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{{#Wiki_filter:}} | {{#Wiki_filter:PUBLIC SUBMISSION As of: 6/14/17 8:53 AMReceived: | ||
June 13, 2017Status: Pending_Post Tracking No. | |||
1k1-8wxw-jeuxComments Due: | |||
June 13, 2017 Submission Type: | |||
Web Docket: NRC-2015-0070Regulatory Improvements for Power Reactors Transitioning to Decommissioning Comment On: | |||
NRC-2015-0070-0178Regulatory Improvements for Power Reactors Transitioning to Decommissioning; Request for Comment on Draft Regulatory BasisDocument: | |||
NRC-2015-0070-DRAFT-0216 Comment on FR Doc # 2017-05141 Submitter InformationName: Mark Richter General Comment See attached file(s) | |||
Attachments 06-13-17_NRC_NEI Comments on Re gulatory Improvements for Power Reactors Transitioning to DecomissioningPage 1of 1 06/14/201 7 https://www.fdms.gov/fdms/g etcontent?objectId=09000064826d0e51&fo rmat=xml&showorig=fals e | |||
1 | |||
ATTACHMENT 1 | |||
2 Attachment 1 Federal Register Notice General Questions 1 through 5 Question 1 - Is the NRC considering appropriate options for each regulatory area described in the draft regulatory basis? | |||
Question 2 - | |||
Are there additional factors that the NRC should consider in each regulatory area? What are these factors? | |||
3 Question 3 - Are there any additional options that the NRC should consider during the development of the proposed rule? | |||
Question 4 - Is there additional information concerning regulatory impacts that NRC should include in its regulatory basis for rulemaking? | |||
4 | |||
5 Question 5 - Should the NRC address the exemption of 50.38 for licensees of facilities in decommissioning on a generic basis as a part of this rulemaking? If so, why, and how should the NRC address this issue? | |||
6 | |||
7 | |||
8 9 | |||
ATTACHMENT 2 | |||
10 Appendix A Emergency Preparedness Overview | |||
oo | |||
11 12 Spectrum of Accidents | |||
Assessment of 10-hour Timeframe for Permanently Defueled Emergency Plans | |||
13 14 Licensee Supporting Analyses and Commitments Timeframe for Taking Protective Actions Level 1: Post Shutdown Emergency Plan | |||
15 Level 2: Permanently Defueled Emergency Plan | |||
16 | |||
Level 3: All Spent Fuel Transferred to an ISFSI | |||
17 Notifications under 10 CFR 50.72 | |||
Additional Amendments for Emergency Planning | |||
18 Plan Changes for the Next Level | |||
Summary | |||
19 | |||
20 21 Appendix B Physical Security Overview | |||
NRC-Conducted Force-on-Force Inspections | |||
22 Suspension of Security Measures | |||
Protection against Significant Core Damage | |||
Training for Loss of the Ultimate Heat Sink Protection of the Control Room 23 Communications with the Control Room | |||
Number of Armed Responders | |||
24 | |||
25 Safeguards Effectiveness | |||
Transition to Physical Security Requirements Applicable to an ISFSI | |||
26 Federal Register Notice Questions Related to Physical Protection of Quantities of Radioactive Materials (10 CFR 37) | |||
27 | |||
28 Category of Source Risk in being close to an individual source Risk in the event that the radioactive material in the source is dispersed by fire of explosion | |||
29 | |||
30 | |||
31 | |||
32 | |||
Federal Register Notice Questions Related to Physical Security 33 Appendix C - Cyber Security Overview NEI Response | |||
34 Appendix D - Drug and Alcohol Testing Overview NEI Response | |||
35 | |||
36 | |||
37 | |||
38 Appendix E - Minimum Staffing and Training Requirements for Non-Licensed Operators, Including Certified Fuel Handlers Overview | |||
39 Definition of Certified Fuel Handler | |||
40 | |||
50.120 Training and Qualification of Nuclear Power Plant Personnel 50.54(m) Minimum Requirements Per Shift for On-Site Staffing of Nuclear Power Units by Operators and Senior Operators | |||
