ML17219A428

From kanterella
Jump to navigation Jump to search

Issuance of Relief Request-Alternative to Certain Requirements of the ASME Code Regarding Use of ASME Code Case N-513-4 (CAC No. MF9641; EPID L-2017-LLR-0023)
ML17219A428
Person / Time
Site: FitzPatrick Constellation icon.png
Issue date: 12/11/2017
From: James Danna
Plant Licensing Branch 1
To: Bryan Hanson
Exelon Generation Co, Exelon Nuclear
Venkataraman B
References
CAC MF9641
Download: ML17219A428 (11)


Text

UNITED STATES NUCLEAR REGULATORY COMMISSION WASHINGTON, D.C. 20555-0001 December 11, 2017 Mr. Bryan C. Hanson Senior Vice President Exelon Generation Company, LLC President and Chief Nuclear Officer Exelon Nuclear 4300 Winfield Road Warrenville, IL 60555

SUBJECT:

JAMES A. FITZPATRICK NUCLEAR POWER PLANT - ISSUANCE OF RELIEF REQUEST-ALTERNATIVE TO CERTAIN REQUIREMENTS OF THE ASME CODE REGARDING USE OF ASME CODE CASE N-513-4 (CAC NO. MF9641; EPID L-2017-LLR-0023)

Dear Mr. Hanson:

By letter dated April 20, 2017 (Agencywide Documents Access and Management System (ADAMS) Accession No. ML 1711OA274 ), Exelon Generation Company, LLC (the licensee) submitted a request to the U.S. Nuclear Regulatory Commission (NRC) for the use of an alternative to certain American Society of Mechanical Engineers Boiler and Pressure Vessel Code (ASME Code),Section XI requirements at the James A. FitzPatrick Nuclear Power Plant.

Specifically, pursuant to Title 10 of the Code of Federal Regulations ( 10 CFR) 50.55a(z)(2), the licensee requested to use the alternative on the basis that complying with the specified requirement would result in hardship or unusual difficulty, without a compensating increase in the level of quality and safety. The proposed alternative would allow the licensee to use ASME Code Case N-513-4, "Evaluation Criteria for Temporary Acceptance of Flaws in Moderate Energy Class 2 or 3 Piping,Section XI, Division 1," for the evaluation and temporary acceptance of flaws in moderate energy Class 2 and 3 piping, in lieu of specified ASME Code requirements.

The NRC staff has reviewed the subject request and concludes, as set forth in the enclosed safety evaluation, that the proposed alternative provides reasonable assurance of structural integrity of the subject components. The staff concludes that the licensee has adequately addressed all of the regulatory requirements set forth in 10 CFR 50.55a(z)(2). Accordingly, the NRC staff authorizes the use of the licensee's proposed alternative, as described in its April 20, 2017, letter, to use ASME Code Case N-513-4 at FitzPatrick for the fifth 10-year inservice inspection interval, which began June 16, 2017, and is scheduled to end on June 15, 2027, or until such time as the NRC approves Code Case N-513-4 for general use through revision of Regulatory Guide 1.147, Revision 17, "lnservice Inspection Code Case Acceptability, ASME Section XI, Division 1," or another document.

All other requirements of the ASME Code,Section XI, for which relief has not been specifically requested and approved by NRC staff in this proposed alternative remain in effect.

B. Hanson If you have any questions, please contact the Project Manager, Booma Venkataraman, at 301-415-2934 or Booma.Venkataraman@nrc.gov.

Sincerely,

~1 Q,,,"",{__/D<t-~

~~1~~ G. Danna, Chief Plant Licensing Branch I Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation Docket No. 50-333

Enclosure:

Safety Evaluation cc w/encl: Distribution via Listserv

UNITED STATES NUCLEAR REGULATORY COMMISSION WASHINGTON, D.C. 20555-0001 SAFETY EVALUATION BY THE OFFICE OF NUCLEAR REACTOR REGULATION PROPOSED ALTERNATIVE TO UTILIZE ASME CODE CASE N-513-4 EXELON FITZPATRICK LLC EXELON GENERATION COMPANY, LLC JAMES A. FITZPATRICK NUCLEAR POWER PLANT DOCKET NO. 50-333

