Regulatory Guide 3.50: Difference between revisions

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{{Adams
{{Adams
| number = ML14043A080
| number = ML003739463
| issue date = 09/30/2014
| issue date = 09/30/1989
| title = Rev. 2, Standard Format and Content for a License Application for an Independent Spent Fuel Storage Installation or a Monitored Retrievable Storage Facility
| title = (Task CE 402-4), Standard Format and Content for a License Application to Store Spent Fuel and High-Level Radioactive Waste
| author name = Parks J
| author name =  
| author affiliation = NRC/RES/DE/RGDB
| author affiliation = NRC/RES
| addressee name =  
| addressee name =  
| addressee affiliation =  
| addressee affiliation =  
| docket =  
| docket =  
| license number =  
| license number =  
| contact person = White B
| contact person =  
| case reference number = DG-3042
| case reference number = -nr
| document report number = RG 3.50, Rev. 2
| document report number = RG-3.50 Rev 1
| package number = ML14042A476
| document type = Regulatory Guide
| document type = Regulatory Guide
| page count = 11
| page count = 20
}}
}}
{{#Wiki_filter:U.S. NUCLEAR REGULATORY COMMISSION  
{{#Wiki_filter:U.S. NUCLEAR REGULATORY  
September 2014OFFICE OF NUCLEAR REGULATORY RESEARCH
COMMISSION  
Revision 2 REGULATORY GUIDE
Revision 1 9.. 0 September  
  Technical Lead B. White Written suggestions regarding this guide or development of new guides may be submitted through the NRC's public Web site under the Regulatory Guides document collection of the NRC Library at http://www.nrc.gov/reading-rm/doc-collections/reg-guides/contactus.html Electronic copies of this regulatory guide, previous versions of this guide, and other recently issued guides are available through the NRC's public Web site under the Regulatory Guides document collection of the NRC Library at http://www.nrc.gov/reading-rm/doc-collections/.  The regulatory guide is also available through the NRC's Agencywide Documents Access and Management System (ADAMS) at http://www.nrc.gov/reading-rm/adams.html, under ADAMS Accession No. ML14043A080.  The regulatory analysis may be found in ADAMS under Accession No. ML12087A039 and the staff responses to the public comments on DG-3042 may be found under ADAMS Accession No.ML14043A068.
1989 REGULATORY
GUIDE "OFFICE OF NUCLEAR REGULATORY  
RESEARCH REGULATORY
GUIDE 3.50 (Task CE 402-4) STANDARD FORMAT AND CONTENT FOR A LICENSE APPLICATION
TO STORE SPENT FUEL AND HIGH-LEVEL
RADIOACTIVE
WASTE USNRC REGULATORY  
GUIDES Regulatory Guides are issued to describe and make available to the pub lic methods acceptable to the NRC staff of implementing specific parts of the Commission's regulations, to delineate techniques used by the staff in evaluating specific problems or postulated accidents, or to pro vide guidance to applicants.


REGULATORY GUIDE 3.50
Regulatory Guides are not substitutes for regulations, and compliance with them is not required.
(Draft was issued as DG-3042, dated December 2013)
STANDARD FORMAT AND CONTENT FOR A SPECIFIC
LICENSE APPLICATION FOR AN INDEPENDENT SPENT FUEL STORAGE INSTALLATION OR MONITORED
RETRIEVABLE STORAGE FACILITY


==A. INTRODUCTION==
Methods and solutions different from those set out in the guides will be acceptable if they provide a basis for the findings requisite to the issuance or continu ance of a permit or license by the Commission.
Purpose  This regulatory guide provides a description of a standard format and content that the U.S. Nuclear Regulatory Commission (NRC) staff considers acceptable for specific license application for Independent Spent Fuel Storage Installations (ISFSIs) and Monitored Retrievable Storage (MRS) facilities.


Applicable Rules and Regulations
This guide was issued after consideration of comments received from the public. Comments and suggestions for improvements in these guides are encouraged at all times, and guides will be revised, as ap propriate, to accommodate comments and to reflect new information or experience.


* Title 10, Part 72, of the Code of Federal Regulations(10 CFR 72), "Licensing Requirements for the Independent Storage of Spent Nuclear Fuel, High-Level Radioactive Waste, and Reactor-Related Greater Than Class C Waste" (Ref. 1), Subpart B, "License Application, Form, and Contents," specifies the information that must be in an appli cation for a license to store spent nuclear fuel, high-level radioactive waste, and power-reactor-related greater than Class C (GTCC) waste in an ISFSI or in a MRS facility.
Written comments may be submitted to the Regulatory Publications Branch, DFIPS, ARM, U.S. Nuclear Regulatory Commission, Washing ton, DO 20555.The guides are issued in the following ten broad divisions:
1. Power Reactors 6. Products 2. Research and Test Reactors


Related Guidance
===7. Transportation ===
3. Fuels and Materials Facilities
8. Occupational Health 4. Environmental and Siting 9. Antitrust and Financial Review 5. Materials and Plant Protection
10. General Copies of issued guides may be purchased from the Government Printing Office at the current GPO price. Information on current GPO prices may be obtained by contacting the Superintendent of Documents, U.S.  Government Printing Office, Post Office Box 37082, Washington, DC 20013-7082, telephone
(202)275-2060
or (202)275-2171.


* Regulatory Guide (RG
Issued guides may also be purchased from the National Technical Infor mation Service on a standing order basis. Details on this service may be obtained by writing NTIS, 6285 Port Royal Road, Springfield, VA 22161.
) 3.62, "Standard Format and Content for the Safety Analysis Report for Onsite Storage of Spent Fuel Storage Casks," (Ref. 2), provides guidance on the preparation of the Safety Analysis Report (SAR) for an ISFSI or MRS facility using dry storage. It also provides information


on technical specifications that is useful for ISFSIs and MRS facilities
TABLE OF CONTENTS Introduction
.....................................
Chapter 1.Chapter Chapter Chapter Chapter Chapter Chapter Chapter Chapter Chapter Chapter Chapter 2.  3.  4.  5.  6.  7.  8.  9.  10.  11.  12.GENERAL AND-FINANCIAL
INFORMATION
....................... 
TECHNICAL
QUALIFICATIONS
................................. 
TECHNICAL
INFORMATION
-- SAFETY ANALYSIS REPORT .......... 
CONFORMITY
TO GENERAL DESIGN CRITERIA .................... 
OPERATING
PROCEDURES
-- ADMINISTRATIVE
AND MANAGEMENT
CONTROLS ..................
........................... 
QUALITY ASSURANCE
PROGRAM ................................ 
OPERATOR TRAINING ........................................ 
INVENTORY
AND RECORDS REQUIREMENTS
....................... 
PHYSICAL PROTECTION
...................................... 
DECOMMISSIONING
PLAN ..........................
.......... 
EMERGENCY
PLAN ........................................... 
ENVIRONMENTAL
REPORT .....................................
Chapter 13. PROPOSED LICENSE CONDITIONS
.............................. 
Value/Impact Statement
...............................
.... ..........
Page 3.50-v 3.50-1 3.50-2 3.50-3 3.50-4 3.50-5 3.50-6 3.50-7 3.50-8 3.50-9 3.50-10 3,.50-11 3.50-12 3. 50-13 3.50-14 iii INTRODUCTION
Subpart B, "License Application, Form, and Contents," of 10 CFR Part 72, "Licensing Requirements for the Independent Storage of Spent Nuclear Fuel and High-Level Radioactive Waste," specifies the information to be covered in an application for a license to store spent fuel in an independent spent fuel storage installation (ISFSI) or to store spent fuel and high-level radioactive waste in a monitored retrievable storage facility (MRS). However, Part 72 does not specify the format to be followed in the license application.


* NUREG-1757, Volume 3, Revision 1, "Consolidated Decommissioning Guidance - Financial Assurance, Record Keeping and Timeliness," (Ref. 3), contains guidance on financial assurance for ISFSIs licensed under 10 CFR Part 72.
This regulatory guide suggests a format acceptable to the NRC staff for submitting the information specified in Part 72 for a license application to store spent fuel in an ISFSI or to store spent fuel and high-level radioactive waste in an MRS.  The need for this revision of Regulatory Guide 3.50 arose from changes made to 10 CFR Part 72. The final rule was published on August 19, 1988 (53 FR 21651) and became effective September
19, 1988. Part 72 provides for a single-step licensing procedure.


Regulatory Guide 3.50, Revision 2, Page 2
The smooth func tioning of this one-step licensing procedure requires that the license applica tion be essentially complete when it is initially submitted.
* RG 5.55, "Standard Format and Content of Safeguards Contingency Plans for Fuel Cycle Facilities," (Ref. 4), although it does not specifically address ISFSIs or MRS facilities, contains information that


could be useful in developing safeguards contingency plans for these facilities.
Thus, the final design details of those ISFSI or MRS components, systems, and structures that are important to safety should be made available for review and evaluation with submittal of the license application.


* RG 3.67, "Standard Format and Content for Emergency Plans for Fuel Cycle and Materials Facilities," (Ref. 5), provides format and technical content information for emergency plans which are required by 10 CFR 72.32.
Part 72 also requires that a site evalu ation be provided to ensure that the natural characteristics of the site and its environs are sufficiently known and have been factored into the engineering design of the installation.


