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U.S. Low-Level Radioactive Waste Classification System 10 CFR Part 61 - Basis, Updates, and Issues. Boby Abu-Eid, Ph.D. SLS Advisor Division of Decommissioning, Uranium Recovery and Waste Programs U.S. Nuclear Regulatory Commission April 17, 2019 LLW Forum Meeting –Alexandria, VA.
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U.S. Low-Level Radioactive Waste Classification System 10 CFR Part 61 - Basis, Updates, and Issues Boby Abu-Eid, Ph.D. SLS Advisor Division of Decommissioning, Uranium Recovery and Waste Programs U.S. Nuclear Regulatory Commission April 17, 2019 LLW Forum Meeting –Alexandria, VA
Topics • Applicability and Basis of LLW Classification under 10 CFR Part 61: • Applicability • Waste class limits under §61.55 Tables 1&2 • Comparison with International waste classification (e.g.; GSG-1) • Waste classes limits and NRC ongoing activities: • Site-Specific Analysis & Waste Acceptance Criteria • Alternative Disposal Requests • VLLW • GTCC • Key Issues, Summary, and Conclusion
Applicability of 10 CFR Part 61 10 CFR Part 61 (Licensing Requirements for Land Disposal of Radioactive Waste): • Applies to Radioactive Waste (RW) containing byproduct, source, and special nuclear material (SNM). • Doesn’t apply to: HLW, Transuranic (TRU), Spent Nuclear Fuel (SNF), U/Th tailings, and licensed byproduct material under 10 CFR 20.1003. • Waste containing radionuclides exceeding §61.55 Table 1 limits or limits in Table 2, Column 3, (designated GTCC) are not generally acceptable for near surface disposal.
Basis of 10 CFR Part 61 Tables 1 & 2 Limits: Approach & Methodology • Set protection limits; derive scenarios for exposure; perform inverse calculations, and apply other factors to modify derived concentrations. • Waste classification tables were based on a 500 mrem (whole-body) exposure or other specific organ dose limits. • NUREGs-0782/0945 primarily considered two concentration-limited and one activity-limited intruder scenarios. • Concentration Limited Scenarios: Intruder-Construction (acute); and Intruder-Agriculture (chronic). • Common assumptions include: (a) institutional controls breakdown temporarily; (b) inadvertent intruder directly contacts waste; (c) intrusion occurs into last disposal cell constructed, and (d) waste remains locally dispersed.
Intruder Normal Activities Scenarios Dwelling Construction Drilling for Water Agriculture
Dose Conversion Factors (DCFs) Calculations • Intruder Construction PDCFs: NUREG-0782, Tables G.4 and G.7 • Intruder Agriculture PDCFs: NUREG-0782, Tables G.5 through G.7 • Calculated in NUREG/CR-1759 (1981), Vol. 3, App. B • DCFs • Inhalation DCFs from Health Physics 12, 173 (1966) and ICRP 19 (1972). • Ingestion DCFs from Reg. Guide 1.109, Rev.1 (1977) and NUREG-0172 (1977). • Direct gamma (volume) DCFs calculated from equations in HASL-195 (1968) with emitted gamma energy characteristics in Table of Isotopes, 6th Ed. (1967). • Direct gamma (air) DCFs are from NUREG-0456 (1978). • No dilution of I-129 with natural iodine. • All of above use dosimetry from ICRP 2 (1959).
IAEA GSG-1 Generic Waste Classification Scheme and Illustrative Examples of Waste Categories for Sealed Sources
Example Half-life Activity Volume Example Waste Class i<100 d 100 MBq Small Y-90, Au-198 VSLW (brachytherapy) ii <100 d 5 TBq Small Ir-192 VSLW (brachytherapy) iii <15 a <10 MBq Small Co-60, H-3 LLW (tritium targets), Kr-85 iv <15 a <100 TBq Small Co-60 LLW (irradiators) v <30 a <1 MBq Small Cs-137 LLW (brachytherapy, moisture density detectors) vi <30 a <1 PBq Small Cs-137 ILW (irradiators) Sr-90 (thickness gauges, RTGs) vii >30 a <40 MBq Small, but may Pu, Am, Ra (static ILW be large number eliminator) viii >30 a <10 GBq large numbers of Am-241, Ra-226 ILW sources (gauges) Example of Disused Sealed Sources Classes Based on IAEA GSG-1
Comparison of IAEA Waste Management Categories with U.S.
Waste Class Limits:Site-Specific Analysis New limits based on site-specific analysis could be established based on: • Use of different dose conversion factors • Use of site-specific exposure scenarios • Use of site-specific physical input parameters • Use of updated models/codes • Use of risk-informed probabilistic approach (inputs & results) • All of above would lead to different waste acceptance criteria • Limits established in Tables I & II wouldn’t be applicable to site-specific analysis.
