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*° FIEO NUCLEAR NCERRGREGULATORYLTR COMMISSION March 2009 o* RESEARCH Division 5 REGULTOYGUIDE | |||
REGULATORY GUIDE 5.77 (Draft was issued as DG-501 1, dated December 2008) | |||
(New Regulatory Guide) | |||
INSIDER MITIGATION PROGRAM | |||
A. (U) INTRODUCTION | |||
(U) This guide describes an approach that the staff of the U.S. Nuclear. Regulatory Commission (NRC) considers acceptable for an insidcr mitigation program (IMP) at nuclcar power reactor facilities.. | |||
Title 10. of.the Code of FederalRegulations (10.. CFR) Section 73.55, "Requirements for Physical. | |||
or indirectly, the licensee's capability to prevent significant core damage or spent fuel sabotage..(U) This document provides guidance for an IMP that would meet the requirements in 10 CFR 73.55(b)(7) | Protection of Licensed Activities in Nuclear Power Reactors against Radiological Sabotage," specifically paragraph (b)(7) states that licensees shall establish, maintain, and follow an access authorization program hin accordance with. 10. CFR 73.56, "Personnel Access Authorization Requirements. forNuclear Power Plants." The licensee's physical security plan must include descriptions ofthe access authorization program and the IMP. Furthermore, pursuant to 10 CFR 73.55(b)(9), licensees shall dcsign and implement the, IMP to. oversee, and monitor the, initial and continuing trustworthiness, and. reliability of individuals granted unescorted access or retaining unescorted access authorization to a protected or vital areas. The IMP should use defense-in-depth mcthodologics to minimize the potcntial for an insider to adversely affect, either directly. or indirectly, the licensee's capability to prevent significant core damage or spent fuel sabotage.. | ||
and (b)(9) and the latest NRC staff endorsed version of the industry's guidance document, Nuclear Energy. Institute. (NEI). 03-01,. "Nuclear Power. Plant Access Authorization Program." These sources provide. an acceptable approach for an IMP. that meets the provisions of 10 CFR 73.55 as part of the liccnsee's physical security plan. These sources arc also consistcnt with the guidancc described in this regulatory, guide | (U) This document provides guidance for an IMP that would meet the requirements in | ||
10 CFR 73.55(b)(7) and (b)(9) and the latest NRC staff endorsed version of the industry's guidance document, Nuclear Energy. Institute. (NEI). 03-01,. "Nuclear Power. Plant Access Authorization Program." | |||
These sources provide. an acceptable approach for an IMP. that meets the provisions of 10 CFR 73.55 as part of the liccnsee's physical security plan. These sources arc also consistcnt with the guidancc described in this regulatory, guide. | |||
Regulatory guides arc not substitutes for regulations, and compliance with them is not required. | (U) The NRC issues regulatory guides to describe and makc available thc methodsithat the NRC staff considers acceptable for use in implemcnting specific parts of the agency's regulations, techniques that the staff uses in evaluating specific problems or postulated accidents, and data that the staff needs in reviewing applications for: permits. and liccnses. Regulatory guides arc not substitutes for regulations, and compliance with them is not required. Methods and solutions that differ from those set forth in regulatory guides will be deemed acceptable if they provide a basis for the finding required for thle issuance or continuance of permit or license by the Commission. | ||
(U) This guide was issued after consideration of comments received from stakeholders. | |||
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*-o Dr RELAT'-,D ,I-,-,',-,,,,.... | |||
guides are issued in | OFFICIAl "SE ONLY-SECUR!TY RELATED INFORMATION | ||
2, Research and Test Reactors; | (U) Regulatory. guides are issued in 10.broad divisions-l, Power Reactors; 2, Research and Test Reactors; 3, Fuels and Materials Facilities; 4, Environmental. and Siting; 5, Materials and Plant Protection; 6, Products; 7, Transportation; 8, Occupational HeIalth; | ||
3, Fuels and Materials Facilities; | 9, Antitrust and Financial Review; and 10, General. | ||
4, Environmental. | |||
(U) This regulatory guide contains guidance on how licensees should implement an IMP. Licensees may employ methods other than those described herein for. meeting the. Commission's regulations if tihe choscn measures satisfy the stated Commission requirement(s). The approaches and examples describcd in this regulatory guidance provide one, methodology for satisfying the Commission's, requirements for an IMP at nuclear power. reactor. facilities. | |||
The approaches and examples describcd in this regulatory guidance provide one, methodology for satisfying the Commission's, requirements for an IMP at nuclear power. reactor. facilities | |||
(U) Licensees with. operating reactors licensed under 10 CFR Part 50, "Domestic Licensing of Production and Utilization Facilities;" and 10 CFR Part 52, "Licenses, Certifications, and Approvals for Nuclear Power Plants," can apply the guidance in this regulatory guide before fuel is allowed on site (protected area).. | |||
(U) Any information collection activities mentioned in this regulatory guide are included as requirements in. 10 CFR 73.8, "Information Collection Requirements," which provides thae regulatory basis for this guide. The NRC considers the guidance contained in this document to be the most current concerning acceptable approaches. | |||
(U) The NRC issues. regulatory guides to describe methods that the staff considers acceptable for use. | |||
in implementing specific. parts of the, agency's regulations, to. explain techniques that, the staff uses, in evaluating specific. problems or POstulated accidents, and to provide guidance to applicants; Regulatory guides are not substitutes for regulations and compliance with them is not required. | |||
(U5). Thisiregulatory guide relates to information collection requirements covered by 10 CFR Part 73, and that the Office of Management and Budget (0MB) approved under. OMB control number 3150-0002. | |||
The NRC may neither condUct nor sponsor, and a person is not required to respond to, an information collection request or requirement unless the requesting document displays. a currently valid 0MB control number. | |||
RG 5.77, Page 2 OFFICAL US CNLY .......... R.L ... INFORMATION | |||
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B. (U) DISCUSSION | |||
(U) Bccause of changes. to the threat, cnvironment after thc evcnts of Septembcr 11, 2001, the Commission began reevaluating physical protection program requirements at nuclear power reactor facilities. This changing threat environment resulted in several significant protection and regulatory enxhancements, to ensure that licensees maintain the capability to provide high. assurance of the health and. | |||
the. | safety of the public against the design-basis threat (DBT). Specifically, the provisions of 10 CFR 73.1, | ||
"Purpose and Scope," describe how an insider might cauise or assist in radiological sabotage. | |||
and | |||
Furthermore, in a Commission order dated April 29, 2003 (EA-03-086), the NRC required licensees to address the insider threat. Pursuant to this order, licensees updated their site security plans to specify how they will comply with the requirements of 10 CFR 73.1 and the DBT order. | |||
(U) A licensee' s access authorization program, fitness-for-duty program, and behavior: observation program (BOP) provide the framework for addressing the. insider, threat. Once ant individual has. been granted unescorted access to protected and vital areas of a power reactor facility, preventing an adverse event becomes dependent on detecting the insider through one of these programs andlor by denying the undetected insider the opportunity to commit the. act by other means, such as physical and cyber protective security measures, as appropriate. Performance-based program requirements are intended to generically satisfy the minimum level of perfonnance that a licensee's physical protection program must achieve to provide adequate protection and. minimize. the. potential for an insider to adversely affect, either. | |||
directly or indirectly, the licensee's capability to prevent significant core damage or spent fuel sabotage. | |||
(QUO-SRI) Pursuant to 10 CFR. 73.55(b)(7) and (b)(9), which provide the. necessary flexibility for licensees to address the complexities of an insider threat, the. NRC staff has nonetheless, established the minimum criteria required to. meet the DBT goal of mitigating the active insider, active violent insider, or passive, insider in Section C of this guide. | |||
and(b)(9), | |||
(b)(7)(F | |||
(U) The JMP elements are designed to address a broad context of trustworthiness and reliability issues to minimize the potential for adverse actions by an insider. An insider may create an adverse condition other, than radiological sabotage that could affect, the licensee's, ability, to respond to a safety or security. | |||
event or could affect the nonmal operation of the plant. Licensees should consider, and be sensitive to, subtle changes in an individual's behav*ior or actions ov er time and use appropriate IMP elements (e.g., | |||
behavioral, observation program), to assess and mitigate potential adverse, acts. by insiders. | |||
(U) A trusted person with protected or vital area access, or access to digital computer and communications systems and networks from outside the protected area, can pose a significant threat to the safety and security of a nuclear power plant.. Licensees may be. unable to identify the cause, of incidents that are indicative of potential tampering, which makes it difficult to conclusively determine if a condition RG 5.77, Page 3 OFFICIAL USE ...... ..... , '-,,,-,,,-,', ,"- ,,,,,,-,-,,,AT,,'O , | |||
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that was discovered was the result of tampering.. Irrespective of whether security events involve acts that are. within the scopc of 10. CFR 73.lI and the. DBT, acts of malfeasance. or tampering are particularly. | |||
serious, matters because of the potential, adverse, impact to. the safety and security of the nuclear power plant. These events demonstrate the need for an IMP that ensures the trustworthiness and reliability of specific individuals, working for, or supporting a nuclear, power plant.. | |||
(U) The broad spectrum of issues related to insider threats ranges from the premeditated actions of an individual acting as a single. source of origin, to. events that, might be sufficient to. motivate someone, to. | |||
act, such as extortion. The highly unpredictable threat requires a comprehensive, approach to addressing both the intent and capability, of the potential insider. Licensee internal organizations should coordinate to, provide the defense-in-depth necessary, to mitigate the insider threat.. An example offthis is the, need for security and human resources personnel, to work closely with employee assistance program (EAP) | |||
personnel to. ensure that an individual demonstrating the potential to harm themselves or others. is reported to appropriate security personnel for evaluation as a potential insider threat without, creating the. | |||
perception that seeking help. via the EAP will result in adverse action.. | |||
RG 5.77, Page 4 | |||
C. (U) REGULATORY POSITION | |||
1. (U) General Requirements (U) In accordance with Title 10 of the Code of FederalRegulations Part 73 (10 CFR 73), "Physical Protection of Plants and Materials,". Section 73.55, "Requirements for physical protection of licensed activities in nuclear power reactors against radiological sabotage," the Commission has established design requirements for a nuclear power reactor facility physical protection program, including the performance criteria to detect, assess, interdict, and. neutralize threats up. to and including the DBT of radiological sabotage, thereby preventing significant core damage and spent fuel sabotage. Under 10 CFR 73.55(b)(7) | |||
and(b)(9), licensees shall establish, maintain, and implement an access authorization program and IMP in accordance with 10. CFR 73.56 and describe the. programs in their physical security plans. The IMP must be designed and implemented to oversee and monitor the initial, and continuing trustworthiness and reliability of individuals granted unescorted access or retaining unescorted access authorization to a protected or. vital area, and. implement defense-in-depth methodologies, to minimize the potential for an insider to adversely affect, either directly or indirectly, a licensee's capability to prevent significant core damage or spent fuel sabotage. | |||
(U) In 10 CFR Part 73, "Physical Protection of Plants and Materials," Section 73.56, "Personnel Access Authorization Requirements. for. Nuclear Power Plants," a licensee is required to establish and implement a program, as a part of its physical security plan, for granting unescorted access to protected and vital areas of a nuclear power plant. This program's objective is to provide high assurance that individuals granted unescorted access are trustworthy and reliable and do not constitute an unreasonable risk to public health and safety, including the potential to. commit radiological sabotage.. | |||
(U) This document contains guidance for an acceptable IMP that would meet the requirements of | |||
