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{{#Wiki_filter:IUNITED STATESNUCLEAR REGULATORY COMMISSIONOFFICE OF NUCLEAR REACTOR REGULATIONWASHINGTON, D.C. 20555April 26, 1995NRC GENERIC LETTER 95-02: USE OF NUMARC/EPRI REPORT TR-102348, "GUIDELINE ONLICENSING DIGITAL UPGRADES," IN DETERMINING THEACCEPTABILITY OF PERFORMING ANALOG-TO-DIGITALREPLACEMENTS UNDER 10 CFR 50.59
{{#Wiki_filter:I UNITED STATES NUCLEAR REGULATORY  
COMMISSION
OFFICE OF NUCLEAR REACTOR REGULATION
WASHINGTON, D.C. 20555 April 26, 1995 NRC GENERIC LETTER 95-02: USE OF NUMARC/EPRI  
REPORT TR-102348, "GUIDELINE  
ON LICENSING
DIGITAL UPGRADES," IN DETERMINING  
THE ACCEPTABILITY
OF PERFORMING  
ANALOG-TO-DIGITAL
REPLACEMENTS
UNDER 10 CFR 50.59  


==Addressees==
==Addressees==
All holders of operating licenses or construction permits for nuclear powerreactors.
All holders of operating licenses or construction permits for nuclear power reactors.


==Purpose==
==Purpose==
The U.S. Nuclear Regulatory Commission (NRC) staff is issuing this genericletter to inform addressees of a new staff position on the use of NuclearManagement and Resources Council/Electrical Power Research Institute(NUMARC/EPRI) Report TR-102348, "Guideline on Licensing Digital Upgrades,"dated December 1993, as acceptable guidance for determining when an analog-to-digital replacement can be performed without prior NRC staff approval underthe requirements of Section 50.59 of Title 10 of the Code of FederalRegulations (10 CFR 50.59). The report applies to all digital equipment thatuses software and, in particular, to microprocessor-based systems. Thereport, together with the clarifications discussed in this generic letter,represents a method acceptable to the staff for use in making a determinationof whether or not an unreviewed safety question exists with respect to10 CFR 50.59 requirements. It is expected that recipients will consider theinformation in this generic letter when performing analog-to-digitalinstrumentation and control systems replacements. However, suggestionscontained in this generic letter are not NRC requirements; therefore, nospecific action or written response is required.
The U.S. Nuclear Regulatory Commission (NRC) staff is issuing this generic letter to inform addressees of a new staff position on the use of Nuclear Management and Resources Council/Electrical Power Research Institute (NUMARC/EPRI)  
Report TR-102348, "Guideline on Licensing Digital Upgrades," dated December 1993, as acceptable guidance for determining when an analog-to- digital replacement can be performed without prior NRC staff approval under the requirements of Section 50.59 of Title 10 of the Code of Federal Regulations
(10 CFR 50.59). The report applies to all digital equipment that uses software and, in particular, to microprocessor-based systems. The report, together with the clarifications discussed in this generic letter, represents a method acceptable to the staff for use in making a determination of whether or not an unreviewed safety question exists with respect to 10 CFR 50.59 requirements.
 
It is expected that recipients will consider the information in this generic letter when performing analog-to-digital instrumentation and control systems replacements.
 
However, suggestions contained in this generic letter are not NRC requirements;  
therefore, no specific action or written response is required.


