ML19133A082: Difference between revisions
StriderTol (talk | contribs) (Created page by program invented by StriderTol) |
StriderTol (talk | contribs) (StriderTol Bot change) |
||
| (2 intermediate revisions by the same user not shown) | |||
| Line 3: | Line 3: | ||
| issue date = 05/08/2019 | | issue date = 05/08/2019 | ||
| title = Tri-State Directors Meeting, Framingham, Ma, May 8, 2019 | | title = Tri-State Directors Meeting, Framingham, Ma, May 8, 2019 | ||
| author name = Smith T | | author name = Smith T | ||
| author affiliation = NRC/NSIR/DPR/POB | | author affiliation = NRC/NSIR/DPR/POB | ||
| addressee name = | | addressee name = | ||
| Line 15: | Line 15: | ||
=Text= | =Text= | ||
{{#Wiki_filter:NRC Emergency Preparedness Rulemaking | {{#Wiki_filter:NRC Emergency Preparedness Rulemaking Activities Tri-State Directors Meeting Framingham, MA May 8, 2019 Todd Smith, PhD Emergency Preparedness Specialist U.S. Nuclear Regulatory Commission | ||
2*EP is a defense | |||
-in-depth program | What is Emergency Preparedness? | ||
*EP is the last line of defense | 2 | ||
*EP addresses a spectrum of potential accidents*EP requires constant state of readiness | * EP is a defense-in-depth program | ||
*The scope and nature of the preparedness depends on the potential hazards presented by the class of facility What is changing and why? | * EP is the last line of defense | ||
3 | * EP addresses a spectrum of potential accidents | ||
* EP requires constant state of readiness | |||
-based emergency preparedness (EP) and scalable EPZ size commensurate with risk | * The scope and nature of the preparedness depends on the potential hazards presented by the class of facility | ||
What is changing and why? | |||
3 EPZ size and other radiological emergency preparedness (REP) Program capabilities should be proportional to the risk without undue regulatory burden on licensees Performance-based emergency preparedness (EP) and scalable EPZ size commensurate with risk Ingestion planning capabilities rather than defined zone New designs/technologies are including additional features to meet the expectations of the Commission Policy Statement on Advanced Reactors, issued in 2008 NRC as a matter of long standing principle has licensed facilities such as research and test reactors, reactors at low power operation, and fuel facilities with EPZs that do not require an off-site REP program | |||
-site REP program Philosophy of EP | |||
*Maintain reasonable assurance of adequate protection of the public health and safety | Philosophy of EP 4 | ||
*Maintain EP as an independent layer of | The overall objective of EP is to provide dose savings for a spectrum of accidents that could produce offsite doses in excess of Protective Action Guides. | ||
*Gain efficiencies from previous efforts | EPZs are areas for which planning is needed to assure that prompt and effective actions can be taken to protect the public in the event of an accident. | ||
How is this applied in rulemaking? | |||
* Maintain reasonable assurance of adequate protection of the public health and safety | |||
* Maintain EP as an independent layer of defense-in-depth | |||
* Provide regulatory certainty and clarity | |||
* Gain efficiencies from previous efforts Exemption requests Prior decommissioning rulemaking efforts Supporting studies Rulemaking Goals for EP 5 | |||
6 Illustrative Milestones | |||
*The spectrum of accidents are fewer | |||
*DBAs will not exceed 1 Rem offsite | 7 Supporting Research Three recent analyses that support the planning basis for EP: | ||
*At least 10 hours available before a SFP fire could occur | Analysis of Mitigative Actions Spent Fuel Decay Time Dose Rate of Accidental Radiological Release from Spent Fuel Pool | ||
*Proposed graded approach to EP | |||
Graded Approach to EP 8 | |||
Level 1 Post Shutdown Emergency Plan (PSEP) 10 months (BWR) 16 months (PWR) | |||
Level 2 Permanently Defueled Emergency Plan (PDEP) | |||
-in-depth*Coordination with offsite agencies maintained | Level 3 ISFSI Only Emergency Plan (IOEP) | ||
> 5 years Cessation of Power Operations and Defueled Power Operations Level 4 No Spent Fuel Onsite | |||
EP Basis for Decommissioning Sites 9 | |||
