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{{Adams
#REDIRECT [[JAFP-16-0180, James A. FitzPatrick, License Amendment Request - Cyber Security Plan Implementation Schedule]]
| number = ML16343A947
| issue date = 12/08/2016
| title = James A. FitzPatrick, License Amendment Request - Cyber Security Plan Implementation Schedule
| author name = Sullivan B R
| author affiliation = Entergy Nuclear Operations, Inc
| addressee name =
| addressee affiliation = NRC/Document Control Desk, NRC/NRR
| docket = 05000333
| license number = DPR-059
| contact person =
| case reference number = CAC MF6367, JAFP-16-0180, TAC ME4267, TAC MF3456
| document type = Letter, License-Application for Facility Operating License (Amend/Renewal) DKT 50
| page count = 19
| project = CAC:MF6367, TAC:ME4267, TAC:MF3456
| stage = Other
}}
 
=Text=
{{#Wiki_filter:JAFP-16-0180  
 
December 8, 2016
 
U.S. Nuclear Regulatory Commission
 
Attn: Document Control Desk
 
Washington, DC  20555-0001
 
==Subject:==
License Amendment Request - Cyber Security Plan Implementation Schedule James A. FitzPatrick Nuclear Power Plant Docket No. 50-333
 
License No. DPR-59
 
==References:==
: 1. NRC Internal Memorandum to Barry Westreich from Russell Felts, Review Criteria for 10 CFR 73.54, Cyber Security Implementation
 
Schedule Milestone 8 License Amendment Requests, ML13295A467, dated October 24, 2013 2. NRC letter, Issuance of Amendment Re: License Amendment Request -
Cyber Security Plan (TAC No. ME4267), ML11152A011, dated
 
August 19, 2011 3. NRC letter, Issuance of Amendment Re: Cyber Security Plan Implementation Schedule Milestone 8 (TAC No. MF3456),
ML14202A372, dated December 1, 2014 4. NRC letter, Issuance of Amendment Re: Cyber Security Plan Implementation Schedule (CAC No. MF6367), ML16062A388, dated
 
April 6, 2016
 
==Dear Sir or Madam:==
 
Pursuant to 10 CFR 50.4 and 10 CFR 50.90, Entergy Operations, Inc. (ENOI) hereby requests
 
an amendment to the Renewed Facility Operating Licenses for James A. FitzPatrick Nuclear
 
Power Plant (JAF). In accordance with the guidelines provided by Reference 1, this request
 
proposes a change to the JAF Cyber Security Pl an Milestone 8 full implementation date as set forth in the Cyber Security Plan Implementat ion Schedule approved by References 2, 3 and 4. provides an evaluation of the proposed change. Attachment 2 contains proposed marked-up operating license pages for the Physical Protection license condition for JAF to
 
reference the commitment change provided in this submittal. Attachment 3 contains the proposed revised operating license pages. Attachment 4 contains a change to the date of
 
Implementation Milestone 8. Entergy Nuclear Northeast Entergy Nuclear Operations, Inc. James A. FitzPatrick NPP
 
P.O. Box 110 Lycoming, NY  13093
 
Tel 315-342-3840 Brian R. Sullivan Site Vice President - JAF
 
JAFP-16-0180 Page 2 of 2 The proposed changes have been evaluated in accordance with 10 CFR 50.91 (a)(1) using criteria in 10 CFR 50.92(c), and it has been determined that the changes involve no significant hazards consideration.
The bases for these determinations are included in Attachment
: 1. ENOI requests this license amendment be effective as of its date of issuance.
Although this request is neither exigent nor emergency, your review and approval is requested prior to December 15, 2017. The revised commitment contained in this submittal is summarized in Attachment
: 5. Should you have any questions concerning this letter, or require additional information, please contact William C. Drews at 315-349-6562.
I declare under penalty of perjury that the foregoing is true and correct. Executed on December 8, 2016. Brian R. Sullivan Site Vice President BRS/WCD/mh Attachments:
: 1. Analysis of Proposed Operating License Change 2. Proposed JAF Operating License Changes (mark-up)
: 3. Revised JAF Operating License Pages 4. Revised Cyber Security Plan Implementation Schedule 5. List of Revised Regulatory Commitments cc: NRG Regional Administrator, Region 1 NRG Resident Inspector NRA Project Manager New York State Department of Public Service NYSERDA President and CEO 
 