==Description of Circumstances==
==Description of Circumstances==
The age-related degradation of some earlier analog electronic systems and thedifficulties in obtaining qualified replacement components for those systems,as well as a desire for enhanced features such as automatic self-test anddiagnostics, greater flexibility, and increased data availability haveprompted some operating reactor licensees to replace existing analog systemswith digital systems. After reviewing a number of these digital systemreplacements and digital equipment failures in both nuclear and non-nuclearapplications, the staff has identified potentially safety-significant concernspertaining to digital systems in nuclear power plants. The concerns of thestaff stem from the design characteristics specific to the new digitalelectronics that could result in failure modes and system malfunctions thateither were not considered during the initial plant design or may not havebeen evaluated in sufficient detail in the safety analysis report. These9504140227 PDR ADOCK 0SQO00o03 P 9 S o q(2/71 GL 95-02April 26, 1995 concerns include potential common mode failures due to (1) the use of commonsoftware in redundant channels, (2) increased sensitivity to the effects ofelectromagnetic interference, (3) the improper use and control of equipmentused to control and modify software and hardware configurations, (4) theeffect that some digital designs have on diverse trip functions, (5) impropersystem integration, and (6) inappropriate commercial dedication of digitalelectronics.As a result of the above concerns, the NRC staff issued a draft generic letterfor public comment in the Federal Register (57FR36680) on August 14, 1992,wherein a position was established that essentially all safety-related digitalreplacements result in an unreviewed safety question because of thepossibility of the creation of a different type of malfunction than thoseevaluated previously in the safety analysis report. The staff concluded,therefore, that prior approval by the NRC staff of all safety-related digitalmodifications was necessary. However, subsequent discussions and comments onthe draft generic letter have resulted in the staff position as described inthis letter.DiscussionTo assist licensees in effectively implementing digital replacements byaddressing the concerns indicated above and in determining which upgrades canbe performed under 10 CFR 50.59 without prior NRC staff approval, Report TR-102348 has been published. The NRC staff reviewed and provided comments onthis report while it was in draft form, and the final report reflects acoordinated effort between industry and the NRC staff. The NRC staff believesthat, when properly implemented, modern digital systems offer the potentialfor greater system reliability and enhanced features such as automatic self-test and diagnostics, as well as greater flexibility, increased dataavailability, and ease of modification.Report TR-102348 contains guidance that will assist licensees in implementingand licensing digital upgrades in such a manner as to minimize the potentialconcerns indicated above. It describes actions to be taken in the design andimplementation process to ensure that the digital upgrade licensing and safetyissues are addressed, and ways to consider these issues when performing the10 CFR 50.59 evaluation. It is not the intent of the report or of the NRCstaff to predispose the outcome of the 10 CFR 50.59 process, but rather toprovide a process that will assist licensees in reaching a proper conclusionregarding the existence of an unreviewed safety question when undertaking adigital system replacement. However, as shown in Example 5-6 of the report,when using this document as guidance for the analysis of modifications of somesafety-significant systems such as the reactor protection system or anengineered safety feature system, it is likely these digital modificationswill require staff review when 10 CFR 50.59 criteria are applied. Report TR-102348 states in the introduction that the guidance is supplemental to andconsistent with that provided in NSAC-125, "Guidelines for 10 CFR 50.59 SafetyEvaluations." Licensees should bear in mind that NSAC-125 has not been GL 95-02April 26, 1995 endorsed by the NRC, and therefore any use of those guidelines is advisoryonly, and that nothing in NSAC-125 can be construed as a modification of10 CFR 50.59. While the guidelines of NSAC-125 can be useful in theevaluation of systems, and are representative of logic used in making a10 CFR 50.59 determination, the actual determination of whether or not anunreviewed safety question exists must be done in accordance with10 CFR 50.59.10 CFR 50.59(a)(2)(i) and (ii) states that a proposed change, test orexperiment involves an unreviewed safety question if the probability orconsequences of an accident or malfunction previously evaluated in the safetyanalysis report may increase, or if the possibility for an accident ormalfunction of a different type than any previously evaluated in the safetyanalysis report may be created. If during the 10 CFR 50.59 determinationthere is uncertainty about whether the probability or consequences mayincrease, or whether the possibility of a different type of accident ormalfunction may be created, the uncertainty should lead the licensee toconclude that the probability or consequences may increase or a new type ofmalfunction may be created. If the uncertainty is only on the degree ofimprovement the digital system will provide, the modification would notinvolve an unreviewed safety question. If, however, the uncertainty involveswhether or not this modification is more or less safe than the previous analogsystem, or if no degree of safety has been determined, an unreviewed safetyquestion is involved.The staff believes that two clarifications to Report TR-102348 are appropriateas follows:1. 10 CFR 50.59 requires determination of whether "a possibility for anaccident or malfunction of a different type than any evaluatedpreviously in the safety analysis report may be created." As a part ofthis determination, Report TR-102348 suggests looking for "any new typesof system-level failures that would result in effects not previouslyconsidered in the FSAR." (For example, see TR-102348, Section 4.5,Question 6.) It is the NRC staff's position that the system-levelconsidered in this regard should be the digital system being installed.The staff believes that this clarification is necessary because10 CFR 50.59 does not refer to an accident or malfunction that resultsin a "system-level" failure different from any previously analyzed butrather to the malfunction of the equipment important to safety beingmodified. It is the change in the facility as described in the safetyanalysis report that is to be analyzed under 10 CFR 50.59 to determineif it involves an unreviewed safety question, that is, the digitalequipment that replaced the analog equipment, rather than the otherwiseunchanged system of which that equipment is a part is to be analyzed.This does not mean that all digital equipment usage will automaticallyresult in an unreviewed safety question simply as a result of the use ofsoftware. Software failure, including common-mode failure, must be GL 95-02April 26, 1995 considered during the 10 CFR 50.59 evaluation as a possible differenttype of malfunction. However, if software failure cannot cause anequipment malfunction of a different type than any previously evaluatedin the safety analysis report, then no unreviewed safety question existswith respect to this criterion, and in the absence of otherdisqualifying criteria, the replacement can be performed under10 CFR 50.59 without prior NRC approval. For many digital systemmodifications involving relatively simple systems such as discussed inexample 5-5 of NUMARC/EPRI Report TR-102348, the NRC staff believes thata conclusion may be reached that there is no possibility that adifferent type of malfunction may be created.As an example, when installing an upgraded digital high pressurefunction of the reactor trip system, it is the digital instrumentationand control circuitry associated with the high pressure reactor tripfunction that would be subject to the questions on failure modes andeffects (equipment malfunctions) identified in the report that would beanalyzed to determine involvement of an unreviewed safety question, notthe entire reactor trip system. If the entire trip system is beingreplaced with a digital upgrade, then the entire replacement digitalinstrumentation and control system would be subject to the failure modesand effects analysis, not the full range of instrumentation and controlsystems being actuated to respond to a transient or accident.2. 10 CFR 50.59 requires maintaining records that "include a written safetyevaluation which provides the bases for the determination that thechange, test, or experiment does not involve an unreviewed safetyquestion." Section 3.1.2 of the report points out that the use ofqualitative engineering judgment is typically involved in areas that arenot readily quantifiable, such as likelihood of the failure, itsimportance to the system and to the plant, and the practicality andincremental improvements of various options available for resolving thefailure. Such judgments may be difficult to duplicate and understand ata later time. It is the NRC staff's position that the basis for theengineering judgment and the logic used in the determination should bedocumented to the extent practicable. This type of documentation is ofparticular importance in areas where no established consensus methodsare available, such as for software reliability, or the use ofcommercial-grade hardware and software where full documentation of thedesign process is not available.EPRI Report TR-102348, together with the clarifications discussed in thisgeneric letter, can be used as guidance by licensees in both designing analog-to-digital replacements and, with respect to unreviewed safety questiondeterminations, determining if an analog-to-digital replacement can beperformed under 10 CFR 50.59 without prior staff approval.
The age-related degradation of some earlier analog electronic systems and the difficulties in obtaining qualified replacement components for those systems, as well as a desire for enhanced features such as automatic self-test and diagnostics, greater flexibility, and increased data availability have prompted some operating reactor licensees to replace existing analog systems with digital systems. After reviewing a number of these digital system replacements and digital equipment failures in both nuclear and non-nuclear applications, the staff has identified potentially safety-significant concerns pertaining to digital systems in nuclear power plants. The concerns of the staff stem from the design characteristics specific to the new digital electronics that could result in failure modes and system malfunctions that either were not considered during the initial plant design or may not have been evaluated in sufficient detail in the safety analysis report. These 9504140227 PDR ADOCK 0SQO00o03 P 9 S o q(2/71 GL 95-02 April 26, 1995 concerns include potential common mode failures due to (1) the use of common software in redundant channels, (2) increased sensitivity to the effects of electromagnetic interference, (3) the improper use and control of equipment used to control and modify software and hardware configurations, (4) the effect that some digital designs have on diverse trip functions, (5) improper system integration, and (6) inappropriate commercial dedication of digital electronics.
 
As a result of the above concerns, the NRC staff issued a draft generic letter for public comment in the Federal Register (57FR36680)  
on August 14, 1992, wherein a position was established that essentially all safety-related digital replacements result in an unreviewed safety question because of the possibility of the creation of a different type of malfunction than those evaluated previously in the safety analysis report. The staff concluded, therefore, that prior approval by the NRC staff of all safety-related digital modifications was necessary.
 
However, subsequent discussions and comments on the draft generic letter have resulted in the staff position as described in this letter.Discussion To assist licensees in effectively implementing digital replacements by addressing the concerns indicated above and in determining which upgrades can be performed under 10 CFR 50.59 without prior NRC staff approval, Report TR-102348 has been published.
 
The NRC staff reviewed and provided comments on this report while it was in draft form, and the final report reflects a coordinated effort between industry and the NRC staff. The NRC staff believes that, when properly implemented, modern digital systems offer the potential for greater system reliability and enhanced features such as automatic self-test and diagnostics, as well as greater flexibility, increased data availability, and ease of modification.
 
Report TR-102348 contains guidance that will assist licensees in implementing and licensing digital upgrades in such a manner as to minimize the potential concerns indicated above. It describes actions to be taken in the design and implementation process to ensure that the digital upgrade licensing and safety issues are addressed, and ways to consider these issues when performing the 10 CFR 50.59 evaluation.
 
It is not the intent of the report or of the NRC staff to predispose the outcome of the 10 CFR 50.59 process, but rather to provide a process that will assist licensees in reaching a proper conclusion regarding the existence of an unreviewed safety question when undertaking a digital system replacement.
 
However, as shown in Example 5-6 of the report, when using this document as guidance for the analysis of modifications of some safety-significant systems such as the reactor protection system or an engineered safety feature system, it is likely these digital modifications will require staff review when 10 CFR 50.59 criteria are applied. Report TR-102348 states in the introduction that the guidance is supplemental to and consistent with that provided in NSAC-125, "Guidelines for 10 CFR 50.59 Safety Evaluations." Licensees should bear in mind that NSAC-125 has not been GL 95-02 April 26, 1995 endorsed by the NRC, and therefore any use of those guidelines is advisory only, and that nothing in NSAC-125 can be construed as a modification of 10 CFR 50.59. While the guidelines of NSAC-125 can be useful in the evaluation of systems, and are representative of logic used in making a 10 CFR 50.59 determination, the actual determination of whether or not an unreviewed safety question exists must be done in accordance with 10 CFR 50.59.10 CFR 50.59(a)(2)(i)  
and (ii) states that a proposed change, test or experiment involves an unreviewed safety question if the probability or consequences of an accident or malfunction previously evaluated in the safety analysis report may increase, or if the possibility for an accident or malfunction of a different type than any previously evaluated in the safety analysis report may be created. If during the 10 CFR 50.59 determination there is uncertainty about whether the probability or consequences may increase, or whether the possibility of a different type of accident or malfunction may be created, the uncertainty should lead the licensee to conclude that the probability or consequences may increase or a new type of malfunction may be created. If the uncertainty is only on the degree of improvement the digital system will provide, the modification would not involve an unreviewed safety question.
 
