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MONTHYEARRS-14-291, Proposed Alternative Testing Requirements for ASME Class 1, 2, and 3 Valves in an IST Cold Shutdown Justification or Refuel Justification2014-12-0101 December 2014 Proposed Alternative Testing Requirements for ASME Class 1, 2, and 3 Valves in an IST Cold Shutdown Justification or Refuel Justification Project stage: Request RS-14-292, Proposed Alternative Testing Requirements for ASME Class 1, 2, and 3 Motor Operated Valves (MOV) in CPS MOV Testing Program2014-12-0101 December 2014 Proposed Alternative Testing Requirements for ASME Class 1, 2, and 3 Motor Operated Valves (MOV) in CPS MOV Testing Program Project stage: Request ML14352A0082014-12-16016 December 2014 NRR E-mail Capture - Clinton Power Station, Unit 1 - Alternative Testing Requirements for Code Class 1, 2, and 3 Motor Operated Valves Project stage: Other ML14350B3732014-12-16016 December 2014 NRR E-mail Capture - Clinton Power Station, Unit 1- Alternative Testing Requirements for Cold Shutdown Justification and Refueling Justification Valves Project stage: Other ML15056A1172015-02-24024 February 2015 NRR E-mail Capture - Clinton Power Station, Unit 1 - Relief Requests 2203 and 2204 Project stage: Other RS-15-100, Response to Request for Additional Information Regarding Proposed Alternative Testing Requirements for ASME Class 1, 2 and 3 Valves2015-03-26026 March 2015 Response to Request for Additional Information Regarding Proposed Alternative Testing Requirements for ASME Class 1, 2 and 3 Valves Project stage: Response to RAI ML15072A4242015-04-16016 April 2015 February 23, 2015, Summary of Meeting with Exelon Generation Company, LLC Regarding Relief Request for Clinton Power Station, Unit 1 (TAC Nos. MF5334, MF5344, and MF5345 Project stage: Meeting ML15118A2352015-04-28028 April 2015 NRR E-mail Capture - Clinton Power Station, Unit 1 - Request for Additional Information Regarding Relief Request 2203 Project stage: RAI RS-15-132, Response to Request for Additional Information Regarding Proposed Alternative Testing Requirements for ASME Class 1, 2 and 3 Valves in an IST Cold Shutdown Justification of Refuel Justification2015-06-0303 June 2015 Response to Request for Additional Information Regarding Proposed Alternative Testing Requirements for ASME Class 1, 2 and 3 Valves in an IST Cold Shutdown Justification of Refuel Justification Project stage: Response to RAI ML15180A4072015-07-15015 July 2015 Request for Alternatives from ASME OM Code Requested Frequency (TAC Nos. MF5344 and MF5345)(RS-14-291) and RS-14-292) Project stage: Acceptance Review ML15212A9162015-08-11011 August 2015 Correction Letter for Safety Evaluation for Alternatives from ASME OM Code Required Frequency (TAC Nos. MF5344 and MF5345)(RS-14-291 and RS-14-292) Project stage: Approval 2015-04-16
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Category:Letter type:RS
MONTHYEARRS-24-093, Response to Request for Additional Information - Alternative Request to Utilize Code Case OMN-32, Alternative Requirements for Range and Accuracy of Pressure, Flow, and Differential Pressure Instruments Used in Pump Tests2024-10-10010 October 2024 Response to Request for Additional Information - Alternative Request to Utilize Code Case OMN-32, Alternative Requirements for Range and Accuracy of Pressure, Flow, and Differential Pressure Instruments Used in Pump Tests RS-24-087, Annual 10 CFR 50.46 Report of Emergency Core Cooling System Evaluation Model Changes and Errors for Clinton Power Station2024-09-0909 September 2024 Annual 10 CFR 50.46 Report of Emergency Core Cooling System Evaluation Model Changes and Errors for Clinton Power Station RS-24-061, Constellation Energy Generation, LLC, Response to NRC Regulatory Issue Summary 2024-01, Preparation and Scheduling of Operator Licensing Examinations2024-06-14014 June 2024 Constellation Energy Generation, LLC, Response to NRC Regulatory Issue Summary 2024-01, Preparation and Scheduling of Operator Licensing Examinations RS-24-055, 2023 Corporate