RA-10-046, 10 CFR 50A6 Annual Report

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10 CFR 50A6 Annual Report
ML101550497
Person / Time
Site: Oyster Creek
Issue date: 06/04/2010
From: David Helker
Exelon Generation Co, Exelon Nuclear
To:
Document Control Desk, Office of Nuclear Reactor Regulation
References
RA-10-046
Download: ML101550497 (9)


Text

Exelon Nuclear 200 Exelon Way Kennett Square, PA 19348 RA-10-046 June 4,2010 www.exeloncorp.com Exelon.

Nuclear 10 CFR 50A6 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:

Reference:

10 CFR 50A6 Annual Report

1) Letter from David P. Helker (Exelon Generation Company, LLC) to U.S. Nuclear Regulatory Commission, "10 CFR 50A6 Annual Report,"

dated June 5, 2009 The purpose of this letter is to transmit the 10 CFR 50A6 reporting information for Oyster Creek Nuclear Generating Station (OCNGS). The previous 50A6 report for OCNGS (Reference 1) provided the cumulative Peak Cladding Temperature (PCT) errors for the most recent fuel designs through June 5, 2009.

Since the referenced annual report was issued, no vendor notifications of Emergency Core Gooling System (EGGS) model error/changes that are applicable to OGNGS have been issued, Also, no EGGS-related changes or modifications have occurred at OGNGS that affect the assumptions of the EGGS analyses.

Two attachments are included with this letter that provide the current OCNGS 10 CFR 50A6 status. Attachment 1, "Peak Cladding Temperature Rack-Up Sheet," provides information regarding the PCT for the limiting Large Break Loss of Coolant Accident (LOCA) analysis evaluations for OCNGS. Attachment 2, "Assessment Notes," contains a detailed description for each change or error reported.

U.S. Nuclear Regulatory Commission June 4,2010 Page 2 There are no commitments contained in this letter. If you have any questions, please contact Tom Loomis at 610-765-5510.

Sincerely, David P. Helker Manager - Licensing &Regulatory Affairs Exelon Generation Company, LLC Attachments: 1) Peak Cladding Temperature Rack-Up Sheet

2) Assessment Notes cc: S. J. Collins, USNRC Administrator, Region I G. E. Miller, USNRC Project Manager, OCNGS J. A. Kulp, USNRC Senior Resident Inspector, OCNGS

ATTACHMENT 1 10 CFR 50.46 "Acceptance criteria for emergency core cooling systems for light-water nuclear power reactors" Report of the Emergency Core Cooling System Evaluation Model Changes and Errors Assessments as of June 3, 2010 Peak Cladding Temperature Rack-Up Sheet Oyster Creek Nuclear Generating Station

Report of the Emergency Core Cooling System Evaluation Model Changes and Errors Assessments as of June 3, 2010 Peak Cladding Temperature Rack-Up Sheet, OCNGS Page 1 of 2 PLANT NAME:

ECCS EVALUATION MODEL:

REPORT REVISION DATE:

CURRENT OPERATING CYCLE:

ANALYSIS OF RECORD Evaluation Model:

Oyster Creek SAFERICORCUGESTR-LOCA 6/3/10 22 1.

NEDC-23785-1-PA Rev. 1, "The GESTR-LOCA and SAFER Models for the Evaluation of the Loss-Of-Coolant Accident Volume II, SAFER - Long Term Inventory Model for BWR Loss-Of-Coolant Analysis," October 1984.

2.

NEDC-30996P-A, "SAFER Model for Evaluation of Loss-of-Coolant Accidents for Jet Pump and Non-jet Pump Plants, Volume I, SAFER - Long Term Inventory Model for BWR Loss-of-Coolant Analysis," October 1987.

3.

NEDC-32950P, "Compilation of Improvements to GENE's SAFER ECCS-LOCA Evaluation Model," January 2000. (Application Methodology Description) 4.

NEDC-30996P-A, "SAFER Model for Evaluation of Loss-of-Coolant Accidents for Jet Pump and Non-jet Pump Plants, Volume II, SAFER Application Methodology for Non-jet Pump Plants," October 1987. (Non-jet Pump Plant - SAFER/CORCL)

Calculations:

1.

