VR-SECY-16-0142: Final Rule: Mitigation of Beyond-Design-Basis-Events (Rin 3150-AJ49) - Commissioner WrightML19024A329 |
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ML19024A293 |
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SECY-16-0142 |
Download: ML19024A329 (4) |
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Category:Commission Voting Record (CVR)
MONTHYEARSECY-24-0083, VR-SECY-24-0083: Mission Statement Update Options Pursuant to Subsection 501(a) of the Advance Act of 2024 (Caputo)2024-11-20020 November 2024 VR-SECY-24-0083: Mission Statement Update Options Pursuant to Subsection 501(a) of the Advance Act of 2024 (Caputo) VR-SECY-22-0052, Proposed Rule: Alignment of Licensing Processes and Lessons Learned from New Reactor Licensing (Rin 3150 AI66) (Caputo)2024-08-0808 August 2024 VR-SECY-22-0052: Proposed Rule: Alignment of Licensing Processes and Lessons Learned from New Reactor Licensing (Rin 3150 AI66) (Caputo) ML24214A2622024-08-0101 August 2024 VR-COMDAW-24-0001: Revising the Duration of Design Certifications (Hanson) ML24214A2612024-07-25025 July 2024 VR-COMDAW-24-0001: Revising the Duration of Design Certifications (Crowell) ML24204A0332024-07-19019 July 2024 VR-COMCTH-24-0003: License Renewal and Subsequent License Renewal Review Expectations (Wright) ML24204A0352024-07-19019 July 2024 VR-COMCTH-24-0003: License Renewal and Subsequent License Renewal Review Expectations (Crowell) VR-SECY-24-0032, Revisiting the Mandatory Hearing Process at the U.S. Nuclear Regulatory Commission (Crowell)2024-07-16016 July 2024 VR-SECY-24-0032: Revisiting the Mandatory Hearing Process at the U.S. Nuclear Regulatory Commission (Crowell) ML24204A0342024-07-16016 July 2024 VR-COMCTH-24-0003: License Renewal and Subsequent License Renewal Review Expectations (Caputo) ML24170A3952024-06-11011 June 2024 VR-SECY-23-0033: Interim Enforcement Policy for Dispositioning 10 CFR Part 37 Violations with Respect to Large Components or Robust Structures Containing Category 1 or Category 2 Quantities of Radioactive Material at Power Reactor Facilitie ML24170A3982024-06-11011 June 2024 VR-SECY-23-0033: Interim Enforcement Policy for Dispositioning 10 CFR Part 37 Violations with Respect to Large Components or Robust Structures Containing Category 1 or Category 2 Quantities of Radioactive Material at Power Reactor Facilitie VR-COMSECY-24-0008, Request to Solicit for the Appointment of Two New Members on the Advisory Committee on Reactor Safeguards (Hanson)2024-06-10010 June 2024 VR-COMSECY-24-0008: Request to Solicit for the Appointment of Two New Members on the Advisory Committee on Reactor Safeguards (Hanson) ML24159A0052024-06-0606 June 2024 VR-COMDAW-24-0001: Revising the Duration of Design Certifications (Caputo) ML24159A0062024-06-0404 June 2024 COMDAW-24-0001: Revising the Duration of Design Certifications ML24204A0322024-05-30030 May 2024 VR-COMCTH-24-0003: License Renewal and Subsequent License Renewal Review Expectations (Hanson) SECY-17-0100, VR-COMSECY-19-0006: Revised Security Inspection Program Framework (Option 3) in Response to SRM-SECY-17-0100 (Wright)2024-05-14014 May 2024 VR-COMSECY-19-0006: Revised Security Inspection Program Framework (Option 3) in Response to SRM-SECY-17-0100 (Wright) VR-SECY-20-0070, Technical Evaluation of the Security Bounding Time Concept for Operating Nuclear Power Plants (Crowell)2024-05-0202 May 2024 VR-SECY-20-0070: Technical Evaluation of the Security Bounding Time Concept for Operating Nuclear Power Plants (Crowell) VR-SECY-24-0024, Rulemaking Plan for Freedom of Information Act Regulations, 10 CFR Part 9, Subpart a (Caputo)2024-04-23023 April 2024 VR-SECY-24-0024: Rulemaking Plan for Freedom of Information Act Regulations, 10 CFR Part 9, Subpart a (Caputo) VR-COMSECY-19-0006, Revised Security Inspection Program Framework (Option 3) in Response to SRM-SECY-17-0100 (Caputo)2024-04-23023 April 2024 VR-COMSECY-19-0006: Revised Security Inspection Program Framework (Option 3) in Response to SRM-SECY-17-0100 (Caputo) VR-SECY-24-0018, Report to Congress on Abnormal Occurrences: Fiscal Year 2023 (Hanson)2024-03-22022 March 2024 VR-SECY-24-0018: Report to Congress on Abnormal Occurrences: Fiscal Year 2023 (Hanson) SECY-21-0098, VR-SECY-21-0098: Proposed Rule: Advanced Nuclear Reactor Generic Environmental Impact Statement (Rin 3150-AK55;NRC-2020-0101) (Crowell)2024-03-0707 March 2024 VR-SECY-21-0098: Proposed Rule: Advanced Nuclear Reactor Generic Environmental Impact Statement (Rin 3150-AK55;NRC-2020-0101) (Crowell) SECY-24-0017, VR-SECY-24-0017: Final Rule - Renewing Nuclear Power Plant Operating Licenses - Environmental Review (Rin 3150-AK32; NRC-2018-0296) (Caputo)2024-03-0606 March 2024 VR-SECY-24-0017: Final Rule - Renewing Nuclear Power Plant Operating Licenses - Environmental Review (Rin 3150-AK32; NRC-2018-0296) (Caputo) VR-SECY-21-0098, Proposed Rule: Advanced Nuclear Reactor Generic Environmental Impact Statement (Rin 3150-AK55;NRC-2020-0101) (Caputo)2024-02-0808 February 2024 VR-SECY-21-0098: Proposed Rule: Advanced Nuclear Reactor Generic Environmental Impact Statement (Rin 3150-AK55;NRC-2020-0101) (Caputo) VR-SECY-24-0006, Denial of Request 11 in PRM 72-6 as Part of Notice Discontinuing Independent Spent Fuel Storage Installation Security Requirements Rulemaking (Crowell)2024-01-24024 January 2024 VR-SECY-24-0006: Denial of Request 11 in PRM 72-6 as Part of Notice Discontinuing Independent Spent Fuel Storage Installation Security Requirements Rulemaking (Crowell) VR-SECY-23-0021, Proposed Rule: Risk-Informed, Technology-Inclusive Regulatory Framework for Advanced Reactors (Rin 3150-AK31) (Crowell)2023-12-22022 December 2023 VR-SECY-23-0021: Proposed Rule: Risk-Informed, Technology-Inclusive Regulatory Framework for Advanced Reactors (Rin 3150-AK31) (Crowell) VR-COMSECY-23-0016, Renewal of Advisory Committee on the Medical Uses of Isotopes (ACMUI) Charter (Wright)2023-12-14014 December 2023 VR-COMSECY-23-0016: Renewal of Advisory Committee on the Medical Uses of Isotopes (ACMUI) Charter (Wright) COMSECY-23-0016, VR-COMSECY-23-0016: Renewal of Advisory Committee on the Medical Uses of Isotopes (ACMUI) Charter (Caputo)2023-12-14014 December 2023 VR-COMSECY-23-0016: Renewal of Advisory Committee on the Medical Uses of Isotopes (ACMUI) Charter (Caputo) VR-SECY-23-0095, Recommendation to Discontinue the Mississippi Agreement State Programs Probationary Period (Wright)2023-11-27027 November 2023 VR-SECY-23-0095: Recommendation to Discontinue the Mississippi Agreement State Programs Probationary Period (Wright) SECY-23-0021, VR-SECY-23-0021: Proposed Rule: Risk-Informed, Technology-Inclusive Regulatory Framework for Advanced Reactors (Rin 3150-AK31) (Hanson)2023-10-30030 October 2023 VR-SECY-23-0021: Proposed Rule: Risk-Informed, Technology-Inclusive Regulatory Framework for Advanced Reactors (Rin 3150-AK31) (Hanson) VR-SECY-23-0072, Final Agency Decision to Implement the Flexible Work Model (Wright)2023-10-30030 October 2023 VR-SECY-23-0072: Final Agency Decision to Implement the Flexible Work Model (Wright) VR-SECY-22-0098, Rulemaking Options for Revising Security Requirements for Facilities Storing Spent Nuclear Fuel and High-Level Radioactive Waste (Wright)2023-09-21021 September 2023 VR-SECY-22-0098: Rulemaking Options for Revising Security Requirements for Facilities Storing Spent Nuclear Fuel and High-Level Radioactive Waste (Wright) VR-SECY-23-0075, Wyomings Proposal to Amend the Existing Agreement to Regulate the Processing of Source Material to Extract Mineral Resources Other than the Uranium or Thorium Content (Wright)2023-09-19019 September 2023 VR-SECY-23-0075: Wyomings Proposal to Amend the Existing Agreement to Regulate the Processing of Source Material to Extract Mineral Resources Other than the Uranium or Thorium Content (Wright) VR-SECY-23-0010, Recommendation for Approval to Retire the Reactor Oversight Process Performance Indicator for Licensee