If, however, the uncertainty involves whether or not this modification is more or less safe than the previous analog system, or if no degree of safety has been determined, an unreviewed safety question is involved.The staff believes that two clarifications to Report TR-102348 are appropriate as follows: 1. 10 CFR 50.59 requires determination of whether "a possibility for an accident or malfunction of a different type than any evaluated previously in the safety analysis report may be created." As a part of this determination, Report TR-102348 suggests looking for "any new types of system-level failures that would result in effects not previously considered in the FSAR." (For example, see TR-102348, Section 4.5, Question 6.) It is the NRC staff's position that the system-level considered in this regard should be the digital system being installed.
 
The staff believes that this clarification is necessary because 10 CFR 50.59 does not refer to an accident or malfunction that results in a "system-level" failure different from any previously analyzed but rather to the malfunction of the equipment important to safety being modified.
 
It is the change in the facility as described in the safety analysis report that is to be analyzed under 10 CFR 50.59 to determine if it involves an unreviewed safety question, that is, the digital equipment that replaced the analog equipment, rather than the otherwise unchanged system of which that equipment is a part is to be analyzed.This does not mean that all digital equipment usage will automatically result in an unreviewed safety question simply as a result of the use of software.
 
Software failure, including common-mode failure, must be GL 95-02 April 26, 1995 considered during the 10 CFR 50.59 evaluation as a possible different type of malfunction.
 
However, if software failure cannot cause an equipment malfunction of a different type than any previously evaluated in the safety analysis report, then no unreviewed safety question exists with respect to this criterion, and in the absence of other disqualifying criteria, the replacement can be performed under 10 CFR 50.59 without prior NRC approval.
 
For many digital system modifications involving relatively simple systems such as discussed in example 5-5 of NUMARC/EPRI  
Report TR-102348, the NRC staff believes that a conclusion may be reached that there is no possibility that a different type of malfunction may be created.As an example, when installing an upgraded digital high pressure function of the reactor trip system, it is the digital instrumentation and control circuitry associated with the high pressure reactor trip function that would be subject to the questions on failure modes and effects (equipment malfunctions)  
identified in the report that would be analyzed to determine involvement of an unreviewed safety question, not the entire reactor trip system. If the entire trip system is being replaced with a digital upgrade, then the entire replacement digital instrumentation and control system would be subject to the failure modes and effects analysis, not the full range of instrumentation and control systems being actuated to respond to a transient or accident.2. 10 CFR 50.59 requires maintaining records that "include a written safety evaluation which provides the bases for the determination that the change, test, or experiment does not involve an unreviewed safety question." Section 3.1.2 of the report points out that the use of qualitative engineering judgment is typically involved in areas that are not readily quantifiable, such as likelihood of the failure, its importance to the system and to the plant, and the practicality and incremental improvements of various options available for resolving the failure. Such judgments may be difficult to duplicate and understand at a later time. It is the NRC staff's position that the basis for the engineering judgment and the logic used in the determination should be documented to the extent practicable.
 
This type of documentation is of particular importance in areas where no established consensus methods are available, such as for software reliability, or the use of commercial-grade hardware and software where full documentation of the design process is not available.
 
EPRI Report TR-102348, together with the clarifications discussed in this generic letter, can be used as guidance by licensees in both designing analog-to-digital replacements and, with respect to unreviewed safety question determinations, determining if an analog-to-digital replacement can be performed under 10 CFR 50.59 without prior staff approval.
 
GL 95-02 April 26, 1995 This generic letter requires no specific action or written response.
 
If you have any questions about this matter, please contact the technical contact listed below or the appropriate Office of Nuclear Reactor Regulation project manager.y .mie ant Associate Direct rojects M;;4d-a nf Mlu-1aa Rartor Reaulatiorn Technical contact: Lead project manager: Attachment:
List of Recently Issued Paul J. Loeser, NRR (301) 504-2825 Robert M. Pulsifer, NRR (301) 504-3016 NRC Generic Letters~ t~l I
Attachment GL 95-02 April 26, 1995 LIST OF RECENTLY ISSUED GENERIC LETTERS Generic Date of T e. e a nt , Teciiad Tn P ..L .Letter bUD.ieCt --------V 89-04, SUPP. 1 95-01 94-04 94-03 94-02 94-01 GUIDANCE ON DEVELOPING
ACCEPTABLE
INSERVICE TESTING PROGRAMS NRC STAFF TECHNICAL
POSI-TION ON FIRE PROTECTION
FOR FUEL CYCLE FACILITIES
VOLUNTARY
REPORTING
OF ADDITIONAL
OCCUPATIONAL
RADIATION
EXPOSURE DATA INTERGRANULAR
STRESS CORROSION
CRACKING OF CORE SHROUDS IN BOILING WATER LONG-TERM
SOLUTIONS
AND UPGRADE OF INTERIM OPERATING
RECOMMENDATIONS
FOR THERMAL-HYDRAULIC
INSTABILITIES
IN BOILING WATER REACTORS REMOVAL OF ACCELERATED
TESTING AND SPECIAL RE-PORTING REQUIREMENTS
FOR EMERGENCY
DIESEL GENERATORS
04/04/95 01/26/95 09/02/94 07/22/94 07/11/94 05/31/95 ALL HOLDERS OF OLs OR CPs FOR NUCLEAR POWER REACTORS.ALL CURRENT LICENSEES& APPLICANTS
FOR URANIUM CONVERSION
& FUEL FABRICATION
FACILITIES.
 
ALL HOLDERS OF OLs OR CPs FOR NPRs, RADIOGRAPHY
LICENSEES, FUEL PROCES-SING LICENSEES, FABRICA-TING & REPROCESSING
LICENSEES, MANUFACTURERS
& DISTRIBUTORS
OF BY-PRODUCT MAT'L, INDEPEND-DENT SPENT FUEL STORAGE INSTALLATIONS, FACILITIES
FOR LAND DISPOSAL OF LOW-LEVEL WASTE, & GEOLOGIC REPOSITORIES
FOR HIGH-LEVEL WASTE.ALL HOLDERS OF OLs OR CPs FOR BOILING WATER REACTORS EXCEPT FOR BIG ROCK POINT, WHICH DOES NOT HAVE A CORE SHROUD.ALL HOLDERS OF OLs FOR BOILING WATER REACTORS EXCEPT BIG ROCK POINT ALL HOLDERS OF OLs FOR NPRs OL = OPERATING
LICENSE CP = CONSTRUCTION
PERMIT NPR = NUCLEAR POWER REACTORS
a-X GL 95-02 April 26, 1995 This generic letter requires no specific action or written response.
 
If you have any questions about this matter, please contact the technical contact listed below or the appropriate Office of Nuclear Reactor Regulation project manager.Roy P. Zimmerman Associate Director for Projects Office of Nuclear Reactor Regulation Technical contact: Lead project manager: Attachment:
List of Recently Issu Paul J. Loeser, NRR (301) 504-2825 Robert M. Pulsifer, NRR (301) 504-3016 ed NRC Generic Letters NOTE: JHConran's
4/12/95 e-mail to PJLoeser indicated that ELJordan had determined that further formal review of the generic letter by CRGR is not needed.* SEE FJMiraglia
4/3/95 memo to ELJordan for PREVIOUS CONCURRENCEs
** SEE PREVIOUS PAGE FOR CONCURRENCES
DOCUMENT NAME: 95-02.GL i To receive a copy of th document, Indicate In the box: wC' -Copy without chmentJncos wEd -Copy wit atachmentlenosure
'N' = No copy OFFICE DNAME DATE TA:DOPS/NRR**
7 AJKugler 04/17/95 r D:DOPS/NRR**
I BGrimes 04/17/95 ADOlRP41Nma GL 95-XX April XX, 1995 This generic letter requires no specific action or written response.
 
