ML21274A032
| ML21274A032 | |
| Person / Time | |
|---|---|
| Issue date: | 10/01/2021 |
| From: | Office of Nuclear Reactor Regulation |
| To: | |
| Sebrosky J | |
| Shared Package | |
| ML21274A029 | List: |
| References | |
| NEI 18-04, NEI 21-07, Rev 0 | |
| Download: ML21274A032 (13) | |
Text
APPENDIX X NRC REGULATORY POSITION ON NEI 21-07, REVISION 0, TECHNOLOGY INCLUSIVE GUIDANCE FOR NON-LIGHT WATER REACTORS SAFETY ANALYSIS REPORT CONTENT FOR APPLICANTS USING THE NEI 18-04 METHODOLOGY Introduction The U.S. Nuclear Regulatory Commission (NRC) staff has reviewed Nuclear Energy Institute (NEI) 21-07, Revision 0, Technology Inclusive Guidance for Non-Light Water Reactors Safety Analysis Report Content for Applicants Using the NEI 18-04 Methodology. The purpose of this appendix is to supplement the Regulatory Positions discussed in Regulatory Positions C.1 through C.8 of this RG. The staffs detailed position on that applicable portions of NEI 21-07, Revision 0 are found in the following table. The table notes areas where the staff has identified an exception, clarification, addition, or comment/suggested edit. The definition of these terms is as follows:
- Exception - feedback labeled as an NRC Exception is used to highlight statements, or portions thereof, in NEI 21-07 that are factually incorrect or guidance that would result in the need for an NRC Request for Additional Information (RAI) if followed by an applicant in developing a safety analysis report (SAR).
- Clarification - feedback labeled as an NRC Clarification is used to indicate statements or guidance in NEI 21-07 that are ambiguous and would require clarification by the NRC to limit the possible interpretations by an applicant or other stakeholder consulting NEI 21-07. An applicant relying on NEI 21-07 to develop an application in the absence of the Clarification would likely be subject to RAIs if the guidance was improperly interpreted. Similarly, stakeholders consulting NEI 21-07 in the absence of the Clarification could conclude that publicly available application information is inadequate to the extent that it could form the basis for a contention.
- Addition - feedback labeled as an NRC Addition is used to indicate staff regulatory guidance that should be followed by an applicant in addition to the guidance in NEI 21-07 in order to develop a SAR that addresses their safety case. Additions not related to the LMP-based affirmative safety case will be included in the ARCAP guidance.
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NRC Draft NEI 21-07, Revision 0 Exceptions, Clarifications, Additions, and Comment/Suggested Edit NEI 21-07 Topic Discussion Type Disposition (i.e.,
Section addressed in NEI Number ID 21-07, Revision 1 or included in this RG)
A.2 Background Page 3 (last paragraph) - Further discussion is needed in either NEI 21-07, Revision 1, or the TICAP draft RG white paper Clarification to clarify that in addition to making a safety case, an applicant should also make a licensing case that focuses on compliance with applicable regulations and includes any exemptions, as necessary.
A.3a Supplemental information Page 3 Clarification and addition. The staff will continue to reference in its TICAP RG the guidance that is relevant to Clarification and affecting first 8 chapters of the first 8 chapters of the SAR (e.g., siting, fuel qualification, instrumentation and control design review guide, ASME Addition the SAR outside the scope Section III Division 5). See supplemental information found in 7/8 version of TICAP RG draft white paper of Industry TICAP guidance https://www.nrc.gov/docs/ML2119/ML21190A014.pdf A.3b Scope Page 4 - Further discussion is needed in either NEI 21-07, Revision 1, or the TICAP draft RG white paper to clarify that Clarification that an affirmative safety case should include normal operation and that applicants should also make a licensing case with respect to compliance with regulations and include exemptions, as necessary. That is, the applicant must make the case for and claim compliance with or exemptions from specific regulations. The NRC will not just review the safety case and derive from it those regulations that are met in order to makes its findings.
B.2 SAR Outline Page 7 (bottom) - Further discussion is needed in either NEI 21-07, Revision 1, or the TICAP draft RG white paper to Clarification clarify that an affirmative safety case should include normal operation as well as LBEs.
