ML071990509

From kanterella
Revision as of 20:18, 20 September 2018 by StriderTol (talk | contribs) (Created page by program invented by StriderTol)
(diff) ← Older revision | Latest revision (diff) | Newer revision → (diff)
Jump to navigation Jump to search
Letter to NEI Re How Licensee Probabilistic Risk Assessment (PRA) Models That Are Updated to Meet Regulatory Guide 1.200 Can Be Factored Into the NRC Significant Determination Process
ML071990509
Person / Time
Issue date: 07/26/2007
From: Dyer J E
Office of Nuclear Reactor Regulation
To: Pietrangelo A
Nuclear Energy Institute
References
Download: ML071990509 (3)


Text

Mr. Anthony Pietrangelo, Vice President Regulatory Affairs

Nuclear Generation Division

Nuclear Energy Institute

1776 I Street NW, Suite 400

Washington, D.C. 20006-3708

Dear Mr. Pietrangelo:

The Nuclear Regulatory Commission (NRC) staff, together with the Nuclear Energy Institute (NEI), industry representatives, and other stakeholders, have held a series of public meetings to

discuss whether and how licensee probabilistic ri sk assessment (PRA) models that are updated to meet Regulatory Guide (RG) 1.200 can be factored into the NRC

=s significance determination process (SDP). This activity stems from an action item from the public meeting of September 28, 2006, between the NRC PRA Steering Committee and industry representatives.

The action from the September 28, 2006 meeting was to form task groups to investigate

various options for the use of the standardized plant analysis risk (SPAR) models in the SDP.

A number of options were developed and discussed with the industry during the public

meetings. In particular, the industry has recommended that licensee risk analysts should assess

the risk of performance deficiencies, and provide the results to the NRC for review and action.

After careful consideration of the merits of all of the options developed as part of this effort, the

staff concludes that none of the options are acceptable alternatives to the current process for

the SDP.

The staff recognizes that baseline PRA models that have undergone peer review and conform

to the requirements of RG 1.200 are of relatively high quality. In many cases, the staff has

found these baseline models to be superior in detail to its own SPAR models, particularly with

regard to external event modeling. Nonetheless, the staff

=s experience with the SDP is that the analysis outcome is not heavily influenced by differences between a licensee

=s PRA model and the NRC SPAR model. Typically these differences are recognized and accounted for.

Our experience has been that differences in SDP outcomes between the NRC and the licensee

are driven by factors other than the baseline PR A model used for the analysis. For example, virtually every event or degraded condition for which a phase III risk assessment is conducted

requires engineering analysis and PRA model modifications to represent the performance

deficiency or equipment degradation. Key assumptions regarding the extent and duration of

equipment degradation are made, and human recovery actions and/or systems not modeled in the baseline PRA are often credited. The manner in which the risk analyst addresses these

issues can significantly influence the risk estimate outcome. In that the NRC

=s Reactor Oversight Process (ROP) provides an independent assessment of licensee performance, it would be inappropriate for licensee risk analysts to take the lead in assessing the significance of

licensee performance deficiencies. We note that to the extent that licensees have unique perspectives on the event or condition under NRC staff evaluation, the SDP allows for input from licensees regarding such risk insights.

A. Pietrangelo

The staff has also concluded that allowing licensees to take the lead on risk assessments would

minimize the NRC staff

=s ability to ensure that issues are assessed in a timely manner.

Additionally, at present, the industry lacks a standardized approach to performing risk analysis

that would ensure uniform application across the spectrum of industry PRA models. In this

regard, the NRC

=s use of the SPAR model together with the on-going development of guidance on conducting phase III risk assessments, commonly referred to as the risk assessment standardization process (RASP), ensures greater uniformity.

The staff also seriously considered the alternat ive to the current process whereby the staff would be provided with the licensee PRA models that meet RG 1.200. Under this option, the

staff would perform the assessment of risk significance using a standardized approach. While

this second option has merit, the staff has concluded that the logistical and resource needs to

maintain the many licensee PRA models in-house is not feasible. Altogether, the

70-plus industry PRA models on some four software platforms would require significant NRC

resources, including the addition of risk analysts, who might otherwise be more effectively

utilized for other tasks. This alternative, while perhaps holding promise for the future as PRA

software platform standardization advances, is not a viable solution for the near-term.

In summary, the staff believes that continued improvement to the standardization of PRA

modeling methods in SPAR and industry PRA models is the most effective use of resources, commensurate with the need for the staff to maintain its own methods for confirmatory and

independent analysis. The NRC independent oversight of licensee performance is also an

important aspect of maintaining public confidence in the process.

We look forward to working with the industry to continue development of guidance for the

standardized application of risk assessment models to operating event analysis.

Sincerely,

J. E. Dyer, Director Office of Nuclear Reactor Regulation

ML071990509 OFFICE NRR/DRA/APOB NRR/DIRS/IRIB NRR/DIRS NRR/DRA NRR/ADES NRR/ADRO NAME MFranovich TReis SRichards MCunningham JGrobe BBoger DATE 07/ /2007 07/ /2007 07/ /2007 07/ /200707/ /2007 07/ /2007