* RG 5.44, "Perimeter Intrusion Alarm Systems." (Ref. 6), although it does not specifically address ISFSIs or MRS facilities, contains information that could be useful in developing physical security plans for these facilities.
The document in which this information is presented is a safety analysis report (SAR). Although an applicant may plan to contract with another organization for the design, construction, and possibly the operation of the proposed ISFSI or MRS, a licensee under Part 72 cannot delegate to a contractor the responsibility for meeting applicable regulatory requirements.


* NUREG-1748, "Environmental Review Guidance fo r Licensing Actions Associated with NMSS Programs," (Ref. 7), provides format and technical content information for environmental reports which are required by 10 CFR 72.34.
This means that the applicant must make a commitment that, as the licensee, it will have an adequate staff to ensure that regulatory requirements are met at each stage of the proposed project. If the applicant plans to contract with another organization for the operation of the proposed ISFSI or MRS, the contractual arrangements must be described in the license application.


Purpose of Regulatory Guides The NRC issues regulatory guides to describe to the public methods that the staff considers acceptable for use in implementing specific parts of the agency's regulations, to explain techniques that the staff uses in evaluating specific problems or postulated accidents, and to provide guidance to applicants.  Regulatory guides are not substitutes for regulations and compliance with them is not required.  Methods and solutions that differ from those set forth in regulatory guides will be deemed acceptable if they provide a basis fo r the findings required for the issuance or continuance of a permit or license by the Commission.
Any subsequent changes in such contrac tual arrangements may require an amendment to the application.


Paperwork Reduction Act This regulatory guide contains information collection requirements covered by 10 CFR Part 72 that the Office of Management and Budget (OMB) approved under OMB control number 3150-0132.  The NRC may neither conduct nor sponsor, and a person is not required to respond to, an information collection request or requirement unless the requesting document displays a currently valid OMB control number.
This regulatory guide represents a standard format that is acceptable to the NRC staff for the license application.


==B. DISCUSSION==
Conformance with this guide, how ever, is not mandatory.
Reason for Revision This revision to RG 3.50 (Revision 2) was issued to conform to the format and content requirements in 10 CFR Part 72, which has been revised several times since Revision 1 was issued, and to update guidance on electronic submissions of applications.  In addition, Revision 2 includes editorial changes to improve clarity.


Background RG 3.50 was originally issued in January 1982 to provide an acceptable format for the content of license applications for spent fuel facilities. Revision 1 of this guide was published in September1989 to include MRS's and updates to 10 CFR 72.  Revision 1 of RG 3.50 became outdated because it discussed how to submit forms on microfilm and the agency has now moved most of its document submission to electronic form.  Most of the guidance that was referenced in Revision 1 has been withdrawn, such as Regulatory Guide 3.44 "Standard Format and Content for the Safety Analysis Report for an Independent Regulatory Guide 3.50, Revision 2, Page 3 Spent Fuel Storage Installation (Water-Basin Type)," and American Nuclear Society Institute (ANSI) Standard N299-1976 "Administrative and Managerial Control for the Operation of Nuclear Fuel Reprocessing Plants."  The information from these referenced documents has been captured in RG 3.62 "Standard Format and Content for the Safety Analysis Report for onsite Storage of Spent Fuel Storage Casks" and the current version of 10 CFR Part 72, "Licensing Requirements for the Independent Storage
License applications with different formats will be acceptable to the NRC staff if they provide an adequate basis for the findings required for the issuance of a license. However, because it may be more difficult to locate needed information, the staff review time may be longer, and there is a greater likelihood that the staff may regard the license appli cation as incomplete.


of Spent Nuclear Fuel, High-Level Radioactive Waste, and Reactor-Related Greater Than Class C Waste." 
3.50-v As experience is gained in the licensing of spent fuel and high-level radioactive waste storage, the Commission's requirements for information needed in its review of applications for licenses to store radioactive material in an ISFSI or MRS may change. Revisions of the Commission's needs for information in connection with such licensing actions will be conveyed to the industry and the public by (1) amendments to NRC regulations, (2) revisions to this regula tory guide, (3) issuance of new or revised regulatory guides, and (4) direct communications, as needed, with the applicant by the NRC staffProspective applicants are encouraged to meet with representatives of the Fuel Cycle Safety Branch, Division of Industrial and Medical Nuclear Safety, Office of Nuclear Material Safety and Safeguards, during the development of a license application to resolve any problems that may arise. An early resolution of potential problems is beneficial to all concerned with the licensing process.
  Harmonization with International Standards The International Atomic Energy Agency (IAEA) has established a series of safety guides and standards constituting a high level of safety for protecting people and the environment.  IAEA safety guides present international good practices and increasingly reflects best practices to help users striving to achieve high levels of safety.  Pertinent to this regulatory guide, the IAEA safety series does not contain a similar document.  The only format and content guidance that IAEA has issued is found in GS-G-4.1, "Format and Content of the Safety Analysis Report for Nuclear Power Plants" (Ref. 8).  This document specifically describes format and content for SARs for nuclear plants, but does not cover spent fuel storage facilitiesIAEA Safety Guide SSG-12, "L
icensing Process for Nuclear Installations" (Ref. 9) contains a brief section that lists required contents of a license, but it is not specific to spent fuel storage facilities and it does not provide any detail or format.  Lastly, IAEA Safety Guide SSG -15, "Storage of Spent Nuclear Fuel" (Ref. 10) addresses the design, operation and safety assessment of spent fuel storage facilities as well as the application of safety objectives, principles and criteria to the storage of spent nuclear fuel, but does not provide guidance on the format and content of applications.


C.  STANDARD FORM
Any information collection activities mentioned in this regulatory guide are contained as requirements in 10 CFR Part 72, which provides the regulatory basis for this guide. The information collection requirements in 10 CFR Part 72 have been cleared under OMB Clearance No. 3150-0132.
AT AND CONTENT
This regulatory guide provides a format that the NRC considers acceptable for submitting the information for 10 CFR Part 72 license applications to store spent nuclear fuel, high-level radioactive waste, and reactor-related Greater than Class C (GTCC) waste pursuant to a  specific license.  Conformance with this guide is not mandatory and the NRC staff will consider a license application with different formats acceptable if it provides an adequate basis for the findings required for the issuance of a license. The staff recommends using the format suggested in this regulatory guide because doing so will allow for a more efficient review by the staff and a potential reduction in the extent or the number of requests for additional information.


1. Contents of the License Application The license application is the document that should address each of the requirements of 10 CFR Part 72 and should be comple ted upon submittal.  The application is required to contain general information about the applicant, pursuant to 10 CFR 72.22.  The license application should also include the following documents: 
Contents of the License Application The license application is the basic document that must address each of the requirements of Part 72 and must be complete in itself. The following should be submitted as separate documents as enclosures to the license application.
* SAR (see §72.24 and RG 3.62); 
* Quality assurance (QA) program (see 10 CFR 72.24(n) and 10 CFR Part 72.140 (d)); 
* Physical security plan (including guard training) (see 10 CFR 72.24(o), and 10 CFR 72.180);
* Safeguards contingency plan (see 10 CFR 72.184) ;
* Proposed technical specifications (see 10 CFR 72.26 and RG 3.62);
* Applicant's technical qualifications (see 10 CFR 72.28);
* Personnel training program (see 10 CFR 72.28(b)); 
Regulatory Guide 3.50, Revision 2, Page 4
* Decommissioning plan and decommissioning funding plan (see 10 CFR 72.30 (a) and 10 CFR
72.54(g),;
* Emergency plan (see 10 CFR 72.32),;
* Environmental report (see 10 CFR 72.34); and 
* Proposed license conditions (see 10 CFR 72.44),.
2. Format and Style The applicant should strive for a clear, concise presentation of the information provided in the license application.  Confusing or ambiguous statements and unnecessarily verbose descriptions do not contribute to expeditious technical review.  Claims about the adequacy of designs or design methods should be supported by technical bases (i.e., an appropriate engineering evaluation or description of actual tests).  Terms should be used as defined in 10 CFR Part 72, specifically or including  10 CFR 72.3. If a particular regulatory requirement does not apply to the proposed storage facility, the applicant should use the term "Not Applicable" instead of omitting the corresponding section.  In addition, applicants should justify their decision not to address a particular requirement when its applicability is questionable.  Appendices to each document in an application should include any appropriate detailed information that was omitted from the main text.  The first appendix to a given document in an application should provide a list of documents that are referenced in the text of that application, including page numbers, if appropriate.  If a license application references a proprietary document, it should also reference the nonproprietary summary description of that document.  Applicants may also use appendices to provide supplemental information such as calculational methods or design approaches used by the applicant. When a license application cites numerical parameters or values, the number of significant figures should reflect the accuracy or precision to which the number is known.  When possible, the applicant should specify estimated limits of error or uncertainty.  Applicants should not drop or round off significant figures if this action would affect subsequent conclusions. Applicants should use acronyms, abbreviations, symbols, and special terms consistently throughout a license application and in a manner that is consistent with generally accepted usage.  Each document in an application should define any acronyms, abbreviations, symbols, or special terms used in the given section that are unique to the proposed storage system or not common in general usage.  Applicants should use drawings, diagrams, sketches, and charts when these media would more accurately or conveniently convey the information.  However, applicants should ensure that drawings, diagrams, sketches, and charts present information in a legible and consistent form and define relevant symbols.  In addition, applicants should not reduce drawings, diagrams, sketches, and charts to the extent that readers need visual aids to interpret pertinent information. Applicants should number pages sequentially within each document, section, and appendix.  For example, the fourth page of Section six would be numbered 6-4. A title page should identify key individuals responsible for the preparation of the license application and should include the oath or affirmation as required by 10 CFR 72.16(b).  A table of contents should also be included.


