It is recognized that the configuration control requirements of technical specifications (deterministic) and the maintenance rule (risk informed) may be in conflict; however, the licensee is required to comply with both, resulting in limitations on configuration control flexibility that are unrelated to plant safety. The intent of risk-informed technical specifications is to address the incompatibilities between these methods, and provide a single, consistent approach for plant configuration control.
That document, NUMARC 93701, revision 3, provides guidance on the use of quantitative probabilistic safety assessment (PSA), qualitative risk assessment, and plant operating experience to assess plant risk due to maintenance activities.
In addition to addressing dual regulation and resolving inconsistent requirements, several other benefits would accrue from the successful transition to risk-informed technical specifications. The first benefit would be improved plant capacity factor through avoidance of forced shutdowns due to technical specification requirements. In many circumstances where shutdown is called for, it is not the most risk-effective course of action, and these situations are currently addressed on an as-needed, real time basis through the NRC enforcement discretion process. This process involves the application of risk informed methods to justify a one time avoidance of the shutdown, with NRC review and approval. Avoidance of enforcement discretion would save licensee and NRC resources, eliminate the need to seek "exceptions" to requirements, remove the uncertainty of outcome associated with the current process, and provide enhanced consistency and uniformity of methods.
It also provides guidance on actions that may be taken to manage the risk as determined by the assessment.
The second benefit would be optimization of on-line maintenance flexibility, with the attendant benefit of further reduction in outage duration. Currently, plants have generally optimized their on-line maintenance activities to the extent achievable within the existing technical specifications, and have achieved very short planned outage durations. Some additional improvement could be facilitated through risk-informed technical specifications.
The guidance also incorporates the shutdown risk management approach of NUMARC 91-06, which is based on preservation of key shutdown safety functions.
The third benefit would be reduction of licensee and NRC resource requirements following conversion to the risk-informed technical specifications. The need to seek future line item improvements should be substantially eliminated, since the risk-informed technical specifications, if properly designed, should contain inherent flexibility. Processing of license amendment requests currently accounts for a significant portion of NRC's resources, and licensee review fees.
3 It is recognized that the configuration control requirements of technical specifications (deterministic) and the maintenance rule (risk informed) may be in conflict; however, the licensee is required to comply with both, resulting in limitations on configuration control flexibility that are unrelated to plant safety. The intent of risk-informed technical specifications is to address the incompatibilities between these methods, and provide a single, consistent approach for plant configuration control.
Another benefit is that technical specifications are directly amenable to the use of risk analyses, as they address times (out of service times, action times, and test frequencies) and equipment availabilities that can be quantified in a relatively straightforward manner. Finally, it is anticipated that substantial reforms can be realized under the current regulation, 10 CFR 50.36, without the need for the time consuming rulemaking process.
In addition to addressing dual regulation and resolving inconsistent requirements, several other benefits would accrue from the successful transition to risk-informed technical specifications.
4
The first benefit would be improved plant capacity factor through avoidance of forced shutdowns due to technical specification requirements.
In many circumstances where shutdown is called for, it is not the most risk-effective course of action, and these situations are currently addressed on an as-needed, real time basis through the NRC enforcement discretion process. This process involves the application of risk informed methods to justify a one time avoidance of the shutdown, with NRC review and approval.
Avoidance of enforcement discretion would save licensee and NRC resources, eliminate the need to seek "exceptions" to requirements, remove the uncertainty of outcome associated with the current process, and provide enhanced consistency and uniformity of methods.
The second benefit would be optimization of on-line maintenance flexibility, with the attendant benefit of further reduction in outage duration.
Currently, plants have generally optimized their on-line maintenance activities to the extent achievable within the existing technical specifications, and have achieved very short planned outage durations.
Some additional improvement could be facilitated through risk-informed technical specifications.
The third benefit would be reduction of licensee and NRC resource requirements following conversion to the risk-informed technical specifications.
The need to seek future line item improvements should be substantially eliminated, since the risk-informed technical specifications, if properly designed, should contain inherent flexibility.
Processing of license amendment requests currently accounts for a significant portion of NRC's resources, and licensee review fees. Another benefit is that technical specifications are directly amenable to the use of risk analyses, as they address times (out of service times, action times, and test frequencies) and equipment availabilities that can be quantified in a relatively straightforward manner. Finally, it is anticipated that substantial reforms can be realized under the current regulation, 10 CFR 50.36, without the need for the time consuming rulemaking process.4  


===Background===
===
Most plants have converted to improved standard technical specifications, although some plants still use early custom technical specifications.
Background===
NRC maintains a NUREG document that represents the improved standard technical specifications (ITS) for each reactor vendor. Revision 2 of these NUREGs will be issued in the near future. Changes to the ITS NUREGs are coordinated through the NEI technical specification task force (TSTF). Changes are generally proposed by the owners groups, and the TSTF prepares an ITS change package called a "traveler".
Most plants have converted to improved standard technical specifications, although some plants still use early custom technical specifications. NRC maintains a NUREG document that represents the improved standard technical specifications (ITS) for each reactor vendor. Revision 2 of these NUREGs will be issued in the near future. Changes to the ITS NUREGs are coordinated through the NEI technical specification task force (TSTF).
The traveler is submitted to NRC for approval and incorporation into subsequent revisions of the ITS NUREG. NRC has recently developed the consolidated line item improvement (CLIIP) process for regulatory approval of travelers incorporating proposed changes to ITS. Initiatives developed under the risk-informed technical specifications effort will be treated through this process, which is described in NRC regulatory information summary 2000-06.
Changes are generally proposed by the owners groups, and the TSTF prepares an ITS change package called a "traveler". The traveler is submitted to NRC for approval and incorporation into subsequent revisions of the ITS NUREG.
NRC Regulatory Guides 1.174 and 1.177 provides the general considerations and approach for licensees to develop risk informed allowed outage time extensions for specific equipment in technical specifications.
NRC has recently developed the consolidated line item improvement (CLIIP) process for regulatory approval of travelers incorporating proposed changes to ITS. Initiatives developed under the risk-informed technical specifications effort will be treated through this process, which is described in NRC regulatory information summary 2000-06.
Over the past several years, most plants have requested such changes using risk-informed approaches.
NRC Regulatory Guides 1.174 and 1.177 provides the general considerations and approach for licensees to develop risk informed allowed outage time extensions for specific equipment in technical specifications. Over the past several years, most plants have requested such changes using risk-informed approaches. These changes have been developed by individual plants or by owners groups, and are generally not reflected in the revised ITS NUREGs. These changes have been approved by NRC on the basis of individual reviews, including focused NRC review of the PRA models used to develop the risk insights supporting the change.
These changes have been developed by individual plants or by owners groups, and are generally not reflected in the revised ITS NUREGs. These changes have been approved by NRC on the basis of individual reviews, including focused NRC review of the PRA models used to develop the risk insights supporting the change. In 1999, NEI formed the risk informed technical specifications task force (RITSTF) to develop consistent industry approaches to apply risk insights to technical specification reform, and build on the previous ad-hoc activities of the owners groups. In 2000, NEI formed the technical specification working group (TSWG) to provide oversight and policy direction relative to technical specifications issues. Figure 1 depicts the industry organizational structure.
In 1999, NEI formed the risk informed technical specifications task force (RITSTF) to develop consistent industry approaches to apply risk insights to technical specification reform, and build on the previous ad-hoc activities of the owners groups. In 2000, NEI formed the technical specification working group (TSWG) to provide oversight and policy direction relative to technical specifications issues. Figure 1 depicts the industry organizational structure.
Figure 1 includes industry task forces addressing control room habitability, and steam generator issues, because these groups are developing revised technical specifications relative to these systems. There is a potential for risk insights to be used in the development of these specifications.
Figure 1 includes industry task forces addressing control room habitability, and steam generator issues, because these groups are developing revised technical specifications relative to these systems. There is a potential for risk insights to be used in the development of these specifications.
5 Figure 1 -Industry Structure Nuclear strategic issues advisory committee--I- Risk-informed regulation working group Policy -------------
5
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Figure 1 - Industry Structure Nuclear strategic issues advisory committee
Responsibility Communication 6 Technical specification working group Support U U U U U U U U U U U 'mu.Control room habitability task force Risk applications task force I I 6 lonesome Initiatives The program encompasses eight separate initiatives to improve existing technical specification configuration control requirements through use of risk insights.
                                                        --       I-Technical                    lonesome Risk-informed specification working                  regulation working group                                   group I
Risk informed approaches consider a spectrum of initiating events, and their probabilities of occurrence, as opposed to deterministic approaches, which assuming the occurrence of specific design basis events. For technical specifications, risk-informed approaches can provide significant improvements in safety, because they implicitly consider dependencies, support systems, and other elements important to plant configuration control.
Policy
The first three initiatives apply risk-informed concepts to limited, specific configuration control provisions of existing specifications, and serve as a test case for the remaining initiatives, which would provide global reforms to the fundamental structure and approach of technical specifications.
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The first three initiatives are well underway.
Support U
They are expected to be achieved through general qualitative risk insights derived for the various reactor types, developed by the NSSS owners groups, and through reference to the existing maintenance rule (a)(4) programs.
U U
Plant-specific quantitative approaches are expected to be necessary for certain of the remaining initiatives.
U U
The initiatives' descriptions and schedules for submittal are as follows: Initiative Schedule for NRC submittal 7 1. Change end states for action May 2001 Will initially apply to requirements from cold shutdown to hot CE and BWRs only. shutdown 2. Eliminate requirement for unit shutdown Submitted in September 2000. in event of unintentionally missed surveillance  
U U
: 3. Increase flexibility in mode restraints Submitted in March 2001 4. Replacement of allowed outage times with Submit by end of 2001 configuration risk management approach 5. Replacement of specific surveillance Submit methodology by end of intervals with risk informed methodology 2001 6. Modify LCO 3.0.3, which calls for rapid plant shutdown if outside scope of existing LCOs 7. Non technical specification design Submit by August 2001 features impact on technical specification LCO 8. Remove/relocate all non safety systems and non risk significant systems out of scope of technical specifications Discussion of initiatives Initiative 1: Revise action requirements, where approuriate, to specify hot shutdown versus cold shutdown as endstate.
U U
Current technical specification action requirements generally require that the unit be brought to cold shutdown when the limiting condition for operation for a technical specification system has not been met. Depending on the system, and affected safety function, the requirement to go to cold shutdown may not represent the most risk effective course of action. For example, steam driven equipment that could be used as a source of injection or makeup is rendered nonfunctional during cold shutdown, thus removing a potential success path for mitigation of initiating events. To address this situation, each owners group will prepare a qualitative risk analysis providing the basis for changes to this action requirement where appropriate (generally changing the end state from cold shutdown to hot shutdown).
Control room                  Risk applications U
The CEOG and BWROG analyses have already been submitted to NRC. The revised technical specification pages (traveler) will be submitted following issuance of NRC safety evaluations on these reports. The remaining owners groups will are expected to develop technical bases to support their inclusion in this initiative later this year. Initiative 2: Revise requirement to shutdown in event of missed surveillance Existing technical specifications require that the limiting condition for operation be entered, potentially leading to a plant shutdown requirement, if a missed surveillance cannot be performed within a specified grace period, following discovery.
U
In certain cases, a missed surveillance cannot be performed without a mode change, and the risk impact of a mode change is generally greater than that involved in deferring the surveillance.
                        'mu.     habitability task                  task force force 6
In most cases, the equipment remains capable of performing its function even though a surveillance has been missed. The proposed change allows that an unintentionally missed surveillance may be treated as an emergent condition and rescheduled through the licensee's 10 CFR 50.65(a)(4) configuration risk management program for performance at the appropriate opportunity, up to the time of the next schedule surveillance.
I Responsibility Communication 6
The change is not intended to allow intentional missing of surveillances, and all missed surveillances must be entered into the plant's corrective action program, which is subject to NRC inspection.
 
