ML20311A140: Difference between revisions

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By {{letter dated|date=October 21, 2020|text=letter dated October 21, 2020}} (Agencywide Documents Access and Management System (ADAMS) Accession No. ML20296A398), you provided the Nuclear Energy Institutes (NEIs) insights related to the U.S. Nuclear Regulatory Commission (NRC) staffs rulemaking plan described in SECY-20-0032, Rulemaking Plan on Risk Informed, Technology-Inclusive Regulatory Framework for Advanced Reactors (RIN-3150-AK31; NRC-2019-0062)," dated April 13, 2020 (ADAMS Accession No. ML19340A056). Specifically, NEIs views were intended to provide the industry vision for Part 53 and highlight key goals to inform the staffs activities with regard to the rulemaking efforts associated with Title 10 of the Code of Federal Regulations (10 CFR) Part 53, which is scheduled for completion by October 2024. We appreciate the information received from the NEI and note that the vision and goals you suggested are generally consistent with the efforts we already have underway or planned.
By {{letter dated|date=October 21, 2020|text=letter dated October 21, 2020}} (Agencywide Documents Access and Management System (ADAMS) Accession No. ML20296A398), you provided the Nuclear Energy Institutes (NEIs) insights related to the U.S. Nuclear Regulatory Commission (NRC) staffs rulemaking plan described in SECY-20-0032, Rulemaking Plan on Risk Informed, Technology-Inclusive Regulatory Framework for Advanced Reactors (RIN-3150-AK31; NRC-2019-0062)," dated April 13, 2020 (ADAMS Accession No. ML19340A056). Specifically, NEIs views were intended to provide the industry vision for Part 53 and highlight key goals to inform the staffs activities with regard to the rulemaking efforts associated with Title 10 of the Code of Federal Regulations (10 CFR) Part 53, which is scheduled for completion by October 2024. We appreciate the information received from the NEI and note that the vision and goals you suggested are generally consistent with the efforts we already have underway or planned.
In order to develop a risk-informed, technology-inclusive regulatory framework for advanced reactors that is transformational, flexible, and efficient, the NRC staff anticipates substantial stakeholder engagement through 2024. The staff has already begun scheduling a series of public meetings every 4 to 6 weeks to engage stakeholders and the Advisory Committee on Reactor Safeguards throughout calendar year 2021, and we look forward to addressing meaningful insights such as those described in your October 21, 2020, letter throughout those public discussions.
In order to develop a risk-informed, technology-inclusive regulatory framework for advanced reactors that is transformational, flexible, and efficient, the NRC staff anticipates substantial stakeholder engagement through 2024. The staff has already begun scheduling a series of public meetings every 4 to 6 weeks to engage stakeholders and the Advisory Committee on Reactor Safeguards throughout calendar year 2021, and we look forward to addressing meaningful insights such as those described in your {{letter dated|date=October 21, 2020|text=October 21, 2020, letter}} throughout those public discussions.
Consistent with the NRCs vision of becoming a modern, risk-informed regulator, the staff is placing a high priority on its efforts to develop an open, predictable, and transparent rulemaking process. Among other things, these efforts include releasing preliminary proposed rule language to solicit feedback and better inform the staffs proposals. We fundamentally believe that continued engagement with the NEI and our other stakeholders is paramount to developing a high quality, transformative 10 CFR Part 53 rule and associated guidance. As such, we look forward to engaging with NEI and others during our upcoming November 18, 2020, public meeting (ADAMS Accession No. ML20309A524) to discuss this important topic.
Consistent with the NRCs vision of becoming a modern, risk-informed regulator, the staff is placing a high priority on its efforts to develop an open, predictable, and transparent rulemaking process. Among other things, these efforts include releasing preliminary proposed rule language to solicit feedback and better inform the staffs proposals. We fundamentally believe that continued engagement with the NEI and our other stakeholders is paramount to developing a high quality, transformative 10 CFR Part 53 rule and associated guidance. As such, we look forward to engaging with NEI and others during our upcoming November 18, 2020, public meeting (ADAMS Accession No. ML20309A524) to discuss this important topic.



Latest revision as of 13:26, 14 March 2021

Rulemaking: Proposed Rule: Response to NEI Input on the NRC Rulemaking Plan on Risk-Informed, Technology-Inclusive Regulatory Framework for Advanced Reactors (RIN-3150-AK31; NRC-2019-0062)
ML20311A140
Person / Time
Issue date: 11/16/2020
From: John Tappert
NRC/NMSS/DREFS
To: Nichol M
Nuclear Energy Institute
Beall, Robert
Shared Package
ML20321A124 List:
References
10 CFR Part 53, NRC-2019-0062, RIN 3150-AK31
Download: ML20311A140 (3)


Text

UNITED STATES NUCLEAR REGULATORY COMMISSION WASHINGTON, D.C. 20555-0001 November 16, 2020 Mr. Marcus R. Nichol Senior Director, New Reactors Nuclear Energy Institute 1201 F Street, NW, Suite 1100 Washington, DC 20004

