ML19269C809
ML19269C809 | |
Person / Time | |
---|---|
Site: | 07201008 |
Issue date: | 09/10/2019 |
From: | Kristina Banovac Division of Spent Fuel Management |
To: | Holtec |
Banovac K | |
References | |
001028/L-2018-RNW-0030 | |
Download: ML19269C809 (2) | |
Text
NRC FORM 699 U.S. NUCLEAR REGULATORY COMMISSION (11-2017)
CONVERSATION RECORD NAME OF PERSON(S)/TITLE CONTACTED OR IN CONTACT WITH YOU DATE OF CONTACT TYPE OF CONVERSATION Holtec International 09/10/2019 DE-MAIL E-MAIL ADDRESS TELEPHONE NUMBER I ./ I TELEPHONE DINCOMING
[{JouTGOING ORGANIZATION DOCKET NUMBER($)
Holtec International 72-1008 LICENSE NAME AND NUMBER($) MAIL CONTROL NUMBER($)
Certificate of Compliance No. 1008 001028/L-2018-RNW-0030 SUBJECT Follow-up discussion of June 28, 2019, Holtec International (Holtec) response to request for supplemental information on the HI-STAR 100 storage certificate of compliance renewal application
SUMMARY
AND ACTION REQUIRED (IF ANY)
Holtec attendees: Kimberly Manzione NRC attendees: Kristina Banovac, John Wise A teleconference was held between NRC and Holtec representatives to discuss Holtec's June 28, 2019, response (ADAMS Accession No. ML19184A232) to NRC's request for supplemental information (RSI) on the HI-STAR 100 storage certificate of compliance (CoC) renewal application. This was a follow-up to the August 14, 2019, discussion to seek clarification on the RSI response, specifically the response to RSl-1 that addressed potential time-limited aging analyses (TLAAs).
The NRC staff noted that the application needs to clearly identify all TLAAs and then disposition them appropriately, as discussed in NUREG-1927, Rev. 1. The fuel cladding integrity analysis (in Section 4.3 of the final safety analysis report (FSAR)) appears to meet the 6 criteria in the definition of TLAA in 10 CFR 72.3, and thus, the application should identify it as a TLAA. In addition, any corresponding changes to the FSAR (e.g., changes to FSAR Section 4.3 that supports the fuel cladding integrity analysis for Amds. 0, 1, and 2) should be included in the application. Finally, the application should address disposition of the TLAA, which could include managing the effects of aging and the use of ISG-11, Rev. 3 to support a claim that no aging management activities are needed in the requested period of extended operation.
NAME OF PERSON DOCUMENTING CONVERSATION Kristina L. Banovac SIGNATURE DATE OF SIGNATURE 7L 09/23/2019 NRC Form 699 (11-2017) Page 1 of 2