ML20023A404
| ML20023A404 | |
| Person / Time | |
|---|---|
| Site: | Vermont Yankee File:NorthStar Vermont Yankee icon.png |
| Issue date: | 11/29/1978 |
| From: | Ippolito T Office of Nuclear Reactor Regulation |
| To: | Groce R YANKEE ATOMIC ELECTRIC CO. |
| References | |
| NUDOCS 7812110002 | |
| Download: ML20023A404 (8) | |
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,dl NUCLEAR REGULATORY COMMISSION U
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v November 29. 1978 4'
q Docket No. 50-271 3
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l Mr. Robert H. Groce Licensing Engineer s
Yankee Atomic Electric Company 20 Turnpike Road Westboro, Massachusetts 01581 o)
Dear Mr. Groce:
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RE:
CONTAINMENT PURGING DURING NORMAL PLANT OPERATION A number of events have occurred over the past several years which directly relate to the practice of containment purging during normal plant operation. During recent months, two specific events have occurred which have raised several questions relative to potential failures of automatic isolation of the large diameter purge pene-trations which are used during power operation. On July 26, 1978, the Northeast Nuclear Energy Company reported to the NRC such an event at Millstone Unit No. 2, a pressurized water reactor located in New London County, Connecticut. On September 8,1978, the Public Service Electric and Gas Company reported a similar event at Salem Unit No.1, a pressurized water reactor located in Salem County,
<~n New Jersey.
O During a review of operating procedures on July 25, 1978, the licensee discovered that since May 1, 1978, intermittent containment purge operations had been conducted at Millstone Unit No. 2 with the safety actuation isolation signals to both inlet and outlet redundant containment isolation valves (48 inch butterfly valves) in the purge inlet and outlet penetrations manually overridden and inoperable.
The isolation signals which are required to automatically close the purge valves for containment integrity were manually overridden to allow purging of containment with a high radiation signal present.
The manual override circuitry designed by the plant's architect / engineer defeated the high radiation signal and all other isolation signals to these valves. To manually override a safety actuation signal, the operator cycles the valve control switch to the closed position and then to the open position. This action energized a relay which blocked the safety signal and allowed manual operation independent of any safety actuation signal.
This circuitry was designed to permit reopening these valves after an accident to allow manual
?SL a ion of certain safety equipment.
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' s On September 8,1978, the staff was advised that, as a matter of routine, Salen Unit No. I has been venting the containment through the containment ventilation system valves to reduce pressure.
In certain instances this venting has occurred with the containment high particulate radiation monitor isolation signal to the purge and pressure-vacuum relief valves overridden.
Override of the containment isolation signal was accomplished by resetting the train A and B reset buttons. Under these circumstances, six valves in the containment vent and purge systems could be opened with a high particulate isolation signal present.
This override was performed after verifying that the actual containment particulate O
levels were acceptable for venting.
The licensee, after further investigation of this practice, determined that the reset of the particulate alarm also bypasses the containment isolation signal to the purge valves and that the purge valves would not have auto-matically closed in the event of an emergency core cooling system (ECCS) safety injection signal.
These events and information gained from recent licensing actions have raised several concerns relative to potential failures affecting the purge penetration valves which could lead to a degradation in containment integrity and, for PWR's, a degradation in ECCS performance.
Should a loss-of-coolant accident (LOCA) occur during purging there could be insufficient containment backpressure to assure proper operation of the ECCS.
As the practice of containment purging during normal operation has become more prevalent in recent years, we have required that applicants for construction permits C)S or operating licenses provide test results or analyses to demonstrate the capability of the purge isolation valves to close against the dynamic forces of a design basis LOCA.
Some licensees have Technical Specifications which prohibit purging during plant operation pending demonstration of isolation valve operabili;c In light of the above, we request ttF..
to ovide within 30 days of receipt of this levar your comn't.wc?
a cease all containment purge during operation (hot shutdowrg hot stEndby, startup and power operation) or a justification for continuing purging at your facility.
Specifically, provide the following information:
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. (1) Propose an amendment to the plant Technical Specifications based, upon the enclosed model Technical Specification, or (2)
If you plan to justify limited purging, you must propose a Technical Specification change limiting purging during operation to 90 hours0.00104 days <br />0.025 hours <br />1.488095e-4 weeks <br />3.4245e-5 months <br /> per year as described in the enclosed Standard Review Plan Section 6.2.4, Revision 1.
Your justification must include a demonstration (by test or by test and analysis similar to that required by Standard Review Plan 3.9.3) of the ability of the containment isolation valves !o close under postulated design basis accident conditions.
Within thirty days of receipt of this letter, you are requested to provide O
sched"ie for co=P etio" or oer evei" tioa 3" stir i"9 i
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continuation of limited purging during power operation.
(3)
If you plan to justify unlimited purging you need not propose a Technical Specification change at this time.
