ML17053A010

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NEI - Di&C Rifg Regulatory Framework - Big Picture (for NRC r1)
ML17053A010
Person / Time
Site: Nuclear Energy Institute
Issue date: 02/27/2017
From:
Nuclear Energy Institute
To: Joseph Holonich
Licensing Processes Branch (DPR)
Holonich J
References
Download: ML17053A010 (10)


Text

DI&C Regulatory Framework Big Picture Concepts & Issues NEI DI&C RIFG February 28, 2017

  • Rockville, MD 1

Key Concepts/Issues

  • There are three key big picture concepts that need to be addressed to improve the digital instrumentation & controls (DI&C) regulatory framework:

- Inappropriate Treatment of Digital as Special

- Excessive and Unnecessary Complexity

- Practical Application of Regulatory Guidance 2

Treatment of Digital as Special

  • Design and Licensing Process Interaction

- Recommended Principles/Goals

  • The licensing process for DI&C projects should be fundamentally consistent with that used for projects involving other disciplines (e.g., electrical, analog I&C).
  • The licensing process for DI&C projects should focus on review of the regulatory required design attributes.
  • Execution of later project phases (e.g., implementation, testing) should be addressed via the inspection process.

3

Treatment of Digital as Special

  • Digital Equipment Quality

- Recommended Principles/Goals

  • Quality of out of the box digital equipment (hardware and base software) is not a concern unique to nuclear; quality of digital equipment application to plant SSCs is a concern unique to nuclear.
  • Regulatory guidance should not reinvent the wheel on out of the box digital equipment quality; it should rely on industry standards.

4

Excessive/Unnecessary Complexity

  • Industry Guidance Documents

- Recommended Principles/Goals

  • For a given topical area, there should be one guidance document written primarily for licensees and one guidance document written primarily for NRC staff.
  • These licensee and NRC staff guidance documents should be fundamentally consistent.
  • There should be a minimum of different guidance document types (e.g., RG, NUREG, RIS, ISG, SER, etc.)

across the various DI&C topical areas.

5

Excessive/Unnecessary Complexity

  • NRC Staff Endorsement of Industry Standards

- Recommended Principles/Goals

  • With few exceptions, nuclear specific standards should be endorsed without exceptions, caveats, etc., to prevent the RG process from undermining achievement of industry consensus.
  • Endorsement of non-nuclear standards should account for the need to tailor application of these standards to nuclear industry processes and practices (i.e., a verbatim compliance approach may not work).

6

Excessive/Unnecessary Complexity

  • NRC Staff Endorsement of Industry Standards

- Computer Engineering Standards Trend

  • IEEE software engineering standards have been/are being revised to take a systems engineering approach.
  • EPRI research is investigating application of a systems engineering approach to nuclear DI&C projects.
  • NRC staff endorsements of these standards have lagged behind, and a standard taking a systems engineering approach has not yet been endorsed.

7

Excessive/Unnecessary Complexity

  • Operating Plant vs. New Build Guidance

- Recommended Principles/Goals

  • The same DI&C regulatory guidance documents should be used for both operating plants and new builds, with differences in guidance specified only when necessary.
  • If separate guidance documents are deemed necessary, then their regulatory goals should be fundamentally consistent.

8

Practical Application of Guidance

  • Clarity and Level of Detail

- Recommended Principles/Goals

  • Two different technically competent engineers should be able to obtain similar results when applying regulatory guidance to their designs.
  • Competent engineers should be able to apply regulatory guidance to their designs with reasonable confidence that competent NRC staff will reach similar conclusions regarding design acceptability.

9

Practical Application of Guidance

  • Generic vs. Licensee Specific Documents

- Recommended Principles/Goals

  • All DI&C related regulatory guidance should be available in generic publications.
  • Regulatory guidance should not exist solely in a licensee specific document.

10