ML12300A428

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10 CFR 2.206 Petition Review Board Re Indian Point Unit 2, G20120253
ML12300A428
Person / Time
Site: Indian Point Entergy icon.png
Issue date: 09/12/2012
From:
Advisory Committee on Reactor Safeguards
To:
Pickett D
References
2.206, G20120253, NRC-1866, OEDO-2012-0208, TAC ME8439
Download: ML12300A428 (34)


Text

Official Transcript of Proceedings NUCLEAR REGULATORY COMMISSION

Title:

10 CFR 2.206 Petition Review Board RE Indian Point Unit 2, G20120253 Docket Number: (05000247)

Location:

(teleconference)

Date:

Wednesday, September 12, 2012 Work Order No.:

NRC-1866 Pages 1-34 Edited by Douglas Pickett NEAL R. GROSS AND CO., INC.

Court Reporters and Transcribers 1323 Rhode Island Avenue, N.W.

Washington, D.C. 20005 (202) 234-4433

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(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 1

UNITED STATES OF AMERICA 1

NUCLEAR REGULATORY COMMISSION 2

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3 10 CFR 2.206 PETITION REVIEW BOARD (PRB) 4 CONFERENCE CALL 5

RE 6

INDIAN POINT UNIT 2 7

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8 WEDNESDAY 9

SEPTEMBER 12, 2012 10

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11 The conference call was held, John 12 Lubinski, Chairperson of the Petition Review Board, 13 presiding.

14 PETITIONER: NATURAL RESOURCES DEFENSE COUNCIL 15 PETITION REVIEW BOARD MEMBERS 16 JOHN LUBINSKI, NRR/DIRS, Petition Review Board 17 Chairman 18 DOUG PICKETT, Petition Manager for 2.206 petition 19 ANDREA RUSSELL, Petition Review Board Coordinator 20 NRC TECHNICAL STAFF 21 AHSAN SALLMAN, NRR, Containment and Ventilation Branch 22 FARHAD FARZAM, NRR, Mechanical and Civil Engineering 23 Branch 24 BRICE BICKETT, Region 1 25

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LARRY DOERFLEIN, Region 1 1

RICHARD DUDLEY, NRR/DPR 2

3 4

5

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P R O C E E D I N G S 1

(1:09:35 p.m.)

2 Mr. Pickett: Good afternoon. Id like to 3

thank everybody for attending this meeting. My name is 4

Doug Pickett and I am the Indian Point Project Manager.

5 We are here today to allow the petitioner, Mr. Jordan 6

Weaver of the Natural Resources Defense Council, 7

assisted by Mr. Mark Leyse, to address the Petition 8

Review Board, also referred to as the PRB, regarding 9

their 2.206 petition dated April 16, 2012. This is the 10 second presentation by the NRDC before the PRB. I am 11 the Petition Manager for this petition. The PRB 12 Chairman is Mr. John Lubinski.

13 14 As part of the PRBs review of this petition, 15 Jordan Weaver, has requested this opportunity to 16 address the PRB.

17 18 This meeting is scheduled from 1:00 to 3:00 p.m.

19 eastern time. The meeting is being recorded by the NRC 20 Operations Center and will be transcribed by a court 21 reporter. The transcript will become a supplement to 22 the petition. The transcript will also be made 23 publicly available.

24 25 Id like to open this meeting with introductions.

26 As we go around the room, please be sure to clearly state 27 your name, your position, and the office that you work 28

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for within the NRC for the record. Ill start off with 1

myself, Douglas Pickett. I am the Petition Manager.

2 CHAIRMAN LUBINSKI: This is John Lubinski. Im 3

Director of the Division of License Renewal and Im the 4

Chair of the Petition Review Board.

5 Ms. Russell: This is Andrea Russell and Im 6

the Petition Review Board Coordinator.

7 Mr. Farzam: This is Farhad Farzam from the 8

Mechanical and Civil Engineering Branch 9

10 Mr. Sallman: This is Ahsan Sallman from 11 the Containment and Ventilation Branch 12 Mr. Dudley: This is Dick Dudley from the 13 Rulemaking Branch 14 Mr. Pickett: Weve completed introductions at the 15 NRC headquarters. At this time, are there any NRC 16 participants from Headquarters on the phone? Are there 17 any NRC participants from the Regional Office on the 18 phone?

19 MR. DOERFLEIN: This is Larry Doerflein. I'm 20 Chief Engineering Branch II, Division of Reactor Safety, 21 Region I.

22 MR. BICKETT: This is Brice Bickett, Senior 23 Project Engineer, NRC Region I, Division of Reactor 24 Projects.

25 MR. PICKETT: Are there any representatives 26 for the licensee on the phone? Mr. Weaver, would you 27

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please introduce yourself and anyone assisting you for 1

the record.

2 MR. WEAVER: Yes, this is Jordan Weaver. I'm 3

a Project Scientist on the Nuclear Program with the 4

Natural Resources Defense Council, and I am -- no one is 5

here with me at the office, but I am assisted on the phone 6

by Mr. Leyse who is a consultant for the Nuclear Program.