The overall objective of EP is to provide dose savings for a spectrum of accidents that could produce offsite doses in excess of PAGs. | |||
EPZs are areas for which planning is needed to assure that prompt and effective actions can be taken to protect the public in the event of an accident. | |||
For example, in Level 2 decommissioning: | |||
*Final Regulatory Basis | * The spectrum of accidents are fewer | ||
* DBAs will not exceed 1 Rem offsite | |||
*Proposed Rule/Draft Regulatory Guidance | * At least 10 hours available before a SFP fire could occur | ||
* Proposed graded approach to EP Establishes requirements commensurate with radiological risk Minimizes licensing actions and maintains reasonable assurance Upholds EP as an independent layer of defense-in-depth | |||
* Coordination with offsite agencies maintained Arrangements for offsite services support Communications maintained and tested periodically Annual review of Emergency Action Levels (EALs) | |||
*Public Comment Period (current estimate) | Radiological orientation training program for local services Voluntary participation in exercises 10 CFR 50.54(t) evaluation of State and local interfaces Decommissioning Rulemaking 10 | ||
*Final Rule/Final Regulatory Guidance | Decommissioning Rule Schedule | ||
* Final Regulatory Basis November 2017, ML17215A012 | |||
* Proposed Rule/Draft Regulatory Guidance Provided to Commission May 7, 2018 Public May 22, 2018, ADAMS Package ML18012A019 | |||
*Regulations.gov Docket ID NRC | * Public Comment Period (current estimate) | ||
-2015-0070 | June 28, 2019 | ||
*Rulemaking to develop a clear set of rules and guidance for | * Final Rule/Final Regulatory Guidance August 31, 2020, Provide to Commission March 15, 2021, Issue Final | ||
*New designs/technologies are including features to enhance | * Regulations.gov Docket ID NRC-2015-0070 | ||
-at-distance and | * Rulemaking to develop a clear set of rules and guidance for small modular reactors (SMRs) and other new technologies (ONT) | ||
-oriented approach | * New designs/technologies are including features to enhance the margin of safety through use of simple, inherent, or passive means to accomplish their safety and security functions. | ||
-water reactors (LWRs) | Principle of dose-at-distance and consequence-oriented approach to determine EPZ size Risk-Informed, Performance Based Technology Neutral EP for SMRs & ONT 12 | ||
Commission Policy Statement on Advanced Reactors the Commission expects, as a minimum, at least the same degree of protection of the environment and public health and safety and the common defense and security that is required for current generation light-water reactors (LWRs) the Commission expects that advanced reactors will provide enhanced margins of safety and/or use simplified, inherent, passive, or other innovative means to accomplish their safety and security functions. (emphasis added) | |||
Major Provisions | Major Provisions | ||
*Technology | * Technology-inclusive for future SMRs and ONTs, including medical radioisotope facilities and non-light-water reactors | ||
-inclusive for future SMRs and ONTs, including medical radioisotope facilities and non | * Performance-based EP framework, including demonstration of effective response in drills and exercises | ||
-light-water reactors | * Hazard analysis for contiguous facilities | ||
*Performance | * Scalable approach for plume exposure pathway EPZ | ||
-based EP framework, including demonstration of effective response in drills and exercises*Hazard analysis for contiguous facilities | * Ingestion planning capabilities rather than defined zone | ||
*Scalable approach for plume exposure pathway EPZ | |||
*Ingestion planning capabilities rather than defined zone Scalable EPZ | Scalable EPZ | ||
*Scalable approach for plume exposure pathway EPZ | * Scalable approach for plume exposure pathway EPZ | ||
-Consistent with the analyses documented in NUREG | - Consistent with the analyses documented in NUREG-0396 | ||
-0396-EPA PAG manual supports the EPZ | - EPA PAG manual supports the EPZ-PAG and planning relationship | ||
-PAG and planning relationship | - Consistent with the existing graded-approach afforded to: | ||