41 42 Appendix F - Decommissioning Trust Funds Overview | |||
Use of the Decommissioning Trust Fund | |||
43 | |||
44 | |||
45 | |||
Triennial Reporting Requirement Miscellaneous Expense Allowance | |||
46 | |||
47 Correction of Shortfalls within Three Years | |||
48 Site Specific Cost Estimates | |||
49 | |||
50 | |||
Additional Accompanying Administrative Changes 51 Miscellaneous Provisions and Comments | |||
52 Appendix G - Offsite and Onsite Financial Protection Requirements and Indemnity Agreements Overview | |||
53 | |||
54 Offsite and Onsite Financial Protection Amounts | |||
55 | |||
Response to Federal Register Notice Question #11 | |||
56 | |||
Application to Part 72 Specific ISFSI Licensees | |||
57 Appendix H -Current Regulatory Approach to DecommissioningOverview | |||
44 | |||
58 Level of PSDAR Review and Approval by the NRC | |||
45 | |||
46 | |||
59 47 | |||
60 | |||
48 | |||
The Appropriateness of Maintaining the Three Existing Options for Decommissioning 49 | |||
61 | |||
50 | |||
51 | |||
5253 | |||
62 | |||
The 60 Year Timeframe Associated with Decommissioning | |||
63 | |||
54 | |||
5556 | |||
64 57 The Role of State and Local Governments and Non-Government Stakeholders 58 | |||
65 | |||
5960 | |||
61 | |||
66 Clarifying the Spent Fuel Management Requirements of 10 CFR 72.218, 10 CFR 50.54(bb), 10 CFR 50.82 and 10 CFR 52.110 62 | |||
67 Clarifying the Environmental Requirements in 10 CFR Part 50 and 10 CFR Part 51 68 Appendix I - Application of Backfit Rule Overview | |||
NEI Response | |||
69 | |||
70 Appendix J - Aging Management Overview NEI Response | |||
71 | |||
72 Appendix K - Fatigue Management Overview NEI Response | |||
73 | |||
74 ATTACHMENT 3 | |||
75 Preliminary Draft Regulatory Analysis for Regulatory Basis: Regulatory Improvements for Decommissioning | |||
Summary Comments | |||
76 | |||
Specific Comments | |||
Section 4.3 Physical Security | |||
77 | |||
78 | |||
Section 4.8 Decommissioning Trust Fund | |||
79 Section 4.9 Offsite and Onsite Financial Protection Requirements and Indemnity Agreements Section 4.10 Application of Backfitting Protection | |||
80}} |
Revision as of 19:37, 18 October 2018
ML17165A330 | |
Person / Time | |
---|---|
Site: | Nuclear Energy Institute |
Issue date: | 06/13/2017 |
From: | McCullum R Nuclear Energy Institute |
To: | Vietti-Cook A L NRC/SECY/RAS |
SECY/RAS | |
References | |
82FR13778 00025, NRC-2015-0070 | |
Download: ML17165A330 (87) | |
Text
PUBLIC SUBMISSION As of: 6/14/17 8:53 AMReceived:
June 13, 2017Status: Pending_Post Tracking No.
1k1-8wxw-jeuxComments Due:
June 13, 2017 Submission Type:
Web Docket: NRC-2015-0070Regulatory Improvements for Power Reactors Transitioning to Decommissioning Comment On:
NRC-2015-0070-0178Regulatory Improvements for Power Reactors Transitioning to Decommissioning; Request for Comment on Draft Regulatory BasisDocument:
NRC-2015-0070-DRAFT-0216 Comment on FR Doc # 2017-05141 Submitter InformationName: Mark Richter General Comment See attached file(s)
Attachments 06-13-17_NRC_NEI Comments on Re gulatory Improvements for Power Reactors Transitioning to DecomissioningPage 1of 1 06/14/201 7 https://www.fdms.gov/fdms/g etcontent?objectId=09000064826d0e51&fo rmat=xml&showorig=fals e
1
ATTACHMENT 1
2 Attachment 1 Federal Register Notice General Questions 1 through 5 Question 1 - Is the NRC considering appropriate options for each regulatory area described in the draft regulatory basis?
Question 2 -
Are there additional factors that the NRC should consider in each regulatory area? What are these factors?
3 Question 3 - Are there any additional options that the NRC should consider during the development of the proposed rule?