Initiative 3: Increased flexibility in mode restraints LCO 3.0.4 specifies that the plant cannot go to higher modes (move towards power operation) unless all technical specification systems normally required for the higher mode are operable. (There are some existing exceptions to this requirement).
Initiatives The program encompasses eight separate initiatives to improve existing technical specification configuration control requirements through use of risk insights. Risk informed approaches consider a spectrum of initiating events, and their probabilities of occurrence, as opposed to deterministic approaches, which assuming the occurrence of specific design basis events. For technical specifications, risk-informed approaches can provide significant improvements in safety, because they implicitly consider dependencies, support systems, and other elements important to plant configuration control.
In contrast, if already in the higher mode, and the same system is inoperable, plant operation is allowed 8 to continue for the duration of the allowed outage time. The purpose of this initiative is to resolve this discrepancy, by allowing entrance into the higher mode with the system inoperable, and entering the LCO applicable to the higher mode. This provides additional operational flexibility and, for the majority of systems, does not represent a risk increase from the current requirements.
The first three initiatives apply risk-informed concepts to limited, specific configuration control provisions of existing specifications, and serve as a test case for the remaining initiatives, which would provide global reforms to the fundamental structure and approach of technical specifications. The first three initiatives are well underway. They are expected to be achieved through general qualitative risk insights derived for the various reactor types, developed by the NSSS owners groups, and through reference to the existing maintenance rule (a)(4) programs. Plant-specific quantitative approaches are expected to be necessary for certain of the remaining initiatives. The initiatives' descriptions and schedules for submittal are as follows:
Each owners group has prepared a generic qualitative risk analysis comparing the at-power risk with the risk in lower modes. These evaluations have identified a limited number of systems that should retain the restriction on entering the mode of applicability, unless justified by plant specific analysis.
Initiative                                     Schedule for NRC submittal
A plant mode change, with equipment out of service, is also required to be evaluated under 10 CFR 50.65(a)(4), with regard to the prevailing plant configuration, and this evaluation must be taken into account in addition to the above qualitative risk analyses.
: 1. Change end states for action                   May 2001 Will initially apply to requirements from cold shutdown to hot           CE and BWRs only.
Initiative 4: Replacement of allowed outage times with configuration risk management approach Current technical specifications contain equipment-specific outage times, limiting conditions for operation, and action statements (e.g., if the diesel generator is inoperable, restore within 7 days. If not restored, take actions to proceed to plant shutdown within 24 hours.) Current technical specifications address systems that directly support other systems, but otherwise do not generally account for the combined risk impact of multiple concurrent out of service conditions.
shutdown
The maintenance rule configuration risk assessment requirement was added to address this consideration, but does not obviate compliance with current technical specifications requirements.
: 2. Eliminate requirement for unit shutdown       Submitted in September 2000.
These current requirements may present inconsistencies with the maintenance rule requirement, and may require plant shutdown, or other actions, that are not the most risk-effective actions given the specific plant configuration.
in event of unintentionally missed surveillance
The overall objective of this initiative is to modify the technical specifications to reflect a configuration risk management approach that is more consistent with the maintenance rule (a)(4) approach.
: 3. Increase flexibility in mode restraints       Submitted in March 2001
The scope of this initiative is limited to those action requirements and limiting conditions for operation that address configuration and operability of plant equipment, and are thus amenable to a risk assessment process. Existing technical specification actions and limiting conditions relative to plant parameters, such as fuel limits, pressure limits, or power-flow distribution maps, would not be affected.
: 4. Replacement of allowed outage times with       Submit by end of 2001 configuration risk management approach
Further, this initiative applies to systems, components, and equipment that are explicitly addressed by technical specifications.
: 5. Replacement of specific surveillance         Submit methodology by end of intervals with risk informed methodology         2001
Initiative 7 addresses the treatment of design features that are implicitly captured into technical specifications through the definition of OPERABILITY.
: 6. Modify LCO 3.0.3, which calls for rapid plant shutdown if outside scope of existing LCOs
The intent of this initiative is to address situations where the equipment's primary safety function is not available.
: 7. Non technical specification design           Submit by August 2001 features impact on technical specification LCO
Initiative 7 is intended to address situations where design features required for low probability initiating events are degraded, but the system's primary safety function is maintained.
: 8. Remove/relocate all non safety systems and non risk significant systems out of scope of technical specifications 7
9 Under the current technical specifications, if the licensee encounters an equipment out of service condition resulting in a shutdown requirement that is contrary to the actual risk significance, the licensee would likely contact NRC and request expedited notification of enforcement discretion, using the risk analysis to support a one-time deferral of the shutdown requirement for an agreed-upon time frame. This initiative can be viewed as establishing a uniform action for this process, and codifying it into the technical specifications themselves.
 
A fundamental consideration is the scope and quality of the risk analysis necessary to support adaptation.
Discussion of initiatives Initiative 1: Revise action requirements, where approuriate, to specify hot shutdown versus cold shutdown as endstate.
Analysis scope (e.g., the need or expectation to quantitatively address fire and other external events, shutdown risk, and transition risk) is of particular importance, as there are currently few plants with full scope risk analyses.
Current technical specification action requirements generally require that the unit be brought to cold shutdown when the limiting condition for operation for a technical specification system has not been met. Depending on the system, and affected safety function, the requirement to go to cold shutdown may not represent the most risk effective course of action. For example, steam driven equipment that could be used as a source of injection or makeup is rendered nonfunctional during cold shutdown, thus removing a potential success path for mitigation of initiating events. To address this situation, each owners group will prepare a qualitative risk analysis providing the basis for changes to this action requirement where appropriate (generally changing the end state from cold shutdown to hot shutdown). The CEOG and BWROG analyses have already been submitted to NRC. The revised technical specification pages (traveler) will be submitted following issuance of NRC safety evaluations on these reports. The remaining owners groups will are expected to develop technical bases to support their inclusion in this initiative later this year.
A related issue involves the degree to which the approach can be tailored to accommodate different levels of risk analysis scope and/or quality. A final issue involves the need to delineate risk management actions (based on the risk assessment results) in a more explicit fashion than currently allowed through the (a)(4) implementation guidance.
Initiative 2: Revise requirement to shutdown in event of missed surveillance Existing technical specifications require that the limiting condition for operation be entered, potentially leading to a plant shutdown requirement, if a missed surveillance cannot be performed within a specified grace period, following discovery. In certain cases, a missed surveillance cannot be performed without a mode change, and the risk impact of a mode change is generally greater than that involved in deferring the surveillance. In most cases, the equipment remains capable of performing its function even though a surveillance has been missed. The proposed change allows that an unintentionally missed surveillance may be treated as an emergent condition and rescheduled through the licensee's 10 CFR 50.65(a)(4) configuration risk management program for performance at the appropriate opportunity, up to the time of the next schedule surveillance. The change is not intended to allow intentional missing of surveillances, and all missed surveillances must be entered into the plant's corrective action program, which is subject to NRC inspection.
However, the basic philosophy and approach of the (a)(4) guidance should provide an appropriate foundation for this activity.
Initiative 3: Increased flexibility in mode restraints LCO 3.0.4 specifies that the plant cannot go to higher modes (move towards power operation) unless all technical specification systems normally required for the higher mode are operable. (There are some existing exceptions to this requirement). In contrast, if already in the higher mode, and the same system is inoperable, plant operation is allowed 8
The configuration risk management approach can be adopted to the existing format and content of technical specifications, without the need for rulemaking to 10 CFR 50.36. This is effected through the following modifications:  
 