B.3 Explanation and Use of text Page 9 - Further discussion is needed in either NEI 21-07, Revision 1, or the TICAP draft RG white paper clarifying the Clarification that is in italics meaning of the use of the regular text and text in italics throughout the SAR content guidance in Section C of NEI 21-
- 07. Examples of text that the staff believes should be in regular font vice in italics include:
NEI 21-07 Topic Issue Section Number 1a Guidance in The fourth, fifth, and sixth paragraphs of this section should be regular Introduction Section text since they provide instructions for the applicant regarding should be regular font. information to be included, formatting, and level of detail.
2b Discussion of topical Page 21 - topical reports approved by the NRC during pre-application reports engagement activities should be incorporated by reference into the SAR and not simply be listed as general references. Applicants should 2
NEI 21-07 Topic Discussion Type Disposition (i.e.,
Section addressed in NEI Number ID 21-07, Revision 1 or included in this RG) specifically identify documents IBRd into the SAR. The staff also believes the sentence should be in regular text.
3 Guidance regarding Page 27 - The third paragraph should be in regular font because it licensing basis events provides guidance regarding LBEs.
should be regular font 3.6 DBA guidance should be Page 35 - The fourth paragraph in this section should be regular font regular font. because it provides guidance regarding the documentation of conservative deterministic DBA analyses that is generally modeled after accident analysis descriptions found in Chapter 15 of SARs for current LWRs.
4.2a Guidance regarding DID Page 38- the final sentence in the first paragraph of Section 4.2 should be should be regular font. in regular font because it provides guidance.
4.2b Defense in depth Page 39 - the second paragraph of Section 4.2 and the bulleted list discussion and immediately below it should be in regular font and not in italics since it clarification that some provides guidance.
of the guidance should be in regular text The sixth bullet of this list should be modified to read, Evaluation of single features that are risk significant to assure no overdependence on that feature ."
The first sentence of the paragraph following these bullets in Section 4.2 should be revised to state: Note that the information responsive to this bulleted list should be provided in either this chapter or in Chapters 3, 5, 6, 7, and 8.
4.2.1 DID plant capability Page 40 - portion of second paragraph should be in regular font because summary it provides guidance 4.2.1.2 DID guidance should be Page 41 - The first paragraph in this section should be regular font regular font. because it provides guidance regarding the DID evaluation.
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NEI 21-07 Topic Discussion Type Disposition (i.e.,
Section addressed in NEI Number ID 21-07, Revision 1 or included in this RG) 4.2.2a Defense in Depth Page 42 and 43, the second paragraph in Section 4.2.2, which starts with Summary discussion in Programmatic DID should be used ... should be in regular font and not the SAR in italics since it provides guidance.
4.2.3b Integrated defense in Page 44, the following text should be in regular font and not in italics depth discussion in the since it provides guidance: The baseline DID evaluation results in the SAR SAR reflect the finalization of all DID adequacy evaluations. The evaluation in this section determines that incremental evaluations of DID outlined in NEI 1804 Section 5.9.3 for plant capability are collectively complete, programmatic actions are appropriate to sustain identified safety significant performance requirements and residual risks are very low.
4.2.2.1 Evaluation of Significant Page 44 - Further discussion in needed in either NEI 21-07, Revision 1 or Uncertainties the TICAP draft RG white paper to document that The consideration of uncertainties may also identify some sources of uncertainty that may be safety significant and lead to specific actions for DID purposes. A summary of the sources of significant uncertainty should be describe in the SAR. The details of these analyses should be documented in plant records. This text should be in regular font 4.2.3 Integrated DID Page 45 - the following text should be in regular font and not in italics evaluation since it provides guidance: The baseline DID evaluation results in the SAR reflect the finalization of all DID adequacy evaluations. The evaluation in this section determines that incremental evaluations of DID outlined in NEI 18--04 Section 5.9.3 for plant capability are collectively complete, programmatic actions are appropriate to sustain identified safety significant performance requirements and residual risks are very low.
5.4 Safety Related Page 49 - Section 5.4 first paragraph text should be in regular font vice in Structures, Systems, and italics since it provides guidance. The staff will also revise the following Components (SSC) text in the TICAP RG regarding Safety-related SSC discussion in the SAR:
description in the SAR The information reflected in Table 5-2, which describes combinations of SSCs that are provided in the design to fulfill each RSF and identifying 4
NEI 21-07 Topic Discussion Type Disposition (i.e.,
Section addressed in NEI Number ID 21-07, Revision 1 or included in this RG) whether each set of SSCs is available or not on each of the DBEs, should be included in the application.