10 CFR 73.55(b)(7) and (b)(9). .Furthermore, the latest NRC staff endorsed version of NEI 03-01 also describes an approach that the NRC. staff has. found acceptable. in meeting the provisions of 10 CFR 73.56 with respect to. an IMP. as part of the licensee's physical security. plan, and is consistent with the guidance. | |||
described in this regulatory guide.. | |||
2.. (U). Elements of an Acceptable Insider Mitigation Program (U) Threat is a function of intent and capability... To provide defense-in-depth against threats, a licensee should establish an IMP that will address both the, human reliability factors associated with intent and physical protection measures to mitigate the capability of a potential insider to commit an adverse act. | |||
(U) As a minimum to mitigate the potential for an insider, an IMP should consist of the following " | |||
elements for all personnel with unescorted access authorization to the protected and vital areas of a facility: (1) a security determination (clearance or access authorization); (2) initial and random substance abuse testing; (3) p~sychological assessments which may include a medical evaluation;. (4) review by the immediate supervisor at least annually; (5) a security determination of the periodic reinvestigation.. | |||
2.1. (U) Insider Mitigation Prog~ram Elements-Critical Group | |||
2.1.1. (U).. Participationi (U) Though insiders. may occupy, any position within a licensee's organization and elements of the IaMP apply to. all personnel that are. in an unescorted. access authorization status, some groups are considered to have a higher potential for insider threat (i.e., greater capability) because of their RG 5.77,. Page 5 OFFICIAL USE ONLY-SECURITY-RELATED. '""-"''"' ^''-'. | |||
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* IKI~t'**F ,A I-rIf'*,kl knowledge, access to, or possession of weapons inside the protected area of a licensed facility. Pursuant to 10 CFR 73.56(i)(1)(v,)(B), for any individual, in the critical group the trustworthiness and reliability determination must be based on a criminal history update and credit history re-investigation within 3 years of the date on. which these elements were last completed, or more frequently, based on job assignments as determined by the licensee or applicant and a psychological re-assessment within 5 years of the date on which this element was last completed: | |||
Individuals who perform one or more of the following job functions must be in the critical group: | |||
* All licensed reactor operators. | |||
* Non-licensed operators. Non-licensed operators include those individuals responsible for the operation of plant systems and components, as directed by a reactor operator or senior reactor operator. Non-licensed operators. also monitor plant instrumentation and equipment and principally perform their duties outside the control room. | |||
managers o corporate security, managers (nuclear and/or applicable contractor security managers)o. security training instructors | * Individuals who have extensive knowledge of defensive stratcgies and designa and/or implementation of the plant's defensive strategies, including:. | ||
* Individuals in a position to grant an applicant unescorted access or unescorted access authorization, including assess authorization managers. | a. site security. supervisors o site security. managers o corporate security, managers (nuclear and/or applicable contractor security managers) | ||
o. security training instructors | |||
* Individuals in a position to grant an applicant unescorted access or unescorted access authorization, including assess authorization managers. However, this requirement does not apply to qualified contractor/vendors (C/Vs) that certify elements of the access authorization program. | |||
* Individuals who have access, extensive knlowledge, or administrative control over plant digital computer and communication systems and networks as identified in 73.54, including:. | |||
o plant network systems administrators o IT personnel who are responsible for securing plant networks Note:. the term "IT personnel" should also consider. | o plant network systems administrators o IT personnel who are responsible for securing plant networks Note:. the term "IT personnel" should also consider. personnel who have the ability and access to change the configuration of control systems (e.g., Supervisory Control and Data Acquisition (SCADA) systems) or other systems that use embedded devices (e.g., | ||
Electronically Erasable Programmable Read-Only Memory (EEPROMs)). | |||
* Individuals assigned a duty. to search for contraband (e.g., wecapons, explosives, or inccndiary devices). | |||
* Individuals qualified for and assigned duties as: armed security officers, armed responders, alarnm station operators, response team leaders, and armorers. | |||
(b)(7)(F) | |||
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(U) The decision to include additional personnel in the critical group should be based on the licensee's IMP, goals and performance objectives associated wvith mitigating Active Insiders (Al), Active. | |||
Violent Insiders (AVI), and Passive Insiders (P1). However, thosc personnel referenced under | |||
10 CFR 73.56(i)(1)(v)(B), must be included in the IMP. The NRC staff's policy concerning the insider during security performance evaluation testing is contained in RG 5.69, "Guidance for the Application of the. Radiological Sabotage Design-Basis Threat in the Design, Development, and Implementation of a Physical Security Program that meets 10 CFR 73.55 Requirements." | |||
2.1.2. (U) Initial Security Determination (U) Initial security measures for completing background investigations and other programmatic elements required by the NRC, through the implementation of the requirements of 10 CFR 73.56 and | |||
10 CFR 73.57, "Requirements for. Criminal History Checks of Individuals Granted Unescorted Access to a Nuclear Power Facility or Access to Safeguards Information by Power Reactor Licensees," and the latest NRC staff endorsed guidance of NEI 03-01, provide high assurance that persons initially, selected for unescorted access or unescorted access authorization are trustworthy and reliable and do not present a risk to public health and safety or the common defense and security. | |||
2.1.3 (U) Drug and Alcohol Testing--Pre-access, Random, For cause, Post-event, and Followup (U) Drug and alcohol testing is an important element of the access authorization and fitness-for-duty programs. Pre-access, random, for cause, p)ost event, and followup. testing provides a deterrent that supports both safety and security and reinforces the fundamental concepts of trustworthiness and reliability. | |||
,, | (U) The Pre-access, Random, For cause, Post-event, and Followup drug and alcohol testing element of an IMP may be implemented by applying the guidance. for meeting the requirements of | ||
10 CFR Part 26, "Fitness for Duty Programs," and the latest NRC staff endorsed guidance described in NEI 03-01, "Nuclear Power Plant Access Authlorization Program." | |||
2.1.4 . (U). Psychological Assessments including Medical Evaluations-ilnitial and Periodic (U) Initial psychological assessments should ensure that any testing mechanism applied, in whole ,or in part, to. a psycho'logical determination of suitability for unescorted access includes the opportunity to detect the need for a medical evaluation as described in paragraph (c) belo | |||
====w. As required under==== | |||
10 CFR 73.56(e), the psychological assessment must be designed to evaluate the possible adverse impact of any noted psychological characteristics on the individual's trustworthiness and reliability.. | |||
(U) The psychological assessment must include the following: | |||
a. (U) The administration and interpretation of a standardized, objective, professionally accepted psychological test that provides information to identify indications of RG 5.77, Page 7 OFFICI'I'IAL US 'NLY | |||
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disturbances in personality, or p)sychopathology. that may have adverse implications for an individual's trustworthiness. and. reliability. | |||
b. (U) Predetermined thresholds established for each scale in accordance with 10 CFR 73.56(e)(2) | b. (U) Predetermined thresholds established for each scale in accordance with 10 CFR | ||
must be applied in interpreting the results of the psychological test to determine whether an individual shall be interviewed by a licensed psychiatrist or psychologist. | 73.56(e)(2) must be applied in interpreting the results of the psychological test to determine whether an individual shall be interviewed by a licensed psychiatrist or psychologist. the individual receives scores on the psychological test that identify' | ||
.If indications of disturbances in personality or psychopathology that may have implications for an individual's trustworthiness and reliability the.psychological assessment must include a clinical interview. .The initial and periodic assessment should have the additional focus of careful consideration of the psychopathology of the interviewee.. | |||
Psychiatrists or clinical psychologists with the appropriate clinical training and experience should carefully, apply procedures of evaluation assessment and diagnosis. | |||
.derived from scientific research. | |||
c. (UY) The administrationl of a psychological assessmcnt may trigger a. medical evaluation to determine thae presence of any mental or physical condition that may cause a significant defect in the trustworthiness, reliability, or judgment of the individual. | |||
Individuals, identified as candidates for further medical review should be | Medical evaluations, triggered by. a psychological reconmmendation, should include a review of the individual's, prescribed medications to ensure that these medications do not impair the person's~judgmnent to the extent that trustworthiness and reliability, are jeopardized. Individuals, identified as candidates for further medical review should be. | ||
Medical personnel should evaluate possible | referred to a physician for further evaluation. Medical personnel should evaluate possible. | ||
medical conditions, including those that may result from the use of illegal drugs, the. | |||
abuse of prescribed or over-the-counter medications, or the excessive, habitual use of alcohol, in accordance with the requirements of 10 CFR. Part 26. | |||
(U). Pursuant to 10 CFR 73.56(i)(l)(v)(B), the psychological assessment must be conducted at intervals not to exceed once every 5 years for individuals in a critical group. Interviews used in the assessment should be conducted in a semi-structured manner and include, the recognition, of medical conditions that could result in impaired judgments or could adversely impact the fitness-for-duty. or trustworthiness and reliability of those. individuals who currently have unescorted access or unescorted access authorization status. While other. types of interviews are. permitted, a face-to-face, interview conducted by an interviewer trained, to look for precursors of insider behavior is preferable for identifying persons. with potentially undesirable behavioral issues. | |||
to | (U) Prior to any psychological or medical assessment, the physician practitioner should review a cur'ent position description of the person being interviewed and the most recently completed supervisory. | ||
review, if applicable and if the. review: contains infonnation* that could assist the. physician practitioner in their assessment. | |||
(U) The interviewing psychiatrists or clinical psychologists with the appropriate clinical training and experience should incorporate the most recent supervisory review as one measure of the assessment.. | |||
(U) If, in the course of conducting the psychological assessment, the licensed psychologist or psychiatrist identifies or discovers any information, including a medical condition, that could adversely impact the fitness-for-duty or trustwvorthiness and reliability, of.any individual, based on standards identified in the regulation, who currently has unescorted access or unescorted access authorization status, | |||
10 CFR 73.56(e)(6) requires that he or she inform:. (I) the reviewing official of the discovery within 24 hours,of the discovery; and (2). the medical. personnel designated in the site implementing procedures, RG 5.77, Page 8 | |||
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who shall ensure that an appropriate evaluation of the possible medical condition is conducted under the. | |||
requirements of 10 CFR Part 26. | |||
(U) Licensees shall take appropriate action, in accordance with procedures, if disqualifying information is provided as a result of a psychological assessment or to admninistratively withdraw unescorted access for any worker who has not met the psychological reassessment criterion. | |||
psychological | |||
2.1,5 (U) Annual Review by Immediate Super'isor: | |||
(U) A review conducted by the assigned supervisor has value as an integral part of the BOP required by 10 CFR 73.56(i)(l)(iv).. This review creates a platform for interaction between the supervisor and the employee to the extent that the supervisor has the opportunity. to become cognizant of any condition that may cause the employee to act or behave, in an unconventional manner. In addition, the supervisory review provides an opportunity for the supervisor to consider whether any circumstances may indicate the need to. refer the employee for additional medical or psychological review. | |||