: 1. Develop a "backstop" allowed outage time, that would provide the maximum allowable outage time for a specific system. The intent is to preserve the design basis and not allow de facto permanent plant changes through extended equipment outages for low risk significant systems. The existing allowed outage time would also be maintained as an option, should the plant not wish to use the configuration management approach (see item 2 below) for a given situation.
to continue for the duration of the allowed outage time. The purpose of this initiative is to resolve this discrepancy, by allowing entrance into the higher mode with the system inoperable, and entering the LCO applicable to the higher mode. This provides additional operational flexibility and, for the majority of systems, does not represent a risk increase from the current requirements. Each owners group has prepared a generic qualitative risk analysis comparing the at-power risk with the risk in lower modes. These evaluations have identified a limited number of systems that should retain the restriction on entering the mode of applicability, unless justified by plant specific analysis. A plant mode change, with equipment out of service, is also required to be evaluated under 10 CFR 50.65(a)(4),
However, even in this case a maintenance rule (a)(4) assessment would always be required.
with regard to the prevailing plant configuration, and this evaluation must be taken into account in addition to the above qualitative risk analyses.
: 2. Provide an alternative action requirement, upon entry into an LCO, to perform a configuration risk assessment and determine an appropriate allowed outage time, up to the backstop, reflective of the existing plant configuration (and subject to change based on emergent conditions).
Initiative 4: Replacement of allowed outage times with configuration risk management approach Current technical specifications contain equipment-specific outage times, limiting conditions for operation, and action statements (e.g., if the diesel generator is inoperable, restore within 7 days. If not restored, take actions to proceed to plant shutdown within 24 hours.) Current technical specifications address systems that directly support other systems, but otherwise do not generally account for the combined risk impact of multiple concurrent out of service conditions. The maintenance rule configuration risk assessment requirement was added to address this consideration, but does not obviate compliance with current technical specifications requirements. These current requirements may present inconsistencies with the maintenance rule requirement, and may require plant shutdown, or other actions, that are not the most risk-effective actions given the specific plant configuration. The overall objective of this initiative is to modify the technical specifications to reflect a configuration risk management approach that is more consistent with the maintenance rule (a)(4) approach.
: 3. Delineate requirements for timely performance of the assessment and performance of risk management actions, up to plant shutdown, based on the assessment result. 4. Add a programmatic description of the configuration risk management program to the administrative controls section.
The scope of this initiative is limited to those action requirements and limiting conditions for operation that address configuration and operability of plant equipment, and are thus amenable to a risk assessment process. Existing technical specification actions and limiting conditions relative to plant parameters, such as fuel limits, pressure limits, or power-flow distribution maps, would not be affected. Further, this initiative applies to systems, components, and equipment that are explicitly addressed by technical specifications. Initiative 7 addresses the treatment of design features that are implicitly captured into technical specifications through the definition of OPERABILITY.
In addition to the above, a longer term approach is under consideration to provide more significant changes to the fundamental structure of technical specifications.
The intent of this initiative is to address situations where the equipment's primary safety function is not available. Initiative 7 is intended to address situations where design features required for low probability initiating events are degraded, but the system's primary safety function is maintained.
This would 10 require rulemaking to 10 CFR 50.36, and would replace the current system of allowed outage times, limiting conditions for operation, action requirements, and surveillance requirements in its entirety.
9
The new structure would include requirements to manage and maintain risk metrics (e.g., core damage, large early release) within specified values, addressing instantaneous risk, integrated risk, and cumulative risk. Initiative 5: Removal of surveillance test intervals to licensee controlled risk-informed program Current technical specifications provide specific surveillance requirements and surveillance test intervals.
 
Compliance with these requirements is necessary to retain operability of the equipment, and avoid entrance into action requirements.
Under the current technical specifications, if the licensee encounters an equipment out of service condition resulting in a shutdown requirement that is contrary to the actual risk significance, the licensee would likely contact NRC and request expedited notification of enforcement discretion, using the risk analysis to support a one-time deferral of the shutdown requirement for an agreed-upon time frame. This initiative can be viewed as establishing a uniform action for this process, and codifying it into the technical specifications themselves.
The surveillance requirements address function of the primary safety systems as well as instrumentation and control logic, etc. The goal of this initiative is to develop a risk-informed process that would establish surveillance intervals based on risk insights, equipment availability and reliability factors, performance history, etc. Upon development and approval of this process, the intent would be to retain the existing surveillance requirements in the technical specifications, but to remove the equipment-specific surveillance test intervals.
A fundamental consideration is the scope and quality of the risk analysis necessary to support adaptation. Analysis scope (e.g., the need or expectation to quantitatively address fire and other external events, shutdown risk, and transition risk) is of particular importance, as there are currently few plants with full scope risk analyses. A related issue involves the degree to which the approach can be tailored to accommodate different levels of risk analysis scope and/or quality. A final issue involves the need to delineate risk management actions (based on the risk assessment results) in a more explicit fashion than currently allowed through the (a)(4) implementation guidance. However, the basic philosophy and approach of the (a)(4) guidance should provide an appropriate foundation for this activity.
Test intervals would be controlled through the above process and described in a licensee controlled document.
The configuration risk management approach can be adopted to the existing format and content of technical specifications, without the need for rulemaking to 10 CFR 50.36. This is effected through the following modifications:
Again, backstops could be established and retained in the technical specifications, if necessary.
: 1. Develop a "backstop" allowed outage time, that would provide the maximum allowable outage time for a specific system. The intent is to preserve the design basis and not allow de facto permanent plant changes through extended equipment outages for low risk significant systems. The existing allowed outage time would also be maintained as an option, should the plant not wish to use the configuration management approach (see item 2 below) for a given situation. However, even in this case a maintenance rule (a)(4) assessment would always be required.
Fundamental considerations for the methodology to derive risk-informed surveillance intervals should not differ substantially from those previously addressed in the development of risk-informed inservice testing, as approved by NRC. Issues of risk analysis scope and quality would pertain, similar to those for the allowed outage time initiative.
: 2. Provide an alternative action requirement, upon entry into an LCO, to perform a configuration risk assessment and determine an appropriate allowed outage time, up to the backstop, reflective of the existing plant configuration (and subject to change based on emergent conditions).
Initiative 6: Modify limiting condition for operation 3.0.3 This LCO provides for immediate action to initiate plant shutdown if a specific LCO is not met, and its associated actions are not met. This LCO covers many potential situations, and for some of these, immediate plant shutdown is not the most risk effective course of action for the specific configuration.
: 3. Delineate requirements for timely performance of the assessment and performance of risk management actions, up to plant shutdown, based on the assessment result.
A configuration risk management approach, similar to that described in initiative 4 above, can be employed to determine more appropriate allowed outage times. Additionally, configuration-specific AOTs could be developed for certain configurations currently result in entrance into Technical Specification 3.0.3 (this is essentially a pre-evaluated risk analysis).
: 4. Add a programmatic description of the configuration risk management program to the administrative controls section.
The same general considerations apply to this initiative as to initiative 4.11 Initiative 7: Provide deferred entry into LCO for degraded conditions involving design features that are not specifically addressed by technical specifications Currently, the definition of OPERABILITY requires that a system or device be capable of performing its specified safety functions, and if not met, the limiting condition for operation (LCO) must be entered, often leading to plant shutdown requirements.
In addition to the above, a longer term approach is under consideration to provide more significant changes to the fundamental structure of technical specifications. This would 10
The specified safety functions are derived from the accident analyses described in the updated final safety analysis report. Currently, the LCO may be entered because the ability to function in a postulated design basis event is temporarily affected by a maintenance activity, or other condition in the plant. Often, the postulated event is a very low probability occurrence, and the overall safety function is still available for the vast majority of anticipated challenges.
 
