ML13280A482

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Interim Staff Evaluation and Request for RAI Re. the Overall Integrated Plan for Implementation of Order EA-12-051, Reliable Spent Fuel Pool Instrumentation
ML13280A482
Person / Time
Site: Harris Duke Energy icon.png
Issue date: 11/19/2013
From: Andrew Hon
Plant Licensing Branch II
To: Kapopoulos E
Duke Energy Progress
Hon A
References
EA-12-051, TAC MF0792
Download: ML13280A482 (27)


Text

UNITED STATES NUCLEAR REGULATORY COMMISSION WASHINGTON, D.C. 20555-0001 November 19, 2013 Mr. Ernest J. Kapopoulos Site Vice President Duke Energy Progress, Inc.

Shearon Harris Nuclear Power Plant 5413 Shearon Harris Road New Hill, NC 27562-0165

SUBJECT:

SHEARON HARRIS NUCLEAR POWER PLANT UNIT 1 -INTERIM STAFF EVALUATION AND REQUEST FOR ADDITIONAL INFORMATION REGARDING THE OVERALL INTEGRATED PLAN FOR IMPLEMENTATION OF ORDER EA-12-051, RELIABLE SPENT FUEL POOL INSTRUMENTATION (TAC NO. MF0792)

Dear Mr. Kapopoulos:

On March 12, 2012, the U.S. Nuclear Regulatory Commission (NRC) issued Order EA-12-051, "Order Modifying Licenses with Regard to Reliable Spent Fuel Pool Instrumentation" (Agencywide Documents Access and Management System (ADAMS) Accession No. ML12054A679), to all power reactor licensees and holders of construction permits in active or deferred status. This order requires the licensee to have a reliable indication of the water level in associated spent fuel storage pools capable of supporting identification of the following pool water level conditions by trained personnel: (1) level that is adequate to support operation of the normal fuel pool cooling system, (2) level that is adequate to provide substantial radiation shielding for a person standing on the spent fuel pool operating deck, and (3) level where fuel remains covered and actions to implement make-up water addition should no longer be deferred.

By letter dated February 28, 2013 (ADAMS Accession No. ML13086A096), Duke Energy Progress, Inc. (the licensee) provided the OIP for Shearon Harris Nuclear Power Plant, Unit 1, describing how it will achieve compliance with Attachment 2 of Order EA-12-051 by spring 2015.

By letter dated July 11, 2013 (ADAMS Accession No. ML13189A225), the NRC staff sent a Request for Additional Information (RAI) to the licensee. The licensee provided supplemental information by letters dated August 12, 2013 (ADAMS Accession No. ML13225A494) and August 26, 2013 (ADAMS Accession No. ML13242A010).

The NRC staff has reviewed these submittals with the understanding that the licensee will update its OIP as implementation of the Order progresses. With this in mind, the staff has included an interim staff evaluation with this letter to provide feedback on the OIP. The staff's findings in the interim staff evaluation are considered preliminary and will be revised as the OIP is updated. As such, none of the staff's conclusions are to be considered final. A final NRC staff evaluation will be issued after the licensee has provided the information requested.

The interim staff evaluation also includes RAis, response to which the NRC staff needs to complete its review. The licensee should provide the information requested in the 6-month status updates, as the information becomes available. However, the staff requests that all information be provided by September 30, 2014, to ensure that any issues are resolved prior to

E. Kapopoulos the date by which the licensee must complete full implementation of Order EA-12-051. The licensee should adjust its schedule for providing information to ensure that all this information is provided by the requested date.

If you have any questions regarding this letter, please contact me at 301-415-8480 or e-mail at Andrew.Hon@ nrc.gov.

Sincerely,

~J__

Andrew Hon, Project Manager Licensing Projects Branch 11-2 Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation Docket No. 50-400

Enclosure:

Interim Staff Evaluation and Request for Additional Information cc w/enclosure: Distribution via ListServ

INTERIM STAFF EVALUATION AND REQUEST FOR ADDITIONAL INFORMATION BY THE OFFICE OF NUCLEAR REACTOR REGULATION RELATED TO THE OVERALL INTEGRATED PLAN IN RESPONSE TO ORDER EA-12-051, RELIABLE SPENT FUEL POOL INSTRUMENTATION DUKE ENERGY PROGRESS, INC.

SHEARON HARRIS NUCLEAR POWER PLANT, UNIT 1 DOCKET NO. 50-400

1.0 INTRODUCTION

On March 12,2012, the U.S. Nuclear Regulatory Commission (NRC) issued Order EA-12-051, "Issuance of Order to Modify Licenses with Regard to Reliable Spent Fuel Pool Instrumentation" (Agencywide Documents Access and Management System (ADAMS) Accession No. ML12054A679), to all power reactor licensees and holders of construction permits in active or deferred status. This order requires, in part, that all operating reactor sites have a reliable means of remotely monitoring wide-range spent fuel pool (SFP) levels to support effective prioritization of event mitigation and recovery actions in the event of a beyond-design-basis (BOB) external event. The order required all holders of operating licenses issued under Title 10 of the Code of Federal Regulations (1 0 CFR) Part 50, "Domestic Licensing of Production and Utilization Facilities," to submit to the NRC an Overall Integrated Plan (OIP) by February 28, 2013.

By letter dated February 28, 2013 (ADAMS Accession No. ML13086A096), Duke Energy Progress, Inc. (the licensee) provided the OIP for Shearon Harris Nuclear Power Plant (SHNPP), Unit 1, describing how it will achieve compliance with Attachment 2 of Order EA-12-051 by spring 2015. By letter dated July 11, 2013 (ADAMS Accession No. ML13189A225), the NRC staff sent a Request for Additional Information (RAI) to the licensee.

The licensee provided supplemental information by letters dated August 12, 2013 (ADAMS Accession No. ML13225A494) and August 26, 2013 (ADAMS Accession No. ML13242A010).