-Consistent with the existing graded | * Research and test reactors | ||
-approach afforded to: | * Fuel cycle facilities | ||
*Research and test reactors | * Independent spent fuel storage installations | ||
*Fuel cycle facilities | * Same level of protection afforded to public health and safety | ||
*Independent spent fuel storage installations | * Development of guidance supported by Office of Nuclear Regulatory Research | ||
*Same level of protection afforded to public health and safety | |||
*Development of guidance supported by Office of Nuclear Regulatory Research | Framework 10 CFR 50.33 10 CFR 50.34 10 CFR 50.160 10 CFR 50.160(c) 10 CFR 50.160(c)(1)(i) | ||
-(iv)(A) and (B)10 CFR 50.160(c)(1)(i) | -(iv)(A) and (B) 10 CFR 50.160(c)(1)(i) | ||
-(iv)(A)10 CFR 50.160(c)(2) | -(iv)(A) 10 CFR 50.160(c)(2)-(4) | ||
-(4)Reasonable | Reasonable Assurance 10 CFR 50.54 Appendix E 10 CFR 50.47 Existing EP for Nuclear Power Reactors Proposed EP for SMRs and ONTs Onsite only Onsite and Offsite Existing EP for Non-Power Reactors | ||
*Event Classification and Mitigation | |||
*Assessment | Emergency Response Performance | ||
*Protective Actions | * Event Classification and Mitigation | ||
*Communications | * Assessment | ||
*Command and Control | * Protective Actions | ||
*Staffing and Operations | * Communications | ||
*Protective Equipment | * Command and Control | ||
*Releases*Reentry*Critique and Corrective Actions Planning Activities | * Staffing and Operations | ||
*All Facilities: | * Protective Equipment | ||
-Public Information | * Releases | ||
-Implementing Safeguards Contingency Plan at the same time as the Emergency Plan | * Reentry | ||
-Establish Voice Communications with the NRC | * Critique and Corrective Actions | ||
-Establish Emergency Facilities Offsite Planning Activities | |||
*For those facilities that have an EPZ beyond the site boundary-Contacts and Arrangements | Planning Activities | ||
-Offsite organizations descriptions | * All Facilities: | ||
-Protective measures | - Public Information | ||
-Site familiarization training | - Implementing Safeguards Contingency Plan at the same time as the Emergency Plan | ||
-Evacuation time estimates | - Establish Voice Communications with the NRC | ||
-Offsite emergency response facilities | - Establish Emergency Facilities | ||
-Dose projections | |||
-Public information, ANS, prompt action descriptions | Offsite Planning Activities | ||
-Reentry-Drills and exercises SMR/ONT Rule Schedule | * For those facilities that have an EPZ beyond the site boundary | ||
*Final Regulatory Basis | - Contacts and Arrangements | ||
- Offsite organizations descriptions | |||
*Proposed Rule/Draft Regulatory Guidance | - Protective measures | ||
- Site familiarization training | |||
- Evacuation time estimates | |||
*Public Comment Period (current estimate) | - Offsite emergency response facilities | ||
- Dose projections | |||
*Final Rule/Final Regulatory Guidance | - Public information, ANS, prompt action descriptions | ||
- Reentry | |||
- Drills and exercises | |||
*Regulations.gov Docket ID NRC | |||
-2015-0225 Changes | SMR/ONT Rule Schedule | ||
* Final Regulatory Basis September 2017, ML17206A265 | |||
* Proposed Rule/Draft Regulatory Guidance Provided to Commission October 12, 2018 Public August 3, 2018, ADAMS Package ML18213A264 | |||
* Public Comment Period (current estimate) | |||
June 28, 2019 | |||
* Final Rule/Final Regulatory Guidance March 27, 2020, Provide to Commission July 27, 2020, Issue Final | |||
* Regulations.gov Docket ID NRC-2015-0225 | |||
Changes 21 Reactor technology is advancing, EP is evolving, but the NRCs mission to protect the health and safety of the public remains unchanged}} | |||
Latest revision as of 02:31, 5 January 2025
| ML19133A082 | |
| Person / Time | |
|---|---|
| Issue date: | 05/08/2019 |
| From: | Tanya Smith Policy and Oversight Branch |
| To: | |
| Todd Smith | |
| References | |
| Download: ML19133A082 (21) | |
Text
NRC Emergency Preparedness Rulemaking Activities Tri-State Directors Meeting Framingham, MA May 8, 2019 Todd Smith, PhD Emergency Preparedness Specialist U.S. Nuclear Regulatory Commission
What is Emergency Preparedness?