As an example, an injection system may be fully capable of delivering design flow and pressure, but its ability to function following a high energy line break may be affected because barriers pertinent to that function are temporarily affected by maintenance activities.
require rulemaking to 10 CFR 50.36, and would replace the current system of allowed outage times, limiting conditions for operation, action requirements, and surveillance requirements in its entirety. The new structure would include requirements to manage and maintain risk metrics (e.g., core damage, large early release) within specified values, addressing instantaneous risk, integrated risk, and cumulative risk.
NRC generic letter 91-18 provides general guidance on the treatment of degraded conditions with respect to operability; however, this guidance is limited with respect to treatment of maintenance activities, is not risk-informed, and predates the promulgation of the maintenance rule configuration assessment requirement.
Initiative 5: Removal of surveillance test intervals to licensee controlled risk-informed program Current technical specifications provide specific surveillance requirements and surveillance test intervals. Compliance with these requirements is necessary to retain operability of the equipment, and avoid entrance into action requirements. The surveillance requirements address function of the primary safety systems as well as instrumentation and control logic, etc.
Implementation guidance for this section of the maintenance rule discusses the need to address temporary plant alterations through risk analysis and management, but the use of the (a)(4) approach does not relieve technical specification compliance issues. Thus, the intent of this initiative is to reduce existing inconsistency with the maintenance rule relative to design features not contained directly in the technical specifications.
The goal of this initiative is to develop a risk-informed process that would establish surveillance intervals based on risk insights, equipment availability and reliability factors, performance history, etc. Upon development and approval of this process, the intent would be to retain the existing surveillance requirements in the technical specifications, but to remove the equipment-specific surveillance test intervals. Test intervals would be controlled through the above process and described in a licensee controlled document.
A similar issue exists relative to component lists (e.g., snubbers, containment penetration overcurrent protection, motor thermal overloads) that were removed from the body of technical specification through the improved standard technical specifications, but whose function is implicit to operability.
Again, backstops could be established and retained in the technical specifications, if necessary. Fundamental considerations for the methodology to derive risk-informed surveillance intervals should not differ substantially from those previously addressed in the development of risk-informed inservice testing, as approved by NRC. Issues of risk analysis scope and quality would pertain, similar to those for the allowed outage time initiative.
Initiative 7 could not address these items, as they will be handled through a separate effort. The goal of this initiative is to develop a risk-informed approach that allows for deferred entry into an LCO for situations involving temporary degradation of design features.
Initiative 6: Modify limiting condition for operation 3.0.3 This LCO provides for immediate action to initiate plant shutdown if a specific LCO is not met, and its associated actions are not met. This LCO covers many potential situations, and for some of these, immediate plant shutdown is not the most risk effective course of action for the specific configuration. A configuration risk management approach, similar to that described in initiative 4 above, can be employed to determine more appropriate allowed outage times. Additionally, configuration-specific AOTs could be developed for certain configurations currently result in entrance into Technical Specification 3.0.3 (this is essentially a pre-evaluated risk analysis). The same general considerations apply to this initiative as to initiative 4.
The deferral time would be a function of the frequency of the initiating event for which the design feature provides protection.
11
The maintenance rule (a)(4) assessment would be controlling, since it addresses the specific plant configuration at the time of the degradation, but the deferral time would be expected to be consistent with the (a)(4) approach for most situations.
 
The proposed change would be effected through a new limiting condition for operation, 3.0.9, which would reference a basis listing of the deferral times. Simplified risk analysis, based on initiating event frequencies, would be used to determine the deferral times. Some restrictions may be necessary relative to simultaneous treatment of redundant trains.12 Initiative 8:. Remove/relocate non safety systems and non risk significant systems out of scope of technical specifications This initiative would reform the scope of technical specifications to address systems that truly meet the current 50.36 scoping criteria*
Initiative 7: Provide deferred entry into LCO for degraded conditions involving design features that are not specifically addressed by technical specifications Currently, the definition of OPERABILITY requires that a system or device be capable of performing its specified safety functions, and if not met, the limiting condition for operation (LCO) must be entered, often leading to plant shutdown requirements. The specified safety functions are derived from the accident analyses described in the updated final safety analysis report. Currently, the LCO may be entered because the ability to function in a postulated design basis event is temporarily affected by a maintenance activity, or other condition in the plant. Often, the postulated event is a very low probability occurrence, and the overall safety function is still available for the vast majority of anticipated challenges. As an example, an injection system may be fully capable of delivering design flow and pressure, but its ability to function following a high energy line break may be affected because barriers pertinent to that function are temporarily affected by maintenance activities.
Some systems in existing standard technical specifications are not believed to meet the three deterministic criteria, nor to be risk significant.
NRC generic letter 91-18 provides general guidance on the treatment of degraded conditions with respect to operability; however, this guidance is limited with respect to treatment of maintenance activities, is not risk-informed, and predates the promulgation of the maintenance rule configuration assessment requirement. Implementation guidance for this section of the maintenance rule discusses the need to address temporary plant alterations through risk analysis and management, but the use of the (a)(4) approach does not relieve technical specification compliance issues. Thus, the intent of this initiative is to reduce existing inconsistency with the maintenance rule relative to design features not contained directly in the technical specifications. A similar issue exists relative to component lists (e.g., snubbers, containment penetration overcurrent protection, motor thermal overloads) that were removed from the body of technical specification through the improved standard technical specifications, but whose function is implicit to operability. Initiative 7 could not address these items, as they will be handled through a separate effort.
A more fundamental consideration for long term technical specification reform, should rulemaking be considered, would be to modify the scope to address only risk significant systems.13 RISK INFORMED TECHNICAL SPECIFICATION INITIATIVES STATUS INITIATIVE TITLE RESPONSIBILITY/NEXT ACTION SCHEDULE Initiative I Technical Specification NRC Issue SER for CEOG Topical 6/01 Actions End States including Actions/Information for BWOG/WOG and NRC Issue SER for BWROG Topical Initiative 2 Missed Surveillance NRC Issue SER and Approve TSTF 6/01 SR 3.0.3 Initiative 3 Increase Flexibility in Mode NRC Issue SER and Approve TSTF 1/01 Restraints LCO 3.0.4 Initiative 4a Individual Risk Informed Ongoing by OGs NA AOTs Initiative 4b Risk Informed AOTs with Industry provide Explanation Paper to 7/01 CRMP/MR Backstops NRC for discussion at 7/01 Meeting Initiative 5a Relocate SRs Not Related to TSTF to Address Deterministically N/A Safety to Licensee Control Initiative 5b Relocate STIs of All SRs to Industry provide plan for Control of 7/01 Licensee Control Relocated STIs to NRC for discussion at 7/01 Meeting Initiative 6a Modify LCO 3.0.3 Actions On Hold for 6b and 6c NA and Timing -1 Hour AOT to 24 Hour AOT 05/24/01 I', C-.) 0 c-fl C CD 01 05/24/01 INITIATIVE TITLE RESPONSIBILITY/NEXT ACTION SCHEDULE Initiative 6b Provide Conditions in the NRC Issue SER for CEOG Topical 9/01 LCOs for Those Levels of Degradation Where No Condition Currently Exists Initiative 6c Provide Specific Times for NRC Issue SER for CEOG Topical 9/01 Those Conditions that Require Entry into LCO 3.0.3 Immediately Initiative 7 Non TS Support System Industry provide White Paper to NRC 7/01 Impact on TS LCOs for discussion at 7/01 Meeting Initiative 8 Remove/Relocate All Non Industry Evaluating Next Action NA Safety Systems/Non Risk Significant Systems Out of TS NEI TSTF Submit a TSTF change request, Including description of proposed change. PNSHCD, and technical justification M 0 Ch '-s "CD Consolidated Line Item Improvement Process (CLIIP) Flow Chart NRC Announce the Solicit public comment availability of the Review the proposed on the proposed TSTF accepted TSTF TSTF change request cange, PNSHCD, and change, associated SE by using an FRN PNSHCD, and the SE and the NRC websile on the NRC website and in an FRN. The Yes announcement will 0 Include a recommended schedule for the Proposed TSTF change submittal of asses preliminary review? amendment requests (including required verifications, conditions.
The goal of this initiative is to develop a risk-informed approach that allows for deferred entry into an LCO for situations involving temporary degradation of design features. The deferral time would be a function of the frequency of the initiating event for which the design feature provides protection. The maintenance rule (a)(4) assessment would be controlling, since it addresses the specific plant configuration at the time of the degradation, but the deferral time would be expected to be consistent with the (a)(4) approach for most situations.
commitments, etc.) No No Amend description of proposed change. PNSHCD. and SE. as appropriate, to resolve public comment(s)
The proposed change would be effected through a new limiting condition for operation, 3.0.9, which would reference a basis listing of the deferral times. Simplified risk analysis, based on initiating event frequencies, would be used to determine the deferral times.
Issue FRNs for notice of consideration and opportunity for hearing for the license amendment applications L-Attachment I Licensees Evaluate accepted TSTF change request(s) and verify applicability to the plant Submit a license amendment request (with Information citing adherence to the proposed change description, PNSHCD, and SE, and addressing any plant specific Information)}}
Some restrictions may be necessary relative to simultaneous treatment of redundant trains.
12
 
