ML19032A105: Difference between revisions
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| number = ML19032A105 | | number = ML19032A105 | ||
| issue date = 02/13/2019 | | issue date = 02/13/2019 | ||
| title = | | title = Slides for Public Meeting with Industry Representatives Regarding Operator Licensing | ||
| author name = Tindell B | | author name = Tindell B | ||
| author affiliation = NRC/NRR/DIRS/IOLB | | author affiliation = NRC/NRR/DIRS/IOLB | ||
Line 15: | Line 15: | ||
=Text= | =Text= | ||
{{#Wiki_filter:Public Meeting with Industry Operator Licensing | {{#Wiki_filter:Public Meeting with Industry Operator Licensing Representatives February 13, 2019 | ||
*Regulatory Guide 1.8 Revision | |||
*Generic Fundamentals Examination | Agenda | ||
*K/A Catalogs Revision | * Introduction and Opening Remarks | ||
*Operating Test Grading | * Regulatory Guide 1.8 Revision | ||
*NUREG-1021 Revision | * Generic Fundamentals Examination | ||
*Requalification Inspection Program Revision | * K/A Catalogs Revision | ||
*Topics from Industry | * Operating Test Grading | ||
*Public Comment | * NUREG-1021 Revision | ||
*Adjourn | * Requalification Inspection Program Revision | ||
*Qualification Comments for Resolution: | * Topics from Industry | ||
-RP Manager, Middle Manager | * Public Comment | ||
-Operator*Publication Schedule | * Adjourn 2 | ||
-Members from headquarters, TTC, and Regions | |||
*Evaluate GFE Options | Regulatory Guide 1.8 Revision | ||
-Schedule flexibility | * Qualification Comments for Resolution: | ||
-Efficiency | - RP Manager, Middle Manager | ||
-Change Management | - Operator | ||
-Technical Basis | * Publication Schedule 3 | ||
-Industry Involvement | |||
*Recommendation to Management | GFE | ||
-May 2019*Commission SECY | * GFE Working Group | ||
*Implement Commission Direction | - Members from headquarters, TTC, and Regions | ||
*Resolved discrepancies | * Evaluate GFE Options | ||
*Publication Schedule | - Schedule flexibility | ||
-based scenario grading towards a more simplified, performance | - Efficiency | ||
-based approach in order to: | - Change Management | ||
-Improve regulatory alignment | - Technical Basis | ||
-no requirement exists to grade operating tests based on the cause of an error | - Industry Involvement | ||
-Focus on required actions and task standards for each scenario event-Clarify guidance for identification of critical tasks | * Recommendation to Management | ||
-Shift TS evaluation to the admin JPM portion of the exam | - May 2019 | ||
-Simplify post | * Commission SECY | ||
-examination results and documentation | * Implement Commission Direction 4 | ||
-Provide flexibility for new reactors where certain NUREG | |||
-1021 competencies may not apply | K/A Catalogs Revision | ||
§55.45. Relocate unrelated information to guidance | * Resolved discrepancies | ||
-0800 structure)Additional: | * Publication Schedule 5 | ||
*Inspection Procedure Revision -Effective January 1 | |||
*Requalification written examination guidance | Operating Test Grading Considering feasibility and options for transitioning away from competency-based scenario grading towards a more simplified, performance-based approach in order to: | ||
*Direct Look | - Improve regulatory alignment - no requirement exists to grade operating tests based on the cause of an error | ||
-up Definition:For open-reference questions, if the question stem provides the reference title and/or number and the correct answer requires no understanding, application, analysis, or problem solving, but simply requires the ability to find the information in the reference, then the question is likely a direct look | - Focus on required actions and task standards for each scenario event | ||
-up.*Non-Credible Distractor:For open-reference questions, if the question stem provides the reference title and/or number and a distractor can be easily eliminated because it is not located anywhere in the reference, then that distractor should be considered not credible. | - Clarify guidance for identification of critical tasks | ||
*Requalification cycle to cycle examination security guidance | - Shift TS evaluation to the admin JPM portion of the exam | ||
*Written:Biennial requalification written examinations differ from one 24 | - Simplify post-examination results and documentation | ||
-month requalification program to the next so that 55.49 requirements and licensee program requirements for equitable and consistent examinations are met. | - Provide flexibility for new reactors where certain NUREG-1021 competencies may not apply 6 | ||
*Operating Test: Annual requalification operating tests differ from year to year so that 55.49 requirements and licensee program requirements for equitable and consistent examinations are met. | |||
NUREG-1021 Revision Objective: Consolidate and streamline examiner standards for ease of use and maintenance purposes Focus: NUREG-1021 contains the information necessary to prepare, evaluate, proctor and grade written examinations and operating tests required in 10CFR55.41, §55.43 and §55.45. | |||
*Significance Determination Process Revision *Effective January 1*Pointer to Appendix M (Qualitative) for examination security issues*Simulator fidelity issues: | Relocate unrelated information to guidance documents Details: Stand alone sections facilitate future revisions because they can be revised independently (Similar to NUREG-0800 structure) | ||
Additional: Improve guidance on Critical Tasks and create placeholder for Advanced Reactor examinations (i.e., NuScale SMR) 7 | |||
*Ultimately, it is the goal of the operator licensing program to ensure that all qualified applicants, and only qualified applicants, receive a license. | |||
*NRC is confident that it has experienced and qualified examiners implementing an effective and time | Requalification Inspection | ||
-proven program to consistently meet this objective. | * Inspection Procedure Revision - Effective January 1 | ||
*NRC recognizes the need to evaluate transformational | * Requalification written examination guidance | ||