6.1.1a Design Basis Hazard Page 55 - The following text should be in regular font vice in italics since it Level discussion in the provides guidance: Note that this guidance document uses the nomenclature of SAR DBHL instead of the DBEHL term from NEI 18-04. While not discussed comprehensively in NEI 18-04, there is a need to consider not only hazards external to the plant (traditional external events) but also hazards external to the SSCs performing PRA Safety Functions - i.e., internal plant hazards such as internal fires, floods, turbine missiles, and high energy line breaks. To clarify the original intent of NEI 18-04 to address both categories of hazards, this guidance document uses the DBHL term instead of DBEHL.
This appears to be a deviation from NEI 18-04 and if it is a deviation then it should be noted as such.
6.1.2 Guidance regarding Page 57 - In the second paragraph, the following text should be regular SRDC description should font because it provides guidance: For each of the RFDC, this section be regular font should identify a set of SRDC appropriate to the SR SSCs selected to perform the RSFs. These SRDC exclude Special Treatment Requirements, which are separately covered in Section 6.2. The RFDC, which are expressed in the form of functions and involve collections of SSCs and intrinsic capabilities of the plant, may be viewed as a bridge between the RSFs and the SRDC. The SRDC is more detailed requirements for specific SR SSCs in the performance of the RSF functions in specific DBAs.
Examples of SRDC that were developed for the MHTGR are found in Appendix A of the LMP SSC report.
It would be more helpful to a user of this guidance document to include some SRDC examples rather than just provide a reference to an external document.
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NEI 21-07 Topic Discussion Type Disposition (i.e.,
Section addressed in NEI Number ID 21-07, Revision 1 or included in this RG) 7.1 Reliability and Capability Page 63 - Text in first paragraph should be in regular text since it Targets for NSRST SSCs provides guidance B.5 Two-Step Licensing (CP/OL) Page 10 - Clarification of several items should be made: (1) the requirement under 50.34(a)(4) for demonstration of an Clarification and affirmative safety case that includes normal operation reflecting that LMP does not address normal operation; (2) a Addition licensing case also needs to be made by the applicant with respect to claims of compliance with or requests for exemption from regulations; and (3) the COL application scope includes ITAAC whereas the CP/OL scope does not.
Clarification proposed that the LMP-based safety case shifts from compliance with prescriptive regulatory requirements to an approach that focuses on identification and performance of fundamental safety functions to address and satisfy associated regulatory requirements and provide reasonable assurance of adequate protection of public health and safety.
B.6 Design Certification Page 11 - Further discussion is needed in either NEI 21-07, Revision 1, or in the TICAP draft RG white paper to clarify Clarification and that the SAR content developed through use of LMP is similar in scope only to the Tier 2 information required for a DC Addition application. Guidance for Tier 1 information, including ITAAC, required for a DC application is neither contemplated by NEI 18-04 nor discussed in the TICAP guidance document.
Also included a proposed change to page 11 (last paragraph) to reference Tier 2 Information 1b Licensing Basis Information Page 16 - Clarify what language in Chapter 1 of a SAR will be included and maintained as part of the licensing basis, Clarification and what parts of the regulation those parts seek to fulfill.
1.1.2 Intended Use of the Reactor Page 17 - The NEI proposed text does not seem to fully address 10 CFR 50.34(a)(1)(ii)(A) regarding use of the reactor. Addition Further discussion is needed in either NEI 21-07, Revision 1, or the TICAP draft RG white paper to address the radioactive materials inventory portion of the regulation.
1.3.3 Defense in Depth Page 21 - Further discussion is needed in either NEI 21-07, Revision 1, or the TICAP draft RG white paper to clarify that Clarification and DID adequacy is based on 3-elements; plant capability DID, programmatic DID, and RIPB DID. Applicants should Addition address risk-informed, performance-based DID also and cite key examples for this DID element 6
NEI 21-07 Topic Discussion Type Disposition (i.e.,
Section addressed in NEI Number ID 21-07, Revision 1 or included in this RG) 2a Pre-licensing engagement Page 21 - The highlighted sentence gives the incorrect perception that pre-licensing interactions affect the level of Clarification detail that should be provided within the docketed license application and related submittals (e.g., topical reports) 2.1 PRA discussion to be Page 22- The fourth and fifth sentences in the first paragraph of Section 2.1 provide guidance and should therefore be Clarification included in the SAR in regular text. In order to reflect the Commissions affirmation in SRM-SECY-2015-002 regarding the need for PRA information for CP/OL applications for new reactors, they should be modified to read, The PRA information included in the SAR should be at a summary level only as described below. It should include a description of the design-specific or plant-specific PRA, as appropriate, and its results.