In some cases, the supervisor may not have frequent enough interaction with the individual tharoughout the review period needed to form an informed and reasonable opinion regarding the individual's behavior, trustworthiness, and reliability.,. Inthis situation, the individual is also subject to an annual supervisory review in accordance with the requirements of the licensee's or applicant's BOP. The, interview may consist of: face-to-face contact, gathering of informaation from personnel who have frequent interaction with the individual, or Other documented methods of gathering information to ensure the supervisor can attest to the individuals continued trustworthiness, and reliability. Additionally, the licensee should provide appropriate initial training of newly assigned supervisors and annual combined supervisory/worker refresher training. This process. should be defined in licensee procedurcs and policies. | |||
(U) The supervisory review may be satisfied by incorporating information developed over the. | |||
covered period. (i.e., annually) regarding the behavioral characteristics of the employee supervised. This information would typically include deviations from the behavioral norm that have been reported to the supervisor through the implementation of the BOP, as wvelt as those deviations from the behavioral norm personally observed by the supervisor. This review serves two purposes. First, it can identify issues related to physical or.mental impairment that fall under the general' performance objective of | |||
10. CFR Part 26. Second, it can identify issues related to trustworthiness and reliability.. | |||
2.1.5. a BOP Training Licensees should ensure that the BOP training includes: (1) the recognition that changes in emotional state can happen quickly; (2) typical conditions that can trigger behavioral anomalies; | |||
(3). the need for early intervention after the recognition of changes in behavior that typically indicate changes in emotional state; (4) the recognition of uncharacteristic deviations in co- worker interactions, uncharacteristic absences from work, uncharacteristic inattention to detail, or suspected alcohol or drug abuse; and (5) the need to report the above conditions to the employee's assigned supervisors or fitness-for-duty program manager. | |||
2.1,6. (U) Periodic Reinvestigation of Security Determination (U) Pursuant to. 10 CFR 73.56(i)(1)(v)(B)(1-5), members of the critical group must be reinvestigated within 3.Years. of the datc on which the criminal history update and credit history re-evaluation were last completed, or more fi-equently, based on job assignment as determained by the licensee or applicant, and a RG 5.77, Page 9 tl-IF1A.!AL USE O.NLY--SECURITY-RELATED INFORMAtTION | |||
psychological re-assessment within 5 years of the date on which this element was last completed. The requirements of this section apply,to all individuals with unescorted access authorization or. unescorted access who are members of the critical group. Individuals who have not satisfied the reinvestigation. | |||
requirements shall have unescorted access authorization or unescorted access administratively withdrawn until the reinvestigation has been completed, or the worker should be reassigned to non-critical, group positions until the required critical group reassessment can be completed. | |||
(U) The reinvestigation shall include the following: | |||
a. (U) A review of criminal history records obtained under 10 CFR 73.56(d)(7) and | |||
10 CFR 73.57, or as the Commnission may require, or as Federal statute may direct. | |||
Licensees should compare data returned from the criminal history. records check with the access authorization records of the person named in the record to ensure that the person has complied with the self-reporting requirements in 10 CFR 73.56(g). Submissions of fingerprints for the review of criminal history informationt should be handled separately. | |||
from investigations for outage staffing to preclude inadvertent outage staffing delays. | |||
b. (U) Licensees shall obtain a full credit history and review the history for the period provided as required by 10 CFR 73.56(d)(5). The individual should complete new consent to screen and Federal Credit Reporting Act disclosure and authorization statement forms before'initiating this reinvestigation. | |||
The | c. (U) Licensees shall take appropriate action if disqualif~ying information is discovered during any reinvestigation rcvicw.. | ||
(U) The start of the interval, for the next reinvestigation should be the date the reviewing official completed a concurrent review of both the credit history and criminal history information. To provide for reasonable. consistency Of the. timeframe under review, the reviewing official should ensure that the. | |||
receipt of the credit history and the criminal history information are within 30 days of each other. | |||
3. (U) Fitness-for-Duty Considerations related to 10 CFR Section 26.10, "General Performance Objectives" | |||
(U) The use of illegal drugs and the intentional misuse of legal drugs and alcohol are only a few of the potential causes for concern with respect to an individual's state of mind as it relates to an insider threat.. In addition, physical and mental conditions that arc. not related to cithcr of these. may drivc an individual to commit an adverse act. For example, sedative-hypnotic products (e.g., sleep disorder drugs). | |||
are widely prescribed and have been associated' with adversc behavior, including aggression, sleep driving, and suicidal thoughts. Licensees should refcr to NRC Information Notice 2007-31, "U.S. Food and Drug Administration Announcement Related to Certain Sleep Disorder Drugs," dated November 13, | |||
2007, for more information. In the context of insider threat, licensees should understand the relationships between BOP relating to identifying and reporting suspicious behavior, the. fitness-for-duty. program relating to the evaluation of impairment-related behavior that could impact th~e trustworthiness and reliability of an individual, and the access authorization program that determines suitability for unescorted access. | |||
(U) Licensees are expected to consider the potential insider threat when making fitness-for-duty determinations associated with observed abnormal behavior. | |||
RG 5.77, Page 10 | |||
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in a timely manner, and to compensate for degraded conditions as appropriate; | OFFIC-,,-L ,..,-, O, L-,, SEC*-.URI, ,-RELAT, , iNFORMyATiON | ||
b. ensure armed security officers are properly trained to recognize indications of obvious tampering; | 4. (U1) Access to Vital Areas (U) As. required by 10 CFR 73.56(.j), a licensee, shall establish, implement, and maintain a list of individuals who are authorized to have unescorted access to specific nuclear power plant vita] areas during nonemergeney conditions. The list must include only those individuals who have a continued need for access to. those specific vital, areas in order to. perform their, routine, duties and responsibilities. | ||
c. ensure personnel who receive plant access training are. trained in. recognizing beh~aviors or conditions adverse to safe operations and security of the facility;b. (U) develop procedures, and training requirements to react effectively to conditions. | |||
The list must be approved by a cognizant licensee or applicant manager or supervisor who is responsible for directing the work activities ofthe individual who is granted unescorted access to each vital area. The list nmust be updated and reapproved no. less. frequently than every 31. days. The. intent is to minimize insidcr threats by reducing the. number of individuals having unescorted v'ital area access, and by limiting vital area access to those personnel requiring it to. perform their duties. | |||
(U) In determining continued need, licensees should consider event response, weckend or.holiday emergencies, or other "off-hours" operational responses. The licensee may determine that some individuals are required to remain on the~..lisjt. _Personnel.-who fall into thi!s category will be evaluated at the licensee's discretion. However, personnel should be evaluated by a cognizant licensee or applicant manager or supervisor who is responsible. for directing the. work*activities of the individual.. | |||
5. (U) Physical Protection Measures - Specific. Elements (U) In considering program elements needed to mitigate the Al and AVI, licensecs should develop a four part program that will: | |||
a. (U) ensure licensed operators are properly trained to recognize indications of tampering, which includes mis-positioning of equipment until dispositioned otherwise, to report such conditions. in a timely manner, and to compensate for degraded conditions as appropriate; | |||
b. ensure armed security officers are properly trained to recognize indications of obvious tampering; | |||
c. ensure personnel who receive plant access training are. trained in.recognizing beh~aviors or conditions adverse to safe operations and security of the facility; | |||
b. (U) develop procedures, and training requirements to react effectively to conditions. | |||
relatedto actual or suspected tampering; | relatedto actual or suspected tampering; | ||
c. (U) ensure that indications, oftampering are included in the corrective action program;and (b)(7)(F)e. The program should identify target set equipment that: (b)(7)(F)RG 5.77, Page 11 | c. (U) ensure that indications, oftampering are included in the corrective action program; | ||
RELIATED' | and (b)(7)(F) | ||
INlFOr-MA^T'IrO | e. The program should identify target set equipment that: | ||
OFFiC~t~AL O'NLYV_ SCURI:: "II::ITYV | (b)(7)(F) | ||
REIA'/TED" INIFORtMAT54IOINK (IU) While thle above engineered and administrative physical protection measures relate to target set equipment, licensees should remain aware that tampering with non-target, set equipment, such as safety or security equipment, can adversely affect the ability to respond to events as required in compliance with the regulations.(b)(7)(F)(U) Licensees should train security personnel to recognize and respond to obvious indications of tampering. | NF[R=I*A.I IUSE1 I"NI Y | ||
RG 5.77, Page 11 SECURIITY RELIATED' INlFOr-MA^T'IrO | |||
OFFiC~t~AL USE* O'NLYV_ SCURI:: "II::ITYV REIA'/TED" INIFORtMAT54IOINK | |||
(IU) While thle above engineered and administrative physical protection measures relate to target set equipment, licensees should remain aware that tampering with non-target, set equipment, such as safety or security equipment, can adversely affect the ability to respond to events as required in compliance with the regulations. | |||
(b)(7)(F) | |||
) | |||
(U) Licensees should train security personnel to recognize and respond to obvious indications of tampering. .Except where precluded by immediate personnel safety concerns, operations abnormalities, or restrictions under guidelines to keep. radiation dose rates as low as reasonably. achievable, an armed security officer should patrol accessible areas that contain target set elements. | |||
(U) Licensee procedures should describe the operations and security response to actual tampering events. .Any. suspected tampering event should be entered into, the licensee's corrective action program. | |||
(b)(7)('F) | |||
I ' *.............. I | |||
(b)(7)(F). .....Plan Template," describes I............ | |||
The Nuclear the specifics Energy of aInstitute's patrol program NEL 03-12, latest that the NRC NRC has endorsed found acceptable. revision, "Security (b)(7)(F) I | |||
(b)(7)(F) I ........ Section 4.6.4, "Insider Mitigation," and Section 5, | |||
"Security. System Technology," of SAND2007-559 1, "Nuclear Power Plant Security Assessment TechnicalManual," issued September 2007, outlines additional guidance for these types of measures.. | |||
(OUO-SRI).. Licensees should ensure that searches. are performed in an acceptable. manner, that: will ensure personnel are searched for contraband (explosives and firearms) before entering the facility. This makes, contraband searches an integral physical protection element of tlhe IMP. | |||
D. (U) IMPLEMENTATION | |||
(U). This section provides information to applicants and licensees regarding the NRC's plans for using this regulatory guide. No imposition or backfit is intended or approved in connection with its issuance. | |||
except as discussed. below. | |||
(U) As is the case with all NRC regulatory guides, licensees are not required to implement any of the guidance described in.this document. . However, except in cases in which an applicant or licensee proposes or has established a. method for complying with specified portions of the NRC's regulations that. | |||
differs from the methods described in this. regulatory.guide, the NRC staff plans to use this guide to evaluate the adequacy of a licensee's IMP program.. | |||
(U) The methods described herein will be used in evaluating: (I) submittals in connection with applications for. construction permits, standard plant design certifications, operating licenses, early site permits,. and combined licenses; and. (2). submittals from operating reactor licensees who voluntarily propose to. initiate system modifications if there is a clear nexus between the proposed modifications and the subject for which guidance is provided herein. | |||
RG 5.77, Page 12 | |||
, rr--r--l ,* Al I If ~ rii-r- f '*. I r1 | |||
'*rI'l IT--ifl-/ I")f'- A *Lr~r~ i r'fl?~rP *~L | |||
