05000219/LER-2011-001, For Oyster Creek Nuclear, Unit 1, Regarding Changes and Errors in the Methodology Used by General Electric-Hitachi to Demonstrate Compliance with 10 CFR 50.46 Acceptance Criteria
| ML11188A110 | |
| Person / Time | |
|---|---|
| Site: | Oyster Creek (DPR-016) |
| Issue date: | 07/01/2011 |
| From: | Massaro M Exelon Nuclear |
| To: | Document Control Desk, Office of Nuclear Reactor Regulation |
| References | |
| RA-11-052 LER 11-001-00 | |
| Download: ML11188A110 (6) | |
| Event date: | |
|---|---|
| Report date: | |
| Reporting criterion: | 10 CFR 50.73(a)(2)(i) 10 CFR 50.73(a)(2)(vii), Common Cause Inoperability 10 CFR 50.73(a)(2)(ii)(A), Seriously Degraded 10 CFR 50.73(a)(2)(viii)(A) 10 CFR 50.73(a)(2)(ii)(B), Unanalyzed Condition 10 CFR 50.73(a)(2)(viii)(B) 10 CFR 50.73(a)(2)(iii) 10 CFR 50.73(a)(2)(ix)(A) 10 CFR 50.73(a)(2)(iv)(A), System Actuation 10 CFR 50.73(a)(2)(x) 10 CFR 50.73(a)(2)(v)(A), Loss of Safety Function - Shutdown the Reactor 10 CFR 50.73(a)(2)(v)(B), Loss of Safety Function - Remove Residual Heat 10 CFR 50.73(a)(2)(i)(A), Completion of TS Shutdown 10 CFR 50.73(a)(2)(v), Loss of Safety Function 10 CFR 50.73(a)(2)(i)(B), Prohibited by Technical Specifications |
| 2192011001R00 - NRC Website | |
text
Exelni Oyster Creek Generating Station www.exeloncorp.com Nuclear Route 9 South PO Box 388 Forked River, NJ o8731 10 CFR 50.73 RA-1 1-052 July 1,2011 U. S. Nuclear Regulatory Commission Attn: Document Control Desk Washington, DC 20555 - 0001 Oyster Creek Nuclear Generating Station Renewed Facility Operating License No. DPR-16 NRC Docket No. 50-219
Subject:
Licensee Event Report (LER) 2011-001-00, MAPLHGR Correction Enclosed is LER 2011-001-00, Changes and Errors in the Methodology used by General Electric-Hitachi to Demonstrate Compliance with 10 CFR 50.46 Acceptance Criteria. This event did not affect the health and safety of the public or plant personnel. This event did not result in a safety system functional failure. There are no regulatory commitments made in this LER submittal.
Should you have any questions concerning this letter, please contact Jeff Chrisley, Regulatory Assurance, at (609) 971-4469.
Respectfully, Michael J. Massaro Vice President Oyster Creek Nuclear Generating Station Enclosure: NRC Form 366, LER 2011-001-00 cc:
Administrator, NRC Region 1 NRC Senior Resident Inspector - Oyster Creek Nuclear Generating Station NRC Senior Project Manager - Oyster Creek Nuclear Generating Station
I NRC FORM 366 U.S. NUCLEAR REGULATORY COMMISSION APPROVED BY OMB: NO. 3150-0104 EXPIRES: 10/31/2013 (10-2010)
, the NRC may sfor each block) not conduct or sponsor, and a person is not required to respond to, the digits/characters finformation collection.
- 3. PAGE Oyster Creek, Unit 1 05000219 1 OF 5
- 4. TITLE Changes and Errors in the Methodology used by General Electric-Hitachi to Demonstrate Compliance with 10 CFR 50.46 Acceptance Criteria
- 5. EVENT DATE
- 6. LER NUMBER
- 7. REPORT DATE
- 8. OTHER FACILITIES INVOLVED SEQUENTIAL REV FACILITY NAME DOCKET NUMBER MONTH DAY YEAR YEAR NUMBER NO.