GE-NE-0000-0001-7486-01 P, "Oyster Creek Generating Station Loss-of-Coolant Accident Evaluation for GE11," GE Nuclear Energy, dated July 2002.

2.

GE-NE-0000-0006-3699-01 P-R1, "ECCS-LOCA Evaluation for Oyster Creek with Improved GE9 LHGR Limits," GE Nuclear Energy, dated September 2002.

Fuel: GE9, GE11 Limiting Fuel Type: GE9/GE11 (same)

Limiting Single Failure: ADS Valve Limiting Break Size and Location: 4.66 ff Double-Ended Guillotine (DEG) in a Recirculation Discharge Pipe Reference Peak Cladding Temperature (PCT)

Report of the Emergency Core Cooling System Evaluation Model Changes and Errors Assessments as of June 3. 2010 Peak Cladding Temperature Rack-Up Sheet, OCNGS MARGIN ALLOCATION A. PRIOR lOCA MODEL ASSESSMENTS Page 2 of 2 New lOCA analyses were performed for both GE9 and

~PCT = O°F GE11 fuel in support of operating cycle 19 (See Note 1)

WEVOl Code Error (See Note 2)

~PCT = O°F Hydrogen-Oxygen Recombination (See Note 3)

~PCT = +25°F CORCl Boundary Conditions (See Note 4)

~PCT =O°F Hydrogen-Oxygen Recombination (See Note 5)

~PCT = -25°F 2007 Annual Report (See Note 6)

~PCT =O°F 2008 Annual Report (See Note 7)

~PCT =O°F 2009 Annual Report (See Note 8)

~PCT = O°F NET PCT (GE11) 2150°F B. CURRENT lOCA MODEL ASSESSMENTS None (See Note 9)

~PCT = O°F Total PCT Change from Current Assessments L~PCT = O°F Cumulative PCT Change from Current Assessments LI~PCTI= O°F NET PCT (GE11) 2150°F

ATIACHMENT2 10 CFR 50.46 "Acceptance criteria for emergency core cooling systems for light-water nuclear power reactors" Report of the Emergency Core Cooling System Evaluation Model Changes and Errors Assessments as of June 3, 2010 Assessment Notes Oyster Creek Nuclear Generating Station

Report of the Emergency Core Cooling System Evaluation Model Changes and Errors Assessments as of June 3. 2010 Assessment Notes, OCNGS

1. Prior LOCA Assessment Page 1 of 3 New LOCA analyses were performed for both GE9 and GE11 fuel in support of operating cycle
19. These analyses supersede all prior LOCA assessments. These analyses incorporate all errors and changes known at that time (as of July 2002).

[

Reference:

GE-NE-00OO-0006-3699-01 P-R1, "ECCS-LOCA Evaluation for Oyster Creek with Improved GE9 LHGR Limits," GE Nuclear Energy, dated September 2002.]

[

Reference:

GE-NE-0000-0001-7486-01 P, "Oyster Creek Generating Station Loss-of-Coolant Accident Evaluation for GE11,Of GE Nuclear Energy, dated July 2002.]

From August 2002 until May 2004, GE notified Exelon of two errors applicable to Oyster Creek, identified below (Notes 2 and 3).

The annual 50.46 report for Oyster Creek erroneously reported no update to the LOCA model assessment for GE9 fuel and correctly reported the new LOCA analysis for the introduction of GE11 fuel. A Peak Clad Temperature of 2183°F was erroneously reported for GE9 fuel (correct value was 2150°F).

[

Reference:

Letter from Michael P. Gallagher (AmerGen Energy Company, LLC) to U.S. NRC, "10 CFR 50.46 Reporting Requirements," 2130-02-20349, dated December 18, 2002.]

2.

Prior LOCA Assessment GE reported that an error was found in the WEVOL code, which affects the calculated vessel volume in the downcomer region. The free volume in the region of the shroud head is calculated incorrectly, resulting in the calculated value to be underpredicted by 4 - 10 fe.

[

Reference:

GE Letter, "10 CFR 50.46 Notification Letter," 2002-05, August 26,2002.]