7 MR. PICKETT: Thank you. It is not required 8

for members of the public to introduce themselves for 9

this call. However, if there are any members of the public 10 on the phone that wish to do so at this time, please state 11 your name for the record.

12 I'd like to emphasize that we each need to 13 speak clearly and loudly to make sure that the court 14 reporter can accurately transcribe this meeting. If you 15 do have something that you would like to say, please first 16 state your name for the record. For those dialing into 17 the meeting, please remember to mute your phones to 18 minimize any background noise or distractions. If you do 19 not have a mute button, this can be done by pressing the 20 keys *6. To unmute press *6 keys again. Thank you.

21 At this time, I'll turn it over to the PRB 22 Chairman, John Lubinski.

23 CHAIRMAN LUBINSKI: Thank you, Doug, and 24 good afternoon, everyone. Welcome to this meeting 25

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regarding the 2.206 Petition submitted by Mr. Weaver of 1

the Natural Resources Defense Council.

2 I'd like to first share some background on 3

our process. Section 2.206 of Title 10 of Code of Federal 4

Regulations describes the Petition process, the primary 5

mechanism for the public to request enforcement action 6

by the NRC in a public process. This process permits 7

anyone to petition NRC to take enforcement-type action 8

related to NRC licensees or licensed activities.

9 Depending on the results of its evaluation, 10 NRC could modify, suspend, or revoke an NRC-issued 11 license, or take any other appropriate enforcement 12 action to resolve a problem. The NRC staff's guidance for 13 disposition of a 2.206 Petition Request is in Management 14 Directive 8.11 which is publicly available.

15 The purpose of today's meeting is to give 16 the Petitioner an opportunity to comment on the Petition 17 Review Board's initial recommendation to reject the 18 petition, and a second opportunity to provide any 19 additional explanation or support for the petition.

20 This meeting is not a hearing, nor is it an 21 opportunity for the Petitioner to question or examine the 22 Petition Review Board on the merits or the issues 23 presented in the Petition Request. No decision regarding 24 the merits of this position will be made at this meeting.

25

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The Petition Review Board typically 1

consists of a Chair, usually a Manager at the Senior 2

Executive level at the NRC. It has a Petition Manager, 3

and a Petition Review Board Coordinator. Other members 4

of the Board are determined by the NRC staff based on the 5

content of the information in the Petition Request.

6 At this time, I would like to introduce the 7

Board. As I already stated, I am John Lubinski, the 8

Petition Review Board Chairman. Doug Pickett is the 9

Petition Manager for the Petition under discussion 10 today. Andrea Russell is the office's Petition Review 11 Board Coordinator. Technical staff participating in this 12 Review Board are Ahsan Sallman of the Office of Nuclear 13 Reactor Regulations Containment and Ventilation 14 Branch. Farhad Farzam from the Office of Nuclear Reactor 15 Regulations Mechanical and Civil Engineering Branch.

16 And Brice Bickett and Larry Doerflein from the NRC's 17 Region I office.

18 We also obtain advice from our Office of 19 General Counsel who is represented by Mr. Chris Hair, who 20 is not here today.

21 As described in our process, the NRC staff 22 may ask clarifying questions in order to better 23 understand the Petitioner's presentation.

24 I would like to summarize the scope of the 25

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petition under consideration and the NRC activities to 1

date. On April 16 th, 2012, Mr. Weaver submitted a petition 2

prepared by Mr. Leyse acting as a consultant to the 3

Natural Resources Defense Council under 10 CFR 2.206 4

regarding the use of passive autocatalytic recombiners, 5

hereafter referred to as PARs, at the Indian Point 6

Nuclear Generating Unit 2.

7 In this petition, Mr. Leyse requested the 8

NRC order the licensee of Indian Point Unit 2 to remove 9

the PAR system from the reactor containment because the 10 PAR system could have unintended ignitions in the event 11 of a severe accident, which in turn could cause the 12 hydrogen detonation and ultimate failure of the reactor 13 containment system.

14 As the basis for this request, the 15 Petitioner describes the PAR system as simple devices 16 consisting of catalyst surfaces arranged in an 17 open-ended enclosure. In the presence of hydrogen, a 18 catalytic reaction occurs spontaneously with oxygen at 19 the catalyst surface. PARs do not need external power nor 20 operator action to function, and once installed they 21 cannot be stopped or turned off by control room 22 operators following an accident.

23 The Petitioner does not question the use of 24 the PAR system during the design basis accident. However, 25

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the Petitioner believes that the nearby Ramapo seismic 1

zone could create a seismic event that exceeds the Indian 2

Point design basis, thus inducing a severe reactor 3

accident.

4 Once a severe reactor accident occurs, the 5

Petitioner believes that the PAR system will be 6

overwhelmed by local concentrations of hydrogen gas and 7

effectively become ignition sources leading to a 8

hydrogen detonation as described above.

9 On April 17 th, 2012, the Petition Manager 10 contacted the Petitioner to discuss the 2.206 process and 11 to offer the Petitioner an opportunity to address the PRB 12 by phone or in person. The Petitioner requested to 13 address the PRB by phone prior to its initial meeting to 14 make the initial recommendation to accept or reject the 15 petition for review.

