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RIC 2009 NRC and Licensee Safety Culture Activities

RIC 2009 NRC and Licensee Safety Culture Activities. Rani Franovich Performance Assessment Branch, NRR March 12, 2009. Historical Perspective. ROP Framework Transparent Understandable Objective Predictable Davis-Besse Reactor Vessel Head Corrosion Commission Direction

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RIC 2009 NRC and Licensee Safety Culture Activities

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  1. RIC 2009NRC and LicenseeSafety Culture Activities Rani Franovich Performance Assessment Branch, NRR March 12, 2009

  2. Historical Perspective • ROP Framework • Transparent • Understandable • Objective • Predictable • Davis-Besse Reactor Vessel Head Corrosion • Commission Direction • Enhance the ROP’s treatment of cross-cutting issues • Evaluate safety culture of plants with significant performance issues • Ensure safety culture enhancements are consistent with ROP principles

  3. ROP Framework for Safety Culture • Inspection Manual Chapter (IMC) 0305 • Cross-cutting Issue (CCI) • Components • Aspects • Substantive Cross-cutting Issue (SCCI) • Safety Culture Assessment • Inspection Procedure (IP) 71152 • Focus is on the corrective action program • Includes guidance for monitoring licensee’s progress in correcting an SCCI • Supplemental Inspections • IP 95001, IP 95002, IP 95003

  4. IP 95003 Safety Culture Assessment Changes • If no weaknesses are identified • Staff will focus on licensee’s response and corrective actions • If assessment was not sufficiently comprehensive • Staff will focus on populations that were under-sampled or safety culture components that were inadequately covered • If weaknesses identified in methodology or qualifications of safety culture assessor • Staff will conduct sampling activities to evaluate consistency of results

  5. IMC 0305 Safety Culture Assessment Changes • Definitions were modified • Cross-cutting Aspect • Safety Culture Assessment • Substantive Cross-cutting Issue • 30-day notification period • if licensee disagrees with cross-cutting aspects • Discussion in assessment letters • Options for follow-up of repetitive substantive cross-cutting issues • Special provisions for follow-up and consideration of SCWE issues

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