A/ .- i'-f~rl UI-jU-IL,,~ UC,1- ~JL;{4. T -- ,i._...,ijixi i i -i-\.Li"*. i i-i__J iji-i ...di ,iVir'5 i i'*,Ji" | |||
OFFICIAL USE ONLY--SECURIT'Y-RELATED. iNFO..*,v,..,........ ,,,.,, | |||
(U) BACKFIT STATEMENT | |||
(U) The staff prepared a backfit analysis for the final power reactor security rule for wvhich this regulatory guide provides guidance. See 74 FR 13926, 13968 (March 27, 2009). This regulatory guide presents the first instance of NRC staff guidance on the amnended rule.. Accordingly, the backfit statement in the final 2009. power. sccurity rules applies to this regulatory guide. No. further consideration of backfitting is. necessary for this regulatory guide. | |||
RG 5.77, Page 13 | |||
(U) GOSSARY | |||
(U) active insider--a person who,. while in an. unescorted access. status and. within, the. | |||
protected. area, takes direct action to. assist a DBT. (e.g.,. participates in.planning,, uses. an. | |||
authorized key card to open a controlled access, door, creates an. operational. or security diversion, impedes. a response to. the threat).. | |||
(U) active, violent insider--a person who, while in an unescorted access status and within the protected area,. takes direct action to harm plant components, a member of the, security. | |||
force, or plant staff with the intent of preventing the operation of equipment or of preventing, the person. harmed from participating in protective, or. recovery, strategies,, or who takes, action to. engage and/or, divert operations. or security, resources, from normal. | |||
protective or recovery strategies. | |||
(U) administrative withdrawal of UAA/UA--a process to temporarily withhold UAAIUA from an. individual, while action is taken to. complete or. update an element of the UAA | |||
requirements. | |||
(U) annual--requirements specified as. "annual'. should be. scheduled at a nominal 12-monthi periodicity. . Performance may. be. conducted, up. to three. months before to three. months S after the scheduled date. | |||
(U) applicant--, applicants for an operating license, or holders of a combined construction permit and operating license (combined license), who choose to implement their access authorization programs,. which were approved by the. Commission. in their Physical. | |||
Security. Plan,. prior to receiving their operating licenses or their Commission findings.. | |||
(U) background investigation (BI)--information from all. BI elements to. be. collectively evaluated, by the. reviewing, official pursuant to a determination, of trustworthiness, and reliability of an. individual.. Depending. upon. the. BI period,, the. BI. elements may. include any or all of the following: verification of true identity, employment verification with suitable inquiry (includes education in lieu of employment and. military. service, as employment),, a credit check, and ch~aracter, and reputation. determination. | |||
... | |||
(U) behavior observation program (BOP)--an awareness, program, that meets requirements of both the access authorization and fitness-for-duty programs. Personnel are trained to report legal actions;, to. possess. certain knowledge and, abilities. (K&A's). related, to. drugs and alcohol and. the recognition. of behaviors adverse, to the. safe. operation, and security of the facility by observing the behavior of others in the workplace and detecting and reporting. aberrant behavior, or. changes in.behavior, that might adversely impact an individual's trustworthiness or. reliability,. and. undergo an. annual supervisory review. | |||
are | (U) critical group--any individual, who. performs job functions that are. critical to the safe. and. | ||
secure. operation of the licensee's, facility. . This individua[ includes any i~ndivdual who. | |||
has been. granted. UA or.certified UAA and. performs one. or. more of.the. following job functions:. | |||
a. (U) any individuals who have extensive knowledge of facility defensive strategies or who design and/or, implement the. plant's defense strategies; | |||
RG 5.77, Page 14 | |||
b. (U) any individuals in a position to grant an. individual unescorted access or to certify an individual unescorted access authorization; | |||
c. (U) any individuals assigned a duty to search for contraband (e.g., weapons,* | |||
explosives, incendiary devices); | |||
d. (U) any individuals who have access, extensive knowledge, or administrative control over plant digital computer and communication systems and networks as identified in § 73.54; and e. any individual identified in 10 CFR 73.56(i)(!)(v)(B)(5). | |||
(U). insider--a person who has been granted unescorted access or unescorted access | |||
*authorization under the requirements of 10 CER 73.56 or has the ability to access information systems that: (1) connect to systems that connect to plant operating systems; or (2) contain sensitive information that may assist an insider in an attempted act of Sabotage. | |||
. | . (U) passive insider--a person who provides or attempts to provide safeguards or Other relevant information regarding a licensee's physical configurations, designs, strategies, or capabilities to. any person who does not have a functional or operational need to know. | ||
(U) position description--a statement or description outlining the essential functions. of. a job. | |||
and the potential exposures and hazards associated with those functions, or the environment in.which the. functions, are. executed.. | |||
a | (U). reinvestigation--a periodic inquiry or assessment conducted to ensure that individuals continue to meet UAAIUA or FF0 program suitability requirements as defined in latest version of NEI 03-01 that describes an approach that the. NRC staff,has found. | ||
acceptable. | |||
(U) reviewing, official--the licensee or, if applicable, CN/persons designated by their company to be responsible for reviewing and evaluating all data collected about an individual, including potentially disqualifying information, in order to determine whether the individual maybe authorized UAA or granted UA. | |||
(U) semi-structured interview--an interview with an individual applying for UAA or a person maintaining UAA,. conducted. by a psychiatrist or a licensed, psychologist with. clinica[. | |||
experience as required by applicable state requirements, containing questions determined appropriate by the interviewing psychiatrist or licensed psychologist which vary the. focus and content of the. interview,, depending on the written assessment, the observations of the interviewer, and the interviewee's responses to questions. The semi-structured interview may contain any other evaluative measure determined appropriate by the psychiatrist or licensed psychologist. | |||
(U) tampering--deliberately damaging, disabling, or altering equipment necessary for safe shutdown or security equipment necessary for the protection of the facility in order to defeat their function and/or prevent them from operating.. | |||
(U). target set--the combination of equipment or operator actions which, if all are prevented from performing their intended safety function or prevented from being accomplished, would likely result in significant core damage (e.g., non-incipient, non-localized fuel melting, and/or core disruption) barring extraordinary action by plant operators. A target RG 5.77, Page 15 | |||
OFFE'EIC'IAL US | |||
ION "LY S ECU"IT ~ELATfED' | |||
RD* INFORMl:)liATl~iO'Nl set with respect to spent fuel sabotage is draining the spent fuel pool leaving the spent fuel uncovered for a period of time, allowing spent fuel heat up. and the associated potential for release of fission products. | |||
(U) unescorted access (UA)-- status granted to an individual after satisfactorily completing all regulatory requirements for UAA and FFDA, and the individual has completed plant access training; is subjected to a behavioral observation program; is placed in a random drug and alcohol testing program; and is provided, the physical means to gain UA to the protected area. | |||
(U) unescorted access authorization (UAA)--status in the. access, authorization process, after the individual satisfactorily completes all required elements as specified in Section 6 (including the. FFDA elements: consent, self-disclosure, suitability inquiry, drug and alcohol testing elements defined in 10 CER Part 26, being subject to a BOP and training in the FED K&A's),which were evaluated by a licensee reviewing official who then made a favorable determination, relative to the, individual's trustworthiness, reliability and fitness-for-duty. | |||
RG 5.77, Page16 | |||
OFFICIAL USE ONLY SECURITY-RELATED 1NFORMATIOHI | |||
(U) REFERENCES | |||
(U) 1. 10 CFR Part 73, "Physical Protection of Plants and Materials," U.S. Nuclear Regulatory Commission, Washington, DC.' | |||
(U) 2. NEI 03-0 1, "Nuclear Powver Plant Access Authorization Program," Nuclear Energy Institute, Washington, DC. | |||
(U) 3. 10 CFR Part 50, "Domestic Licensing of Production and Utilization Facilities," U.S. Nuclear Regulatory Commission, Washington, DC. | |||
(U3)4. 10 CFR Part 52, "Licenses, Ccrtifications, and Approvals for Nuclear Power Plants," | |||
U.S. Nuclear Regulatory Commission, Washington, DC. | |||
(U) 5. EA-03-086, "Design-Basis Threat Order," U.S.. Nuclear Regulatory Commission, Washington, DC, April 29, 2003. | |||
(U:) 6. 10 CFR Part 26, "Fitness for Duty Programs," U.S. Nuclear Regulatory Commission, Washington, DC. | |||
(Ul) 7. Information Notice 2007-31, "US Food and Drug Administration Announcement Related to Certain Sleep Disorder Drugs," U.S. Nuclear: Regulatory. Commission, Washington, DC, | |||
November 13. 2007.2 (U) 8. NEI 03-12, "Security Plan Template," Nuclear. Energy Institute, Washington, DC. | |||
(U) 9. SAND2007-559 I, "Nuclear Power Plant Security Assessment Technical Manual," Sandia National Laboratories, Albuquerque, New Mexico, September 2007. - | |||
(U) 10. 71 FR 62664,."Power Reactor Security Requirements,". FederalRegister, Volume 71, Number 207, pp. 62664-62874, Washington, DC, October 26, 2006.s Add a reference for the Proposed and Final Rules. | |||
1 (U). All NRC rcgulations listed herein arc available electronically through the Elcectronic Reading Room on the.NRC's public Web site, at hrtp:I/A~vw.nre.gov/reading-rm/doc-collections/cfrI.. Copies are also available for inspection or copying for a fcc from the NRC's Public Documcnt Room (PDR) at 11555 Rockville Pike, Rockville, MD; | |||
the mailing address is USNRC PDR, Washington, DC 20555; telephone (301) 415-4737 or (800) 397-4209; | |||
fax (301) 415-3548; and email PDR(~1nrc.gov. | |||
2 (U) All information notices listed herein were published by the NRC and are available electronically through the Electronic Reading Room on the NRC's public Web site, at htp:f/lwww.nrc. uov/readine-rm/doc-collections/cen-comm/info-notices/. Copies are also available for inspection or copying for a fee from the NRC's Public Document Room (PDR) at 11555 Rockville Pike, Rockville, MD; the mailing address is USNRC PDR, Washington, DC 20555; telephone (301) 415-473.7 or (800) 397-4209; fax (301) 415-3548; | |||
anld email PDR(Tnrcegov. | |||
(U) All Federal Register notices listed herein were issued by the U.S. Nuclear Regulator5, Commission and are available for inspection or copying for a fee from the NRC's Public Document Room (PDR) at 11555. Roekville Pike, Rockvillc, MD; the mailing address is USNRC PDR. Washington, DC 20555; telephone (301) 415-4737 or (800) 397- | |||
4209; fax (301) 415-3548; and e-mail PDR(l*,nrc.gov. Many are also available electronically through the Federal Register Main Page of the public GPOAccess Web site, which the U.S. Government Printing Office maintains at http://www.e*poaccess.gov/fr/index.html. | |||
RG 5.77, Page 17 OFF,,.,,.,L U.....,,E..ONL','--SECU RrT;-RELATED I........ N FO!,,rMATl" ION,, | |||
(U5) BIBLIOGRAPHY | |||
( | (OUO-SRI). PERS-TR-94-001, "Assessment of Position Factors that Increase Vulnerability to Espionage," Department of Defense Personnel Security Research Center. Provides guidance, that may assist a licensee in determining which positions may be vulnerable to an insider threat based on local conditions. | ||
RG 5.77, Page 18 | |||
OFFl'IC"IAL US ON", | |||
t*KLY CUIR"I~~* | |||
SE RLATED"'rl' INFORMA,,,1x1-TION | |||
(U). BIBLIOGRAPHY | |||
( | (OUO-SRI) PERS-TR-94-00 1, "Assessment of Position Factors that Increase Vulnerability to Espionage," Departmuent of Defense Personnel Security Research Center. Provides guidance that may assist a licensee in determining which positions may be vulnerable to an insider threat based on local conditions. | ||
PERS-TR-94- | |||
ADAMS. Accession No.:. ML09072 1034 OFFICE: NSIR/DSP/RSRLBITL NSIRIDSPIRSRLB/BC NSIRIDSP/DDRS OGC. | |||
NAME: BSchnetzler DHuyck SMorris BJones wI/comments wI/comments Subject to edits DATE: 03/20/09 03/24/09 03/26/09 0411 4/09 OFFICE: NSIRIDSO/ NSIR/DSP | |||
NAME: BWestreich RCorreia_______ | |||
DATE: 05/30/09 06/ /09 ______________ | |||
OFFICIAL RECORD COPY | |||
NSIR/DSP NAME: BWestreich RCorreia_______ | RG 5.77, Page 18 OFFICIAL USE ONY-EU!T-EAE INFORrMATION}} | ||
DATE: 05/30/09 06/ /09 ______________ | |||
OFFICIAL RECORD COPY RG 5.77, Page 18 OFFICIAL USE ONY-EU!T-EAE | |||
INFORrMATION}} | |||
{{RG-Nav}} | {{RG-Nav}} |
Latest revision as of 08:17, 31 October 2019
ML15219A609 | |
Person / Time | |
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Issue date: | 03/31/2009 |
From: | Office of Nuclear Regulatory Research |
To: | |
References | |
FOIA/PA-2015-0349, RG 5.77 | |
Download: ML15219A609 (19) | |
@o *U.S.