JAFP-16-0180 Attachment 1
 
Analysis of Proposed Operating License Change (Pages 6)
JAFP-16-0180  Analysis of Proposed Operating License Change Page 1 of 6 1.0
 
==SUMMARY==
DESCRIPTION This license amendment request (LAR) includes a proposed change to the James A. FitzPatrick Nuclear Plant (JAF) Cyber Security Plan (CSP) Implementation Schedule Milestone 8 (full
 
implementation) date and a proposed revision to the existing operating license Physical
 
Protection license condition. 2.0 DETAILED DESCRIPTION In Reference 1, the NRC provided criteria to be used for evaluation of a license amendment request to revise the Cyber Security Implementation Schedule Milestone 8 date. The
 
information requested by Reference 1 is discussed in the next section. In Reference 2 Entergy
 
Nuclear Operations, Inc. (ENOI) notified the NRC of intent to permanently cease power
 
operations at JAF in late 2016 or early 2017. Since this notification, JAF has continued to
 
maintain the previously implemented cyber secu rity Milestones 1-7, however work toward achieving Milestone 8 was suspended. Subsequently, several unanticipated significant
 
developments have occurred, including restructuring of the New York State energy market, followed in August 2016 by ENOI and Exelon Corporation agreeing to the sale of JAF and
 
transfer of the operating license to Exelon (Reference 3). The sale and license transfer is
 
presently expected to complete in April 2017. Accordingly, the effort to complete Milestone 8
 
requirements is being reviewed by the two companies and expected to be reinitiated in March
 
2017, after the JAF refueling outage scheduled for January-February 2017. Additionally, the
 
next refueling outage is scheduled for September-October 2018. Due to the extended period of
 
suspension of Milestone 8 work (November 2015 to March 2017) and 2018 refueling outage, ENOI is requesting rescheduling of the Milestone 8 due date by 18 months, from December 15, 2017 to June 15, 2019.
 
==3.0 TECHNICAL EVALUATION==
 
In November 2009, and in subsequent LARs in accordance with 10 CFR 73.54 (nuclear cyber security rule), JAF submitted a proposed schedule for achieving full compliance with the cyber
 
security rule. The schedule was approved and consists of eight milestones, with interim
 
Milestones 1 through 7 being completed by December 31, 2012 and subsequently inspected for
 
compliance by the NRC during April 2015 (Reference 4). Presently, Milestone 8 (full compliance
 
with the rule) is required to be completed by December 15, 2017, however as described in the
 
previous section, the work to achieve Milestone 8 was suspended in November 2015, and will
 
not substantially resume until March 2017.
The following is JAF's discussion of the eight evaluation criteria required by Reference 1. 1 Identification of the specific requirement or requirements of the CSP that the licensee needs additional time to implement.
ENOI requests that full implementation of CSP requirements per Milestone 8 be rescheduled from December 15, 2017 to June 15, 2019. During this additional period the
 
requirements of Milestones 1-7 will be maintained. 2 Detailed justification that describes the reason additional time is required to implement the specific requirement or requirements identified.
In November 2015 ENOI notified the NRC of intent to permanently cease power operations at JAF in late 2016 or early 2017 (Reference 2). After this notification JAF continued to
 
maintain the previously implemented Milestone 1-7 actions, but suspended work toward
 
achieving Milestone 8. However, in August 2016 ENOI and Exelon Corporations agreed to
 
the sale of JAF and transfer of the operating license to Exelon (Reference 3). Additional time
 
is required as described above in Section 2.0 to achieve Milestone 8 because of the
 
previous suspension of work and refueling outages scheduled to occur in January-February
 
