ML22097A136: Difference between revisions

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{{#Wiki_filter:2022 National State Liaison Officer Conference Presentation:
{{#Wiki_filter:2022 National State Liaison Officer Conference Presentation:
Nonemergency Event Notifications Rulemaking George Tartal NRC Project Manager ADAMS Accession No. ML21337A345
Nonemergency Event Notifications Rulemaking
 
George Tartal NRC Project Manager
 
ADAMS Accession No. ML21337A345


===Background===
===Background===
Line 24: Line 28:
* In 2020, the NRC staff recommended rulemaking.
* In 2020, the NRC staff recommended rulemaking.
* In 2021, the Commission directed the NRC staff to pursue rulemaking with certain conditions.
* In 2021, the Commission directed the NRC staff to pursue rulemaking with certain conditions.
2


Rulemaking Process 3
2 Rulemaking Process


Regulatory Basis
3 Regulatory Basis
* A regulatory basis document helps the NRC decide whether rulemaking is the right solution to the problem being addressed.
* A regulatory basis document helps the NRC decide whether rulemaking is the right solution to the problem being addressed.
* A regulatory basis document:
* A regulatory basis document:
  - Discusses the scope of the problem and possible options
- Discusses the scope of the problem and possible options
  - Considers legal, policy, technical, and cost-benefit analysis
- Considers legal, policy, technical, and cost-benefit analysis
  - Identifies the preferred regulatory action
- Identifies the preferred regulatory action
* Possible options:
* Possible options:
  - Maintain status quo
- Maintain status quo
  - Revise regulations
- Revise regulations
  - Revise guidance
- Revise guidance
  - Other?
- Other?
4


Public Meetings
4 Public Meetings
* The NRC staff held public meetings in November and December 2021 on this rulemaking.
* The NRC staff held public meetings in November and December 2021 on this rulemaking.
* Feedback was requested on issues to be considered in the regulatory basis.
* Feedback was requested on issues to be considered in the regulatory basis.
Line 47: Line 49:
* All feedback was documented in the meeting summary.
* All feedback was documented in the meeting summary.
* NRC is considering all feedback it received as it develops the regulatory basis.
* NRC is considering all feedback it received as it develops the regulatory basis.
5


Project Status / Next Steps
5 Project Status / Next Steps
* The NRC staff is developing a regulatory basis.
* The NRC staff is developing a regulatory basis.
* There will be a public comment opportunity later this year.
* There will be a public comment opportunity later this year.
* A proposed rule and final rule would follow if the regulatory basis recommends moving forward through rulemaking.
* A proposed rule and final rule would follow if the regulatory basis recommends moving forward through rulemaking.
6


References
6 References
* 10 CFR 50.72(b), Immediate notification requirements for operating nuclear power reactors
* 10 CFR 50.72(b), Immediate notification requirements for operating nuclear power reactors
  -   https://www.ecfr.gov/current/title-10/chapter-I/part-50/subject-group-ECFReadbe827381d095/section-50.72
- https://www.ecfr.gov/current/title-10/chapter-I/part-50/subject-group-ECFReadbe827381d095/section-50.72
* The rulemaking process (from NRCs public Web site)
* The rulemaking process (from NRCs public Web site)
  -   https://www.nrc.gov/about-nrc/regulatory/rulemaking/rulemaking-process.html
- https://www.nrc.gov/about-nrc/regulatory/rulemaking/rulemaking-process.html
* PRM-50-116, Elimination of Immediate Notification Requirements for Operating Nuclear Power Reactors, dated August 2, 2018
* PRM-50-116, Elimination of Immediate Notification Requirements for Operating Nuclear Power Reactors, dated August 2, 2018
  -   ADAMS Accession No. ML18247A204
- ADAMS Accession No. ML18247A204
* SECY-20-0109, Petition for Rulemaking and Rulemaking Plan on Immediate Notification Requirements for Nonemergency Events (PRM-50-116; NRC-2018-0201), dated November 30, 2020
* SECY-20-0109, Petition for Rulemaking and Rulemaking Plan on Immediate Notification Requirements for Nonemergency Events (PRM-50-116; NRC-2018-0201), dated November 30, 2020
  -   ADAMS Accession No. ML20073G008
- ADAMS Accession No. ML20073G008
* SRM-SECY-20-0109, Petition for Rulemaking and Rulemaking Plan on Immediate Notification Requirements for Nonemergency Events, dated July 28, 2021
* SRM-SECY-20-0109, Petition for Rulemaking and Rulemaking Plan on Immediate Notification Requirements for Nonemergency Events, dated July 28, 2021
  -   ADAMS Accession No. ML21209A947
- ADAMS Accession No. ML21209A947
* November 2021 public meeting summary
* November 2021 public meeting summary
  -   ADAMS Accession No. ML21341B452
- ADAMS Accession No. ML21341B452
* December 2021 public meeting summary
* December 2021 public meeting summary
  -   ADAMS Accession No. ML21350A033 7
- ADAMS Accession No. ML21350A033
 
