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Category:CORRESPONDENCE-LETTERS
MONTHYEARL-99-035, Forwards non-proprietary & Proprietary Versions of Farley Units 1 & 2 LBB Calculation Results Due to SG Replacement & SG Snubber Elimination Programs, Used to Support SG Replacement Project.Proprietary Encl Withheld1999-10-18018 October 1999 Forwards non-proprietary & Proprietary Versions of Farley Units 1 & 2 LBB Calculation Results Due to SG Replacement & SG Snubber Elimination Programs, Used to Support SG Replacement Project.Proprietary Encl Withheld ML20217G0801999-10-0707 October 1999 Informs That on 990930,staff Conducted mid-cycle PPR of Farley & Did Not Identify Any Areas in Which Performance Warranted More than Core Insp Program.Nrc Will Conduct Regional Insps Associated with SG Removal & Installation ML20217P0661999-10-0606 October 1999 Requests Withholding of Proprietary Rept NSD-SAE-ESI-99-389, Farley Units 1 & 2 LBB Calculation Results Due to SG Replacement & SG Snubber Elimination Programs ML20217B1891999-10-0404 October 1999 Submits Clarification Re Development of Basis for Determining Limiting Internal Pressure Loads Re Review of NRC SE for Cycle 16 Extension Request.Util Intends to Use Guidelines When Evaluating SG Tube Structural Integrity ML20212J8391999-09-30030 September 1999 Forwards RAI Re Request for Amends to Ts.Addl Info Needed to Complete Review to Verify That Proposed TS Are Consistent with & Validate Design Basis Analysis.Request Discussed with H Mahan on 990930.Info Needed within 10 Days of This Ltr ML20212J8801999-09-30030 September 1999 Discusses GL 98-01,suppl 1, Y2K Readiness of Computer Sys at Npps. Util 980731,990607 & 03 Ltrs Provided Requested Info in Subj Gl.Nrc Considers Subj GL to Be Closed for Unit 1 L-99-032, Responds to NRC Re Adequacy of Kaowool Fire Retardant Fire Barriers in Use at Jfnp,Units 1 & 21999-09-23023 September 1999 Responds to NRC Re Adequacy of Kaowool Fire Retardant Fire Barriers in Use at Jfnp,Units 1 & 2 L-99-034, Forwards Comments on Draft Current Tech Specs Discussion of Change Tables for Jm Farley Nuclear Plant.Units 1 & 21999-09-23023 September 1999 Forwards Comments on Draft Current Tech Specs Discussion of Change Tables for Jm Farley Nuclear Plant.Units 1 & 2 ML20212F8861999-09-23023 September 1999 Forwards Revised Relief Request Number 32 for NRC Approval. Approval Requested by 991231 to Support Activities to Be Performed During Unit 1 Refueling Outage Scheduled for Spring of 2000 ML20212E7031999-09-23023 September 1999 Responds to GL 98-01, Year 2000 Readiness of Computer Sys at Npps. Util Requested to Submit Plans & Schedules for Resolving Y2K-related Issues ML20212F1111999-09-21021 September 1999 Discusses Closeout of GL 97-06, Degradation of Steam Generator Internals ML20212C2351999-09-16016 September 1999 Submits Corrected Info Concerning Snoc Response to NRC GL 99-02, Lab Testing of Nuclear-Grade Activated Charcoal ML20212D0101999-09-15015 September 1999 Informs That Submittal of clean-typed Copy of ITS & ITS Bases Will Be Delayed.Delay Due to Need for Resolution of Two Issues Raised by NRC staff.Clean-typed Copy of ITS Will Be Submitted within 4 Wks Following Resolution of Issues ML20212C4641999-09-13013 September 1999 Forwards Info Requested in Administrative Ltr 99-03, Preparation & Scheduling of Operator Licensing Exams L-99-031, Informs NRC That Review of MOV Testing Frequency & Changes Made to Frequency of MOV Testing Has Been Completed1999-09-13013 September 1999 Informs NRC That Review of MOV Testing Frequency & Changes Made to Frequency of MOV Testing Has Been Completed ML20212C8041999-09-10010 September 1999 Responds to to D Rathbun Requesting Review of J Sherman Re Y2K Compliance.Latest NRC Status Rept on Y2K Activities Encl ML20212D4581999-09-10010 September 1999 Responds to to D Rathbun,Requesting Review of J Sherman Expressing Concerns That Plant & Other Nuclear Plants Not Yet Y2K Compliant ML20212A6951999-09-0909 September 1999 Requests That Licensees Affected by Kaowool Fire Barriers Take Issue on Voluntary Initiative & Propose Approach for Resolving Subj Issues.Staff Plans to Meet with Licensees to Discuss Listed Topics ML20212A8341999-09-0909 September 1999 Requests That Licensees Affected by Kaowool Fire Barriers Take Issue on Voluntary Initiative & Propose Approach for Resolving Subj Issues.Staff Plans to Meet with Licensees to Discuss Listed Topics ML20211N8041999-09-0808 September 1999 Informs That on 990930 NRC Issued GL 96-06, Assurance of Equipment Operability & Containment Integrity During Design-Basis Accident Condition, to Holders of Nuclear Plant Operating Licenses ML20211N4301999-09-0808 September 1999 Discusses Proposed Meeting to Discuss Kaowool Fire Barriers. Staff Requesting That Affected Licensees Take Issue on Voluntary Initative & Propose Approach for Resolving Issues ML20212C0071999-09-0202 September 1999 Forwards Insp Repts 50-348/99-05 & 50-364/99-05 on 990627- 0807.No Violations Noted.Licensee Conduct of Activities at Farley Plant Facilities Generally Characterized by safety-conscious Operations & Sound Engineering ML20211Q4801999-09-0101 September 1999 Informs That on 990812-13,Region II Hosted Training Managers Conference on Recent Changes to Operator Licensing Program. List of Attendees,Copy of Slide Presentations & List of Questions Received from Participants Encl ML20211K2131999-08-31031 August 1999 Informs That Snoc Has Conducted Review of Reactor Vessel Integrity Database,Version 2 (RVID2) & Conclude That Latest Data Submitted for Farley Units Has Not Been Incorporated Into RVID2 ML20211K4101999-08-31031 August 1999 Resubmits Relief Requests Q1P16-RR-V-5 & Q2P16-RR-V-5 That Seek to Group V661 Valves from Each Unit Into Sample Disassembly & Insp Group,Per 990525 Telcon with NRC L-99-030, Forwards SNC Review Comments on Draft SE & marked-up Copy of Draft SE Incorporating SNC Comments Re Proposed Conversion to ITS1999-08-30030 August 1999 Forwards SNC Review Comments on Draft SE & marked-up Copy of Draft SE Incorporating SNC Comments Re Proposed Conversion to ITS ML20211G6851999-08-26026 August 1999 Informs That During Insp,Technical Issues Associated with Design,Installation & fire-resistive Performance of Kaowool Raceway fire-barriers Installed at Farley Nuclear Plant Were Identified L-99-029, Forwards Revised Response to Chapter 3.1 RAI Requested in 990726 Conference Call,Rai Response Related to Beyond Scope Issue for Chapter 3.5 Requested by Conference Call on 990805 & RAI Response to Chapter 3.8 Requested on 990615 & 07271999-08-19019 August 1999 Forwards Revised Response to Chapter 3.1 RAI Requested in 990726 Conference Call,Rai Response Related to Beyond Scope Issue for Chapter 3.5 Requested by Conference Call on 990805 & RAI Response to Chapter 3.8 Requested on 990615 & 0727 ML20211B9431999-08-17017 August 1999 Forwards Fitness for Duty Performance Data for six-month Reporting Period 990101-990630,IAW 10CFR26.71(d).Rept Covers Employees at Jm Farley Nuclear Plant & Southern Nuclear Corporate Headquarters ML20211B9211999-08-17017 August 1999 Responds to NRC Re Violations Noted in Insp Rept 50-348/99-09 & 50-364/99-09.Corrective Actions:Security Response Plan Was Revised to Address Vulnerabilities Identified During NRC Insp ML20210R5101999-08-12012 August 1999 Forwards Revised Page 6 to 990430 LAR to Operate Farley Nuclear Plant,Unit 1,for Cycle 16 Only,Based on risk- Informed Approach for Evaluation of SG Tube Structural Integrity,As Result of Staff Comments ML20212C8141999-08-0909 August 1999 Forwards Correspondence Received from Jm Sherman.Requests Review of Info Re Established Policies & Procedures ML20210T2021999-08-0606 August 1999 Forwards Draft SE Accepting Licensee Proposed Conversion of Plant,Units 1 & 2 Current TSs to Its.Its Based on Listed Documents ML20210Q4641999-08-0505 August 1999 Informs That NRC Plans to Administer Gfes of Written Operator Licensing Exam on 991006.Authorized Representative of Facility Must Submit Ltr to La Reyes,As Listed,With List of Individuals to Take exam,30 Days Before Exam Date ML20210J8341999-07-30030 July 1999 Forwards Second Request for Addl Info Re Util 990430 Amend Request to Allow Util to Operate Unit 1,for Cycle 16 Based on risk-informed Probability of SG Tube Rupture & Nominal accident-induced primary-to-second Leakage ML20210G4901999-07-30030 July 1999 Responds to GL 99-02, Laboratory Testing of Nuclear-Grade Activated Charcoal, Issued 990603.Ltr Contains NRC License Commitment to Utilize ASTM D3803-1989 with Efficiency Acceptance Criteria Utilizing Safety Factor of 2 L-99-028, Responds to NRC 990730 RAI Re 990423 OL Change Request to Allow for Risk Informed Approach for Evaluation of SG Tube Structural Integrity as Described by NEI 97-06, SG Program Guidelines1999-07-30030 July 1999 Responds to NRC 990730 RAI Re 990423 OL Change Request to Allow for Risk Informed Approach for Evaluation of SG Tube Structural Integrity as Described by NEI 97-06, SG Program Guidelines L-99-027, Addresses Clarifications to Selected Responses to Chapter 