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MONTHYEARML24277A0812024-10-0303 October 2024 NRR E-mail Capture - (External_Sender) PSEG Bottom Trawl Sampling - Incidental Take Report and Data Collection Form - Atlantic Sturgeon Collected on 10/02/2024 ML24269A0362024-09-24024 September 2024 NRR E-mail Capture - (External_Sender) Salem Generating Station - Incidental Take Report - Kemps Ridley Sea Turtle Collected on 9/24/2024 ML24248A0452024-09-0303 September 2024 NRR E-mail Capture - (External_Sender) Salem Generating Station - Incidental Take Report - Kemps Ridley Sea Turtle Collected on 9/3/2024 ML24229A0422024-08-16016 August 2024 NRR E-mail Capture - Acceptance Review - Salem 1 and 2 - Implement Optimized ZIRLO Fuel Rod Cladding ML24229A0432024-08-16016 August 2024 NRR E-mail Capture - Acceptance Review - Salem 1 and 2 - Exemption from 10 CFR 50.46 and 10 CFR 50 Appendix K to Allow the Use of Optimized ZIRLO Fuel Rod Cladding ML24228A1942024-08-14014 August 2024 NRR E-mail Capture - (External_Sender) PSEG Bottom Trawl Sampling - Incidental Take Report and Data Collection Form for a Live - Atlantic Sturgeon 8/14/2024 ML24227A5092024-08-14014 August 2024 NRR E-mail Capture - (External_Sender) Salem Generating Station - Incidental Take Report - Kemps Ridley Sea Turtle Collected on 8/13/2024 ML24250A0562024-07-11011 July 2024 PSEG to NMFS, Regarding Processing of Fin Clips ML24219A2472024-07-0909 July 2024 NRR E-mail Capture - (External_Sender) PSEG Bottom Trawl Sampling - Incidental Take Report and Data Collection Form - Shortnose Sturgeon 7/9/2024 ML24123A0522024-05-0101 May 2024 NRR E-mail Capture - (External_Sender) Salem Generating Station - Incidental Take Report - One Deceased Sturgeon 4/30/2024 ML24106A0542024-04-12012 April 2024 NRR E-mail Capture - (External_Sender) Salem Generating Station - Incidental Take Report and Data Collection Form - One Alive Atlantic Sturgeon 4/12/2024 ML24101A2192024-04-0909 April 2024 NRR E-mail Capture - (External_Sender) PSEG Bottom Trawl Sampling - Incidental Take Report and Data Collection Form - Atlantic Sturgeon 4/8/24 ML24093A1222024-04-0101 April 2024 NRR E-mail Capture - (External_Sender) Salem Generating Station - Incidental Take Report and Data Collection Form - One Atlantic Sturgeon 4/1/2024 ML24075A1862024-03-14014 March 2024 NRR E-mail Capture - (External_Sender) Biological Opinion Gar 2020-02842 - PSEG Salem and Hope Creek Generating Station Annual Incidental Take Report - 2023 ML24060A0492024-02-28028 February 2024 NRR E-mail Capture - Final Exhb RAI for Hope Creek, Salem 1 and 2 Amendment to Modify Exclusion Area Boundary ML24030A8432024-01-30030 January 2024 NRR E-mail Capture - (External_Sender) 2023 PSEG Sturgeon Pit Tag Data ML24016A1612024-01-10010 January 2024 NRR E-mail Capture - (External_Sender) Salem Generating Station - Incidental Take Report and Data Collection Forms - Two Atlantic Sturgeon 1/9/2024 ML24002A7222023-12-29029 December 2023 NRR E-mail Capture - (External_Sender) Salem Generating Station - 2023 Annual Report - Inspection of the Circulating Water Intake Structure (Cwis) Trash Rack Bars ML24002A7242023-12-28028 December 2023 NRR E-mail Capture - 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(External_Sender) 9/29/2023 Email from PSEG: Supplement to Proposed Amendment to PSEG Master Decommissioning Trust Amendment ML23226A0702023-08-11011 August 2023 NRR E-mail Capture - (External_Sender) Salem Generating Station - Incidental Take Report and Data Collection Form for Sturgeon Collected on 8/10/2023 ML23226A0732023-08-10010 August 2023 NRR E-mail Capture - (External_Sender) Salem Generating Station - Submittal of Necropsy Reports Regarding Sea Turtles Collected on 06/12/2022 ML23201A0132023-07-20020 July 2023 NRR E-mail Capture - Acceptance Review - Salem 1 and 2 - Permanent Extension of Type a and Type C Containment Leak Rate Test Frequencies ML23172A0982023-06-21021 June 2023 NRR E-mail Capture - (External_Sender) Salem Generating Station - Incidental Take Report - Kemps Ridley Sea Turtle Collected on 06/20/2022 ML23164A2062023-06-13013 June 2023 NRR E-mail Capture - (External_Sender) Salem Generating Station - Incidental Take