Regulatory Guide 1.50: Difference between revisions
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{{#Wiki_filter:}} | {{#Wiki_filter:Page 1 REGULATORY ANALYSIS REGULATORY GUIDE 1.50, REVISION 1, "CONTROL OF PREHEAT TEMPERATURE FOR WELDING OF LOW-ALLOY STEEL." Statement of the Problem The U.S. Nuclear Regulatory Commission (NRC) initially issued Regulatory Guide 1.50, "Control of Preheat Temperature for Welding of Low-Alloy Steel," in May 197 The guidance does not reflect changes in the American Society of Mechanical Engineers Boiler and Pressure Vessel Code (ASME B&PV Code) since 197 Therefore, revision of this regulatory guidance is necessary to reflect updates in the ASME B&PV Cod Objective The objective of this regulatory action is to update the NRC's guidance for the control of preheat temperature for welding of low-alloy steel, consistent with changes in the ASME B&PV Code since May 197 Alternative Approaches The NRC staff considered the following alternative approaches: | ||
* Do not revise Regulatory Guide 1.50. | |||
* Revise Regulatory Guide 1.5 Alternative 1: Do Not Revise Regulatory Guide 1.50 Under this alternative, the NRC would not revise the guidance, and the current guidance would be retaine If the NRC does not take action, there would not be any changes in costs or benefit to the public, the licensees, or the NR However, the "no-action" alternative would not address identified concerns with the current version of the regulatory guid The NRC would continue to review each application on a case-by-case basi This alternative provides a baseline condition from which any other alternatives will be assesse Alternative 2: Revise Regulatory Guide 1.50 Under this alternative, the NRC would revise Regulatory Guide 1.50, taking into consideration the changes in the ASME B&PV Cod One benefit of this action is that it would clarify the guidance and references to the ASME B&PV Code for applicants building new nuclear power plants, as well as for licensee The impact to the NRC would be the costs associated with preparing and issuing the regulatory guide revisio The impact to the public would be the voluntary costs associated with reviewing and providing comments to the NRC during the public comment perio The value to the NRC staff and its applicants would be the benefits associated with enhanced efficiency and effectiveness in using a common guidance document as the technical basis for license applications and other interactions between the NRC and its regulated entitie Page 2 Conclusion Based on this regulatory analysis, the NRC staff recommends revision of Regulatory Guide 1.5 The staff concludes that the proposed action will reduce unnecessary confusion when referencing the ASME B&PV Cod It could also lead to cost savings for the industry, especially with regard to applications for standard plant design certifications and combined licenses.}} | |||
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Revision as of 10:18, 4 March 2018
| ML101870625 | |
| Person / Time | |
|---|---|
| Issue date: | 03/31/2011 |
| From: | Office of Nuclear Regulatory Research |
| To: | |
| Bayssie Mekonen/RES 251-7489 | |
| Shared Package | |
| ML101870548 | List: |
| References | |
| DG-1222 RG-1.050, Rev. 1 | |
| Download: ML101870625 (2) | |
Page 1 REGULATORY ANALYSIS REGULATORY GUIDE 1.50, REVISION 1, "CONTROL OF PREHEAT TEMPERATURE FOR WELDING OF LOW-ALLOY STEEL." Statement of the Problem The U.S. Nuclear Regulatory Commission (NRC) initially issued Regulatory Guide 1.50, "Control of Preheat Temperature for Welding of Low-Alloy Steel," in May 197 The guidance does not reflect changes in the American Society of Mechanical Engineers Boiler and Pressure Vessel Code (ASME B&PV Code) since 197 Therefore, revision of this regulatory guidance is necessary to reflect updates in the ASME B&PV Cod Objective The objective of this regulatory action is to update the NRC's guidance for the control of preheat temperature for welding of low-alloy steel, consistent with changes in the ASME B&PV Code since May 197 Alternative Approaches The NRC staff considered the following alternative approaches:
- Do not revise Regulatory Guide 1.50.
- Revise Regulatory Guide 1.5 Alternative 1: Do Not Revise Regulatory Guide 1.50 Under this alternative, the NRC would not revise the guidance, and the current guidance would be retaine If the NRC does not take action, there would not be any changes in costs or benefit to the public, the licensees, or the NR However, the "no-action" alternative would not address identified concerns with the current version of the regulatory guid The NRC would continue to review each application on a case-by-case basi This alternative provides a baseline condition from which any other alternatives will be assesse Alternative 2: Revise Regulatory Guide 1.50 Under this alternative, the NRC would revise Regulatory Guide 1.50, taking into consideration the changes in the ASME B&PV Cod One benefit of this action is that it would clarify the guidance and references to the ASME B&PV Code for applicants building new nuclear power plants, as well as for licensee The impact to the NRC would be the costs associated with preparing and issuing the regulatory guide revisio The impact to the public would be the voluntary costs associated with reviewing and providing comments to the NRC during the public comment perio The value to the NRC staff and its applicants would be the benefits associated with enhanced efficiency and effectiveness in using a common guidance document as the technical basis for license applications and other interactions between the NRC and its regulated entitie Page 2 Conclusion Based on this regulatory analysis, the NRC staff recommends revision of Regulatory Guide 1.5 The staff concludes that the proposed action will reduce unnecessary confusion when referencing the ASME B&PV Cod It could also lead to cost savings for the industry, especially with regard to applications for standard plant design certifications and combined licenses.