LR-N22-0090, Supplement to Submittal of Salem Generating Station Updated FSAR, Revision 33, 10 CFR 71.106 Review Results and 10 CFR 54.37(b) Review Results for Salem

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Supplement to Submittal of Salem Generating Station Updated FSAR, Revision 33, 10 CFR 71.106 Review Results and 10 CFR 54.37(b) Review Results for Salem
ML22314A221
Person / Time
Site: Salem  PSEG icon.png
Issue date: 11/10/2022
From: Montgomery R
Public Service Enterprise Group
To:
Office of Nuclear Reactor Regulation, Document Control Desk
References
LR-N22-0090, NEI 99-04
Download: ML22314A221 (1)


Text

PSEG Nuclear LLC P.O. Box 236, Hancocks Bridge, NJ 08038-0236 0 PSEG NudearLLC NEI 99-04 LR-N22-0090 November 10, 2022 U.S. Nuclear Regulatory Commission ATTN: Document Control Desk Washington, D.C. 20555-0001 Salem Generating Station - Unit 1 and Unit 2 Renewed Facility Operating License Nos. DPR-70 and DPR-75 NRC Docket Nos. 50-272 and 50-311

Subject:

Supplement to Submittal of Salem Generating Station Updated Final Safety Analysis Report, Revision 33, 10 CFR 71.106 review results and 10 CFR 54.37(b) review results for Salem

Reference:

LR-N22-0086, Submittal of Salem Generating Station Updated Final Safety Analysis Report, Revision 33, 10 CFR 71.106 review results and 10 CFR 54.37(b) review results for Salem dated October 24, 2022 On October 25, 2022, PSEG Nuclear LLC (PSEG) submitted the Salem Generating Station Updated Final Safety Analysis Report, Revision 33 which included a summary of changed/closed regulatory commitments that were not reported by other means during 2021 and 2022 to date in accordance with NEI 99-04. Subsequent to this submittal, PSEG determined that the summary of changed/closed regulatory commitments in Attachment 2 of the above referenced submittal contained incorrect information. A corrected summary is included as Attachment 1 to this letter.

There are no regulatory commitments contained in this letter.

If you have any questions or require additional information, please contact Mr. Lee Marabella at (856) 339-1208.

NEI 99-04 Page2 LR-N22-0090 I declare under penalty of perjury that the foregoing is true and correct.

Executed on /I/ 10 / ;;2 o;;i. )-

-~--,.~(D-a~t-e-)- - - -

Respectfully, qt//,,.(}JIt,JJJ rD<l '

Richard Montgomery Manager, Licensing PSEG Nuclear, LLC

Attachment:

1. Summary Report of Salem Changed/Closed Regulatory Commitments cc: Administrator, Region I, NRC Project Manager, NRG NRC Senior Resident Inspector, Salem Manager, NJBNE Corporate Commitment Tracking Coordinator Station Commitment Tracking Coordinator

LR-N22-0090 Attachment 1 Summary Report of Salem Changed/Closed Regulatory Commitments 1

LR-N22-0090 Original Commitment Changed/Closed Commitment Justification for Change Original Commitment:

Complete hardware This one-time commitment is PSEG Nuclear completed installation of Open Phase closed per NRC letter to installation of open phase Condition Initiative and PSEG dated November 19, protection equipment at Salem activation of OPC monitoring 2021, Salem Nuclear Generating Station.

and alarm functions. Generating Station, Units 1 and 2 - Closeout of Bulletin Salem Nuclear Generating Source Documents: 2012-01, Design Vulnerability Station, Units 1 and 2 -

NEI letter to NRC dated in Electric Power System Temporary Instruction October 9, 2013, Industry (ADAMS Accession No. 2515/194 Report Initiative on Open Phase ML21320A204); 05000272/2020010 and Condition, (ADAMS 05000311/2020010, dated Accession No. April 8, 2020 (ADAMS ML13333A147). Accession No. ML20107H134)