2
- EP is a defense-in-depth program
- EP is the last line of defense
- EP addresses a spectrum of potential accidents
- EP requires constant state of readiness
- The scope and nature of the preparedness depends on the potential hazards presented by the class of facility
What is changing and why?
3 EPZ size and other radiological emergency preparedness (REP) Program capabilities should be proportional to the risk without undue regulatory burden on licensees Performance-based emergency preparedness (EP) and scalable EPZ size commensurate with risk Ingestion planning capabilities rather than defined zone New designs/technologies are including additional features to meet the expectations of the Commission Policy Statement on Advanced Reactors, issued in 2008 NRC as a matter of long standing principle has licensed facilities such as research and test reactors, reactors at low power operation, and fuel facilities with EPZs that do not require an off-site REP program
Philosophy of EP 4
The overall objective of EP is to provide dose savings for a spectrum of accidents that could produce offsite doses in excess of Protective Action Guides.
EPZs are areas for which planning is needed to assure that prompt and effective actions can be taken to protect the public in the event of an accident.
How is this applied in rulemaking?
- Maintain reasonable assurance of adequate protection of the public health and safety
- Maintain EP as an independent layer of defense-in-depth
- Provide regulatory certainty and clarity
- Gain efficiencies from previous efforts Exemption requests Prior decommissioning rulemaking efforts Supporting studies Rulemaking Goals for EP 5
6 Illustrative Milestones
7 Supporting Research Three recent analyses that support the planning basis for EP:
Analysis of Mitigative Actions Spent Fuel Decay Time Dose Rate of Accidental Radiological Release from Spent Fuel Pool
Graded Approach to EP 8
Level 1 Post Shutdown Emergency Plan (PSEP) 10 months (BWR) 16 months (PWR)
Level 2 Permanently Defueled Emergency Plan (PDEP)
Level 3 ISFSI Only Emergency Plan (IOEP)
> 5 years Cessation of Power Operations and Defueled Power Operations Level 4 No Spent Fuel Onsite
EP Basis for Decommissioning Sites 9
The overall objective of EP is to provide dose savings for a spectrum of accidents that could produce offsite doses in excess of PAGs.
EPZs are areas for which planning is needed to assure that prompt and effective actions can be taken to protect the public in the event of an accident.
For example, in Level 2 decommissioning:
- The spectrum of accidents are fewer
- At least 10 hours1.157407e-4 days <br />0.00278 hours <br />1.653439e-5 weeks <br />3.805e-6 months <br /> available before a SFP fire could occur
- Proposed graded approach to EP Establishes requirements commensurate with radiological risk Minimizes licensing actions and maintains reasonable assurance Upholds EP as an independent layer of defense-in-depth
- Coordination with offsite agencies maintained Arrangements for offsite services support Communications maintained and tested periodically Annual review of Emergency Action Levels (EALs)
Radiological orientation training program for local services Voluntary participation in exercises 10 CFR 50.54(t) evaluation of State and local interfaces Decommissioning Rulemaking 10
Decommissioning Rule Schedule
- Final Regulatory Basis November 2017, ML17215A012
- Proposed Rule/Draft Regulatory Guidance Provided to Commission May 7, 2018 Public May 22, 2018, ADAMS Package ML18012A019
- Public Comment Period (current estimate)
June 28, 2019
- Final Rule/Final Regulatory Guidance August 31, 2020, Provide to Commission March 15, 2021, Issue Final
- Regulations.gov Docket ID NRC-2015-0070
- Rulemaking to develop a clear set of rules and guidance for small modular reactors (SMRs) and other new technologies (ONT)
- New designs/technologies are including features to enhance the margin of safety through use of simple, inherent, or passive means to accomplish their safety and security functions.