2.1.1a Conformance (with any Page 22 and 23 - Trial-use RG 1.247 to endorse the std is under development. NRC staff positions in RG 1.247, once Clarification deviations) with the issued, should be addressed along with the Std.
advanced non-LWR PRA standard, ASME/ANS RA-S- NEI 20-09, Revision 1, has been submitted to the NRC for endorsement. Revision 1 should be cited instead of Revision 1.4-2021 0.
NEI 20-09, Rev. 0 PRA peer review 2.1.1b Discussion of PRA Page 23 - Further discussion is necessary in either NEI 21-07, Revision 1, or in TICAP draft RG white paper to cover the Clarification and information to be included level of detail for the PRA information to be included in the SAR as follows: This section should describe PRA Addition in the SAR assumptions, the identification of PRA-based insights, and an overview of the results and insights from importance, sensitivity, and uncertainty analyses. A pointer should be provided if the information is described in other Chapters (e.g., Chapter 3). Detailed information used in the PRA will not be included in the SAR but will be available for NRC audit.
2.1.1c Discussion of PRA info in Page 24 - Further discussion is necessary in either NEI 21-07, Revision 1, or in TICAP draft RG with paper to clarify the Clarification and SAR - Two-step licensing basis for omitting peer review for PRA for a CP application as follows (italics are used to set off the clarification - final Addition (CP application) text should be in regular font): To be clear, consistent with the baseline for this guidance, to the extent that an applicant does not request any design finality as part of its CP application, no PRA peer review should be required at the CP application stage.
2.1.2 Summary of Key PRA Page 24 - The last bullet in this section states that SAR Chapters 6 and 7 are to address reliability and capability targets Clarification and Results for SR and NSRST SSCs. Further discussion is necessary in either NEI 21-07, Revision 1, or in TICAP draft RG white paper Addition to address SR and NSRST human actions.
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NEI 21-07 Topic Discussion Type Disposition (i.e.,
Section addressed in NEI Number ID 21-07, Revision 1 or included in this RG) 3.3 Anticipated operational Page 31 - Further discussion is needed in either NEI 21-07, Revision 1, or the TICAP draft RG white paper to clarify that Clarification occurrences (AOOs) - non-DBA LBE as analyzed in the PRA should be summarized in the SAR.
clarification of discussion of AOOs in the SAR 3.3.1 AOOs - key information Page 31 - Further discussion is needed in either NEI 21-07, Revision 1, or the TICAP draft RG white paper to clarify that Clarification and regarding AOOs should be a description of the models, site characteristics, and supporting data associated with the calculation of the mechanistic Exception captured in the SAR source terms and radiological consequences (to the extent such information is not provided in Section 2.2) should be included in the discussion of AOOs with a release in Section 3.3.1 of the SAR. The text stating that this information is only in plant records should be removed from NEI 21-07, Revision 1 or addressed by an exception in the TICAP draft RG white paper. The word additional is suggested as a modifier to the information that should be provided for any AOO with a release in the sentence preceding the bulleted list to clarify that it is in addition to the narrative that should be provided for each AOO as listed in the same section.
The exception to the statement regarding omission of the information and retention in plant records is appropriate because the safety case for the reactor is tied to appropriately identifying licensing basis events, including Anticipated Operational Occurrences (AOOs), Design Basis Events (DBEs), Design Basis Accidents (DBAs), and Beyond Design Basis Events (BDBEs). This type of information should be captured in the SAR to ensure that changes to the plant are appropriately assessed under the applicable change process (e.g., 10 CFR 50.59) reflecting their status as methods of evaluation used in establishing the design bases or in safety analyses.