16 On June 14 th,, 2012, the Natural Resources 17 Defense Council assisted by Mr. Mark Leyse made a 18 presentation via teleconference call before the Petition 19 Review Board. The Petitioner provided additional 20 clarification that their concerns focus on severe 21 reactor accidents and not on NRC's design basis accident 22 at Indian Point 2.

23 On June 22 nd, 2012, the Petition Review Board 24 held an internal meeting to discuss the merits of the 25

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petition.

The Petition Review Board's initial 1

recommendation, which has been endorsed by senior NRC 2

management is to reject the petition from the 2.206 3

process because, one, the petition raises issues that 4

have already been the subject of NRC staff review and 5

evaluation, and a technical resolution which is 6

applicable at Indian Point 2 has been achieved. And, two, 7

the petition addresses deficiencies within existing NRC 8

regulations.

9 On July 30 th, 2012, the Petitioner was 10 informed of the PRB's initial recommendation to reject 11 the petition. At that time, the Petitioner was offered 12 a second opportunity to address the Petition Review 13 Board.

14 The purpose of a second presentation, which 15 is today's call, would be for the Petitioner to comment 16 on the Petition Review Board's initial recommendation 17 and to provide additional supporting information to the 18 original petition.

19 On August 10 th, the Petitioner accepted a 20 second presentation before the Petition Review Board, 21 and requested that two hours be allotted for the 22 presentation. On August 13 th, 2012, the Petition Review 23 Board agreed to a two-hour meeting, and requested that 24 the presentation be limited to approximately one hour and 25

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45 minutes.

1 For this meeting today which is a second 2

presentation, the Petition Review Board will meet -- I'm 3

sorry. Following this meeting today, the Petition Review 4

Board will meet internally to determine whether a 5

modification or change to its initial recommendation is 6

warranted. The outcome of this internal meeting will be 7

discussed with the Petitioner.

8 As a reminder for the phone participants, 9

please identify yourself if you make any remarks as this 10 will help us in preparation of the meeting transcript 11 that will be made publicly available.

12 At this time, Mr. Weaver, I would like to 13 turn over the conference to you and Mr. Leyse to provide 14 any additional information you believe the Petition 15 Review Board should consider as part of this petition.

16 And I would ask all the NRC staff to hold all their 17 questions until the end of the presentation. Mr. Weaver.

18 MR. WEAVER: Thank you. Yes, I want to thank 19 the PRB for allowing us to take an opportunity to further 20 support our petition. But at this time, I'm going to go 21 ahead and just turn it over to Mr. Leyse because he has 22 prepared a written presentation for today. So, with 23 that, I'll go ahead and turn it over to Mark. Thank you.

24 MR. LEYSE: Hello, this is Mark Leyse 25

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(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 10 speaking. Yes, I would like to thank the Petition Review 1

Board for this second meeting, especially for giving us 2

extra time to present information pertinent to Natural 3

Resources Defense Council's 2.206 petition. I'll now 4

refer to Natural Resources Defense Council as NRDC, 5

regarding Indian Point Unit 2. And I will refer to Indian 6

Point Unit as IP2, regarding the two passive 7

autocatalytic recombiner units, and I will refer to 8

passive autocatalytic recombiners as PARs.

9 And I'm sorry, as it turns out this 10 presentation should not be as long as I had initially 11 anticipated; however, I do thank you for allotting the 12 extra time.

13 I just want to review a couple of things.

14 In our first meeting with the PRB we mostly focused on 15 suggesting that Entergy replace IP2's two PARs with two 16 electrically powered thermal hydrogen recombiners. Our 17 point was that if Entergy wants to have two hydrogen 18 recombiner units at IP2 to handle the quantity of 19 hydrogen that would be produced in the design basis 20 accident, Entergy could replace IP2's two PARs with two 21 electrically powered thermal hydrogen recombiners. That 22 would be safer in the event of a severe accident, because 23 operators would be able to terminate the operation of 24 electrically powered recombiners in a severe accident, 25

NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.

(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 11 where in such an accident operators would not be able to 1

terminate the operation of PARs, and thereby prevent the 2

PARs from having ignitions which could in turn cause a 3

detonation.

4 One thing, in the petition we did refer to 5

the Ramapo Fault line. And, obviously, Indian Point is 6

vulnerable to earthquakes. However, a severe accident 7

could occur for other reasons. For example, Three Mile 8

Island was not caused by a natural disaster, just wanted 9

to point that out.

10 Anyway, in the second PRB meeting I will 11 respond to the PRB's initial decision to not consider 12 NRDC's 2.206 petition regarding IP2's PARs. And I will 13 divide my presentation into two parts, and there's also 14 a conclusion.

15 In the first part, I will explain that the 16 PRB really has not addressed the fact that in the event 17 of a severe accident the PARs in IP2 could have ignitions 18 that could in turn cause a detonation. That was the point 19 of NRDC's petition.