Report - Kemps Ridley Sea Turtle Collected on 06/12/2023 ML23163A0442023-06-0606 June 2023 NRR E-mail Capture - 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(External_Sender) Salem Generating Station - Incidental Take Report and Data Collection Forms for Atlantic Sturgeon 5/1/2023 ML23122A1672023-05-0202 May 2023 NRR E-mail Capture - Acceptance Review - Hope Creek and Salem 1 and 2 - Revise TS to Delete TS Section 5.5 - Meteorological Tower Location ML23117A2722023-04-17017 April 2023 NRR E-mail Capture - (External_Sender) Salem Generating STATION-INCIDENTAL Take of Atlantic Sturgeon Collected on 04/14/2023 ML23079A0032023-03-17017 March 2023 NRR E-mail Capture - Hope Creek, Salem 1 and 2 - Evacuation Time Estimate Review ML23065A0452023-02-23023 February 2023 NRR E-mail Capture - (External_Sender) Salem & Hope Creek Generating STATIONS-ANNUAL Incidental Take REPORT-STATION & REMP ML23033A0302023-02-0808 February 2023 NRR E-mail Capture - (External_Sender) Salem Generating Station - Incidental Take Report Sturgeon 1/24/2023 ML23010A2882023-01-10010 January 2023 NRR E-mail Capture - (External_Sender) Salem Generating STATION-INCIDENTAL Take of Atlantic Sturgeon Collected on 01/09/2023 ML23003A2412023-01-0303 January 2023 NRR E-mail Capture - Final Nvib RAI - Salem Unit 2 Relief Request S2-I4R-211, Fourth Inservice Inspection (ISI) Interval Limited Examinations ML22357A0102022-12-21021 December 2022 NRR E-mail Capture - Final Nphp RAI - Salem Unit 2 Relief Request S2-I4R-211, Fourth Inservice Inspection (ISI) Interval Limited Examinations ML23003A2402022-12-21021 December 2022 NRR E-mail Capture - (External_Sender) Salem Generating Station - Incidental Take Report and Data Collection Form for Atlantic Sturgeon Collected on 12/20/2022 ML23003A2392022-12-20020 December 2022 NRR E-mail Capture - (External_Sender) Salem Generating Station - Incidental Take Report and Data Collection Forms for Atlantic Sturgeons Collected 12/19/2022 ML22333A9022022-11-29029 November 2022 NRR E-mail Capture - Final Iolb RAI - Salem 1 and 2 LAR to Revise TS to Extend Allowed Outage Time for Inoperable EDG ML22291A3702022-10-18018 October 2022 NRR E-mail Capture - Acceptance Review - Salem 2 - Relief Request Associated with the Fourth Inservice Inspection (ISI) Interval Limited Examinations (L-2022-LLR-0066) 2024-09-03
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Ziev, Tracey From: Conte, Richard Sent: Sunday, April 18, 2010 8:30 PM To: OHara, Timothy Cc: Burritt, Arthur; Wilson, Peter
Subject:
RE: RESPONSE TO: FW: Some thoughts on Salem 1 Before I forget thanks for your response, when Harold gets there, please call me together before the lunch hour or during and before your 115 meeting.
there are too many points here to go over one by one at the 730 DRP meeting.
appreciate your views.
by a separate email you are questioning the extent of conditions at Unit 2 buried headers.
From: OHara, Timothy Sent: Saturday, April 17, 2010 4:57 PM To: Conte, Richard; Burritt, Arthur; Schroeder, Daniel; Gray, Harold; Balian, Harry Cc: Lupold, Timothy; Wilson, Peter; Roberts, Beverly
Subject:
RESPONSE TO: FW: Some thoughts on Salem 1 Before I forget
- Rich, Here are my comments/opinions in red below.
Tim OHara From: Conte, Richard Sent: Saturday, April 17, 2010 7:49 AM To: Burritt, Arthur; Schroeder, Daniel; OHara, Timothy; Gray, Harold Cc: Lupold, Timothy; Wilson, Peter; Roberts, Darrell
Subject:
Some thoughts on Salem 1 Before I forget AFW Pipe Degradation (all subject to an adequate hydrostatic pressure on new design pressure):
- 1. I think we are ok on extent of condition pending root cause documentation, which will include extent of condition, but with after-startup documentation - one exception is the control air leak in the fuel handling building and the implications to how much or how little is known about the deep piping in the FHB.
- 2. I think we are ok with the repairs in the yard and trench area pending the tech eval on reduced design pressure and FEA on the remaining degraded but acceptable piping above new min wall.
- 3. Past operability will be developed later with additional characterization of replaced pipe but in the shop.