3.8 RAI Requested in NRC Conference Call on 990624, Resolution of Open Issue Related to Containment Purge in Chapter 3.6 & Response Related to Chapter 3.51999-07-27027 July 1999 Addresses Clarifications to Selected Responses to Chapter 3.8 RAI Requested in NRC Conference Call on 990624, Resolution of Open Issue Related to Containment Purge in Chapter 3.6 & Response Related to Chapter 3.5 ML20210G8181999-07-26026 July 1999 Forwards Insp Repts 50-348/99-04 & 50-364/99-04 on 990516- 0626.One Violation Identified & Being Treated as Noncited Violation IR 05000348/19990091999-07-23023 July 1999 Discusses Insp Repts 50-348/99-09 & 50-364/99-09 on 990308- 10 & Forwards Notice of Violation Re Failure to Intercept Adversary During Drills,Contrary to 10CFR73 & Physical Security Plan Requirements ML20210E4071999-07-22022 July 1999 Responds to NRC 990702 RAI Re Change Request to Allow for Risk Informed Approach for Evaluation of SG Tube Structural Integrity as Described in NEI 97-06, SG Program Guidelines L-99-026, Forwards Response to NRC 990702 RAI Re SG Replacement Related TS Change Request Submitted 981201.Ltr Contains No New Commitments1999-07-19019 July 1999 Forwards Response to NRC 990702 RAI Re SG Replacement Related TS Change Request Submitted 981201.Ltr Contains No New Commitments L-99-264, Responds to NRC 990603 Administrative Ltr 99-02, Operating Licensing Action Estimates, for Fy 2000 & 20011999-07-13013 July 1999 Responds to NRC 990603 Administrative Ltr 99-02, Operating Licensing Action Estimates, for Fy 2000 & 2001 ML20209H4721999-07-13013 July 1999 Responds to NRC 990603 Administrative Ltr 99-02, Operating Licensing Action Estimates, for Fy 2000 & 2001 ML20196J6191999-07-0202 July 1999 Forwards Final Dam Audit Rept of 981008 of Category 1 Cooling Water Storage Pond Dam.Requests Response within 120 Days of Date of Ltr 05000364/LER-1999-001, Forwards LER 99-001-00 Re Reactor Trip Due to Loss of Condenser Vacuum Steam Dump Drain Line Failure.Commitments Made by Licensee,Listed1999-07-0202 July 1999 Forwards LER 99-001-00 Re Reactor Trip Due to Loss of Condenser Vacuum Steam Dump Drain Line Failure.Commitments Made by Licensee,Listed ML20196J7471999-07-0202 July 1999 Forwards RAI Re Cycle 16 Extension Request.Response Requested within 30 Days of Date of Ltr ML20196J5781999-07-0202 July 1999 Forwards RAI Re 981201 & s Requesting Amend to TS Associated with Replacing Existing Westinghouse Model 51 SG with Westinghouse Model 54F Generators.Respond within 30 Days of Ltr Date ML20196J6571999-07-0202 July 1999 Discusses Closure to TAC MA0543 & MA0544 Re GL 92-01 Rev 1, Suppl 1,RV Structural Integrity.Nrc Has Revised Rvid & Releasing It as Rvid,Version 2 as Result of Review of Responses ML20196J3591999-06-30030 June 1999 Forwards SE of TR WCAP-14750, RCS Flow Verification Using Elbow Taps at Westinghouse 3-Loop Pwrs 1999-09-09
[Table view] Category:INCOMING CORRESPONDENCE
MONTHYEARL-99-035, Forwards non-proprietary & Proprietary Versions of Farley Units 1 & 2 LBB Calculation Results Due to SG Replacement & SG Snubber Elimination Programs, Used to Support SG Replacement Project.Proprietary Encl Withheld1999-10-18018 October 1999 Forwards non-proprietary & Proprietary Versions of Farley Units 1 & 2 LBB Calculation Results Due to SG Replacement & SG Snubber Elimination Programs, Used to Support SG Replacement Project.Proprietary Encl Withheld ML20217P0661999-10-0606 October 1999 Requests Withholding of Proprietary Rept NSD-SAE-ESI-99-389, Farley Units 1 & 2 LBB Calculation Results Due to SG Replacement & SG Snubber Elimination Programs ML20217B1891999-10-0404 October 1999 Submits Clarification Re Development of Basis for Determining Limiting Internal Pressure Loads Re Review of NRC SE for Cycle 16 Extension Request.Util Intends to Use Guidelines When Evaluating SG Tube Structural Integrity L-99-034, Forwards Comments on Draft Current Tech Specs Discussion of Change Tables for Jm Farley Nuclear Plant.Units 1 & 21999-09-23023 September 1999 Forwards Comments on Draft Current Tech Specs Discussion of Change Tables for Jm Farley Nuclear Plant.Units 1 & 2 L-99-032, Responds to NRC Re Adequacy of Kaowool Fire Retardant Fire Barriers in Use at Jfnp,Units 1 & 21999-09-23023 September 1999 Responds to NRC Re Adequacy of Kaowool Fire Retardant Fire Barriers in Use at Jfnp,Units 1 & 2 ML20212F8861999-09-23023 September 1999 Forwards Revised Relief Request Number 32 for NRC Approval. Approval Requested by 991231 to Support Activities to Be Performed During Unit 1 Refueling