2.0 REGULATORY EVALUATION

Order EA-12-051 requires all holders of operating licenses issued under 10 CFR Part 50, notwithstanding the provisions of any Commission regulation or license to the contrary, to comply with the requirements described in Attachment 2 to the Order except to the extent that a more stringent requirement is set forth in the license. Licensees shall promptly start implementation of the requirements in Attachment 2 to the Order and shall complete full implementation no later than two refueling cycles after submittal of the OIP or December 31, 2016, whichever comes first.

Order EA-12-051 required the licensee, by February 28, 2013, to submit to the Commission an OIP, including a description of how compliance with the requirements described in Attachment 2 of the Order will be achieved.

Enclosure

Attachment 2 of Order EA-12-051 requires the license to have a reliable indication of the water level in associated spent fuel storage pools capable of supporting identification of the following pool water level conditions by trained personnel: (1) level that is adequate to support operation of the normal fuel pool cooling system, (2) level that is adequate to provide substantial radiation shielding for a person standing on the SFP operating deck, and (3) level where fuel remains covered and actions to implement make-up water addition should no longer be deferred. of Order EA-12-051, states that the SFP level instrumentation shall include the following design features:

1.1 Instruments

The instrumentation shall consist of a permanent, fixed primary instrument channel and a backup instrument channel. The backup instrument channel may be fixed or portable. Portable instruments shall have capabilities that enhance the ability of trained personnel to monitor spent fuel pool water level under conditions that restrict direct personnel access to the pool, such as partial structural damage, high radiation levels, or heat and humidity from a boiling pool.

1.2 Arrangement

The spent fuel pool level instrument channels shall be arranged in a manner that provides reasonable protection of the level indication function against missiles that may result from damage to the structure over the spent fuel pool. This protection may be provided by locating the primary instrument channel and fixed portions of the backup instrument channel, if applicable, to maintain instrument channel separation within the spent fuel pool area, and to utilize inherent shielding from missiles provided by existing recesses and corners in the spent fuel pool structure.

1.3 Mounting

Installed instrument channel equipment within the spent fuel pool shall be mounted to retain its design configuration during and following the maximum seismic ground motion considered in the design of the spent fuel pool structure.

1.4 Qualification

The primary and backup instrument channels shall be reliable at temperature, humidity, and radiation levels consistent with the spent fuel pool water at saturation conditions for an extended period.

This reliability shall be established through use of an augmented quality assurance process (e.g., a process similar to that applied to the site fire protection program).

1.5 Independence

The primary instrument channel shall be independent of the backup instrument channel.

1.6 Power supplies: Permanently installed instrumentation channels shall each be powered by a separate power supply. Permanently installed and portable instrumentation channels shall provide for power connections from sources independent of the plant [alternating current (ac)] and [direct current (de)] power distribution systems, such as portable generators or

replaceable batteries. Onsite generators used as an alternate power source and replaceable batteries used for instrument channel power shall have sufficient capacity to maintain the level indication function until offsite resource availability is reasonably assured.

1.7 Accuracy

The instrument channels shall maintain their designed accuracy following a power interruption or change in power source without recalibration.

1.8 Testing

The instrument channel design shall provide for routine testing and calibration.

1.9 Display

Trained personnel shall be able to monitor the spent fuel pool water level from the control room, alternate shutdown panel, or other appropriate and accessible location. The display shall provide on-demand or continuous indication of spent fuel pool water level. of Order EA-12-051, states that the SFP instrumentation shall be maintained available and reliable through appropriate development and implementation of the following programs:

2.1 Training

Personnel shall be trained in the use and the provision of alternate power to the primary and backup instrument channels.

2.2 Procedures

Procedures shall be established and maintained for the testing, calibration, and use of the primary and backup spent fuel pool instrument channels.

2.3 Testing and Calibration: Processes shall be established and maintained for scheduling and implementing necessary testing and calibration of the primary and backup spent fuel pool level instrument channels to maintain the instrument channels at the design accuracy.

On August 29, 2012, the NRC issued an Interim Staff Guidance document (the ISG),

JLD-ISG-2012-03, "Compliance with Order EA-12-051, Reliable Spent Fuel Pool Instrumentation" (ADAMS Accession No. ML12221A339), to describe methods acceptable to the NRC staff for complying with Order EA-12-051. The ISG endorses, with exceptions and clarifications, the methods described in the Nuclear Energy Institute (NEI) guidance document NEI 12-02, Revision 1, "Industry Guidance for Compliance with NRC Order EA-12-051, 'To Modify Licenses with Regard to Reliable Spent Fuel Pool Instrumentation,"' dated August 2012 (ADAMS Accession No. ML12240A307). Specifically, the ISG states:

The NRC staff considers that the methodologies and guidance in conformance with the guidelines provided in NEI 12-02, Revision 1, subject to the clarifications and exceptions in Attachment 1 to this ISG, are an acceptable means of meeting the requirements of Order EA-12-051.

3.0 TECHNICAL EVALUATION

3.1 Background and Schedule Shearon Harris Nuclear Power Plant consists of three separate SFPs (i.e., Pools A, B, and C),

on the same elevation, that are interconnected by normally removed gates, except for limited periods of maintenance or non-refueling operations. Pools A, B, and C would be considered a single pool with one instrumentation channel installed in each pool. A fourth pool (i.e., Pool D) located at the north end of Fuel-Handling Building is unused without any stored spent fuel.

The licensee submitted its OIP on February 28, 2013. The OIP states that installation of the SFP level instrumentation will be completed prior to the end of the refueling outage that is scheduled for spring 2015.

The NRC staff has reviewed the licensee's schedule for implementation of SFP level instrumentation provided in its OIP. If the licensee completes implementation in accordance with this schedule, it would appear to achieve compliance with Order EA-12-051 within two refueling cycles after submittal of the OIP and before December 31, 2016.

3.2 Spent Fuel Pool Water Levels of Order EA-12-051 states, in part, that All licensees identified in Attachment 1 to this Order shall have a reliable indication of the water level in associated spent fuel storage pools capable of supporting identification of the following pool water level conditions by trained personnel: (1) level that is adequate to support operation of the normal fuel pool cooling system [Level 1], (2) level that is adequate to provide substantial radiation shielding for a person standing on the SFP operating deck [Level 2],

and (3) level where fuel remains covered and actions to implement make-up water addition should no longer be deferred [Level 3].