- 4. Pending the operability review for this temporary repair to support the next cycle, the assessment of conditions of the deep pipe in the FHB appears weak or inadequate Questions:
- a. Wwith what they have done to date and with a SAT hydro and with the knowledge of the control air leak due to mech damage on the coating, will they be code compliant or not --- most likely it will be subject to interpretation?)
PSEG needs to show that all the AFW buried piping will have structural integrity until their next outage which will be 18 months after return to power. The FEA and hydro will provide that assurance for all the piping which was replaced and for all the piping which was coroded but subsequently UT'd to demonstrate sufficient wall thickness (plus corrosion allowance) for 18 months. We will need to review all of this and make sure they show they meet it.
- b. Did they say that they will go done as far as they get intact coating (or coating in good condition - subject to be surrounded by wetted sand0 in application of coating in the upper portion of the riser section?
My understanding is they are doing no more excavation and no more UT's. Here are the facts which are of concern to me with the buried piping in the FHB:
(1) there are no UT readings (and will not be any) on the buried piping in the FHB (2) the buried piping (approximately 50 ft.) has received less than complete coverage with Guided Wave (not that this would tell much about the actual pipe condition)
(3) there is no positive ID that the buried piping in the FHB is actually coated, there are no QC records to show this either (4) the retrieved fragment of coating which was retrieved from the deepest excavation (a couple of feet) point on the vertical section of one of the AFW headers in the FHB had already deteriorated to the point where it spawled off of the pipe, and did not appear to be able to provide much protection in the condition I saw it (5) PSEG does not know what the coating fragment was, doesn't know when it was put on the pipe, and doesn't know what the lifetime of the coating was when, and if, it was applied or how long it might be good if it is there (6) early in this AFW episode, PSEG speculated that the piping was coated but had failed, now PSEG's judgement is that there was no coating applied in the trench - in spite of the fact that the original spec. says that all buried piping is to be coated (7) PSEG has no soil chemistry data to make a case that the soil/sand in the FHB area is any better (i:e. less corrosive) that the environment was in the trench outside the FHB (8) it is very apparent that when it rains, the sand gets wet in the FHB, PSEG doesn't understand this yet For these reasons, I don't understand how PSEG will provide a convincing argument that the FHB buried piping, even after a sucessful hydro, will maintain structural integrity for the next 18 months. Corrosion rates, conservative or not, linear or not, don't tell us 'anything when you don't know the pipe thickness you are starting from! The piping is in a corrosive environment, may not be coated, and there are no qualified wall thickness measurements!
- c. Is there really an effort to look for as installed information or design information on the coating in the two areas? d. What will it tell us and What won't it tell us.
About 2 weeks ago, I asked for the information to check on this. To date we've not received anything to review. It would tell us that the coating was installed and how long it should have been good for.
There are many other information requests which have not been provided yet. I am getting the feeling that some of the requested information will not be provided. I can't say they are not looking for it because they say they are.
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Unit 1 and 2 Containment Liner Blisters:
- 1. Unit 1 assessment and extent of sample appears adequate (Question from Pete is what is the assumed start of the corrosion for .003/yr. Is it for the life of the plant..
Some UT's were taken last week on liner plates which had no degradation and the actual plate thickness ranged from 0.638" to 0.572" (remember that nominal was 0.50"). The 0.003"/yr was calculated from what was measured in the degraded areas on Friday. The degraded areas will be recoated and presumably the water will be eliminated in the future. The system is designed such that there should be no more corrosion in this area. Going forward I believe they will assume a 0.00"/yr corrosion rate. Actual repair would not be needed until the min. wall is reached. I believe the min. wall is 0.430" for these plates.
- 2. Unit'2 needs to have the same level of review that was done at Unit 1 but was apparently missed (lack of documentation right now appears to be a delay tactic) - at the 115 meeting on Monday I am prepare to announce that they are in noncompliance with their procedure and therefore the ASME code - they need to take action to understand the safety signficiance of that violation.
The performance deficiency would be a Reg. Guide 1.33 violation for failure to follow plant procedure OU-AA-355-018, Revision 1, Step 4.4.2.1.A & B. This is the PSEG procedure which implements the requirements of ASME IWE-2300.
Really can't do the SDP until we know the result of the visual inspection - we don't know what's under the blisters! I think this would at least be GREEN.
Don't overlook the potential that this may not be in their corrective action process but it was known before the plant returned to power in October/November 2009. This could be Appendix B, Criteria XVI also. There could be an NOV here somewhere for the affect on the Regulatory process.
Tim O'Hara, can you provide chapter and verse, at least by fax or pdf sections of their procedure and correct version of their code version.
Code version is 1998 Edition, 2000 Addenda.
Any disagreements please respond and we can talk Monday morning.
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