Resources Archive
Executive Summary for Implementation Guide 05 to NEI 20-08, Schedule Practices, Team and Data Management, Configuration Control
Executive Summary for Implementation Guide 04 to NEI 20-08: First of a Kind Planning Considerations
On behalf of our members, NEI submitted comments in response to rulemaking addressing the clean hydrogen production credit established by the Inflation Reduction Act of 2022, expressing strong opposition to the incrementality requirement.
Canada and the U.S. are already embarking on strategic regulatory cooperation. This paper articulates how this cooperation will help enable both nations to achieve large-scale deployment of new nuclear power plants and enable both countries to achieve their national energy, climate, environmental, economic and national security goals.
On July 18, NEI President and CEO Maria Korsnick testified before the House Committee on Energy and Commerce Subcommittee on Energy, Climate, and Grid Security's hearing.
Because of the overarching importance of “Extreme Ownership and Leadership from the Top,” it will receive significant attention in this implementation guide. This IG #3 focuses on the people who will be needed to manage an NNP project and how to establish a durable accountability structure for planning and executing these projects. IG #3 focuses on the owner’s role as acceptance and implementation of all lessons learned flow from Extreme Ownership and top-level Leadership.
Too often, the NRC diverts its time and attention into activities that have a negligible effect on safety. As a result, NRC’s review processes are ponderous, prolonged and unnecessarily resource intensive. To show this tendency, NEI examined public records covering NRC review duration and cost for power uprates, license renewals, design certifications and early site permits.
NEI and the undersigned companies jointly submit this response to the supplemental comments submitted by the Clean Air Task Force and Natural Resources Defense Council (“CATF/NRDC”) on April 10, 2023, concerning whether Treasury may impose a requirement (commonly referred to as the “additionality” requirement) that only new generation adding incremental capacity to the electric grid could be used to produce clean hydrogen for purposes of the Section 45V credit.
Learn all the facts you need to know about our top source of carbon-free energy.
Tritium Fact Sheet
DNP-TIP-2022-09, Implementation of GNF GREAT Nuclear Design Option to Improve BWR Fuel Cycle Efficiency
DNP-TIP-2022–08, Use of Risk Insights to Optimize Aging Management Plan Implementation