NEI 12-02 states, in part, that Level 1 represents the HIGHER of the following two points:

  • The level at which reliable suction loss occurs due to uncovering of the coolant inlet pipe, weir or vacuum breaker (depending on the design), or
  • The level at which the water height, assuming saturated conditions, above the centerline of the cooling pump suction provides the required net positive suction head specified by the pump manufacturer or engineering analysis.

In its OIP, the licensee stated that Level 1 is located at approximately 284.5 feet (ft.) plant elevation based on the water level adequate to support operation of the normal fuel pool cooling system.

In its letter dated August 12, 2013, the licensee stated, in part, that In accordance with NEI 12-02, SFP Level 1 is set at 282 feet elevation to assure that the pool suction line inlets are covered. This is based on the following:

  • The SFP cooling pump test report indicates that required net positive suction head (NPSHR) is 18 feet. The SFP cooling pump total discharge head calculation assumes that NPSHR is 19 feet. A NPSHR of 19 feet corresponds to 257.8 feet elevation.
  • The pool suction line inlets are located at 277.5 feet elevation for pooi"A" and at 278.5 feet elevation for pools "B" and "C."
  • 282 feet elevation corresponds to the current SFP lo-lo level alarm and provides margin above the pool suction line inlets and NPSHR.

The February 28, 2013, submittal identified SFP Level 1 as 284.5 feet elevation.

Based on the above information SFP Level 1 is revised to 282 feet elevation.

The NRC staff notes that Level 1 is at plant elevation 282ft. and that this level is adequate for normal SFP cooling system operation and it is also adequate to ensure the required fuel pool cooling pump NPSH. The staff also notes that this level represents the higher of the two points described in NEI 12-02 for Level 1.

NEI 12-02 states, in part, that Level 2 represents the range of water level where any necessary operations in the vicinity of the spent fuel pool can be completed without significant dose consequences from direct gamma radiation from the stored spent fuel. Level 2 is based on either of the following:

  • 10 feet (+1- 1 foot) above the highest point of any fuel rack seated in the spent fuel pools, or
  • a designated level that provides adequate radiation shielding to maintain personnel radiological dose levels within acceptable limits while performing local operations in the vicinity of the pool. This level shall be based on either plant-specific or appropriate generic shielding calculations, considering the emergency conditions that may apply at the time and the scope of necessary local operations, including installation of portable SFP instrument channel components.

In its OIP, the licensee stated that Level 2 is located at approximately 270.7 ft. plant elevation based on the water level adequate to provide substantial radiation shielding for a person standing on the SFP operating deck.

In its letter dated August 12, 2013, the licensee provided a sketch showing the approximate elevations identified as Levels 1, 2 and 3. The NRC staff reviewed this sketch and notes that Level 2 is identified at 270.7 ft., which is approximately 10 ft. above the highest point of any fuel rack seated in the SFP.

The NRC staff notes that the licensee designated Level 2 using the first of the two options described in NEI 12-02 for Level 2.

NEI 12-02 states, in part, that Level 3 corresponds nominally (i.e., +1- 1 foot) to the highest point of any fuel rack seated in the spent fuel pool. Level 3 is defined in this manner to provide the maximum range of information to operators, decision makers and emergency response personnel.

In its OIP, the licensee stated that Level 3 is located at approximately 260.7 ft. plant elevation.

In its letter dated August 12, 2013, the licensee provided a sketch showing the approximate location of the level sensor and the elevations identified as Levels 1, 2 and 3. The NRC staff reviewed this sketch and notes that Level 3 is identified at an elevation of 260.7 ft., which is above the highest point of any spent fuel storage rack seated in the SFP.

The NRC staff notes that the licensee's proposed plan, with respect to identification of Levels 1, 2, and 3, appears to be consistent with NEI 12-02, as endorsed by the ISG.

3.3 Design Features: Instruments of Order EA-12-051 , states, in part, that The instrumentation shall consist of a permanent, fixed primary instrument channel and a backup instrument channel. The backup instrument channel may be fixed or portable. Portable instruments shall have capabilities that enhance the ability of trained personnel to monitor spent fuel pool water level under conditions that restrict direct personnel access to the pool, such as partial structural damage, high radiation levels, or heat and humidity from a boiling pool.

NEI 12-02 states, in part, that A spent fuel pool level instrument channel is considered reliable when the instrument channel satisfies the design elements listed in Section 3

[Instrumentation Design Features] of this guidance and the plant operator has fully implemented the programmatic features listed in Section 4 [Program Features].

In its OIP, the licensee stated, in part, that The instrumentation will consist of a single separate permanent fixed instrument channel per pool (total 3 channels) to monitor SFP water level continuously, from normal water level (approximately 284.5 feet plant elevation) down to a level at the highest point of any fuel racks at approximately 260.7 feet plant elevation.

The NRC staff notes that the range specified for the licensee's instrumentation will cover Levels 1, 2, and 3 as described in Section 3.2 above. The NRC staff notes that the licensee's proposed plan, with respect to the number of channels and the range of the instrumentation for its SFPs, appears to be consistent with NEI 12-02, as endorsed by the ISG.

3.4 Design Features: Arrangement of Order EA-12-051, states, in part, that The spent fuel pool level instrument channels shall be arranged in a manner that provides reasonable protection of the level indication function against missiles that may result from damage to the structure over the spent fuel pool. This protection may be provided by locating the primary instrument channel and the fixed portions of the backup instrument channel, if applicable, to maintain instrument channel separation within the spent fuel pool area, and to utilize inherent shielding from missiles provided by existing recesses and corners in the spent fuel pool structure.

NEI 12-02 states, in part, that The intent of the arrangement requirement is to specify reasonable separation and missile protection requirements for permanently installed instrumentation used to meet this order. Although additional missile barriers are not required to be installed, separation and shielding can help minimize the probability that damage due to an explosion or extreme natural phenomena (e.g., falling or wind-driven missiles) will render fixed channels of SFP instrumentation unavailable. Installation of the SFP instrument channels shall be consistent with the plant-specific SFP design requirements and should not impair normal SFP function.