Alert and Notification System Availability and to Develop a Performance Indicator for Emergency Response Facility and E2023-09-0101 September 2023 VR-SECY-23-0010 - Recommendation for Approval to Retire the Reactor Oversight Process Performance Indicator for Licensee Alert and Notification System Availability and to Develop a Performance Indicator for Emergency Response Facility and E VR-SECY-22-0072, Proposed Rule: Alternative Physical Security Requirements for Advanced Reactors (Rin 3150-AK19) (Caputo)2023-08-22022 August 2023 VR-SECY-22-0072: Proposed Rule: Alternative Physical Security Requirements for Advanced Reactors (Rin 3150-AK19) (Caputo) ML23207A1802023-07-26026 July 2023 VR-COMJMB-23-0001: Establishing Commission Expectations for the Effectiveness, Efficiency, and Timeliness of New Reactor Reviews (Crowell) ML23158A2382023-06-0202 June 2023 VR-COMAXC-23-0001: Enabling the Mission - a Measured Approach to the Future of Work (Hanson) SRM-COMSECY-23-0008, VR-COMSECY-23-0008: Request to Solicit for the Appointment of Two New Members on the Advisory Committee on Reactor Safeguards (Crowell)2023-05-24024 May 2023 VR-COMSECY-23-0008: Request to Solicit for the Appointment of Two New Members on the Advisory Committee on Reactor Safeguards (Crowell) VR-COMSECY-23-0008, Request to Solicit for the Appointment of Two New Members on the Advisory Committee on Reactor Safeguards (Hanson)2023-05-24024 May 2023 VR-COMSECY-23-0008: Request to Solicit for the Appointment of Two New Members on the Advisory Committee on Reactor Safeguards (Hanson) ML23158A2412023-05-19019 May 2023 VR-COMAXC-23-0001: Enabling the Mission - a Measured Approach to the Future of Work (Crowell) ML23158A2402023-05-18018 May 2023 VR-COMAXC-23-0001: Enabling the Mission - a Measured Approach to the Future of Work (Baran) ML24170A3962023-05-15015 May 2023 VR-SECY-23-0033: Interim Enforcement Policy for Dispositioning 10 CFR Part 37 Violations with Respect to Large Components or Robust Structures Containing Category 1 or Category 2 Quantities of Radioactive Material at Power Reactor Facilitie ML24170A3972023-05-11011 May 2023 VR-SECY-23-0033: Interim Enforcement Policy for Dispositioning 10 CFR Part 37 Violations with Respect to Large Components or Robust Structures Containing Category 1 or Category 2 Quantities of Radioactive Material at Power Reactor Facilitie VR-SECY-22-0112, Proposed Rule: Radioactive Source Security and Accountability (3150-AK83; NRC-2022-0103) (Crowell)2023-05-0101 May 2023 VR-SECY-22-0112: Proposed Rule: Radioactive Source Security and Accountability (3150-AK83; NRC-2022-0103) (Crowell) VR-SECY-23-0029, Rulemaking Plan for the Implementation of Changes to Reflect Advanced Reactor Export Licensing Considerations (Caputo)2023-04-28028 April 2023 VR-SECY-23-0029: Rulemaking Plan for the Implementation of Changes to Reflect Advanced Reactor Export Licensing Considerations (Caputo) ML23158A2392023-04-18018 April 2023 VR-COMAXC-23-0001: Enabling the Mission - a Measured Approach to the Future of Work (Wright) VR-SECY-22-0109, Proposed Rule: Renewing Nuclear Power Plant Operating Licenses - Environmental Review (Rin 3150-AK32; NRC-2018-0296) (Baran)2022-12-20020 December 2022 VR-SECY-22-0109: Proposed Rule: Renewing Nuclear Power Plant Operating Licenses - Environmental Review (Rin 3150-AK32; NRC-2018-0296) (Baran) VR-COMSECY-22-0012, Renewal of Licensing Support Network Advisory Review Panel Charter (Crowell)2022-10-12012 October 2022 VR-COMSECY-22-0012: Renewal of Licensing Support Network Advisory Review Panel Charter (Crowell) VR-SECY-22-0062, Final Rule: NuScale Small Modular Reactor Design Certification (Rin 3150-AJ98; NRC-2017-0029) (Baran)2022-07-29029 July 2022 VR-SECY-22-0062: Final Rule: NuScale Small Modular Reactor Design Certification (Rin 3150-AJ98; NRC-2017-0029) (Baran) VR-SECY-22-0033, Proposed Rule - Alternatives to the Use of Credit Ratings (NRC-2017-0021; Rin 3150-AJ92) (Baran)2022-07-29029 July 2022 VR-SECY-22-0033: Proposed Rule - Alternatives to the Use of Credit Ratings (NRC-2017-0021; Rin 3150-AJ92) (Baran) VR-SECY-22-0053, Recommendations for Modifying the Reactor Oversight Process Engineering Inspections Periodicity (Baran)2022-07-18018 July 2022 VR-SECY-22-0053: Recommendations for Modifying the Reactor Oversight Process Engineering Inspections Periodicity (Baran) VR-SECY-20-0045, Population Related Siting Considerations for Advanced Reactors (Baran)2022-06-28028 June 2022 VR-SECY-20-0045: Population Related Siting Considerations for Advanced Reactors (Baran) 2024-08-08