SUBJECT:

RESPONSE TO NUCLEAR ENERGY INSTITUTE LETTER REGARDING THE U.S. NUCLEAR REGULATORY COMMISSION RULEMAKING PLAN ON RISK-INFORMED, TECHNOLOGY-INCLUSIVE REGULATORY FRAMEWORK FOR ADVANCED REACTORS (RIN-3150-AK31; NRC-2019-0062)

Dear Mr. Nichol:

By letter dated October 21, 2020 (Agencywide Documents Access and Management System (ADAMS) Accession No. ML20296A398), you provided the Nuclear Energy Institutes (NEIs) insights related to the U.S. Nuclear Regulatory Commission (NRC) staffs rulemaking plan described in SECY-20-0032, Rulemaking Plan on Risk Informed, Technology-Inclusive Regulatory Framework for Advanced Reactors (RIN-3150-AK31; NRC-2019-0062)," dated April 13, 2020 (ADAMS Accession No. ML19340A056). Specifically, NEIs views were intended to provide the industry vision for Part 53 and highlight key goals to inform the staffs activities with regard to the rulemaking efforts associated with Title 10 of the Code of Federal Regulations (10 CFR) Part 53, which is scheduled for completion by October 2024. We appreciate the information received from the NEI and note that the vision and goals you suggested are generally consistent with the efforts we already have underway or planned.

In order to develop a risk-informed, technology-inclusive regulatory framework for advanced reactors that is transformational, flexible, and efficient, the NRC staff anticipates substantial stakeholder engagement through 2024. The staff has already begun scheduling a series of public meetings every 4 to 6 weeks to engage stakeholders and the Advisory Committee on Reactor Safeguards throughout calendar year 2021, and we look forward to addressing meaningful insights such as those described in your October 21, 2020, letter throughout those public discussions.

Consistent with the NRCs vision of becoming a modern, risk-informed regulator, the staff is placing a high priority on its efforts to develop an open, predictable, and transparent rulemaking process. Among other things, these efforts include releasing preliminary proposed rule language to solicit feedback and better inform the staffs proposals. We fundamentally believe that continued engagement with the NEI and our other stakeholders is paramount to developing a high quality, transformative 10 CFR Part 53 rule and associated guidance. As such, we look forward to engaging with NEI and others during our upcoming November 18, 2020, public meeting (ADAMS Accession No. ML20309A524) to discuss this important topic.

M. Nichol Finally, while the NRC may not follow the precise steps NEI proposed in the October 21 letter, we believe the NRCs proposed plan (see Response to Staff requirements - SECY-20-0032-Rulemaking Plan on Risk-Informed, Technology-Inclusive Regulatory Framework for Advanced Reactors," dated November 2, 2020 (ADAMS Accession No. ML20288A251)) and the current efforts associated with the 10 CFR Part 53 rulemaking activities are consistent with NEIs views and goals related to achieving the efficient licensing of safe advanced nuclear technologies.

If you have any questions regarding the status of the rulemaking activities, please contact Robert (Bob) Beall by telephone at 301-415-3874 or by e-mail to Robert.Beall@nrc.gov.

Sincerely, John R. Digitally signed by John R.

Tappert Tappert Date: 2020.11.16 11:29:39

-05'00' John R. Tappert, Director Division of Rulemaking, Environmental, and Financial Support Office of Nuclear Material Safety and Safeguard

SUBJECT:

RESPONSE TO NEI INPUT ON THE NRC RULEMAKING PLAN ON RISK-INFORMED, TECHNOLOGY-INCLUSIVE REGULATORY FRAMEWORK FOR ADVANCED REACTORS (RIN-3150-AK31; NRC-2019-0062)

DATED: November 16, 2020 DISTRIBUTION:

PUBLIC JSegala, NRR JTappert,NMSS RidsOgcMailCenter IBerrios, NMSS KCoyne, NMSS RidsNrrDanu MShams, NRR RBeall, NMSS BSmith, NRR WReckley, NRR GLappert, NMSS Accession Number: PKG: ML20321A124; Incoming: ML20296A398; Response:

ML20311A140

  • Via email.

OFFICE NRR/DANU/UARP: PM* NMSS/REFS/RRPB: PM* QTE* NMSS/REFS/RRPB: RS*

NAME JUribe RBeall KAzariah-Kribbs GLappert DATE 11/04/2020 11/05/2020 11/06/2020 11/06/2020 OFFICE NMSS/REFS/RRPB: BC* NRR/DANU/UARP: BC* NMSS/REFS: D* NRR/DANU: D*

NAME IBerrios JSegala JTappert MShams DATE 11/05/2020 11/05/2020 11/06/2020 11/08/2020 OFFICE OGC (NLO)* NMSS/REFS: D*

NAME MSegarnick JTappert DATE 11/16/2020 11/16/2020 OFFICIAL RECORD COPY