1.0 INTRODUCTION

By letter dated April 20, 2017 (Agencywide Documents Access and Management System (ADAMS) Accession No. ML17110A274). Exelon Generation Company, LLC (Exelon. the licensee) submitted a request to the U.S. Nuclear Regulatory Commission {NRC) for the use of an alternative to certain American Society of Mechanical Engineers Boiler and Pressure Vessel Code {ASME Code),Section XI requirements at the James A. FitzPatrick Nuclear Power Plant

( FilzPatrick ).

Specifically. pursuant lo Title 10 of lhe Code of Federal Regulations (10 CFR) 50.55a(z)(2). lhe licensee requested to use the alternative on the basis that complying with the specified requirement would result in hardship or unusual difficulty, without a compensating increase in the level of quality and safety. The proposed alternative would allow the licensee to use ASME Code Case N-513A, "Evaluation Criteria for Temporary Acceptance of Flaws in Moderate Energy Class 2 or 3 Piping,Section XI, Division 1," for the evaluation and temporary acceptance of flaws in moderate energy Class 2 and 3 piping, in lieu of specified ASME Code requirements.

2.0 REGULATORY EVALUATION

The licensee's request proposes an alternative to the requirement of ASME Code,Section XI, Articles IWC-3000 and IWD-3000.

Adherence to Section XI of the ASME Code is mandated by 10 CFR 50.55a(g)(4), which states, in part, that ASME Code Class 1, 2, and 3 components {including supports) wm meet the requirements, except the design and access provisions and the pre-service examination requirements, set forth in the ASME Code,Section XI.

The regulation in 10 CFR 50.SSa(z) states, in part, that alternatives to the requirements of paragraph (g) of 10 CFR 50.55a may be used when authorized by lhe NRC if the licensee demonstrates that (1) the proposed alternative provides an acceptable level of quality and safety or (2) compliance with the specified requirements would result in hardship or unusual difficulty, without a compensating increase in the level of quality and safety.

Enclosure

Based on the above, and subject to the following technical evaluation, the NRG staff finds that regulatory authority exists for the licensee to request the use of an alternative and the NRG to authorize the proposed alternative.

3.0 TECHNICAL EVALUATION

3.1.1 ASME Code Component{s) Affected The affected components are ASME Code Class 2 and 3 moderate energy piping systems, as described in Code Case N-513-4, Section 1, "Scope," whose maximum operating temperature does not exceed 200 degrees Fahrenheit (°F) and whose operating pressure does not exceed 275 pounds per square inch gauge (psig).

3.1.2 Applicable Code Edition and Addenda The code of record for the fifth 10-year inservice inspection (ISi) interval at FitzPatrick is the ASME Code,Section XI, 2007 Edition through the 2008 Addenda. The fifth 10-year ISi interval began on June 16, 2017, and is scheduled to end on June 15, 2027.

The licensee also identified the fourth 10-year ISi interval for FitzPatrick. However, this relief request is not applicable to this interval since it ended on June 15, 2017.

3.1.3 Applicable Code Requirement ASME Code,Section XI, IWC-3120 and IWC-3130, require that flaws exceeding the defined acceptance criteria be corrected by repair/replacement activities or evaluated and accepted by analytical evaluation. ASME Code,Section XI, IWD-3120(b), requires that components exceeding the acceptance standards of IWD-3400 be subject to supplemental examination or to a repair/replacement activity.

3.1.4 Reason for Request The licensee stated that ASME Code Case N-513-3 (currently approved for use in Regulatory Guide (RG) 1.147, Revision 17, "lnservice Inspection Code Case Acceptability, ASME Section XI, Division 1" (ADAMS Accession No. ML13339A689), contains limitations regarding the evaluation of flaws in certain locations of moderate energy piping components. Many of these limitations have been addressed in Code Case N-513-4. Moderately degraded piping could require a plant shutdown within the required action statement timeframes to repair observed degradation. The licensee stated that plant shutdown activities result in additional dose and plant risk that would be inappropriate when a degraded condition is demonstrated to retain adequate margin to complete the component's function.