20 In the second part, I will discuss 21 information which indicates that IP2's large dry PWR 22 containment could be vulnerable to failure from hydrogen 23 combustion. That is not the subject of NRDC's petition; 24 however, in my opinion, the PRB introduced this issue 25

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(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 12 with its explanation of its initial decision which was 1

covered in an email that Mr. Pickett sent on July 30, 2

2012.

3 So, I think it would make sense to 4

supplement this petition with information about 5

calculations indicating the IP2's containment could be 6

vulnerable to failure from hydrogen combustion.

7 Now, for the first part to address the PRB's 8

initial decision. I do not believe that the PRB addressed 9

the issue that NRDC raised in its 2.206 petition. NRDC, 10 as you have pointed out in your introduction, we 11 requested that the two PARs be removed from IP2 because 12 in the event of a severe accident, the PARs could have 13 ignitions. That's not what they are designed to have.

14 That is a malfunction. If a PAR has an ignition, it 15 starts to behave like a hydrogen igniter, and to use a 16 hydrogen igniter is described in NRDC's petition, it 17 involves a lot of preliminary calculations. One has to 18 really know what they're doing, it's activated at the 19 correct time.

20 Anyway, a PAR could start behaving like an 21 igniter. There's no way to predict if it will, or if it 22 will not, or when it will and that in an elevated hydrogen 23 concentration such as one would have in a severe accident 24 that could cause a detonation.

25

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(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 13 In different experimental programs, PARs 1

have malfunctioned by having ignitions in elevated 2

hydrogen concentrations, and that is documented in 3

NRDC's petition. The petition also has information 4

regarding the fact that a PAR's ignitions could cause a 5

direct detonation in IP2's containment.

6 In an email dated July 30, 2012 that Doug 7

Pickett, the PRB Manager sent to Jordan Weaver of NRDC, 8

there's an explanation of the PRB's initial decision.

9 This email discussing Regulatory Guide 1.7, Control of 10 Combustible Gas Concentrations in Containment, pointed 11 out that this Regulation Guide states, "The staff 12 considers that the combustible gas control systems 13 installed and approved by the NRC as of October 3, 2003 14 are acceptable without modification."

15 That was cited as one of the PRB's 16 justifications for rejecting NRDC's petition. But I ask, 17 is really true that after October 2003, if any defects 18 are discovered in any of the combustible gas control 19 systems installed and approved by the NRC, that the NRC 20 will not do anything about it, even after Fukushima? Is 21 it true that the NRC would ignore experimental data 22 indicating that PARs have malfunctioned by having 23 ignitions in elevated concentrations?

24 The email regarding the PRB's initial 25

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(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 14 decision says that NRDC raised "issues that have already 1

been the subject of NRC staff review and evaluation 2

either on that facility, other similar facilities, or on 3

a generic basis for which a resolution has been achieved.

4 The issues have been resolved, and the resolution is 5

applicable to the facility in question."

6 And the email states that the NRC had 7

evaluated and resolved these issues in NRC's resolution 8

of Generic Safety Issue 121-SECY-00-0198. I will refer 9

to that document from now on as SECY 198. And in the 10 revision to Section 10 CFR 50.44, the email also points 11 out that "the revision" -- forget the quote. Anyway 12

-- sorry.

13 The email also points out that the revision 14 to Section 10 CFR 50.44, Combustible Gas Control for 15 Nuclear Power Reactors, led to the removal of technical 16 specification requirements for hydrogen recombiners in 17 large dry PWR containments.

18 That's all fine; however, that's not 19

-- that doesn't mean -- the fact that the NRC has revised 20 Section 10 CFR 50.44 and done other evaluations, it does 21 not mean that the NRC has evaluated and resolved the 22 issues of NRDC's 2.206 petition.

23 In different experimental programs, PARs 24 have malfunctioned by having ignitions in elevated 25

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(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 15 hydrogen concentrations, and the PARs ignitions could 1

cause a direct detonation in IP2's containment. Those are 2

the issues of NRDC's petition.

3 In the email referring to the PRB's initial 4

decision, there is not a reference to any document that 5

states that the NRC has resolved the safety issue of PARs 6

malfunctioning by having ignitions in elevated hydrogen 7

concentrations.

8 In fact, in NRDC's petition, on page 17 9

there are two quotes from a 2011 IAEA report stating that 10 as of 2011, the PAR ignition problem has not been 11 resolved.

12 I would like to ask the PRB to please 13 consider the fact that the NRC has not resolved the PAR 14 ignition problem. It just seems to me that the NRC has 15 not evaluated and resolved the issues raised in the 16 petition, so I would ask the PRB to accept the petition 17 for consideration.

18 And I want to specify that in the petition, 19 NRDC did not provide much information indicating that a 20 detonation could compromise IP2's containment. The 21 petition is not whether or not large dry PWR containment 22 would withstand a detonation, or not. It's about the fact 23 that PARs could have an ignition which could lead to a 24 detonation in the elevated concentrations of hydrogen 25

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(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 16 that would occur in a severe accident.