Outage Scheduled for Spring of 2000 ML20212C2351999-09-16016 September 1999 Submits Corrected Info Concerning Snoc Response to NRC GL 99-02, Lab Testing of Nuclear-Grade Activated Charcoal ML20212D0101999-09-15015 September 1999 Informs That Submittal of clean-typed Copy of ITS & ITS Bases Will Be Delayed.Delay Due to Need for Resolution of Two Issues Raised by NRC staff.Clean-typed Copy of ITS Will Be Submitted within 4 Wks Following Resolution of Issues L-99-031, Informs NRC That Review of MOV Testing Frequency & Changes Made to Frequency of MOV Testing Has Been Completed1999-09-13013 September 1999 Informs NRC That Review of MOV Testing Frequency & Changes Made to Frequency of MOV Testing Has Been Completed ML20212C4641999-09-13013 September 1999 Forwards Info Requested in Administrative Ltr 99-03, Preparation & Scheduling of Operator Licensing Exams ML20211K2131999-08-31031 August 1999 Informs That Snoc Has Conducted Review of Reactor Vessel Integrity Database,Version 2 (RVID2) & Conclude That Latest Data Submitted for Farley Units Has Not Been Incorporated Into RVID2 ML20211K4101999-08-31031 August 1999 Resubmits Relief Requests Q1P16-RR-V-5 & Q2P16-RR-V-5 That Seek to Group V661 Valves from Each Unit Into Sample Disassembly & Insp Group,Per 990525 Telcon with NRC L-99-030, Forwards SNC Review Comments on Draft SE & marked-up Copy of Draft SE Incorporating SNC Comments Re Proposed Conversion to ITS1999-08-30030 August 1999 Forwards SNC Review Comments on Draft SE & marked-up Copy of Draft SE Incorporating SNC Comments Re Proposed Conversion to ITS L-99-029, Forwards Revised Response to Chapter 3.1 RAI Requested in 990726 Conference Call,Rai Response Related to Beyond Scope Issue for Chapter 3.5 Requested by Conference Call on 990805 & RAI Response to Chapter 3.8 Requested on 990615 & 07271999-08-19019 August 1999 Forwards Revised Response to Chapter 3.1 RAI Requested in 990726 Conference Call,Rai Response Related to Beyond Scope Issue for Chapter 3.5 Requested by Conference Call on 990805 & RAI Response to Chapter 3.8 Requested on 990615 & 0727 ML20211B9431999-08-17017 August 1999 Forwards Fitness for Duty Performance Data for six-month Reporting Period 990101-990630,IAW 10CFR26.71(d).Rept Covers Employees at Jm Farley Nuclear Plant & Southern Nuclear Corporate Headquarters ML20211B9211999-08-17017 August 1999 Responds to NRC Re Violations Noted in Insp Rept 50-348/99-09 & 50-364/99-09.Corrective Actions:Security Response Plan Was Revised to Address Vulnerabilities Identified During NRC Insp ML20210R5101999-08-12012 August 1999 Forwards Revised Page 6 to 990430 LAR to Operate Farley Nuclear Plant,Unit 1,for Cycle 16 Only,Based on risk- Informed Approach for Evaluation of SG Tube Structural Integrity,As Result of Staff Comments ML20212C8141999-08-0909 August 1999 Forwards Correspondence Received from Jm Sherman.Requests Review of Info Re Established Policies & Procedures ML20210G4901999-07-30030 July 1999 Responds to GL 99-02, Laboratory Testing of Nuclear-Grade Activated Charcoal, Issued 990603.Ltr Contains NRC License Commitment to Utilize ASTM D3803-1989 with Efficiency Acceptance Criteria Utilizing Safety Factor of 2 L-99-028, Responds to NRC 990730 RAI Re 990423 OL Change Request to Allow for Risk Informed Approach for Evaluation of SG Tube Structural Integrity as Described by NEI 97-06, SG Program Guidelines1999-07-30030 July 1999 Responds to NRC 990730 RAI Re 990423 OL Change Request to Allow for Risk Informed Approach for Evaluation of SG Tube Structural Integrity as Described by NEI 97-06, SG Program Guidelines L-99-027, Addresses Clarifications to Selected Responses to Chapter 3.8 RAI Requested in NRC Conference Call on 990624, Resolution of Open Issue Related to Containment Purge in Chapter 3.6 & Response Related to Chapter 3.51999-07-27027 July 1999 Addresses Clarifications to Selected Responses to Chapter 3.8 RAI Requested in NRC Conference Call on 990624, Resolution of Open Issue Related to Containment Purge in Chapter 3.6 & Response Related to Chapter 3.5 ML20210E4071999-07-22022 July 1999 Responds to NRC 990702 RAI Re Change Request to Allow for Risk Informed Approach for Evaluation of SG Tube Structural Integrity as Described in NEI 97-06, SG Program Guidelines L-99-026, Forwards Response to NRC 990702 RAI Re SG Replacement Related TS Change Request Submitted 981201.Ltr Contains No New Commitments1999-07-19019 July 1999 Forwards Response to NRC 990702 RAI Re SG Replacement Related TS Change Request Submitted 981201.Ltr Contains No New