Question 4 - Is there additional information concerning regulatory impacts that NRC should include in its regulatory basis for rulemaking?
4
5 Question 5 - Should the NRC address the exemption of 50.38 for licensees of facilities in decommissioning on a generic basis as a part of this rulemaking? If so, why, and how should the NRC address this issue?
6
7
8 9
ATTACHMENT 2
10 Appendix A Emergency Preparedness Overview
oo
11 12 Spectrum of Accidents
Assessment of 10-hour Timeframe for Permanently Defueled Emergency Plans
13 14 Licensee Supporting Analyses and Commitments Timeframe for Taking Protective Actions Level 1: Post Shutdown Emergency Plan
15 Level 2: Permanently Defueled Emergency Plan
16
Level 3: All Spent Fuel Transferred to an ISFSI
17 Notifications under 10 CFR 50.72
Additional Amendments for Emergency Planning
18 Plan Changes for the Next Level
Summary
19
20 21 Appendix B Physical Security Overview
NRC-Conducted Force-on-Force Inspections
22 Suspension of Security Measures
Protection against Significant Core Damage
Training for Loss of the Ultimate Heat Sink Protection of the Control Room 23 Communications with the Control Room
Number of Armed Responders
24
25 Safeguards Effectiveness
Transition to Physical Security Requirements Applicable to an ISFSI
26 Federal Register Notice Questions Related to Physical Protection of Quantities of Radioactive Materials (10 CFR 37)
27
28 Category of Source Risk in being close to an individual source Risk in the event that the radioactive material in the source is dispersed by fire of explosion
29
30
31
32
Federal Register Notice Questions Related to Physical Security 33 Appendix C - Cyber Security Overview NEI Response
34 Appendix D - Drug and Alcohol Testing Overview NEI Response
35
36
37
38 Appendix E - Minimum Staffing and Training Requirements for Non-Licensed Operators, Including Certified Fuel Handlers Overview
39 Definition of Certified Fuel Handler
40
50.120 Training and Qualification of Nuclear Power Plant Personnel 50.54(m) Minimum Requirements Per Shift for On-Site Staffing of Nuclear Power Units by Operators and Senior Operators
41 42 Appendix F - Decommissioning Trust Funds Overview
Use of the Decommissioning Trust Fund
43
44
45
Triennial Reporting Requirement Miscellaneous Expense Allowance
46
47 Correction of Shortfalls within Three Years
48 Site Specific Cost Estimates
49
50
Additional Accompanying Administrative Changes 51 Miscellaneous Provisions and Comments
52 Appendix G - Offsite and Onsite Financial Protection Requirements and Indemnity Agreements Overview
53
54 Offsite and Onsite Financial Protection Amounts
55
Response to Federal Register Notice Question #11
56
Application to Part 72 Specific ISFSI Licensees
57 Appendix H -Current Regulatory Approach to DecommissioningOverview
44
58 Level of PSDAR Review and Approval by the NRC
45
46
59 47
60
48
The Appropriateness of Maintaining the Three Existing Options for Decommissioning 49
61
50
51
5253
62
The 60 Year Timeframe Associated with Decommissioning
63
54
5556
64 57 The Role of State and Local Governments and Non-Government Stakeholders 58
65
5960
61
66 Clarifying the Spent Fuel Management Requirements of 10 CFR 72.218, 10 CFR 50.54(bb), 10 CFR 50.82 and 10 CFR 52.110 62
67 Clarifying the Environmental Requirements in 10 CFR Part 50 and 10 CFR Part 51 68 Appendix I - Application of Backfit Rule Overview
NEI Response
69
70 Appendix J - Aging Management Overview NEI Response
71
72 Appendix K - Fatigue Management Overview NEI Response
73
74 ATTACHMENT 3
75 Preliminary Draft Regulatory Analysis for Regulatory Basis: Regulatory Improvements for Decommissioning
Summary Comments
76
Specific Comments
Section 4.3 Physical Security
77
78
Section 4.8 Decommissioning Trust Fund
79 Section 4.9 Offsite and Onsite Financial Protection Requirements and Indemnity Agreements Section 4.10 Application of Backfitting Protection
80