*NRC will continue to strive to enhance consistency and develop best practices across all four regions. | * Direct Look-up Definition: For open-reference questions, if the question stem provides the reference title and/or number and the correct answer requires no understanding, application, analysis, or problem solving, but simply requires the ability to find the information in the reference, then the question is likely a direct look-up. | ||
* Non-Credible Distractor: For open-reference questions, if the question stem provides the reference title and/or number and a distractor can be easily eliminated because it is not located anywhere in the reference, then that distractor should be considered not credible. | |||
* Requalification cycle to cycle examination security guidance | |||
* Written: Biennial requalification written examinations differ from one 24-month requalification program to the next so that 55.49 requirements and licensee program requirements for equitable and consistent examinations are met. | |||
* Operating Test: Annual requalification operating tests differ from year to year so that 55.49 requirements and licensee program requirements for equitable and consistent examinations are met. | |||
8 | |||
Requalification Inspection | |||
* Significance Determination Process Revision | |||
* Effective January 1 | |||
* Pointer to Appendix M (Qualitative) for examination security issues | |||
* Simulator fidelity issues: | |||
9 | |||
OL Program Vision | |||
* Ultimately, it is the goal of the operator licensing program to ensure that all qualified applicants, and only qualified applicants, receive a license. | |||
* NRC is confident that it has experienced and qualified examiners implementing an effective and time-proven program to consistently meet this objective. | |||
* NRC recognizes the need to evaluate transformational initiatives with the potential to increase program efficiency. | |||
* NRC will continue to strive to enhance consistency and develop best practices across all four regions. | |||
10 | |||
Topics from Industry 11 | |||
Public Comment 12}} |
Latest revision as of 05:55, 30 November 2019
ML19032A105 | |
Person / Time | |
---|---|
Issue date: | 02/13/2019 |
From: | Brian Tindell NRC/NRR/DIRS/IOLB |
To: | |
Tindell B, NRR/DIRS, 301-415-2026 | |
References | |
Download: ML19032A105 (12) | |
Text
Public Meeting with Industry Operator Licensing Representatives February 13, 2019
Agenda
- Introduction and Opening Remarks
- Regulatory Guide 1.8 Revision
- K/A Catalogs Revision
- Operating Test Grading
- NUREG-1021 Revision
- Requalification Inspection Program Revision
- Topics from Industry
- Public Comment
- Adjourn 2
Regulatory Guide 1.8 Revision
- Qualification Comments for Resolution:
- RP Manager, Middle Manager
- Operator
- Publication Schedule 3
- GFE Working Group
- Members from headquarters, TTC, and Regions
- Evaluate GFE Options
- Schedule flexibility
- Efficiency
- Change Management
- Technical Basis
- Industry Involvement
- Recommendation to Management
- May 2019
- Commission SECY
- Implement Commission Direction 4
K/A Catalogs Revision
- Resolved discrepancies
- Publication Schedule 5
Operating Test Grading Considering feasibility and options for transitioning away from competency-based scenario grading towards a more simplified, performance-based approach in order to:
- Improve regulatory alignment - no requirement exists to grade operating tests based on the cause of an error
- Focus on required actions and task standards for each scenario event
- Clarify guidance for identification of critical tasks
- Shift TS evaluation to the admin JPM portion of the exam
- Simplify post-examination results and documentation
- Provide flexibility for new reactors where certain NUREG-1021 competencies may not apply 6
NUREG-1021 Revision Objective: Consolidate and streamline examiner standards for ease of use and maintenance purposes Focus: NUREG-1021 contains the information necessary to prepare, evaluate, proctor and grade written examinations and operating tests required in 10CFR55.41, §55.43 and §55.45.
Relocate unrelated information to guidance documents Details: Stand alone sections facilitate future revisions because they can be revised independently (Similar to NUREG-0800 structure)
Additional: Improve guidance on Critical Tasks and create placeholder for Advanced Reactor examinations (i.e., NuScale SMR) 7
Requalification Inspection
- Inspection Procedure Revision - Effective January 1
- Requalification written examination guidance
- Direct Look-up Definition: For open-reference questions, if the question stem provides the reference title and/or number and the correct answer requires no understanding, application, analysis, or problem solving, but simply requires the ability to find the information in the reference, then the question is likely a direct look-up.
- Non-Credible Distractor: For open-reference questions, if the question stem provides the reference title and/or number and a distractor can be easily eliminated because it is not located anywhere in the reference, then that distractor should be considered not credible.
- Requalification cycle to cycle examination security guidance
- Written: Biennial requalification written examinations differ from one 24-month requalification program to the next so that 55.49 requirements and licensee program requirements for equitable and consistent examinations are met.
- Operating Test: Annual requalification operating tests differ from year to year so that 55.49 requirements and licensee program requirements for equitable and consistent examinations are met.
8
Requalification Inspection
- Significance Determination Process Revision
- Effective January 1
- Pointer to Appendix M (Qualitative) for examination security issues
- Simulator fidelity issues:
9
OL Program Vision
- Ultimately, it is the goal of the operator licensing program to ensure that all qualified applicants, and only qualified applicants, receive a license.
- NRC is confident that it has experienced and qualified examiners implementing an effective and time-proven program to consistently meet this objective.
- NRC recognizes the need to evaluate transformational initiatives with the potential to increase program efficiency.
- NRC will continue to strive to enhance consistency and develop best practices across all four regions.
10
Topics from Industry 11
Public Comment 12