2017 and September-October 2018.
JAFP-16-0180  Analysis of Proposed Operating License Change Page 2 of 6 3 Proposed completion date for Milestone 8 consistent with the remaining scope of work to be conducted and the resources available.
The proposed completion date for Milestone 8 is June 15, 2019. 4 Evaluation of the impact that the additional time to implement the requirements will have on the effectiveness of the overall cyber security program in the context of milestones already completed.
Because of the cyber security protections provided by the actions completed pursuant to Milestones 1 through 7 and maintenance of these actions, the program will be continue to
 
be effective in significantly mitigating the risk of the design basis threat (DBT) via cyber
 
means. Most notably, safety-related, important-to-safety, and security Critical Digital Assets (CDA) will continue to be deterministically isolated from external networks; stringent control
 
of portable media and mobile devices connected to CDAs will continue, including use of
 
standalone scanning kiosks, and implementation of technical cyber security controls and
 
security officer observation for CDAs that support physical security target set functions.
 
Additionally, although not required until Mile stone 8, ENOI has implemented procedures governing CDA configuration management, cyber security incident response and recovery, cyber security training, identification of rogue connections, and CDA physical protections. 5 Description of the methodology for prioritizing completion of work for CDAs associated with significant SSEP consequences and with reactivity effects in the
 
balance of plant.
Because CDAs are plant components, work prioritization follows the normal work management process that places the highest priority on apparent conditions adverse to
 
quality in system, structure, and component (SSC) design function and related factors such
 
as safety risk and nuclear defense-in-depth, as well as threats to continuity of electric power
 
generation in the balance-of-plant (BOP). Further, in regard to deterministic isolation and
 
control of portable media and mobile devices (P MMD) for safety-related, important-to-safety (including BOP), and security CDAs, maintenance of one-way or air-gapped configurations
 
and implementation of control of PMMD remains high priority. This prioritization enabled
 
timely completion of cyber security Interim Milestones 3 and 4. High focus continues to be
 
maintained on prompt attention to any emergent issue with CDAs that would potentially
 
challenge the established cyber protective barriers. Further, strong engagement with the
 
NEI Cyber Security Task Force (CSTF) will continue and developments communicated through mechanisms such as Security Frequent ly Asked Questions (SFAQs) will receive timely attention and prioritization. 6 Discussion of the cyber security program performance up to the date of the license amendment request.
No compromise of SSEP function by cyber means has been identified. As documented in Reference 4, an NRC inspection of JAF compliance with Milestones 1-7 was conducted
 
March 16-19, 2015, and findings were designated as low-level (Green Non-Cited, granted
 
enforcement discretion). Additionally, an annual JAF Quality Assurance (QA) audit has been conducted each year since 2013 pursuant to the JAF Physical Security Plan and physical
 
security program review required by 10 CFR 73.55(m). The QA audit includes review of
 
cyber security program implementation. Ther e have been no significant findings related to overall cyber security program perform ance and effectiveness during these audits.
JAFP-16-0180  Analysis of Proposed Operating License Change Page 3 of 6 7 Discussion of cyber security issues pending in the CAP.
No cyber security issues that would constitute a threat to proper CDA function or that would call into question cyber security program effectiveness are currently pending in the Corrective Action Program. 8 Discussion of modifications completed to support the cyber security program and a discussion of pending cyber security modifications.
Modifications completed include those required to deterministically isolate Level 3 and 4 CDAs, as required by nuclear cyber security implementation schedule interim Milestone 3. A modification is scheduled for the May 2017 equipment outage to install an additional
 
physical barrier for a CDA inside the protected area (PA) that supports a physical security
 
target set function. Planning has commenced for modifications to be installed during the
 
September-October 2018 refueling outage to implement, where feasible, automated intrusion monitoring, detection, prevention and eradication systems per the requirements of the JAF Cyber Security Plan Section 4.4 and NEI 08-09, Revision 6, Appendices D-2, D-3, D-5, E-3, E-6, E-7, E-8, and E-10.
JAFP-16-0180  Analysis of Proposed Operating License Change Page 4 of 6 This LAR includes markups and the proposed change to the existing operating license condition for "Physical Protection" (Attachments 2 and 3) for JAF, respectively. This LAR also contains
 
the proposed Revised CSP Implementation Schedule (Attachment 4) and revised list of
 
regulatory commitments (Attachment 5).
 