3.1.5 Licensee's Proposed Alternative and Basis for Use The licensee's proposed alternative is to use ASME Code Case N-513-4 for the evaluation and temporary acceptance of flaws in moderate energy Class 2 and 3 piping, in lieu of specified ASME Code,Section XI requirements. In addition, the licensee's proposed alternative includes the determination of an allowable leakage rate by dividing the critical leakage rate by a safety factor of four.

The licensee stated that limitations in Code Case N-513-3 related to its use on piping components such as elbows, bent pipe, reducers, expanders, and branch tees and external tubing or piping attached to heat exchangers, have been addressed in Code Case N-513-4.

The licensee provided a high level overview of the differences between Code Case N-513-3 and Code Case N-513-4, as listed below:

1. Revised the maximum allowable time of use from no longer than 26 months to the next refueling outage.
2. Added applicability to piping elbows, bent pipe, reducers, expanders, and branch tees where the flaw is located more than (R0t) 112 from the centerline of the attaching circumferential piping weld.
3. Expanded use to external tubing or piping attached to heat exchangers.
4. Revised to limit the use to liquid systems.
5. Revised to clarify treatment of service level load combinations.
6. Revised to address treatment of flaws in austenitic pipe flux welds.
7. Revised to require minimum wall thickness acceptance criteria to consider longitudinal stress in addition to hoop stress.
8. Incorporated other minor editorial changes to improve the clarity of the Code Case.

As part of a previous NRG-approved alternative dated September 6, 2016 (ADAMS Accession No. ML16230A237), for the Exelon fleet of nuclear power plants request to use Code Case N-513-4 dated January 28, 2016 (ADAMS Accession No. ML16029A003), the licensee provided a technical basis document for the fourth revision to N-513 entitled "Proceedings of the ASME 2014 Pressure Vessels & Piping Conference, PVP2014, July 20-24, 2014, Anaheim, California, USA, PVP2014-28355, 'Technical Basis for Proposed Fourth Revision to ASME Code Case N-513. "' The licensee referenced the information in its previous alternative request as being applicable to its current proposed alternative. Subsequent to NRC approval of the use of N-513-4 for the Exelon fleet, the licensee purchased FitzPatrick (Exelon letter dated March 31, 2017; ADAMS Accession No. ML17090A188).

The licensee stated that the effects of leakage may impact the operability determination or the plant flooding analyses specified in paragraph 1(f) of Code Case N-513-4. For a leaking flaw, the licensee stated that the allowable leakage rate will be determined by dividing the critical leakage rate by a safety factor of four. The critical leakage rate is determined as the limiting leakage rate that can be tolerated and may be based on the allowable loss of inventory or the maximum leakage that can be tolerated relative to room flooding, among others. The licensee contends that applying a safety factor of four to the critical leakage rate provides quantitative measurable limits that ensure the operability of the system and early identification of issues that could erode defense-in-depth and lead to adverse consequences.

The licensee stated that Code Case N-513-4 utilizes technical evaluation approaches that are based on principles that are accepted in other code documents already acceptable to the NRC.

The licensee also stated that application of this Code Case, in concert with safety factors on leakage limits, will maintain acceptable structural and leakage integrity, while minimizing plant risk and personnel exposure by minimizing the number of plant transients that could be incurred if degradation is required to be repaired based on ASME Section XI acceptance criteria only.

3.1.6 Hardship Justification As stated by the licensee, moderately degraded piping could require a plant shutdown within the required action statement timeframes to repair observed degradation. Plant shutdown activities result in additional dose and plant risk that would be inappropriate when a degraded condition is demonstrated to retain adequate margin to complete the component's function. The licensee contends that use of an acceptable alternative analysis method in lieu of immediate action for a degraded condition will allow it to perform additional extent of condition examinations on the affected systems, while allowing time for safe and orderly long-term repair actions, if necessary.

Actions to remove degraded piping from service could have a detrimental overall risk impact by requiring a plant shutdown, thus requiring use of a system that is in standby during normal operation. The licensee believes that compliance with the current Code requirements results in a hardship, without a compensating increase in the level of quality and safety.

