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Category:E-Mail
MONTHYEARML24250A1062024-09-0606 September 2024 NRR E-mail Capture - Final RAI - Constellation Energy Generation, LLC - Fleet Request - Proposed Alternative to Utilize Code Case OMN-32 (L-2024-LLR-0030) ML24234A2772024-08-21021 August 2024 NRR E-mail Capture - Final RAI - Constellation Energy, LLC - Fleet Request - Proposed Alternative Concerning Extension of Permanent Relief from Ultrasonic Examination of Reactor Pressure Vessel Circumferential Shell Welds (L-2024-LLR-0031) ML24199A1842024-07-15015 July 2024 RAI-LAR for Limerick EPID: L-2024-LLA-0079- Use This Version ML24197A0162024-07-12012 July 2024 NRR E-mail Capture - Final RAI - Constellation Energy Generation, LLC - Fleet Request - License Amendment Request to Adopt TSTF-591 ML24176A1292024-06-20020 June 2024 Estimated Completion Schedule Change Email ML24156A0082024-05-31031 May 2024 NRR E-mail Capture - Constellation Energy, LLC - Fleet Request - Acceptance of Proposed Alternative Concerning Extension of Permanent Relief from Ultrasonic Examination of Reactor Pressure Vessel Circumferential Shell Welds (L-2024-LLR-0031 ML24131A0612024-05-10010 May 2024 NRR E-mail Capture - Constellation Energy Generation, LLC - Fleet Request - Acceptance of Proposed Alternative to Utilize Code Case OMN-32 (L-2024-LLR-0030) ML24107A9192024-05-0808 May 2024 Email to Christian Williams Re Decision on the Limerick Exemption ML24107A9202024-05-0303 May 2024 Email to Christian Williams Re Availability of Environmental Assessment for the Limerick Exemption ML24122C6742024-05-0101 May 2024 Response to a Request from NRC Review of a Draft EA for an Exemption for the Limerick Generating Station ML24122B5072024-05-0101 May 2024 NRR E-mail Capture - Constellation Energy Generation, LLC - Fleet Request - Acceptance of License Amendment Request to Adopt TSTF-591, Revision 0 ML24122C6702024-04-29029 April 2024 Request from NRC Review of a Draft EA for an Exemption for the Limerick Generating Station ML24051A0652024-02-16016 February 2024 Digital I&C LAR RAIs Re HFE (Email) ML24026A2922024-01-26026 January 2024 – Request for Additional Information Regarding Limerick Digital Instrumentation and Controls License Amendment Request ML23331A0062023-11-22022 November 2023 (External Sender) Supplement - Limerick Security Rule Exemption Request – ISFSI Docket No. Reference ML23311A2412023-11-0707 November 2023 NRR E-mail Capture - NRC Notification to the Commonwealth of Pennsylvania Re. Limerick Generating Station, Units 1 and 2 Amendment - Control Room Ventilation System Technical Specifications ML23304A0192023-10-30030 October 2023 NRR E-mail Capture - Final RCI - Constellation Energy Generation, LLC - Limerick 1 & 2 - Exemption from Security Rule (L-2023-LLE-0026) ML23276B4642023-10-0303 October 2023 NRR E-mail Capture - NRC Request for Additional Information Limerick TSTF-477 LAR ML23255A2872023-09-12012 September 2023 NRR E-mail Capture - Constellation Energy Generation, LLC - Fleet Request - Acceptance of Alternative to Use the Successive Inspection Requirements of BWRVIP-75-A ML23248A1282023-09-0101 September 2023 NRR E-mail Capture - Action: Opportunity to Review and Comment on a New NRC Information Collection, 10 CFR Part 50.55a, Codes and Standards (3150-XXXX) ML23237B3972023-08-24024 August 2023 NRR E-mail Capture - Constellation Energy Generation, LLC - Fleet Request - Acceptance of Alternative Request to Use Updated BWRVIP Guidelines ML23208A1942023-07-27027 July 2023 NRR E-mail Capture - Limerick Generating Station - Audit Plan for TSTF-477 LAR Review (L-2022-LLA-0174) ML23202A0682023-07-21021 July 2023 NRR E-mail Capture - NRC Request for Additional Information Re. TSTF-477 LAR ML23201A1262023-07-18018 July 2023 Additional RAIs for Limerick Generation Station, Units 1 and 2 - LAR and Exemption Request for Digital I&C Installation Support ML23173A0632023-06-20020 June 2023 RAIs for Limerick Generation Station, Units 1 and 2 - LAR and Exemption Request for Digital I&C Installation Support ML23102A1642023-04-12012 April 2023 Generation Station, Unit No. 2 – Potential Emergent Relief Request for HPCI IST (EPID L-2023-LLR-0015) - Closure E-mail Dated 4/12/2023 ML23125A0522023-03-31031 March 2023 NRR E-mail Capture - Clean OL Pages for 50.69 LAR ML23089A1602023-03-30030 March 2023 NRR E-mail Capture - NRC Notification to the Commonwealth of Pennsylvania Re. Limerick Generating Station, Units 1 and 2 Amendment - Alternative 10 CFR 50.69 Categorization Approaches ML23086B9282023-03-27027 March 2023 Acceptance of Requested Licensing Action for License Amendment Request to Support Digital Modernization Project Installation ML23086A0822023-03-27027 March 2023 – Acceptance of Requested Licensing Action for Exemption Request to Support Digital Modernization Project Installation ML22354A2622022-12-20020 December 2022 NRR E-mail Capture - Constellation Energy Generation, LLC - Fleet Request - Acceptance of Request to Use Certain Provisions of the 2019 Edition of the ASME BPV Code, Section XI ML23060A1662022-12-20020 December 2022 Acceptance Review: Adopt TSTF-477, Revision 3-Acceptance Letter ML22200A0782022-07-19019 July 2022 NRR E-mail Capture - Constellation Energy Generation, LLC - Fleet Request to Use Honeywell Mururoa V4F1 R Supplied Air Suits ML22172A0752022-06-17017 June 2022 Response: Review and Feedback on Draft Limerick Digital License Amendment Request (L-2020-LRM-0041) ML22136A0032022-05-13013 May 2022 NRR E-mail Capture - NRC Request for Additional Information - Limerick License Amendment Request (L-2021-LLA-0042) ML22124A2862022-05-0404 May 2022 Information Needed to Provide Substantive Feedback on Human Factors Engineering Supporting the Planned Limerick Digital I&C License Amendment Request ML22089A1172022-03-30030 March 2022 Additional Comments and Questions on Constellations March 31st Presentation ML22089A1162022-03-28028 March 2022 Comments and Questions on Constellations March 31st Presentation ML22112A2152022-03-28028 March 2022 Limerick_Acceptance Review TS Change to Correct Nonconservative Technical Specification Table 3.3.3-1 ML22041B5362022-02-10010 February 2022 NRR E-mail Capture - Constellation Energy Generation, LLC - Request for Additional Information Regarding Fleet License Amendment Request to Adopt TSTF-541 ML22034A0142022-02-0202 February 2022 NRR E-mail Capture - Audit Plan Supplement for LIM 50.69 LAR (L-2021-LLA-0042) ML22028A1832022-01-24024 January 2022 NRR E-mail Capture - Audit Plan Supplement for LIM 50.69 LAR (L-2021-LLA-0042) ML22020A0642022-01-13013 January 2022 NRR E-mail Capture - Exelon Generation Company, LLC - Request for Additional Information Regarding Proposed Fleet Alternative for Repair of Water Level Instrumentation Partial Penetration Nozzles ML22005A1812022-01-0505 January 2022 NRR E-mail Capture - Staffs Questions Pertaining to Limerick Generating Station Digital Modernization Project LAR Pre-submittal Meeting Slides December 7, 2021 ML21301A0672021-10-28028 October 2021 NRR E-mail Capture - Exelon Generation Company, LLC - Acceptance of License Amendment Request to Adopt TSTF-541 