If you have any questions about this mat te, ple0S0 contact the technical contact listed below or the appropriate Office of Nuclear Reactor Regulation project manager.Roy P. Zimmerman Associate Director for Projects Office of Nuclear Reactor Regulation Technical contact: Lead project manager: Attachment:
List of Recently Issued Paul J. Loeser, NRR (301) 504-2825 Robert M. Pulsifer, NRR (301) 504-3016 NRC Generic Letters NOTE: JHConran's
4/12/95 e-mail to PJLoeser indicated that ELJordan had determined that further formal review of the generic letter by CRGR is not needed.* SEE FJMiraglia
4/3/95 memo to ELJordan for PREVIOUS CONCURRENCEs DOCUMENT NAME: S:\DOPS SEC\A2D.GL
To mraviwe a conv of this document.
 
Indicate In the box: 'C = Copv without attachment/enclosure
'E' = Copy with attachmentlenclosure
'N' e No copy.OFFICE HICB* SC:HICB* l BC:HICB* D: DRCHI TECH ED*NAME PLoeser JMauck JWermiel BBoger MMejac DATE 03/07/95 03/07/95 03/07/95 103/09/95
03/01/95 OFFICE PM:DRCH* OGC* A DTfjR jJ G CI:NRR I NAME RPulsipher SLewis AThadani AKugler % , BGries_DATE 03/08/95 03/21/95 03/21/95 04/./dy/95 r 04//OFFICE ADP:NRR I 1I NAME RPZimmerman DATE 04/ /95 _
GL 95-02 April 26, 1995 This generic letter requires no specific action or written response.
 
If you have any questions about this matter, please contact the technical contact listed below or the appropriate Office of Nuclear Reactor Regulation project manager.Roy P. Zimmerman Associate Director for Projects Office of Nuclear Reactor Regulation Technical contact: Lead project manager: Attachment:
List of Recently Issued Paul J. Loeser, NRR (301) 504-2825 Robert M. Pulsifer, NRR (301) 504-3016 NRC Generic Letters NOTE: JHConran's
4/12/95 e-mail to PJLoeser indicated that ELJordan had determined that further formal review of the generic letter by CRGR is not needed.* SEE FJMiraglia
4/3/95 memo to ELJordan for PREVIOUS CONCURRENCEs DOCUMENT NAME: 95-02.GL To rsceive a cop of this document.
 
Indilcate hI the box: 'C' -Copy without attachmentlenclosure
*E- -Cope with attachmentVenclasure
'N' -No copy OFFICE HICB* I SC:HICB* I BC:HICB* I D:DRCH* I TECH ED* I NAME PLoeser JMauck JWermiel BBoger MMejac DATE 03/07/95 03/07/95 03/07/95 03/09/95 03/01/95 OFFICE PM:DRCH* I OGC* ADT:NRR* I OGCB:NRR I DORS:NRR NAME RPulsipher SLewis AThadani AKugler BGrimes DATE 03/08/95 03/21/95 03/21/95 04/ /95 04/ /95_ _ .=. ..1 OFFICE ADP:NRR I I NAME RPZimmerman I DATE 04/ /95 1 Ed...8 I 1>, A , Uw4IU L. *uua d -£ -I from the Nuclear Energy Institute (NEI) and three from utilities endorsing the NEI comment) concerned the scope of the system to be considered when determining whether a different type of accident or malfunction is created as defined in 10 CFR 50.59. The NEI comment was submitted to the Office of the General Counsel (OGC) for review and legal interpretation.
 
OGC stated that the NEI comment was an incorrect interpretation of the requirements of 10 CFR 50.59 and that the original statement in the draft generic letter was correctly worded. However, OGC provided additional clarifying language, which was incorporated in the final generic letter. The fifth comment was from Florida Power & Light Company and addressed the Institute of Electrical and Electronic Engineers standards referenced in Report TR-102348.
 
Attachment
2 is a redline version of the generic letter showing the final changes made on the basis of the public comments.Attachments
3-7 contain the comment letters received from NEI, Florida Power &Light Company, PECO Energy Company, Baltimore Gas and Electric Company, and Virginia Power. Attachment
8 contains the staff response to the comments.Attachment
9 contains the responses to the questions in Section IV.B of the CRGR Charter. Attachment
10 is a copy of the original generic report TR-102348, 'Guideline on Licensing Digital Upgrades.'
No actions are requested by this proposed generic letter.No further regulatory activity is anticipated.
 
The Office of the General Counsel has reviewed this generic letter, the public comments, and the changes as a result of the public comments, and has no legal objections.
 
The generic letter is sponsored by Bruce A. Boger, Director, Division of Reactor Controls and Human Factors.Attachments:
1. Proposed Generic Letter, Use of WUIARC/EPRI
Report TR-102348.


