ML18256A364

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NEI Presentation for NRC Standards Forum
ML18256A364
Person / Time
Site: Nuclear Energy Institute
Issue date: 09/11/2018
From:
Nuclear Energy Institute
To:
Office of Nuclear Regulatory Research
Mehta S N
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Download: ML18256A364 (9)


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© NEI 2018. All rights reserved

.© NEI 2018. All rights reserved. Stephen Geier, PEDirector, Risk and Technical ServicesNRC Standards Forum 2018September 11, 2018STANDARDS IMPROVEMENT

© NEI 2018. All rights reserved

.Agenda*Standards Review and Improvement

  • Prioritization

© NEI 2018. All rights reserved

.Standards Review and Improvement Identification

  • Solicit inputs key stakeholders:

-Member utilities

-Vendors/Suppliers

-EPRI*Categorize and organize inputs by:

-Code or Standard

-Impact to operating fleet or new reactor construction/design 3

© NEI 2018. All rights reserved

.Prioritization and Next Steps

  • Identified areas for standards improvement are then prioritized:

-Input from survey responders

-Station Engineering Vice Presidents (INPO)

  • Focus is on the degree of impact to licensing actions and oversight*Next Steps

-Provide prioritized list to NRC points of contact

-Development of actions 4

© NEI 2018. All rights reserved

.5Industry Roles and Responsibilities

-10CFR50.69

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.50.69 Working Group Committee 6*Joint Committee

-PWR and BWR Owner's Groups

  • Provides oversight and infrastructure for the industry's coordinated 50.69 efforts
  • Identify issues and solutions for implementing 50.69
  • Identify and track alternate treatments to maximize benefit and drive consistency across the industry
  • Support cost-effective solutions

© NEI 2018. All rights reserved

.Standards for RISC

-3 SSCs*RISC-3 SSCs are, by definition, low safety significance

  • RISC-3 SSCs no longer need to comply with special treatments, including codes and standards typically applicable to SR SSCs
  • Alternate Treatments are Owner defined, as delineated in 10CFR50.69
  • Alternate Treatments are designed to provide reasonable confidence of performing their safety function under design basis conditions
  • Imposing prescriptive requirements through ASME/IEEE standards is contrary to the goals of 10CFR50.69
  • BWR/PWR OGs, NEI and EPRI are positioned to provide the necessary guidance to the US nuclear power industry
  • Joint OG WG is currently working with the NRC to update their inspection guidance to ensure adequate inspection guidance for RISC-3 SSCs 7

© NEI 2018. All rights reserved

.Future Actions

  • Some standards may need to be revised, or withdrawn, to ensure consistency with the rule-Example: ASME OM Part 29
  • The industry will continue to provide input to Standards committees, including:

-Request for support should the need arise for a codified solution

-Consistent terminology guidance and process improvements

-Ensure 50.69

-knowledgable team members support committee work

  • Hold workshop with NRC and Joint OG WG to develop input to update the IP*NEI and Joint OG WG should be contacted for input and support

-NEI: Jon Kapitz (jkk@nei.org , 612-330-5893)-Joint OG WG: Heather Szews (heather.szews@duke

-energy.com, 980-373-2488)8

© NEI 2018. All rights reserved

.© NEI 2018. All rights reserved. QUESTIONS?