Commitments L-99-264, Responds to NRC 990603 Administrative Ltr 99-02, Operating Licensing Action Estimates, for Fy 2000 & 20011999-07-13013 July 1999 Responds to NRC 990603 Administrative Ltr 99-02, Operating Licensing Action Estimates, for Fy 2000 & 2001 ML20209H4721999-07-13013 July 1999 Responds to NRC 990603 Administrative Ltr 99-02, Operating Licensing Action Estimates, for Fy 2000 & 2001 05000364/LER-1999-001, Forwards LER 99-001-00 Re Reactor Trip Due to Loss of Condenser Vacuum Steam Dump Drain Line Failure.Commitments Made by Licensee,Listed1999-07-0202 July 1999 Forwards LER 99-001-00 Re Reactor Trip Due to Loss of Condenser Vacuum Steam Dump Drain Line Failure.Commitments Made by Licensee,Listed L-99-024, Responds to NRC RAI Re Conversion to ITS for Chapters 3.4, 3.5,3.6,3.7,3.9 & 5.0,per 990419-20 Meetings with NRC1999-06-30030 June 1999 Responds to NRC RAI Re Conversion to ITS for Chapters 3.4, 3.5,3.6,3.7,3.9 & 5.0,per 990419-20 Meetings with NRC L-99-025, Forwards Rev 2 to Jfnp Security plan,FNP-0-M-99,IAW 10CFR50.4(b)(4).Attachment 1 Contains Summary of Changes & Amended Security Plan Pages.Encl Withheld from Public Disclosure Per 10CFR73.211999-06-30030 June 1999 Forwards Rev 2 to Jfnp Security plan,FNP-0-M-99,IAW 10CFR50.4(b)(4).Attachment 1 Contains Summary of Changes & Amended Security Plan Pages.Encl Withheld from Public Disclosure Per 10CFR73.21 ML20196J8631999-06-30030 June 1999 Submits Correction to Errors Contained in to NRC Re TS Changes Re Control Room,Penetration Room & Containment Purge Filtration Systems & Radiation Monitoring Instrumentation.Errors Do Not Require Rev of SA L-99-249, Submits Correction to Errors Contained in to NRC Re TS Changes Re Control Room,Penetration Room & Containment Purge Filtration Systems & Radiation Monitoring Instrumentation.Errors Do Not Require Rev of SA1999-06-30030 June 1999 Submits Correction to Errors Contained in to NRC Re TS Changes Re Control Room,Penetration Room & Containment Purge Filtration Systems & Radiation Monitoring Instrumentation.Errors Do Not Require Rev of SA L-99-224, Submits Rev to Unit 2 SG Tube voltage-based Repair Criteria Data Rept.Ltr Contains No Commitments1999-06-0707 June 1999 Submits Rev to Unit 2 SG Tube voltage-based Repair Criteria Data Rept.Ltr Contains No Commitments ML20195F1731999-06-0707 June 1999 Forwards Proprietary & non-proprietary Responses to NRC RAIs Re W TR WCAP-14750, RCS Flow Verification Using Elbow Taps at W 3-Loop Pwrs. W Proprietary Notice,Affidavit & Copyright Notice,Encl.Proprietary Info Withheld L-99-217, Forwards Proprietary & non-proprietary Responses to NRC RAIs Re W TR WCAP-14750, RCS Flow Verification Using Elbow Taps at W 3-Loop Pwrs. W Proprietary Notice,Affidavit & Copyright Notice,Encl.Proprietary Info Withheld1999-06-0707 June 1999 Forwards Proprietary & non-proprietary Responses to NRC RAIs Re W TR WCAP-14750, RCS Flow Verification Using Elbow Taps at W 3-Loop Pwrs. W Proprietary Notice,Affidavit & Copyright Notice,Encl.Proprietary Info Withheld L-99-225, Responds to GL 98-01, Yr 2000 Readiness of Computer Sys at Nuclear Power Plants1999-06-0707 June 1999 Responds to GL 98-01, Yr 2000 Readiness of Computer Sys at Nuclear Power Plants ML20195F0621999-06-0707 June 1999 Submits Rev to Unit 2 SG Tube voltage-based Repair Criteria Data Rept.Ltr Contains No Commitments ML20195E9581999-06-0707 June 1999 Responds to GL 98-01, Yr 2000 Readiness of Computer Sys at Nuclear Power Plants ML20195C6941999-05-28028 May 1999 Forwards Response to NRC RAI Re GL 96-05 for Farley Nuclear Plant.Farley Is Committing to Implement Phase 3 of JOG Program L-99-021, Forwards Response to RAI Re Conversion to ITSs for Chapter 3.3.Attachment II Includes Proposed Revs to Previously Submitted LAR Re Rais,Grouped by RAI number.Clean-typed Copies of Affected ITS Pages Not Included1999-05-28028 May 1999 Forwards Response to RAI Re Conversion to ITSs for Chapter 3.3.Attachment II Includes Proposed Revs to Previously Submitted LAR Re Rais,Grouped by RAI number.Clean-typed Copies of Affected ITS Pages Not Included L-99-203, Forwards Response to NRC RAI Re GL 96-05 for Farley Nuclear Plant.Farley Is Committing to Implement Phase 3 of JOG Program1999-05-28028 May 1999 Forwards Response to NRC RAI Re GL 96-05 for Farley Nuclear Plant.Farley Is Committing to Implement Phase 3 of JOG Program ML20195F2101999-05-24024 May 1999 Requests That Farley Nuclear Plant Proprietary Responses to NRC RAI Re W WCAP-14750, RCS Flow Verification Using Elbow Taps at W 3-Loop Pwrs, Be Withheld