GL 95-02April 26, 1995 This generic letter requires no specific action or written response. If youhave any questions about this matter, please contact the technical contactlisted below or the appropriate Office of Nuclear Reactor Regulation projectmanager.y .mie antAssociate Direct rojectsM;;4d-a nf Mlu-1aa Rartor ReaulatiornTechnical contact:Lead project manager:Attachment:List of Recently IssuedPaul J. Loeser, NRR(301) 504-2825Robert M. Pulsifer, NRR(301) 504-3016NRC Generic Letters~ t~l I
%Guideline an Licensing DigitaL Upgrades,'  
AttachmentGL 95-02April 26, 1995 LIST OF RECENTLY ISSUED GENERIC LETTERSGenericDate ofT e. e a nt ,Teciiad TnP ..L .Letter bUD.ieCt --------V89-04,SUPP. 195-0194-0494-0394-0294-01GUIDANCE ON DEVELOPINGACCEPTABLE INSERVICETESTING PROGRAMSNRC STAFF TECHNICAL POSI-TION ON FIRE PROTECTIONFOR FUEL CYCLE FACILITIESVOLUNTARY REPORTING OFADDITIONAL OCCUPATIONALRADIATION EXPOSURE DATAINTERGRANULAR STRESSCORROSION CRACKING OF CORESHROUDS IN BOILING WATERLONG-TERM SOLUTIONS ANDUPGRADE OF INTERIMOPERATING RECOMMENDATIONSFOR THERMAL-HYDRAULICINSTABILITIES IN BOILINGWATER REACTORSREMOVAL OF ACCELERATEDTESTING AND SPECIAL RE-PORTING REQUIREMENTS FOREMERGENCY DIESEL GENERATORS04/04/9501/26/9509/02/9407/22/9407/11/9405/31/95ALL HOLDERS OF OLs ORCPs FOR NUCLEAR POWERREACTORS.ALL CURRENT LICENSEES& APPLICANTS FOR URANIUMCONVERSION & FUELFABRICATION FACILITIES.ALL HOLDERS OF OLs OR CPsFOR NPRs, RADIOGRAPHYLICENSEES, FUEL PROCES-SING LICENSEES, FABRICA-TING & REPROCESSINGLICENSEES, MANUFACTURERS& DISTRIBUTORS OF BY-PRODUCT MAT'L, INDEPEND-DENT SPENT FUEL STORAGEINSTALLATIONS, FACILITIESFOR LAND DISPOSAL OF LOW-LEVEL WASTE, & GEOLOGICREPOSITORIES FOR HIGH-LEVEL WASTE.ALL HOLDERS OF OLs OR CPsFOR BOILING WATERREACTORS EXCEPT FOR BIGROCK POINT, WHICH DOESNOT HAVE A CORE SHROUD.ALL HOLDERS OF OLs FORBOILING WATER REACTORSEXCEPT BIG ROCK POINTALL HOLDERS OF OLs FORNPRsOL = OPERATING LICENSECP = CONSTRUCTION PERMITNPR = NUCLEAR POWER REACTORS
in Determining the Acceptability of Performing Analog-to-DigftaL  
a-XGL 95-02April 26, 1995 This generic letter requires no specific action or written response. If youhave any questions about this matter, please contact the technical contactlisted below or the appropriate Office of Nuclear Reactor Regulation projectmanager.Roy P. ZimmermanAssociate Director for ProjectsOffice of Nuclear Reactor RegulationTechnical contact:Lead project manager:Attachment:List of Recently IssuPaul J. Loeser, NRR(301) 504-2825Robert M. Pulsifer, NRR(301) 504-3016ed NRC Generic LettersNOTE: JHConran's 4/12/95 e-mail to PJLoeser indicated that ELJordan haddetermined that further formal review of the generic letter by CRGR is notneeded.* SEE FJMiraglia 4/3/95 memo to ELJordan for PREVIOUS CONCURRENCEs** SEE PREVIOUS PAGE FOR CONCURRENCESDOCUMENT NAME: 95-02.GL iTo receive a copy of th document, Indicate In the box: wC' -Copy without chmentJncos wEd -Copy wit atachmentlenosure 'N' = No copyOFFICEDNAMEDATETA:DOPS/NRR** 7AJKugler04/17/95r D:DOPS/NRR** IBGrimes04/17/95ADOlRP41Nma GL 95-XXApril XX, 1995 This generic letter requires no specific action or written response. If youhave any questions about this mat te, ple0S0 contact the technical contactlisted below or the appropriate Office of Nuclear Reactor Regulation projectmanager.Roy P. ZimmermanAssociate Director for ProjectsOffice of Nuclear Reactor RegulationTechnical contact:Lead project manager:Attachment:List of Recently IssuedPaul J. Loeser, NRR(301) 504-2825Robert M. Pulsifer, NRR(301) 504-3016NRC Generic LettersNOTE: JHConran's 4/12/95 e-mail to PJLoeser indicated that ELJordan haddetermined that further formal review of the generic letter by CRGR is notneeded.* SEE FJMiraglia 4/3/95 memo to ELJordan for PREVIOUS CONCURRENCEsDOCUMENT NAME: S:\DOPS SEC\A2D.GLTo mraviwe a conv of this document. Indicate In the box: 'C = Copv without attachment/enclosure'E' = Copy with attachmentlenclosure 'N' e No copy.OFFICE HICB* SC:HICB* l BC:HICB* D: DRCHI TECH ED*NAME PLoeser JMauck JWermiel BBoger MMejacDATE 03/07/95 03/07/95 03/07/95 103/09/95 03/01/95OFFICE PM:DRCH* OGC* A DTfjR jJ G CI:NRR INAME RPulsipher SLewis AThadani AKugler % , BGries_DATE 03/08/95 03/21/95 03/21/95 04/./dy/95 r 04//OFFICEADP:NRRI1INAME RPZimmermanDATE 04/ /95 _
Replacements Under 10 CFR 50.59" 2. Redline version of generic letter 3. Nuclear Energy Institute letter dated January 12, 1995 4. Florida Power & Light Company letter dated January 17, 1995 5. PECO Energy Company letter dated January 20, 195 6. BaLtimore Gas and Electric Company letter dated January 23. 1995 7. Virginia Power letter dated January 24, 1995 S. Staff response to coments 9. Responses to CRGR Charter Questions 10. TR-102348, KGudeline on Licensing Digital Upgradesm cc: J. T. Larkins, ACRS DISTRIBUTION:
GL 95-02April 26, 1995 This generic letter requires no specific action or written response. If youhave any questions about this matter, please contact the technical contactlisted below or the appropriate Office of Nuclear Reactor Regulation projectmanager.Roy P. ZimmermanAssociate Director for ProjectsOffice of Nuclear Reactor RegulationTechnical contact:Lead project manager:Attachment:List of Recently IssuedPaul J. Loeser, NRR(301) 504-2825Robert M. Pulsifer, NRR(301) 504-3016NRC Generic LettersNOTE: JHConran's 4/12/95 e-mail to PJLoeser indicated that ELJordan haddetermined that further formal review of the generic letter by CRGR is notneeded.* SEE FJMiraglia 4/3/95 memo to ELJordan for PREVIOUS CONCURRENCEsDOCUMENT NAME: 95-02.GLTo rsceive a cop of this document. Indilcate hI the box: 'C' -Copy without attachmentlenclosure *E- -Cope with attachmentVenclasure'N' -No copyOFFICE HICB* I SC:HICB* I BC:HICB* I D:DRCH* I TECH ED* INAME PLoeser JMauck JWermiel BBoger MMejacDATE 03/07/95 03/07/95 03/07/95 03/09/95 03/01/95OFFICE PM:DRCH* I OGC* ADT:NRR* I OGCB:NRR I DORS:NRRNAME RPulsipher SLewis AThadani AKugler BGrimesDATE 03/08/95 03/21/95 03/21/95 04/ /95 04/ /95_ _ .=. ..1OFFICEADP:NRRIINAME RPZimmerman IDATE 04/ /95 1 Ed...8 I 1>,A, Uw4IU L. *uua d -£ -Ifrom the Nuclear Energy Institute (NEI) and three from utilities endorsing theNEI comment) concerned the scope of the system to be considered whendetermining whether a different type of accident or malfunction is created asdefined in 10 CFR 50.59. The NEI comment was submitted to the Office of theGeneral Counsel (OGC) for review and legal interpretation. OGC stated thatthe NEI comment was an incorrect interpretation of the requirements of10 CFR 50.59 and that the original statement in the draft generic letter wascorrectly worded. However, OGC provided additional clarifying language, whichwas incorporated in the final generic letter. The fifth comment was fromFlorida Power & Light Company and addressed the Institute of Electrical andElectronic Engineers standards referenced in Report TR-102348. Attachment 2is a redline version of the generic letter showing the final changes made onthe basis of the public comments.Attachments 3-7 contain the comment letters received from NEI, Florida Power &Light Company, PECO Energy Company, Baltimore Gas and Electric Company, andVirginia Power. Attachment 8 contains the staff response to the comments.Attachment 9 contains the responses to the questions in Section IV.B of theCRGR Charter. Attachment 10 is a copy of the original generic report TR-102348, 'Guideline on Licensing Digital Upgrades.'No actions are requested by this proposed generic letter.No further regulatory activity is anticipated.The Office of the General Counsel has reviewed this generic letter, the publiccomments, and the changes as a result of the public comments, and has no legalobjections.The generic letter is sponsored by Bruce A. Boger, Director, Division ofReactor Controls and Human Factors.Attachments:1. Proposed Generic Letter, Use of WUIARC/EPRI Report TR-102348. %Guideline an Licensing DigitaLUpgrades,' in Determining the Acceptability of Performing Analog-to-DigftaL Replacements Under10 CFR 50.59"2. Redline version of generic letter3. Nuclear Energy Institute letter dated January 12, 19954. Florida Power & Light Company letter dated January 17, 19955. PECO Energy Company letter dated January 20, 1956. BaLtimore Gas and Electric Company letter dated January 23. 19957. Virginia Power letter dated January 24, 1995S. Staff response to coments9. Responses to CRGR Charter Questions10. TR-102348, KGudeline on Licensing Digital Upgradesmcc: J. T. Larkins, ACRSDISTRIBUTION:B. K. Grimes, NRR Central Files B. J. Shelton, IRM HICB R/FR. K. Ingram, NRRSEE PREVIOUS CONCURRENCE*DOCUMENT KME: A:NEUCRGR.PKGTo , *a awy o Oh dbamu. Woni h Or bez*n acs -Cwr wfttaA &Uashrnmw/mh nnf e T -C, rcbwo ' No *qMOFFICE N B* IS C I J -C:HICs
B. K. Grimes, NRR Central Files B. J. Shelton, IRM HICB R/F R. K. Ingram, NRR SEE PREVIOUS CONCURRENCE*
* E TECN ED' J PN:DRC*il EKANE PLoeser JJauck J~ermiet Iejac RPulsip erDATE 03/07/95 m0/07/M 103107/95 03/'q / / 03/01/95 03/08OFFICE K ADT:NRR ff ltZ OGC tRADR DI)KANE SLewis r AThadani AKugler I __ ir aDATE 03/s?/95 j 5 [03/08/95 0 95 03 4 /95 03/ V /95UtILIAL KLLUKI GUOY tL..  
DOCUMENT KME: A:NEUCRGR.PKG
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* E TECN ED' J PN:DRC*il E KANE PLoeser JJauck J~ermiet Iejac RPulsip er DATE 03/07/95 m0/07/M 103107/95  
03/'q / / 03/01/95 03/08 OFFICE K ADT:NRR ff ltZ OGC tRADR DI)KANE SLewis r AThadani AKugler I __ ir a DATE 03/s?/95 j 5 [03/08/95  
0 95 03 4 /95 03/ V /95 UtILIAL KLLUKI GUOY t L..}}