Regulatory Commitment Change Summary Report2024-05-17017 May 2024 2023 Corporate Regulatory Commitment Change Summary Report RS-24-050, Additional Information Supporting Request for License Amendment to Revise Technical Specifications Related to Reactor Water Cleanup Isolation Instrumentation2024-05-0909 May 2024 Additional Information Supporting Request for License Amendment to Revise Technical Specifications Related to Reactor Water Cleanup Isolation Instrumentation RS-24-041, Alternative Request to Utilize Code Case OMN-32, Alternative Requirements for Range and Accuracy of Pressure, Flow, and Differential Pressure Instruments Used in Pump Tests2024-04-30030 April 2024 Alternative Request to Utilize Code Case OMN-32, Alternative Requirements for Range and Accuracy of Pressure, Flow, and Differential Pressure Instruments Used in Pump Tests RS-24-002, Constellation Energy Generation, LLC - Annual Property Insurance Status Report2024-04-0101 April 2024 Constellation Energy Generation, LLC - Annual Property Insurance Status Report RS-24-023, Report on Status of Decommissioning Funding.2024-03-22022 March 2024 Report on Status of Decommissioning Funding. RS-24-005, Additional Information Supporting Request for Partial Site Release2024-02-0808 February 2024 Additional Information Supporting Request for Partial Site Release RS-23-097, Constellation Energy Generation, LLC, Advisement of Leadership Changes and Submittal of Updated Standard Practice Procedures Plans2023-10-12012 October 2023 Constellation Energy Generation, LLC, Advisement of Leadership Changes and Submittal of Updated Standard Practice Procedures Plans RS-23-090, Annual Report of Emergency Core Cooling System Evaluation Model Changes and Errors for Clinton Power Station2023-09-0707 September 2023 Annual Report of Emergency Core Cooling System Evaluation Model Changes and Errors for Clinton Power Station RS-23-080, Constellation Energy Generation, LLC, Application to Revise Technical Specifications to Adopt TSTF-264-A, Revision 0, 3.3.9 and 3.3.10 - Delete Flux Monitors Specific Overlap Requirement SRs2023-08-30030 August 2023 Constellation Energy Generation, LLC, Application to Revise Technical Specifications to Adopt TSTF-264-A, Revision 0, 3.3.9 and 3.3.10 - 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Request to Use Provisions of a Later Edition of the ASME Boiler and Pressure Vessel Code, Section XI2022-11-30030 November 2022 Constellation Energy Generation, LLC - Request to Use Provisions of a Later Edition of the ASME Boiler and Pressure Vessel Code, Section XI RS-22-121, Notice of Intent to Pursue Subsequent License Renewal Applications2022-11-0909 November 2022 Notice of Intent to Pursue Subsequent License Renewal Applications RS-22-092, Nine and Quad Cities - Application to Revise Primary Containment Isolation Instrumentation Technical Specifications in Accordance with TSTF-306, Revision 2, Add Action to LCO 3.3.6.1 to Give Option to Isolate the Penetration2022-10-0303 October 2022 Nine and Quad Cities - Application to Revise Primary Containment Isolation Instrumentation Technical Specifications in Accordance with TSTF-306, Revision 2, Add Action to LCO 3.3.6.1 to Give Option to Isolate the Penetration RS-22-107, Annual Report of Emergency Core Cooling System Evaluation Model Changes and Errors for Clinton Power Station2022-09-29029 September 2022 Annual Report of Emergency Core Cooling System Evaluation Model Changes and Errors for Clinton Power Station RS-22-093, Advisement of Leadership Changes for Constellation Energy Generation, LLC and Submittal of Updated Standard Practice Procedures Plans2022-08-18018 August 2022 Advisement of Leadership Changes for Constellation Energy Generation, LLC and Submittal of Updated Standard Practice Procedures Plans RS-22-089, Additional Information Supporting Request for License Amendment to Revise the Secondary Containment Design Basis to Credit the Fuel Building Railroad Airlock2022-07-25025 July 2022 Additional Information Supporting Request for License Amendment