from Public Disclosure Per 10CFR2.790 L-99-180, Forwards Responses to NRC RAI Questions for Chapter 3.8 of Ts.Proposed Revs to TS Previously Submitted with LAR Related to RAI1999-04-30030 April 1999 Forwards Responses to NRC RAI Questions for Chapter 3.8 of Ts.Proposed Revs to TS Previously Submitted with LAR Related to RAI ML20206F4321999-04-30030 April 1999 Forwards Responses to NRC RAI Questions for Chapter 3.8 of Ts.Proposed Revs to TS Previously Submitted with LAR Related to RAI L-99-017, Forwards Responses to NRC RAI Questions for Chapters 3.1, 3.2,3.5,3.7 & 3.9 of Ts.Attached Pages Include Proposed Revs Previously Submitted LAR to Rais,Grouped by Chapters & RAI Numbers1999-04-30030 April 1999 Forwards Responses to NRC RAI Questions for Chapters 3.1, 3.2,3.5,3.7 & 3.9 of Ts.Attached Pages Include Proposed Revs Previously Submitted LAR to Rais,Grouped by Chapters & RAI Numbers ML20206C8021999-04-26026 April 1999 Forwards 1998 Annual Rept, for Alabama Power Co.Encls Contain Financial Statements for 1998,unaudited Financial Statements for Quarter Ending 990331 & Cash Flow Projections for 990101-991231 05000348/LER-1998-007, Forwards SG-99-04-001, Farley-1:Final Cycle 16 Freespan ODSCC Operational Assessment, as Committed to in Licensee & LER 98-007-00.Util Is Revising Plant Administrative SG Operating Leakage Requirements as Listed1999-04-23023 April 1999 Forwards SG-99-04-001, Farley-1:Final Cycle 16 Freespan ODSCC Operational Assessment, as Committed to in Licensee & LER 98-007-00.Util Is Revising Plant Administrative SG Operating Leakage Requirements as Listed L-99-015, Forwards Rev 1 to Jfnp Security plan,FNP-O-M-99,resulting from Implementation of Biometrics Sys.Changes Incorporate Changes Previously Submitted to NRC as Rev 28 by Licensee .Encl Withheld,Per 10CFR73.211999-04-21021 April 1999 Forwards Rev 1 to Jfnp Security plan,FNP-O-M-99,resulting from Implementation of Biometrics Sys.Changes Incorporate Changes Previously Submitted to NRC as Rev 28 by Licensee .Encl Withheld,Per 10CFR73.21 ML20206B4391999-04-21021 April 1999 Forwards Corrected ITS Markup Pages to Replace Pages in 981201 License Amend Requests for SG Replacement L-99-172, Forwards FNP Annual Radioactive Effluent Release Rept for 1998, IAW TSs Sections 6.9.1.8 & 6.9.1.9.Changes to ODCM Revs 16,17 & 18 Are Encl,Iaw TS Section 6.14.21999-04-21021 April 1999 Forwards FNP Annual Radioactive Effluent Release Rept for 1998, IAW TSs Sections 6.9.1.8 & 6.9.1.9.Changes to ODCM Revs 16,17 & 18 Are Encl,Iaw TS Section 6.14.2 ML20205S9501999-04-21021 April 1999 Forwards FNP Annual Radioactive Effluent Release Rept for 1998, IAW TSs Sections 6.9.1.8 & 6.9.1.9.Changes to ODCM Revs 16,17 & 18 Are Encl,Iaw TS Section 6.14.2 ML20205R0431999-04-13013 April 1999 Forwards Correction to 960212 GL 95-07 180 Day Response. Level 3 Evaluation for Pressure Locking Utilized Analytical Models.Encl Page Has Been Amended to Correct Error 1999-09-23
[Table view] Category:VENDOR/MANUFACTURER TO NRC
MONTHYEARML20059D4811990-08-14014 August 1990 Requests That Proprietary WCAP-12672, Steam Generator Sleeving Rept Laser Welded Sleeves Jm Farley Units 1 & 2, Be Withheld Per 10CFR2.790(b)(4) ML20043H5891990-06-15015 June 1990 Forwards Proprietary Presentation Matl, Steam Generator Tube Laser Welded Sleeving, Per 900607 Technical Meeting. Westinghouse Expects to Comply W/Requirement for Proprietary & Nonproprietary Versions.Encl Withheld ML20247N0271989-06-23023 June 1989 Requests That Proprietary Rev 1 to WCAP-11786, Jm Farley Unit 2 Engineering Evaluation of Weld Joint Crack in 6-Inch Safety Injection & RHR Piping, Be Withheld (Ref 10CFR2.790) ML20245K7691989-06-21021 June 1989 Responds to Violation Noted in Insp Repts 70-0135/89-02 & 70-0364/89-01 on 890410-13.Notice Should Be Withdrawn Based on Misunderstanding of Requirements & Circumstances of Entry/Exit Procedures for Eddy Current Area ML20058N8141989-01-0909 January 1989 Requests That Proprietary WCAP-11953, Safety Evaluation Supporting More Negative Eol Moderator Temp Coefficient Tech Spec for Joseph M Farley Nuclear Plant Units 1 & 2, Be Withheld Per 10CFR2.790 ML20151U2771988-06-16016 June 1988 Application for Withholding Proprietary Info from Rept, Qualification of ATWS Mitigating Sys Actuation Circuitry in Amco Cabinet & Wall Mounted Hoffman Relay Enclosure (Combined Testing & Analysis) ML20237L0441987-08-18018 August 1987 Requests That Proprietary Replacement Pages for Rev 2 to WCAP-11306 Be Withheld (Ref 10CFR2.790).Affidavit Encl ML20237L0291987-08-18018 