Codes, Standards and Regulatory Topics for Nuclear Facilities

Author(s):  
Taunia Wilde ◽  
Shannan Baker ◽  
Gary M. Sandquist

The design, construction, operation, maintenance, and decommissioning and decontamination of nuclear infrastructure particularly nuclear power plants licensed in the US by the US Nuclear Regulatory Commission (NRC) or operated by the US Department of Energy (DOE) or the US Department of Defense (DOD) must be executed under a rigorous and documented quality assurance program that provides adequate quality control and oversight. Those codes, standards, and orders regulate, document and prescribe the essentials for quality assurance (QA) and quality control (QC) that frequently impact nuclear facilities operated in the US are reviewed and compared.

2021 ◽  
Vol 9 (2B) ◽  
Author(s):  
YOUSSEF MORGHI ◽  
Amir Zacarias Mesquita ◽  
Ana Rosa BALIZA MAIA

In Brazil, according to Cnen standard, a nuclear power plant has authorization to operate for 40 years. Angra 1 commercial operation started in 1985 and it has license to operate until 2024. Eletronuclear aims to extend the operation of the Angra 1 plant from 40 to 60 years. To obtain the license renewal by more than 20 years (long-term operation), Eletronuclear will need to meet the requirements of 10 CFR Part 54, Cnen NT-CGRC-007/18 and NT-CGRC-008/18 (Cnen technical notes). To obtain a license renewal to a long-term operation it is necessary to demonstrate that the plants will operate according to safety requirements, through analysis, testing, aging management, system upgrades, as well as additional inspections. Plant operators and regulators must always ensure that plant safety is maintained and, when it is possible, strengthened during the long-term operation of the plant. One of the documents to obtain a license renewal to a long-term operation is the Quality Assurance Program (QAP). Angra 1 has a QAP according to 10CFR 50 App B and Cnen NN 1.16 for safety related items. However, according to 10 CFR50.34, Nureg-1800 Appendix A.2, Nureg-1801 Appendix A-1 of Nuclear Regulatory Commission (NRC) and NT-CGRC-007/18 and NT-CGRC-008/18 of Cnen, the QAP needs to include the items that are not safety related but are included in the Aging Management. This article will discuss the Angra 1 QAP for the license renewal to a long-term operation according the standards approved by Cnen.


Author(s):  
J. G. Merkle ◽  
K. K. Yoon ◽  
W. A. VanDerSluys ◽  
W. Server

ASME Code Cases N-629/N-631, published in 1999, provided an important new approach to allow material specific, measured fracture toughness curves for ferritic steels in the code applications. This has enabled some of the nuclear power plants whose reactor pressure vessel materials reached a certain threshold level based on overly conservative rules to use an alternative RTNDT to justify continued operation of their plants. These code cases have been approved by the US Nuclear Regulatory Commission and these have been proposed to be codified in Appendix A and Appendix G of the ASME Boiler and Pressure Vessel Code. This paper summarizes the basis of this approach for the record.


2016 ◽  
Vol 2016 ◽  
pp. 1-9 ◽  
Author(s):  
Andrija Volkanovski ◽  
Antonio Ballesteros Avila ◽  
Miguel Peinador Veira

This paper presents the results of the statistical analysis of the loss of offsite power events (LOOP) registered in four reviewed databases. The reviewed databases include the IRSN (Institut de Radioprotection et de Sûreté Nucléaire) SAPIDE database and the GRS (Gesellschaft für Anlagen- und Reaktorsicherheit mbH) VERA database reviewed over the period from 1992 to 2011. The US NRC (Nuclear Regulatory Commission) Licensee Event Reports (LERs) database and the IAEA International Reporting System (IRS) database were screened for relevant events registered over the period from 1990 to 2013. The number of LOOP events in each year in the analysed period and mode of operation are assessed during the screening. The LOOP frequencies obtained for the French and German nuclear power plants (NPPs) during critical operation are of the same order of magnitude with the plant related events as a dominant contributor. A frequency of one LOOP event per shutdown year is obtained for German NPPs in shutdown mode of operation. For the US NPPs, the obtained LOOP frequency for critical and shutdown mode is comparable to the one assessed in NUREG/CR-6890. Decreasing trend is obtained for the LOOP events registered in three databases (IRSN, GRS, and NRC).