7 Questions?


Questions?
8}}
8}}

Latest revision as of 07:07, 18 November 2024

Petition for Rulemaking 50.72 (Nonemergency Events Rulemaking) Presentation on Mach 23, 2022
ML22097A136
Person / Time
Issue date: 03/23/2022
From: George Tartal
NRC/NMSS/DREFS/MRPB
To:
J. Lynch, NMSS/MSST
Shared Package
ML22097A145 List:
References
Download: ML22097A136 (8)


Text

2022 National State Liaison Officer Conference Presentation:

Nonemergency Event Notifications Rulemaking

George Tartal NRC Project Manager

ADAMS Accession No. ML21337A345

Background

  • The NRC requires all operating nuclear power reactors to report to the NRC emergency and certain non-emergency events.
  • In 2018, NEI submitted a petition for rulemaking to eliminate all non-emergency event reports.
  • In 2020, the NRC staff recommended rulemaking.
  • In 2021, the Commission directed the NRC staff to pursue rulemaking with certain conditions.

2 Rulemaking Process

3 Regulatory Basis

  • A regulatory basis document helps the NRC decide whether rulemaking is the right solution to the problem being addressed.
  • A regulatory basis document:

- Discusses the scope of the problem and possible options

- Considers legal, policy, technical, and cost-benefit analysis

- Identifies the preferred regulatory action

  • Possible options:

- Maintain status quo

- Revise regulations

- Revise guidance

- Other?

4 Public Meetings

  • The NRC staff held public meetings in November and December 2021 on this rulemaking.
  • Feedback was requested on issues to be considered in the regulatory basis.
  • Several SLOs attended these public meetings.
  • All feedback was documented in the meeting summary.
  • NRC is considering all feedback it received as it develops the regulatory basis.

5 Project Status / Next Steps

  • The NRC staff is developing a regulatory basis.
  • There will be a public comment opportunity later this year.
  • A proposed rule and final rule would follow if the regulatory basis recommends moving forward through rulemaking.

6 References

  • 10 CFR 50.72(b), Immediate notification requirements for operating nuclear power reactors

- https://www.ecfr.gov/current/title-10/chapter-I/part-50/subject-group-ECFReadbe827381d095/section-50.72

  • The rulemaking process (from NRCs public Web site)

- https://www.nrc.gov/about-nrc/regulatory/rulemaking/rulemaking-process.html

  • PRM-50-116, Elimination of Immediate Notification Requirements for Operating Nuclear Power Reactors, dated August 2, 2018

- ADAMS Accession No. ML18247A204

  • SECY-20-0109, Petition for Rulemaking and Rulemaking Plan on Immediate Notification Requirements for Nonemergency Events (PRM-50-116; NRC-2018-0201), dated November 30, 2020

- ADAMS Accession No. ML20073G008

  • SRM-SECY-20-0109, Petition for Rulemaking and Rulemaking Plan on Immediate Notification Requirements for Nonemergency Events, dated July 28, 2021

- ADAMS Accession No. ML21209A947

  • November 2021 public meeting summary

- ADAMS Accession No. ML21341B452

  • December 2021 public meeting summary

- ADAMS Accession No. ML21350A033

7 Questions?

8