3.4.1 Design Basis Events (DBEs) - Page 32 - Further discussion is needed in either NEI 21-07, Revision 1, or the TICAP draft RG white paper to document Clarification and key information regarding the need for a description of the models, site characteristics, and supporting data associated with the calculation of Exception DBEs should be captured in the mechanistic source terms and radiological consequences for DBEs with a release (to the extent such information is the SAR not provided in Section 2.2). The text stating that this information is only in plant records should be removed from NEI 21-07, Revision 1 or addressed by an exception in the TICAP draft RG white paper. The word additional is suggested as a modifier to the information that should be provided for the most limiting DBE that was used to map into each DBA to clarify that it is in addition to the narrative that should be provided for each DBE as listed in the same section.
The exception to the statement regarding omission of the information and retention in plant records appropriate because the safety case for the reactor is tied to appropriately identifying licensing basis events, 8
NEI 21-07 Topic Discussion Type Disposition (i.e.,
Section addressed in NEI Number ID 21-07, Revision 1 or included in this RG) including Anticipated Operational Occurrences (AOOs), Design Basis Events (DBEs), Design Basis Accidents (DBAs), and Beyond Design Basis Events (BDBEs). This type of information should be captured in the SAR to ensure that changes to the plant are appropriately assessed under the applicable change process (e.g., 10 CFR 50.59) reflecting their status as methods of evaluation used in establishing the design bases or in safety analyses.
3.5.1 Beyond Design Basis Events Page 33 - Further discussion is needed in either NEI 21-07, Revision 1, or the TICAP draft RG white paper to document Clarification and (BDBEs) - key information the need for a description of the models, site characteristics, and supporting data associated with the calculation of Exception regarding BDBEs should be the mechanistic source terms and radiological consequences for BDBEs with a release (to the extent such information captured in the SAR is not provided in Section 2.2). The text stating that this information is only in plant records should be removed from NEI 21-07, Revision 1 or addressed by an exception in the TICAP draft RG white paper. The word additional is suggested as a modifier to the information that should be provided for information provided for BDBEs with a release to clarify that it is in addition to the narrative that should be provided for each BDBE.
The exception to the statement regarding omission of the information and retention in plant records appropriate because the safety case for the reactor is tied to appropriately identifying licensing basis events, including Anticipated Operational Occurrences (AOOs), Design Basis Events (DBEs), Design Basis Accidents (DBAs), and Beyond Design Basis Events (BDBEs). This type of information should be captured in the SAR to ensure that changes to the plant are appropriately assessed under the applicable change process (e.g., 10 CFR 50.59) reflecting their status as methods of evaluation used in establishing the design bases or in safety analyses.
4.1 Discussion of overall plant Page 37 - Further discussion is needed in either NEI 21-07, Revision 1, or the TICAP draft RG white paper to document Addition risk information found in the need for a discussion of the following items where different from the analysis performed under Chapter 3:
the SAR
- The site parameters (e.g. meteorology, off-site population distribution, EAB size) used in the analysis,
- Assumptions on location of individual members of the public,
- Source of dose (cloud shine, inhalation, ground shine)
- The analysis method used,
- Key assumptions (e.g., emergency preparedness measures, source terms, timing and duration of release, credit for medical treatment, early and latent fatality risk coefficients) used in the analysis,
- Modes of operation (full power, low power & shutdown, refueling) considered in the analysis.
- How multiple units on the site were considered,
- Uncertainty/sensitivity analysis performed.
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NEI 21-07 Topic Discussion Type Disposition (i.e.,
Section addressed in NEI Number ID 21-07, Revision 1 or included in this RG) 4.2.1 Guidance for DID evaluation Page 40- Further discussion is needed in either NEI 21-07, Revision 1, or the TICAP draft RG white paper to document Clarification that For SSCs that are relied upon to perform DID prevention and mitigation functions for risk-significant LBEs, and where not described elsewhere in the SAR, this section should describe the set of requirements related to the performance, reliability, and availability of the SSC functions that are relied upon to ensure the accomplishment of their tasks, as defined by the PRA or deterministic analysis. This description should include how that capability is ensured through testing, maintenance, inspection and performance monitoring.
4.2.1.4 Prevention-Mitigation Page 43 - ADAMS ML numbers or hyperlinks to referenced documents and reports should be added to promote Clarification Balance efficient user interface with this guidance document.
4.2.2b Guidance for programmatic Page 44 - Further discussion is needed in either NEI 21-07, Revision 1, or the TICAP draft RG white paper to document Clarification DID added that The applicant should provide the justification for where the design does not incorporate the programmatic capability attributes provided in NEI 18-04 Table 5-6. This text should be regular font.