3.1. 7 Duration of Proposed Alternative The licensee stated that the duration of the proposed alternative is the fifth 10-year ISi interval, which began on June 16, 2017, and is scheduled to end on June 15, 2027, or such time as the NRC approves Code Case N-513-4 in RG 1.147 or another document. The licensee stated that if a flaw is evaluated near the end of the interval and the next refueling outage is in the subsequent interval, the flaw may remain in service until the next refueling outage.

As stated in Section 3.1.2 above, the licensee also identified the fourth 10-year ISi interval for FltzPatrick. However, this relief request is not applicable to the fourth interval since the fourth interval ended on June 15, 2017, which is past the date of the NRC's approval of this proposed alternative.

3.2 NRC Staff Evaluation The NRC staff evaluated the adequacy of the proposed alternative in maintaining the structural integrity of piping components identified in Code Case N-513-4. Code Case N-513-3, which is conditionally approved for use in RG 1.147, Revision 17, provides alternative evaluation criteria for temporary acceptance of flaws, including through-wall flaws in moderate energy Class 2 and 3 piping. However, Code Case N-513-3 contains limitations that the licensee considers restrictive and that could result in an unnecessary plant shutdown. Code Case N-513-3 is limited to straight pipe with provisions for flaws that extend for a short distance at the pipe to fitting weld into the fitting. Evaluation criteria for flaws in elbows, bent pipe, reducers, expanders, branch tees, and heat exchangers are not included within the scope of N-513-3. Code Case N-513-4 addresses these specific limitations. Given that the previous revision of this Code Case (Code Case N-513-3) is conditionally approved for use in RG 1.147, Revision 17, the NRC staff focused its review on the differences between Code Cases N-513-3 and N-513-4. The significant changes in N-513-4 include the following: (1) revised temporary acceptance period; (2) added flaw evaluation criteria for elbows, bent pipe, reducers, expanders, and branch tees; (3) expanded applicability to heat exchanger tubing or piping; (4) limited use to liquid systems; (5) clarified

treatment of service load combinations; {6) revised treatment of flaws in austenitic pipe flux welds; (7) revised minimum wall thickness acceptance criteria to consider longitudinal stress in addition to hoop stress; and (8) revised leakage monitoring requirements. The NRC staff also evaluated the licensee's proposed limitation on the leakage rate and its hardship justification.

The NRG staff notes that many requirements specified in Code Case N-513-4 are not discussed in this safety evaluation, but they should not be considered as less important. As part of the NRG-approved proposed alternative, all requirements in the Code Case must be followed. Any exceptions or restrictions to the Code Case that are approved in this safety evaluation also need to be followed.

3.2.1 Temporary Acceptance Period Code Case N-513-3 specifies a temporary acceptance period of a maximum of 26 months.

Code Case N-513-3 is accepted for use in RG 1.147, Revision 17, with the following condition:

"The repair or replacement activity temporarily deferred under the provisions of this Code Case shall be performed during the next scheduled outage." Code Case N-513-4 includes wording that limits the use of the Code Case to the next refueling outage. The NRC staff finds that Code Case N-513-4 appropriately addresses the NRC condition in Code Case N-513-3, and is, therefore, acceptable.

3.2.2 Flaw Evaluation Criteria for Elbows, Bent Pipe, Reducers, Expanders, and Branch Tees Evaluation and acceptance criteria have been added to Code Case N-513-4 for flaws in elbows, bent pipe, reducers, expanders, and branch tees, using a simplified approach that is based on the Second International Piping Integrity Research Group (IPIRG-2) program reported in NUREG/CR-6444 BMl-2192, "Fracture Behavior of Circumferentially Surface-Cracked Elbows,"

October 1993- March 1996, published December 1996.