Channel separation should be maintained by locating the installed sensors in different places in the SFP area.

In its OIP, the licensee stated, in part, that In accordance with the guidance in NEI 12-02, the level instrument channels will be installed in diverse locations and physically arranged in a manner that provides reasonable protection of the level indication function against missiles that may result from damage to the structure over the SFP.

Sensing Component The sensing component of each level instrument channel will be installed separately within the SFP in order to reduce common susceptibility to missiles and other external events. The final location and mounting will be determined by the detailed design.

Electronics Electronics associated with the level instrumentation will be located outside the SFP operating area due to sensitivity to radiation. The final location will be determined by the detailed design.

Cable Routing Cable routings will be installed that will provide reasonable protection from missiles that may result from damage to the structure over the SFP and refuel floor. The conduit and cable routing will be determined by the detailed design.

In its letter dated August 12, 2013, the licensee stated, in part, that Information is not available within the 30-day response period for this RAI [NRC letter dated July 11, 21 03]. Duke Energy anticipates submitting a response to RAI-2 for SHNPP in the February 2014, Six Month Status Report for the implementation of Order EA-12-051.

The NRC staff notes that the information regarding arrangement is not currently available for review and that the licensee anticipates submitting this information to the staff in the February 2014, six month status report. The staff has identified this request as:

RAI #1 Please provide a clearly labeled sketch or marked-up plant drawing of the plan view of the SFP area, depicting the SFP inside dimensions, the planned locations/placement of the primary and back-up SFP level sensor, and the proposed routing of the cables that will extend from these sensors toward the location of the readout/display device.

(This information was previously requested as RAI-2 in the NRC letter dated July 11, 2013) 3.5 Design Features: Mounting of Order EA-12-051 states, in part, that Installed instrument channel equipment within the spent fuel pool shall be mounted to retain its design configuration during and following the maximum seismic ground motion considered in the design of the spent fuel pool structure.

NEI 12-02 states, in part, that The mounting shall be designed to be consistent with the highest seismic or safety classification of the SFP. An evaluation of other hardware stored in the SFP shall be conducted to ensure it will not create adverse interaction with the fixed instrument location(s).

The basis for the seismic design for mountings in the SFP shall be the plant seismic design basis at the time of submittal of the Integrated Plan for implementing NRC Order EA-12-051.

In its OIP, the licensee stated that each permanently installed instrument channel will be mounted to retain its design configuration during and following the maximum seismic ground motion considered in the design of the SFP structure in accordance with the guidance in NRC JLD-ISG-2012-03 and NEI 12-02.

In its letter dated August 12, 2013, the licensee stated, in part, that Information is not available within the 30-day response period for this RAI [NRC letter dated July 11, 21 03]. Duke Energy anticipates submitting a response to RAI-3 for SHNPP in the August 2014, Six Month Status Report for the implementation of Order EA-12-051.

The NRC staff notes that the information regarding mounting of the instrument channel is not currently available for review and that the licensee anticipates submitting this information to the staff in the August 2014, six month status report. The staff has identified these requests as:

RAI#2 Please provide the following:

a) The design criteria that will be used to estimate the total loading on the mounting device(s), including static weight loads and dynamic loads. Describe the methodology that will be used to estimate the total loading, inclusive of design basis maximum seismic loads and the hydrodynamic loads that could result from pool sloshing or other effects that could accompany such seismic forces.

b) A description of the manner in which the level sensor (and stilling well, if appropriate) will be attached to the refueling floor and/or other support structures for each planned point of attachment of the probe assembly. Indicate in a schematic the portions of the level sensor that will serve as points of attachment for mechanical/mounting or electrical connections.

c) A description of the manner by which the mechanical connections will attach the level instrument to permanent SFP structures so as to support the level sensor assembly.

(This information was previously requested as RAI-3 in the NRC letter dated July 11, 2013)

In addition, the staff plans to verify the results of the licensee's seismic testing and analysis when it is completed based on the licensee's response to the following RAI.

RAI#3 For RAI 2(a) above, please provide the analyses used to verify the design criteria and methodology for seismic testing of the SFP instrumentation and the electronics units, including, design basis maximum seismic loads and the hydrodynamic loads that could result from pool sloshing or other effects that could accompany such seismic forces.

RAI#4 For each of the mounting attachments required to attach SFP Level equipment to plant structures, please describe the design inputs, and the methodology that was used to qualify the structural integrity of the affected structures/equipment.

3.6 Design Features: Qualification of Order EA-12-051 states, in part, that The primary and backup instrument channels shall be reliable at temperature, humidity, and radiation levels consistent with the spent fuel pool water at saturation conditions for an extended period. This reliability shall be established through use of an augmented quality assurance process (e.g. a process similar to that applied to the site fire protection program).

NEI 12-02 states, in part, that The instrument channel reliability shall be demonstrated via an appropriate combination of design, analyses, operating experience, and/or testing of channel components for the following sets of parameters, as described in the paragraphs below:

  • conditions in the area of instrument channel component use for all instrument components,
  • effects of shock and vibration on instrument channel components used during any applicable event for only installed components, and
  • seismic effects on instrument channel components used during and following a potential seismic event for only installed components ...

The NRC staff assessment of the instrument qualification is discussed in the following subsections below: (3.6.1) Augmented Quality Process and (3.6.2) Qualification and Reliability.

3. 6. 1 Augmented Quality Process Appendix A-1 of the guidance in NEI 12-02 describes a quality assurance process for non-safety systems and equipment that is not already covered by existing quality assurance requirements. Within the ISG, the NRC staff found the use of this quality assurance process to be an acceptable means of meeting the augmented quality requirements of Order EA-12-051.

In its OIP, the licensee stated, in part, that Augmented Quality provisions will be applied to ensure that rigor of the qualification documentation reviews and in-plant modification installation oversight is sufficient to ensure compliance with the qualification requirements described above. This approach to quality assurance is consistent with the guidance in NRC JLD-ISG-2012-03 and NEI 12-02.