Regulatory Guide 3.50, Revision 2, Page 5 Applications that do not contain the information described in the regulations may be rejected for review by the NRC.
The contents of each should be briefly summarized in the license application.


3. Submissions and Revisions Procedures for Submissions Applications may be submitted either electronically, by mail, or by hand delivery to NRC headquarters. For details on communications with the NRC, including submitting applications, see 10 CFR 72.4. Detailed guidance on submitting electronic applications and supplements can be found on the NRC's Web site at http://www.nrc.gov/site-help/e-submittals.html; by e-mail to MSHD.Resource@nrc.gov
1. Safety Analysis Report 2. Decommissioning Plan 3. Emergency Plan 4. Environmental Report 5. Quality Assurance Program 6. Physical Security Plan (including guard training)
; or by writing to the Office of Information Services, U.S. Nuclear Regulatory Commission, Washington, DC 20555-0001.
7. Safeguards Contingency Plan 8. Personnel Training Program 9. Proposed License Conditions, including Technical Specifications
10. Design for Physical Security Format and Style The applicant should strive for clear, concise presentation of the information provided in the application.


The guidance on electronic submissions discusses, among other topics, the formats that the NRC can accept, the use of electronic signatures, and the treatment of nonpublic information.  If electronic submissions are utilized, applicants are encouraged to also send an electronic copy to the pertinent NRC
Abbreviations should be consistent throughout the license application and its enclosures.
project manager.


Procedures for Updating or Revising Pages For applicants making electronic submissions, a consolidated document is preferable to submission of individually edited pages and will enable reviewers to have the latest information with minimal effort to print and replace pages. For paper submissions, applicants should update data and text by replacing entire pages whenever a change is made to that pageApplicants should also highlight the updated or revised portion of each page using a "change indicator" consisting of a bold vertical line drawn in the margin opposite the binding margin.
Any abbreviations, symbols, or special terms unique to the proposed activity or not in general use should be defined when they first appearA title page identifying key individuals responsible for the preparation of the license application and the oath or affirmation as required by paragraph
72.16(b) should be included.


All pages submitted to update, revise, or add pages to an application should show the date of the revision and the corresponding change or amendment number.  A transmittal letter, including a guide page listing the pages to be inserted and removed, should accompany the revised pages. When applicable, supplemental pages may follow the revised page, with the pages still being numbered sequentially. Applicants should distinguish between changes made under the change authority in 10 CFR 72.48 (c)(1) and amendment to the license or Certificate of Compliance as required by 72.48 (c)(2). All statements on a revised page should be accurate as of the date of each submittal. Applicants should take special care to ensure that they revise the documents submitted as part of the application to reflect any changes to the design, contents, analysis, and tests reported in supplemental information (e.g., responses to NRC staff requests for information or responses to regulatory positions). Referenced Materials Under 10 CFR 72.18, applicants may avoid repetition by incorporating by reference material previously filed with the NRC.  However, applicants should use caution in making such references and should ensure that they are pertinent to the subject discussed, contain current information, and are readily obtainable or extractable from the referenced documents. It may be more efficient in some cases to
A table of contents should also be included.3. 50-vi Physical Specifications
1. Paper size: 8A x 11 inches 2. Paper stock and ink. Suitable quality in substance, paper color, and ink density for handling and reproduction by microfilming or image-copying equipment.


repeat, or summarize, information furnished in the previously submitted document.
3. Paper margins. A margin of no less than 1 inch should be maintained on the top, bottom, and binding side of all pages.  4. Printing a. Composition:
Text should be single or 11/2 spaced.  b. Type face and style: Suitable for microfilming or image-copying equipment.


Regulatory Guide 3.50, Revision 2, Page 6 Protection of Proprietary Information The applicant should identify and submit under separate cover any information that it considers proprietary.  The requirements in 10 CFR 2.390(b) (Ref. 11) should be followed for such information.  For safeguards information, applicants should also adhere to requirements in 10 CFR 73.21, 10 CFR 73.22, and 10 CFR 73.23 as applicable.
c. Reproduction:
Either mechanical or photographic.


4. Further Information General and Financial Information Information on the contents of applications is found in 10 CFR 72.22. Applicants, except for DOE, must provide sufficient information to demonstrate to the Commission that they can satisfy the financial qualifications of activities associated with an ISFSI or MRS facilityThis includes but is not limited to: estimated construction costs, estimated operating costs over the planned life of the facility, and estimated decommissioning costs.
Text should be printed on both sides of the paper with the image printed head to head.  5. Binding. Pages should be punched for a standard 3-hole loose-leaf binder6. Chapter and page numbering.


Safety Analysis Report Each application for a license should include a SAR as described in 10 CFR 72.24. The information should describe the proposed ISFSI or MRS facility for the receipt, handling, packaging, and storage of spent fuel, high-level radioactive waste and/or reactor related GTCC waste.  Regulatory Guide 3.62, (Ref. 2), "Standard Format and Content for a Safety Analysis Report for Dry Storage of Spent Fuel at an Independent Spent Fuel Storage Installation or Monitored Retrievable Storage Facility," provides additional guidance on the preparation of the SARs for ISFSIs and MRS facilities using dry storage.
Each requirement of the regulation addressed should be shown as a separate chapter with the same number as the chapter given in this guide, e.g., Chapter 7, "Operator Training." Pages should be numbered sequentially in each chapter, e.g., 7-1, 7-2, etc. Do not number the entire document sequentially.


Quality Assurance Program The application should contain either the QA program required by 10 CFR Part 72, Subpart G, "Quality Assurance" (as an enclosure), or should reference a currently NRC-approved QA program.  The SAR should briefly describe the QA program.  A QA program that has been approved by the NRC as meeting Appendix B, "Quality Assurance Criteria for Nuclear Power Plants and Fuel Reprocessing Plants," to 10 CFR Part 50, "Domestic Licensing of Production and Utilization Facilities" (Ref. 12), may be applied to the ISFSI.  Note that 10 CFR 72.140(d) states, "A quality assurance program previously approved by the Commission as satisfying the requirements of Appendix B of Part 50 of this chapter, Subpart H to part 71 of this chapter, or Subpart G to this part will be accepted as satisfying the requirements of paragraph (b) of this section, except that a licensee, applicant for a license, certificate holder, and applicant for a CoC who is using an Appendix B or Subpart H quality assurance program shall also meet the record keeping requirement of 72.174.  In filing the description of the quality assurance program required by paragraph (c) of this section, each licensee, applicant for license, certificate holder, and applicant for a COC shall notify the NRC, in accordance with section 72.4, of its intent to apply its previously-approved quality assurance program to ISFSI activities or spent fuel storage casks activities. The notification shall identify the previously-approved quality assurance program by date of submittal to the Commission, docket number, and date of Commission approval."
Procedures for Updating or Revising Pages All pages submitted to update, revise, or add to the license application should show the date of change and a change or amendment number. The changed or revised portion of each page should be highlighted by a "change indicator" mark consisting of a bold vertical line drawn in the margin opposite the binding sideReferenced Materials Caution should be used in references to information previously filed with the NRC. Such references must be pertinent to the subject discussed, must con tain current information, and must be readily obtainable or extractable from the referenced documents.
Physical Protection Plan As discussed in 10 CFR 72.24(o), as part of the licensing process, the applicant must submit  a physical protection program that satisfies the requirements in 10 CFR Part 72, Subpart H, "Physical Protection."  Because the details of the provisions for physical protection are withheld from public disclosure, the applicant may submit this document(s) separately from the rest of the applicationThe Regulatory Guide 3.50, Revision 2, Page 7 license application should contain a reference to the submission for the physical security program and the date of NRC approval if the NRC had approved the program before submittal of the application. The physical protection plan should describe the design criteria for the physical protection of the proposed ISFSI or MRS facility, the design bases, and how the design bases relate to the design criteria, and should ensure that the physical protection plan meets the requirements in 10 CFR 73.51,  
"Requirements for the physical protection of stored spent nuclear fuel and high-level radioactive waste" (Ref. 13). 
Safeguards Contingency Plan A safeguard contingency plan is a documented plan to give guidance to licensee personnel in order to accomplish specific defined objectives in the ev ent of threats, theft, or radiological sabotage relating to special nuclear materials or nuclear facilities.  As required by 10 CFR 72.184, the licensee shall prepare and maintain a safeguards contingency plan in accordance with Appendix C to 10 CFR Part 73 "Nuclear Power Plant Safeguards Contingency Plans."  Although RG 5.55, "Standard Format and Content of Safeguards Contingency Plans for Fuel Cycle Facilities" (Ref. 4) relates to a fuel cycle plant, it provides information that might be useful for creating safeguards contingency plans for ISFSIs and MRS facilities.


Proposed Technical Specifications The regulations in 10 CFR 72.26 "Contents of application: Technical specifications," require applications to include proposed technical specifications in accordance with requirements of 10 CFR 72.44 "License conditions," in addition to a summary st atement of the bases of and justifications for these technical specifications.  For more information on technical specifications, please review RG 3.62.
It may be more efficient in some cases to repeat, or at least summarize, information furnished in the previously submitted document.3.50-vii
1. GENERAL AND FINANCIAL
INFORMATION
The license application should address the requirements of § 72.22, "Con tents of Application:  
General and Financial Information," of 10 CFR Part 72 regarding details on the identity of an applicant.


