ML20031E722

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NextEra Energy Seabrook LLCs Supplemental Proposed Findings of Fact and Conclusions of Law
ML20031E722
Person / Time
Site: Seabrook NextEra Energy icon.png
Issue date: 01/31/2020
From: Bessette P, Hamrick S, Lighty R
Morgan, Morgan, Lewis & Bockius, LLP, NextEra Energy Seabrook
To:
Atomic Safety and Licensing Board Panel
SECY RAS
References
50-443-LA-2, ASLBP 17-953-02-LA-BD01, RAS 55544
Download: ML20031E722 (9)


Text

UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD In the Matter of:

NEXTERA ENERGY SEABROOK, LLC (Seabrook Station Unit 1)

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Docket No. 50-443-LA-2 January 31, 2020 NEXTERA ENERGY SEABROOK LLCS SUPPLEMENTAL PROPOSED FINDINGS OF FACT AND CONCLUSIONS OF LAW Pursuant to 10 C.F.R. § 2.1209, and the Atomic Safety and Licensing Boards (Board)

Orders of November 25, 2019,1 and January 17, 2020,2 NextEra Energy Seabrook, LLC (NextEra) submits its Supplemental Proposed Findings of Fact and Conclusions of Law (Supplemental Proposed Findings) regarding C-10 Research and Education Foundation, Inc.s (C-10) Contention, as admitted by the Board in LBP-17-7.3 As directed by the Board,4 these Supplemental Proposed Findings are limited to the specific issues raised in Dr. Saoumas supplemental mineralogy testimony (INT051-R) and NextEras and the NRC Staffs supplemental testimony in response thereto (NER077 and NRC091). NextEras Supplemental Proposed Findings provide citations to the evidentiary record in this proceeding and are set out in numbered paragraphs beginning in the next section. NextEras Supplemental Proposed Findings 1

Licensing Board Order (Granting C-10s Motion to Compel Mineralogical Data and Request to Submit Supplemental Written Testimony Concerning the Data; Denying C-10s Motion to Submit Additional Exhibits)

(Nov. 25, 2019) (unpublished) (11/25/19 Order).

2 Licensing Board Order (Admitting Exhibits, Closing the Record of the September 2019 Evidentiary Hearing, and Providing Additional Instruction for Supplemental Proposed Findings) (Jan. 17, 2020) (unpublished)

(1/17/20 Order).

3 NextEra Energy Seabrook LLC (Seabrook Station Unit 1), LBP-17-7, 86 NRC 59, 90 (2017), affd CLI-18-4, 87 NRC 89 (2018).

4 11/25/19 Order at 17; 1/17/20 Order at 2.

2 are submitted in the form of a supplement to NextEras initial Proposed Findings5 and Responsive Proposed Findings6 (which were in the form of a proposed Initial Decision by the Board), and therefore continue using the same acronyms and short citations as previously defined.

I.

SUPPLEMENTAL FINDINGS A.

Additions to History of the Proceeding (Proposed Findings § II)

1.

On December 13, 2019, NextEra filed a Motion for Leave to File Responsive Proposed Findings,7 which we granted on January 6, 2020.8

2.

Pursuant to the Boards November 25, 2019 Order, C-10 submitted its supplemental mineralogy testimony on December 19, 2019.9 NextEra10 and the NRC Staff11 submitted their supplemental testimony in response thereto on January 10, 2020. We admitted those exhibits, and closed the record of this proceeding, on January 17, 2020.12 The parties filed 5

NextEra Energy Seabrook, LLCs Proposed Findings of Fact and Conclusions of Law (Nov. 21, 2019)

(ML19325F390) (NextEra FOF).

6 NextEra Energy Seabrook, LLCs Responsive Proposed Findings of Fact and Conclusions of Law (originally filed Dec. 13, 2019; scriveners error corrected Dec. 17, 2019) (ML19351F136) (NextEra Responsive FOF).

7 NextEra Energy Seabrook LLCs Motion for Leave to File Responsive Proposed Findings of Fact and Conclusions of Law (Dec. 13, 2019) (ML19347D064).

8 Licensing Board Order (Granting NextEras Motion for Leave to File Responsive Proposed Findings of Fact and Conclusions of Law) (Jan. 6, 2020) (unpublished).

9 Supplemental Testimony of Victor E. Saouma, Ph.D Regarding Adequacy of Petrographic Documents to Support Mineralogical Comparison Between Seabrook Concrete and LSTP Test Specimens (INT051) (Dec.