The NRC staff notes that the licensee's proposed augmented quality assurance process appears to be consistent with NEI 12-02, as endorsed by the ISG.

3.6.2 Post Event Conditions NEI 12-02 states, in part, that The temperature, humidity and radiation levels consistent with conditions in the vicinity of the [SFP] and the area of use considering normal operational, event and post-event conditions for no fewer than seven days post-event or until off-site resources can be deployed by the mitigating strategies resulting from Order EA-12-049 should be considered. Examples of post-event (beyond-design-basis) conditions to be considered are:

  • radiological conditions for a normal refueling quantity of freshly discharged (1 00 hours0 days <br />0 hours <br />0 weeks <br />0 months <br />) fuel with the SFP water level 3 as described in this order,
  • temperatures of 212 degrees F and 100% relative humidity environment,
  • boiling water and/or steam environment
  • a concentrated borated water environment, and ...

In its OIP, the licensee stated, in part, that Sensing components and cables for the channels will be reliable at temperature, humidity, and radiation levels consistent with the SFP water at saturation conditions over an extended period of time.

Sensing components and cables will be qualified for expected conditions at the installed location assuming the SFP has been at saturation for an extended period.

Sensing components and cables located at the SFP will be qualified to withstand peak and total integrated dose radiation levels for their installed location based on post-event SFP water level equal to Level 3 for an extended period of time.

Additionally, the instrument channels will be tested, where possible, and analytically evaluated to remain functional after a potential seismic event with the exception of the battery charger and replacement batteries.

In its letter dated August 12, 2013, the licensee stated, in part, that Information is not available within the 30-day response period for this RAI [NRC letter dated July 11, 21 03]. Duke Energy anticipates submitting a response to RAI-4 for SHNPP in the February 2014, Six Month Status Report for the implementation of Order EA-12-051.

The NRC staff notes that the information regarding reliability and qualification of the SFP instrumentation is not currently available for review and that the licensee anticipates submitting this information to the staff in the February 2014, six month status report. The staff has identified these requests as:

RAI#S Please provide the following:

a) A description of the specific method or combination of methods you intend to apply to demonstrate the reliability of the permanently installed equipment under BOB ambient temperature, humidity, shock, vibration, and radiation conditions.

b) A description of the testing and/or analyses that will be conducted to provide assurance that the equipment will perform reliably under the worst-case credible design basis loading at the location where the equipment will be mounted.

Include a discussion of this seismic reliability demonstration as it applies to (a) the level sensor mounted in the SFP area, and (b) any control boxes, electronics, or readout and re-transmitting devices that will be employed to convey the level information from the level sensor to the plant operators or emergency responders.

c) A description of the specific method or combination of methods that will be used to confirm the reliability of the permanently installed equipment during and following seismic conditions to maintain its required accuracy.

(This information was previously requested as RAI-4 in the NRC letter dated July 11, 2013)

In addition, the staff plans to verify the results of the licensee's testing and analysis used to demonstrate the qualification and reliability of the installed equipment when it is completed based on the licensee's response to the following RAI.

RAI#6 For RAI #5 above, please provide the results for the selected methods, tests and analyses used to demonstrate the qualification and reliability of the installed equipment in accordance with the Order requirements.

3.6.3 Qualification Evaluation Summary Upon acceptable resolution of the RAisin Section 3.6, the NRC staff will be able to make a conclusion regarding the instrument qualification.

3.7 Design Features: Independence of Order EA-12-051 states, in part, that The primary instrument channel shall be independent of the backup instrument channel.

NEI 12-02 states, in part, that Independence of permanently installed instrumentation, and primary and backup channels, is obtained by physical and power separation commensurate with the hazard and electrical isolation needs. If plant AC or DC power sources are used then the power sources shall be from different buses and preferably different divisions/channels depending on available sources of power.

In its OIP, the licensee stated that the instrument channels for the SFPs will be of the same technology, permanently installed, separated by distance, and electrically independent of one another. The licensee also stated channels would have their own sensing components reasonably separated in accordance with NEI 12-02, separate cable routes, and separate electronics.

In its letter dated August 12, 2013, the licensee stated, in part, that Information is not available within the 30-day response period for this RAI [NRC letter dated July 11, 21 03]. Duke Energy anticipates submitting a response to RAI-5 for SHNPP in the August 2014, Six Month Status Report for the implementation of Order EA-12-051.

The NRC staff notes that the information regarding independence of permanently installed SFP instrumentation is not currently available for review and that the licensee anticipates submitting this information to the staff in the August 2014, six month status report. The staff has identified this request as:

RAI#7 Please provide the following:

a) A description of how all three channels of the proposed level measurement system meet this requirement so that the potential for a common cause event to adversely affect all channels is minimized to the extent practicable.

b) Further information on how each level measurement system, consisting of level sensor electronics, cabling, and readout devices will be designed and installed to address independence through the application and selection of independent power sources, the use of physical and spatial separation, independence of signals sent to the location(s) of the readout devices, and the independence of the displays.

(This information was previously requested as RAI-5 in the NRC letter dated July 11, 2013) 3.8 Design Features: Power Supplies of Order EA-12-051, states in part, that Permanently installed instrumentation channels shall each be powered by a separate power supply. Permanently installed and portable instrumentation channels shall provide for power connections from sources independent of the plant ac and de power distribution systems, such as portable generators or replaceable batteries. Onsite generators used as an alternate power source and replaceable batteries used for instrument channel power shall have sufficient capacity to maintain the level indication function until offsite resource availability is reasonably assured.

NEI 12-02 states, in part, that The normal electrical power supply for each channel shall be provided by different sources such that the loss of one of the channels primary power supply will not result in a loss of power supply function to both channels of SFP level instrumentation.