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Revision as of 12:57, 31 August 2018

NRC Generic Letter 1995-002: Use of Numarc/Epri Report TR-102348, Guideline on Licensing Digital Upgrades, in Determining the Acceptability of Performing Analog-To-Digital Replacements Under 10CFR 50.59
ML031070081
Person / Time
Site: Beaver Valley, Millstone, Hatch, Monticello, Calvert Cliffs, Dresden, Davis Besse, Peach Bottom, Browns Ferry, Salem, Oconee, Mcguire, Nine Mile Point, Palisades, Palo Verde, Perry, Indian Point, Fermi, Kewaunee, Catawba, Harris, Wolf Creek, Saint Lucie, Point Beach, Oyster Creek, Watts Bar, Hope Creek, Grand Gulf, Cooper, Sequoyah, Byron, Pilgrim, Arkansas Nuclear, Braidwood, Susquehanna, Summer, Prairie Island, Columbia, Seabrook, Brunswick, Surry, Limerick, North Anna, Turkey Point, River Bend, Vermont Yankee, Crystal River, Haddam Neck, Ginna, Diablo Canyon, Callaway, Vogtle, Waterford, Duane Arnold, Farley, Robinson, Clinton, South Texas, San Onofre, Cook, Comanche Peak, Yankee Rowe, Maine Yankee, Quad Cities, Humboldt Bay, La Crosse, Big Rock Point, Rancho Seco, Zion, Midland, Bellefonte, Fort Calhoun, FitzPatrick, McGuire, LaSalle, Fort Saint Vrain, Washington Public Power Supply System, Shoreham, Satsop, Trojan, Atlantic Nuclear Power Plant, Clinch River, Crane  Entergy icon.png
Issue date: 04/26/1995
From: Zimmerman R P
Office of Nuclear Reactor Regulation
To:
References
GL-95-002, NUDOCS 9504140227
Download: ML031070081 (10)


I UNITED STATES NUCLEAR REGULATORY

COMMISSION

OFFICE OF NUCLEAR REACTOR REGULATION

WASHINGTON, D.C. 20555 April 26, 1995 NRC GENERIC LETTER 95-02: USE OF NUMARC/EPRI

REPORT TR-102348, "GUIDELINE

ON LICENSING

DIGITAL UPGRADES," IN DETERMINING

THE ACCEPTABILITY

OF PERFORMING

ANALOG-TO-DIGITAL

REPLACEMENTS

UNDER 10 CFR 50.59

Addressees

All holders of operating licenses or construction permits for nuclear power reactors.

Purpose

The U.S. Nuclear Regulatory Commission (NRC) staff is issuing this generic letter to inform addressees of a new staff position on the use of Nuclear Management and Resources Council/Electrical Power Research Institute (NUMARC/EPRI)

Report TR-102348, "Guideline on Licensing Digital Upgrades," dated December 1993, as acceptable guidance for determining when an analog-to- digital replacement can be performed without prior NRC staff approval under the requirements of Section 50.59 of Title 10 of the Code of Federal Regulations

(10 CFR 50.59). The report applies to all digital equipment that uses software and, in particular, to microprocessor-based systems. The report, together with the clarifications discussed in this generic letter, represents a method acceptable to the staff for use in making a determination of whether or not an unreviewed safety question exists with respect to 10 CFR 50.59 requirements.

It is expected that recipients will consider the information in this generic letter when performing analog-to-digital instrumentation and control systems replacements.

However, suggestions contained in this generic letter are not NRC requirements;

therefore, no specific action or written response is required.

Description of Circumstances

The age-related degradation of some earlier analog electronic systems and the difficulties in obtaining qualified replacement components for those systems, as well as a desire for enhanced features such as automatic self-test and diagnostics, greater flexibility, and increased data availability have prompted some operating reactor licensees to replace existing analog systems with digital systems. After reviewing a number of these digital system replacements and digital equipment failures in both nuclear and non-nuclear applications, the staff has identified potentially safety-significant concerns pertaining to digital systems in nuclear power plants. The concerns of the staff stem from the design characteristics specific to the new digital electronics that could result in failure modes and system malfunctions that either were not considered during the initial plant design or may not have been evaluated in sufficient detail in the safety analysis report. These 9504140227 PDR ADOCK 0SQO00o03 P 9 S o q(2/71 GL 95-02 April 26, 1995 concerns include potential common mode failures due to (1) the use of common software in redundant channels, (2) increased sensitivity to the effects of electromagnetic interference, (3) the improper use and control of equipment used to control and modify software and hardware configurations, (4) the effect that some digital designs have on diverse trip functions, (5) improper system integration, and (6) inappropriate commercial dedication of digital electronics.

As a result of the above concerns, the NRC staff issued a draft generic letter for public comment in the Federal Register (57FR36680)

on August 14, 1992, wherein a position was established that essentially all safety-related digital replacements result in an unreviewed safety question because of the possibility of the creation of a different type of malfunction than those evaluated previously in the safety analysis report. The staff concluded, therefore, that prior approval by the NRC staff of all safety-related digital modifications was necessary.

However, subsequent discussions and comments on the draft generic letter have resulted in the staff position as described in this letter.Discussion To assist licensees in effectively implementing digital replacements by addressing the concerns indicated above and in determining which upgrades can be performed under 10 CFR 50.59 without prior NRC staff approval, Report TR-102348 has been published.

The NRC staff reviewed and provided comments on this report while it was in draft form, and the final report reflects a coordinated effort between industry and the NRC staff. The NRC staff believes that, when properly implemented, modern digital systems offer the potential for greater system reliability and enhanced features such as automatic self-test and diagnostics, as well as greater flexibility, increased data availability, and ease of modification.