Technical Qualifications Title 10 CFR 72.40(a)(4) requires a finding by the NRC that the applicant is qualified through training and experience to operate an ISFSI or MRS facility.  Information that the application must include for this purpose can be found in 10 CFR 72.28, "Contents of application:  Applicant's technical qualifications."  The licensee is responsible for implementing the proposed project as described in the license application.  This means that, even though a contractor may perform much of the actual work involved during the site selection, design, procurement, construction, and even the operating phases of the project, the licensee must have staff that is know ledgeable in all aspects of the project.   The application should include the applicant's experience to show that it has the technical qualifications to construct and ope rate (or oversee the construction and operation of) the ISFSI or MRS facility. Note that if previous sections have discussed the operating organization and delegations and/or adequately described the minimum skills and experience, the information need not be repeated but may be referenced as appropriate. Personnel Training Program Applicants should describe a training program in their application as discussed in 10 CFR 72.28(b).  Requirements for the personnel training program are in 10 CFR Part 72, Subpart I "Training and Certification of Personnel."
If the applicant is other than the owner and planned operator of the proposed independent spent fuel storage installation (ISFSI) or monitored retrievable storage facility (MRS), details of the working and contractual arrangements between all parties involved should be set forth. Any information on such matters considered as proprietary information by the applicant should be identified and submitted under separate cover. The procedures in paragraph
2.790(b) of 10 CFR Part 2 should be followed for such information.


Regulatory Guide 3.50, Revision 2, Page 8 Decommissioning Plan and Decommissioning Funding Plan The proposed final decommissioning plan should include all the criteria discussed in 10 CFR 72.54(g).  Updated and detailed plans must be submitted and approved by the Commission prior to the start of any decommissioning activity.  Each application should include a decommissioning plan and decommissioning funding plan that contains sufficient information on proposed practices and procedures for decontamination and decommissioning and associated funding in accordance with the requirements of
If the proposed ISFSI or MRS is to be built on the site of another licensed activity or facility such as a nuclear power plant, details of the working ar rangements and responsibilities of the licensees involved should be statedSimilarly, if unlicensed activities are carried out at the proposed site, any potential interactions between the proposed ISFSI or MRS and these other site activities should be explained.
10 CFR 72.30, "Financial assurance and recordkeeping for decommissioning." NUREG-1757, Volume 3, Revision 1, "Consolidated Decommissioning Guidance -- Financial Assurance, Recordkeeping and Timeliness, contains additional guidance on financial assurance for ISFSI's licensed under 10 CFR Part 72.  Emergency Plan The applicant should submit a plan for coping with emergencies as discussed in 10 CFR 72.32.


If the ISFSI is located on the site of a facility licensed under 10 CFR Part 50, the emergency plan required by 10 CFR 50.47, "Emergency plans," satisfies the requirements in 10 CFR 72.32, "Emergency Plan."  Additionally for ISFSIs or MRS facilities that are not located on the site of a nuclear power plant, the guidance in Regulatory Guide 1.101, "Emergency Response Planning and Preparedness for Nuclear Power Reactors" (Ref. 5), provides useful information for applicants when developing the Emergency Plan for a site-specific ISFSI. Environmental Report The regulations at 10 CFR 72.34, "Environmental report," require applicants to submit as part of the license application, an environmental report that satisfies the requirements in 10 CFR Part 51, "Environmental Protection Regulations for Domestic Licensing and Related Regulatory Functions" (Ref. 14), Subpart A, "National Environmental Policy Act-Regulations Implementing Section 102(2)."  Chapter 6 of NUREG-1748, "Environmental Review Guidance for Licensing Actions Associated with NMSS Programs," (Ref. 6) issued August 2003, provides format and technical content information for the environmental report that is required by 10 CFR 72.34.
Paragraph
72.22(e) specifically addresses the required financial informa tion that must be submitted with the application.


Proposed License Conditions According to 10 CFR 72.44, license conditions are required to be included with the licenseApplicants may propose license conditions to address design, construction and operation of the facilities.
If the applicant is a corpor ation organized for the specific purpose of owning and operating the proposed ISFSI, details of its organizational structure, including the responsibilities of its members to meet the financial requirements of the proposed ISFSI through out its proposed operating life and ultimate decommissioning, must be statedThis requirement is applicable even if the proposed ISFSI is to be owned and operated by a consortium of utilities.


Regulatory Guide 3.50, Revision 2, Page 9
3.50-1


==D. IMPLEMENTATION==
===2. TECHNICAL ===
The purpose of this section is to provide information on how applicants and licensees
QUALIFICATIONS
1 may use this regulatory guide and information regarding the NRC staff's plans for using this guide. In addition, it describes how the NRC staff has complied with the backfitting provisions in 10 CFR 72.62 and issue finality provisions of 10 CFR Part 52.
Paragraph
72.40(a)(4)
requires a finding by the NRC that the applicant is qualified by training and experience to operate an ISFSI or MRS. Section 72.28, "Contents of Application:
Applicant's Technical Qualifications," sets forth information that must be included in the application for this purpose.


The staff recommends that applicants use the format suggested in this regulatory guide because doing so will allow for a more efficient review by the staff and potentially reduce the extent or the number of staff requests for additional information.  Conformance with this guide is not mandatory and the NRC staff will consider license applications with different formats acceptable if they provide an adequate basis for the findings required for the issuance of a license.
Although spent fuel storage in an ISFSI or spent fuel and high-level radioactive waste storage in an MRS is generally considered a relatively low risk operation compared to some other types of nuclear activities, the design, construction, and operation of an ISFSI or MRS require certain skills and an understanding of the requirements involved to ensure that the objective of a relatively low-risk operatiQn is achieved in practice.


This regulatory guide applies only to applicants who are not within the scope of entities protected by § 72.62.  In addition, the subject matter of this regulatory guide does not c oncern matters dealing with either of the structures, systems and components of an ISFSI or MRS, or the procedures or organization for operating an ISFSI or MRS.  Therefore, the matters addressed in this regulatory guide are not within the scope of the backfitting provisions in § 72.62(a)(1) or (2).  
The license application should contain a commitment that the applicant will staff the project with an adequate cadre of personnel possessing the required skills throughout all phases of the project.


This regulatory guide does not apply to entities protected by issue finality provisions in 10 CFR Part 52 with respect to the matters addressed in this regulatory guide.  Although Part 52 combined license applicants and holders may apply for specific ISFSI licenses, the guidance in this regulatory guide is directed to ISFSI applicants and does not make a distinction between ISFSI applicants who are also combined license applicants or holders and ISFSI applicants who are not combined license applicants and holders, and presents no more onerous guidance for ISFSI applicants who are also combined license applicants or holders versus ISFSI applicants who are not combined license applicants and holders. Accordingly, the NRC concludes that the staff's use of this regulatory guide is not inconsistent with any Part 52 issue finality provision
The licensee is responsible for the execution of the proposed project as described in the license application.


====s.      ====
This means that, even though much of the actual work involved during the site selection, design, procurement, construc tion, and even the operating phases of the project may be performed by a con tractor, the licensee must have a staff that is knowledgeable in all aspects of the project. If such a staff does not actually exist, the applicant should describe the staffing plans in sufficient detail to support the finding required by paragraph
1 In this section, "licensees" refers to holders of, and the term "applications for, the following: (1) special nuclear material licenses under 10 CFR Part 70; (2) Licenses for independent spent fuel storage installations or monitored retrievable storage installations or certificates of compliance for spent fuel storage cask designs under 10 CFR Part 72; and (3) certificates of compliance or approvals or a compliance plan for gaseous diffusion plants under 10 CFR Part 76.
72.40(a)(4).
3.50-2


Regulatory Guide 3.50, Revision 2, Page 10
===3. TECHNICAL ===
REFERENCES
INFORMATION
1  1. U.S. Code of Federal Regulations (CFR), Title 10, "Energy," Part 72, "Licensing Requirements for the Independent Storage of Spent Nuclear Fuel, High-Level Radioactive Waste, and Reactor-Related Greater Than Class C Waste," U.S. Nuclear Regulatory Commission, Washington, DC.
-- SAFETY ANALYSIS REPORT As required by § 72.24, "Contents of Application:
Technical Information," the technical information is presented in the safety analysis report (SAR), which should be submitted as an enclosure to the license application.


2. Regulatory Guide (RG) 3.62, "Standard Format and Content for the Safety Analysis Report for Onsite Storage of Spent Fuel Storage Casks," U.S. Nuclear Regulatory Commission, Washington, DC.  3. NUREG-1757, Volume 3, Revision 1"Consolidated Decommissioning Guidance -- Financial Assurance, Recordkeeping, and Timeliness," issued February 2012, U.S. Nuclear Regulatory Commission, Washington, DC.
A summary statement identifying the type of installation proposed (e.g., a water-basin ISFSI, a storage-cask MRS), its design capacity, any unique features incorpor ated in its design, and its mode of operation is adequate for the license ap plication document.