All channels of SFP level instrumentation shall provide the capability of connecting the channel to a source of power (e.g., portable generators or replaceable batteries) independent of the normal plant AC and DC power systems. For fixed channels this alternate capability shall include the ability to isolate the installed channel from its normal power supply or supplies. The portable power sources for the portable and installed channels shall be stored at separate locations, consistent with the reasonable protection requirements associated with NEI 12-06 (Order EA-12-049). The portable generator or replaceable batteries should be accessible and have sufficient capacity to support reliable instrument channel operation until off-site resources can be deployed by the mitigating strategies resulting from Order EA-12-049.

If adequate power supply for either an installed or portable level instrument credits intermittent operation, then the provisions shall be made for quickly and reliably taking the channel out of service and restoring it to service. For example, a switch on the power supply to the channel is adequate provided the power can be periodically interrupted without significantly affecting the accuracy and reliability of the instrument reading. Continuous indication of SFP level is acceptable only if the power for such indication is demonstrably adequate for the time duration specified in section 3.1 [.]

In its OIP, the licensee stated that the instrument channels would each be powered normally by a separate station power source and would have rechargeable or replaceable batteries with sufficient capacity to maintain the level indication function until the normal power is restored, consistent with the guidance in NEI 12-02.

The staff previously requested additonal information as RAI-6 in the NRC letter dated July 11, 2013. In its letter dated August 12, 2013, the licensee stated, in part, that Information is not available within the 30-day response period for this RAI [NRC letter dated July 11, 21 03]. Duke Energy anticipates submitting a response to RAI-6 for SHNPP in the February 2014, Six Month Status Report for the implementation of Order EA-12-051.

The NRC staff notes that the information regarding power supply for the SFP instrumentation is not currently available for review and that the licensee anticipates submitting this information to the staff in the February 2014, six month status report. Based on feedback from licensees, the staff revised this RAI as follows:

RAI#8 Please provide the results of the calculation depicting the battery backup duty cycle requirements demonstrating that its capacity is sufficient to maintain the level indication function until offsite resource availability is reasonably assured.

3.9 Design Features: Accuracy of Order EA 12 051 states, in part, that The instrument channels shall maintain their designed accuracy following a power interruption or change in power source without recalibration.

NEI 12 02 states, in part, that Accuracy should consider operations while under SFP conditions, e.g., saturated water, steam environment, or concentrated borated water. Additionally, instrument accuracy should be sufficient to allow trained personnel to determine when the actual level exceeds the specified lower level of each indicating range (levels 1, 2 and 3) without conflicting or ambiguous indication.

In its OIP, the licensee stated, in part, that Instrument channels will be designed such that they will maintain their design accuracy without recalibration following a power interruption or change in power source.

Accuracy will consider SFP post-event conditions, e.g., saturated water or steam environment. Additionally, instrument accuracy will be sufficient to allow trained personnel to determine when the actual level exceeds the specified level of each indicating range (Levels 1, 2, and 3) without conflicting or ambiguous indication.

The accuracy will be within the resolution requirements of Figure 1 of NEI12-02.

In its letter dated August 12, 2013, the licensee stated, in part, that Information is not available within the 30-day response period for this RAI [NRC letter dated July 11, 21 03]. Duke Energy anticipates submitting a response to RAI-7 for SHNPP in the August 2014, Six Month Status Report for the implementation of Order EA-12-051.

The NRC staff notes that the information regarding the SFP instrumentation accuracy is not currently available for review and that the licensee anticipates submitting this information to the staff in the August 2014, six month status report. The staff has identified this request as:

RAI#9 Please provide the following:

a) An estimate of the expected instrument channel accuracy performance under both (a) normal SFP level conditions (approximately Level 1 or higher) and (b) at the BOB conditions (i.e., radiation, temperature, humidity, post-seismic and post-shock conditions) that would be present if the SFP level were at the Level 2 and Level 3 datum points.

b) A description of the methodology that will be used for determining the maximum allowed deviation from the instrument channel design accuracy that will be employed under normal operating conditions as an acceptance criterion for a calibration procedure to flag to operators and to technicians that the channel requires adjustment to within the normal condition design accuracy.

(This information was previously requested as RAI-7 in the NRC letter dated July 11, 2013)

3.10 Design Features: Testing of Order EA-12-051 states, in part, that The instrument channel design shall provide for routine testing and calibration.

NEI 12-02 states, in part, that Static or non-active installed (fixed) sensors can be used and should be designed such that testing and/or calibration can be performed in-situ. For microprocessor based channels the instrument channel design shall be capable of testing while mounted in the pool.

In its OIP, the licensee stated, in part, that Testing and calibration will be consistent with the guidelines of NRC JLD-ISG-2012-03, NEI 12-02 guidance and vendor recommendations.

Channel degradation due to age or corrosion is not expected but can be identified by monitoring trends.

In its letter dated August 12, 2013, the licensee stated, in part, that Information is not available within the 30-day response period for this RAI [NRC letter dated July 11, 21 03]. Duke Energy anticipates submitting a response to RAI-8 for SHNPP in the February 2014, Six Month Status Report for the implementation of Order EA-12-051.

The NRC staff notes that the information regarding the capability of the SFP instrumentation to provide for routine testing and calibration is not currently available for review and that the licensee anticipates submitting this information to the staff in the February 2014, six month status report. The staff has identified this request as:

RAI #10 Please provide the following:

a) A description of the capability and provisions the proposed level sensing equipment will have to enable periodic testing and calibration, including how this capability enables the equipment to be tested in-situ.

b) A description of how such testing and calibration will enable the conduct of regular channel checks of each independent channel against the other, and against any other permanently-installed SFP level instrumentation.

c) A description of how functional checks will be performed, and the frequency at which they will be conducted. Describe how calibration tests will be performed, and the frequency at which they will be conducted. Provide a discussion as to how these surveillances will be incorporated into the plant surveillance program.

d) A description of what preventive maintenance tasks are required to be performed during normal operation, and the planned maximum surveillance interval that is necessary to ensure that the channels are fully conditioned to accurately and reliably perform their functions when needed.

