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OECD/NEA Burnup Credit Criticality Benchmarks Phase IIIA: Criticality Calculations of BWR Spent Fuel Assemblies in Storage and Transport
OECD/NEA Burnup Credit Criticality Benchmarks Phase IIIA: Criticality Calculations of BWR Spent Fuel Assemblies in Storage and Transport
Standard Review Plan for Transportation Packages for MOX Spent Nuclear Fuel
Standard Review Plan for Transportation Packages for MOX Spent Nuclear Fuel
The NRC contracted with LLNL to compile this supplement to NUREG-1617 to incorporate additional
information specific to mixed uranium-plutonium oxide (MOX) fuel. This supplement provides details
on package review guidance resulting from significant differences between spent nuclear fuel from
irradiated LEU fuel and that from irradiated MOX fuel. The information presented is not to be
construed as having the force and effect of NRC regulations (except where regulations are cited), or as
Spent Fuel Burnup Credit in Casks: An NRC Perspective
Spent Fuel Burnup Credit in Casks: An NRC Perspective
Until now, the Nuclear Regulatory Commission's (NRC) approval of criticality safety evaluations for spent fuel in transport and storage casks has been based on analyzing the fuel as though it were fresh and without burnable poisons. The well-known nuclide composition of fresh fuel has provided a straightforward and bounding approach for showing that spent fuel systems will remain subcritical under normal and accident conditions. Burnup credit refers to the approval of criticality safety evaluations that consider the decrease in fuel reactivity caused by. irradiation in the reactor.
Selection of Reactor Criticals as Benchmarks for Spent Nuclear Fuels
Selection of Reactor Criticals as Benchmarks for Spent Nuclear Fuels
An Empirical Approach to Bounding the Axial Reactivity Effects of PWR Spent Nuclear Fuel
An Empirical Approach to Bounding the Axial Reactivity Effects of PWR Spent Nuclear Fuel
One of the significant issues yet to be resolved for using
burnup credit ~BUC! for spent nuclear fuel ~SNF! is establishing
a set of depletion parameters that produce an adequately conservative
representation of the fuel’s isotopic inventory. Depletion
parameters ~such as local power, fuel temperature, moderator temperature,
burnable poison rod history, and soluble boron concentration!
affect the isotopic inventory of fuel that is depleted in a
pressurized water reactor ~PWR!. However, obtaining the detailed
Nondestructive Assay of Nuclear Low-Enriched Uranium Spent Fuels for Burnup Credit Application
Nondestructive Assay of Nuclear Low-Enriched Uranium Spent Fuels for Burnup Credit Application
Criticality safety analysis devoted to spent-fuel storage and transportation has to be conservative in order to be sure no accident will ever happen. In the spent-fuel storage field, the assumption of freshness has been used to achieve the conservative aspect of criticality safety procedures. Nevertheless, after being irradiated in a reactor core, the fuel elements have obviously lost part of their original reactivity. The concept of taking into account this reactivity loss in criticality safety analysis is known as burnup credit.
Computational Benchmark of SAS2D Against Spent Fuel Samples from the Takahama-3 Reactor
Computational Benchmark of SAS2D Against Spent Fuel Samples from the Takahama-3 Reactor
Investigation of the Effect of Fixed Absorbers on the Reactivity of PWR Spent Nuclear Fuel for Burnup Credit
Investigation of the Effect of Fixed Absorbers on the Reactivity of PWR Spent Nuclear Fuel for Burnup Credit
The effect of fixed absorbers on the reactivity of pressurized water reactor (PWR) spent nuclear fuel (SNF) in support of burnup-credit criticality safety analyses is examined. A fuel assembly burned in conjunction with fixed absorbers may have a higher reactivity for a given burnup than an assembly that has not used fixed absorbers. As a result, guidance on burnup credit, issued by the U.S. Nuclear Regulatory Commission's Spent Fuel Project Office, recommends restricting the use of burnup credit to assemblies that have not used burnable absorbers.