==4.0 REGULATORY EVALUATION==
 
===4.1 Applicable===
Regulatory Requirements/Criteria 10 CFR 73.54 requires licensees to maintain and implement a cyber security plan (CSP). James A. FitzPatrick Nuclear Power Plant (JAF) Facility Operating License No. DPR-59, includes a
 
Physical Protection license condition that requires Entergy Operations, Inc. (ENOI) to fully
 
implement and maintain in effect all provisions of the Commission-approved CSP, including
 
changes made pursuant to the authority of 10 CFR 50.90 and 10 CFR 50.54(p). 4.2 Significant Safety Hazards Consideration ENOI is requesting an amendment to the JAF Facility Operating License to revise the Physical Protection license condition as it relates to the CSP. This change includes a proposed change
 
to a CSP Implementation Schedule milestone date and a proposed revision to the JAF Facility
 
Operating License to include the proposed deviation. Specifically, ENOI is proposing a change
 
to the Implementation Milestone 8 completion date.
ENOI has evaluated whether or not a significant hazards consideration is involved with the proposed amendment by focusing on the three standards set forth in 10 CFR 50.92, "Issuance
 
of Amendment," as discussed below: 1. Does the proposed change involve a significant increase in the probability or consequences of an accident previously evaluated?
Response: No.
 
The proposed change to the CSP Implementation Schedule is administrative in nature.
This change does not alter accident analysis assumptions, add any initiators, or affect
 
the function of plant systems or the manner in which systems are operated, maintained, modified, tested, or inspected. The proposed change does not require any plant
 
modifications which affect the performance capability of the structures, systems, and
 
components relied upon to mitigate the consequences of postulated accidents and has
 
no impact on the probability or consequences of an accident previously evaluated.
Therefore, the proposed change does not involve a significant increase in the probability or consequences of an accident previously evaluated.
JAFP-16-0180  Analysis of Proposed Operating License Change Page 5 of 6 2. Does the proposed change create the possibility of a new or different kind of accident from any accident previously evaluated?
Response: No.
 
The proposed change to the CSP Implementation Schedule is administrative in nature.
This proposed change does not alter accident analysis assumptions, add any initiators, or affect the function of plant systems or the manner in which systems are operated, maintained, modified, tested, or inspected. The proposed change does not require any
 
plant modifications which affect the performance capability of the structures, systems, and components relied upon to mitigate the consequences of postulated accidents and
 
does not create the possibility of a new or different kind of accident from any accident
 
previously evaluated.
Therefore, the proposed change does not create the possibility of a new or different kind of accident from any accident previously evaluated. 3. Does the proposed change involve a significant reduction in a margin of safety?
Response: No.
 
Plant safety margins are established through limiting conditions for operation, limiting safety system settings, and safety limits spec ified in the technical specifications. The proposed change to the CSP Implementation Schedule is administrative in nature. In
 
addition, the milestone date delay for full impl ementation of the CSP has no substantive impact because other measures have been taken which provide adequate protection
 
during this period of time. Because there is no change to established safety margins as
 
a result of this change, the proposed change does not involve a significant reduction in a margin of safety.
Therefore, the proposed change does not involve a significant reduction in a margin of safety. Based on the above, ENOI concludes that the proposed change presents no significant hazards consideration under the standards set forth in 10 CFR 50.92(c), and accordingly, a finding of "no
 
significant hazards consideration" is justified.
 
===4.3 Conclusion===
 
In conclusion, based on the considerations discussed above: (1) there is reasonable assurance that the health and safety of the public will not be endangered by operation in the proposed
 
manner; (2) such activities will be conducted in compliance with the Commission's regulations;
 
and (3) the issuance of the amendment will not be inimical to the common defense and security or to the health and safety of the public.
JAFP-16-0180  Analysis of Proposed Operating License Change Page 6 of 6
 
==5.0 ENVIRONMENTAL CONSIDERATION==
 
The proposed amendment provides a change to the CSP Implementation Schedule. The proposed amendment meets the eligibility criterion for a categorical exclusion set forth in
 
10 CFR 51.22(c)(12). Therefore, pursuant to 10 CFR 51.22(b) no environmental impact
 
statement or environmental assessment need be prepared in connection with the issuance of
 
the amendment.
 