Report TR-102348 contains guidance that will assist licensees in implementing and licensing digital upgrades in such a manner as to minimize the potential concerns indicated above. It describes actions to be taken in the design and implementation process to ensure that the digital upgrade licensing and safety issues are addressed, and ways to consider these issues when performing the 10 CFR 50.59 evaluation.

It is not the intent of the report or of the NRC staff to predispose the outcome of the 10 CFR 50.59 process, but rather to provide a process that will assist licensees in reaching a proper conclusion regarding the existence of an unreviewed safety question when undertaking a digital system replacement.

However, as shown in Example 5-6 of the report, when using this document as guidance for the analysis of modifications of some safety-significant systems such as the reactor protection system or an engineered safety feature system, it is likely these digital modifications will require staff review when 10 CFR 50.59 criteria are applied. Report TR-102348 states in the introduction that the guidance is supplemental to and consistent with that provided in NSAC-125, "Guidelines for 10 CFR 50.59 Safety Evaluations." Licensees should bear in mind that NSAC-125 has not been GL 95-02 April 26, 1995 endorsed by the NRC, and therefore any use of those guidelines is advisory only, and that nothing in NSAC-125 can be construed as a modification of 10 CFR 50.59. While the guidelines of NSAC-125 can be useful in the evaluation of systems, and are representative of logic used in making a 10 CFR 50.59 determination, the actual determination of whether or not an unreviewed safety question exists must be done in accordance with 10 CFR 50.59.10 CFR 50.59(a)(2)(i)

and (ii) states that a proposed change, test or experiment involves an unreviewed safety question if the probability or consequences of an accident or malfunction previously evaluated in the safety analysis report may increase, or if the possibility for an accident or malfunction of a different type than any previously evaluated in the safety analysis report may be created. If during the 10 CFR 50.59 determination there is uncertainty about whether the probability or consequences may increase, or whether the possibility of a different type of accident or malfunction may be created, the uncertainty should lead the licensee to conclude that the probability or consequences may increase or a new type of malfunction may be created. If the uncertainty is only on the degree of improvement the digital system will provide, the modification would not involve an unreviewed safety question.

If, however, the uncertainty involves whether or not this modification is more or less safe than the previous analog system, or if no degree of safety has been determined, an unreviewed safety question is involved.The staff believes that two clarifications to Report TR-102348 are appropriate as follows: 1. 10 CFR 50.59 requires determination of whether "a possibility for an accident or malfunction of a different type than any evaluated previously in the safety analysis report may be created." As a part of this determination, Report TR-102348 suggests looking for "any new types of system-level failures that would result in effects not previously considered in the FSAR." (For example, see TR-102348, Section 4.5, Question 6.) It is the NRC staff's position that the system-level considered in this regard should be the digital system being installed.

The staff believes that this clarification is necessary because 10 CFR 50.59 does not refer to an accident or malfunction that results in a "system-level" failure different from any previously analyzed but rather to the malfunction of the equipment important to safety being modified.

It is the change in the facility as described in the safety analysis report that is to be analyzed under 10 CFR 50.59 to determine if it involves an unreviewed safety question, that is, the digital equipment that replaced the analog equipment, rather than the otherwise unchanged system of which that equipment is a part is to be analyzed.This does not mean that all digital equipment usage will automatically result in an unreviewed safety question simply as a result of the use of software.

Software failure, including common-mode failure, must be GL 95-02 April 26, 1995 considered during the 10 CFR 50.59 evaluation as a possible different type of malfunction.

However, if software failure cannot cause an equipment malfunction of a different type than any previously evaluated in the safety analysis report, then no unreviewed safety question exists with respect to this criterion, and in the absence of other disqualifying criteria, the replacement can be performed under 10 CFR 50.59 without prior NRC approval.

For many digital system modifications involving relatively simple systems such as discussed in example 5-5 of NUMARC/EPRI

Report TR-102348, the NRC staff believes that a conclusion may be reached that there is no possibility that a different type of malfunction may be created.As an example, when installing an upgraded digital high pressure function of the reactor trip system, it is the digital instrumentation and control circuitry associated with the high pressure reactor trip function that would be subject to the questions on failure modes and effects (equipment malfunctions)

identified in the report that would be analyzed to determine involvement of an unreviewed safety question, not the entire reactor trip system. If the entire trip system is being replaced with a digital upgrade, then the entire replacement digital instrumentation and control system would be subject to the failure modes and effects analysis, not the full range of instrumentation and control systems being actuated to respond to a transient or accident.2. 10 CFR 50.59 requires maintaining records that "include a written safety evaluation which provides the bases for the determination that the change, test, or experiment does not involve an unreviewed safety question." Section 3.1.2 of the report points out that the use of qualitative engineering judgment is typically involved in areas that are not readily quantifiable, such as likelihood of the failure, its importance to the system and to the plant, and the practicality and incremental improvements of various options available for resolving the failure. Such judgments may be difficult to duplicate and understand at a later time. It is the NRC staff's position that the basis for the engineering judgment and the logic used in the determination should be documented to the extent practicable.

This type of documentation is of particular importance in areas where no established consensus methods are available, such as for software reliability, or the use of commercial-grade hardware and software where full documentation of the design process is not available.

EPRI Report TR-102348, together with the clarifications discussed in this generic letter, can be used as guidance by licensees in both designing analog-to-digital replacements and, with respect to unreviewed safety question determinations, determining if an analog-to-digital replacement can be performed under 10 CFR 50.59 without prior staff approval.

GL 95-02 April 26, 1995 This generic letter requires no specific action or written response.

If you have any questions about this matter, please contact the technical contact listed below or the appropriate Office of Nuclear Reactor Regulation project manager.y .mie ant Associate Direct rojects M;;4d-a nf Mlu-1aa Rartor Reaulatiorn Technical contact: Lead project manager: Attachment:

List of Recently Issued Paul J. Loeser, NRR (301) 504-2825 Robert M. Pulsifer, NRR (301) 504-3016 NRC Generic Letters~ t~l I

Attachment GL 95-02 April 26, 1995 LIST OF RECENTLY ISSUED GENERIC LETTERS Generic Date of T e. e a nt , Teciiad Tn P ..L .Letter bUD.ieCt --------V 89-04, SUPP. 1 95-01 94-04 94-03 94-02 94-01 GUIDANCE ON DEVELOPING

ACCEPTABLE

INSERVICE TESTING PROGRAMS NRC STAFF TECHNICAL

POSI-TION ON FIRE PROTECTION

FOR FUEL CYCLE FACILITIES

VOLUNTARY

REPORTING

OF ADDITIONAL

OCCUPATIONAL

RADIATION

EXPOSURE DATA INTERGRANULAR

STRESS CORROSION

CRACKING OF CORE SHROUDS IN BOILING WATER LONG-TERM

SOLUTIONS

AND UPGRADE OF INTERIM OPERATING

RECOMMENDATIONS

FOR THERMAL-HYDRAULIC

INSTABILITIES

IN BOILING WATER REACTORS REMOVAL OF ACCELERATED

TESTING AND SPECIAL RE-PORTING REQUIREMENTS

FOR EMERGENCY

DIESEL GENERATORS

04/04/95 01/26/95 09/02/94 07/22/94 07/11/94 05/31/95 ALL HOLDERS OF OLs OR CPs FOR NUCLEAR POWER REACTORS.ALL CURRENT LICENSEES& APPLICANTS

FOR URANIUM CONVERSION

& FUEL FABRICATION

FACILITIES.