(This information was previously requested as RAI-8 in the NRC letter dated July 11, 2013) 3.11 Design Features: Display of Order EA-12-051 states, in part, that Trained personnel shall be able to monitor the spent fuel pool water level from the control room, alternate shutdown panel, or other appropriate and accessible location. The display shall provide on-demand or continuous indication of spent fuel pool water level.

NEI 12-02 states, in part, that The intent of this guidance is to ensure that information on SFP level is reasonably available to the plant staff and decision makers. Ideally there will be an indication from at least one channel of instrumentation in the control room.

While it is generally recognized (as demonstrated by the events at Fukushima Daiichi) that SFP level will not change rapidly during a loss of spent fuel pool cooling scenario more rapid SFP drain down cannot be entirely discounted.

Therefore, the fact that plant personnel are able to determine the SFP level will satisfy this requirement, provided the personnel are available and trained in the use of the SFP level instrumentation (see Section 4.1) and that they can accomplish the task when required without unreasonable delay.

SFP level indication from the installed channel shall be displayed in the control room, at the alternate shutdown panel, or another appropriate and accessible location (reference NEI 12-06). An appropriate and accessible location shall have the following characteristics:

  • occupied or promptly accessible to the appropriate plant staff giving appropriate consideration to various drain down scenarios,
  • outside of the area surrounding the SFP floor, e.g., an appropriate distance from the radiological sources resulting from an event impacting the SFP,
  • inside a structure providing protection against adverse weather, and

If multiple display locations beyond the required "appropriate and accessible location" are desired, then the instrument channel shall be designed with the capability to drive the multiple display locations without impacting the primary "appropriate and accessible" display.

In its OIP, the licensee stated that the instrument displays for the channels would be located in a mild environment under normal and expected BOB conditions that are accessible to plant personnel properly trained in the use of the equipment.

In its letter dated August 12, 2013, the licensee stated, in part, that Information is not available within the 30-day response period for this RAI [NRC letter dated July 11, 21 03]. Duke Energy anticipates submitting a response to RAI-9 for SHNPP in the August 2014, Six Month Status Report for the implementation of Order EA-12-051.

The NRC staff notes that the information regarding the location of the SFP instrumentation primary and backup displays is not currently available for review and that the licensee anticipates submitting this information to the staff in the August 2014, six month status report.

The staff has identified this request as:

RAI #11 Please provide the following:

a) The specific location for the primary and backup instrument channel display.

(This information was previously requested as RAI-9a in the NRC letter dated July 11, 2013) b) For any SFP level instrumentation displays outside the main control room, please describe the evaluation used to validate that the display location can be accessed without unreasonable delay following a BOB event. Include the time available for personnel to access the display as credited in the evaluation, as well as the actual time (e.g., based on walk-through) that it will take for personnel to access the display. Additionally, please include a description of the radiological and environmental conditions on the paths personnel might take. Describe whether the display location remains habitable for radiological, heat and humidity, and other environmental conditions following a BOB event. Describe whether personnel are continuously stationed at the display or monitor the display periodically.

3.12 Programmatic Controls: Training of Order EA-12-051 states, in part, that Personnel shall be trained in the use and the provision of alternate power to the primary and backup instrument channels.

NEI 12-02 states, in part, that The personnel performing functions associated with these SFP level instrumentation channels shall be trained to perform the job specific functions necessary for their assigned tasks (maintenance, calibration, surveillance, etc.).

SFP instrumentation should be installed via the normal modification processes.

In some cases, utilities may choose to utilize portable instrumentation as a portion of their SFP instrumentation response. In either case utilities should use the Systematic Approach to Training (SAT) to identify the population to be trained. The SAT process should also determine both the initial and continuing elements of the required training.

In its OIP, the licensee stated, in part, that The Systematic Approach to Training (SAT) will be used to identify the population to be trained and to determine both the initial and continuing elements of the required training. Training will be completed prior to placing the instrumentation in service.

The NRC staff noted that the licensee's proposed plan, with respect to the training personnel in the use and the provision of alternate power to the primary and backup instrument channels, including the approach to identifying the population to be trained, appears to be consistent with NEI 12-02, as endorsed by the ISG.

3.13 Programmatic Controls: Procedures of Order EA-12-051 states, in part, that Procedures shall be established and maintained for the testing, calibration, and use of the primary and backup spent fuel pool instrument channels.

NEI 12-02 states, in part, that Procedures will be developed using guidelines and vendor instructions to address the maintenance, operation and abnormal response issues associated with the new SFP instrumentation.

In its OIP, the licensee stated that Procedures will be developed using guidelines and vendor instructions to address the maintenance, operation and abnormal response issues associated with the SFP level instrumentation.

In addition, a procedure will be developed to describe what actions must be taken following the installation of a normally removed gate(s) since the impacted SFP would no longer be monitored with two redundant instrumentation channels.

In its letter dated August 12, 2013, the licensee stated, in part, that Information is not available within the 30-day response period for this RAI [NRC letter dated July 11, 21 03]. Duke Energy anticipates submitting a response to RAI-1 0 for SHNPP in the February 2014, Six Month Status Report for the implementation of Order EA-12-051.

The NRC staff notes that the information regarding procedures for the testing, calibration, and use of the primary and backup SFP instrumentation is not currently available for review and that the licensee anticipates submitting this information to the staff in the February 2014, six month status report. The staff has identified this request as:

RAI #12 Please provide a list of the procedures addressing operation (both normal and abnormal response), calibration, test, maintenance, and inspection procedures that will be developed for use of the spent SFP instrumentation. The licensee is requested to include a brief description of the specific technical objectives to be achieved within each procedure.

(This information was previously requested as RAI-10 in the NRC letter dated July 11, 2013) 3.14 Programmatic Controls: Testing and Calibration of Order EA-12-051 states, in part, that Processes shall be established and maintained for scheduling and implementing necessary testing and calibration of the primary and backup spent fuel pool level instrument channels to maintain the instrument channels at the design accuracy.

NEI 12-02 states, in part, that Processes shall be established and maintained for scheduling and implementing necessary testing and calibration of the primary and backup SFP level instrument channels to maintain the instrument channels at the design accuracy. The testing and calibration of the instrumentation shall be consistent with vendor recommendations or other documented basis.