Author(s):  
Kamil Kravárik ◽  
Vladimír Míchal ◽  
Peter Menyhardt

Abstract This paper deals with technologies used for decommissioning and decontamination of the A-1 Nuclear Power Plant in Slovakia and their comparison with advanced worldwide approaches. Present status and main results in the field of D&D of this first Czechoslovak NPP A-1 at Jaslovské Bohunice are described. NPP A-1 has one unit with reactor cooled by CO2 and moderated by heavy water. Plant was in operation from 1972 to 1977 and its final shutdown and closure were done due to relatively serious accident. The A-1 NPP Decommissioning Project – I. phase is performed at the present time and represents the most important project of NPP decommissioning in Central Europe. The main goal of the project is to achieve radiologically safe status of the NPP. It includes following activities: • conditioning, storage and disposal of liquid radioactive waste, solid and metallic radioactive waste, sludge and sorbents, • development, manufacture and verification of advanced methodologies and technologies for D&D of nuclear facilities, • decontamination of specified equipment and structures to reduce free activity, • technical support and preparation of following phases within the A-1 NPP overall decommissioning process. The project should give the complex solution of problems related to decommissioning and decontamination of NPPs in Slovakia. Verified methodology and technology should be used as a generic approach for decommissioning of the V-1, V-2 (Jaslovské Bohunice) and Mochovce Nuclear Power Plants as well as the other European NPPs with WWER reactors. Significant part of paper deals with following issues within D&D of the A-1 NPP: • computer aided technologies, • decontamination, • dismantling, demolishing and remote handling manipulators, • dosimetry measurements within D&D, • radioactive waste management. This paper also includes basic comparison with advanced worldwide approaches to decommissioning and decontamination mainly in USA, Japan and West Europe and the recommendations are done when it is possible. The comparison shows that trends in the field of D&D in the Slovak Republic are compatible and comparable with the most significant world trends. It is noted that some sorts of D&D technologies like for example telerobotic systems developed in the world are at the relatively higher technical level. Decommissioning technologies in Slovakia should be permanently improved on the base of experiences from home and abroad industry and from the real operation. It is supposed that after short time could be achieved technical level comparable with the best D&D robots and manipulators. A basic strategy of NPP decommissioning in the Slovak Republic is regulated by standards, which are in accordance with recommendations of international bodies like the International Atomic Energy Agency, European Commission, U.S. Nuclear Regulatory Commission, OECD Nuclear Energy Agency etc. In the field of NPP D&D the Slovak Republic co-operates with many international organizations and also with main active countries in D&D like Germany, France, Belgium, Great Britain, USA, Japan, Russian Federation, Hungary, Poland and Czech Republic. Intensive international co-operation at all levels has already been established at the present time.


Author(s):  
Thomas S. LaGuardia

The US Nuclear Regulatory Commission (NRC) established criteria for acceptable residual radioactivity related to decommissioning nuclear power plants in the US [1]. A level of 25 mRem per year to the maximum exposed individual by site-specific pathways analysis, with ALARA is acceptable to the NRC. Systems and structures containing very low levels of radioactivity that meet this criteria are deemed acceptable to abandon in place as part of the decommissioning process and termination of the license. Upon license termination by the NRC, the owner may then demolish and remove remaining structures. In practice, site-specific criteria imposed by local state mandates, company management decisions, real estate value, and long-term liability potential have driven nuclear plant licensees to adopt an alternative disposition for these materials. Although the reasons are different at each site, the NRC’s criteria of 25 mRem per year are not the controlling factor. This paper will describe the regulatory process for termination of the license, and the other factors that drive the decision to remove radioactive and non-radioactive material for decommissioning. Several case histories are presented to illustrate that the NRC’s criteria for license termination are not the only consideration.


2000 ◽  
Vol 122 (3) ◽  
pp. 234-241 ◽  
Author(s):  
Owen F. Hedden

This article will describe the development of Section XI from a pamphlet-sized document to the lengthy and complex set of requirements, interpretations, and Code Cases that it has become by the year 2000. Section XI began as a set of rules for inservice inspection of the primary pressure boundary system of nuclear power plants. It has evolved to include other aspects of maintaining the structural integrity of safety class pressure boundaries. These include procedures for component repair/replacement activities, analysis of revised and new plant operating conditions, and specialized provisions for nondestructive examination of components and piping. It has also increased in scope to cover other Section III construction: Class 2, Class 3 and containment structures. First, to provide a context for the discussions to follow, the differences in administration and enforcement between Section XI and the other Code Sections will be explained, including its dependence on the US Nuclear Regulatory Commission. The importance of interpretations and Code Cases then will be discussed. The development of general requirements and requirements for each class of structure will be traced. The movement of Section XI toward a new philosophy, risk-informed inspection, will also be discussed. Finally, an annotated bibliography of papers describing the philosophy and technical basis behind Section XI will be provided. [S0094-9930(00)01703-0]


Author(s):  
Ma Chao ◽  
Deng Wei ◽  
An Jin

Maintenance effectiveness is important for the safety and power production of Nuclear Power Plants (NPP). U.S. Nuclear Regulatory Commission (NRC) Maintenance Rule (10CFR50.65, MR) became effective in 1996, and it is mandatory for all the US plants to use Maintenance Rule in their daily maintenance activities. With the development and wide usage of Probabilistic Risk Assessment (PRA) technique in China, China regulator and utilities are trying to adopt MR in maintenance activities. Brief study on application of MR in some VVER-typed China nuclear plant is carried out and some main results are shown. All the application process and results will be useful for later official application of MR in China.