ALL HOLDERS OF OLs OR CPs FOR NPRs, RADIOGRAPHY

LICENSEES, FUEL PROCES-SING LICENSEES, FABRICA-TING & REPROCESSING

LICENSEES, MANUFACTURERS

& DISTRIBUTORS

OF BY-PRODUCT MAT'L, INDEPEND-DENT SPENT FUEL STORAGE INSTALLATIONS, FACILITIES

FOR LAND DISPOSAL OF LOW-LEVEL WASTE, & GEOLOGIC REPOSITORIES

FOR HIGH-LEVEL WASTE.ALL HOLDERS OF OLs OR CPs FOR BOILING WATER REACTORS EXCEPT FOR BIG ROCK POINT, WHICH DOES NOT HAVE A CORE SHROUD.ALL HOLDERS OF OLs FOR BOILING WATER REACTORS EXCEPT BIG ROCK POINT ALL HOLDERS OF OLs FOR NPRs OL = OPERATING

LICENSE CP = CONSTRUCTION

PERMIT NPR = NUCLEAR POWER REACTORS

a-X GL 95-02 April 26, 1995 This generic letter requires no specific action or written response.

If you have any questions about this matter, please contact the technical contact listed below or the appropriate Office of Nuclear Reactor Regulation project manager.Roy P. Zimmerman Associate Director for Projects Office of Nuclear Reactor Regulation Technical contact: Lead project manager: Attachment:

List of Recently Issu Paul J. Loeser, NRR (301) 504-2825 Robert M. Pulsifer, NRR (301) 504-3016 ed NRC Generic Letters NOTE: JHConran's

4/12/95 e-mail to PJLoeser indicated that ELJordan had determined that further formal review of the generic letter by CRGR is not needed.* SEE FJMiraglia

4/3/95 memo to ELJordan for PREVIOUS CONCURRENCEs

    • SEE PREVIOUS PAGE FOR CONCURRENCES

DOCUMENT NAME: 95-02.GL i To receive a copy of th document, Indicate In the box: wC' -Copy without chmentJncos wEd -Copy wit atachmentlenosure

'N' = No copy OFFICE DNAME DATE TA:DOPS/NRR**

7 AJKugler 04/17/95 r D:DOPS/NRR**

I BGrimes 04/17/95 ADOlRP41Nma GL 95-XX April XX, 1995 This generic letter requires no specific action or written response.

If you have any questions about this mat te, ple0S0 contact the technical contact listed below or the appropriate Office of Nuclear Reactor Regulation project manager.Roy P. Zimmerman Associate Director for Projects Office of Nuclear Reactor Regulation Technical contact: Lead project manager: Attachment:

List of Recently Issued Paul J. Loeser, NRR (301) 504-2825 Robert M. Pulsifer, NRR (301) 504-3016 NRC Generic Letters NOTE: JHConran's

4/12/95 e-mail to PJLoeser indicated that ELJordan had determined that further formal review of the generic letter by CRGR is not needed.* SEE FJMiraglia

4/3/95 memo to ELJordan for PREVIOUS CONCURRENCEs DOCUMENT NAME: S:\DOPS SEC\A2D.GL

To mraviwe a conv of this document.

Indicate In the box: 'C = Copv without attachment/enclosure

'E' = Copy with attachmentlenclosure

'N' e No copy.OFFICE HICB* SC:HICB* l BC:HICB* D: DRCHI TECH ED*NAME PLoeser JMauck JWermiel BBoger MMejac DATE 03/07/95 03/07/95 03/07/95 103/09/95

03/01/95 OFFICE PM:DRCH* OGC* A DTfjR jJ G CI:NRR I NAME RPulsipher SLewis AThadani AKugler % , BGries_DATE 03/08/95 03/21/95 03/21/95 04/./dy/95 r 04//OFFICE ADP:NRR I 1I NAME RPZimmerman DATE 04/ /95 _

GL 95-02 April 26, 1995 This generic letter requires no specific action or written response.

If you have any questions about this matter, please contact the technical contact listed below or the appropriate Office of Nuclear Reactor Regulation project manager.Roy P. Zimmerman Associate Director for Projects Office of Nuclear Reactor Regulation Technical contact: Lead project manager: Attachment:

List of Recently Issued Paul J. Loeser, NRR (301) 504-2825 Robert M. Pulsifer, NRR (301) 504-3016 NRC Generic Letters NOTE: JHConran's

4/12/95 e-mail to PJLoeser indicated that ELJordan had determined that further formal review of the generic letter by CRGR is not needed.* SEE FJMiraglia

4/3/95 memo to ELJordan for PREVIOUS CONCURRENCEs DOCUMENT NAME: 95-02.GL To rsceive a cop of this document.

Indilcate hI the box: 'C' -Copy without attachmentlenclosure

  • E- -Cope with attachmentVenclasure

'N' -No copy OFFICE HICB* I SC:HICB* I BC:HICB* I D:DRCH* I TECH ED* I NAME PLoeser JMauck JWermiel BBoger MMejac DATE 03/07/95 03/07/95 03/07/95 03/09/95 03/01/95 OFFICE PM:DRCH* I OGC* ADT:NRR* I OGCB:NRR I DORS:NRR NAME RPulsipher SLewis AThadani AKugler BGrimes DATE 03/08/95 03/21/95 03/21/95 04/ /95 04/ /95_ _ .=. ..1 OFFICE ADP:NRR I I NAME RPZimmerman I DATE 04/ /95 1 Ed...8 I 1>, A , Uw4IU L. *uua d -£ -I from the Nuclear Energy Institute (NEI) and three from utilities endorsing the NEI comment) concerned the scope of the system to be considered when determining whether a different type of accident or malfunction is created as defined in 10 CFR 50.59. The NEI comment was submitted to the Office of the General Counsel (OGC) for review and legal interpretation.

OGC stated that the NEI comment was an incorrect interpretation of the requirements of 10 CFR 50.59 and that the original statement in the draft generic letter was correctly worded. However, OGC provided additional clarifying language, which was incorporated in the final generic letter. The fifth comment was from Florida Power & Light Company and addressed the Institute of Electrical and Electronic Engineers standards referenced in Report TR-102348.

Attachment

2 is a redline version of the generic letter showing the final changes made on the basis of the public comments.Attachments

3-7 contain the comment letters received from NEI, Florida Power &Light Company, PECO Energy Company, Baltimore Gas and Electric Company, and Virginia Power. Attachment

8 contains the staff response to the comments.Attachment

9 contains the responses to the questions in Section IV.B of the CRGR Charter. Attachment

10 is a copy of the original generic report TR-102348, 'Guideline on Licensing Digital Upgrades.'

No actions are requested by this proposed generic letter.No further regulatory activity is anticipated.

The Office of the General Counsel has reviewed this generic letter, the public comments, and the changes as a result of the public comments, and has no legal objections.

The generic letter is sponsored by Bruce A. Boger, Director, Division of Reactor Controls and Human Factors.Attachments:

1. Proposed Generic Letter, Use of WUIARC/EPRI

Report TR-102348.

%Guideline an Licensing DigitaL Upgrades,'

in Determining the Acceptability of Performing Analog-to-DigftaL

Replacements Under 10 CFR 50.59" 2. Redline version of generic letter 3. Nuclear Energy Institute letter dated January 12, 1995 4. Florida Power & Light Company letter dated January 17, 1995 5. PECO Energy Company letter dated January 20, 195 6. BaLtimore Gas and Electric Company letter dated January 23. 1995 7. Virginia Power letter dated January 24, 1995 S. Staff response to coments 9. Responses to CRGR Charter Questions 10. TR-102348, KGudeline on Licensing Digital Upgradesm cc: J. T. Larkins, ACRS DISTRIBUTION:

B. K. Grimes, NRR Central Files B. J. Shelton, IRM HICB R/F R. K. Ingram, NRR SEE PREVIOUS CONCURRENCE*

DOCUMENT KME: A:NEUCRGR.PKG

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