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AFFIRMATION ITEM RESPONSE SHEET TO: FROM:
SUBJECT:
Annette Vietti-Cook, Secretary Commissioner Wright SECY-16-0142:
DRAFT FINAL RULE-MITIGATION OF BEYOND-DESIGN-BASIS EVENTS (RIN 3150-AJ49)
Approved X Disapproved Abstain Not Participating, COMMENTS:
Below Attached X None Entered in "STARS" YesV No SIGNATURE DATE Commissioner Wright's Comments on SECY-16-0142, Draft Finai Rule-Mitigation of Beyond-Design-Basis Events (RiN 3150-AJ49)
I commend the staff on its remarkable effort to prepare this draft final rule package. This rule represents a tremendous accomplishment and stands as the culmination of significant efforts by the NRG to address the lessons learned from the March 2011 accident at Fukushima Dai-ichi.While these efforts predate my time at the NRG, I appreciate the countless hours and the resolute commitment by the staff and the industry to ensure the safety of our nation's nuclear fleet and the fleet's ability to withstand beyond-design-basis events. It is also important to acknowledge that significant safety enhancements have already been realized by the industry's implementation of the NRG's post-Fukushima requirements in response to the accident.After careful review of the record, including the staff's supplements to the rule package, I approve the publication of the draft final rule and notice in the Federal Register, as edited by Ghairman Svinicki.
I also approve Ghairman Svinicki's edits to Enclosure 4 to SEGY-16-0142,"Backfitting and Issue Finality Assessment." The staff should make the necessary conforming changes in other rulemaking documents to reflect these modifications.
These changes to the draft final rule align the rule with the requirements of 10 GFR 50.109,"Backfitting," and 10 GFR 52.98, "Finality of combined licenses; information requests." Specifically, as edited, the final rule makes generically applicable the requirements in the Mitigation Strategies and Spent Fuel Pool Instrumentation Orders. These requirements, imposed by order or license conditions on current licensees, do not constitute backfitting.
I agree with Ghairman Svinicki that the record does not provide sufficient basis for approval of many of the changes in requirements that go beyond making generically applicable the post-Fukushima orders for mitigation strategies and spent fuel pool instrumentation.
These potential requirements include staffing, communications, integrated response capabilities, drills and exercises, and additional training requirements that were addressed in guidance during implementation of the orders. All power reactor licensees are in compliance with the orders, and the NRG has completed both its review of the licensees' compliance plans and its inspections at the majority of operating power reactor sites to verify licensees' compliance.
The staff's reviews and inspections continue to indicate that the requirements imposed by the orders were sufficient to provide reasonable assurance of adequate protection of public health and safety. Additionally, I am not aware of any information from the staff's reviews or inspections or from the development of this rule that demonstrates that imposing the additional requirements in the final rule would provide a substantial increase in the overall protection of the public health and safety or the common defense and security.