Author(s):  
John O’Hara ◽  
Stephen Fleger

The U.S. Nuclear Regulatory Commission (NRC) evaluates the human factors engineering (HFE) of nuclear power plant design and operations to protect public health and safety. The HFE safety reviews encompass both the design process and its products. The NRC staff performs the reviews using the detailed guidance contained in two key documents: the HFE Program Review Model (NUREG-0711) and the Human-System Interface Design Review Guidelines (NUREG-0700). This paper will describe these two documents and the method used to develop them. As the NRC is committed to the periodic update and improvement of the guidance to ensure that they remain state-of-the-art design evaluation tools, we will discuss the topics being addressed in support of future updates as well.


Author(s):  
Ronald C. Lippy

The nuclear industry is preparing for the licensing and construction of new nuclear power plants in the United States. Several new designs have been developed and approved, including the “traditional” reactor designs, the passive safe shutdown designs and the small modular reactors (SMRs). The American Society of Mechanical Engineers (ASME) provides specific Codes used to perform preservice inspection/testing and inservice inspection/testing for many of the components used in the new reactor designs. The U.S. Nuclear Regulatory Commission (NRC) reviews information provided by applicants related to inservice testing (IST) programs for Design Certifications and Combined Licenses (COLs) under Part 52, “Licenses, Certifications, and Approvals for Nuclear Power Plants,” in Title 10 of the Code of Federal Regulations (10 CFR Part 52) (Reference 1). The 2012 Edition of the ASME OM Code defines a post-2000 plant as a nuclear power plant that was issued (or will be issued) its construction permit, or combined license for construction and operation, by the applicable regulatory authority on or following January 1, 2000. The New Reactors OM Code (NROMC) Task Group (TG) of the ASME Code for Operation and Maintenance of Nuclear Power Plants (NROMC TG) is assigned the task of ensuring that the preservice testing (PST) and IST provisions in the ASME OM Code to address pumps, valves, and dynamic restraints (snubbers) in post-2000 nuclear power plants are adequate to provide reasonable assurance that the components will operate as needed when called upon. Currently, the NROMC TG is preparing proposed guidance for the treatment of active pumps, valves, and dynamic restraints with high safety significance in non-safety systems in passive post-2000 reactors including SMRs.


Author(s):  
Thomas G. Scarbrough

In a series of Commission papers, the U.S. Nuclear Regulatory Commission (NRC) described its policy for inservice testing (IST) programs to be developed and implemented at nuclear power plants licensed under 10 CFR Part 52. This paper discusses the expectations for IST programs based on those Commission policy papers as applied in the NRC staff review of combined license (COL) applications for new reactors. For example, the design and qualification of pumps, valves, and dynamic restraints through implementation of American Society of Mechanical Engineers (ASME) Standard QME-1-2007, “Qualification of Active Mechanical Equipment Used in Nuclear Power Plants,” as accepted in NRC Regulatory Guide (RG) 1.100 (Revision 3), “Seismic Qualification of Electrical and Active Mechanical Equipment and Functional Qualification of Active Mechanical Equipment for Nuclear Power Plants,” will enable IST activities to assess the operational readiness of those components to perform their intended functions. ASME has updated the Operation and Maintenance of Nuclear Power Plants (OM Code) to improve the IST provisions for pumps, valves, and dynamic restraints that are incorporated by reference in the NRC regulations with applicable conditions. In addition, lessons learned from performance experience and testing of motor-operated valves (MOVs) will be implemented as part of the IST programs together with application of those lessons learned to other power-operated valves (POVs). Licensee programs for the Regulatory Treatment of Non-Safety Systems (RTNSS) will be implemented for components in active nonsafety-related systems that are the first line of defense in new reactors that rely on passive systems to provide reactor core and containment cooling in the event of a plant transient. This paper also discusses the overlapping testing provisions specified in ASME Standard QME-1-2007; plant-specific inspections, tests, analyses, and acceptance criteria; the applicable ASME OM Code as incorporated by reference in the NRC regulations; specific license conditions; and Initial Test Programs as described in the final safety analysis report and applicable RGs. Paper published with permission.


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