1 So, I just want to ask the PRB does either 2

the NRC or Entergy want a detonation to occur in IP2's 3

containment during a severe accident? Would someone in 4

the PRB please answer this question?

5 CHAIRMAN LUBINSKI: This is the PRB Chair, 6

John Lubinski. The purpose of the PRB meeting today is 7

to -- for the Petitioner to provide additional 8

information, not to have the NRC make decisions or defend 9

the positions it took in its initial review, so we will 10 not be responding to any questions today.

11 MR. LEYSE: Okay, I understand that, but when 12 you are making your final decision on this would you 13 please consider that question, because that is a 14 fundamental question that we are raising with this 15 petition. Like I said, we could have detailed a lot of 16 information regarding the affects of hydrogen 17 combustion, and I'm going to actually give a rundown on 18 some calculations regarding that in the second part.

19 We're merely pointing out that this is a 20 safety device, a PAR, and it can malfunction. It's been 21 shown to do such, and it just seems to me that the NRC 22 or Entergy, who would want a detonation to occur in 23 containment building during a severe accident? So, I 24 really think that the fact that you have done resolution 25

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(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 17 of the Generic Safety Issue, what is I believe 121, that's 1

really not the point. Apart from the fact that even if 2

the containment were not breached, a lot of safety 3

equipment could be destroyed. It just wouldn't be a very 4

positive effect to have occurring during a severe 5

accident. So, anyway, if you would please consider that 6

question, I would appreciate it.

7 CHAIRMAN LUBINSKI: Mr. Leyse, this is John 8

Lubinski, again. Yes, as I said earlier, we will be 9

considering all the information you provide us today, and 10 we will consider that question. Can I just ask for the 11 record that you specifically repeat the question that you 12 would like us to consider when looking at our initial 13 recommendation?

14 MR. LEYSE: Oh, sure. The question is does 15 either the NRC or Entergy want a detonation to occur in 16 IP2's containment during a severe accident? And that's 17 all in the context of the fact that the PAR has been shown 18 to malfunction in elevated hydrogen concentrations, and 19 such a ignition could lead to a detonation.

20 CHAIRMAN LUBINSKI: Thank you, Mr. Leyse. We 21 will consider that as we're looking at our initial 22 recommendation. Thank you.

23 MR. LEYSE: Thank you. I appreciate that. I 24 will continue.

25

NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.

(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 18 The PRB's explanation of its initial 1

decision ignored the fact that PARs have had ignitions 2

in elevated hydrogen concentrations in different 3

experimental programs. The PRB did not address that. In 4

fact, the PRB avoided the very issue that NRDC raised, 5

which is an issue, a safety issue that is still 6

unresolved.

7 I would urge the PRB to study the data 8

regarding the ignitions of PARs that have -- the PARs 9

have occurred in elevated concentrations in different 10 experimental programs, and I would suggest that if there 11 is no way to guarantee that PARs at IP2 would not have 12 ignitions in elevated concentrations in the event of a 13 severe accident, then the PRB should accept NRDC's 14 petition for review as a step toward ordering Entergy to 15 remove the two PARs from IP2.

16 In the PRB's explanation of its initial 17 decision it refers to SECY 198. And on page 5-18 of 18, SECY 198 states that "a number of 19 combustible gas control systems along with their pros and 20 cons are discussed in NUREG/CR-2726. More recently, an 21 experimental program was conducted at the Surtsey 22 Facility at Sandia National Laboratories to evaluate a 23 PAR design developed by the NIS, that's a company. It 24 actually has a very long name, which I'll avoid trying 25

NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.

(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 19 to pronounce, but I'll call it NIS of Hanau, Germany."

1 And this statement is referenced, and the reference is 2

NUREG/CR-6580, and that's Sandia National Laboratories 3

report, and the title is "Performance Testing of Passive 4

Autocatalytic Recombiners."

5 NRDC's 2.206 petition refers to the same 6

Surtsey facility that SECY 198 refers to. In the Surtsey 7

facility, PARs were experimented. They were C-- well, 8

the experiments were conducted with the very same design, 9

the NIS PARs, and that is the type of PAR that is in IP2.

10 And on page 15 of NRDC's petition, there is a quote that 11 states that in the Surtsey facility's PAR experiments, 12 "unexpected ignitions from a NIS recombiner were 13 observed in three out of 12 experiments." So, it just 14 seems to me that the PRB should discuss this data in its 15 review of NRDC's petition, and look into data, look into 16 reports on that data beyond what we've cited. But I think 17 we have cited plenty of data because we've also cited 18 other experimental programs in which PARs have had these 19 unintended ignitions.

20 And this is more a rhetorical question, I 21 guess. Does the PRB really think that it's fine for IP2 22 to operate with equipment that has been proven to 23 malfunction in elevated hydrogen concentrations, and in 24 a severe accident that it's fine that a PAR's ignition 25

NEAL R. GROSS COURT REPORTERS AND TRANSCRIBERS 1323 RHODE ISLAND AVE., N.W.

(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 20 could cause a detonation in IP2's containment?

