RIS 2006-02, Good Practices For Licensee Performance During The Emergency Preparedness Component of Force-On-Force Exercises

From kanterella
Jump to navigation Jump to search
Good Practices For Licensee Performance During The Emergency Preparedness Component of Force-On-Force Exercises
ML052970294
Person / Time
Issue date: 02/23/2006
Revision: 0
From: Grimes C I
NRC/NRR/ADRA/DPR
To:
Joseph Anderson NSIR/DPR 415-4114
References
RIS-06-002
Download: ML052970294 (11)


February 23, 2006

NRC REGULATORY ISSUE SUMMARY 2006-02:GOOD PRACTICES FOR LICENSEE PERFORMANCE DURING THE EMERGENCY PREPAREDNESS COMPONENT OF FORCE-ON-FORCEEXERCISES

ADDRESSEES

All holders of operating licenses for nuclear power reactors, except those who havepermanently ceased operations and have certified that fuel has been permanently removed from the reactor vessel.

INTENT

The U.S. Nuclear Regulatory Commission (NRC) is issuing this regulatory information summary(RIS) to inform licensees of good practices identified based on staff observations of licensees'

emergency preparedness (EP) performance during force-on-force (FOF) exercise This RIS requires no action or written response by addressees.

BACKGROUND

Following the terrorist attacks of September 11, 2001, the NRC issued orders requiringcompensatory measures for nuclear security and safety, including EP program As a prudentmeasure, the NRC also suspended Operational Safeguards Response Evaluation Program assessments to allow licensee security resources to focus on responding to the events of September 1 Subsequently, the Commission approved staff plans to resume these assessments, now referred to as FOF exercises, in a phased approac EP lessons learned and good practices were provided to licensees for consideration in Attachment 1 to RIS 2004-15, dated October 18, 2004, based on NRC staff observations of the pilot and transition FOF exercises.In November 2004, the final FOF exercise program was implemented and Inspection Procedure(IP) 71130.03, "Contingency Response - Force-on-Force Testing," was issue Section 5.20,

"Emergency Planning," of IP 71130.03 provided guidance to NRC inspectors on assessing the licensee's ability to conduct the EP component of the FOF exercises, including the integration of security, plant operations, and emergency response actions, and the licensee's process for identifying and correcting EP weaknesses.

SUMMARY OF ISSUE

SThe NRC staff has supported the FOF exercise program observing the demonstration of onshiftEP and operational response capabilitie In general, the licensees have demonstrated the ability to effectively critique performance and utilize the corrective action process based on their experience in conducting EP drills and exercises under IP 71114.01, "Exercise Evaluation," and IP 71114.06, "Drill Evaluation." However, based on NRC staff's continuing observations, we have compiled additional licensee good practices that are listed in the enclosur These observations deal with the licensee's actions taken in response to a potential terrorist event and its ability to effectively demonstrate the EP and operations-security interface during an FOF exercise.

BACKFIT DISCUSSION

This RIS requires no action or written respons Any action by addresses to implementchanges to their emergency plans or procedures in accordance with the guidance in this RIS is strictly voluntary and, therefore, is not a backfit under 10 CFR 50.10 Consequently, the NRC staff did not perform a backfit analysis.

FEDERAL REGISTER NOTIFICATION

A notice of opportunity for public comment on this RIS was not published in the Federal Registerbecause the RIS is informational and pertains to a staff position that does not depart from current regulatory requirements and practices.SMALL BUSINESS REGULATORY ENFORCEMENT FAIRNESS ACT OF 1996The NRC has determined that this action is not subject to the Small Business RegulatoryEnforcement Fairness Act of 1996.

PAPERWORK REDUCTION ACT STATEMENT

This RIS does not contain information collections and, therefore, is not subject to therequirements of the Paperwork Reduction Act of 1995 (44 U.S.C. 3501 et seq.).

CONTACT

Please direct any questions about this matter to the technical contact listed below./RA/Christopher I. Grimes, DirectorDivision of Policy and Rulemaking Office of Nuclear Reactor RegulationTechnical Contacts:Joseph D. Anderson, NSIR/DPR301-415-4114 E-mail: jda1@nrc.gov

Enclosure:

EP Good Practices Developed From NRC Staff Observations of FOF ExercisesNote: NRC generic communications may be found on the NRC public Web site,http://www.nrc.gov, under Electronic Reading Room/Document Collection

CONTACT

Please direct any questions about this matter to the technical contact listed below./RA/Christopher I. Grimes, DirectorDivision of Policy and Rulemaking Office of Nuclear Reactor RegulationTechnical Contacts:Joseph D. Anderson, NSIR/DPR301-415-4114 E-mail: jda1@nrc.gov

Enclosure:

EP Good Practices Developed From NRC Staff Observations of FOF ExercisesNote: NRC generic communications may be found on the NRC public Web site,http://www.nrc.gov, under Electronic Reading Room/Document Collections.DISTRIBUTION:RIS FileADAMS ACCESSION NUMBER: ML052970294(TAC No. MC8777)OFFICENSIR/DPRTech EditorTL:NSIR/DPRSC:NSIR/DPRD:NSIR/DPRDD:NSIR/DPRNAMEJAndersonPKleeneSRosenbergEWeissNMamishELeeds DATE 10/24/200510/25/200511/04/200511/07/200511/07/200511/15/2005 OFFICEDD:NSIR/DNSBC:ITSB:DIRSD:DORLOEOGC (SBREFA)OGC (NLO)

NAMEGTracyTHBoyceCHaney(w/comments)CNolanDReddickSTrebyDATE11/22/200511/23/200512/20/200512/27/200501/06/200601/13/2006OFFICEPMASOISLA:PGCB:DPRIOEB:DIRSBC:PGCB:DPRD:ADRA:DPR NAMEDMcCainCHawesAMarkleyCJacksonCGrimes DATE01/23/200602/03/200602/14/200602/15/200602/22/200602/23/2006OFFICIAL RECORD COPY EP GOOD PRACTICES DEVELOPED FROM NRC STAFF OBSERVATIONS OF FOF EXERCISESThe following are not regulatory requirements, but various licensee good practices observed byNRC staff during the EP/operations component of recent FOF exercise They are meant to supplement the items previously identified in RIS 2004-1 These observed good practices mayhelp licensees self-identify ways to enhance their performance in exercises and station response to security-related events or threats. Exercise Conduct and ControlThe following licensee good practices were observed:1. Use of separate operations and EP controllers to facilitate the prompt, accurate, andeffective communication of scenario events and evaluation of operations, security interfaces, and emergency respons The licensee also designated the operations/engineering staff member, who supported target set development, as the operations controller for the EP/operations demonstration portion of the FOF exercise.2. Use of designate EP/operations controllers as "trusted agents" (per Appendix A toInspection Procedure 71130.03) before the week of the FOF exercises, which allowed sufficient time for the review of scenarios to: (1) develop a data package for key indications reflecting the loss of systems, structures, and components identified in the target sets, and (2) identify postulated event classifications and offsite protective action recommendations (PARs) based on the assumption that adversaries successfully reach designated target set event . Use of sufficiently detailed data packages to allow the control room staff to effectivelywork through the appropriate abnormal and emergency operations procedures for the postulated target set and to use the emergency action levels to appropriately classify the event.4. Use of sufficient operations personnel to effectively demonstrate the operations actionsand EP command and control functions from the control room for the FOF scenari This included the licensee's assigning an individual as the control room supervisor to: (1)