4.2.2.2 Human Factors Page 44, Further discussion is necessary in either NEI 21-07, Revision 1, or in TICAP draft RG white paper to state that Addition Considerations - SR SSC an applicant should include the description of programs to assure human performance for risk-significant functions performance Monitoring should address human factors considerations such as operating experience review, safety function review, human action task analysis, human system interface design, procedures, training and V&V, human performance monitoring (where not described in Chapter 6).
4.2.2.3 Human Factors Page 45, Further discussion is necessary in either NEI 21-07, Revision 1, or in TICAP draft RG white paper to state that Addition Considerations - NSRST SSC an applicant should include the description of programs to assure human performance for safety-significant functions performance monitoring should address human factors considerations such as operating experience review, safety function review, human action task analysis, human system interface design, procedures, training and V&V, human performance monitoring (where not described in Chapter 7).
4.2.3b Integrated defense in depth Page 45 - Further discussion is needed in either NEI 21-07, Revision 1, or the TICAP draft RG white paper to document Addition discussion in the SAR that an applicant should address the following to describe how the integrated DID analysis meets the standards in NEI 18-04: The applicant should summarize how the integrated DID process was applied in evaluating the overall adequacy of DID. The description should address how each of the decision guidelines listed in NEI 18-04, Section 5.9.3, was evaluated and the basis for an affirmative response. The criteria used in making the decisions (e.g., risk margins are sufficient, prevention/mitigation balance is sufficient, etc.) should be provided. If quantitative measures were used as part of the criteria, they should be provided. A description of how the results of the integrated DID process are documented and available for future DID decision-making and operations support should also be provided.
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NEI 21-07 Topic Discussion Type Disposition (i.e.,
Section addressed in NEI Number ID 21-07, Revision 1 or included in this RG) 4.2.3c Added guidance to include a Page 46 - Further discussion is needed in either NEI 21-07, Revision 1, or the TICAP draft RG white paper to document Clarification and description of the change that an applicant should include a discussion of the change process associated with defense in depth analysis Addition process to defense in depth described in Section 4.2.3 of the NEI guidance document: The change control process should be described addressing discussion found in the SAR how the baseline DID evaluation will be re-evaluated, based on proposed changes, to determine which programmatic or plant capability attributes have been affected for each layer of defense. Changes that impact the definition and evaluation of LBEs, safety classification of SSCs, or risk significance of LBEs or SSCs should be assessed.
5.3 Principal Design Criteria Page 47 and 48- considering whether following proposed addition is appropriate related to PDC guidance: These LMP Note - staff still (PDC) derived requirements may be considered together with generic applicable Advanced Reactor Design Criteria (ARDC) in developing position formulating the principal design criteria for the license application. When considering the use of generic ARDC for this and path forward purpose, the LMP methodology does not include the application of the Single Failure Criterion (SFC) that is included in regarding PDC the ARDC language. In the LMP approach to formulating design requirements for SSCs, reliability and capability targets guidance. It is unclear are used to inform the selection of special treatment requirements. This obviates the need to applying the SFC. Hence at this point as to when ARDCs are considered in developing the principal design criteria, the SFC language should be removed. whether an exception, clarification or addition Last sentence, third paragraph proposed edits to be more consistent with stated NRC positions: (or a combination of However, the General Design Criteria and Advanced Reactor Design Criteria are intended to provide guidance in these) will be included establishing the principal design criteria for non-LWR designs. in the staff TICAP RG Fourth paragraph proposed edits to be more consistent with stated NRC positions. Proposed revised paragraph 5.5.1 Non Safety Related SSCs Page 51 - Further discussion is needed in either NEI 21-07, Revision 1, or the TICAP draft RG white paper to document Addition performing risk significant that information similar to that found in Tables 5-1 and 5-2 for safety related SSCs should be provided for non-safety functions discussion in the related SSCs performing a risk-significant function.
SAR 11
NEI 21-07 Topic Discussion Type Disposition (i.e.,
Section addressed in NEI Number ID 21-07, Revision 1 or included in this RG) 5.6a Complimentary Design Page 53 - Further discussion is necessary in either NEI 21-07, Revision 1, or in TICAP draft RG white paper regarding Clarification and Criteria (CDC) discussion in CDC information that should be provided in the SAR, similar to the comments provided in an August 13, 2021, email Addition the SAR that was discussed during an August 17, 2021, public meeting (see:
https://adamswebsearch2.nrc.gov/webSearch2/main.jsp?AccessionNumber=ML21225A565)
This could include (a) the CDC are considered part of the affirmative safety case, since they specify safety criteria, (b) when they are defined at the functional level, they are considered equivalent to PDCs and (c) when they are defined at the PRA Safety Function level, they are considered subparts of a higher level PDC. In addition, the TICAP Guidance Document text should provide examples of both types of defined CDCs.