1 The NRC is a regulator with a duty to protect 2

the public, and I would hope that it would pay attention 3

to experimental data from an experimental program 4

mentioned in SECY 198, indicating that the PARs in IP2's 5

containment could have ignitions in the event of a severe 6

accident. And, furthermore, this is an unresolved safety 7

issue.

8 Now, I'd like to move to the second part of 9

my presentation. And in this part, I will discuss 10 information that indicates that IP2's large dry PWR 11 containment could be vulnerable to hydrogen combustion.

12 Fukushima demonstrated that the NRC's 13 hydrogen experiments, many of which were conducted at 14 Sandia National Laboratories, just did not replicate 15 what would occur in a severe accident.

16 In a September 8, 2011 ACRS meeting, Dana 17 Powers of Sandia National Laboratories said that it's 18 "extraordinarily hard to get detonations" in experiments 19 because of ignition problems. And he pointed out that 20 there were detonations in the Fukushima accident.

21 It seems to me that the experiments that 22 have been conducted were just not realistic enough, so 23 perhaps the conclusions from such experiments could be 24 non-conservative. And I want to point out that SECY 198, 25

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(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 21 one of the documents cited in the email regarding the 1

PRB's initial decision states that "a detonation would 2

impose a dynamic pressure load on the containment 3

structure that could be more severe than the static load 4

from an equivalent deflagration." That's on page 4-2 of 5 of SECY 198.

6 The point is that a dynamic pressure load 7

on the containment structure could be more severe than 8

a static load. This is significant because the 9

calculations discussed in NRDC's petition on page 13 for 10 hydrogen combustion at Turkey Point, that's for Units 3 11 and 4, which are PWRs with large dry containments, those 12 calculations were for pressure from an adiabatic and 13 complete hydrogen burn. The NRC's Turkey Point 14 calculations do not take into consideration flame 15 acceleration which would result in dynamic loads on the 16 containment walls and dome of the containment. And the 17 calculations are for adiabatic isochoric complete 18 combustion, which I will refer to as I -- I'm sorry, I 19 will refer to as AICC, which is sometimes termed Constant 20 Volume Explosion Pressure.

21 A July 2011 IAEA report titled, "Mitigation 22 of Hydrogen Hazards in Severe Accidents in Nuclear Power 23 Plants, on page 58 states, "Hydrogen deflagration can 24 pose various risks to the containment and other plant 25

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(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 22 systems. Combustion can give large pressure spikes 1

varying from relatively low pressure loads bound by the 2

AICC loads up to large loads from accelerated flames and 3

detonations. Such acceleration can already occur above 4

about 8 percent of hydrogen in the containment, so that 5

above that value the AICC load may not always be the 6

bounding value."

7 And on pages 105 and 106 of the same IAEA 8

report there is a quote which I begin, "In the USA the 9

hydrogen risk during a severe accident is not considered 10 an area for which further research is warranted. It has 11 been analyzed. The containments in the U.S. plants can 12 either withstand the induced hydrogen combustion loads 13 with enough safety margins for the large dry containment 14 PWR containments, for example." It says, "The USA 15 analyses do not include advanced methods such as the use 16 of computational fluid dynamics codes to find a more 17 refined hydrogen containment distribution or loads from 18 flame acceleration as it has been assessed that the 19 safety margins were large enough to cover such 20 uncertainties."

21 So, the NRC may have determined that Generic 22 Safety Issue 121 hydrogen control for large dry PWR 23 containments has been resolved; however, there are 24 calculations besides the ones for hydrogen combustion at 25

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(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 23 Turkey Point which I have just referred to that indicate 1

that hydrogen combustion could cause a large dry PWR 2

containment to fail.

3 For example, in 1982 there were some 4

calculations that were done in a document, Indian Point 5

Probabilistic Safety Study that was by the Power 6

Authority of the State of New York and also by Con Edison.

7 This is in ADAMS. It's at Accession Number ML102520201.

8 On pages 4.3-22 and 4.3-23, is a table that 9

has the results of calculations in which the peak 10 pressure resulting from combustion exceeds the estimated 11 failure pressure of Indian Point's containments, which 12 is about 141 pounds per square inch absolute, so that's 13 141 psi absolute. In the table there are calculations for 14 certain scenarios in which the peak pressure was found 15 to be 160, 169, about 157, and 180 psi absolute or 16 greater. So, those were at least four examples in which 17 there were results of calculations. They were done with 18 a code and the results came up with pressures that 19 exceeded the estimated failure pressure of the Indian 20 Point containments. Those calculations were reported in 21 1982, so that's just one example, but that's -- the 22 results indicate that hydrogen combustion could cause 23 IP2's containment to fail. And another -- I would highly 24 doubt that these calculations modeled dynamic loads that 25

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(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 24 would result from flame acceleration or detonation.

1 And regarding different types of 2

containment failure, the 2011 IAEA report states, "The 3

failure mechanism can be of a different nature as the 4

containment exists of a main structure plus a number of 5

penetrations, hatches, pipe, and cable penetrations.