August 1987 Requests That Encl Proprietary Replacement Pages for Rev 1 to WCAP 11178 Be Withheld (Ref 10CFR2.790) ML20235J4921987-06-23023 June 1987 Requests That Errata Sheet for Proprietary WCAP 11178,Rev 1 Be Withheld (Ref 10CFR2.790).Affidavit Encl ML20210D2371987-04-27027 April 1987 Requests That Proprietary Rev 1 to WCAP-11178, Steam Generator Sleeving Rept (Mechanical Sleeves), Be Withheld (Ref 10CFR2.790).Affidavit for Withholding Encl ML20210D2771987-04-27027 April 1987 Requests That Proprietary Rev 2 to WCAP 11306, Tubesheet Region Plugging Criterion for Alabama Power Co Farley Nuclear Station Unit 2 Steam Generators, Be Withheld from Public Disclosure,Per 10CFR2.790.Affidavit Encl ML20203H4441986-07-17017 July 1986 Forwards Certificates for Yr Ending 860331 Assuring B&W Ability to Cover Costs of Decommissioning All B&W Nuclear Facilities.Company Working Capital as of 860627 Significantly in Excess of Estimated Decommissioning Costs ML20076K9301983-09-0606 September 1983 Application for Withholding Proprietary Graph Depicting Elevation Dependent Peaking Factor Vs Core Height,In Support of 830825 Radial Peaking Factor Limit Rept.W/Affidavit ML20041G4811982-03-0505 March 1982 Requests Withholding of Proprietary Matl Re Fuel Assemblies Per Util Request (Ref 10CFR2.790).Affidavit Encl ML20062M4661981-11-13013 November 1981 Requests Withholding of Proprietary Info Contained in Response to NRC Inquiry Re Elevation Dependent Peaking Factor.Use of Encl Nonproprietary Affidavit AW-76-10 & Proprietary Affidavit 770302 Authorized ML19337A0621980-07-25025 July 1980 Forwards Setpoint Study for Farley 1 & 2, Proprietary (WCAP-8313) & Nonproprietary (WCAP-9768) Versions. Application & Affidavit for Withholding Encl ML19337B5901979-08-16016 August 1979 Submits Results of Radioactive Liner Test for Free Liquid. Tests Demonstrate Suitability of Urea Formaldehyde as Acceptable Solidification Media ML20151P3341969-12-31031 December 1969 Advises of Organization Changes at Numec 1990-08-14
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Westinghouse Energy Systems wucw enawinc o Electric Corporation *****
Nrsn Pennsytma 152300355 Janua:y 9, 1989 CAW 89-003-Dr. Thomas Murley, Director Office of Nyclear Reector Regulation U.S. Nuclear Regulc w ? Commission Washington, D.C. fPt APPLICATIONFORWIOOLDING' PROPRIETARY.
INFORMATION FRON ' /BLIC DISCLOSURE
Subject:
. Transmittal of WCAP's-11953/11954 entitled " Safety Evaluation-Sup>orting a More Negative EOL Moderator Temperature Coefficient Tecinical Specification for the Joseph M. Farley Nuclear Plant Units 1 and 2
Dear Dr. Murley:
The propritisry information for which withholding is being requested in.the-enclosed letter by Alabama Power Company is further identified in Affidavit CAW 89 003 signed by the owner of the proprietary information, Westinghouse Electric Corporation. The affidavit, which accompanies this-letter, sets forth the basis on which the information^may be . withheld;from public. disclosure by the Commission and addresses with specificity the considerations listed in paragraph (b) (4) of 10CFR Section 2.790 of the Commission's regulations.
Accordingly, this letter authorizes the. utilization =of the accompanying affidavit by Alabama Power Company.
Correspondence with respect to the proprietary aspects of the-application for withholding or the Westinghouse affidavit should reference this letter, CAW 839-003, and should be addressed to the undersigned.
.Very truly yours, WE TINGHOUSE ELECTRIC CORPORATION Robert A. Wiesemann, Manager
- Regulatory & Legislative Affairs i
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Enclosures cc: E. C. Shomaker, Esq.
Office of the General Counsel, NRC t 9008150142 900713 gDR ADOCK 03000348
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, , CAW 89 0031-AFFIDAVIT-COMMONWEALTH OF PENNSYLVANIA: !
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COUNTY OF ALLEGHENY:
i Before me, . the undersigned authority, personally appeared '
Robert A. Wiesemann, who, being by me duly sworn according to law, l
deposes and says that he is ~ authorized to-execute this Affidavit on a behalf of WestinghousJ Electric Corporation (" Westinghouse") and that the averments of fact set forth in this Affidavit are true and correct to the best of his knowledge,- information, and-belief:
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-I HYLh1Lanii i
Robert-A'. Wiesemann, Manager !
Regulatory and' legislative Affairs j,
1 Sworn to and ,- a n6 before me thi.- ._.
of hu A ,1988.