The staff notes that the expectations regarding discussion of the CDC information in the SAR could be influenced by the outcome of the staffs position regarding PDC.
5.6b CDC discussion in the SAR Page 53 - Language should be added to clarify that NSRST SSCs may be included within the PDC rather than being Clarification limited to inclusion in the CDCs.
5.6c CDC discussion in SAR Page 53 - Further discussion is needed in either NEI 21-07, Revision 1, or the TICAP draft RG white paper to clarify that Clarification the importance and contribution of engineering criteria for the design will be considered under 10 CFR 50.35(a), as necessary, in the finding of reasonable assurance regardless of whether the NSRST SSCs are addressed by CDCs. The focus is on the engineering criteria for the design rather than inclusion of SSCs as part of CDCs or PDCs. It is clear from the LMP process that NSRST SSCs are necessary for either PRA Safety Functions or DID. Inclusion of CDCs may also bridge the gap between the NRC's expectation for an affirmative safety case and an LMP-based affirmative safety case which does not include normal operations (see comment in earlier Section A.3) 6.1.1b Design Basis Hazard Level Page 56 - Further discussion is needed in either NEI 21-07, Revision 1, or the TICAP draft RG white paper to clarify that Clarification discussion in the SAR the SAR Should include discussion regarding the calculation methodology for DBHLS loads on the SSCs Calculation methodology has traditionally been part of the licensing basis. For example, where the methodology for combining loads is either ABSUM (absolute summation) or SRSS (square root of sum of the squares) can make a big difference for the design loads on SSCs. Also, there is a 50.59 question that specifically focuses on evaluation methodology. Not sure if this question will carry over to Part 53 but Part 50 and Part 52 applicants will need to consider it.
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NEI 21-07 Topic Discussion Type Disposition (i.e.,
Section addressed in NEI Number ID 21-07, Revision 1 or included in this RG) 6.1.1c Design Basis Hazard Level Page 56 - Further discussion is necessary in either NEI 21-07, Revision 1, or in TICAP draft RG white paper to clarify Clarification and discussion in the SAR that an applicant should summarize the basis for the DBHLs in the SAR. Addition 6.1.1d Editorial correction to Table Page 56 - verify that the table title and the second column heading should exclude the term external. Clarification 6-1 6.3/7.2 FOAK SR SSCs and NSRST Page 60 and 63 - Text suggests incomplete Validation and Verification tests can be covered under special treatment at Clarification and SSCs the submittal of a license application. Staff suggests an addition / revision to the text to include the timing of the NRC Addition SER and the possibility of license conditions, consistent with 50.43(e).
6.4.1a Human Factors Page 62 - Further discussion is needed in either NEI 21-07, Revision 1, or the TICAP draft RG white paper to clarify that Addition Considerations - SR SSCs where human actions perform required safety functions, the description of controls and displays should address human factors considerations such as operating experience review, safety function review, human action task analysis, human system interface design, and V&V.
7.3.1a Human Factors Page 65 - Further discussion is needed in either NEI 21-07, Revision 1, or the TICAP draft RG white paper to clarify that Addition Considerations - NSRST where human actions perform PRA safety functions, the description of controls and displays should address human SSCs factors considerations such as operating experience review, safety function review, human action task analysis, human system interface design, and V&V.
6.4.1b and Human Reliability and Pages 61 and 65 - These sections list the design aspects of the various SR and NSRST SSCs, including human actions. Addition 7.3.1b Capability Further discussion is needed in either NEI 21-07, Revision 1, or the TICAP draft RG white paper to clarify that the applicant should describe the measures to be taken to ensure that the human actions meet their reliability and capability targets assumed in the PRA. For the reliability and capability of equipment, these measures are called Special Treatment.
Appendix B Example LBE Descriptions The staff does not plan to endorse Appendix B Example Descriptions of NEI 21-07 because the agency does not Clarification endorse examples provided in guidance documents due to the need for technical review and approval.
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