6 Failure may either be a gross failure of the containment 7

or failure of one or more of the penetrations. Concrete 8

containments often show initiation of cracks as the first 9

indication of failure. If the cracks are large enough 10 they will prevent gross containment failure."

11 Interestingly, the 1982 Indian Point 12 Probabilistic Safety Study discusses one case in which 13 there would be a total of more than 6,000 pounds of 14 hydrogen generated, and that occurs in a case in which 15 there would be molten core concrete interaction. That's 16 on page 4.3-10.

17 And there's information in SECY 198 that 18 relates to this. It's on page 6-6 of Appendix 2. It 19 states, "Analyses performed since the Three Mile Island 20 accident have shown that accidents in which the core 21 melts through the reactor pressure vessel can pose a more 22 severe threat to containment integrity, and thus are more 23 risk significant than if the damaged core is retained 24 within the vessel. This implies that the proposed option 25

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(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 25 should address full core melt down accidents in which 1

significantly more hydrogen, perhaps more than that 2

which would occur from a metal water reaction of 100 3

percent," what they mean is 100 percent of the active 4

cladding length of the fuel rods, "and also carbon 5

monoxide may be generated. In addition, the combustible 6

gases and steam flow rates to containment have to reflect 7

the rapid blow down rates associated with reactor 8

pressure vessel failure if it occurs at high pressure."

9 So, SECY 198 states that more hydrogen could be produced 10 than that of 100 percent of the active fuel cladding 11 length if that were to react with steam.

12 So, that concludes what I have to say about 13 hydrogen combustion and large dry PWR containments.

14 However, NRDC's petition is not about -- as I said 15 before, is not really about whether or not a large dry 16 PWR containment could withstand a detonation or not. It's 17 about the fact that PARs could have ignitions and the 18 elevated hydrogen concentrations of a severe accident 19 which could in turn cause a detonation. And that's quite 20 simply why we requested that the two PARs be removed from 21 IP2's containment.

22 And now to conclude, I just want to 23 reiterate that this, as I said in the last meeting, this 24 2.206 Petition is plant-specific. To the best of my 25

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(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 26 knowledge, Indian Point is the only plant that is 1

licensed by the NRC that has PARs, so IP2 is the only unit 2

that in the event of a severe accident has a possibility 3

of a PAR malfunctioning by having an ignition which in 4

turn could cause detonation.

5 Furthermore, it's significant that 6

resolution of GSI-121 states that, "It was believed that 7

plant-specific vulnerabilities may exist mainly due to 8

the effects of a local hydrogen detonation. Activities 9

for estimating the likelihood of local hydrogen 10 detonations and assessing the consequences would require 11 plant-specific information." And, also, please keep in 12 mind that NRDC's petition discusses information from 13 documents that were published after the NRC published its 14 resolution of Generic Safety Issue 121, SECY 198, and 15 after the NRC revised Section 10 CFR 50.44 in 2003.

16 As I mentioned earlier, a 2011 IAEA report 17 quoted on page 17 of NRDC's petition states that the 18 safety issues of PARs incurring ignitions in elevated 19 hydrogen concentrations has not been resolved.

20 Furthermore, as Dana Powers pointed out in the ACRS 21 meeting, I referred to that earlier, "detonations are 22 extraordinarily hard to get in experiments because of 23 ignition problems. However, there were detonations in 24 the Fukushima accident."

25

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(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 27 Thank you. And I wanted to add just one more 1

thing, that I can email a lot of the information that I 2

cited that I've just discussed, I can email that to the 3

PRB along with references. And now I would be happy to 4

answer any questions that you may have.

5 CHAIR LUBINSKI: Mr. Leyse, and Mr. Weaver, 6

thank you. We would, Mr. Leyse, like to take you up on 7

your offer to mail those references. If you could please 8

mail them to the Petition Manager, Doug Pickett. You've 9

referenced email he has sent to you so you have his email 10 address.

11 MR. LEYSE: Yes.

12 CHAIR LUBINSKI: Okay.

13 MR. LEYSE: I will certainly do that.

14 CHAIR LUBINSKI: Thank you. Appreciate it.

15 What I'd like to do now is ask if we have any questions 16 of either Mr. Weaver or Mr. Leyse. I'll start here at our 17 Headquarters office, are there any questions you have?

18 MR. PICKETT: Yes, this is Doug Pickett. I 19 do have one comment. You talked a number of times about 20 the PARs serving as a source of ignition and high 21 concentrations of hydrogen under a severe reactor 22 accident.

23 Going back to the Three Mile Island 24 accident, there was hydrogen detonation. I thought that 25

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(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 28 was attributed to something other than a PAR, and I was 1

wondering if you could possibly comment on other sources 2

of ignitions for high concentrations of hydrogen. I would 3

think there would be a number of ignition sources in 4

containment post accident other than PARs.

5 MR. LEYSE: Mark Leyse speaking. Most 6

certainly Three -- like I said before, PARs, I believe 7

the only units licensed by the NRC that has PARs is IP2, 8

and I believe those were installed around 1998. So, most 9

definitely a PAR did not cause the explosion that 10 occurred in the containment during the Three Mile Island 11 accident.

