NL-11-0463, Proposed Relief Request for the Fourth ISI Interval (FNP-ISI-RR-01)

From kanterella
(Redirected from ML110871951)
Jump to navigation Jump to search

Proposed Relief Request for the Fourth ISI Interval (FNP-ISI-RR-01)
ML110871951
Person / Time
Site: Farley Southern Nuclear icon.png
Issue date: 03/28/2011
From: Ajluni M
Southern Nuclear Operating Co
To:
Document Control Desk, Office of Nuclear Reactor Regulation
References
FNP-ISI-RR-01, NL-11-0463, TAC ME3623
Download: ML110871951 (6)


Text

Mark J. Ajluni, P.E. Southern Nuclear I~uclear Licensing Director Operating Company, Inc.

40 Inverness Center Parkway Post Office Box 1295 Birmingham, Alabama 35201 Tel 205.992.7673 Fax 205.992.7885 March 28, 2011 SOUTHERN'\

COMPANY Docket Nos.: 50-348 NL-11-0463 U. S. Nuclear Regulatory Commission ATTN: Document Control Desk Washington, D. C. 20555-0001 Joseph M. Farley Nuclear Plant Unit 1 Proposed Relief Request for the Fourth lSI Interval (FNP-ISI-RR-01 )

Ladies and Gentlemen:

Pursuant to 10 CFR 50.55a(g)(5)(iii), Southern Nuclear Operating Company (SNC) requests approval to use an alternate depth-sizing qualification for volumetric examinations of the reactor pressure vessel (RPV) nozzle-to-safe end dissimilar metal (DSM) welds from the inside surface. Specifically, SNC proposes to use a root mean square error criterion for sizing flaws that is greater than that allowed by the ASME Code. This relief request is similar to Seabrook Station's (Unit 1) request for use of an alternate depth-sizing qualification that was approved by the NRC in letter (TAC No. ME3623) dated November 22,2010.

The basis for the proposed relief request for Farley Nuclear Plant Unit 1 is provided in the Enclosure to this letter.

This letter contains no NRC commitments. If you have any questions, please contact Jack Stringfellow at (205) 992-7037.

Sincerely, fVLJ ~ 1-'

M. J. Ajluni Nuclear Licensing Director MJAlLPH/lac

Enclosure:

Proposed Relief Request FNP-ISI-RR-01, Version 1.0, Per 10 CFR 50.55a(g)(5)(iii)

U. S. Nuclear Regulatory Commission NL-11-0463 Page 2 cc: Southern Nuclear Operating Company Mr. J. T. Gasser, Executive Vice President Mr. L. M. Stinson, Vice President - Farley Ms. P. M. Marino, Vice President - Engineering RTYPE: CFA04.054 U. S. Nuclear Regulatory Commission Mr. V.M. McCree, Regional Administrator Mr. R. E. Martin, NRR Project Manager - Farley Mr. E. L. Crowe, Senior Resident Inspector - Farley Mr. P. Boyle, I\IRR Project Manager

Joseph M. Farley Nuclear Plant - Unit 1 Proposed Relief Request for the Fourth lSI Interval Enclosure 1 Proposed Relief Request FNP-ISI-RR-01, Version 1.0, Per 10 CFR SO.SSa(g)(S)(iii)

Enclosure 1 Proposed Relief Request FNP-ISI-RR-01, Version 1.0, Per 10 CFR SO.SSa(g)(S)(iii)

Plant Site-Unit: Joseph M. Farley Nuclear Plant (FNP) - Unit 1.

Interval Dates: 4th lSI Interval- December 1,2007 through November 30,2017.

Requested Date Approval is requested by January 3, 2012 to support scheduled for Approval: examinations performed during FNP 1R24 (March 2012).

ASMECode The affected components are the Class 1, Category 8-F, Item 85.10, Components Reactor Pressure Vessel (RPV) nozzle to safe-end dissimilar metal (DSM)

Affected: butt welds, as follows:

ALA 1-4100-1 DM Loop 1 Outlet Nozzle To Safe-End ALA 1-4200-1 DM Loop 2 Outlet Nozzle To Safe-End ALA1-4300-1DM Loop 3 Outlet Nozzle To Safe-End ALA1-41 00-14DM Loop 1 Safe-End To Inlet Nozzle ALA 1-4200-14DM Loop 2 Safe-End To Inlet Nozzle ALA 1-4300-14DM Loop 3 Safe-End To Inlet Nozzle Applicable Code The applicable Code edition and addenda is ASME Section XI, "Rules for Edition and Inservice Inspection of Nuclear Power Plant Components," 2001 Edition Addenda: through the 2003 addenda. In addition, as required by 10 CFR 50.55a, ASME Section XI, 2001 Edition is used for Appendix VIII, "Performance Demonstration for Ultrasonic Examination Systems."