4. RG 5.55, "Standard Format and Content of Safeguards Contingency Plans for Fuel Cycle Facilities," U.S. Nuclear Regulatory Commission, Washington, DC
The SAR required for an ISFSI or MRS differs from the SARs for some other nuclear facilities in that the initial SAR is expected to be complete and com parable in scope and detail to the final SAR for facilities licensed under 10 CFR Part 50. Section 72.24 identifies the minimum information that is required to be included in the SAR. Although § 72.70 provides for the subsequent updat ing of the SAR, such changes during the design and construction phases of the project are expected to be of minor importance.
5. RG 3.67, "Standard Format and Content for Emergency Plans for Fuel Cycle and Materials Facilities," U.S. Nuclear Regulatory Commission, Washington, DC.


6. RG 5.54, "Perimeter Intrusion Alarm Systems," U.S. Nuclear Regulatory Commission, Washington, DC.
Any of these changes deemed significant by the NRC staff may cause delay in the granting of the final clear ance to receive spent fuel or high-level radioactive waste. Guidance on the preparation of the SAR for an ISFSI of the water-basin type is contained in Regulatory Guide 3.44, "Standard Format and Content for the Safety Analysis Report for an Independent Spent Fuel Storage Installation (Water-Basin Type)." For the dry storage ISFSI that is not colocated at another nuclear facility site or for a dry storage MRS, guidance on the preparation of the SAR is being developed in the proposed Revision 1 to Regulatory Guide 3.48, "Standard Format and Content for the Safety Analysis Report for an Independent Spent Fuel Storage Installation or Monitored Retrievable Storage Installation (Dry Storage)." Guidance for preparing the SAR for the use of dry storage casks at the site of another nuclear facility is contained in Regulatory Guide 3.62, "Standard Format and Content for the Safety Analysis Report for Onsite Storage of Spent Fuel Storage Casks." 3.50-3


7. NUREG-1748, "Environmental Review Guidance fo r Licensing Actions Associated with NMSS Programs," issued August 2003, U.S. Nuclear Regulatory Commission, Washington, DC.
===4. CONFORMITY ===
TO GENERAL DESIGN CRITERIA Subpart F of 10 CFR Part 72 contains the general design criteria for an ISFSI or MRS. The subject of conformity to the general design criteria is dis cussed in detail in the SAR. It is sufficient that the license application con tain a summary discussion of each criterion and reference where more detailed information on a specific subject can be found in the SAR.3.50-4


8. International Atomic Energy Agency (IAEA) Safety Guide GS-G-4.1, "Format and Content of the Safety Analysis Report for Nuclear Power Plants," Vienna, Austria, issued April 2004.
===5. OPERATING ===
PROCEDURES
-- ADMINISTRATIVE
AND MANAGEMENT
CONTROLS Paragraph
72.40(a)(5), "Issuance of License," requires a finding by the staff that the applicant's proposed operating procedures to protect health and to minimize danger to life or property are adequate.


2  9. IAEA Safety Guide SSG-12, "Licensing Process for Nuclear Installations," Vienna, Austria, issued November 2010.
Essential to these oper ating procedures are the applicant's proposed administrative and management controls.


10. IAEA Safety Guide SSG-15, "Storage of Spent Nuclear Fuel," Vienna, Austria, issued March 2012.
Guidance on this subject is available in ANSI N299-1976, "Adminis trative and Managerial Control for the Operation of Nuclear Fuel Reprocessing Plants."*
Although ANSI N299-1976 is designed for the much more complex oper ating requirements of a fuel reprocessing plant, the basic principles set forth for administrative and managerial controls are considered applicable to the operation of an ISFSI or MRS.  If the proposed ISFSI or MRS is to be operated by the owner, a relatively brief explanation of how ANSI N299-1976 will be followed may be adequate.


11. CFR, Title 10, "Energy," Part 2, "Rules of Practice for Domestic Licensing Proceedings and Issuance of Orders.
How ever, if the proposed ISFSI or MRS is to be operated by a contractor, consider able detail may be required on the working arrangements between the parties involved.


12. CFR, Title10, "Energy," Part 50, "Domestic Li censing of Production and Utilization Facilities."
Particular attention should be placed on the description of the administration of the Independent Review and Audit Program that is identified in ANSI N299-1976.


1  Publicly available NRC published documents are available electronically through the NRC Library on the NRC's public Web site at http://www.nrc.gov/reading-rm/doc-collections/ and the NRC's Agencywide Documents Access and Management System (ADAMS) at http://www.nrc.gov/reading-rm/adams.html  The documents can also be viewed online or printed for a fee in the NRC's Public Document Room (PDR) at 11555 Rockville Pike, Rockville, MD.  For problems with ADAMS, contact the PDR staff at 301-415-4737 or (800) 397-4209; fax (301) 415-3548; or e-mail pdr.resource@nrc.gov.  2  Copies of International Atomic Energy Agency (IAEA) documents may be obtained through their Web site: www.IAEA.org/ or by writing the International Atomic Energy Agency P.O. Box 100 Wagramer Strasse 5, A-1400
*Copies may be obtained from the American National Standards Institute, Inc., 1430 Broadway, New York, NY 10018.3.50-5
Vienna, Austria.  Telephone (+431) 2600-0, Fax (+431) 2600-7, or E-Mail at Official.Mail@IAEA.org


Regulatory Guide 3.50, Revision 2, Page 11
===6. QUALITY ASSURANCE ===
13. CFR, Title 10, "Energy," Part 73, "Physical Protection of Plants and Materials."  
PROGRAM The quality assurance (QA) program required by Subpart G of Part 72 must be submitted as an enclosure to the application and is briefly described in Chapter 11 of the SAR. It is sufficient that the license application contain a commitment that the QA program described is (or will be) understood by all involved in its execution and that the program will be implemented, as appli cable, for all phases of the project, including any activities important to safety that have been carried out prior to submittal of the license application.
14. CFR, Title 10, "Energy," Part 51, "Environmental Protection Regulations for Domestic Licensing and Related Regulatory Functions."}}
 
This program should cover the engineering aspects of the site investiga tion, facility design, procurement, shop fabrication, onsite construction, preoperational testing, conduct of operations, and ultimate decommissioning.
 
The emphasis of this program should be on those activities and items that are identified as being important to safety. The planned QA effort should be com mensurate with the importance to safety of the identified activities and items. A QA program that has been approved by the NRC as meeting Appendix B to 10 CFR Part 50 or Subpart G of 10 CFR Part 72 may be applied to the spent fuel storage system.* The applicant should state the intent to implement this QA program for the ISFSI or MRS, the date on which the QA program was submitted to the NRC, the docket number, and the date of NRC approval.
 
*Note that 10 CFR 72.140(d)
states "A Commission-approved quality assurance program which satisfies the applicable criteria of Appendix B to Part 50 of this chapter and which is established, maintained, and executed with regard to an ISFSI will be accepted as satisfying the requirements of paragraph (b) of this section." 3.50-6
7. OPERATOR TRAINING Subpart I, "Training and Certification of Personnel," of 10 CFR Part 72 -requires that a personnel training program be established and that the program be submitted for NRC approval.
 
A brief summary of the program should be in cluded in the application.
 
Applicants who have an approved training program in effect may modify this program to cover spent fuel storage operations.
 
A description of the proposed changes should be provided.
 
ISFSI and MRS operators are not required to be licensed.
 
However, they must have successfully completed an established training program. Appropriate documentation of training activities and certifications of proficiency should be included in the ISFSI or MRS records.
 
In addition to the specific operating requirements of the planned facil ity, the training program should include the nuclear engineering principles, NRC regulations, regulatory guides, and national standards applicable to ISFSI or MRS operations.
 
Information on the content of the required training program is available from the Fuel Cycle Safety Branch, Division of Industrial and Med ical Nuclear Safety, Office of Nuclear Material Safety and Safeguards, U.S.  Nuclear Regulatory Commission, Washington, DC 20555.3.50-7
 
===8. INVENTORY ===
AND RECORDS REQUIREMENTS
A description of the inventory and records system for the stored spent fuel and high-level radioactive waste should be included in the license application.
 
Section 72.72 identifies the inventory and record requirements for radioactive material stored at an ISFSI or MRS. The records on the identity of each fuel assembly or high-level radioactive waste container should be complete.
 
As a minimum, these records should include: 1. For Spent Fuel a. Fuel manufacturer, b. Date of manufacture, c. Reactor exposure history, d. Burnup, e. Calculated special nuclear material content, f. Inventory control number, g. Pertinent data on discharge and storage at the reactor, transfer to the ISFSI or MRS, and storage at the ISFSI or MRS, h. For consolidated spent fuel, the records should show how the fuel rods can be traced to the original fuel assembly.
 
2. For High-Level Radioactive Waste a. Origin of waste, b. Calculations of isotope and curie content whenever they are necessary, c. Waste form, d. Thermal output, e. Inventory control number, f. Pertinent data on waste stabilization operations, transfer to the MRS, and storage at the MRS.3.50-8
 
===9. PHYSICAL PROTECTION ===
Subpart H, "Physical Protection," of 10 CFR Part 72 requires that a physi cal security plan and guard training plan (§ 72.180), a design for physical pro tection (§ 72.182), and a safeguards contingency plan (§ 72.184) be submitted.
 
Since the details of the provisions for physical protection are withheld from public disclosure, these reports should be submitted separately.
 
The license application should contain only a reference to the identity of the reports and when they were submitted.
 