- ° FIEO NUCLEAR NCERRGREGULATORYLTR COMMISSION March 2009 o* RESEARCH Division 5 REGULTOYGUIDE
REGULATORY GUIDE 5.77 (Draft was issued as DG-501 1, dated December 2008)
(New Regulatory Guide)
INSIDER MITIGATION PROGRAM
A. (U) INTRODUCTION
(U) This guide describes an approach that the staff of the U.S. Nuclear. Regulatory Commission (NRC) considers acceptable for an insidcr mitigation program (IMP) at nuclcar power reactor facilities..
Title 10. of.the Code of FederalRegulations (10.. CFR) Section 73.55, "Requirements for Physical.
Protection of Licensed Activities in Nuclear Power Reactors against Radiological Sabotage," specifically paragraph (b)(7) states that licensees shall establish, maintain, and follow an access authorization program hin accordance with. 10. CFR 73.56, "Personnel Access Authorization Requirements. forNuclear Power Plants." The licensee's physical security plan must include descriptions ofthe access authorization program and the IMP. Furthermore, pursuant to 10 CFR 73.55(b)(9), licensees shall dcsign and implement the, IMP to. oversee, and monitor the, initial and continuing trustworthiness, and. reliability of individuals granted unescorted access or retaining unescorted access authorization to a protected or vital areas. The IMP should use defense-in-depth mcthodologics to minimize the potcntial for an insider to adversely affect, either directly. or indirectly, the licensee's capability to prevent significant core damage or spent fuel sabotage..
(U) This document provides guidance for an IMP that would meet the requirements in
10 CFR 73.55(b)(7) and (b)(9) and the latest NRC staff endorsed version of the industry's guidance document, Nuclear Energy. Institute. (NEI). 03-01,. "Nuclear Power. Plant Access Authorization Program."
These sources provide. an acceptable approach for an IMP. that meets the provisions of 10 CFR 73.55 as part of the liccnsee's physical security plan. These sources arc also consistcnt with the guidancc described in this regulatory, guide.
(U) The NRC issues regulatory guides to describe and makc available thc methodsithat the NRC staff considers acceptable for use in implemcnting specific parts of the agency's regulations, techniques that the staff uses in evaluating specific problems or postulated accidents, and data that the staff needs in reviewing applications for: permits. and liccnses. Regulatory guides arc not substitutes for regulations, and compliance with them is not required. Methods and solutions that differ from those set forth in regulatory guides will be deemed acceptable if they provide a basis for the finding required for thle issuance or continuance of permit or license by the Commission.
(U) This guide was issued after consideration of comments received from stakeholders.
OFFICIAL USE O"NLY SECURIT
- -o Dr RELAT'-,D ,I-,-,',-,,,,....
OFFICIAl "SE ONLY-SECUR!TY RELATED INFORMATION
(U) Regulatory. guides are issued in 10.broad divisions-l, Power Reactors; 2, Research and Test Reactors; 3, Fuels and Materials Facilities; 4, Environmental. and Siting; 5, Materials and Plant Protection; 6, Products; 7, Transportation; 8, Occupational HeIalth;
9, Antitrust and Financial Review; and 10, General.
(U) This regulatory guide contains guidance on how licensees should implement an IMP. Licensees may employ methods other than those described herein for. meeting the. Commission's regulations if tihe choscn measures satisfy the stated Commission requirement(s). The approaches and examples describcd in this regulatory guidance provide one, methodology for satisfying the Commission's, requirements for an IMP at nuclear power. reactor. facilities.
(U) Licensees with. operating reactors licensed under 10 CFR Part 50, "Domestic Licensing of Production and Utilization Facilities;" and 10 CFR Part 52, "Licenses, Certifications, and Approvals for Nuclear Power Plants," can apply the guidance in this regulatory guide before fuel is allowed on site (protected area)..
(U) Any information collection activities mentioned in this regulatory guide are included as requirements in. 10 CFR 73.8, "Information Collection Requirements," which provides thae regulatory basis for this guide. The NRC considers the guidance contained in this document to be the most current concerning acceptable approaches.
(U) The NRC issues. regulatory guides to describe methods that the staff considers acceptable for use.
in implementing specific. parts of the, agency's regulations, to. explain techniques that, the staff uses, in evaluating specific. problems or POstulated accidents, and to provide guidance to applicants; Regulatory guides are not substitutes for regulations and compliance with them is not required.
(U5). Thisiregulatory guide relates to information collection requirements covered by 10 CFR Part 73, and that the Office of Management and Budget (0MB) approved under. OMB control number 3150-0002.
The NRC may neither condUct nor sponsor, and a person is not required to respond to, an information collection request or requirement unless the requesting document displays. a currently valid 0MB control number.
RG 5.77, Page 2 OFFICAL US CNLY .......... R.L ... INFORMATION
OFF*IC"IAL US ONLYt'KI
V CURt"iI*I"'V REIA','TEi INOMt":SATIO"N
B. (U) DISCUSSION
(U) Bccause of changes. to the threat, cnvironment after thc evcnts of Septembcr 11, 2001, the Commission began reevaluating physical protection program requirements at nuclear power reactor facilities. This changing threat environment resulted in several significant protection and regulatory enxhancements, to ensure that licensees maintain the capability to provide high. assurance of the health and.
safety of the public against the design-basis threat (DBT). Specifically, the provisions of 10 CFR 73.1,
"Purpose and Scope," describe how an insider might cauise or assist in radiological sabotage.
Furthermore, in a Commission order dated April 29, 2003 (EA-03-086), the NRC required licensees to address the insider threat. Pursuant to this order, licensees updated their site security plans to specify how they will comply with the requirements of 10 CFR 73.1 and the DBT order.
(U) A licensee' s access authorization program, fitness-for-duty program, and behavior: observation program (BOP) provide the framework for addressing the. insider, threat. Once ant individual has. been granted unescorted access to protected and vital areas of a power reactor facility, preventing an adverse event becomes dependent on detecting the insider through one of these programs andlor by denying the undetected insider the opportunity to commit the. act by other means, such as physical and cyber protective security measures, as appropriate. Performance-based program requirements are intended to generically satisfy the minimum level of perfonnance that a licensee's physical protection program must achieve to provide adequate protection and. minimize. the. potential for an insider to adversely affect, either.
directly or indirectly, the licensee's capability to prevent significant core damage or spent fuel sabotage.
(QUO-SRI) Pursuant to 10 CFR. 73.55(b)(7) and (b)(9), which provide the. necessary flexibility for licensees to address the complexities of an insider threat, the. NRC staff has nonetheless, established the minimum criteria required to. meet the DBT goal of mitigating the active insider, active violent insider, or passive, insider in Section C of this guide.
(b)(7)(F
(U) The JMP elements are designed to address a broad context of trustworthiness and reliability issues to minimize the potential for adverse actions by an insider. An insider may create an adverse condition other, than radiological sabotage that could affect, the licensee's, ability, to respond to a safety or security.
event or could affect the nonmal operation of the plant. Licensees should consider, and be sensitive to, subtle changes in an individual's behav*ior or actions ov er time and use appropriate IMP elements (e.g.,
behavioral, observation program), to assess and mitigate potential adverse, acts. by insiders.
(U) A trusted person with protected or vital area access, or access to digital computer and communications systems and networks from outside the protected area, can pose a significant threat to the safety and security of a nuclear power plant.. Licensees may be. unable to identify the cause, of incidents that are indicative of potential tampering, which makes it difficult to conclusively determine if a condition RG 5.77, Page 3 OFFICIAL USE ...... ..... , '-,,,-,,,-,', ,"- ,,,,,,-,-,,,AT,,'O ,
OFFICIAL USE ONLY--SECUR"T'¢-RELATED INFORMyATION
that was discovered was the result of tampering.. Irrespective of whether security events involve acts that are. within the scopc of 10. CFR 73.lI and the. DBT, acts of malfeasance. or tampering are particularly.
serious, matters because of the potential, adverse, impact to. the safety and security of the nuclear power plant. These events demonstrate the need for an IMP that ensures the trustworthiness and reliability of specific individuals, working for, or supporting a nuclear, power plant..
