Defense Nuclear Facilities Safety Board
Washington, D.C. 20004
Policy Statement
PS-1
Date: October 19, 1990
Subject
CRITERIA FOR JUDGING THE ADEQUACY OF DOE RESPONSES AND IMPLEMENTATION PLANS FOR
BOARD RECOMMENDATIONS
Summary
This policy statement, the Board's first, establishes the criteria which the Defense
Nuclear Facilities Safety Board will use in judging the adequacy of DOE Responses and
Implementation Plans for Board Recommendations. The criteria are derived from the legal
requirements contained in the Board's enabling legislation.
Criteria for Judging the Adequacy of DOE
Responses and Implementation Plans for
DNFSB Recommendations 
The Board's authorizing statute requires the Secretary of Energy to respond to each
Board recommendation and to subsequently prepare an implementation plan for those portions
of the recommendation that DOE accepts. The statute allows the Board to use its discretion
and judgment in assessing the adequacy of DOE responses and implementation plans.
  - Evaluating DOE Responses
 
 The statute requires the Secretary of Energy to "transmit his response to the Board
    within 45 days after the date of publication [in the Federal Register] ... of the notice
    with respect to such recommendation or within such additional period, not to exceed 45
    days, as the Board may grant." The Act anticipates responses which accept the
    Board's recommendations, and responses which reject the Board's recommendations, in
    whole or in part. As we have already learned from DOE's responses to the Board's first six
    recommendations, however, there is a whole range of possible written responses that the
    Board must be prepared to deal with in the future.
 
 For example, DOE may choose to rely upon a response letter which simply states that the
    Secretary agrees with or accepts a recommendation of the Board. Such action constitutes an
    unconditional acceptance of the Board's recommendation, and acquiesces in the Board's
    interpretation of the recommendation's terms and requirements. Any subsequent
    contradiction or retrenchment from the response's unconditional acceptance in the
    implementation plan will ordinarily be unacceptable to the Board. Therefore, it is far
    preferable to air any real differences that DOE may have with the recommendation in the
    response itself. Moreover, preliminary discussions between the Board, its staff, and DOE
    prior to the Secretary's issuance of a final response can avoid confusion, disputes,
    misunderstanding, and wasted effort later in the process.
 
 It should be noted that a response which rejects portions of a recommendation may
    be an adequate response if, in the Board's judgment, sound reasons are given
    for rejecting the recommendation, and alternative means of protecting public health and
    safety are specified. On the other hand, an evasive, non-responsive, ambiguous, or unclear
    response which is labeled an acceptance by DOE is not adequate. The Board recognizes that
    a flawed response, if left uncorrected, will only lead to further problems in the
    implementation plan.
 
 The following types of DOE responses may be encountered by the Board:
 
 
      - A response which says it is an acceptance, but by its language or terms in fact rejects
        part of the recommendation.
 
 
- Ambiguous responses that could be interpreted either as acceptance or rejection of the
        recommendation.
 
 
- Failure to address certain issues.
 
 
- Unqualified rejection of the entire recommendation.
 
 
- Silence, or no response.
 
 
- Unconditional acceptance of the entire recommendation consistent with the terms set by
        the Board.
 
 Comparing DOE responses against this list of response types will assist the Board in
    sorting out actual DOE acceptances from rejections. A valid acceptance is filed in a timely
    manner and exhibits three key features: (1) an understanding of what is being asked
    or recommended; (2) a commitment by DOE to take action to meet the recommendation;
    and (3) specification of what DOE intends to do so that the Board can determine if
    all material terms of the recommendation will be met, rather than avoided.
 
 DOE's response need not be detailed or long, provided the Board is satisfied that DOE
    understands what is being asked and intends to accomplish the recommended action in a
    timely manner. If a response satisfies the above three requirements, however, it need not
    present the details of how and when the recommendation will be met-- that is
    the purpose of the implementation plan.
 
 
 
- Evaluating DOE's Implementation Plan
 
 As with responses, the statute, for the most part, gives the Board discretion to use its
    judgment in assessing the adequacy of implementation plans. The statutory language
    expresses one major substantive measure of an implementation plan's effectiveness,
    which is perhaps self-evident. Since the Secretary must ordinarily "carry out"
    and "complete" implementation in one year, it necessarily follows that the plan
    must schedule, and otherwise assure, that action is taken to accomplish the
    recommendation. The statute also imposes two procedural requirements. First, the
    Secretary must "transmit the implementation plan to the Board within 90 days after
    the date" of the Secretary's final decision on the recommendation. If additional time
    is necessary to write the plan, the Secretary may take an additional 45 days, provided he
    submits the reasons for the delay to the appropriate congressional committees. Second, if
    the Secretary cannot carry out and complete the implementation plan within one year, he
    must report the reasons for the delay to the appropriate congressional committees.
 