20, 2019). On January 6, 2020, C-10 filed a revised version. Supplemental Testimony of Victor E. Saouma, Ph.D Regarding Adequacy of Petrographic Documents to Support Mineralogical Comparison Between Seabrook Concrete and LSTP Test Specimens (INT051-R) (Jan. 6, 2020) (Saouma Mineralogy Testimony).

10 Testimony of NextEra Witnesses John Simons, Christopher Bagley, Oguzhan Bayrak, Matthew Sherman, and Edward Carley in Response to Exhibit INT051-R (Jan. 10, 2020) (NER077) (NextEra Mineralogy Testimony).

11 Staff Testimony in Response to Exhibit INT051-R (Jan. 10, 2020) (NRC091) (Staff Mineralogy Testimony).

12 1/17/20 Order.

3 their supplemental proposed findings addressing this supplemental mineralogy testimony on January 31, 2020.13 B.

Additions Related to Concrete Mixture Design (Proposed Findings § IV.D.(1))

and In-Plane Expansion (Proposed Findings § IV.E.(1)a.)

3.

In his Mineralogy Testimony (INT051-R), Dr. Saouma argues that NextEra has not provided enough information to allow a comparison between the mineralogy of Seabrook concrete and LSTP test specimens, and consequentially the concrete is not proven to be sufficiently representative.14 Dr. Saoumas argument is premised on his opinion that chemical characteristicsand more specifically, the [r]eactivity of the aggregatehas a significant effect on the characteristics of the gel and microcracking.15 As NextEras experts observed, the

[c]hemical characteristics of the minerals in the aggregate may be a relevant input to the type of predictive chemo-mechanical modeling approach advocated by Dr. Saouma. However, Dr.

Saouma cites no support for a claim that these chemical characteristics are a relevant consideration (much less a critical characteristic) for NextEras approach to ASR monitoring, which focuses on structural adequacy.16 The NRC Staff reached the same conclusion.17 And the Board agrees. C-10 has cited no published literature, academic research, or independent studies to support a finding that the chemical characteristics of the minerals in the aggregate (referred to herein as aggregate chemistry) or ASR gel type somehow are relevant considerations for ASR 13 C-10 Research and Education Foundations Supplemental Proposed Findings of Fact and Conclusions of Law (Jan. 31, 2020) (C-10 Supplemental Proposed Findings); NRC Staff Supplemental Proposed Findings of Fact and Conclusions of Law (Jan. 31, 2020); NextEra Energy Seabrook LLCs Supplemental Proposed Findings of Fact and Conclusions of Law (Jan. 31, 2020).

14 Saouma Mineralogy Testimony at 2 (INT051-R).

15 Id. at 1 (citing Exh. INT028 §§ D.1, D.6, D.7.2, D.8.1; Tr. 981-82, 984-85, 1073-76, and 1082-83).

16 NextEra Mineralogy Testimony at A9 (NER077); see also MPR Testimony at A198 (NER001).

17 Staff Mineralogy Testimony at A5 (NRC091) (nothing in the literature supports Dr. Saoumas argument.).

4 monitoring programs such as NextEras that use expansion measurements18 (e.g., crack width, pin-to-pin, and extensometer measurements) to determine the structural impacts of ASR.

4.

In contrast, there exists a body of literature that supports NextEras conclusion that aggregate chemistry and the resulting ASR gel type are not relevant to NextEras traditional aging management approach to ASR monitoring.19 For example, current industry guidance for addressing ASR, including the ISE Guideline (NER012), FHWA Guideline (NER013), and CSA Guideline (NRC076), all advocate the use of expansion measurements to gauge structural ASR impacts. None of these documents identify aggregate chemistry or ASR gel type as having any influence on the structural impacts of ASR, the recommended approach for assessing ASR-affected structures, or expansion monitoring techniques for ASR. And none of these documents identify gel chemistry as a parameter to be determined either in the initial diagnosis phase or in the subsequent monitoring phase of an ASR aging management program.

5.

More specifically, the ISE Guideline explicitly acknowledges and discusses differences in ASR gel type (e.g., noting that [i]ts consistency can range from that of heavy engine oil to that of polyethylene),20 but does not suggest that these differences have any impact 18

[NOTE: The Board requested that the parties supplemental proposed findings identify exhibits that address the question whether differences in the chemical composition of ASR gel may (or may not) affect either (1) the structural impacts of ASR, or (2) the adequacy of the CCI methodology for ASR expansion monitoring. 1/17/20 Order at 2. NextEras Supplemental Proposed Findings address both topics. However, for the sake of clarity, NextEra notes that the discussion of CCI is couched within the broader term of expansion measurements. This term is intended to encompass all measurement methods in the LAR, including crack width measurements (i.e., CI and CCI), pin-to-pin measurements, and extensometer measurements.]