==6.0 REFERENCES==
: 1. NRC Internal Memorandum to Barry Westreich from Russell Felts, "Review Criteria for 10 CFR 73.54, Cyber Security Implementat ion Schedule Milestone 8 License Amendment Requests", dated October 24, 2013 (ML13295A467) 2. Letter, from ENOI (J. Ventosa) to NRC, "Notification of Permanent Cessation of Power Operations", JAFP-15-0133, dated November 18, 2015 (ML15322A273) 3. Letter from Exelon (J. Bradley Fewell) and ENOI (Brian Sullivan) to NRC, "Application for Order Approving Transfer of Renewed Facility Operating License and Proposed Conforming
 
License Amendment," dated August 18, 2016 (ML16235A081) 4. NRC Inspection Report for James A. FitzPatrick Nuclear Power Plant - NRC Temporary Instruction 2201/004, "Inspection of Implementation of Interim Cyber Security Milestones
 
1-7," IR 05000333/2015405, dated April 8, 2015 (ML15099A536)
 
JAFP-16-0180 Attachment 2 Proposed JAF Operating License Changes (mark-up) (Pages 2)
Amendment 311 Renewed License No. DPR-59
 
(4) ENO pursuant to the Act and 10 CFR Parts 30, 40, and 70 to receive, possess, and use, at any time, any byproduct, source and special nuclear material without
 
restriction to chemical or physical form, for sample analysis or instrument
 
calibration; or associated with radioactive apparatus, components or tools.
(5) Pursuant to the Act and 10 CFR Parts 30 and 70, to possess, but not separate, such byproduct and special nuclear materials as may be produced by the operation of the facility.
 
C. This renewed operating  license shall be deemed to contain and is subject to the conditions specified in the following Commission regulations in 10 CFR Chapter I: Part 20, Section
 
30.34 of Part 30, Section 40.41 of Part 40, Sections 50.54 and 50.59 of Part 50, and Section 70.32 of Part 70; and is subject to all applicable provisions of the Act and to the
 
rules, regulations, and orders of the Commission now or hereafter in effect; and is subject to the additional conditions specified or incorporated below:
(1) Maximum Power Level ENO is authorized to operate the facility at steady state reactor core power levels not
 
in excess of 2536 megawatts (thermal).
(2) Technical Specifications The Technical Specifications contained in Appendix A, as revised through
 
Amendment No.
311 , are hereby incorporated in the renewed operating license. The licensee shall operate the facility in acco rdance with the Technical Specifications.
(3) Fire Protection ENO shall implement and maintain in effect all provisions of the approved fire
 
protections program as described in the Final Safety Analysis Report for the facility
 
and as approved in the SER dated November 20, 1972; the SER Supplement No. 1
 
dated February 1, 1973; the SER Supplement No. 2 dated October 4, 1974; the SER
 
dated August 1, 1979; the SER Supplement dated October 3, 1980; the SER
 
Supplement dated February 13, 1981; the NRC Letter dated February 24, 1981;
 
Technical Specification Amendments 34 (dated January 31, 1978), 80 (dated May 22, 1984), 134 (dated July 19, 1989), 135 (dated September 5, 1989), 142 (dated October 23, 1989), 164 (dat ed August 10, 1990), 176 (dated January 16, 1992), 177 (dated February 10, 1992), 186 (dated February 19, 1993), 190 (dated June 29, 1993), 191 (dated Ju ly 7, 1993), 206 (dated February 28, 1994) and 214 (dated June 27, 1994); and NRC Exemptions and associated safety
 
evaluations dated April 26, 1983, July 1, 1983, January 11, 1985, April 30, 1986, September 15, 1986 and September 10, 1992 subject to the following provision:
 