Waste Class Limits:Alternative Disposal Request (ADR) Reviews • ADR for disposal of licensed materials of usually low-activity and quantity waste under 10 CFR 20.2002. • §20.2002 does not have specific dose limits. However, NUREG-1757, Vol. 1 Section 15.12 refers specifically to on-site disposal of 0.05 mSv/y (5 mrem/y) and use of risk-informed probabilistic approach using updated dosimetry and models. • Licensees may request approval for disposal of waste off-site under § 20.2002 in a landfill. The derived radionuclide concentrations and inventories may represent a significant fraction of Class A lower limits. • Exempt waste category and/or conditional clearance materials may be disposed under ADR using site-specific analysis on a case-by-case bases. • Based on safety criteria only, a fraction of Class A waste may disposed under ADR.
Waste Class Limits:Very Low-Level Waste (VLLW) Scoping Study • IAEA GSG-1 defines VLLW as: • Waste that does not meet the criteria of exempt waste, but does not need a high level of containment and isolation, and, therefore, is suitable for disposal in a near surface landfill type facility with limited regulatory control. • The NRC currently does not have a formal regulatory definition for VLLW. • Options that may be considered in the VLLW Scoping Study: (a) limited scope rulemaking; (b) developing guidance specific to VLLW including modifying the ADR guidance; and (c) status quo. See also 83 Fed. Reg. 6619.
Waste Classes Limits: GTCC • GTCC LLW is defined based on the upper limits of Class C waste. • Licensees or applicants may request on a case-by-case approval (61.55(a)(2)(iv) using similar methodology to Part 61, but using updated DCFs, models, scenarios and probabilistic analysis approach; • Site-specific analysis may result in different case-by-case approved GTCC volumes/inventories because of site differences; • NRC is currently evaluating whether some or all of GTCC can be disposed in the near surface. A draft regulatory basis is planned to be issues in the next few months.
Waste Acceptance Criteria • Licensees would review their waste acceptance program at least annually • Ensures that the program continues to be adequate and is being implemented in a way that continues to protect public health and safety Draft NUREG-2175
10 CFR Part 61 Waste Acceptance Criteria • Allowable Limits on Radioactivity • Waste-form Characteristics and Container Specifications • Restrictions and Prohibitions Draft NUREG-2175
Key Issues in 10 CFR Part 61 Classification • Considering a generic LLW disposal facility concentration limits in Tables 1 and 2 that are not up-to-date because they are: • Based on superseded dosimetry ICRP 2 (1959) • Based on superseded models/codes, and software • Based on risk to intruder using deterministic approach • Considered disposal options under the stringent Part 61 requirements for all waste, no lower limits for exemptions, clearance, or short-lived nuclides • 10 CFR Part 61 did not consider certain waste streams such as DU , • International “Waste Acceptance Criteria” is typically based on site -specific analysis. • However LLW disposal sites under Part 61 are protective and safe.
Summary & Conclusion • Current LLW classification system has provided adequate safety measures; however, there are several potential enhancements. • The concept of deriving waste classes limits based on a generic site with stringent requirements for all waste categories continues to be useful, but alternate risk-informed, performance-based approach could be viable. • ADR process allows for disposal of waste onsite or in RCRA facilities. • NRC is currently evaluating whether some or all of GTCC waste can be disposed of in a near surface facility. • The concept that GTCC waste cannot be disposed, on generic basis, in a land disposal facility should be revised. • The proposed Part 61 rulemaking has made changes to the rule that may allow use of site-specific waste acceptance criteria. • The Commission has directed staff to change the definition of LLW to be consistent with the 1985 Low-Level Waste Policy Act Amendments.
Site-Specific Analysis • NUREG-2175 (Guidance for Conducting Technical Analyses for 10 CFR Part 61) provides: • Flowcharts, NRC staff recommendations, and examples for how licensees can develop high-quality technical analyses • Guidelines for what licensees or applicants should include and what regulators should review for each type of analysis • Suggested references, screening tools, and case studies • DRAFT final version made publically available in ADAMS and on the public website http://www.nrc.gov/about-nrc/regulatory/rulemaking/potential-rulemaking/uw-streams.html
10 CFR Part 61 Dose Impact Calculation • The scenarios employ common expressions for dose equivalent, H (mrem): • H = ∑i,jPDCF x Ca, where: • PDCF ≡ Pathway Dose Conversion Factor, • (mrem per Ci/m3) • Ca≡ [Radionuclide]access point, (Ci/m3) • i ≡ Radionuclide index • j ≡ Pathway index
Dose Impacts Calculations (Cont’d) • Ca = I x Cw, where: • Cw≡ [Radionuclide]waste, (Ci/m3) • I = fo x fd x fw x fs, where: • I ≡ Interaction Factor, (-) • fo ≡ Time-delay factor, (-) • fd ≡ Site design and operation factor, (-) • fw ≡ Waste form and package factor, (-) • fs ≡ Site selection factor, (-)