Initiative 8:. Remove/relocate non safety systems and non risk significant systems out of scope of technical specifications This initiative would reform the scope of technical specifications to address systems that truly meet the current 50.36 scoping criteria* Some systems in existing standard technical specifications are not believed to meet the three deterministic criteria, nor to be risk significant. A more fundamental consideration for long term technical specification reform, should rulemaking be considered, would be to modify the scope to address only risk significant systems.
13
 
RISK INFORMED TECHNICAL SPECIFICATION INITIATIVES STATUS INITIATIVE           TITLE                       RESPONSIBILITY/NEXT ACTION           SCHEDULE Initiative I         Technical Specification     NRC Issue SER for CEOG Topical       6/01 Actions End States           including Actions/Information for BWOG/WOG and NRC Issue SER for BWROG Topical Initiative 2         Missed Surveillance         NRC Issue SER and Approve TSTF       6/01 SR 3.0.3 Initiative 3         Increase Flexibility in Mode NRC Issue SER and Approve TSTF       1/01 Restraints LCO 3.0.4 Initiative 4a       Individual Risk Informed     Ongoing by OGs                       NA AOTs Initiative 4b       Risk Informed AOTs with     Industry provide Explanation Paper to 7/01 CRMP/MR Backstops           NRC for discussion at 7/01 Meeting Initiative 5a       Relocate SRs Not Related to TSTF to Address Deterministically     N/A Safety to Licensee Control Initiative 5b       Relocate STIs of All SRs to Industry provide plan for Control of 7/01 Licensee Control             Relocated STIs to NRC for discussion at 7/01 Meeting Initiative 6a       Modify LCO 3.0.3 Actions     On Hold for 6b and 6c                 NA and Timing - 1 Hour AOT to 24 Hour AOT I',
C-.)
0 c-fl C
CD 01 05/24/01
 
INITIATIVE   TITLE                     RESPONSIBILITY/NEXT ACTION         SCHEDULE Initiative 6b Provide Conditions in the NRC Issue SER for CEOG Topical     9/01 LCOs for Those Levels of Degradation Where No Condition Currently Exists Initiative 6c Provide Specific Times for NRC Issue SER for CEOG Topical     9/01 Those Conditions that Require Entry into LCO 3.0.3 Immediately Initiative 7 Non TS Support System     Industry provide White Paper to NRC 7/01 Impact on TS LCOs         for discussion at 7/01 Meeting Initiative 8 Remove/Relocate All Non   Industry Evaluating Next Action     NA Safety Systems/Non Risk Significant Systems Out of TS 05/24/01
 
Attachment I Consolidated Line Item Improvement Process (CLIIP) Flow Chart NEI TSTF                                                        NRC                                           Licensees Announce the Solicit public comment       availability of the Review the proposed         on the proposed TSTF                                   Evaluate accepted accepted TSTF TSTF change request                                                                   TSTF change cange, PNSHCD, and         change, associated       request(s) and verify SE by using an FRN       PNSHCD, and the SE       applicability to the plant and the NRC websile       on the NRC website and in an FRN. The Yes                             announcement will 0*          Include a recommended Submit a TSTF change                                                                                              Submit a license request, Including                                                                    schedule for the Proposed TSTF change                                                               amendment request description of proposed                                                                      submittal of asses preliminary review?                                                         (with Information citing change. PNSHCD, and                                                                  amendment requests (including required adherence to the technical justification                                                                                          proposed change verifications, conditions.
description, PNSHCD, commitments, etc.)
and SE, and No                                                                     addressing any plant specific Information)
L-Issue FRNs for notice of consideration and opportunity for hearing for the license amendment applications No M
0                                                                Amend description of
'-s                                                              proposed change.
"CD Ch                                                              PNSHCD. and SE. as appropriate, to resolve public comment(s)}}

Latest revision as of 10:33, 28 March 2020

May 24, 2001: Summary of Meeting with Risk-Informed Technical Specification Task Force (RITSTF)
ML011560373
Person / Time
Issue date: 06/04/2001
From: Dennig R
Technical Specifications Branch
To: Bradley B
Nuclear Energy Institute
Tjader T., NRC/RTSB, 415-1187
References
TAC M77196
Download: ML011560373 (24)


Text

UNITED STATES NUCLEAR REGULATORY COMMISSION WASHINGTON, D.C. 20555-0001 June 4, 2001 Mr. Biff Bradley Nuclear Energy Institute Suite 400 1776 I Street, NW Washington, DC 20006-3708

SUBJECT:

MAY 24, 2001:

SUMMARY

OF MEETING WITH RISK-INFORMED TECHNICAL SPECIFICATION TASK FORCE (RITSTF)

Dear Mr. Bradley:

The purpose of this letter is to transmit the summary of a meeting with the RITSTF. The meeting was held at the U.S. Nuclear Regulatory Commission offices in Rockville, Maryland, on May 24, 2001.

Sincerely, Robert L. Dennig, Acting Chief Technical Specifications Branch Division of Regulatory Improvement Programs Office of Nuclear Reactor Regulation

Enclosures:

1. Meeting Summary
2. Attendance List
3. Agenda
4. Project Description RITS (White Paper)
5. RITS Initiative Status
6. Consolidated Line Item Improvement Process (CLIIP) Flow Chart cc w/encl: See attached list

O Publicly Available El Non-Publicly Available 0 Sensitive El Non-Sensitive DOCUMENT NAME: G:\RTSB\Tjader\RIT§TF\RITSTF-MTG-05-24-01.wpd OFFICE SE/RTSB/DRIP (A)B?*P DRIP NAME TRTjader IRLDgrn'ig "

DATE 06/ 1 /2001 06/ /2001 DISTRIBUTION:

RTSB R/F RTSB Staff SCollins/RPZimmerman JJohnson BWSheron DBMafthews FPGillespie GMHolahan RJBarreft RLDennig FMReinhart MLWohl NTSaltos TSB Staff JAZwolinski JFWilliams AWMarkley SLMagruder JNHannon TRQuay DFThatcher WEScott JSCushing RMPulsifer SDBloom MACunningham, RES Markley, ACRS Staff

Mr. Biff Bradley cc via e-mail:

Mr. Tony Pietrangelo Mr. Rick Hill Nuclear Energy Institute General Electric Nuclear Energy Mr. Tony Brooks Mr. Michael S. Kitlan, Jr.

Nuclear Energy Institute Duke Energy Corporation Mr. Mike Schoppman Mr. Noel Clarkson Nuclear Energy Institute Duke Energy Corporation Mr. Alan Hackerott, Chairman Mr. Donald Hoffman Omaha Public Power District EXCEL Services Corporation Mr. Jim Kenny Mr. Stanley Levinson Pennsylvania Power & Light Company Framatome Technologies Mr. James Andrachek Mr. R. J. Schomaker Westinghouse Electric Company Framatome Technologies Mr. Jack Stringfellow Mr. J. E. Rhoads Southern Nuclear Operating Company Energy Northwest Mr. Donald McCamy Browns Ferry Nuclear Plant Mr. Ray Schneider Westinghouse Electric Company

SUMMARY

OF THE MAY 24, 2001, NRC/INDUSTRY MEETING OF THE RISK-INFORMED TECHNICAL SPECIFICATION TASK FORCE The NRC staff met with the NEI Risk-Informed Technical Specification Task Force (RITSTF) on May 24, 2000, from 9:00 am to 12:30 pm. The meeting attendees are listed in enclosure 2.

First on the agenda (enclosure 3) was the NEI white paper presentation on the Project Description of Risk-Informed Technical Specifications (RITS) improvements (enclosure 4). The NEI white paper will be submitted formally. Biff Bradley of NEI presented the white paper. The following major issues were discussed: schedule, organization, process, status of initiatives, prioritization of RITS efforts, and management of initiatives. NEI expressed concern that the internal NRC review process is too slow and if it does not improve industry may cease their activities with the proposed initiatives; they cannot get funding if they cannot show results of their efforts. NEI is looking for a "timely" review of their documents. The NRC staff indicated that the initial RITS initiatives that go through the review and approval process may seem to take a long time due to the need to educate the staff on the efforts. The NRC staff is planning to more actively manage the review of the RITS initiative submittals through the Risk Informed Regulatory Implementation Plan (RIRIP). The NRC staff noted that not only can the NRC staff improve their review process, but the industry can better coordinate their submittals both among the vendor owners groups and the timeliness of their TSTF change proposals.

The status of the eight initiatives were discussed in detail. The industry provided their perspective on the status of the initiatives (enclosure 5). Following is an amplification of that status:

Initiative 1, TS Actions End States Modifications: NRC staff review of the industry topicals supporting the Risk-Informed Technical Specifications Task Force (RITSTF) initiative have begun. The CE topical SER is in concurrence. The BWR topical SER is scheduled to be ready for concurrence by the end of the year 2001.