(U) The broad spectrum of issues related to insider threats ranges from the premeditated actions of an individual acting as a single. source of origin, to. events that, might be sufficient to. motivate someone, to.
act, such as extortion. The highly unpredictable threat requires a comprehensive, approach to addressing both the intent and capability, of the potential insider. Licensee internal organizations should coordinate to, provide the defense-in-depth necessary, to mitigate the insider threat.. An example offthis is the, need for security and human resources personnel, to work closely with employee assistance program (EAP)
personnel to. ensure that an individual demonstrating the potential to harm themselves or others. is reported to appropriate security personnel for evaluation as a potential insider threat without, creating the.
perception that seeking help. via the EAP will result in adverse action..
RG 5.77, Page 4
C. (U) REGULATORY POSITION
1. (U) General Requirements (U) In accordance with Title 10 of the Code of FederalRegulations Part 73 (10 CFR 73), "Physical Protection of Plants and Materials,". Section 73.55, "Requirements for physical protection of licensed activities in nuclear power reactors against radiological sabotage," the Commission has established design requirements for a nuclear power reactor facility physical protection program, including the performance criteria to detect, assess, interdict, and. neutralize threats up. to and including the DBT of radiological sabotage, thereby preventing significant core damage and spent fuel sabotage. Under 10 CFR 73.55(b)(7)
and(b)(9), licensees shall establish, maintain, and implement an access authorization program and IMP in accordance with 10. CFR 73.56 and describe the. programs in their physical security plans. The IMP must be designed and implemented to oversee and monitor the initial, and continuing trustworthiness and reliability of individuals granted unescorted access or retaining unescorted access authorization to a protected or. vital area, and. implement defense-in-depth methodologies, to minimize the potential for an insider to adversely affect, either directly or indirectly, a licensee's capability to prevent significant core damage or spent fuel sabotage.
(U) In 10 CFR Part 73, "Physical Protection of Plants and Materials," Section 73.56, "Personnel Access Authorization Requirements. for. Nuclear Power Plants," a licensee is required to establish and implement a program, as a part of its physical security plan, for granting unescorted access to protected and vital areas of a nuclear power plant. This program's objective is to provide high assurance that individuals granted unescorted access are trustworthy and reliable and do not constitute an unreasonable risk to public health and safety, including the potential to. commit radiological sabotage..
(U) This document contains guidance for an acceptable IMP that would meet the requirements of
10 CFR 73.55(b)(7) and (b)(9). .Furthermore, the latest NRC staff endorsed version of NEI 03-01 also describes an approach that the NRC. staff has. found acceptable. in meeting the provisions of 10 CFR 73.56 with respect to. an IMP. as part of the licensee's physical security. plan, and is consistent with the guidance.
described in this regulatory guide..
2.. (U). Elements of an Acceptable Insider Mitigation Program (U) Threat is a function of intent and capability... To provide defense-in-depth against threats, a licensee should establish an IMP that will address both the, human reliability factors associated with intent and physical protection measures to mitigate the capability of a potential insider to commit an adverse act.
(U) As a minimum to mitigate the potential for an insider, an IMP should consist of the following "
elements for all personnel with unescorted access authorization to the protected and vital areas of a facility: (1) a security determination (clearance or access authorization); (2) initial and random substance abuse testing; (3) p~sychological assessments which may include a medical evaluation;. (4) review by the immediate supervisor at least annually; (5) a security determination of the periodic reinvestigation..
2.1. (U) Insider Mitigation Prog~ram Elements-Critical Group
2.1.1. (U).. Participationi (U) Though insiders. may occupy, any position within a licensee's organization and elements of the IaMP apply to. all personnel that are. in an unescorted. access authorization status, some groups are considered to have a higher potential for insider threat (i.e., greater capability) because of their RG 5.77,. Page 5 OFFICIAL USE ONLY-SECURITY-RELATED. '""-""' ^-'.
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- IKI~t'**F ,A I-rIf'*,kl knowledge, access to, or possession of weapons inside the protected area of a licensed facility. Pursuant to 10 CFR 73.56(i)(1)(v,)(B), for any individual, in the critical group the trustworthiness and reliability determination must be based on a criminal history update and credit history re-investigation within 3 years of the date on. which these elements were last completed, or more frequently, based on job assignments as determined by the licensee or applicant and a psychological re-assessment within 5 years of the date on which this element was last completed:
Individuals who perform one or more of the following job functions must be in the critical group:
- All licensed reactor operators.
- Non-licensed operators. Non-licensed operators include those individuals responsible for the operation of plant systems and components, as directed by a reactor operator or senior reactor operator. Non-licensed operators. also monitor plant instrumentation and equipment and principally perform their duties outside the control room.
- Individuals who have extensive knowledge of defensive stratcgies and designa and/or implementation of the plant's defensive strategies, including:.
a. site security. supervisors o site security. managers o corporate security, managers (nuclear and/or applicable contractor security managers)
o. security training instructors
- Individuals in a position to grant an applicant unescorted access or unescorted access authorization, including assess authorization managers. However, this requirement does not apply to qualified contractor/vendors (C/Vs) that certify elements of the access authorization program.
- Individuals who have access, extensive knlowledge, or administrative control over plant digital computer and communication systems and networks as identified in 73.54, including:.
o plant network systems administrators o IT personnel who are responsible for securing plant networks Note:. the term "IT personnel" should also consider. personnel who have the ability and access to change the configuration of control systems (e.g., Supervisory Control and Data Acquisition (SCADA) systems) or other systems that use embedded devices (e.g.,
Electronically Erasable Programmable Read-Only Memory (EEPROMs)).
- Individuals assigned a duty. to search for contraband (e.g., wecapons, explosives, or inccndiary devices).
- Individuals qualified for and assigned duties as: armed security officers, armed responders, alarnm station operators, response team leaders, and armorers.
(b)(7)(F)
RG 5.77, Page 6 OFEF'CIAL USE ONLY--SECURITY-RlELATED INFORMvATION
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(U) The decision to include additional personnel in the critical group should be based on the licensee's IMP, goals and performance objectives associated wvith mitigating Active Insiders (Al), Active.
Violent Insiders (AVI), and Passive Insiders (P1). However, thosc personnel referenced under
10 CFR 73.56(i)(1)(v)(B), must be included in the IMP. The NRC staff's policy concerning the insider during security performance evaluation testing is contained in RG 5.69, "Guidance for the Application of the. Radiological Sabotage Design-Basis Threat in the Design, Development, and Implementation of a Physical Security Program that meets 10 CFR 73.55 Requirements."
2.1.2. (U) Initial Security Determination (U) Initial security measures for completing background investigations and other programmatic elements required by the NRC, through the implementation of the requirements of 10 CFR 73.56 and
10 CFR 73.57, "Requirements for. Criminal History Checks of Individuals Granted Unescorted Access to a Nuclear Power Facility or Access to Safeguards Information by Power Reactor Licensees," and the latest NRC staff endorsed guidance of NEI 03-01, provide high assurance that persons initially, selected for unescorted access or unescorted access authorization are trustworthy and reliable and do not present a risk to public health and safety or the common defense and security.
2.1.3 (U) Drug and Alcohol Testing--Pre-access, Random, For cause, Post-event, and Followup (U) Drug and alcohol testing is an important element of the access authorization and fitness-for-duty programs. Pre-access, random, for cause, p)ost event, and followup. testing provides a deterrent that supports both safety and security and reinforces the fundamental concepts of trustworthiness and reliability.
(U) The Pre-access, Random, For cause, Post-event, and Followup drug and alcohol testing element of an IMP may be implemented by applying the guidance. for meeting the requirements of
10 CFR Part 26, "Fitness for Duty Programs," and the latest NRC staff endorsed guidance described in NEI 03-01, "Nuclear Power Plant Access Authlorization Program."
2.1.4 . (U). Psychological Assessments including Medical Evaluations-ilnitial and Periodic (U) Initial psychological assessments should ensure that any testing mechanism applied, in whole ,or in part, to. a psycho'logical determination of suitability for unescorted access includes the opportunity to detect the need for a medical evaluation as described in paragraph (c) belo
w. As required under
10 CFR 73.56(e), the psychological assessment must be designed to evaluate the possible adverse impact of any noted psychological characteristics on the individual's trustworthiness and reliability..
(U) The psychological assessment must include the following:
a. (U) The administration and interpretation of a standardized, objective, professionally accepted psychological test that provides information to identify indications of RG 5.77, Page 7 OFFICI'I'IAL US 'NLY
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disturbances in personality, or p)sychopathology. that may have adverse implications for an individual's trustworthiness. and. reliability.
b. (U) Predetermined thresholds established for each scale in accordance with 10 CFR
73.56(e)(2) must be applied in interpreting the results of the psychological test to determine whether an individual shall be interviewed by a licensed psychiatrist or psychologist. the individual receives scores on the psychological test that identify'
.If indications of disturbances in personality or psychopathology that may have implications for an individual's trustworthiness and reliability the.psychological assessment must include a clinical interview. .The initial and periodic assessment should have the additional focus of careful consideration of the psychopathology of the interviewee..
Psychiatrists or clinical psychologists with the appropriate clinical training and experience should carefully, apply procedures of evaluation assessment and diagnosis.
.derived from scientific research.
c. (UY) The administrationl of a psychological assessmcnt may trigger a. medical evaluation to determine thae presence of any mental or physical condition that may cause a significant defect in the trustworthiness, reliability, or judgment of the individual.
Medical evaluations, triggered by. a psychological reconmmendation, should include a review of the individual's, prescribed medications to ensure that these medications do not impair the person's~judgmnent to the extent that trustworthiness and reliability, are jeopardized. Individuals, identified as candidates for further medical review should be.
referred to a physician for further evaluation. Medical personnel should evaluate possible.
medical conditions, including those that may result from the use of illegal drugs, the.
abuse of prescribed or over-the-counter medications, or the excessive, habitual use of alcohol, in accordance with the requirements of 10 CFR. Part 26.
(U). Pursuant to 10 CFR 73.56(i)(l)(v)(B), the psychological assessment must be conducted at intervals not to exceed once every 5 years for individuals in a critical group. Interviews used in the assessment should be conducted in a semi-structured manner and include, the recognition, of medical conditions that could result in impaired judgments or could adversely impact the fitness-for-duty. or trustworthiness and reliability of those. individuals who currently have unescorted access or unescorted access authorization status. While other. types of interviews are. permitted, a face-to-face, interview conducted by an interviewer trained, to look for precursors of insider behavior is preferable for identifying persons. with potentially undesirable behavioral issues.
(U) Prior to any psychological or medical assessment, the physician practitioner should review a cur'ent position description of the person being interviewed and the most recently completed supervisory.
review, if applicable and if the. review: contains infonnation* that could assist the. physician practitioner in their assessment.
(U) The interviewing psychiatrists or clinical psychologists with the appropriate clinical training and experience should incorporate the most recent supervisory review as one measure of the assessment..