to Revise the Secondary Containment Design Basis to Credit the Fuel Building Railroad Airlock RS-22-060, Request for License Amendment to Adopt TSTF-230, Revision 1, Add New Condition B to LCO 3.6.2.3, RHR Suppression Pool Cooling2022-05-24024 May 2022 Request for License Amendment to Adopt TSTF-230, Revision 1, Add New Condition B to LCO 3.6.2.3, RHR Suppression Pool Cooling RS-22-061, Request for License Amendment to Adopt TSTF-269, Revision 2, Allow Administrative Means of Position Verification for Locked or Sealed Valves2022-05-24024 May 2022 Request for License Amendment to Adopt TSTF-269, Revision 2, Allow Administrative Means of Position Verification for Locked or Sealed Valves RS-22-067, Constellation Radiological Emergency Plan Addendum and Procedure Revision2022-05-19019 May 2022 Constellation Radiological Emergency Plan Addendum and Procedure Revision RS-22-068, Constellation Radiological Emergency Plan Addendum Revision2022-05-19019 May 2022 Constellation Radiological Emergency Plan Addendum Revision RS-22-055, Submittal of Preliminary Decommissioning Cost Estimate and Spent Fuel Management Plan2022-04-18018 April 2022 Submittal of Preliminary Decommissioning Cost Estimate and Spent Fuel Management Plan RS-22-051, Constellation Energy Generation, LLC - Update to Correspondence Addressees and Service Lists2022-04-12012 April 2022 Constellation Energy Generation, LLC - Update to Correspondence Addressees and Service Lists RS-22-020, Request for License Amendment to Revise the Secondary Containment Design Basis to Credit the Fuel Building Railroad Airlock2022-04-0707 April 2022 Request for License Amendment to Revise the Secondary Containment Design Basis to Credit the Fuel Building Railroad Airlock RS-22-049, Constellation Energy Generation, LLC, Supplemental Information to Correct Typographical Errors in Constellations Application to Revise Technical Specifications to Adopt TSTF-541 Revision 2, Add Exceptions to Surveillance Requirements for V2022-04-0404 April 2022 Constellation Energy Generation, LLC, Supplemental Information to Correct Typographical Errors in Constellations Application to Revise Technical Specifications to Adopt TSTF-541 Revision 2, Add Exceptions to Surveillance Requirements for Va RS-22-045, Constellation Energy Generation, LLC, Response to NRC Regulatory Issue Summary 2022-01, Preparation and Scheduling of Operator Licensing Examinations2022-03-25025 March 2022 Constellation Energy Generation, LLC, Response to NRC Regulatory Issue Summary 2022-01, Preparation and Scheduling of Operator Licensing Examinations RS-22-027, Constellation, Response to Request for Additional Information Regarding Application to Revise Technical Specifications to Adopt TSTF-541 Revision 2, Add Exceptions to Surveillance Requirements for Valves and Dampers Locked in the Actuated2022-02-23023 February 2022 Constellation, Response to Request for Additional Information Regarding Application to Revise Technical Specifications to Adopt TSTF-541 Revision 2, Add Exceptions to Surveillance Requirements for Valves and Dampers Locked in the Actuated P RS-22-023, Constellation Energy Generation, LLC, Executed Trust Fund Agreement Amendment and Subordinate Trust Agreement2022-02-23023 February 2022 Constellation Energy Generation, LLC, Executed Trust Fund Agreement Amendment and Subordinate Trust Agreement RS-22-019, Constellation Energy Generation, LLC - 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Exelon Generation 4300 Winfield Road Warrenville. 60555 www.exeloncorp.com RS-15-132 10 CFR 50.55a June 3, 2015 U.S. Nuclear Regulatory Commission ATTN: Document Control Desk Washington, DC 20555-0001 Clinton Power Station, Unit 1 Facility Operating License No. NPF-62 NRC Docket No. 50-461
Subject:
Response to Request for Additional Information Regarding Proposed Alternative Testing Requirements for ASME Class 1, 2, and 3 Valves in an IST Cold Shutdown Justification or Refuel Justification
References:
(1) Letter from Patrick R. Simpson (Exelon Generation Company, LLC) to U.S.