Specific guidance on these submittals for an MRS or an ISFSI not located on a nuclear power reactor site may be obtained from the Safeguards Licensing Branch, Office of Nuclear Material Safety and Safeguards, U.S. Nuclear Regula tory Commission, Washington, DC 20555. Reactor licensees may obtain guidance on these topics from the Reactor Safeguards Branch, Office of Nuclear Reactor Regulation, U.S. Nuclear Regulatory Commission, Washington, DC 20555If the applicant has a physical security plan and a safeguards contingency plan that have been approved by NRC, modifications may be made to cover spent fuel storage operations.
 
A description of, and a schedule for, changes related to the spent fuel storage installation should be provided.3.50-9
1
 
===0. DECOMMISSIONING ===
PLAN Section 72.30, "Decommissioning Planning, Including Financing and Record keeping," requires submittal of a proposed decommissioning plan, including a proposed funding plan that contains information on how funds will be available to decommission the ISFSI or MRS. The application should contain a description of the practices and procedures for decommissioning and an explanation of how the costs of decommissioning will be financed.
 
Applicants who have previously submitted proposed decommissioning plans (i.e., nuclear power reactor licensees)
may show how these plans will include the spent fuel storage installation.
 
3.50-10
1
 
===1. EMERGENCY ===
PLAN The applicant should submit a plan for coping with emergencies as a sep arate document.
 
If the ISFSI is located on the site of a nuclear power reactor, the emergency plan required by § 50.47 of 10 CFR Part 50 satisfies the require ments of § 72.32 of 10 CFR Part 72.3.50-11
1
 
===2. ENVIRONMENTAL ===
REPORT Section 72.34 requires that an environmental report be provided as part of the license application.
 
Guidance on the format and content of an environ mental report for an ISFSI may be found in Subpart A of 10 CFR Part 51, "Envi ronmental Protection Regulations for Domestic Licensing and Related Regulatory Functions." In the interest of keeping the size of this report within reasonable bounds and its structure and language keyed to the general public, it is recom mended that a prospective applicant confer with the NRC staff to obtain defini tive guidance on the scope and content of this report.3.50-12
13. PROPOSED LICENSE CONDITIONS
License conditions proposed by an applicant constitute a commitment by the applicant to take the actions specified therein. License conditions can be con sidered in two broad categories:
(1) administrative and management organization and controls and (2) technical specifications.
 
Those addressing administrative and management subjects should be included in the license application;
those ad dressing technical specifications should be described briefly in the license ap plication with appropriate references to the detailed analyses in the SAR. Care should be taken to ensure that such references are clear and explicit.
 
Proposed license conditions should address such subjects as: 1. Administrative and management organization, procedures, controls (in cluding review and approval activities), and auditing and reporting require ments. In particular, the subject of interfaces between the licensee and its contractors should be discussed.
 
2. Verification of design features that are important to safety. Those quality assurance activities that confirm that design and construction are being carried out in accordance with plans, e.g., inspection hold points, should be discussed.
 
In particular, identify who is responsible for performing this veri fication.
 
3. Test procedures.
 
Such subjects as conditions applicable to site eval uation, component testing during design and construction, preoperational testing prior to startup, and conditions applicable to tests that may be desirable after the commencement of operations should be discussed.
 
4. Functional and operating limits, monitoring instruments and limiting control settings.
 
The operating limits necessary for (a) protecting the integ rity of the spent fuel or solidified high-level radioactive waste, (b) protect ing employees against radiation exposure, and (c) preventing uncontrolled release of radioactive material should be discussed.
 
Radiation monitoring instruments and their limiting control settings should be described.
 
5. Limiting conditions of operation.
 
The functional capabilities or per formance levels of equipment and systems that are important to safety should be addressed.
 
The subject includes setpoint limits on monitoring instruments and any controls that may need to be imposed on personnel access to any part of the installation.
 
6. Surveillance requirements.
 
Such items as the periodic inspection of cranes and storage structures and, for water pools, water purity and evidence of corrosion should be covered.3.50-13 VALUE/IMPACT
STATEMENT A draft value/impact statement was published with the proposed Revision 1 to Regulatory Guide 3.50 (Task CE 402-4) when the draft guide was published for public comment in September
1986. No changes were necessary, so a separate value/impact statement for the final guide has not been prepared.
 
A copy of the draft value/impact statement is available for inspection and copying for a fee at the Commission's Public Document Room at 2120 L Street NW., Washington, DC, under Task CE 402-4.3.50-14 UNITED STATES NUCLEAR REGULATORY
COMMISSION
WASHINGTON, D.C. 20555 OFFICIAL BUSINESS PENALTY FOR PRIVATE USE, $300 FIRST CLASS MAIL POSTAGE & FEES PAID USNRC PERMIT No. G-67}}


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Revision as of 09:42, 14 July 2019

(Task CE 402-4), Standard Format and Content for a License Application to Store Spent Fuel and High-Level Radioactive Waste
ML003739463
Person / Time
Issue date: 09/30/1989
From:
Office of Nuclear Regulatory Research
To:
References
-nr RG-3.50 Rev 1
Download: ML003739463 (20)


U.S. NUCLEAR REGULATORY

COMMISSION

Revision 1 9.. 0 September

1989 REGULATORY

GUIDE "OFFICE OF NUCLEAR REGULATORY

RESEARCH REGULATORY

GUIDE 3.50 (Task CE 402-4) STANDARD FORMAT AND CONTENT FOR A LICENSE APPLICATION

TO STORE SPENT FUEL AND HIGH-LEVEL

RADIOACTIVE

WASTE USNRC REGULATORY

GUIDES Regulatory Guides are issued to describe and make available to the pub lic methods acceptable to the NRC staff of implementing specific parts of the Commission's regulations, to delineate techniques used by the staff in evaluating specific problems or postulated accidents, or to pro vide guidance to applicants.

Regulatory Guides are not substitutes for regulations, and compliance with them is not required.

Methods and solutions different from those set out in the guides will be acceptable if they provide a basis for the findings requisite to the issuance or continu ance of a permit or license by the Commission.

This guide was issued after consideration of comments received from the public. Comments and suggestions for improvements in these guides are encouraged at all times, and guides will be revised, as ap propriate, to accommodate comments and to reflect new information or experience.

Written comments may be submitted to the Regulatory Publications Branch, DFIPS, ARM, U.S. Nuclear Regulatory Commission, Washing ton, DO 20555.The guides are issued in the following ten broad divisions:

1. Power Reactors 6. Products 2. Research and Test Reactors

7. Transportation

3. Fuels and Materials Facilities

8. Occupational Health 4. Environmental and Siting 9. Antitrust and Financial Review 5. Materials and Plant Protection

10. General Copies of issued guides may be purchased from the Government Printing Office at the current GPO price. Information on current GPO prices may be obtained by contacting the Superintendent of Documents, U.S. Government Printing Office, Post Office Box 37082, Washington, DC 20013-7082, telephone

(202)275-2060

or (202)275-2171.

Issued guides may also be purchased from the National Technical Infor mation Service on a standing order basis. Details on this service may be obtained by writing NTIS, 6285 Port Royal Road, Springfield, VA 22161.

TABLE OF CONTENTS Introduction

.....................................

Chapter 1.Chapter Chapter Chapter Chapter Chapter Chapter Chapter Chapter Chapter Chapter Chapter 2. 3. 4. 5. 6. 7. 8. 9. 10. 11. 12.GENERAL AND-FINANCIAL

INFORMATION

.......................

TECHNICAL

QUALIFICATIONS

.................................

TECHNICAL

INFORMATION

-- SAFETY ANALYSIS REPORT ..........

CONFORMITY

TO GENERAL DESIGN CRITERIA ....................

OPERATING

PROCEDURES

-- ADMINISTRATIVE

AND MANAGEMENT

CONTROLS ..................

...........................

QUALITY ASSURANCE

PROGRAM ................................

OPERATOR TRAINING ........................................

INVENTORY

AND RECORDS REQUIREMENTS

.......................

PHYSICAL PROTECTION

......................................

DECOMMISSIONING

PLAN ..........................

..........

EMERGENCY

PLAN ...........................................

ENVIRONMENTAL

REPORT .....................................

Chapter 13. PROPOSED LICENSE CONDITIONS

..............................

Value/Impact Statement

...............................

.... ..........

Page 3.50-v 3.50-1 3.50-2 3.50-3 3.50-4 3.50-5 3.50-6 3.50-7 3.50-8 3.50-9 3.50-10 3,.50-11 3.50-12 3. 50-13 3.50-14 iii INTRODUCTION

Subpart B, "License Application, Form, and Contents," of 10 CFR Part 72, "Licensing Requirements for the Independent Storage of Spent Nuclear Fuel and High-Level Radioactive Waste," specifies the information to be covered in an application for a license to store spent fuel in an independent spent fuel storage installation (ISFSI) or to store spent fuel and high-level radioactive waste in a monitored retrievable storage facility (MRS). However, Part 72 does not specify the format to be followed in the license application.

This regulatory guide suggests a format acceptable to the NRC staff for submitting the information specified in Part 72 for a license application to store spent fuel in an ISFSI or to store spent fuel and high-level radioactive waste in an MRS. The need for this revision of Regulatory Guide 3.50 arose from changes made to 10 CFR Part 72. The final rule was published on August 19, 1988 (53 FR 21651) and became effective September

19, 1988. Part 72 provides for a single-step licensing procedure.

The smooth func tioning of this one-step licensing procedure requires that the license applica tion be essentially complete when it is initially submitted.

Thus, the final design details of those ISFSI or MRS components, systems, and structures that are important to safety should be made available for review and evaluation with submittal of the license application.