ML21295A0362021-10-20020 October 2021 NRR E-mail Capture - Supplement to Limerick 50.69 Audit Plan Dated October 1, 2021 (L-2021-LLA-0042) ML21286A0302021-10-13013 October 2021 Staffs Questions Pertaining to Limerick Generating Station Digital Modernization Project LAR Pre-submittal Meeting Slides October 20, 2021 ML21256A1902021-09-10010 September 2021 NRR E-mail Capture - Exelon Generation Company, LLC - Request for Additional Information Regarding License Transfer Application ML21252A0482021-09-0707 September 2021 NRR E-mail Capture - Exelon Generation Company, LLC - Fleet Alternative Request for Repair of Water Level Instrumentation Partial Penetration Nozzles ML21215A3502021-08-0303 August 2021 NRR E-mail Capture - Exelon Generation Company, LLC - Acceptance of License Amendment Request to Adopt TSTF-554 2024-09-06
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From: Krohn, Paul Sent: Friday, February 06, 2015 4:37 PM To: Heater, Keith
Subject:
FW: Risky Limerick Permanent Plant Modifications Approved AFTER Relicensing From: aceactivists@comcast.net [1]
Sent: Monday, January 19, 2015 3:35 PM To: Krohn, Paul Cc: Bower, Fred; Ennis, Rick; NRDC; Evan Brandt
Subject:
Risky Limerick Permanent Plant Modifications Approved AFTER Relicensing January 19, 2015 To: Paul Krohn, NRC Chief Engineering Branch 2 From: Dr. Lewis Cuthbert, ACE President Re: Limerick Nuclear Plant Changes, Tests, Experiments, and Permanent Plant Modifications Approved by NRC, Based On Exelon's Self-Serving, Self-Assessment It is alarming that problems identified by NRC in 1984, before Limerick Nuclear Plant's original license was approved, have persisted up to and through NRC's 10-14 relicensing of Limerick. Your 12-23-14 letter to Exelon exposes the unresolved complexity of Limerick's problems. Your letter and attachment to Exelon reveals an alarming NRC hands-off-safety trend at Limerick.
Limerick's safety problems were not resolved before Limerick was originally licensed.
The NRC section chief in 1984 stated that his staff wanted four items cleared up before licensing Limerick (Mercury 8/31/84). Items he identified included:
- 1. Improper procedures
- 2. Incomplete safety measures
- 3. Faulty valves
- 4. A defective hydrogen remover
- Three of the four items identified by NRC in 1984 remain unresolved to this day (Confirmed by NRC's safety reports for Limerick relicensing).
- It is unclear whether or not the fourth item, a defective hydrogen remover, was ever repaired or replaced.
o We are concerned because At Limerick, at least one accident occurred involving a hydrogen leak. This documented hydrogen leak, identified by
NRC in a safety report occurred after Exelon submitted its application for Limerick relicensing.
o We are concerned about Limerick's original defective hydrogen remover because at TMI, it was a hydrogen explosion that rocked the control room during the TMI partial meltdown.
UNACCEPTABLE History repeated itself for Limerick relicensing. Your letter to Exelon indicates that permanent Limerick plant modifications were initiated by Exelon BEFORE NRC's approval of Limerick relicensing (10-14).
- NRC allowed Exelon to put the cart before the horse and rubberstamped its approval of those modifications two months AFTER NRC relicensed Limerick (12-23-14).
EVEN WORSE Exelon assessed the "adequacy" of changes it made at Limerick based on its own reviews.
- Of major concern: Exelon concluded that an NRC safety evaluation was NOT required for risky changes, including experiments, that Exelon had already begun implementing at Limerick.
