NFPA 805 AND CONFIGURATION MANAGEMENT JIM LECHNER JUNE 7, 2016.

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Presentation transcript:

NFPA 805 AND CONFIGURATION MANAGEMENT JIM LECHNER JUNE 7, 2016

2 CONFIGURATION MANAGEMENT  The Actual Physical Configuration of SSCs What the plant really looks like  The Facility Configuration Information What the drawings, specifications and other documentation says  The Design Requirements What needs to be there (What the NRC Thinks is there)  How does that apply to Fire Protection? “THREE BALL MODEL”

3 WHAT IS OUR JOB AS CONFIGURATION MANAGERS?  Appendix R has a relatively small scope of SSCs and design requirements. Typically ECCS and Onsite Power/Support Systems and some administrative controls  NFPA 805 requires a much larger scope of SSCs, design requirements and programmatic elements to demonstrate compliance. Fire PRA credits most possible ways to get “water in the pot” and any available Power/Support systems along with numerous administrative controls KEEPING THE DOCUMENTATION ALIGNED WITH THE PLANT AND THE LICENSE REQUIREMENTS

4 CONFIGURATION CONTROL SCOPE

5 DOCUMENTATION CONCERNS  Scope  FPRA Assumptions Fire Modeling Zones of Influence (how they are derived) Credit is taken for Operating Procedures and How Operators “Respond” Very tight reliability and availability values of FP Systems  Programmatic Elements Credit is taken for Administrative Controls (i.e. transient combustibles) Fire Brigade Performance  NFPA Code Conformance Surveillance Requirements and Acceptance Criteria defined  Safe Shutdown SSCs, Circuit Analysis, and Assumptions Spurious Operations Combinations and Probabilities Non-Power Operations concerns

6 DOCUMENTATION CONCERNS CONT.  Radioactive Release Engineered features like floor drains and HVAC credited Storage limits imposed on contaminated materials Fire Brigade Training  System Performance MAPP runs etc. to define specific system response to events Timelines developed Onsite/Offsite Power credit Availability of Instrument Air Etc.

7 CONFIGURATION CHANGE PROCESS  Point of Entry  Fire Protection is Part of Applicability Determination Process When is 10 CFR the “YES” Answer for Licensing Process?  Appendix R concerned with no adverse impact to safe shutdown. Very few License Amendments using 10 CFR  NFPA 805 concerned with increases in Fire Risk Easier to get to “YES” 10 CFR is applicable process  Under NFPA 805 the Process is called Change Evaluation FAQ to NEI

8 CHANGE EVALUATION PROCESS

9 RESPONSIBILITIES  Design Engineers and other “Originators” of Changes Use of FP Impact Screening Process to provide initial assessment of FP Licensing Basis “touchpoints”  Fire Protection Program Owners FP Systems and Programmatic Elements  Safe Shutdown (NSCA) Engineers NSCA/Safe Shutdown Databases and Analyses  FPRA Practitioners Fire Modeling Qualitative Risk Evaluations Quantification  Regulatory Affairs License Amendments

10 WHAT DOES GOOD LOOK LIKE?  Understood by Fire Protection Program Owner at Site  Repeatable by Site Engineers  In a format that explains any assumptions made  Provides documented basis for decisions GOOD DOCUMENTATION

11 LESSONS LEARNED  NFPA 805 Not Resource Neutral Higher burden on FP analytical staff  FPRA Now Part of License Basis PRA No longer beyond design basis and exempt from QA, etc.  Culture Change Required from all staff Recognition of the many ways to change the plant Much lower threshold for FP License to be impacted Not all Fire Locations created equally

12 CONCLUSION  Documentation of process is KEY Comprehensive Lists of Supporting Analyses −Detailed listing of Assumptions Fire Protection DBD Document of License Bases −How do you comply area by area?  Having Good Tools Databases and Software Tools FPRA Scenario Drawings −Ignition Sources −Fuel Packages −Target Sets (Equipment, Cables and Raceways)

13 Contact Jim Lechner For More Information Visit QUESTIONS?