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A Proposal for the Revision of the Public Notice on the National Inspection of Nuclear Material Accounting and Control

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한국방사성폐기물학회 학술논문요약집 (Abstracts of Proceedings of the Korean Radioactive Wasts Society)
한국방사성폐기물학회 (Korean Radioactive Waste Society)
초록

Among the public notices of the NSSC, five notices related to safeguards, including “Education of Nuclear Control, International Regulatory Materials, Preparation of Regulation of NMAC (Nuclear Material Accounting and Control), the National Inspection of NMAC, and Reporting of International Regulatory Materials” The regulations on the National Inspection of NMAC have remained the same since some revisions were made on December 26, 2017, raising the need to revise the public notice due to changes in the domestic and international safeguards regulatory environment. Accordingly, this paper analyzes the public notice of the National Inspection of NMAC and proposes the revision direction. The regulation regarding the National Inspection of NMAC comprises sections such as Purpose and Definition, Types - Scope - Frequency of the National Inspection, Notification of the National Inspection’s plan, and Management of Violation. Appendices include the contents of the violation table, explanations regarding types of violations, and various forms related to the National Inspection, which are attached separately. IAEA mentioned that ROK was selected as a pilot country for the Improved SLA (State-Level Approach) project starting in November 2020. IAEA explained that a quantitative and standardized methodology was adopted and developed for this purpose. As a result, the Unannounced Inspection at LWR facilities will transition to the Random Interim Inspection. Additionally, the Physical Inventory Verification in CANDU facilities will increase to once a year per reactor. This status will change the frequency and intensity of inspection at domestic nuclear facilities. Furthermore, domestically, there is an ongoing trend of continuous growth and diversification of nuclear facilities. In light of the changing domestic and international safeguards environment, it is necessary to set a direction for revising the regulation regarding the National Inspection of NMAC that was partially amended in 2017 to align with the current status. Firstly, due to the increased burden on operators resulting from the increased number of IAEA inspections following the application of Improved SLA, there is a need to streamline the National Inspection of NMAC frequency to enhance overall regulatory efficiency. Furthermore, the definition section should also be revised to include matters related to the regulation to reflect the current reality accurately. Considering the operation and name changes of new domestic nuclear facilities, there may be a need to add or modify computer input codes. While pursuing the revision of regulations regarding the National Inspection of NMAC, an analysis of the need for revision of other regulations related to safeguards should also be conducted, and directions should be set. Through this process, improving the regulatory framework that forms the basis of safeguards can help prevent confusion among operators and promote regulatory efficiency. We can better cope with these changes by proactively adapting to the rapidly changing domestic and international nuclear environment.

저자
  • Chul Heo(Korea Institute of Nuclear Nonproliferation and Control (KINAC)) Corresponding author