12 I would like to point out that as far as I 13 know, the explosion that occurred in the containment 14 during the Three Mile Island accident has been 15 characterized as a deflagration. And I believe that the 16 concentration of hydrogen they estimate was around 8 17 percent when that occurred. So, I mean, there -- I think 18 they theorized that that was initiated by a spark. So, 19 surely you could have an accident and you have a spark 20 which occurs that would initiate a deflagration. Most 21 likely, I highly doubt that a spark would have the energy 22 source necessary for a detonation; however, if you have 23 a hydrogen igniter, that actually has enough of an energy 24 source to cause a direct detonation.

25

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(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 29 So, the point of this is that a PAR is 1

supposed to recombine hydrogen with oxygen on its 2

catalyst surface and form steam, but in these 3

experimental programs the PARs have malfunctioned and 4

they start behaving like igniters. And there are a lot 5

of -- we have quotes on it in the 2.206 Petition, there 6

are a lot of studies regarding the use of hydrogen 7

igniters. The Europeans at one point I believe were 8

considering to install them in PWRs, not ICE condensor 9

PWRs, just regular PWRs. I think that was something they 10 were thinking about in the early '90s. They did a lot of 11 calculations and debates over it. I don't know the 12 details but, basically, they decided that it was too 13 risky to install igniters in their containment buildings 14 for PWRs. So, some of their statements are in this 15 petition, but they say that you really have to have fully 16 analyzed the use of an igniter to really know what's going 17 to go. Others emphasize that it's an issue of timing, that 18 you have a window of opportunity to use the igniter, but 19 after the hydrogen concentration builds up too high, that 20 the use of the igniter could be very risky because it 21 could cause a direct detonation. Those are quotes in this 22 petition referring to those issues.

23 So, basically, the PAR could start behaving 24 like an igniter, and it's something that's entirely 25

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(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 30 unpredictable, at least from what I've read and the 1

studies. So, that becomes the issue that it's -- it would 2

be that concentration of energy that in an elevated 3

hydrogen concentration could cause a direct detonation.

4 Now, to answer your question more, I'm sure 5

there could be other causes for this, but I think that 6

most likely combustion would result in a deflagration 7

unless you had a higher energy source. But I think this 8

is something that is very complex. Mark Leyse, just sort 9

of ending the answer to your question, thank you.

10 MR. WEAVER: And this is Jordan Weaver, NRDC.

11 I just wanted to kind of follow-up on that a little bit, 12 which is regardless of any additional sources that would 13 carry the necessary ignition energy for a direct 14 detonation, those would

-- obviously, that was 15

-- although it was highlighted, we hoped that NRC would 16 then act on removing that. And what we're proposing here 17 is that these PAR systems actually represent such a 18 vulnerability. So, regardless of other unintended 19 ignition sources or discoveries that could lead you to 20 believe that would occur, we're highlighting that this 21 is one that has been shown to, indeed, provide that exact 22 behavior; so, hence, the large motivation of this 23 petition.

24 MR. PICKETT: Okay, thank you.

25

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(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 31 CHAIR LUBINSKI: Any other questions here 1

from Headquarters? Okay. What I'd like to do now is turn 2

to our regional office, Larry Doerflein and Brice 3

Bickett, did you have any questions?

4 MR. DOERFLEIN: No questions here in Region 5

I.

6 CHAIR LUBINSKI: Okay. Did the licensee join 7

the bridge? Okay. I'm assuming hearing no response they 8

did not join the bridge.

9 At the beginning of the meeting Doug asked 10 if there are members of the public. Before I conclude this 11 meeting we'd like to give members of the public an 12 opportunity to provide comments regarding the petition, 13 or ask questions about the process. Did any members of 14 the public join the call?

15 Okay, hearing none, Mr. Weaver, Mr. Leyse 16 we appreciate this afternoon you taking time to provide 17 the NRC staff with clarifying information on your 18 petition, including clarifying information in response 19 to the email sent to you by Mr. Doug Pickett.

20 Before we close, does the court reporter 21 need any additional information for the meeting 22 transcript?

23 COURT REPORTER: Sir, the only additional 24 information I would need would be a list of the attendees 25

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(202) 234-4433 WASHINGTON, D.C. 20005-3701 www.nealrgross.com 32 for the meeting.

1 CHAIR LUBINSKI: Okay. Mr. Doug Pickett will 2

provide you an email with that, as well as I believe you 3

may have missed a few minutes of the beginning of the 4

meeting. We do have a recording of this and we'll work 5

with you to make sure that that additional information 6

is recorded, as well.

7 COURT REPORTER: That's fine. I would only 8

ask Mr. Pickett to remain on the line after the conclusion 9

of the Petition Review Board's meeting.

10 CHAIR LUBINSKI: Okay, that would be fine.

11 We could do that.

12 Okay. With that, this meeting is concluded, 13 and we will ask everyone to please drop off the bridge 14 line so Mr. Pickett and the court reporter can talk. Thank 15 you all. Have a good afternoon.

16 (Whereupon, the proceedings went off the 17 record at 2:05 p.m.)

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