NRC SFST ISG-8: Burnup Credit in the Criticality Safety Analyses of PWR Spent Fuel in Transportation and Storage Casks
NRC SFST ISG-8: Burnup Credit in the Criticality Safety Analyses of PWR Spent Fuel in Transportation and Storage Casks
Title 10 of the Code of Federal Regulations (10 CFR) Part 71, Packaging and Transportation of
Radioactive Material, and 10 CFR Part 72, Licensing Requirements for the Independent
Storage of Spent Nuclear Fuel, High-Level Radioactive Waste, and Reactor-Related Greater
Than Class C Waste, require that spent nuclear fuel (SNF) remain subcritical in transportation
and storage, respectively. Unirradiated reactor fuel has a well-specified nuclide composition
that provides a straightforward and bounding approach to the criticality safety analysis of
Transportation of Commercial Spent Nuclear Fuel Regulatory Issues Resolution
Transportation of Commercial Spent Nuclear Fuel Regulatory Issues Resolution
The U.S. industry’s limited efforts at licensing transportation packages characterized as “highcapacity,”
or containing “high-burnup” (>45 GWd/MTU) commercial spent nuclear fuel
(CSNF), or both, have not been successful considering existing spent-fuel inventories that will
have to be eventually transported. A holistic framework is proposed for resolving several CSNF
transportation issues. The framework considers transportation risks, spent-fuel and cask-design
EPRI Review of Geologic Disposal for Used Fuel and High Level Radioactive Waste: Volume I --The U.S. Site Selection Process Prior to the Nuclear Waste Policy Amendments Act
EPRI Review of Geologic Disposal for Used Fuel and High Level Radioactive Waste: Volume I --The U.S. Site Selection Process Prior to the Nuclear Waste Policy Amendments Act
U.S. efforts to site and construct a deep geologic repository for used fuel and high level radioactive waste (HLW) proceeded in fits and starts over a three decade period from the late 1950s until 1982, when the U.S. Congress enacted the Nuclear Waste Policy Act (NWPA). This legislation codified a national approach for developing a deep geologic repository. Amendment of the NWPA in 1987 resulted in a number of dramatic changes in direction for the U.S. program, most notably the selection of Yucca Mountain as the only site of the three remaining candidates for continued investigation.
EPRI Review of Geologic Disposal for Used Fuel and High Level Radioactive Waste: Volume II --U.S. Regulations for Geologic Disposal
EPRI Review of Geologic Disposal for Used Fuel and High Level Radioactive Waste: Volume II --U.S. Regulations for Geologic Disposal
U.S. efforts to site and construct a deep geologic repository for used fuel and high level
radioactive waste (HLW) proceeded in fits and starts over a three decade period from the late
1950s until 1982, when the U.S. Congress enacted the Nuclear Waste Policy Act (NWPA). This
legislation codified a national approach for developing a deep geologic repository. Amendment
of the NWPA in 1987 resulted in a number of dramatic changes in direction for the U.S.
program, most notably the selection of Yucca Mountain as the only site of the three remaining
EPRI Review of Geologic Disposal for Used Fuel and High Level Radioactive Waste: Volume IV - Lessons Learned
EPRI Review of Geologic Disposal for Used Fuel and High Level Radioactive Waste: Volume IV - Lessons Learned
The effective termination of the Yucca Mountain program by the U.S. Administration in 2009 has further delayed the construction and operation of a permanent disposal facility for used fuel and high level radioactive waste (HLW) in the United States. In concert with this decision, the President directed the Energy Secretary to establish the Blue Ribbon Commission on America's Nuclear Future to review and provide recommendations on options for managing used fuel and HLW.
Yucca Mountain Licensing Standard Options for Very Long Time Frames: Technical Bases for the Standard and Compliance Assessments
Yucca Mountain Licensing Standard Options for Very Long Time Frames: Technical Bases for the Standard and Compliance Assessments
In the existing U.S. Environmental Protection Agency (EPA) and Nuclear Regulatory Commission (NRC) regulations governing the spent nuclear fuel and high-level radioactive waste site at Yucca Mountain, Nevada, the time period of compliance was set at 10,000 years. Recently, a Court ordered that EPA and NRC either revise the regulation on this topic to be "based upon and consistent with" recommendations made by a panel of the National Academy of Sciences, who recommended a time period of compliance out to as long as one million years, or seek congressional relief.