ML17338A818

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NEI Slides for Dec 7th Public Meeting Related to Mitigation of BDBE Flexible Scheduling
ML17338A818
Person / Time
Site: Nuclear Energy Institute
Issue date: 12/07/2017
From:
Nuclear Energy Institute
To:
Office of Nuclear Reactor Regulation
References
Download: ML17338A818 (10)


Text

Mitigation of Beyond Design December 7, 2017 Basis Events Flexible Scheduling

Template for Request to Use 10 CFR 50.155 (h)(2) to Establish Alternative Date for Compliance with Reevaluated Seismic Hazard Mitigation Requirements of 10 CFR 50.155(b)(2)

Key provisions of Final Draft 10 CFR 50.155, Mitigation of Beyond- Design-Basis Events

  • (b)(2) Reevaluated Seismic and Flooding Hazards Mitigation
  • (h)(1) Compliance Date Requirements
  • (h)(2) Alternate Compliance Date for a Reevaluated Hazard

(b)(2) - Each licensee that received the March 12, 2012 NRC 50.54(f) Request for Information letter, shall consider the reevaluated hazards information

  • For some licensees, the detailed Seismic Risk Evaluation required to respond to the 50.54(f) Request is currently in progress
  • These Seismic Probabilistic Risk Analyses are progressing on a staggered schedule for completion and submittal by December 31, 2019

Seismic Mitigation Strategy Assessments

  • Methodology provided by NEI 12-06, Diverse and Flexible Coping Strategies (FLEX) Implementation Guide, Appendix H
  • Seismic Mitigation Strategy Assessments will be completed and submitted for NRC review prior to implementing identified modifications and achieving compliance with (b)(2)

(h)(1) - Implementation Dates

(h)(2) - Alternate Compliance Date for a reevaluated hazard

  • Request due no later than 90 days after effective date of 10 CFR 50.155
  • Submitted Request regarded as approved 120 days after submission unless notified otherwise.

Alternate Compliance Date Request

  • Good Cause o Reason Alternate Date is Needed
  • Seismic Mitigation Strategies Assessment, Path 5 Option, uses risk insights and inputs from SPRA
  • Seismic Mitigation Strategies Assessment may identify plant modifications and/or FLEX Mitigation Strategy changes

Alternate Compliance Date Request

  • Good Cause, continued o Assurance of Safety During Alternate Compliance Date Period
  • Existing Orders and Strategies remain in place
  • Good Faith effort to achieve requirements by Compliance Date
  • Expedited Seismic Evaluation Process including identified actions completed
  • Spent Fuel Pool Seismic Evaluation completed

Summary

  • Request to Use Flexible Schedule Provisions To Establish Alternate Compliance Date for Reevaluated Seismic Hazard template o Provides for consistent level of detail in request o Supports timely request submittal o Assures all considerations addressed o Standard format facilitates NRC Staff review