Therefore, I support continuing to address the treatment of staffing, communications, integrated response capabilities, drills and exercises, and additional training details in regulatory guidance, consistent with the approach for implementing the orders. This performance-based approach for compliance with the requirements of the rule would also continue to provide licensees with appropriate flexibility in addressing beyond-design-basis events.The proposed rule included a requirement for operating power reactor licensees to address within their mitigation strategies the reevaluated seismic and flooding hazards stemming out of the request for information issued under 10 GFR 50.54(f).
The revised version of the draft final rule that I support removes the generic imposition of this proposed requirement because it does not meet backfitting and issue finality requirements.
I have heard from some colleagues and staff that this approach could be viewed as a change in Commission direction.
While I carefully reviewed the record, I cannot speak definitively to the intricacies of the Commission's prior direction as I was not on the Commission when SRM-COMSECY-14-0037 or SRM-SECY-15-0065 were issued. However, I can say definitively that the Commission has the authority to change direction and that adequate protection decisions are the sole province of the Commission.
Further, the D.C. Circuit Court of Appeals and the NRC Solicitor have since provided clarifications on the backfit rule. These clarifications were incorporated into a backfit refresher training, offered across the agency, which I took in July of this year. It is through this lens that I cast my vote here, which I believe is consistent with current Commission policy direction on backfit and adequate protection.
My vote also recognizes and accounts for the considerable efforts in response to the Fukushima accident by the agency and the industry.
As the Commission has told Congress and the public, most of the safety benefits to operating plants from the post-Fukushima response were in place at the end of 2016. For ongoing reevaluated hazard assessments, the 10 CFR 50.54(f) process remains in place to ensure that the agency and the licensee will take the needed actions, if any, to ensure that the plant is able to withstand the effects of the reevaluated flooding and seismic hazards. These efforts utilize existing agency processes to determine whether an operating power reactor license should be modified, suspended, or revoked in light of the reevaluated hazard. In addition, staff and industry approaches for the 10 CFR 50.54(f) assessments have matured, increasing the realism of these assessments and enhancing their focus on the sites with the greatest opportunity for safety enhancements.
Therefore, I am satisfied that this approach continues to ensure safety and that every nuclear power plant will adequately address the reevaluated hazard.Finally, I would like to address the staff's proposals in the draft final rule to: (1) withdraw post-9/11 Order EA-06-137 and its associated license conditions and (2) provide all boiling water reactors (BWRs) with Mark I and Mark II containments an extra year to comply with the requirements of this rule. First, I join my colleagues in disapproving the withdrawal of Order EA-06-137 and its associated license conditions at this time. My approved edits remove the related provisions from this rule. The staff did not provide a compelling reason for this change from the proposed rule requirements and, as indicated by Chairman Svinicki in her vote, this action fits better within the Commission's consideration of SECY-18-0055, "Proposed Rule on Regulatory Improvements for Facilities Transitioning to Decommissioning." Although the concept was not included in the proposed rule, the staff proposes to provide BWR licensees with Mark I and Mark II containments an additional year for compliance in order to address the cumulative effect of regulations on this group of licensees.
I find the staff's proposal reasonable because, as compared to other operating power reactor licensees, this group of licensees received an additional order (Order EA-13-109) to install Severe Accident Capable Hardened Vents. In addition, the agency issued Order EA-13-109 a year later than the Mitigation Strategies and Spent Fuel Pool Instrumentation Orders that were issued to all power reactor licensees.
These BWR licensees also rely on the vents as part of their mitigation strategies.
Consequently, I agree with commenters on the proposed rule that this group of licensees, as compared to the rest of the fleet, will have less time to comply with this rule given their need to address additional regulatory requirements unless their compliance schedule is adjusted.
That said, I am also satisfied with the staff's proposal because this group of licensees has already enhanced their ability to cope with beyond-design-basis events through compliance with the Mitigation Strategies and Spent Fuel Pool Instrumentation Orders as well as the installation of wet well vents (the first phase of Order EA-103-109).
I would like to close by reiterating my appreciation for the staff's hard work in preparing this rule and thoughtfully addressing the extensive stakeholder comments.
I am proud of the agency's comprehensive response to the lessons learned from the Fukushima accident and believe the response has enhanced the safety of our nuclear plants.