Applicable Code The volumetric examination specified by Examination Category 8-F, Item Requirements: 85.10, "RPV nozzle to safe-end DSM butt welds" will be performed using the ultrasonic (UT) examination method as described in IWA-2232 and Appendix I. Appendix 1,1-2220 requires that ultrasonic examination procedures, equipment, and personnel be qualified by performance demonstration in accordance with Appendix VIII. Instead of the Appendix VIII qualification requirements, Southern Nuclear Operating Company (SNC) is using NRC-approved Code Case N-695, "Qualification Requirements for Dissimilar Metal Piping Welds."

Code Case N-695 provides an alternative to the Appendix VIII, Supplement 10 requirements for the qualification requirements of DSM welds.

Paragraph 3.3(c) indicates examination procedures, equipment, and personnel are qualified for depth-sizing when the Root Mean Square (RMS) error of the flaw depth measurements, as compared with the true depths, does not exceed 0.125 inches.

1

Enclosure 1 Proposed Relief Request FNP-ISI-RR-01, Version 1.0, Per 10 CFR 50.55a(g}(5}(iii)

Impracticality of Southern Nuclear Operating Company will be performing volumetric Compliance: examinations of the RPV nozzle-to-safe end dissimilar metal welds from the inside surface during the upcoming 1R24 outage (March 2012) and will implement the alternative requirements of ASME Code Case N-695. Code Case N-695 requires that qualified procedures and personnel shall demonstrate a flaw depth-sizing error less than or equal to 0.125 inch RMS.

This relief request is being submitted due to the impracticality of meeting the required 0.125 inch RMS value required by Code Case N-695. The nuclear power industry has attempted to qualify personnel and procedures for depth-sizing examinations performed from the inside surface of dissimilar metal welds since November 2002. To date, no domestic inspection vendor has met RIVIS error requirements of Code Case N-695.

The inability of examination procedures to achieve the required RMS error value is primarily due to a combination of factors such as surface condition (e.g., roughness), scan access, base materials, and the dendritic structure in the welds themselves. The combination of these factors has proven too difficult for vendors to achieve an RMS error value that meets the established requirements.

Burden Caused The most recent attempt at achieving 0.125 inch RMS error was in early by Compliance: 2008. This attempt, as well as previous attempts, did not achieve the required RMS error value. The qualification attempts have been substantial.

The attempts have involved multiple vendors, ultrasonic instruments, personnel, and flaw depth-sizing methodologies, all of which have been incapable of achieving the 0.125 inch RMS error value.

The process of qualification for this type of flaw sizing is well established.

The cost and effort involved to perform a successful demonstration is quantifiable when a capable technique is available. However, when a capable technique is not available, the costs and effort required for a successful demonstration cannot be easily quantified.

Proposed SNC proposes using an alternative depth-sizing RMS error value greater Alternative and than the 0.125 inch RMS error value stated in ASME Code Case N-695 for Basis for Use: the examination of welds listed above. SNC proposes to use a RMS error of 0.189 inches (based on the results achieved by SNC's examination vendor) instead of the 0.125 inches required for Code Case N-695. In the event an indication is detected that requires depth-sizing, the difference between the required RMS error and the demonstrated RMS error will be added to the measured through-wall extent for comparison with applicable ASME Section XI acceptance criteria.

If the examination vendor demonstrates an improved depth-sizing RMS error prior to the examination, the excess of that improved RMS error over the 0.125 inch RMS error requirement, if any, will be added to the measured value for comparison with applicable acceptance criteria. In the event that an indication is detected that requires depth-sizing, a process will E-2

Enclosure 1 Proposed Relief Request FNP-ISI-RR-01, Version 1.0, Per 10 CFR 50.55a(g)(5)(iii) be used where the difference between the required RMS error and vendor demonstrated RMS error will be added to the measured through-wall depth.

This amended through-wall depth will then be used to determine the acceptability of the indication, as follows:

  • For planar indications that are not connected to the inside surface, the amended through-wall depth will be compared with the Section IW8 3S00 acceptance criteria.
  • For planar indications that are connected to the inside surface, an IW8 3600 evaluation will be performed per Section 7 of MRP-139, Revision 1 or per future NRC rule-making (such as the expedited implementation of Code Case N-770) which will supersede MRP-139 requirements.

The proposed alternative assures that the DSM nozzle-to-safe-end welds will be fully examined by procedures, personnel and equipment qualified by demonstration in all aspects except depth-sizing. Therefore, it will assure that there is reasonable assurance of structural integrity and thus, will provide an acceptable level of quality and safety. Pursuant to 10 CFR SO.SSa(g)(S)(iii), relief is requested to use this alternative depth-sizing error due to impracticality.

Duration of The proposed relief request is applicable for the 4th Inservice Inspection Proposed Relief Request: Interval for FNP Unit 1.

Precedents: Seabrook Station Unit No.1 has received approval of a similar relief request.

References:

Seabrook submitted their relief request by letter dated March 2S, 2010 (ML100890436) as supplemented by letter dated August 31, 2010 (ML 102S00268). NRC approval was granted by letter dated November 22, 2010 (ML103190139).

Status: Awaiting NRC approval.

E-3