The flaw evaluation methodology approach in Code Case N-513-4 for piping components is conducted as if in straight pipe by scaling hoop and axial stresses using ASME piping design code stress indices and stress intensification factors to account for the stress variations caused by the geometric differences. Equations used in the Code Case are consistent with the piping design-by-rule approach in ASME Code, Section Ill, NC/ND-3600. NUREG/CR-6444 shows that this approach is conservative for calculating stresses used in flaw evaluations in piping elbows and bent pipe. The Code Case also applies this methodology to reducers, expanders, and branch tees.

The NRC staff finds that the flaw evaluation and acceptance criteria in Code Case N-513-4 for elbows, bent pipe, reducers, expanders, and branch tees is acceptable because the flaw evaluation methods in the Code Case are consistent with ASME Code,Section XI and ASME Code, Section lll design-by-rule approach and provide a conservative approach as confirmed by comparing the failure moments predicted using this approach to the measured failure moments from the elbow tests for through-wall circumferential flaws conducted as part of the lPIRG-2 program.

3.2.3 Flaw Evaluation in Heat Exchanger Tubing or Piping Code Case N-513-4 has been revised to include heat exchanger external tubing or piping, provided that the flaw is characterized in accordance with Section 2(a) of the Code Case and

leakage is monitored. Section 2(a) requires that the flaw geometry be characterized by volumetric inspection or physical measurement.

The NRC staff determined that the flaw evaluation criteria in Code Case N-513-4 for straight or bent piping, as appropriate, can be applied to heat exchanger external tubing or piping. The staff determined the methods for evaluating flaws in straight pipe are acceptable since they are currently allowed in Code Case N-513-3. For bent pipe, the acceptability is described in Section 3.2.2 above. Therefore, the NRC staff finds inclusion of heat exchanger external tubing or piping in the Code Case to be acceptable because only heat exchanger tubing flaws that are accessible for characterization and leakage monitoring may be evaluated in accordance with the Code Case, and the Code Case provides acceptable methods for the evaluation flaws.

3.2.4 Limit Use to Liquid Systems Use of Code Case N-513-4 is specifically limited to liquid systems. The NRC staff finds this change acceptable since Code Case N-513 is not intended to apply to air or other compressible fluid systems.

3.2.5 Treatment of Service Load Combinations Modifications in N-513-4 now make clear that all service load combinations must be considered in flaw evaluations to determine the most limiting condition. Although previously implied in N-513-3, N-513-4 makes this requirement clear. Therefore, the NRC staff finds this change acceptable.

3.2.6 Treatment of Flaws in Austenitic Pipe Flux Welds Paragraph 3.1 (b) of N-513-4 contains modifications that include a reference to ASME Code Section XI, Appendix C, C-6320, to address flaws in austenitic stainless steel pipe flux welds.

Flaws in stainless steel pipe flux welds require the use of elastic plastic fracture mechanics criteria in lieu of limit load criteria. Equation 1 of the Code Case was also revised to be consistent with ASME Code,Section XI, Appendix C, C-6320, so the equation can be used for flaws in austenitic stainless steel pipe flux welds. The NRC staff finds this acceptable because the modification to the Code Case now includes the appropriate methods for the evaluation of stainless steel pipe flux welds in accordance with ASME Code,Section XI.

3.2.7 Minimum Wall Thickness Acceptance Criteria to Consider Longitudinal Stress Although it is unlikely that a longitudinal stress based minimum wall thickness would be limiting when compared to a hoop stress-based minimum wall thickness, Code Case N-513-4 includes revisions that require consideration of longitudinal stress in the calculation of minimum wall thickness. Previous versions of the Code Case only required the use of hoop stress. The NRC staff finds this acceptable because it will ensure that the more limiting of the longitudinal or hoop stress is used to determine minimum wall thickness.

3.2.8 Leakage Monitoring for Through-Wall Flaws Code Case N-513-3 required through-wall leakage to be observed by daily walkdowns to confirm the analysis conditions used in the evaluation remained valid. Code Case N-513-4 modifies this requirement by continuing to require that leakage be monitored daily but now allows other techniques to be used to monitor leakage such as using visual equipment or

leakage detection systems to determine if leakage rates are changing. The NRC staff finds this change acceptable because the Code Case continues to require through-wall leaks to be monitored daily, and the expanded allowable monitoring methods should have no adverse impact.