Amendment 311 Renewed License No. DPR 5 -  Safeguards Contingency Plan, Revision 0," submitted by letter dated October 26, 2004, as supplemented by letter dated May 17, 2006.
ENO shall fully implement and maintain in effect all provisions of the Commission approved cyber security plan (CSP), including changes made pursuant to the
 
authority of 10 CFR 50.90 and 10 CFR 50.54(p). ENO CSP was approved by License
 
Amendment No. 300, as supplemented by changes approved by License
 
Amendment Nos. 303, 308, and 311 , and . ENO has been granted Commission authorization to use "stand alone preemption authority" under Section 161A of the Atomic Energy Act, 42 U.S.C. 2201a with
 
respect to the weapons described in Attachment 1, Section II contained in its
 
application submitted by letter dated August 30, 2013, as supplemented by letters
 
dated November 12, 2013, and July 11, 2014. ENO shall fully implement and
 
maintain in effect the provisions of the Commission approved authorization. E. Power Uprate License Amendment Implementation The licensee shall complete the following actions as a condition of the approval of the power uprate license amendment.  (1) Recirculation Pump Motor Vibration Perform monitoring of recirculation pump motor vibration during initial Cycle 13 power ascension for uprated power conditions. (2) Startup Test Program The licensee will follow a startup testing program, during Cycle 13 power ascension, as described in GE Licensing Topical Report NEDC-31897P-1, "Generic Guidelines
 
for General Electric Boiling Water Reactor Power Uprate." The Startup test program
 
includes system testing of such process control systems as the feedwater flow and
 
main steam pressure control systems. The licensee will collect steady-state
 
operational data during various portions of the power ascension to the higher
 
licensed power level so that predicted equipment performance characteristics can
 
be verified. The licensee will do the startup testing program in accordance with its
 
procedures. The licensee's approach is in conformance with the test guidelines of
 
GE Licensing Topical Report NEDC-31897P-1, "Generic Guidelines for General
 
Electric Boiling Water Reactor Power Uprate." June 1991 (proprietary), GE Licensing
 
Topical Report NEDO-31897, "Generic Guidelines for General Electric Boiling Water
 
Reactor Power Uprate." February 1992 (nonproprietary), and NEDC-31897P-AA, Class III (proprietary), May 1992. (3) Human Factors The licensee will review the results of the Cycle 13 startup test program to determine any potential effects on operator training. Training issues identified 
 
JAFP-16-0180 Attachment 3 Revised JAF Operating License Pages (Pages 2)
Amendment Renewed License No. DPR-59 (4) ENO pursuant to the Act and 10 CFR Parts 30, 40, and 70 to receive, possess, and use, at any time, any byproduct, source and special nuclear material without restriction to chemical or physical form, for sample analysis or instrument
 
calibration; or associated with radioactive apparatus, components or tools. (5) Pursuant to the Act and 10 CFR Parts 30 and 70, to possess, but not separate, such byproduct and special nuclear materials as may be produced by the operation of the facility. C. This renewed operating  license shall be deemed to contain and is subject to the conditions specified in the following Commission regulations in 10 CFR Chapter I: Part 20, Section
 
30.34 of Part 30, Section 40.41 of Part 40, Sections 50.54 and 50.59 of Part 50, and Section 70.32 of Part 70; and is subject to all applicable provisions of the Act and to the rules, regulations, and orders of the Commission now or hereafter in effect; and is subject to
 
the additional conditions specified or incorporated below: (1) Maximum Power Level ENO is authorized to operate the facility at steady state reactor core power levels not in excess of 2536 megawatts (thermal).
(2) Technical Specifications The Technical Specifications contained in Appendix A, as revised through Amendment No.    , are hereby incorporated in the renewed operating license. The licensee shall operate the facility in acco rdance with the Technical Specifications. (3) Fire Protection ENO shall implement and maintain in effect all provisions of the approved fire
 
protections program as described in the Final Safety Analysis Report for the facility
 
and as approved in the SER dated November 20, 1972; the SER Supplement No. 1
 
dated February 1, 1973; the SER Supplement No. 2 dated October 4, 1974; the SER
 
dated August 1, 1979; the SER Supplement dated October 3, 1980; the SER
 
Supplement dated February 13, 1981; the NRC Letter dated February 24, 1981;
 