Part 72 also requires that a site evalu ation be provided to ensure that the natural characteristics of the site and its environs are sufficiently known and have been factored into the engineering design of the installation.

The document in which this information is presented is a safety analysis report (SAR). Although an applicant may plan to contract with another organization for the design, construction, and possibly the operation of the proposed ISFSI or MRS, a licensee under Part 72 cannot delegate to a contractor the responsibility for meeting applicable regulatory requirements.

This means that the applicant must make a commitment that, as the licensee, it will have an adequate staff to ensure that regulatory requirements are met at each stage of the proposed project. If the applicant plans to contract with another organization for the operation of the proposed ISFSI or MRS, the contractual arrangements must be described in the license application.

Any subsequent changes in such contrac tual arrangements may require an amendment to the application.

This regulatory guide represents a standard format that is acceptable to the NRC staff for the license application.

Conformance with this guide, how ever, is not mandatory.

License applications with different formats will be acceptable to the NRC staff if they provide an adequate basis for the findings required for the issuance of a license. However, because it may be more difficult to locate needed information, the staff review time may be longer, and there is a greater likelihood that the staff may regard the license appli cation as incomplete.

3.50-v As experience is gained in the licensing of spent fuel and high-level radioactive waste storage, the Commission's requirements for information needed in its review of applications for licenses to store radioactive material in an ISFSI or MRS may change. Revisions of the Commission's needs for information in connection with such licensing actions will be conveyed to the industry and the public by (1) amendments to NRC regulations, (2) revisions to this regula tory guide, (3) issuance of new or revised regulatory guides, and (4) direct communications, as needed, with the applicant by the NRC staff. Prospective applicants are encouraged to meet with representatives of the Fuel Cycle Safety Branch, Division of Industrial and Medical Nuclear Safety, Office of Nuclear Material Safety and Safeguards, during the development of a license application to resolve any problems that may arise. An early resolution of potential problems is beneficial to all concerned with the licensing process.

Any information collection activities mentioned in this regulatory guide are contained as requirements in 10 CFR Part 72, which provides the regulatory basis for this guide. The information collection requirements in 10 CFR Part 72 have been cleared under OMB Clearance No. 3150-0132.

Contents of the License Application The license application is the basic document that must address each of the requirements of Part 72 and must be complete in itself. The following should be submitted as separate documents as enclosures to the license application.

The contents of each should be briefly summarized in the license application.

1. Safety Analysis Report 2. Decommissioning Plan 3. Emergency Plan 4. Environmental Report 5. Quality Assurance Program 6. Physical Security Plan (including guard training)

7. Safeguards Contingency Plan 8. Personnel Training Program 9. Proposed License Conditions, including Technical Specifications

10. Design for Physical Security Format and Style The applicant should strive for clear, concise presentation of the information provided in the application.

Abbreviations should be consistent throughout the license application and its enclosures.

Any abbreviations, symbols, or special terms unique to the proposed activity or not in general use should be defined when they first appear. A title page identifying key individuals responsible for the preparation of the license application and the oath or affirmation as required by paragraph

72.16(b) should be included.

A table of contents should also be included.3. 50-vi Physical Specifications

1. Paper size: 8A x 11 inches 2. Paper stock and ink. Suitable quality in substance, paper color, and ink density for handling and reproduction by microfilming or image-copying equipment.

3. Paper margins. A margin of no less than 1 inch should be maintained on the top, bottom, and binding side of all pages. 4. Printing a. Composition:

Text should be single or 11/2 spaced. b. Type face and style: Suitable for microfilming or image-copying equipment.

c. Reproduction:

Either mechanical or photographic.

Text should be printed on both sides of the paper with the image printed head to head. 5. Binding. Pages should be punched for a standard 3-hole loose-leaf binder. 6. Chapter and page numbering.

Each requirement of the regulation addressed should be shown as a separate chapter with the same number as the chapter given in this guide, e.g., Chapter 7, "Operator Training." Pages should be numbered sequentially in each chapter, e.g., 7-1, 7-2, etc. Do not number the entire document sequentially.

Procedures for Updating or Revising Pages All pages submitted to update, revise, or add to the license application should show the date of change and a change or amendment number. The changed or revised portion of each page should be highlighted by a "change indicator" mark consisting of a bold vertical line drawn in the margin opposite the binding side. Referenced Materials Caution should be used in references to information previously filed with the NRC. Such references must be pertinent to the subject discussed, must con tain current information, and must be readily obtainable or extractable from the referenced documents.

It may be more efficient in some cases to repeat, or at least summarize, information furnished in the previously submitted document.3.50-vii

1. GENERAL AND FINANCIAL

INFORMATION

The license application should address the requirements of § 72.22, "Con tents of Application:

General and Financial Information," of 10 CFR Part 72 regarding details on the identity of an applicant.

If the applicant is other than the owner and planned operator of the proposed independent spent fuel storage installation (ISFSI) or monitored retrievable storage facility (MRS), details of the working and contractual arrangements between all parties involved should be set forth. Any information on such matters considered as proprietary information by the applicant should be identified and submitted under separate cover. The procedures in paragraph

2.790(b) of 10 CFR Part 2 should be followed for such information.

If the proposed ISFSI or MRS is to be built on the site of another licensed activity or facility such as a nuclear power plant, details of the working ar rangements and responsibilities of the licensees involved should be stated. Similarly, if unlicensed activities are carried out at the proposed site, any potential interactions between the proposed ISFSI or MRS and these other site activities should be explained.

Paragraph

72.22(e) specifically addresses the required financial informa tion that must be submitted with the application.

If the applicant is a corpor ation organized for the specific purpose of owning and operating the proposed ISFSI, details of its organizational structure, including the responsibilities of its members to meet the financial requirements of the proposed ISFSI through out its proposed operating life and ultimate decommissioning, must be stated. This requirement is applicable even if the proposed ISFSI is to be owned and operated by a consortium of utilities.

3.50-1

2. TECHNICAL

QUALIFICATIONS

Paragraph

72.40(a)(4)

requires a finding by the NRC that the applicant is qualified by training and experience to operate an ISFSI or MRS. Section 72.28, "Contents of Application:

Applicant's Technical Qualifications," sets forth information that must be included in the application for this purpose.

Although spent fuel storage in an ISFSI or spent fuel and high-level radioactive waste storage in an MRS is generally considered a relatively low risk operation compared to some other types of nuclear activities, the design, construction, and operation of an ISFSI or MRS require certain skills and an understanding of the requirements involved to ensure that the objective of a relatively low-risk operatiQn is achieved in practice.

The license application should contain a commitment that the applicant will staff the project with an adequate cadre of personnel possessing the required skills throughout all phases of the project.

The licensee is responsible for the execution of the proposed project as described in the license application.

This means that, even though much of the actual work involved during the site selection, design, procurement, construc tion, and even the operating phases of the project may be performed by a con tractor, the licensee must have a staff that is knowledgeable in all aspects of the project. If such a staff does not actually exist, the applicant should describe the staffing plans in sufficient detail to support the finding required by paragraph

72.40(a)(4).

3.50-2

3. TECHNICAL

INFORMATION

-- SAFETY ANALYSIS REPORT As required by § 72.24, "Contents of Application:

Technical Information," the technical information is presented in the safety analysis report (SAR), which should be submitted as an enclosure to the license application.

A summary statement identifying the type of installation proposed (e.g., a water-basin ISFSI, a storage-cask MRS), its design capacity, any unique features incorpor ated in its design, and its mode of operation is adequate for the license ap plication document.

The SAR required for an ISFSI or MRS differs from the SARs for some other nuclear facilities in that the initial SAR is expected to be complete and com parable in scope and detail to the final SAR for facilities licensed under 10 CFR Part 50. Section 72.24 identifies the minimum information that is required to be included in the SAR. Although § 72.70 provides for the subsequent updat ing of the SAR, such changes during the design and construction phases of the project are expected to be of minor importance.

Any of these changes deemed significant by the NRC staff may cause delay in the granting of the final clear ance to receive spent fuel or high-level radioactive waste. Guidance on the preparation of the SAR for an ISFSI of the water-basin type is contained in Regulatory Guide 3.44, "Standard Format and Content for the Safety Analysis Report for an Independent Spent Fuel Storage Installation (Water-Basin Type)." For the dry storage ISFSI that is not colocated at another nuclear facility site or for a dry storage MRS, guidance on the preparation of the SAR is being developed in the proposed Revision 1 to Regulatory Guide 3.48, "Standard Format and Content for the Safety Analysis Report for an Independent Spent Fuel Storage Installation or Monitored Retrievable Storage Installation (Dry Storage)." Guidance for preparing the SAR for the use of dry storage casks at the site of another nuclear facility is contained in Regulatory Guide 3.62, "Standard Format and Content for the Safety Analysis Report for Onsite Storage of Spent Fuel Storage Casks." 3.50-3

4. CONFORMITY

TO GENERAL DESIGN CRITERIA Subpart F of 10 CFR Part 72 contains the general design criteria for an ISFSI or MRS. The subject of conformity to the general design criteria is dis cussed in detail in the SAR. It is sufficient that the license application con tain a summary discussion of each criterion and reference where more detailed information on a specific subject can be found in the SAR.3.50-4

5. OPERATING

PROCEDURES

-- ADMINISTRATIVE

AND MANAGEMENT

CONTROLS Paragraph

72.40(a)(5), "Issuance of License," requires a finding by the staff that the applicant's proposed operating procedures to protect health and to minimize danger to life or property are adequate.