3.2.9 Leakage Rate Code Case N-513-3, paragraph 1(d) states, "The provisions of this Case demonstrate the integrity of the item and not the consequences of leakage. It is the responsibility of the Owner to demonstrate system operability considering effects of leakage." Code Case N-513-4 modified the last sentence, now located in paragraph (f), to state, "It is the responsibility of the Owner to consider effects of leakage in demonstrating system operability and performing plant flooding analyses."

The licensee stated that the allowable leakage rate will be determined by dividing the critical leakage rate by a safety factor of four. The critical leakage rate is determined as the limiting leakage rate that can be tolerated and may be based on the allowable loss of inventory or the maximum leakage that can be tolerated relative to room flooding, among others. The licensee contends that applying a safety factor of four to the critical leakage rate provides quantitative measurable limits, which ensure the operability of the system and early identification of issues that could erode defense-in-depth and lead to adverse consequences.

Code Cases N-513-3 and N-513-4 do not contain leakage limits for components with through-wall flaws. The NRC staff finds that the licensee's approach of applying a safety factor of four to the critical leakage rate is acceptable because it will provide sufficient time for corrective measures to be taken before significant increases in leakage erodes defense-in-depth, which could lead to adverse consequences.

3.2.10 Hardship Justification The NRC staff finds that performing a plant shutdown to repair the subject piping would cycle the unit and increase the potential of an unnecessary transient, resulting in undue hardship.

Additionally, performing certain ASME Code repair during normal operation would challenge the technical specification completion time and place the plant at higher safety risk than warranted.

Therefore, the NRC staff determined that compliance with the specified ASME Code repair requirements would result in hardship or unusual difficulty, without a compensating increase in the level of quality and safety.

3.3 Summary The NRC staff finds that the proposed alternative will provide reasonable assurance of the structural integrity because: (1) Code Case N-513-4 addresses the NRG condition in RG 1.147, Revision 17, for Revision 3 of the Code Case; (2) flaw evaluations in component types added to Revision 4 of the Code Case are based on acceptable methodologies; and (3) the method for determining the allowable leakage rate is adequate to provide early identification of a significant increase in leakage. In addition, complying with ASME Code,Section XI requirements would result in in hardship or unusual difficulty, without a compensating increase in the level of quality and safety.

4.0 CONCLUSION

As set forth above, the NRG staff determined that the proposed alternative provides reasonable assurance of structural integrity of the subject components and that complying with IWC-3120, IWC-3130, IWD-3120(b), and IWD-3400 of the ASME Code,Section XI, would result in a hardship or unusual difficulty, without a compensating increase in the level of quality and safety.

Accordingly, the staff concludes that the licensee has adequately addressed all of the regulatory requirements set forth in 10 CFR 50.55a(z)(2).

Accordingly, the NRC staff authorizes the use of the licensee's proposed alternative, as described in its April 20, 2017, letter, to use ASME Code Case N-513-4 at FitzPatrick for the fifth 10-year ISi interval, which began June 16, 2017, and is scheduled to end on June 15, 2027, or until such time as the NRC approves Code Case N-513-4 for general use through revision of RG 1.147 or another document. If the proposed alternative is applied to a flaw near the end of the authorized 10-year ISi interval and the next refueling outage is in the subsequent interval, the licensee is authorized to continue to apply the proposed alternative to the flaw until the next refueling outage. The NRC staff notes that approval of this alternative does not imply or infer NRC approval of ASME Code Case N-513-4.

All other requirements of the ASME Code, Section Xl, for which relief has not been specifically requested and authorized by the NRC staff remain applicable, including third party review by the Authorized Nuclear lnservice Inspector.

Principal Contributor: Robert Davis Date: December 11, 2017

ML17219A428 *bv e-mail OFFICE DORULPL 1/PM DORULPL 1/LA DE/EPNB/BC" DORULPL1/BC DORULPL 1/PM NAME BVenkataraman LRonewicz DAIiey JDanna BVenkataraman DATE 12/08/17 12/08/17 06/17/17 12/11/17 12/11/17