TSTF-358, Initiative 2, Missed Surveillance Requirements (SR), SR 3.0.3 modifications: The NRC staff SER and the Federal Register Notice (FRN) for the Consolidated Line Item Improvement Program (CLIIP) process are in concurrence. It is at OGC for review (last stop before FRN), and OGC concurrence is expected by June 11.

TSTF-359, Initiative 3, Modification of mode restraint requirements of LCO 3.0.4: The RITSTF has submitted a TS change proposal (TSTF-359), and it has been distributed for staff review.

The staff SER is scheduled to be ready for concurrence by the end of September 2001.

Initiative 4, Risk Informed AOTs, use of a configuration risk management program (CRMP): A RITSTF concept/white paper is planned to be published in July and a submittal is expected by the end of the year 2001. The CLIIP change is planned to be available by the end of the year 2002.

Enclosure 1

Initiative 5, Relocation of non-safety SRs and relocation of all SR frequency requirements out of TS: A RITSTF concept/white paper is planned to be published in July and a submittal is expected by the end of the year 2001. The CLIIP change is planned to be available by the end of the year 2002.

Initiative 6, Modification of LCO 3.0.3 Actions and Completion Times: A CEOG submittal has been received, and staff review has begun. An SER is expected at the beginning of June 2001.

Initiative 7, Non-TS support system impact on TS operability determinations: A RITSTF concept/white paper is planned to be published in July and a submittal is expected by the end of the year 2001. The CLIIP change is planned to be available by the end of the year 2002.

Initiative 8, Relocate non-risk significant systems out of TS: A RITSTF submittal is expected at the end of the year 2002, and the CLIIP change is planned to be available by the end of the year 2003.

The CLIIP process was briefly discussed and a handout (enclosure 6) on the flow process was provided.

The next RTSB/NEI RITSTF meeting is scheduled on Tuesday, July 31, 2001. Tentatively, the morning of the meeting will be for process/initiative management, and the afternoon will be for breakout discussion on the details of the specific initiatives.

NRC/INDUSTRY MEETING OF THE RISK-INFORMED TECHNICAL SPECIFICATION TASK FORCE ATTENDANCE LIST MAY 24, 2001 NAME AFFILIATION BIFF BRADLEY NUCLEAR ENERGY INSTITUTE TONY PIETRANGELO NUCLEAR ENERGY INSTITUTE TONY BROOKS NUCLEAR ENERGY INSTITUTE MIKE SCHOPPMAN NUCLEAR ENERGY INSTITUTE RAY SCHNEIDER WESTINGHOUSE/CEOG ALAN HACKEROTT OMAHA PUBLIC POWER DISTRICT/CEOG JACK STRINGFELLOW SOUTHERN NUCLEAR OPERATING COMPANY DONALD HOFFMAN EXCEL SERVICES JIM ANDRACHEK WESTINGHOUSE/WOG JIM KENNY PP&L/BWROG DON MCCAMY TENNESSEE VALLEY AUTHORITY/BWROG J. E. RHOADS ENERGY NORTHWEST/BWROG MIKE KITLAN DUKE POWERIBWOG NOEL CLARKSON DUKE POWER/BWOG STANLEY LEVINSON FRAMATOME ANP R. J. SCHOMAKER FRAMATOME ANP FRANK GILLESPIE NRC/NRR/DRIP NICK SALTOS NRC/NRR/DSSA/SPSB MILLARD WOHL NRC/NRR/DSSNSPSB BOB DENNIG NRC/NRR/DRIP/RTSB BOB TJADER NRC/NRR/DRIP/RTSB NAN GILLES NRC/NRRJDRIP/RTSB PETE HEARN NRC/NRR/DRIP/RTSB KERI KAVANAGH NRC/NRR/DRIP/RTSB JACK CUSHING NRC/NRR/DLPM JOHN HANNON NRC/NRR/DSSANSPLB STU MAGRUDER NRC/NRR/DRIP/RGEB WAYNE SCOTT NRC/NRR/DIPM/IQPB Enclosure 2

AGENDA TSB/NEI RITSTF Meeting May 24, 2001 from 9:00 AM to 1:00 PM, in O-9B4 0 NEI White Paper Presentation, on the RI Initiatives and Integrated Effect (1 hr) 0 Status of Initiatives (1.5 hrs)

- TSTF-358, Initiative 2, SR 3.0.3 Missed Surveillances

- TSTF-359, Initiative 3, SR 3.0.4 (Mode Restraint) Flexibility

- Initiative 7, Non-TS Support System Operability Impact on TS System

- Initiative 5, STI Evaluation Methodology

- Initiative 4, RI AOTs with CRMP

- Initiative 1, Action End States

- Initiative 6, LCO 3.0.3 Actions and Completion Times 0 Process and Planning (lhr)

- Risk Informed Regulatory Implementation Plan (RIRIP)

- CLIIP vs non-CLIIP changes

- OG Coordination o Schedule Next Meeting (15 min) 0 Closing Comments (15 min)

Enclosure 3

Project Description Risk-Informed Technical Specifications Nuclear Energy Institute May 2001 Enclosure 4 1

TABLE OF CONTENTS 1 Introduction 2 Purpose of paper 3 Need for change

4 Background

5 Initiatives 6 Discussion of initiatives 2

INTRODUCTION Purpose of paper Risk-informed improvements to technical specifications have the potential for safety benefits and improved plant performance. This paper serves as a vehicle to communicate the industry's activities to achieve risk informed improvements to operating plant technical specifications. It is intended to inform various stakeholders in this effort, including industry, NRC, and other parties that may have an interest. The paper serves as a means to coordinate and integrate industry activities, and to provide the status and milestones of the various industry initiatives that make up the improvement project. It will be periodically updated to reflect progress achieved.

Need for Change Plant configuration control requirements have, until last year, been solely contained in the technical specifications, which are an appendix to the plant operating license. 10 CFR 50.36 provides the general requirements for the content of technical specifications, and changes to the technical specifications are controlled through 10 CFR 50.90 (license amendments) and 50.92 (no significant hazards analysis and opportunity for public participation). Technical specifications address configuration control through specifying time limits for equipment out of service, and actions, generally leading to plant shutdown, when the out of service times are exceeded. Technical specifications are primarily based on the deterministic design basis accidents, and do not consider the plant risk impact as a factor in the action requirements. Further, technical specifications are not intended to consider the synergistic effects of multiple out of service conditions.

Industry has achieved substantial gains in plant capacity factors over the last several years through reduced planned outage duration and increased use of on-line maintenance.

Plant maintenance generally involves temporary impacts on equipment availability that are balanced by increased reliability. It is recognized that plant configuration control decisions can have non-negligible temporary impacts on plant risk profiles. Accordingly, in November of 2000, a risk-informed plant configuration control provision was added to the maintenance rule, 10 CFR 50.65, requiring assessment and consideration of risk prior to performance of both online and shutdown maintenance. Industry developed guidance to accompany this rulemaking through a revision to the maintenance rule implementation guideline. That document, NUMARC 93701, revision 3, provides guidance on the use of quantitative probabilistic safety assessment (PSA), qualitative risk assessment, and plant operating experience to assess plant risk due to maintenance activities. It also provides guidance on actions that may be taken to manage the risk as determined by the assessment. The guidance also incorporates the shutdown risk management approach of NUMARC 91-06, which is based on preservation of key shutdown safety functions.

3

It is recognized that the configuration control requirements of technical specifications (deterministic) and the maintenance rule (risk informed) may be in conflict; however, the licensee is required to comply with both, resulting in limitations on configuration control flexibility that are unrelated to plant safety. The intent of risk-informed technical specifications is to address the incompatibilities between these methods, and provide a single, consistent approach for plant configuration control.

In addition to addressing dual regulation and resolving inconsistent requirements, several other benefits would accrue from the successful transition to risk-informed technical specifications. The first benefit would be improved plant capacity factor through avoidance of forced shutdowns due to technical specification requirements. In many circumstances where shutdown is called for, it is not the most risk-effective course of action, and these situations are currently addressed on an as-needed, real time basis through the NRC enforcement discretion process. This process involves the application of risk informed methods to justify a one time avoidance of the shutdown, with NRC review and approval. Avoidance of enforcement discretion would save licensee and NRC resources, eliminate the need to seek "exceptions" to requirements, remove the uncertainty of outcome associated with the current process, and provide enhanced consistency and uniformity of methods.

The second benefit would be optimization of on-line maintenance flexibility, with the attendant benefit of further reduction in outage duration. Currently, plants have generally optimized their on-line maintenance activities to the extent achievable within the existing technical specifications, and have achieved very short planned outage durations. Some additional improvement could be facilitated through risk-informed technical specifications.

The third benefit would be reduction of licensee and NRC resource requirements following conversion to the risk-informed technical specifications. The need to seek future line item improvements should be substantially eliminated, since the risk-informed technical specifications, if properly designed, should contain inherent flexibility. Processing of license amendment requests currently accounts for a significant portion of NRC's resources, and licensee review fees.