 The purpose of the implementation plan is to provide a basis and a schedule for assuring
    that accepted recommendations are accomplished.
 
 
      - SUBSTANTIVE CRITERIA
 
 
          - Does DOE understand the Board's recommendation?
 
 DOE's responses give the first indication of whether or not the Board's recommendations
            have been communicated and understood. If a response is adequate, the implementation plan
            should track the response in this regard and clearly demonstrate an understanding of the
            recommendation. If there is a clear restatement by DOE in the implementation plan of the
            recommendation's goals, or of the underlying issues or problems identified by the
            recommendation, the Board can then reasonably assume that its initial recommendation was
            understood. DOE, however, maintains latitude to implement recommendations in a wide
            variety of ways so long as the Board's recommendations are achieved. Ultimately, the
            totality of all the terms of plan will exhibit the level of DOE's understanding and
            acceptance of the recommendation.
 
 
- What does DOE intend to do to accomplish the recommendation?
 
 A clear acceptance of the Board's recommendation in DOE's response is the initial
            indicator that DOE is committed to achieving the recommended action. On the other hand, if
            an initial implementation plan incorporates a response which does not signal DOE's intent
            to fully meet the recommendation, the Board has grounds for serious concern. A specific
            description of DOE's intended course of action, in the implementation plan itself, is the
            best indicator of whether DOE is committed to the accomplishment of the recommendation.
            Such a description can also resolve questions raised by ambiguous or unclear DOE
            responses, and clarify how DOE has chosen to interpret the recommendation.
 
 If DOE's response meets the terms of the recommendation, and that response is incorporated
            in the implementation plan by reference, or restated, the Board has reason to believe that
            DOE intends to comply. That intent must be confirmed, however, by a full review of the
            details of how DOE plans to accomplish the recommendation.
 
 
- What are DOE's baseline assumptions?
 
 The depth and type of baseline assumptions can vary greatly depending on the
            recommendation. Most implementation plans will be based on engineering or technical
            assumptions. Some implementation plans, if not all, will embrace administrative and
            legislative assumptions also, i.e. compliance provided sufficient funds are appropriated.
            Important assumptions should be presented in the plan.
 
 
- Has DOE adequately outlined its approach?
 
 DOE's approach must be outlined in sufficient detail to enable the Board to independently
            assess the approach without doing the underlying work. The plan should address the
            questions of how the goals relating to safety will be achieved and maintained. The Board
            should be able to assess whether the approach is reasonable and achievable within the
            specified time period.
 
 
- Has DOE adequately justified a course of action proposed in the implementation plan?
 
 The plan should contain a sound evaluation of the problem first identified in the
            recommendation, including a root cause analysis (or summary thereof), so that it is clear
            why DOE is taking the proposed action. The causes of any technical problems should be
            identified, when appropriate, not just the administrative controls (or lack thereof) that
            allowed the situation to occur. Reasons should be given for agreeing with the
            recommendation, based on DOE's own analysis.
 
 
- Has the plan truly called for completion or closure?
 
 The plan should clearly provide a method for demonstrating completion or closure in a
            manner that can be easily verified by the Board.
 
 
 
- PROCEDURAL REQUIREMENTS
 
 
          - Has DOE submitted the plan to the Board in accordance with statutory deadlines? 
 
 
- Has DOE established a realistic and achievable schedule for completion? 
 
 Final deadlines, as well as intermediary milestones or checks and deliverables with
            measures of accomplishment, should be identified in the implementation plan.
 
 
- Has DOE adequately provided for implementation course corrections or process change
            in appropriate cases?
 
 Complex, long range plans must be flexible enough to accommodate change if necessary. A
            process should be defined for configuration management or change control so that the
            proposed action can be modified if additional information dictates, or changes in the
            assumptions occur.
 
 
- Has DOE provided for quality assurance in appropriate cases?
 
 The Board may require a plan to specify how the quality of the proposed action will be
            assured. Quality issues include qualifications of people involved, internal checks on the
            implementation as the task is completed, final verification, independent oversight, and
            chain of custody on records, samples, other critical data and documentation.
 
 
- Does the Plan provide for adequate reporting in appropriate cases?
 
 A reporting scheme and schedule should be specified to assure the Board remains informed
            of the status of the progress and any new related issues that may appear.