NRC, "Proposed Alternative Testing Requirements for ASME Class 1, 2, and 3 Valves in an IST Cold Shutdown Justification or Refuel Justification,"
dated December 1, 2014 (2) Letter from Patrick R. Simpson (Exelon Generation Company, LLC) to U.S.
NRC, "Response to Request for Additional Information Regarding Proposed Alternative Testing Requirements for ASME Class 1, 2, and 3 Valves,"
dated March 26, 2015 (3) Email from Blake Purnell (U.S. NRC) to Timothy A. Byam (Exelon Generation Company, LLC), "Clinton Power Station, Unit 1 - Request for Additional Information Regarding Relief Request 2203 (TAC No. MF5344),"
dated April 28, 2015 In Reference 1, Exelon Generation Company, LLC, (EGC) submitted relief request (RR) 2203 for Clinton Power Station (CPS), Unit 1 (Agencywide Documents Access and Management System (ADAMS) Accession No. ML14335A541 ). RR 2203 was requested because CPS transitioned to 12-month fuel cycles beginning in the spring of 2015. In the past, CPS operated with a 24-month fuel cycle. The RR is a proposed alternative to the requirements of the American Society of Mechanical Engineers (ASME), "Code for Operation and Maintenance of Nuclear Power Plants," 2004 Edition (OM Code), Subsections ISTC-3521(e), ISTC-3521(h),
ISTC-3522(c), and ISTC-3522(f). These OM Code subsections require that ASME Class 1, 2, and 3 valves in an inservice testing cold shutdown justification (CSJ) or refueling justification (RFJ) be tested each refueling outage. EGC's proposed alternative is to test CSJ and RFJ valves every 2 years.
June 3, 2015 U.S. Nuclear Regulatory Commission Page2 In Reference 2, EGC provided supplemental information in response to a request for additional information to support this RR by letter dated March 26, 2015 (ADAMS Accession No. ML15085A458).
As noted in Reference 3, the NRC has reviewed the RR and supplemental response and determined that it needs additional information to complete its review. Therefore, in Reference 3, the NRC requested that EGC provide additional information to support their review of the subject relief request (i.e., Reference 1). The response to this request is provided in the attachment to this letter. The NRC requested that EGC respond to the request for additional information on or before June 19, 2015.
This letter contains no new regulatory commitments. If you have any questions concerning this letter, please contact Timothy A. Byam at (630) 657-2818.
Respectfully.
Patrick R. Simpson Manager - Licensing Exelon Generation Company, LLC
Attachment:
Response to Request for Additional Information Regarding Proposed Alternative Testing Requirements for ASME Class 1, 2, and 3 Valves in an IST Cold Shutdown Justification or Refuel Justification cc: NRC Regional Administrator, Region Ill NRC Senior Resident Inspector - Clinton Power Station Illinois Emergency Management Agency - Division of Nuclear Safety
ATTACHMENT Response to Request for Additional Information Regarding Proposed Alternative Testing Requirements for ASME Class 1, 2, and 3 Valves in an IST Cold Shutdown Justification or Refuel Justification In an email from Blake Purnell (U.S. NRC) to Timothy A. Byam (Exelon Generation Company, LLC), "Clinton Power Station, Unit 1 - Request for Additional Information Regarding Relief Request 2203 (TAC No. MF5344)," dated April 28, 2015, the following request for additional information was provided.