Another benefit is that technical specifications are directly amenable to the use of risk analyses, as they address times (out of service times, action times, and test frequencies) and equipment availabilities that can be quantified in a relatively straightforward manner. Finally, it is anticipated that substantial reforms can be realized under the current regulation, 10 CFR 50.36, without the need for the time consuming rulemaking process.

4

=

Background===

Most plants have converted to improved standard technical specifications, although some plants still use early custom technical specifications. NRC maintains a NUREG document that represents the improved standard technical specifications (ITS) for each reactor vendor. Revision 2 of these NUREGs will be issued in the near future. Changes to the ITS NUREGs are coordinated through the NEI technical specification task force (TSTF).

Changes are generally proposed by the owners groups, and the TSTF prepares an ITS change package called a "traveler". The traveler is submitted to NRC for approval and incorporation into subsequent revisions of the ITS NUREG.

NRC has recently developed the consolidated line item improvement (CLIIP) process for regulatory approval of travelers incorporating proposed changes to ITS. Initiatives developed under the risk-informed technical specifications effort will be treated through this process, which is described in NRC regulatory information summary 2000-06.

NRC Regulatory Guides 1.174 and 1.177 provides the general considerations and approach for licensees to develop risk informed allowed outage time extensions for specific equipment in technical specifications. Over the past several years, most plants have requested such changes using risk-informed approaches. These changes have been developed by individual plants or by owners groups, and are generally not reflected in the revised ITS NUREGs. These changes have been approved by NRC on the basis of individual reviews, including focused NRC review of the PRA models used to develop the risk insights supporting the change.

In 1999, NEI formed the risk informed technical specifications task force (RITSTF) to develop consistent industry approaches to apply risk insights to technical specification reform, and build on the previous ad-hoc activities of the owners groups. In 2000, NEI formed the technical specification working group (TSWG) to provide oversight and policy direction relative to technical specifications issues. Figure 1 depicts the industry organizational structure.

Figure 1 includes industry task forces addressing control room habitability, and steam generator issues, because these groups are developing revised technical specifications relative to these systems. There is a potential for risk insights to be used in the development of these specifications.

5

Figure 1 - Industry Structure Nuclear strategic issues advisory committee

-- I-Technical lonesome Risk-informed specification working regulation working group group I

Policy


T----------- I__---------------------

Support U

U U

U U

U U

U U

Control room Risk applications U

U

'mu. habitability task task force force 6

I Responsibility Communication 6

Initiatives The program encompasses eight separate initiatives to improve existing technical specification configuration control requirements through use of risk insights. Risk informed approaches consider a spectrum of initiating events, and their probabilities of occurrence, as opposed to deterministic approaches, which assuming the occurrence of specific design basis events. For technical specifications, risk-informed approaches can provide significant improvements in safety, because they implicitly consider dependencies, support systems, and other elements important to plant configuration control.

The first three initiatives apply risk-informed concepts to limited, specific configuration control provisions of existing specifications, and serve as a test case for the remaining initiatives, which would provide global reforms to the fundamental structure and approach of technical specifications. The first three initiatives are well underway. They are expected to be achieved through general qualitative risk insights derived for the various reactor types, developed by the NSSS owners groups, and through reference to the existing maintenance rule (a)(4) programs. Plant-specific quantitative approaches are expected to be necessary for certain of the remaining initiatives. The initiatives' descriptions and schedules for submittal are as follows:

Initiative Schedule for NRC submittal

1. Change end states for action May 2001 Will initially apply to requirements from cold shutdown to hot CE and BWRs only.

shutdown

2. Eliminate requirement for unit shutdown Submitted in September 2000.

in event of unintentionally missed surveillance

3. Increase flexibility in mode restraints Submitted in March 2001
4. Replacement of allowed outage times with Submit by end of 2001 configuration risk management approach
5. Replacement of specific surveillance Submit methodology by end of intervals with risk informed methodology 2001
6. Modify LCO 3.0.3, which calls for rapid plant shutdown if outside scope of existing LCOs
7. Non technical specification design Submit by August 2001 features impact on technical specification LCO
8. Remove/relocate all non safety systems and non risk significant systems out of scope of technical specifications 7

Discussion of initiatives Initiative 1: Revise action requirements, where approuriate, to specify hot shutdown versus cold shutdown as endstate.

Current technical specification action requirements generally require that the unit be brought to cold shutdown when the limiting condition for operation for a technical specification system has not been met. Depending on the system, and affected safety function, the requirement to go to cold shutdown may not represent the most risk effective course of action. For example, steam driven equipment that could be used as a source of injection or makeup is rendered nonfunctional during cold shutdown, thus removing a potential success path for mitigation of initiating events. To address this situation, each owners group will prepare a qualitative risk analysis providing the basis for changes to this action requirement where appropriate (generally changing the end state from cold shutdown to hot shutdown). The CEOG and BWROG analyses have already been submitted to NRC. The revised technical specification pages (traveler) will be submitted following issuance of NRC safety evaluations on these reports. The remaining owners groups will are expected to develop technical bases to support their inclusion in this initiative later this year.

Initiative 2: Revise requirement to shutdown in event of missed surveillance Existing technical specifications require that the limiting condition for operation be entered, potentially leading to a plant shutdown requirement, if a missed surveillance cannot be performed within a specified grace period, following discovery. In certain cases, a missed surveillance cannot be performed without a mode change, and the risk impact of a mode change is generally greater than that involved in deferring the surveillance. In most cases, the equipment remains capable of performing its function even though a surveillance has been missed. The proposed change allows that an unintentionally missed surveillance may be treated as an emergent condition and rescheduled through the licensee's 10 CFR 50.65(a)(4) configuration risk management program for performance at the appropriate opportunity, up to the time of the next schedule surveillance. The change is not intended to allow intentional missing of surveillances, and all missed surveillances must be entered into the plant's corrective action program, which is subject to NRC inspection.

Initiative 3: Increased flexibility in mode restraints LCO 3.0.4 specifies that the plant cannot go to higher modes (move towards power operation) unless all technical specification systems normally required for the higher mode are operable. (There are some existing exceptions to this requirement). In contrast, if already in the higher mode, and the same system is inoperable, plant operation is allowed 8

to continue for the duration of the allowed outage time. The purpose of this initiative is to resolve this discrepancy, by allowing entrance into the higher mode with the system inoperable, and entering the LCO applicable to the higher mode. This provides additional operational flexibility and, for the majority of systems, does not represent a risk increase from the current requirements. Each owners group has prepared a generic qualitative risk analysis comparing the at-power risk with the risk in lower modes. These evaluations have identified a limited number of systems that should retain the restriction on entering the mode of applicability, unless justified by plant specific analysis. A plant mode change, with equipment out of service, is also required to be evaluated under 10 CFR 50.65(a)(4),

with regard to the prevailing plant configuration, and this evaluation must be taken into account in addition to the above qualitative risk analyses.

Initiative 4: Replacement of allowed outage times with configuration risk management approach Current technical specifications contain equipment-specific outage times, limiting conditions for operation, and action statements (e.g., if the diesel generator is inoperable, restore within 7 days. If not restored, take actions to proceed to plant shutdown within 24 hours2.777778e-4 days <br />0.00667 hours <br />3.968254e-5 weeks <br />9.132e-6 months <br />.) Current technical specifications address systems that directly support other systems, but otherwise do not generally account for the combined risk impact of multiple concurrent out of service conditions. The maintenance rule configuration risk assessment requirement was added to address this consideration, but does not obviate compliance with current technical specifications requirements. These current requirements may present inconsistencies with the maintenance rule requirement, and may require plant shutdown, or other actions, that are not the most risk-effective actions given the specific plant configuration. The overall objective of this initiative is to modify the technical specifications to reflect a configuration risk management approach that is more consistent with the maintenance rule (a)(4) approach.

The scope of this initiative is limited to those action requirements and limiting conditions for operation that address configuration and operability of plant equipment, and are thus amenable to a risk assessment process. Existing technical specification actions and limiting conditions relative to plant parameters, such as fuel limits, pressure limits, or power-flow distribution maps, would not be affected. Further, this initiative applies to systems, components, and equipment that are explicitly addressed by technical specifications. Initiative 7 addresses the treatment of design features that are implicitly captured into technical specifications through the definition of OPERABILITY.

The intent of this initiative is to address situations where the equipment's primary safety function is not available. Initiative 7 is intended to address situations where design features required for low probability initiating events are degraded, but the system's primary safety function is maintained.

9

Under the current technical specifications, if the licensee encounters an equipment out of service condition resulting in a shutdown requirement that is contrary to the actual risk significance, the licensee would likely contact NRC and request expedited notification of enforcement discretion, using the risk analysis to support a one-time deferral of the shutdown requirement for an agreed-upon time frame. This initiative can be viewed as establishing a uniform action for this process, and codifying it into the technical specifications themselves.