realistically demonstrate assessment of plant system and equipment status andoperations response, as well as normal interface with the shift manager; and (2) allow the shift manager to focus on the emergency coordinator functions identified in the station's emergency plan and the plan's implementing procedures.5. Use of adequate numbers of licensee participants to conduct the exercise scenari Forexample, if a control room takeover scenario was to be demonstrated, the licenseeincluded additional participants who were procedurally designated to make classifications/notifications PARs, such as emergency operations facility staf . Use of appropriate communication provisions, such that event information was deliveredto all participants in a realistic manner. 7. Use of an onshift communicator, when normally located outside the control roomenvelope, to respond promptly to support offsite response organization (ORO) and emergency response organization (ERO) notifications from the control room or alternate onsite locatio If the onshift communicator could not be expected to reach the control room, the licensee demonstrated the ability of available control room staff to perform notification If reasonable to assume that control room reactor operators on-shift would make notifications, the licensee included an individual representing that position as part of the control room staff complement.8. Use of a control cell to realistically demonstrate performance of ORO and EROnotifications from the control room.9. Monitoring of the lead security controller's radio frequency by an operations controller tocontinuously remain informed of the status of scenario event The lead security controller also verified with the operations controller that the control room actions had been sufficiently demonstrated before terminating exercise.10. Effective simulation of communications and interface with Security during the EP tabletop portion of the exercise after the termination of security participatio The individual simulating security interface was familiar with security response actions and terminology used in communicating with control room.11. Briefing of control room participants in advance of the extent of play (specifically areas ofsimulation) and expectations for the table top demonstratio . Allowing control room operators to probe the target set progression in sufficient detail toidentify protective strategies (both for personnel and equipment) and mitigative strategies based on available resources.13. Demonstrating interface and communications with the unaffected station or uni At siteswith separate stations or multiple units with physically separated control rooms, the licensee separated control room staffs during drills to realistically demonstrate communications between control rooms versus communicating face-to-face or overhearing calls that could not occur between control rooms during an actual event.14. Observing the EP component of a FOF exercise at another station in advance, anddiscussing lessons learned, such as perceived strengths and areas for improvement,with industry peers who recently conducted a FOF exercise.15. Observing the EP/operations component of the FOF exercise by the licensee's OperatorTraining group to gain experience in EP/operations response to a security event and facilitate license operator initial and requalification training. 6. Use of the demonstration criteria in the inspection procedure to facilitate the post-exercise critique.CommunicationsThe following licensee good practices were observed:1. Use of operator aids for control room staff to illustrate security zones around theprotected area and to list key plant doors with room or area titles (e.g., Door 123 is the RHR A Pump Room) to facilitate monitoring communications and interfacing with securit . Use of consistent names and acronyms to identify miscellaneous buildings, roads andstructures, and terminology (switchyard lockout vs. LOOP) by security and control roomstaff.3. Training of the designated security interface with the control room on what type ofinformation that the shift manager would need for event classification or plant responses (e.g, a SCRAM). 4. Reinforcing the importance of control room communication and coordination withsecurity before sending operators or other non-security plant personnel to perform critical in-plant functions in order to avoid potential friendly fire situation . Simulating the incapacitation of postulated in-plant (out of control room) personnel ifadequate security measures were not taken or scenario events were to impact anticipated movement of personnel.6. Use of an open communications circuit between the secondary alarm station (SAS),and/or the central alarm station (CAS) to facilitate prompt communications between operations and securit . Identifying a communications protocol with the control room in the event the primarysecurity communications post was lost (e.g., CAS would assume in the event SAS is lost).8. Verifying whether primary and backup security communications were accessible fromthe mock control room as part of exercise preparation. 9. Identifying contingency plans to simulate the transfer of radio frequencies orcommunication devices in the event of a communications failure or radio jammin ProceduresThe following licensee good practices were observed:1. Identifying contingency plans for the prompt notification of station personnel in normallyoccupied areas, where there was a known lack of coverage or an audibility concern with the plant public address (PA) system, and onshift staff (security, auxiliary operators, etc.)could not be mobilized to support supplemental notifications due to the security event.2. Identifying contingency plans for general emergency classification and initiation of OROnotifications, including appropriate offsite PAR, in the event of a physical loss of the control room. Contingencies identified by licensees included a security-related evacuation strategy if the control room was threatened or use of an alternate location to initiate ORO notifications in the event of a physical loss of the control room.3. Eliminating redundant PA announcements in multiple station procedures (e.g., seekimmediate cover) or ensuring consistency in the wording of the announcement in the various procedures.4. Reviewing the ORO notification form and process for an actual or imminent security-event with State and local officials and identifying ways of minimizing the time needed to complete the form and transmit the notification. 5. Performing an applicability review for changes to operations or security procedures,where emergency plan implementing procedure actions had been relocated to these procedures, to confirm that the requirements of the emergency plan were being maintained.6. Updating recovery guidelines to address security event contingencie The following areexamples of security event-related recovery contingencies identified by licensees duringEP table top discussions:*Prioritizing areas where access was needed as part of initial "take back" strategyby local law enforcement agencies (LLEAs) to help assess and restore critical plant safety functions, rescue plant personnel who need immediate medical attention, extinguish fires in critical plant areas, reoccupy the onsite emergency facilities, etc.*Establishing guidance for contacting ERO personnel at the alternate near-sitelocation to assist in determining initial event mitigation priorities, and focusing on technical support center accident assessment and relocating needed operations support center resources to the sit *Assessing offsite fire-fighting and medical/ambulance needs based on potentialgunshot wounds, multiple fire locations, etc., including decision making as to when it would be acceptably safe to allow entry of fire-fighting/ambulance personnel, how that decision would be reached, and in what manner would re-entry be conducted (i.e. using plant security and/or LLEA resources). Event ResponseThe following licensee good practices were observed:1. Use of a site-specific security event callout system scenario or method for directing EROresponders to an alternate near-site locatio Where LLEAs were still relied upon to re-direct ERO members responding to the site, the licensee had evaluated the impact on specific LLEAs to perform collateral functions (threat response, traffic control, fire and medical team security, etc.). 2. Suspending the need to reactivate the designated security event scenario, after anescalation in event classification where ERO response actions do not change, to reduce the burden on control room staff.3. Adding a procedure step to evaluate whether it was safe for a designated onshiftcommunicator, who was normally located outside the immediate vicinity of the control room, to respond to the control room. 4. Identifying a contingency plan for notifications to be performed by available control roomstaff or at an alternate onsite location, when event conditions were determined to be unsafe for the onshift communicator to proceed to the control room.5. Use of a near-site staging area to allow for the prompt notification and mobilization ofoffsite fire-fighting and medical/ambulance support, whose facilities were not close to the station or required the callout of volunteer . Clearly assigning responsibility for requesting offsite fire-fighting and medical/ambulance support during a security event.