Technical Specification Amendments 34 (dated January 31, 1978), 80 (dated
 
May 22, 1984), 134 (dated July 19, 1989), 135 (dated September 5, 1989), 142 (dated October 23, 1989), 164 (dated August 10, 1990), 176 (dated January 16, 1992), 177 (dated February 10, 1992), 186 (dated February 19, 1993),
190 (dated June 29, 1993), 191 (dated Ju ly 7, 1993), 206 (dated February 28, 1994) and 214 (dated June 27, 1994); and NRC Exemptions and associated safety
 
evaluations dated April 26, 1983, July 1, 1983, January 11, 1985, April 30, 1986, September 15, 1986 and September 10, 1992 subject to the following provision:
Amendment  Renewed License No. DPR-59 Safeguards Contingency Plan, Revision 0," submitted by letter dated October 26, 2004, as supplemented by letter dated May 17, 2006.
ENO shall fully implement and maintain in effect all provisions of the Commission approved cyber security plan (CSP), including changes made pursuant to the authority of 10 CFR 50.90 and 10 CFR 50.54(p). ENO CSP was approved by License Amendment No. 300, as supplemented by changes approved by License Amendment Nos. 303, 308, 311, and . ENO has been granted Commission authorization to use "stand alone preemption
 
authority" under Section 161A of the Atomic Energy Act, 42 U.S.C. 2201a with
 
respect to the weapons described in Attachment 1, Section II contained in its
 
application submitted by letter dated August 30, 2013, as supplemented by letters
 
dated November 12, 2013, and July 11, 2014. ENO shall fully implement and
 
maintain in effect the provisions of the Commission approved authorization. E. Power Uprate License Amendment Implementation The licensee shall complete the following actions as a condition of the approval of
 
the power uprate license amendment.  (1) Recirculation Pump Motor Vibration Perform monitoring of recirculation pump motor vibration during initial Cycle 13 power ascension for uprated power conditions. (2) Startup Test Program The licensee will follow a startup testing program, during Cycle 13 power ascension, as described in GE Licensing Topical Report NEDC-31897P-1, "Generic Guidelines
 
for General Electric Boiling Water Reactor Power Uprate." The Startup test program
 
includes system testing of such process control systems as the feedwater flow and
 
main steam pressure control systems. The licensee will collect steady-state
 
operational data during various portions of the power ascension to the higher
 
licensed power level so that predicted equipment performance characteristics can
 
be verified. The licensee will do the startup testing program in accordance with its
 
procedures. The licensee's approach is in conformance with the test guidelines of
 
GE Licensing Topical Report NEDC-31897P-1, "Generic Guidelines for General
 
Electric Boiling Water Reactor Power Uprate." June 1991 (proprietary), GE Licensing
 
Topical Report NEDO-31897, "Generic Guidelines for General Electric Boiling Water
 
Reactor Power Uprate." February 1992 (nonproprietary), and NEDC-31897P-AA, Class III (proprietary), May 1992. (3) Human Factors The licensee will review the results of the Cycle 13 startup test program to determine any potential effects on operator training. Training issues identified 
 
JAFP-16-0180 Attachment 4 Revised Cyber Security Plan Implementation Schedule (Page 1)
JAFP-16-0180  Revised Cyber Security Plan Implementation Schedule Page 1 of 1 # Implementation Milestone Completion Date Basis 8 Full implementation of James A. FitzPatrick (JAF) Cyber
 
Security Plan for all safety, security, and emergency
 
preparedness (SSEP) functions
 
will be achieved. June 15, 2019 By the completion date, the JAF Cyber Security Plan will be fully implemented
 
for all SSEP functions in accordance
 
with 10 CFR 73.54. This date also
 
bounds the completion of all individual
 
asset security control design
 
remediation actions including those
 
that require a refueling outage for
 
implementation.
 
JAFP-16-0180 Attachment 5 List of Revised Regulatory Commitments (Page 1)
JAFP-16-0180  List of Revised Regulatory Commitments Page 1 of 1 The following table identifies those actions committed to by James A. FitzPatrick Nuclear Power Plant in this document. Any other statements in this submittal are provided for information
 
purposes and are not considered to be regulatory commitments.
COMMITMENT TYPE (Check One)
SCHEDULED COMPLETION DATE (If Required)
ONE-TIME ACTION CONTINUING COMPLIANCE Full implementation of JAF Cyber Security Plan for all safety, security, and
 
emergency preparedness functions will be
 
achieved. X  June 15, 2019}}

Revision as of 00:14, 8 November 2018