Changes include:
- Design Change Documentation
- NRC's Technical Specifications (TS)
- Updated Final Safety Assessment Report (UFSAR)
NRC's reviews and acceptance of Exelon's self-evaluations put the public at risk.
- 1. We have no confidence in Exelon's self-assessment of its own changes for Limerick operations because Exelon obviously has a vested interest in the outcome. Evidence shows Exelon's data and reports fail to provide full, accurate, and timely disclosure.
- 2. It is reckless for NRC to have failed to conduct its own independent rigorous testing for Exelon's risky changes at Limerick.
- 3. It is irresponsible for NRC to relicense Limerick without requiring Exelon to comply with Commitment #46, which required the testing of Exelon's aging-management program for Limerick.
- 4. NRC is putting on blinders and failing to protect the public, while mindlessly allowing Exelon's self-serving reports to substitute for actual safeguards.
DANGEROUS PERMANENT LIMERICK PLANT MODIFICATIONS TO LIMERICK'S MOV SYSTEM:
Background:
In 2011, NRC issued a "white violation" citing Exelon with noncompliance of a legally binding requirement involving the failure of the feedwater Motor Operated Valve (MOV) which resulted in loss of Reactor Core Isolation Coolant (RCIC) for longer than specifications allow, according to NRC's Technical Specifications (TS).
- NRC defined the violation as a weakness in maintaining long-term plant stability.
- NRC stated that this was a Violation of a legally binding requirement.
In 2012, Exelon requested an amendment taking the MOV out of Technical Specifications (TS), under NRC regulatory control, and into the Technical Manual (TM),
under Exelons control and not regulated by NRC. NRC contacted an unnamed state official for comment on this amendment prior to its approval. It is far from routine for the NRC to ask a state official for comment on its amendment approvals. The NRC stated, in its approval, that the unnamed state official had no comment.
In 2013, the NRC inexplicably granted Exelons request to remove the MOV valve from NRC's Technical Specifications (TS)
The reason this is a major concern is because at TMI, on March 28, 1979, the immediate cause of the loss-of-coolant accident that allowed the uncovering of the core and the melting of about half of it was a valve that stuck open and allowed large volumes of water to escape.
EXELON CHANGES CLEARLY CREATE A SEVERE SAFETY HAZARD.
- In 2014, Exelon made design changes to the Motor Operated Valve system for delivering water to the reactor core that included:
o permanently fixing the valves in an open position o cutting the power to the valve alarms o removing loss-of-power/overload alarms
- 1. How can this be? Isn't the opening and closing of valves essential to preventing core meltdowns?
- 2. Was this done because the MOV valve stem broke? If so, when did that happen?
- 3. The MOV valve was inoperable for a month, verified by an NRC inspection report letter to Exelon dated 11-4-11.
- 4. The 11-4-11 letter shows NRC issued a white violation, stating that it may require additional NRC inspection, yet now NRC has abandoned rigorous oversight of the MOV and its associated systems and alarms.
- NRC IS WILLFULLY BLIND TO THE RISKS INVOLVED WITH THIS DANGEROUS EXPERIMENT.
- NRC IGNORED LIMERICK'S HISTORY OF VALVE PROBLEMS TO RELICENSE LIMERICK.
QUESTIONS RELATED TO YOUR 12-23-14 LETTER TO EXELON ABOUT LIMERICK:
- 1. Because the MOV is associated with plant stability, the potential consequences of NRC's lax oversight could be catastrophic.
- Why would NRC excuse Exelon from compliance with original NRC regulations?
- It appears that Exelon's MOV experiment would violate NRC regulations if the MOV was still in NRC's Technical Specifications (TS). Isn't that true?
- 2. Was the defective hydrogen remover ever repaired or replaced? If so, when?
- 3. Your 12-23-14 letter to Exelon refers to a "team". Was this team comprised of NRC engineers? If not, what company or contractor supplied the engineers? Are they a permanent engineering inspection team for Limerick?