MONTH DAY YEAR N/A N/A FACILITY NAME DOCKET NUMBER 05 04 2011 2011 001 00 07 01 2011 N/A N/A
- 9. OPERATING MODE
- 11. THIS REPORT IS SUBMITTED PURSUANT TO THE REQUIREMENTS OF 10 CFR §: (Check all that apply)
[1 20.2201(b)
El 20.2203(a)(3)(i)
El 50.73(a)(2)(i)(C)
El 50.73(a)(2)(vii)
N
[: 20.2201(d)
[I 20.2203(a)(3)(ii) 0l 50.73(a)(2)(ii)(A)
[I 50.73(a)(2)(viii)(A)
C3 20.2203(a)(1)
El 20.2203(a)(4)
El 50.73(a)(2)(ii)(B)
El 50.73(a)(2)(viii)(B)
[I 20.2203(a)(2)(i)
[I 50.36(c)(1)(i)(A)
[I 50.73(a)(2)(iii)
[I 50.73(a)(2)(ix)(A)
- 10. POWER LEVEL [I 20.2203(a)(2)(ii)
El 50.36(c)(1)(ii)(A)
[: 50.73(a)(2)(iv)(A)
El 50.73(a)(2)(x)
El 20.2203(a)(2)(iii)
El 50.36(c)(2)
El 50.73(a)(2)(v)(A)
El 73.71 (a)(4) 0 El 20.2203(a)(2)(iv)
Z 50.46(a)(3)(ii)
El 50.73(a)(2)(v)(B)
[E 73.71 (a)(5)
El 20.2203(a)(2)(v)
[I 50.73(a)(2)(i)(A)
El 50.73(a)(2)(v)(C)
[E OTHER El 20.2203(a)(2)(vi)
El 50.73(a)(2)(i)(B)
[E 50.73(a)(2)(v)(D)
Specify in Abstract below or in power generation outside the fuel rod would tend to suppress the hot bundle power required to meet the initial operating Peak Linear Heat Generation Rate (PLHGR). Further, there is a small effect on the initial conditions for the balance of the core as these are set in relation to the hot bundle condition. This error impacted the GEl 1 fuel PCT by -20'F and Oxidation by -1% and the GNF2 fuel PCT by 30°F and Oxidation by 9.5%.
Notification 2011-04: Impact of Droplet Flow Distribution Array Alignment to Rod Groupings Error:
Programmed enhancements to the CORCL code allowed an increased number of rod groupings to be defined so as to more accurately represent bundle configuration in the ECCS-LOCA analysis. It was noted that an array in the model, which describes distribution of droplets and film cooling from core spray across the several groupings of rods and the channel was not populated with corresponding additional elements. This had the effect of denying the channel and peripheral groupings of this core spray distribution, preferentially distributing liquid film and droplets with cooling effect to represented rod groupings. This condition is potentially non-conservative for calculating temperatures in the rod groups where the PCT might occur. This error impacted the GEl 1 fuel PCT by 550F and Oxidation by 3% and the GNF2 fuel PCT by 40°F and Oxidation by 10%.
Notification 2011-05: Impact of Update in CORCL Code Version:
Notification of a change in the CORCL code is conveyed by this letter. CORCL has been updated to Version CORCL07E3 for the purpose of addressing acknowledged errors which have been discovered in modeling (subject of prior notification letters as described in the attachments), as well as to provide added functionality of the code with respect to power distribution, increasing the number of rod groups that can be modeled, inclusion of PRIME-based properties on fuel, correction on film cooling credited, and to provide other updates by way of code maintenance. The effect of these changes on the licensing basis PCT has been seen to have minor sensitivity according to the fuel bundle analyzed, as would be expected. The Version CORCL07E3 is documented as the default version of CORCL for pending and future analyses using this code going forward. This change impacted the GEl 1 fuel PCT by 30°F and Oxidation by 1 1%and the GNF2 fuel PCT by 10°F and Oxidation by 0.5%.
The combined impact on PCT of the errors/changes described above is 1 150F for the GEl 1 fuel and 145 0F for the GNF2 fuel. These increases in PCT result in the licensing basis PCT exceeding the 10 CFR 50.46 acceptance criterion of 22000F. Therefore, the PCT and MLO impact of these notifications has been offset by the calculation and implementation of revised MAPLHGR values such that the maximum PCT and MLO values for both the GEl 1 and GNF2 fuel designs are returned to their original values of 2150OF and 16.5% respectively as documented in the vendor 10 CFR 50.46 notifications. Accordingly, this reanalysis meets the requirements of 10 CFR 50.46.
Cause of Event
The apparent causes of the subject errors, and the description of the model change, are identified below. The CORCL errors are generally legacy errors created when the CORCL code was being developed and updated for application to 9x9 and 10x10 fuel designs with part length fuel rods.
Notification Letter 2011-01:
An option in the CORCL code distributes power in a manner considering part-length rods in the bundle. It has been found this modeling technique is non-conservative, slightly under predicting the total power generated in the hot bundle.