19 See, e.g., MPR Testimony at A118 (NER001) (The LSTP focused on structural performance rather than the specific chemical interactions. The different types of ASR may cause different levels of expansion; however, for a given level of ASR-induced expansion, similar levels of structural impacts are to be expected, regardless of the chemical composition of the ASR gel causing the expansion.); see also NextEra Mineralogy Testimony at A8 (NER077) (noting that the recommendations in these documents are based on measured total expansion, and do not include any conditional provisions if the given expansion is comprised of many tiny microcracks or a lesser number of wider cracks.).

20 ISE Guideline § 3.3 (NER012).

5 on structural performance or monitoring techniques such as crack width indexing.21 The FHWA Guideline similarly discusses the use of expansion measurements such as crack width indexing for ASR monitoring, with no differentiation as to ASR gel type.22 Further, the FHWA Guideline states that ASR gel volume (which is influenced by aggregate chemistry) is not evidently correlated with the magnitude of expansion and cracking.23 The CSA Guideline reaches a similar conclusion,24 and likewise excludes any suggestion that determining the chemical composition of the aggregate or the ASR gel is necessary for (or relevant to) the use of expansion to gauge structural impacts in an ASR monitoring program.25 The absence of any discussion in the published literature of a connection between aggregate chemistry and ASR expansion measurements is conspicuous and undercuts C-10s unsupported claim that such a connection exists.

6.

At the evidentiary hearing, Dr. Saouma agreed with NextEra that these documents do not differentiate structural effects based on ASR gel type.26 And Dr. Saouma further agreed with NextEra that ASR gel type is not relevant to shear strength.27 Thus, there is no dispute 21 Id. §§ 6.3.2 (characterizing the expansion index into five tiers by expansion level with no mention of any adjustments based on aggregate chemistry or gel type); 8.2 (discussing structural consequences based on the expansion index, again with no mention of different potential structural consequences based on aggregate chemistry or gel type).

22 FHWA Guideline §§ 4.4.2, 5.2.2, App. B, tbl. C1, C.2.1 (NER013).

23 Id. § C.2.1.

24 CSA Guideline § 6.2.2.3 (NRC076) (The presence of large amounts of gel in a concrete specimen does not necessarily indicate that large expansion or extensive cracking has occurred in the structure. On the other hand, cracking due to ASR has been observed in many concrete structures in which very little gel was found.).

25 Id. §§ 5.7.2, 5.7.3.

26 Tr. at 988.

27 Tr. at 998.

6 among the parties on either of these points.28 And to the extent C-10 argues that these guidance documents (and ASR monitoring programs, generally) should differentiate structural effects or monitoring techniques based on ASR gel type, it cited no studies or other research to support its views.29

7.

Indeed, C-10 admits that it presented no evidence that aggregate chemistry or ASR gel type are relevant to structural capacitywhich is the fundamental focus of the LSTP and NRC Staffs review.30 Rather, C-10 argued that aggregate chemistry and ASR gel type impact the ASR reaction rate and the ultimate expansion potentialwhich Dr. Saouma speculates could be under-estimated if aggregate chemistry and ASR gel type are not analyzed.31 But C-10 presented no evidence that the rate or the potential ultimate expansion value are relevant to an ASR monitoring program that regularly measures and trends (i.e., does not seek to estimate or predict) expansion.32

8.

C-10 also argued that the specific cracking pattern (influenced by aggregate chemistry or ASR gel type) is a relevant consideration.33 But again, C-10 proffered no evidence or explanation to connect this alleged relevance to NextEras specific ASR monitoring program, which measures total expansion regardless of whether the given expansion is comprised of 28 See also Staff Mineralogy Testimony at A5 (NRC091) ([i]ndustry guidelines and published research on the structural impacts of ASR do not differentiate based on the characteristics of the gel giving rise to the ASR expansion).

29 Accord NextEra Mineralogy Testimony at A9 (NER077) (Dr. Saouma cites no support for a claim that these chemical characteristics are a relevant consideration (much less a critical characteristic) for NextEras approach to ASR monitoring); Staff Mineralogy Testimony at A5 (NRC091) (Dr. Saouma does not provide any support for his argument).