(U) If, in the course of conducting the psychological assessment, the licensed psychologist or psychiatrist identifies or discovers any information, including a medical condition, that could adversely impact the fitness-for-duty or trustwvorthiness and reliability, of.any individual, based on standards identified in the regulation, who currently has unescorted access or unescorted access authorization status,
10 CFR 73.56(e)(6) requires that he or she inform:. (I) the reviewing official of the discovery within 24 hours2.777778e-4 days <br />0.00667 hours <br />3.968254e-5 weeks <br />9.132e-6 months <br />,of the discovery; and (2). the medical. personnel designated in the site implementing procedures, RG 5.77, Page 8
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who shall ensure that an appropriate evaluation of the possible medical condition is conducted under the.
requirements of 10 CFR Part 26.
(U) Licensees shall take appropriate action, in accordance with procedures, if disqualifying information is provided as a result of a psychological assessment or to admninistratively withdraw unescorted access for any worker who has not met the psychological reassessment criterion.
2.1,5 (U) Annual Review by Immediate Super'isor:
(U) A review conducted by the assigned supervisor has value as an integral part of the BOP required by 10 CFR 73.56(i)(l)(iv).. This review creates a platform for interaction between the supervisor and the employee to the extent that the supervisor has the opportunity. to become cognizant of any condition that may cause the employee to act or behave, in an unconventional manner. In addition, the supervisory review provides an opportunity for the supervisor to consider whether any circumstances may indicate the need to. refer the employee for additional medical or psychological review.
In some cases, the supervisor may not have frequent enough interaction with the individual tharoughout the review period needed to form an informed and reasonable opinion regarding the individual's behavior, trustworthiness, and reliability.,. Inthis situation, the individual is also subject to an annual supervisory review in accordance with the requirements of the licensee's or applicant's BOP. The, interview may consist of: face-to-face contact, gathering of informaation from personnel who have frequent interaction with the individual, or Other documented methods of gathering information to ensure the supervisor can attest to the individuals continued trustworthiness, and reliability. Additionally, the licensee should provide appropriate initial training of newly assigned supervisors and annual combined supervisory/worker refresher training. This process. should be defined in licensee procedurcs and policies.
(U) The supervisory review may be satisfied by incorporating information developed over the.
covered period. (i.e., annually) regarding the behavioral characteristics of the employee supervised. This information would typically include deviations from the behavioral norm that have been reported to the supervisor through the implementation of the BOP, as wvelt as those deviations from the behavioral norm personally observed by the supervisor. This review serves two purposes. First, it can identify issues related to physical or.mental impairment that fall under the general' performance objective of
10. CFR Part 26. Second, it can identify issues related to trustworthiness and reliability..
2.1.5. a BOP Training Licensees should ensure that the BOP training includes: (1) the recognition that changes in emotional state can happen quickly; (2) typical conditions that can trigger behavioral anomalies;
(3). the need for early intervention after the recognition of changes in behavior that typically indicate changes in emotional state; (4) the recognition of uncharacteristic deviations in co- worker interactions, uncharacteristic absences from work, uncharacteristic inattention to detail, or suspected alcohol or drug abuse; and (5) the need to report the above conditions to the employee's assigned supervisors or fitness-for-duty program manager.
2.1,6. (U) Periodic Reinvestigation of Security Determination (U) Pursuant to. 10 CFR 73.56(i)(1)(v)(B)(1-5), members of the critical group must be reinvestigated within 3.Years. of the datc on which the criminal history update and credit history re-evaluation were last completed, or more fi-equently, based on job assignment as determained by the licensee or applicant, and a RG 5.77, Page 9 tl-IF1A.!AL USE O.NLY--SECURITY-RELATED INFORMAtTION
psychological re-assessment within 5 years of the date on which this element was last completed. The requirements of this section apply,to all individuals with unescorted access authorization or. unescorted access who are members of the critical group. Individuals who have not satisfied the reinvestigation.
requirements shall have unescorted access authorization or unescorted access administratively withdrawn until the reinvestigation has been completed, or the worker should be reassigned to non-critical, group positions until the required critical group reassessment can be completed.
(U) The reinvestigation shall include the following:
a. (U) A review of criminal history records obtained under 10 CFR 73.56(d)(7) and
10 CFR 73.57, or as the Commnission may require, or as Federal statute may direct.
Licensees should compare data returned from the criminal history. records check with the access authorization records of the person named in the record to ensure that the person has complied with the self-reporting requirements in 10 CFR 73.56(g). Submissions of fingerprints for the review of criminal history informationt should be handled separately.
from investigations for outage staffing to preclude inadvertent outage staffing delays.
b. (U) Licensees shall obtain a full credit history and review the history for the period provided as required by 10 CFR 73.56(d)(5). The individual should complete new consent to screen and Federal Credit Reporting Act disclosure and authorization statement forms before'initiating this reinvestigation.
c. (U) Licensees shall take appropriate action if disqualif~ying information is discovered during any reinvestigation rcvicw..
(U) The start of the interval, for the next reinvestigation should be the date the reviewing official completed a concurrent review of both the credit history and criminal history information. To provide for reasonable. consistency Of the. timeframe under review, the reviewing official should ensure that the.
receipt of the credit history and the criminal history information are within 30 days of each other.
3. (U) Fitness-for-Duty Considerations related to 10 CFR Section 26.10, "General Performance Objectives"
(U) The use of illegal drugs and the intentional misuse of legal drugs and alcohol are only a few of the potential causes for concern with respect to an individual's state of mind as it relates to an insider threat.. In addition, physical and mental conditions that arc. not related to cithcr of these. may drivc an individual to commit an adverse act. For example, sedative-hypnotic products (e.g., sleep disorder drugs).
are widely prescribed and have been associated' with adversc behavior, including aggression, sleep driving, and suicidal thoughts. Licensees should refcr to NRC Information Notice 2007-31, "U.S. Food and Drug Administration Announcement Related to Certain Sleep Disorder Drugs," dated November 13,
2007, for more information. In the context of insider threat, licensees should understand the relationships between BOP relating to identifying and reporting suspicious behavior, the. fitness-for-duty. program relating to the evaluation of impairment-related behavior that could impact th~e trustworthiness and reliability of an individual, and the access authorization program that determines suitability for unescorted access.
(U) Licensees are expected to consider the potential insider threat when making fitness-for-duty determinations associated with observed abnormal behavior.
RG 5.77, Page 10
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4. (U1) Access to Vital Areas (U) As. required by 10 CFR 73.56(.j), a licensee, shall establish, implement, and maintain a list of individuals who are authorized to have unescorted access to specific nuclear power plant vita] areas during nonemergeney conditions. The list must include only those individuals who have a continued need for access to. those specific vital, areas in order to. perform their, routine, duties and responsibilities.
The list must be approved by a cognizant licensee or applicant manager or supervisor who is responsible for directing the work activities ofthe individual who is granted unescorted access to each vital area. The list nmust be updated and reapproved no. less. frequently than every 31. days. The. intent is to minimize insidcr threats by reducing the. number of individuals having unescorted v'ital area access, and by limiting vital area access to those personnel requiring it to. perform their duties.
(U) In determining continued need, licensees should consider event response, weckend or.holiday emergencies, or other "off-hours" operational responses. The licensee may determine that some individuals are required to remain on the~..lisjt. _Personnel.-who fall into thi!s category will be evaluated at the licensee's discretion. However, personnel should be evaluated by a cognizant licensee or applicant manager or supervisor who is responsible. for directing the. work*activities of the individual..
5. (U) Physical Protection Measures - Specific. Elements (U) In considering program elements needed to mitigate the Al and AVI, licensecs should develop a four part program that will:
a. (U) ensure licensed operators are properly trained to recognize indications of tampering, which includes mis-positioning of equipment until dispositioned otherwise, to report such conditions. in a timely manner, and to compensate for degraded conditions as appropriate;
b. ensure armed security officers are properly trained to recognize indications of obvious tampering;
c. ensure personnel who receive plant access training are. trained in.recognizing beh~aviors or conditions adverse to safe operations and security of the facility;
b. (U) develop procedures, and training requirements to react effectively to conditions.
relatedto actual or suspected tampering;
c. (U) ensure that indications, oftampering are included in the corrective action program;
and (b)(7)(F)
e. The program should identify target set equipment that:
(b)(7)(F)
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RG 5.77, Page 11 SECURIITY RELIATED' INlFOr-MA^T'IrO
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(IU) While thle above engineered and administrative physical protection measures relate to target set equipment, licensees should remain aware that tampering with non-target, set equipment, such as safety or security equipment, can adversely affect the ability to respond to events as required in compliance with the regulations.
(b)(7)(F)
)
(U) Licensees should train security personnel to recognize and respond to obvious indications of tampering. .Except where precluded by immediate personnel safety concerns, operations abnormalities, or restrictions under guidelines to keep. radiation dose rates as low as reasonably. achievable, an armed security officer should patrol accessible areas that contain target set elements.
(U) Licensee procedures should describe the operations and security response to actual tampering events. .Any. suspected tampering event should be entered into, the licensee's corrective action program.
(b)(7)('F)
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(b)(7)(F). .....Plan Template," describes I............
The Nuclear the specifics Energy of aInstitute's patrol program NEL 03-12, latest that the NRC NRC has endorsed found acceptable. revision, "Security (b)(7)(F) I
(b)(7)(F) I ........ Section 4.6.4, "Insider Mitigation," and Section 5,
"Security. System Technology," of SAND2007-559 1, "Nuclear Power Plant Security Assessment TechnicalManual," issued September 2007, outlines additional guidance for these types of measures..
(OUO-SRI).. Licensees should ensure that searches. are performed in an acceptable. manner, that: will ensure personnel are searched for contraband (explosives and firearms) before entering the facility. This makes, contraband searches an integral physical protection element of tlhe IMP.
D. (U) IMPLEMENTATION
(U). This section provides information to applicants and licensees regarding the NRC's plans for using this regulatory guide. No imposition or backfit is intended or approved in connection with its issuance.
except as discussed. below.
(U) As is the case with all NRC regulatory guides, licensees are not required to implement any of the guidance described in.this document. . However, except in cases in which an applicant or licensee proposes or has established a. method for complying with specified portions of the NRC's regulations that.
differs from the methods described in this. regulatory.guide, the NRC staff plans to use this guide to evaluate the adequacy of a licensee's IMP program..
(U) The methods described herein will be used in evaluating: (I) submittals in connection with applications for. construction permits, standard plant design certifications, operating licenses, early site permits,. and combined licenses; and. (2). submittals from operating reactor licensees who voluntarily propose to. initiate system modifications if there is a clear nexus between the proposed modifications and the subject for which guidance is provided herein.
RG 5.77, Page 12
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(U) BACKFIT STATEMENT
(U) The staff prepared a backfit analysis for the final power reactor security rule for wvhich this regulatory guide provides guidance. See 74 FR 13926, 13968 (March 27, 2009). This regulatory guide presents the first instance of NRC staff guidance on the amnended rule.. Accordingly, the backfit statement in the final 2009. power. sccurity rules applies to this regulatory guide. No. further consideration of backfitting is. necessary for this regulatory guide.
