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Lead Staff Members: Daryl Johnson, DSO/SOSB
1. Reason for the briefing:
☐Information Meeting ☒Decision/Alignment Meeting ☐Other ________________
2. Subject of the briefing:
Updating flyover reporting guidance for SIDs to include Unidentified Anomalous
Phenomenon (UAP)and potential impacts to Enhanced Weapons Rule reporting
requirements
3. Bottom Line Up Front (BLUF):
Provide DSO Director and Deputy Director with an overview of the new reporting
requirement regarding UAPs to the U.S. Department of Defense (DOD) and propose
recommendations for reporting, collecting, and analyzing UAP data from U.S. Nuclear
Regulatory Commission (NRC) licensees, if any.
Key Messages:
• There is a new federal law requiring the NRC provide UAP and drone flyover data to the
DOD’s All-domain Anomaly Resolution Office (AARO) on a recurring annual basis (see
FY-2023 National Defense Authorization Act).
• UAPs differ from identified aircraft (such as fixed-wing, rotary, and UAS) such as having
no propulsion, no sound, different flight maneuvers and capabilities, as well as operating
in both water and air, among other characteristics.
• Currently, there is no security incident database (SID) category or NRC guidance to
licensees on how to differentiate between UAS and UAP. This has the potential to under
report, confuse, or ignore such sightings/incidents. As a result, we have no idea if UAPs
are flying over the aerospace of nuclear power plants or Category I fuel cycle facilities.
For example, NRC licensees may mistakenly report a UAP as a UAS/drone instead or
not report them at all since there is no mention of UAPs in prior NRC security advisories
or guidance. Further, NRC licensees are likely unaware of what constitutes a UAP or
their unique physical and anomalous characteristics.
• Having no differentiation between UAS and UAP in SID reporting has the potential to
impact timely Freedom of Information Act (FOIA) response times related to
UAPs/Unidentified Flying Objects (UFO) due to staff having to reanalyze UAS related
responsive records to see if the licensee is describing an identified UAS or a potential
UAP.
• Creating a separate category for UAP will create efficiency and avoid issues related to
timeliness when responding to FOIA requests.
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4. Background/Facts
• First AARO request to NRC for UAP/UAS flyover data for their Congressional Report,
5/01/2023.
• NSIR provided response to AARO for FY-2023, 6/05/2023 (received DSO and NSIR FO
review and concurrence).
• AARO Congressional reporting requirement stems from the FY-2023 National Defense
Authorization Act.
• FY-2023 National Defense Authorization Act requires the NRC to provide UAP and
drone data to AARO each year.
• In 2021, the NRC updated its UAS flyover guidance by requesting more details about
UAS incidents (e.g. UAS characteristics, flight duration, flyover time, number of drones,
etc.). There has been no mention of UAP in past generic communications.
• Currently, the NRC has no process to report UAPs and has no awareness of UAPs
operating around NRC licensees in its guidance, including no mention of them, no
definition, no information regarding how they differ from other aircraft, and no information
related to whether they should be voluntarily reported or not
• There is no impact to the EWR because the current characterization of flyover using
“manned” and “unmanned” likely covers UAPs. DPCP, however, has some input and
questions concerning possible rule making regarding the new federal UAP reporting
law’s applicability to the NRC
5. Seeking NSIR Front Office Support:
• NSIR Front Office support and approval is requested to pursue the recommendations
listed under expected outcomes of results.
6. Stakeholder Engagement:
Internal Stakeholders
• NSIR/DSO, NSIR/DPCP, NSIR/DPR (i.e., HOO-HOC), NRC Regions, FSC program,
External Stakeholders
• U.S. Department of Defense, All-domain Anomalous Resolution Office (AARO)
7. Anticipated Challenges/Differing Stakeholder Views:
• Potentially revising SID flyover reporting guidance via a GENCOM
8. Expected Outcome of Results:
• Request AARO UAP reporting guidance for government agencies and military, if any.
• Develop special UAP reporting guidance for NRC licensees.
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• Issue a Security Advisory providing another update to flyover guidelines that includes
UAP.
• Possible future rule making regarding the new federal law’s UAP reporting
requirements and its applicability to the NRC.
• Impact on staff workload is negligible. HOO should add another category of SID
reporting. Licensees should receive guidance through a Generic Communication
(possible security advisory). These recommendations should not significantly
increase security incident database reporting (i.e. SID flyover reporting involving
drones remains at 12 to 25 reports per year).
Did you/are you planning to utilize the Be riskSMART framework?
☒Yes ☐No.
Explanation: We will work with internal and external stakeholders to ensure all benefits,
insights, and risks are being considered.
9. Security level
Publicly Available
10. Front Office Agreement/Direction: Yes (see sections 5 and 8)
11. Milestones:
• Branch Chief Alignment – 8/16/2023
• DSO Alignment – 8/21/2023
• NSIR Alignment – 8/22/2023
• CY-2023 AARO UAP Data Request – 5/1/2024
• Response to CY-2023 AARO UAP Data Request – 6/01/2024