3F0318-04, Technical Specifications Bases Control Program - 2018

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Technical Specifications Bases Control Program - 2018
ML18073A375
Person / Time
Site: Crystal River Duke Energy icon.png
Issue date: 03/14/2018
From: Dixon P
Duke Energy Florida
To:
Document Control Desk, Office of Nuclear Reactor Regulation
References
3F0318-04, PDTS 5.6.2.17
Download: ML18073A375 (1)


Text

Crystal River Nuclear Plant el_~ DUKE 15760 W. Power Line Street

~ ENERGY Crystal River, FL 34428 Docket 50-302 Operating License No. DPR-72 POTS 5.6.2.17 March 14, 2018 3F0318-04 U.S. Nuclear Regulatory Commission Attn: Document Control Desk Washington, DC 20555-0001

Subject:

Crystal River Unit 3 - Technical Specifications Bases Control Program - 2018

References:

. 1. NRC to CR-3 letter, "Crystal River Unit 3 Nuclear Generating Plant Issuance of Amendment 255 for the License and Permanently Defueled Technical Specifications to Reflect Permanent Removal of Spent Fuel from the Spent Fuel Pools," dated June 27, 2017 (ADAMs Accession No. ML17027A160)

2. CR-3 to NRC letter dated August 31, 2016, "Crystal River Unit 3 - License Amendment Request #323, Revision 0, Permanently Defueled Technical Specifications for the Independent Spent Fuel Storage Installation to Reflect Permanent Removal of Spent Fuel from the Spent Fuel Pools," (ADAMS Accession No. ML16249A249)

Dear Sir:

Duke Energy Florida, LLC, (DEF) hereby provides the changes that were made to the Crystal River Unit 3 (CR-3) Permanently Defueled Technical Specifications (POTS) Bases as required by POTS 5.6.2.17.

CR-3 POTS, Section 5.6.2.17 requires changes made without prior NRC approval be provided to the NRC on a frequency consistent with 10 CFR 50.71(e). The only CR-3 POTS Bases change processed without NRC explicit approval was the Bases Change associated with the POTS change referenced above. Reference 2, Enclosure 1, Section 2.1 provided a Table showing which portions of the POTS were being deleted in their entirety and which are being revised/retained consistent with a plant configuration where all spent fuel is located within the onsite Independent Spent Fuel Storage Installation. POTS Sections 1.0, 2.0, 3.0, and 3.7 were deleted in their entirety. Section 5.6.2.17 was also deleted. A statement at the bottom of the Table stated the corresponding POTS Bases are also being deleted to reflect the proposed changes. As of January 30, 2018, no Bases remain in the POTS.

There are no new regulatory commitments made within this submittal.

If you have any questions regarding this submittal, please contact Mr. Phil Rose, Lead Engineer, Nuclear Regulatory Affairs, at (352) 501-3172.

/J,ce':A~~

~ A.Dixon SAFSTOR Technical Support Manager Crystal River Nuclear Plant PAD/par cc: NMSS Project Manager Regional Administrator, Region I