You must, however, provide the basis for purging and a schedule for responding to the issues relating to purging during normal l
operation as described in the enclosed Standard Review Plan Section 6.2.4, Revision 1, and the associated Branch Technical Position CSB 6-4.
As discussed in these documents, purging during normal operation may be permitted if the purge isolation valves are capable of closing against the dynamic forces of a design basis loss-of-coolant accident.
Also, basis for unlimited purging must include an evaluation of the impact of purging during operation on ECCS perfonnance, an evaluation of the radiological consequences of any design basis accident f']
requiring containment isolation occurring during purge operations, and an evaluation of containment purge and isolation instrumentation and control circuit designs.
Within thirty days of receipt of this letter, you are requested to provide a schedule for completion of your evaluation justifying continuation of unlimited purging during power operation.
. The staff believes that both the Millstone and Salem events resulted from lack of proper management control, procedural inadequacies, and possible design deficiencies.
While the containment atmosphere was properly sampled and the purging (venting) discharges at both facilities were within regulatory requirements, the existing plant operating procedures approved by the licensee's management did not adequately address the operability of the purge valves and the need for strict limitations on (or prohibition of) overriding a safety actuation closure signal.
The requirements for valve operability were not discussed and the related Technical Specifi-cations were not referenced in the procedures. Design deficiencies probably contributed to the events as the safety actuation bypass O
condition is not annunciated nor is a direct manual rese?. of the safety actuation signal available.
Consequently, we have developed the position specified below to assure that the design and use of all override circuitry in your plant is such that your plant will have the protection needed during postulated accident conditions.
l Whether or not you plan to justify purging, you should review the design of all safety actuation signal circuits which incorporate a manual override feature to ensure that overriding of one safety actuation signal does not also cause the bypass of any other safety actuation signal, that sufficient physical features are provided to facilitate adequate administrative controls, and that the use of each such manual override is annunciated at the system level for every system impacted.
Within thirty days of receipt of this letter, you are requested to provide (1) the results of your review of override circuitry and (2) a schedule for the Q
development of any design or procedural changes imposed or planned to assure correction of any non-confonning circuits. Until you have reviewed circuitry to the extent necessary to verify that operation of a bypass will affect no safety functions other than those analyzed and discussed on your docket, do not bypass that signal.
Our Office of Inspection and Enforcement will verify that
Mr. Robert H. Groce you have inaugurated administrative controls to prevent improper manual defeat of safety actuation signals as a part of its regular inspection program.
Sincerely,
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. N2ed Thomav fppolito, Chief Operating Reactors Branch #3 Divisior of Operating Reactors 7,
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Enclosures:
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Model Technical l
Specification 2.
Standard Review Plan 3.
Branch Technical Position l
CSB 6-4 cc w/ enclosures:
See next page
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Yankee Atomic Electric Company i cc: Mr. S. D. Karpyak John R. Stanton, Director l
Vermont Yankee Nuclear Power Radiation Control Agency Corpora tion Hazen Drive 77 Grove Street Concord, New Hampshire 03301 j
Rutland, Vermont 05701 i
John W. Stevens i
Mr. Donald E. Vandcaburgh, Conservation Society of Vice President Southern Vermont Vermont Yankee Nuclear Power P. O. Box 256 Corporation Townshend, Vermont 05353 Turnpike Road, Route 9 Westboro, Massachusetts 01 581 Mr. David M. Scott Radiation Health Engineer John A. Ritsher Esquire Agency of Human Services O
aoPes 5 cray oivis'oa or occuPetio"ei "e ith 225 Franklin Street P. O. Box 607 l
Boston, Massachusetts 02110 Barre, Vermont 05641 Laurie Burt New England Coalition on Nuclear Assistant Attorney, General. ion Pollution Environmental Protection Divis Hill and Dale Farm Attorney General's Office West Hill-Faraway Road One Ashburton Place,19th Floor Putney, Vermont 05346 Boston, Massachusetts 02108 Ricnard E. Ayres, Esquire Public Service Board Natural Resources Defense Counsel State of Vermont 917 15th Street, N. W.
120 State Street Washington, D. C.
20005 Montpelier, Vermont 05602 Honorable M. Jerome Diamond W. F. Conway, Plant Superintendent v
Attorney General Vermont Yankee Nuclear Power l
State of Vermont Corporation i
l 109 State Street P. O. Box 157 Pavilion Office Building Vernon, Vennont 05354 Montpelier, Vermont 05602 Brooks Memorial Library John A. Calhoun 224 Main Street Assistant Attorney General Brattleboro, Vermont 05301 State of Vermont 109 State Street Pavilion Office Building Montpelier, Vennont 05602 j
Anthony Z. Roisman l
Natural Resources Defense Council 917 15th Street, N. W.
i Washington, D. C.
20005
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