In its OIP, the licensee stated that testing and calibration of the instrumentation would be consistent with vendor recommendations or other documented basis and that calibration would be specific to the mounted instruments and the displays. The licensee also stated that a maintenance procedure would be written to direct calibration and repair of the instruments.

In its letter dated August 12, 2013, the licensee stated, in part, that Information is not available within the 30-day response period for this RAI [NRC letter dated July 11, 21 03]. Duke Energy anticipates submitting a response to

RAI-11 for SHNPP in the February 2014, Six Month Status Report for the implementation of Order EA-12-051.

The NRC staff notes that the information regarding processes for testing and calibration of the SFP instrumentation is not currently available for review and that the licensee anticipates submitting this information to the staff in the February 2014, six month status report. The staff has identified this request as:

RAI #13 Please provide the following:

a) Further information describing the maintenance and testing program the licensee will establish and implement to ensure that regular testing and calibration is performed and verified by inspection and audit to demonstrate conformance with design and system readiness requirements. Include a description of your plans for ensuring that necessary channel checks, functional tests, periodic calibration, and maintenance will be conducted for the level measurement system and its supporting equipment.

b) A description of how the guidance in NEI12-02 section 4.3 regarding compensatory actions for one or both non-functioning channels will be addressed.

c) A description of what compensatory actions are planned in the event that the non-functioning instrument channel cannot be restored to functional status within 90 days.

(This information was previously requested as RAI-11 in the NRC letter dated July 11, 2013) 3.15 Shearon Harris Nuclear Power Plant SFPs and Gates Configuration In its OIP, the licensee stated, in part, that Shearon Harris Nuclear Power Plant consists of three separate pools (i.e., Pools A, B, and C) on the same elevation that are interconnected by normally removed gates, except for limited periods of maintenance or non-refueling operations.

Pools A, B, and C will be considered a single pool with one instrumentation channel installed in each pool. A fourth pool (i.e., Pool D) located at the north end of Fuel Handling Building is unused, without any stored spent fuel (see Figure 1 on page 5). The SFP level instrument channels will be installed to monitor the water level on the three active SFPs. The bottom of the SFP is at 246 feet plant elevation. The top of the fuel racks in Pools A and Bare approximately 260 feet plant elevation and the top of the fuel racks in Pools C is approximately 260.7 feet plant elevation. Therefore, the highest point of any fuel racks with fuel seated in the SFP is approximately 260.7 feet plant elevation.

The bottom of the canals at each gate interconnecting Pools A, B, and C are approximately 260 feet plant elevation. Additionally, the bottom of the transfer

canal, between Gates 1 and 5, slopes from 260.5 feet plant elevation in approximately the middle of the canal down to approximately 260 feet plant elevation at Gates 1 and 5. Thus the highest point separating Pool C from Pools A and B is 260.5 feet plant elevation which is below the highest point of any fuel racks at 260.7 feet plant elevation.

The NRC staff notes that SHNPP consists of three separate pools (i.e., Pools A, B, and C) on the same elevation that are interconnected by normally removed gates. Since SHNPP SFPs and gates configuration is unique, in its letter dated July 11, 2013, the NRC staff requested information regarding the pool separation by the installation of gates.

In its letter dated August 12, 2013, the licensee responded to the staff's request and stated, in part, that The installation and removal of SFP gates are controlled by plant procedures ...

SFP gates can be installed in various combinations for various reasons (e.g., refueling operations, maintenance, decontamination activities). For example, Gates 1 and 2 are installed as a prerequisite to refueling operations ...

Depending on the activity, various combinations of gates can be installed for as little as hours or up to several weeks. Before the requirements of EA-12-051 are fully implemented at SHNPP, procedural controls will be enacted to track gate installation to ensure that a single active SFP is not isolated from another active SFP for greater than 90-days.

Compensatory measures if an isolated active SFP's associated level channel fails comprise of:

  • Expedited repair/replacement of the failed instrument.
  • Removal of the gate(s) isolating the SFP from a functional level channel as soon as practicable.

The NRC staff notes that the licensee can have various combinations of gate installation with various time durations depending on the plant activity. The NRC staff requests additional information regarding the impact that the installation of gates could have on the SFP level instruments and the implementation of procedural controls to be enacted with regards to the operation of these gates as it relates to the SFP instrumentation. The staff has identified these requests as:

RAI #14 Please provide a table listing all possible pool interconnections and separation conditions with gate combinations, and the available number(s) of level indication for each pool under those conditions. Assuming one instrument is out-of-service, describe

in detail the compensatory measures to assure that reliable level monitoring still exists for each pool under those gate operating conditions.

3.16 Instrument Reliability NEI 12-02 states, in part, that A spent fuel pool level instrument channel is considered reliable when the instrument channel satisfies the design elements listed in Section 3 [Instrument Design Features] of this guidance and the plant operator has fully implemented the programmatic features listed in Section 4 [Program Features].

In its OIP, the licensee stated that reliability of the instrument channels would be assured by conformance with the guidelines of NRC JLD-ISG-2012-03 and NEI 12-02.

Upon acceptable resolution of the RAis noted above, the NRC staff will be able to make a conclusion regarding the reliability of the SFP instrumentation.

4.0 CONCLUSION

The NRC staff is unable to complete its evaluation regarding the acceptability of the licensee's plans for implementing the requirements of Order EA-12-051 due to the need for additional information as described above. The staff will issue an evaluation with its conclusion after the licensee has provided the requested information.

ML13280A482 *by email OFFICE N RRIDORULPL2-2/PM NRR/DORULPL2-2/LA NRRIDSS/SBPB/BC*

NAME AHon BCiayton GCasto DATE 10/8/13 10/8/13 10/1/13 OFFICE NRRIDE/EICB/BC* OGC- NLO NRRIDORULPL2-2/BC NAME JThorp BKiukan JQuichocho DATE 10/1/13 10/21/13 11/19/13 OFFICE NRRIDORULPL2-2/PM NAME AHon DATE 11/19/13