Principle of dose-at-distance and consequence-oriented approach to determine EPZ size Risk-Informed, Performance Based Technology Neutral EP for SMRs & ONT 12
Commission Policy Statement on Advanced Reactors the Commission expects, as a minimum, at least the same degree of protection of the environment and public health and safety and the common defense and security that is required for current generation light-water reactors (LWRs) the Commission expects that advanced reactors will provide enhanced margins of safety and/or use simplified, inherent, passive, or other innovative means to accomplish their safety and security functions. (emphasis added)
Major Provisions
- Technology-inclusive for future SMRs and ONTs, including medical radioisotope facilities and non-light-water reactors
- Performance-based EP framework, including demonstration of effective response in drills and exercises
- Hazard analysis for contiguous facilities
- Scalable approach for plume exposure pathway EPZ
- Ingestion planning capabilities rather than defined zone
Scalable EPZ
- Scalable approach for plume exposure pathway EPZ
- Consistent with the analyses documented in NUREG-0396
- EPA PAG manual supports the EPZ-PAG and planning relationship
- Consistent with the existing graded-approach afforded to:
- Research and test reactors
- Fuel cycle facilities
- Independent spent fuel storage installations
- Same level of protection afforded to public health and safety
- Development of guidance supported by Office of Nuclear Regulatory Research
Framework 10 CFR 50.33 10 CFR 50.34 10 CFR 50.160 10 CFR 50.160(c) 10 CFR 50.160(c)(1)(i)
-(iv)(A) and (B) 10 CFR 50.160(c)(1)(i)
-(iv)(A) 10 CFR 50.160(c)(2)-(4)
Reasonable Assurance 10 CFR 50.54 Appendix E 10 CFR 50.47 Existing EP for Nuclear Power Reactors Proposed EP for SMRs and ONTs Onsite only Onsite and Offsite Existing EP for Non-Power Reactors
Emergency Response Performance
- Event Classification and Mitigation
- Assessment
- Protective Actions
- Communications
- Command and Control
- Staffing and Operations
- Protective Equipment
- Releases
- Reentry
- Critique and Corrective Actions
Planning Activities
- All Facilities:
- Public Information
- Implementing Safeguards Contingency Plan at the same time as the Emergency Plan
- Establish Voice Communications with the NRC
- Establish Emergency Facilities
Offsite Planning Activities
- For those facilities that have an EPZ beyond the site boundary
- Contacts and Arrangements
- Offsite organizations descriptions
- Protective measures
- Site familiarization training
- Evacuation time estimates
- Offsite emergency response facilities
- Dose projections
- Public information, ANS, prompt action descriptions
- Reentry
- Drills and exercises
SMR/ONT Rule Schedule
- Final Regulatory Basis September 2017, ML17206A265
- Proposed Rule/Draft Regulatory Guidance Provided to Commission October 12, 2018 Public August 3, 2018, ADAMS Package ML18213A264
- Public Comment Period (current estimate)
June 28, 2019
- Final Rule/Final Regulatory Guidance March 27, 2020, Provide to Commission July 27, 2020, Issue Final
- Regulations.gov Docket ID NRC-2015-0225
Changes 21 Reactor technology is advancing, EP is evolving, but the NRCs mission to protect the health and safety of the public remains unchanged