3.

Prior LOCA Assessment GE reported that a new heat source term has been postulated. This heat source involves the recombination of hydrogen and oxygen within the fuel bundle during the core heatup. The additional heat will raise the temperature of the steam heat sink in the bundle, resulting in a potential increase in the peak cladding temperature and local oxidation. This recombination is spontaneous at temperatures above approximately 900°F. The hydrogen is generated by the steam-zirconium reaction during heatup. The oxygen enters the vessel either as a dissolved gas in the ECCS water or through the break when the vessel fully depressurizes and draws the containment non-condensable gases back into the vessel. The current LOCA evaluation models do not include this new heat source. Pending disposition of this phenomenon, a change notification was supplied to provide the impact of hydrogen-oxygen recombination on the cladding temperature and local oxidation.

[

Reference:

GE Letter, "10 CFR 50.46 Notification Letter," 2003-05, May 13, 2004.]

Report of the Emergency Core Cooling System Evaluation Model Changes and Errors Assessments as of June 3, 2010 Assessment Notes, OCNGS 4.

Prior lOCA Assessment Page 2 of 3 GE reported that the representative exposure point at which the 'long duration' SAFER run is performed to provide the boundary conditions for the CORCl evaluations may not be bounding and can have a non-conservative effect on the CORCl results. 'Short duration' SAFER runs are performed at each analyzed exposure point to provide the fuel bundle initial conditions.

long duration SAFER runs were performed for each analyzed exposure point. The PCT impact for the reported condition was determined to be OaF for GE9 and GE11 fuel.

[

Reference:

GE Letter, "10 CFR 50.46 Notification letter," 2005-01, April 1, 2005.]

5.

Prior lOCA Assessment In item 3 above, GE reported that a new heat source term has been postulated. This heat source involves the recombination of hydrogen and oxygen within the fuel bundle during the core heatup. GE has performed a detailed evaluation of this phenomenon and has determined that there is sufficient conservatism in the Appendix K analysis which bounds the Upper Bound PCT and Oxidation with hydrogen-oxygen recombination in both PCT limited and oxidation limited exposure ranges. Therefore, the current SAFER/CORCl application methodology for conformance of the Appendix K analysis 10 CFR 50.46 limits remains applicable. The hydrogen-oxygen recombination phenomenon does not need to be considered in the Appendix K analysis.

[

References:

GE letter, "10 CFR 50.46 Notification letter," 2003-05, Rev. 2, April 27, 2006, and letter from David P. Helker (AmerGen Energy Company, llC) to U.S. NRC, "10 CFR 50.46 Annual Report," 2130-06-20347, dated June 8, 2006.]

6.

Prior lOCA Assessment The reference letter documented that no ECCS model errors/changes were reported since the prior Oyster Creek annual report was issued.

[

Reference:

letter from David P. Helker (AmerGen Energy Company, llC) to U.S. NRC, "10 CFR 50.46 Annual Report," 2130-07-20499, dated June 7, 2007.]

7.

Prior lOCA Assessment The reference letter documented that no ECCS model errors/changes were reported since the prior Oyster Creek annual report was issued.

[

Reference:

letter from David P. Helker (AmerGen Energy Company, llC) to U.S. NRC, "10 CFR 50.46 Annual Report," RA-08-050, dated June 6, 2008.]

8.

Prior lOCA Assessment The reference letter documented that no ECCS model errors/changes were reported since the prior Oyster Creek annual report was issued.

[

Reference:

letter from David P. Helker (Exelon Generation Company, llC) to U.S. NRC, "10 CFR 50.46 Annual Report," RA-09-047, dated June 5, 2009.]

Report of the Emergency Core Cooling System Evaluation Model Changes and Errors Assessments as of June 3, 2010 Assessment Notes, OCNGS 9.

Current LOCA Assessment Page 3 of 3 Since the last annual report (see Note 8), no vendor notifications of Emergency Core Cooling System (ECCS) model error/changes that are applicable to Oyster Creek have been issued.

Also, no ECCS-related changes or modifications have occurred at Oyster Creek that affect the assumptions of the ECCS analyses.