RG 5.77, Page 13
(U) GOSSARY
(U) active insider--a person who,. while in an. unescorted access. status and. within, the.
protected. area, takes direct action to. assist a DBT. (e.g.,. participates in.planning,, uses. an.
authorized key card to open a controlled access, door, creates an. operational. or security diversion, impedes. a response to. the threat)..
(U) active, violent insider--a person who, while in an unescorted access status and within the protected area,. takes direct action to harm plant components, a member of the, security.
force, or plant staff with the intent of preventing the operation of equipment or of preventing, the person. harmed from participating in protective, or. recovery, strategies,, or who takes, action to. engage and/or, divert operations. or security, resources, from normal.
protective or recovery strategies.
(U) administrative withdrawal of UAA/UA--a process to temporarily withhold UAAIUA from an. individual, while action is taken to. complete or. update an element of the UAA
requirements.
(U) annual--requirements specified as. "annual'. should be. scheduled at a nominal 12-monthi periodicity. . Performance may. be. conducted, up. to three. months before to three. months S after the scheduled date.
(U) applicant--, applicants for an operating license, or holders of a combined construction permit and operating license (combined license), who choose to implement their access authorization programs,. which were approved by the. Commission. in their Physical.
Security. Plan,. prior to receiving their operating licenses or their Commission findings..
(U) background investigation (BI)--information from all. BI elements to. be. collectively evaluated, by the. reviewing, official pursuant to a determination, of trustworthiness, and reliability of an. individual.. Depending. upon. the. BI period,, the. BI. elements may. include any or all of the following: verification of true identity, employment verification with suitable inquiry (includes education in lieu of employment and. military. service, as employment),, a credit check, and ch~aracter, and reputation. determination.
(U) behavior observation program (BOP)--an awareness, program, that meets requirements of both the access authorization and fitness-for-duty programs. Personnel are trained to report legal actions;, to. possess. certain knowledge and, abilities. (K&A's). related, to. drugs and alcohol and. the recognition. of behaviors adverse, to the. safe. operation, and security of the facility by observing the behavior of others in the workplace and detecting and reporting. aberrant behavior, or. changes in.behavior, that might adversely impact an individual's trustworthiness or. reliability,. and. undergo an. annual supervisory review.
(U) critical group--any individual, who. performs job functions that are. critical to the safe. and.
secure. operation of the licensee's, facility. . This individua[ includes any i~ndivdual who.
has been. granted. UA or.certified UAA and. performs one. or. more of.the. following job functions:.
a. (U) any individuals who have extensive knowledge of facility defensive strategies or who design and/or, implement the. plant's defense strategies;
RG 5.77, Page 14
b. (U) any individuals in a position to grant an. individual unescorted access or to certify an individual unescorted access authorization;
c. (U) any individuals assigned a duty to search for contraband (e.g., weapons,*
explosives, incendiary devices);
d. (U) any individuals who have access, extensive knowledge, or administrative control over plant digital computer and communication systems and networks as identified in § 73.54; and e. any individual identified in 10 CFR 73.56(i)(!)(v)(B)(5).
(U). insider--a person who has been granted unescorted access or unescorted access
- authorization under the requirements of 10 CER 73.56 or has the ability to access information systems that: (1) connect to systems that connect to plant operating systems; or (2) contain sensitive information that may assist an insider in an attempted act of Sabotage.
. (U) passive insider--a person who provides or attempts to provide safeguards or Other relevant information regarding a licensee's physical configurations, designs, strategies, or capabilities to. any person who does not have a functional or operational need to know.
(U) position description--a statement or description outlining the essential functions. of. a job.
and the potential exposures and hazards associated with those functions, or the environment in.which the. functions, are. executed..
(U). reinvestigation--a periodic inquiry or assessment conducted to ensure that individuals continue to meet UAAIUA or FF0 program suitability requirements as defined in latest version of NEI 03-01 that describes an approach that the. NRC staff,has found.
acceptable.
(U) reviewing, official--the licensee or, if applicable, CN/persons designated by their company to be responsible for reviewing and evaluating all data collected about an individual, including potentially disqualifying information, in order to determine whether the individual maybe authorized UAA or granted UA.
(U) semi-structured interview--an interview with an individual applying for UAA or a person maintaining UAA,. conducted. by a psychiatrist or a licensed, psychologist with. clinica[.
experience as required by applicable state requirements, containing questions determined appropriate by the interviewing psychiatrist or licensed psychologist which vary the. focus and content of the. interview,, depending on the written assessment, the observations of the interviewer, and the interviewee's responses to questions. The semi-structured interview may contain any other evaluative measure determined appropriate by the psychiatrist or licensed psychologist.
(U) tampering--deliberately damaging, disabling, or altering equipment necessary for safe shutdown or security equipment necessary for the protection of the facility in order to defeat their function and/or prevent them from operating..
(U). target set--the combination of equipment or operator actions which, if all are prevented from performing their intended safety function or prevented from being accomplished, would likely result in significant core damage (e.g., non-incipient, non-localized fuel melting, and/or core disruption) barring extraordinary action by plant operators. A target RG 5.77, Page 15
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RD* INFORMl:)liATl~iO'Nl set with respect to spent fuel sabotage is draining the spent fuel pool leaving the spent fuel uncovered for a period of time, allowing spent fuel heat up. and the associated potential for release of fission products.
(U) unescorted access (UA)-- status granted to an individual after satisfactorily completing all regulatory requirements for UAA and FFDA, and the individual has completed plant access training; is subjected to a behavioral observation program; is placed in a random drug and alcohol testing program; and is provided, the physical means to gain UA to the protected area.
(U) unescorted access authorization (UAA)--status in the. access, authorization process, after the individual satisfactorily completes all required elements as specified in Section 6 (including the. FFDA elements: consent, self-disclosure, suitability inquiry, drug and alcohol testing elements defined in 10 CER Part 26, being subject to a BOP and training in the FED K&A's),which were evaluated by a licensee reviewing official who then made a favorable determination, relative to the, individual's trustworthiness, reliability and fitness-for-duty.
RG 5.77, Page16
OFFICIAL USE ONLY SECURITY-RELATED 1NFORMATIOHI
(U) REFERENCES
(U) 1. 10 CFR Part 73, "Physical Protection of Plants and Materials," U.S. Nuclear Regulatory Commission, Washington, DC.'
(U) 2. NEI 03-0 1, "Nuclear Powver Plant Access Authorization Program," Nuclear Energy Institute, Washington, DC.
(U) 3. 10 CFR Part 50, "Domestic Licensing of Production and Utilization Facilities," U.S. Nuclear Regulatory Commission, Washington, DC.
(U3)4. 10 CFR Part 52, "Licenses, Ccrtifications, and Approvals for Nuclear Power Plants,"
U.S. Nuclear Regulatory Commission, Washington, DC.
(U) 5. EA-03-086, "Design-Basis Threat Order," U.S.. Nuclear Regulatory Commission, Washington, DC, April 29, 2003.
(U:) 6. 10 CFR Part 26, "Fitness for Duty Programs," U.S. Nuclear Regulatory Commission, Washington, DC.
(Ul) 7. Information Notice 2007-31, "US Food and Drug Administration Announcement Related to Certain Sleep Disorder Drugs," U.S. Nuclear: Regulatory. Commission, Washington, DC,
November 13. 2007.2 (U) 8. NEI 03-12, "Security Plan Template," Nuclear. Energy Institute, Washington, DC.
(U) 9. SAND2007-559 I, "Nuclear Power Plant Security Assessment Technical Manual," Sandia National Laboratories, Albuquerque, New Mexico, September 2007. -
(U) 10. 71 FR 62664,."Power Reactor Security Requirements,". FederalRegister, Volume 71, Number 207, pp. 62664-62874, Washington, DC, October 26, 2006.s Add a reference for the Proposed and Final Rules.
1 (U). All NRC rcgulations listed herein arc available electronically through the Elcectronic Reading Room on the.NRC's public Web site, at hrtp:I/A~vw.nre.gov/reading-rm/doc-collections/cfrI.. Copies are also available for inspection or copying for a fcc from the NRC's Public Documcnt Room (PDR) at 11555 Rockville Pike, Rockville, MD;
the mailing address is USNRC PDR, Washington, DC 20555; telephone (301) 415-4737 or (800) 397-4209;
fax (301) 415-3548; and email PDR(~1nrc.gov.
2 (U) All information notices listed herein were published by the NRC and are available electronically through the Electronic Reading Room on the NRC's public Web site, at htp:f/lwww.nrc. uov/readine-rm/doc-collections/cen-comm/info-notices/. Copies are also available for inspection or copying for a fee from the NRC's Public Document Room (PDR) at 11555 Rockville Pike, Rockville, MD; the mailing address is USNRC PDR, Washington, DC 20555; telephone (301) 415-473.7 or (800) 397-4209; fax (301) 415-3548;
anld email PDR(Tnrcegov.
(U) All Federal Register notices listed herein were issued by the U.S. Nuclear Regulator5, Commission and are available for inspection or copying for a fee from the NRC's Public Document Room (PDR) at 11555. Roekville Pike, Rockvillc, MD; the mailing address is USNRC PDR. Washington, DC 20555; telephone (301) 415-4737 or (800) 397-
4209; fax (301) 415-3548; and e-mail PDR(l*,nrc.gov. Many are also available electronically through the Federal Register Main Page of the public GPOAccess Web site, which the U.S. Government Printing Office maintains at http://www.e*poaccess.gov/fr/index.html.
RG 5.77, Page 17 OFF,,.,,.,L U.....,,E..ONL','--SECU RrT;-RELATED I........ N FO!,,rMATl" ION,,
(U5) BIBLIOGRAPHY
(OUO-SRI). PERS-TR-94-001, "Assessment of Position Factors that Increase Vulnerability to Espionage," Department of Defense Personnel Security Research Center. Provides guidance, that may assist a licensee in determining which positions may be vulnerable to an insider threat based on local conditions.
RG 5.77, Page 18
OFFl'IC"IAL US ON",
t*KLY CUIR"I~~*
SE RLATED"'rl' INFORMA,,,1x1-TION
(U). BIBLIOGRAPHY
(OUO-SRI) PERS-TR-94-00 1, "Assessment of Position Factors that Increase Vulnerability to Espionage," Departmuent of Defense Personnel Security Research Center. Provides guidance that may assist a licensee in determining which positions may be vulnerable to an insider threat based on local conditions.
ADAMS. Accession No.:. ML09072 1034 OFFICE: NSIR/DSP/RSRLBITL NSIRIDSPIRSRLB/BC NSIRIDSP/DDRS OGC.
NAME: BSchnetzler DHuyck SMorris BJones wI/comments wI/comments Subject to edits DATE: 03/20/09 03/24/09 03/26/09 0411 4/09 OFFICE: NSIRIDSO/ NSIR/DSP
NAME: BWestreich RCorreia_______
DATE: 05/30/09 06/ /09 ______________
OFFICIAL RECORD COPY
RG 5.77, Page 18 OFFICIAL USE ONY-EU!T-EAE INFORrMATION