On December 1, 2014, Exelon Generation Company, LLC (the licensee) submitted relief request (RR) 2203 for Clinton Power Station (CPS), Unit 1 (Agencywide Documents Access and Management System (ADAMS) Accession No. ML14335A541). The licensee provided supplemental information to support this RR by letter dated March 26, 2015 (ADAMS Accession No. ML15085A458).
RR 2203 was requested because CPS will transition to a 12-month fuel cycle beginning in the spring of 2015. In the past, CPS has operated with a 24-month fuel cycle and the current cycle is scheduled to be 18-months ending this spring. The RR is a proposed alternative to the requirements of the American Society of Mechanical Engineers (ASME), "Code for Operation and Maintenance of Nuclear Power Plants," 2004 Edition (OM Code), Subsections ISTC-3521 (e), ISTC-3521(h), ISTC-3522(c), and ISTC-3522(f). These OM Code subsections require that ASME Class 1, 2, and 3 valves in an inservice testing cold shutdown justification (CSJ) or refueling justification (RFJ) be tested each refueling outage. The licensee's proposed alternative is to test CSJ and RFJ valves every 2 years.
The NRG staff has reviewed the RRs and determined that it needs additional information to complete its review.
Background
In its March 26, 2015, letter, the licensee states it reviewed the performance history of the 70 valves that are designated as RFJ valves. The letter stated:
Reactor Core Isolation Cooling [RCIC] System testable check valve (i.e., 1E51-F066) has experienced multiple failures with the last two in consecutive outages. This valve is in a position to be tested during "refueling only outages" in addition to "refueling! maintenance outages." Until four consecutive years of tests are passed, this valve will be tested each refueling outage (i.e., 1 year test interval).
NRCRAI Describe how testing will change if an RFJ valve that is tested once every 2 years fails a test.
The response should specify changes in test frequency and the number of consecutive passed tests required to return the valve to a 2-year test interval (i.e., information similar to what was provided for the RCIC system testable check valve above).
EGC Response Testing for RFJ valves that fail under the proposed relief will not change from the process currently used. Currently, if a RFJ valve were to fail, it would be tested during the next outage (i.e., 24 months later). During the proposed "refueling only outage" there is no intent to perform maintenance on CSJ/RFJ valves other than stroking the valves as required (i.e., those valves classified as CSJ). If a valve were to fail during stroking, corrective action would be implemented and a post-maintenance test would be performed prior to returning the valve to service. There would be no change in test frequency and no defined number of consecutive Page 1of2
ATTACHMENT Response to Request for Additional Information Regarding Proposed Alternative Testing Requirements for ASME Class 1, 2, and 3 Valves in an IST Cold Shutdown Justification or Refuel Justification successful tests required to return to a 24 month test frequency. History shows that a 24 month testing frequency has been acceptable for these valves.
As described in Reference 1, CPS intends to alternately schedule one short outage that will primarily focus on refueling outage activities with minimal maintenance activities (i.e., "refueling only outages") and one more traditional refueling outage consisting of both refueling activities and maintenance activities (i.e., "refueling/maintenance outages"). The plan is for a minimal amount of testing and system outages to be performed during the "refueling only outages."
Therefore, during "refueling only outages," testing of certain CSJ/RFJ valves would incur system unavailability and possibly increased shutdown risk. Since the "refueling/maintenance outages" will require more system outages to accomplish, testing during this outage will allow for addressing any plant risk associated with taking a system out of service. The RCIC testable check valve, 1E51 F066, is an exception since this valve is within part of the reactor pressure vessel (RPV) piping that is removed during RPV disassembly and therefore the opportunity exists to perform the test without causing system unavailability or increased shutdown risk to perform the testing.
References:
- 1. Letter from Patrick R. Simpson (Exelon Generation Company, LLC) to U.S. NRC, "Proposed Alternative Testing Requirements for ASME Class 1, 2, and 3 Valves in an IST Cold Shutdown Justification or Refuel Justification," dated December 1, 2014 Page 2 of 2