Cause of Event Continued
Notification Letter 2011-02:
SAFER input coefficients used to direct the deposition of gamma radiation energy produced by fuel (used to determine whether it would heat the fuel rod, cladding, channel, or control rod structure materials) were determined to be incorrect. The cause of the incorrect Input coefficients was a database error for 10x10 fuel bundles. The input caused the heat deposited in the fuel channel (post scram) to be over-predicted and the corresponding heat to the fuel to be under-predicted. This effect was seen to be non-conservative.
Notification Letter 2011-03:
SAFER input coefficients used to direct the deposition of gamma and neutron radiation energy produced by fuel fissions and decay heat were determined to be incorrect. The contribution of heat from gamma ray absorption by the channel was found to have been minimized. The method had been simplified such that initially all the energy was assumed to be deposited in the fuel rods prior to the LOCA and then adjusted such that the correct heat deposition was applied after the scram. This simplified modeling was concluded to be potentially non-conservative Notification Letter 2011-04:
The CORCL model was enhanced to allow an increased number of rod groupings to be defined so as to more accurately represent bundle configuration in the ECCS-LOCA analysis. An associated array in the model was not changed/updated consistent with the new rod groupings. This condition is potentially non-conservative for calculating temperatures in the rod groups where the Peak Cladding Temperature (PCT) might occur.
Notification Letter 2011-05:
The CORCL code has been updated for the purpose of addressing acknowledged errors which have been discovered in modeling (subject of prior notification letters as described in the attachments), as well as to provide added functionality of the code with respect to power distribution, increasing the number of rod groups that can be modeled, inclusion of PRIME-based properties on fuel, correction on film cooling credited, and to provide other updates by way of code maintenance.
The apparent causes stated above are based upon the specific identified errors and changes within the ECCS/LOCA model. These apparent causes do not address the human performance factors that may have contributed to how these errors occurred. GEH is performing a root cause analysis to address all the factors that may have contributed to the above errors. If the results of the root cause analysis substantially alter the conclusions and/or corrective actions, a supplement to this LER will be submitted. This root cause analysis is expected to be completed before the end of July, 2011. The details of this root cause will be transmitted in a supplemental report. This information will be documented within OCNGS Condition Report IR 1211900.
Analysis of Event
As reported by GEH in 10 CFR 50.46 Notification Letters 2011-01, 2011-02, 2011-03, 2011-04 and 2011-05, the effect of each error is listed in Table 1:
Table 1 Notification Bundle PCT Effect Oxidation Letter Type (F)
Effect (%)
2011-01 GEl 1 50 3.0 GNF2 N/A N/A 2011-02 GEl 1 N/A N/A GNF2 65 13 2011-03 GEl 1
- - 20
- - 1.0 GNF2 30 9.5 2011-04 GEl 1 55 3.0 GNF2 40 10 2011-05 GEl 1 30 11 GNF2 10 0.5 The combined impact on PCT of the errors/changes described above is 11 50F for the GEl 1 fuel and 145 0F for the GNF2 fuel. These increases in PCT result in the licensing basis PCT exceeding the 10 CFR 50.46 acceptance criterion of 2200'F. Therefore, the PCT and MLO impact of these notifications has been offset by the calculation and implementation of revised MAPLHGR values such that the maximum PCT and MLO values for both the GEl 1 and GNF2 fuel designs are returned to their original values of 2150°F and 16.5% respectively as documented in the vendor 10 CFR 50.46 notifications. Accordingly, this reanalysis meets the requirements of 10 CFR 50.46.
Corrective Actions
An 8% administrative Maximum Average Planar Ratio (MAPRAT) penalty was preemptively applied to all OCNGS fuel to ensure that the operating MAPRAT bounded the non-conservative MAPLHGR meeting the 10 CFR 50.46 acceptance criterion of 22000F. Revised MAPLHGR limits have been provided by the fuel vendor and have been implemented into the plant monitoring system, followed by removal of the administrative adjustments to the MAPLHGR. An evaluation has been completed to determine the impact of the non-conservatism in the MAPRAT caused by the GEH 10 CFR 50.46 errors on all OCNGS cycles that operated since April 2 9 th, 2008. Actual on-line MAPRAT results for the core monitoring system (POWERPLEX-Ill and 3D MONICORE, as appropriate) as well as relevant penalties not included in the on-line MAPRAT calculation were evaluated. It was concluded that for the 10 CFR 50.46 errors, the actual operating MAPRAT for all OCNGS cycles that operated since April 2 9 th, 2008 continued to provide margin to the MAPLHGR limits required by Technical Specifications. This historical review of plant operation has shown that OCNGS did not operate in an unanalyzed condition.
Previous Occurrences
There have been no similar Licensee Event Reports submitted at OCNGS in the last three years.