30 C-10 Supplemental Proposed Findings at 2 (Dr. Saouma has not testified that the chemical characteristics of aggregates and the associated ASR gel are relevant to structural capacity.).

31 Id. at 3.

32 As noted elsewhere in our decision, no LSTP data was used to establish NextEras monitoring intervals.

33 C-10 Supplemental Proposed Findings at 3.

7 many tiny microcracks or a lesser number of wider cracks.34 By way of example, under NextEras monitoring program, four cracks that each had X width would yield the same total expansion value as two cracks that each had a width of 2X. C-10 fails to explain why the specific arrangement of the cracks couldin any waymaterially impact this methodology.

Accordingly, we find there is insufficient support in the record for a claim that the absence of aggregate chemistry or ASR gel type in the LSTPs list of critical characteristics for concrete mixture design somehow renders the LSTP data non-representative or defeats a finding of reasonable assurance.35

9.

The Board also notes that, if accepted industry guidance evolves in the future based on additional ASR research (e.g., from RILEM36 or other bodies) and concrete industry experienceand indicates that aggregate chemistry or ASR gel type are in fact relevant to monitoring programs that use expansion measurements to gauge ASR-related structural impacts, NextEra would be required to evaluate and address such new information as part of its NUREG-0737 Operating Experience program and other docketed commitments made to the NRC.37

10.

The Board concludes that a preponderance of the evidence demonstrates that neither aggregate chemistry nor ASR gel type are critical parameters for representativeness in the Seabrook ASR monitoring program. Further, the LSTPs use of a faster reacting concrete mix (which purposefully does not yield a representative rate of expansion) is common and necessary for accelerated ASR testing and, as a result, the concrete used in the LSTP and 34 NextEra Mineralogy Testimony at A8 (NER077).

35 Accord Staff Mineralogy Testimony at A5 (NRC091) (there is no reason to believe the exact characteristics of the gel could affect structural capacity).

36 RILEM is the International Meeting of Laboratories and Experts of Materials, Construction Systems and Structures, of which Dr. Saouma is a member. See Saouma Testimony at A.3 (INT001-R).

37 See Tr. at 1135-37.

8 Seabrook cannot be mineralogically identical, as C-10 demands.38 None of C-10s arguments in this regard materially challenge the applicability of the LSTP data to Seabrook or defeat a finding of reasonable assurance.

Executed in Accord with 10 C.F.R. § 2.304(d)

Respectfully submitted, Executed in Accord with 10 C.F.R. § 2.304(d)

Steven Hamrick, Esq.

NextEra Energy Seabrook, LLC 801 Pennsylvania Ave., NW Suite 220 Washington, D.C. 20004 Phone: (202) 349-3496 Fax: (202) 347-7076 E-mail: steven.hamrick@fpl.com Paul M. Bessette, Esq.

Morgan, Lewis & Bockius LLP 1111 Pennsylvania Avenue, N.W.

Washington, D.C. 20004 Phone: (202) 739-5796 Fax: (202) 739-3001 E-mail: paul.bessette@morganlewis.com Signed (electronically) by Ryan K. Lighty Ryan K. Lighty, Esq.

Morgan, Lewis & Bockius LLP 1111 Pennsylvania Avenue, N.W.

Washington, D.C. 20004 Phone: (202) 739-5274 Fax: (202) 739-3001 E-mail: ryan.lighty@morganlewis.com Counsel for NextEra Energy Seabrook, LLC Dated in Washington, DC this 31st day of January 2020 38 C-10 Supplemental Proposed Findings at 2.

DB1/ 111222519 UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION BEFORE THE ATOMIC SAFETY AND LICENSING BOARD In the Matter of:

NEXTERA ENERGY SEABROOK, LLC (Seabrook Station Unit 1)

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Docket No. 50-443-LA-2 January 31, 2020 CERTIFICATE OF SERVICE Pursuant to 10 C.F.R. § 2.305, I certify that, on this date, the foregoing NextEra Energy Seabrook LLCs Supplemental Proposed Findings of Fact and Conclusions of Law was served upon the Electronic Information Exchange (the NRCs E-Filing System), in the above-captioned proceeding.

Signed (electronically) by Ryan K. Lighty Ryan K. Lighty, Esq.

Morgan, Lewis & Bockius LLP 1111 Pennsylvania Avenue, N.W.

Washington, D.C. 20004 Phone: (202) 739-5274 Fax: (202) 739-3001 E-mail: ryan.lighty@morganlewis.com Counsel for NextEra Energy Seabrook, LLC