Essential to these oper ating procedures are the applicant's proposed administrative and management controls.

Guidance on this subject is available in ANSI N299-1976, "Adminis trative and Managerial Control for the Operation of Nuclear Fuel Reprocessing Plants."*

Although ANSI N299-1976 is designed for the much more complex oper ating requirements of a fuel reprocessing plant, the basic principles set forth for administrative and managerial controls are considered applicable to the operation of an ISFSI or MRS. If the proposed ISFSI or MRS is to be operated by the owner, a relatively brief explanation of how ANSI N299-1976 will be followed may be adequate.

How ever, if the proposed ISFSI or MRS is to be operated by a contractor, consider able detail may be required on the working arrangements between the parties involved.

Particular attention should be placed on the description of the administration of the Independent Review and Audit Program that is identified in ANSI N299-1976.

  • Copies may be obtained from the American National Standards Institute, Inc., 1430 Broadway, New York, NY 10018.3.50-5

6. QUALITY ASSURANCE

PROGRAM The quality assurance (QA) program required by Subpart G of Part 72 must be submitted as an enclosure to the application and is briefly described in Chapter 11 of the SAR. It is sufficient that the license application contain a commitment that the QA program described is (or will be) understood by all involved in its execution and that the program will be implemented, as appli cable, for all phases of the project, including any activities important to safety that have been carried out prior to submittal of the license application.

This program should cover the engineering aspects of the site investiga tion, facility design, procurement, shop fabrication, onsite construction, preoperational testing, conduct of operations, and ultimate decommissioning.

The emphasis of this program should be on those activities and items that are identified as being important to safety. The planned QA effort should be com mensurate with the importance to safety of the identified activities and items. A QA program that has been approved by the NRC as meeting Appendix B to 10 CFR Part 50 or Subpart G of 10 CFR Part 72 may be applied to the spent fuel storage system.* The applicant should state the intent to implement this QA program for the ISFSI or MRS, the date on which the QA program was submitted to the NRC, the docket number, and the date of NRC approval.

states "A Commission-approved quality assurance program which satisfies the applicable criteria of Appendix B to Part 50 of this chapter and which is established, maintained, and executed with regard to an ISFSI will be accepted as satisfying the requirements of paragraph (b) of this section." 3.50-6

7. OPERATOR TRAINING Subpart I, "Training and Certification of Personnel," of 10 CFR Part 72 -requires that a personnel training program be established and that the program be submitted for NRC approval.

A brief summary of the program should be in cluded in the application.

Applicants who have an approved training program in effect may modify this program to cover spent fuel storage operations.

A description of the proposed changes should be provided.

ISFSI and MRS operators are not required to be licensed.

However, they must have successfully completed an established training program. Appropriate documentation of training activities and certifications of proficiency should be included in the ISFSI or MRS records.

In addition to the specific operating requirements of the planned facil ity, the training program should include the nuclear engineering principles, NRC regulations, regulatory guides, and national standards applicable to ISFSI or MRS operations.

Information on the content of the required training program is available from the Fuel Cycle Safety Branch, Division of Industrial and Med ical Nuclear Safety, Office of Nuclear Material Safety and Safeguards, U.S. Nuclear Regulatory Commission, Washington, DC 20555.3.50-7

8. INVENTORY

AND RECORDS REQUIREMENTS

A description of the inventory and records system for the stored spent fuel and high-level radioactive waste should be included in the license application.

Section 72.72 identifies the inventory and record requirements for radioactive material stored at an ISFSI or MRS. The records on the identity of each fuel assembly or high-level radioactive waste container should be complete.

As a minimum, these records should include: 1. For Spent Fuel a. Fuel manufacturer, b. Date of manufacture, c. Reactor exposure history, d. Burnup, e. Calculated special nuclear material content, f. Inventory control number, g. Pertinent data on discharge and storage at the reactor, transfer to the ISFSI or MRS, and storage at the ISFSI or MRS, h. For consolidated spent fuel, the records should show how the fuel rods can be traced to the original fuel assembly.

2. For High-Level Radioactive Waste a. Origin of waste, b. Calculations of isotope and curie content whenever they are necessary, c. Waste form, d. Thermal output, e. Inventory control number, f. Pertinent data on waste stabilization operations, transfer to the MRS, and storage at the MRS.3.50-8

9. PHYSICAL PROTECTION

Subpart H, "Physical Protection," of 10 CFR Part 72 requires that a physi cal security plan and guard training plan (§ 72.180), a design for physical pro tection (§ 72.182), and a safeguards contingency plan (§ 72.184) be submitted.

Since the details of the provisions for physical protection are withheld from public disclosure, these reports should be submitted separately.

The license application should contain only a reference to the identity of the reports and when they were submitted.

Specific guidance on these submittals for an MRS or an ISFSI not located on a nuclear power reactor site may be obtained from the Safeguards Licensing Branch, Office of Nuclear Material Safety and Safeguards, U.S. Nuclear Regula tory Commission, Washington, DC 20555. Reactor licensees may obtain guidance on these topics from the Reactor Safeguards Branch, Office of Nuclear Reactor Regulation, U.S. Nuclear Regulatory Commission, Washington, DC 20555. If the applicant has a physical security plan and a safeguards contingency plan that have been approved by NRC, modifications may be made to cover spent fuel storage operations.

A description of, and a schedule for, changes related to the spent fuel storage installation should be provided.3.50-9

1

0. DECOMMISSIONING

PLAN Section 72.30, "Decommissioning Planning, Including Financing and Record keeping," requires submittal of a proposed decommissioning plan, including a proposed funding plan that contains information on how funds will be available to decommission the ISFSI or MRS. The application should contain a description of the practices and procedures for decommissioning and an explanation of how the costs of decommissioning will be financed.

Applicants who have previously submitted proposed decommissioning plans (i.e., nuclear power reactor licensees)

may show how these plans will include the spent fuel storage installation.

3.50-10

1

1. EMERGENCY

PLAN The applicant should submit a plan for coping with emergencies as a sep arate document.

If the ISFSI is located on the site of a nuclear power reactor, the emergency plan required by § 50.47 of 10 CFR Part 50 satisfies the require ments of § 72.32 of 10 CFR Part 72.3.50-11

1

2. ENVIRONMENTAL

REPORT Section 72.34 requires that an environmental report be provided as part of the license application.

Guidance on the format and content of an environ mental report for an ISFSI may be found in Subpart A of 10 CFR Part 51, "Envi ronmental Protection Regulations for Domestic Licensing and Related Regulatory Functions." In the interest of keeping the size of this report within reasonable bounds and its structure and language keyed to the general public, it is recom mended that a prospective applicant confer with the NRC staff to obtain defini tive guidance on the scope and content of this report.3.50-12

13. PROPOSED LICENSE CONDITIONS

License conditions proposed by an applicant constitute a commitment by the applicant to take the actions specified therein. License conditions can be con sidered in two broad categories:

(1) administrative and management organization and controls and (2) technical specifications.

Those addressing administrative and management subjects should be included in the license application;

those ad dressing technical specifications should be described briefly in the license ap plication with appropriate references to the detailed analyses in the SAR. Care should be taken to ensure that such references are clear and explicit.

Proposed license conditions should address such subjects as: 1. Administrative and management organization, procedures, controls (in cluding review and approval activities), and auditing and reporting require ments. In particular, the subject of interfaces between the licensee and its contractors should be discussed.

2. Verification of design features that are important to safety. Those quality assurance activities that confirm that design and construction are being carried out in accordance with plans, e.g., inspection hold points, should be discussed.

In particular, identify who is responsible for performing this veri fication.

3. Test procedures.

Such subjects as conditions applicable to site eval uation, component testing during design and construction, preoperational testing prior to startup, and conditions applicable to tests that may be desirable after the commencement of operations should be discussed.

4. Functional and operating limits, monitoring instruments and limiting control settings.

The operating limits necessary for (a) protecting the integ rity of the spent fuel or solidified high-level radioactive waste, (b) protect ing employees against radiation exposure, and (c) preventing uncontrolled release of radioactive material should be discussed.

Radiation monitoring instruments and their limiting control settings should be described.

5. Limiting conditions of operation.

The functional capabilities or per formance levels of equipment and systems that are important to safety should be addressed.

The subject includes setpoint limits on monitoring instruments and any controls that may need to be imposed on personnel access to any part of the installation.

6. Surveillance requirements.

Such items as the periodic inspection of cranes and storage structures and, for water pools, water purity and evidence of corrosion should be covered.3.50-13 VALUE/IMPACT

STATEMENT A draft value/impact statement was published with the proposed Revision 1 to Regulatory Guide 3.50 (Task CE 402-4) when the draft guide was published for public comment in September

1986. No changes were necessary, so a separate value/impact statement for the final guide has not been prepared.

A copy of the draft value/impact statement is available for inspection and copying for a fee at the Commission's Public Document Room at 2120 L Street NW., Washington, DC, under Task CE 402-4.3.50-14 UNITED STATES NUCLEAR REGULATORY

COMMISSION

WASHINGTON, D.C. 20555 OFFICIAL BUSINESS PENALTY FOR PRIVATE USE, $300 FIRST CLASS MAIL POSTAGE & FEES PAID USNRC PERMIT No. G-67