NEI letter to NRC dated March Salem Nuclear Generating 16, 2015, Industry Initiative Station, Units 1 and 2 -

on Open Phase Condition, Temporary Instruction Revision 1, (ADAMS 2515/194 Report Accession No. 05000272/2021011 and ML15075A455). 05000311/2021011, dated September 30, 2021 (ADAMS

References:

Accession No. ML21272A282)

CM-SC-2014-906 80119154 70219655 / 0130 Date of Change:

July 14, 2022 2

LR-N22-0090 Original Commitment Changed/Closed Commitment Justification for Change Original Commitment:

Enable automated trip This one-time commitment is PSEG Nuclear completed function. Implementation of closed per NRC letter to installation of open phase Voluntary Industry Initiative for PSEG dated November 19, protection equipment at Salem OPC protection completed. 2021, Salem Nuclear Generating Station without the Generating Station, Units 1 automated trip function. The Source Documents: and 2 - Closeout of Bulletin station relies on operator NEI letter to NRC dated 2012-01, Design Vulnerability manual action to diagnose and October 9, 2013, Industry in Electric Power System mitigate an open phase Initiative on Open Phase (ADAMS Accession No. condition.

Condition, (ADAMS ML21320A204);

Accession No. Salem Nuclear Generating ML13333A147). Station, Units 1 and 2 -

Temporary Instruction NEI letter to NRC dated March 2515/194 Report 16, 2015, Industry Initiative 05000272/2020010 and on Open Phase Condition, 05000311/2020010, dated Revision 1, (ADAMS April 8, 2020 (ADAMS Accession No. Accession No. ML20107H134)

ML15075A455).

Salem Nuclear Generating NEI email to NRC dated June Station, Units 1 and 2 -

6, 2019, Industry Initiative on Temporary Instruction Open Phase Condition, 2515/194 Report Revision 3, (ADAMS 05000272/2021011 and Accession No. 05000311/2021011, dated ML19163A176). September 30, 2021 (ADAMS Accession No. ML21272A282)

References:

CM-SC-2014-907 80119154 70219655 / 0130 Date of Change:

July 14, 2022 3

LR-N22-0090 Original Commitment Changed/Closed Commitment Justification for Change Original Commitment:

PSEG will submit to the NRC for PSEG will submit to the NRC for The justification for changing the review and approval a best review and approval a best commitment is based on the estimate LOCA analysis using estimate LOCA analysis using uncertainty related to the NRC's FSLOCA (Westinghouse Full FSLOCA (Westinghouse Full approval of 10CFR50.46c. With Spectrum LOCA) for Salem Units Spectrum LOCA) for Salem Units the current commitment due at 1 & 2 consistent with the 1 and 2 that includes the effects the end of 2022, it is prudent to implementation requirements of of the Upflow conversion program extend the commitment to a date 10CFR50.46(c). FSLOCA consistent with the dependent on completion of requires PAD 5 (Westinghouse implementation requirements of 10CFR50.46c rulemaking to fuel performance analysis 10CFR50.46c. provide sufficient time for PSEG methodology) which explicitly to submit a schedule for includes the effects of fuel compliance to the NRC.

Thermal Conductivity Degradation (TCD).

Earlier submittal may occur Earlier submittal may occur based on plant modifications based on plant modifications affecting the current LOCA affecting the current LOCA analysis or the decision to analysis or the decision to recover Peak Clad Temperature recover Peak Clad Temperature (PCT) margin by implementing (PCT) margin by implementing FSLOCA. Implementation of FSLOCA. Implementation of FSLOCA would remove FSLOCA would remove limitations and conservatisms limitations and conservatisms associated with our current LOCA associated with our current LOCA analysis, including those which analysis.

address fuel TCD.

Commitment Date: Commitment Date:

December 15, 2022. Five years after completion of 10 CFR 50.46c rulemaking.

Source Documents:

LR-N12-0328 Salem Loss of Coolant Accident Peak Cladding Temperature Margin Tracking -

30 Day Report, October 19, 2012.

References:

CM-U1-2012-860; CM-U2-2012-861; 80107550 / 0081 80128071 / 0230 Date of Change:

August 16, 2022 4