A fundamental consideration is the scope and quality of the risk analysis necessary to support adaptation. Analysis scope (e.g., the need or expectation to quantitatively address fire and other external events, shutdown risk, and transition risk) is of particular importance, as there are currently few plants with full scope risk analyses. A related issue involves the degree to which the approach can be tailored to accommodate different levels of risk analysis scope and/or quality. A final issue involves the need to delineate risk management actions (based on the risk assessment results) in a more explicit fashion than currently allowed through the (a)(4) implementation guidance. However, the basic philosophy and approach of the (a)(4) guidance should provide an appropriate foundation for this activity.

The configuration risk management approach can be adopted to the existing format and content of technical specifications, without the need for rulemaking to 10 CFR 50.36. This is effected through the following modifications:

1. Develop a "backstop" allowed outage time, that would provide the maximum allowable outage time for a specific system. The intent is to preserve the design basis and not allow de facto permanent plant changes through extended equipment outages for low risk significant systems. The existing allowed outage time would also be maintained as an option, should the plant not wish to use the configuration management approach (see item 2 below) for a given situation. However, even in this case a maintenance rule (a)(4) assessment would always be required.
2. Provide an alternative action requirement, upon entry into an LCO, to perform a configuration risk assessment and determine an appropriate allowed outage time, up to the backstop, reflective of the existing plant configuration (and subject to change based on emergent conditions).
3. Delineate requirements for timely performance of the assessment and performance of risk management actions, up to plant shutdown, based on the assessment result.
4. Add a programmatic description of the configuration risk management program to the administrative controls section.

In addition to the above, a longer term approach is under consideration to provide more significant changes to the fundamental structure of technical specifications. This would 10

require rulemaking to 10 CFR 50.36, and would replace the current system of allowed outage times, limiting conditions for operation, action requirements, and surveillance requirements in its entirety. The new structure would include requirements to manage and maintain risk metrics (e.g., core damage, large early release) within specified values, addressing instantaneous risk, integrated risk, and cumulative risk.

Initiative 5: Removal of surveillance test intervals to licensee controlled risk-informed program Current technical specifications provide specific surveillance requirements and surveillance test intervals. Compliance with these requirements is necessary to retain operability of the equipment, and avoid entrance into action requirements. The surveillance requirements address function of the primary safety systems as well as instrumentation and control logic, etc.

The goal of this initiative is to develop a risk-informed process that would establish surveillance intervals based on risk insights, equipment availability and reliability factors, performance history, etc. Upon development and approval of this process, the intent would be to retain the existing surveillance requirements in the technical specifications, but to remove the equipment-specific surveillance test intervals. Test intervals would be controlled through the above process and described in a licensee controlled document.

Again, backstops could be established and retained in the technical specifications, if necessary. Fundamental considerations for the methodology to derive risk-informed surveillance intervals should not differ substantially from those previously addressed in the development of risk-informed inservice testing, as approved by NRC. Issues of risk analysis scope and quality would pertain, similar to those for the allowed outage time initiative.

Initiative 6: Modify limiting condition for operation 3.0.3 This LCO provides for immediate action to initiate plant shutdown if a specific LCO is not met, and its associated actions are not met. This LCO covers many potential situations, and for some of these, immediate plant shutdown is not the most risk effective course of action for the specific configuration. A configuration risk management approach, similar to that described in initiative 4 above, can be employed to determine more appropriate allowed outage times. Additionally, configuration-specific AOTs could be developed for certain configurations currently result in entrance into Technical Specification 3.0.3 (this is essentially a pre-evaluated risk analysis). The same general considerations apply to this initiative as to initiative 4.

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Initiative 7: Provide deferred entry into LCO for degraded conditions involving design features that are not specifically addressed by technical specifications Currently, the definition of OPERABILITY requires that a system or device be capable of performing its specified safety functions, and if not met, the limiting condition for operation (LCO) must be entered, often leading to plant shutdown requirements. The specified safety functions are derived from the accident analyses described in the updated final safety analysis report. Currently, the LCO may be entered because the ability to function in a postulated design basis event is temporarily affected by a maintenance activity, or other condition in the plant. Often, the postulated event is a very low probability occurrence, and the overall safety function is still available for the vast majority of anticipated challenges. As an example, an injection system may be fully capable of delivering design flow and pressure, but its ability to function following a high energy line break may be affected because barriers pertinent to that function are temporarily affected by maintenance activities.

NRC generic letter 91-18 provides general guidance on the treatment of degraded conditions with respect to operability; however, this guidance is limited with respect to treatment of maintenance activities, is not risk-informed, and predates the promulgation of the maintenance rule configuration assessment requirement. Implementation guidance for this section of the maintenance rule discusses the need to address temporary plant alterations through risk analysis and management, but the use of the (a)(4) approach does not relieve technical specification compliance issues. Thus, the intent of this initiative is to reduce existing inconsistency with the maintenance rule relative to design features not contained directly in the technical specifications. A similar issue exists relative to component lists (e.g., snubbers, containment penetration overcurrent protection, motor thermal overloads) that were removed from the body of technical specification through the improved standard technical specifications, but whose function is implicit to operability. Initiative 7 could not address these items, as they will be handled through a separate effort.

The goal of this initiative is to develop a risk-informed approach that allows for deferred entry into an LCO for situations involving temporary degradation of design features. The deferral time would be a function of the frequency of the initiating event for which the design feature provides protection. The maintenance rule (a)(4) assessment would be controlling, since it addresses the specific plant configuration at the time of the degradation, but the deferral time would be expected to be consistent with the (a)(4) approach for most situations.

The proposed change would be effected through a new limiting condition for operation, 3.0.9, which would reference a basis listing of the deferral times. Simplified risk analysis, based on initiating event frequencies, would be used to determine the deferral times.

Some restrictions may be necessary relative to simultaneous treatment of redundant trains.

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Initiative 8:. Remove/relocate non safety systems and non risk significant systems out of scope of technical specifications This initiative would reform the scope of technical specifications to address systems that truly meet the current 50.36 scoping criteria* Some systems in existing standard technical specifications are not believed to meet the three deterministic criteria, nor to be risk significant. A more fundamental consideration for long term technical specification reform, should rulemaking be considered, would be to modify the scope to address only risk significant systems.

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RISK INFORMED TECHNICAL SPECIFICATION INITIATIVES STATUS INITIATIVE TITLE RESPONSIBILITY/NEXT ACTION SCHEDULE Initiative I Technical Specification NRC Issue SER for CEOG Topical 6/01 Actions End States including Actions/Information for BWOG/WOG and NRC Issue SER for BWROG Topical Initiative 2 Missed Surveillance NRC Issue SER and Approve TSTF 6/01 SR 3.0.3 Initiative 3 Increase Flexibility in Mode NRC Issue SER and Approve TSTF 1/01 Restraints LCO 3.0.4 Initiative 4a Individual Risk Informed Ongoing by OGs NA AOTs Initiative 4b Risk Informed AOTs with Industry provide Explanation Paper to 7/01 CRMP/MR Backstops NRC for discussion at 7/01 Meeting Initiative 5a Relocate SRs Not Related to TSTF to Address Deterministically N/A Safety to Licensee Control Initiative 5b Relocate STIs of All SRs to Industry provide plan for Control of 7/01 Licensee Control Relocated STIs to NRC for discussion at 7/01 Meeting Initiative 6a Modify LCO 3.0.3 Actions On Hold for 6b and 6c NA and Timing - 1 Hour AOT to 24 Hour AOT I',

C-.)

0 c-fl C

CD 01 05/24/01

INITIATIVE TITLE RESPONSIBILITY/NEXT ACTION SCHEDULE Initiative 6b Provide Conditions in the NRC Issue SER for CEOG Topical 9/01 LCOs for Those Levels of Degradation Where No Condition Currently Exists Initiative 6c Provide Specific Times for NRC Issue SER for CEOG Topical 9/01 Those Conditions that Require Entry into LCO 3.0.3 Immediately Initiative 7 Non TS Support System Industry provide White Paper to NRC 7/01 Impact on TS LCOs for discussion at 7/01 Meeting Initiative 8 Remove/Relocate All Non Industry Evaluating Next Action NA Safety Systems/Non Risk Significant Systems Out of TS 05/24/01

Attachment I Consolidated Line Item Improvement Process (CLIIP) Flow Chart NEI TSTF NRC Licensees Announce the Solicit public comment availability of the Review the proposed on the proposed TSTF Evaluate accepted accepted TSTF TSTF change request TSTF change cange, PNSHCD, and change, associated request(s) and verify SE by using an FRN PNSHCD, and the SE applicability to the plant and the NRC websile on the NRC website and in an FRN. The Yes announcement will 0* Include a recommended Submit a TSTF change Submit a license request, Including schedule for the Proposed TSTF change amendment request description of proposed submittal of asses preliminary review? (with Information citing change. PNSHCD, and amendment requests (including required adherence to the technical justification proposed change verifications, conditions.

description, PNSHCD, commitments, etc.)

and SE, and No addressing any plant specific Information)

L-Issue FRNs for notice of consideration and opportunity for hearing for the license amendment applications No M

0 Amend description of

'-s proposed change.

"CD Ch PNSHCD. and SE. as appropriate, to resolve public comment(s)