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&&%1. f4 Notary Public NOTARIAL SEAL Lo8lRA!NE M. PiPLCA, NOTARY PUBLIC MONROEVELE ECRO. ALLEGHEHf CoutlTY
- MYCOMM:SSCN EXPIRES DEC 14.1731 Member.Pr.vsyfva aa Am%hc!Nv,yas
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,. CAW-89 003 l -(1) I am Manager, Regulatory and Legislative Affairs, in the- Nuclear and Advanced Technology Division, of the Westinghouse Electric l Corporation and as such, I~have 1.9en-specifically delegated the.
function of reviewleg the proprietary information sought to be l withheld fra pdaic disclosure in connection with nuclear power plant Menden and rulemaking proceedings, and am authorized to apply for its withholding on bad!f of the Westinghouse Energy Systems, Nuclear Fuel, and Power Generation Business Units, i (2) I am making this Affidavit in conformance with the provisions of 10CFR Section 2.790 of the Commission's regulations and in conjunction with the Westinghouse application for withholding !
I accompanying this Affidavit. -
L (3) I have personal knowledge of the criteria.and procedures utilized by the Westinghouse Energy Systems, Nuclear Fuel, and Power Generation -
- Business Units in designating-information as a trade secret, privileged or as confidential commercial or financial-information.
(4) Pursuant to the provisions of paragraph (b)(4) o'f Section-2.790 of the Commission's regulations, the following_is furnished for .
consideration by the Commission in determining wheth'er.the t
information sought to be withheld from public disclosure should.be 1 withheld.
q (i) The information sought to be withheld from public disclosure. is l owned and has been held in confidence by Westinghouse, j l
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3.- CAW-89-003 (ii) The information is of a type customarily held-in confidence hy
- Westinghouse and not customarily. disclosed to the public. ,
Westinghouse has a rational; basis for. determining the types of ~
information customarily held in confidence by it and, in that-connection, utilizes a system to determine when and whether. to hold certain types- of information in confidence. The .
application of that system and.the substance of that system constitutes-Westinghouse policy and provides the rational basis:
required. '
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Under.that system, information is-held in confidence if it falls i in one or more of several types, the release of which might
_j result in the loss of an existing or potential competitive advantage, as follows: 4 1
(a)- The information reveals the. distinguishing aspects-of a process:(or component, structure, tool, method, etc.) where prevention of its'use by any,of Westinghouse's competitors-without license from Westinghouse. constitutes ~ a competitive I economic advantage over other companies.
(b) It consists of' supporting data, including test data, relativetoarprocess:(orcomponent, structure,' tool',
o method, etc.), the-application of.which data' secures a:
competitive economic advantage, e.g., by optimization or
, improved-marketability.
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= CAW-89-003 (c) Its use by a competitor would reduce his expenditure of l resources or improve his' competitive position-in the.
design, manufacture,: shipment, installation, assurance of l
quality, or licensing.a similar product.
(d) It reveals cost or price information, production !
capacities, budget-levels, or commercial strategies of Westinghouse, its customers or suppliers. -
(e) It reveals aspects of past, present,' or futuri Westinghouse-or customer funded development: plans.and programs of' potential commercialvalue to Westinghouse.
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(f) It contains-patentable' ideas, for which patent- protection' !
may be desirable. l I
(g) It is not the property of Westinghouse, but must be treated.
as proprietary by Westinghouse according'to agreements with-the owner.
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There are sound policy reasons behind the Westinghouse: system: i which include the following- I i
(a) The use of such information by Westinghouse gives::
Westinghouse.a competitive' advantage over its competitors.
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It is, therefore, withheld from disclosureito protect the i Westinghouse competitive position. ',
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(b) It is information which is: marketable in many ways.. The. I extent ~to which such information is.available to competitors diminishes thel West.inghouse ability to sell-products and services involving:the use of the information.
I (c) Use-by our competitor would put' Westinghouse ~at a competitive disadvantage'by reducing his expenditure ofl q resources at our expense; (d) Each component.of proprietary information pertinent to a' particular competitive. advantage .is potentially as valuable as the total' competitive advantage. If competitors l acquire:
components of proprietary infomation, any 'one component may be ~the key to the enti_re puzzle, thereby depriving:
Westinghouse of-a competitive advantage. I I
(e) Unrestricted disclosure' would-jeopardize the' position of prominence of Westinghouse in the world market,. and thereby give a market: advantage to theLeompetition of those countries.
l (f) .The Westinghouse capacity to invest: corporate assets in research and development depends upon the success in "
obtaining and maintaining a: competitive advantage.
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6-- CAW 89 003-
'(iii) The information is being transmitted to the Commission in 1 confidence-and,; under the provisions of 10CFR Section '
2.790, it is,to be received in confidence by the- l Commission. I (iv) The information. sought to be protected..is not available inL
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public sources or available information has not been l previously employed inLthe. same original manner or method !
to' the best of our knowledge and belief. -
(v) The proprietary information sought to be withheld.in this, q submittal is that'which is appropriately marked.in
(
" Safety Evaluaiton Supporting a More Negative E0L Moderator Temperature Coefficient Technical Specification' for the Joseph M. Farley Nuclear Plant Units 1 and 2," WCAP-Il953'
.(Proprietary) for J. M. Farley Nuclear Plant, Units 1 and' '
2, being transmitted by the Alabama Power Company (APCo) letter and Application for Withholding Proprietary i Information from Public Disclosure, W. G. Hairston,:III, l' APCo, to the Attention of Thomas Murley (NRC),_ Document Control Desk, January,1989. The proprietary information.
as submitted for use by Alabama Power Company for~the J. .M.
Farley Units 1 and 2 is expected to be applicable in~other' '
licensee submittals..in response to certain NRC requirements
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for , justification of a more: negative End'of Life Moderator
. Temperature Coefficient. '
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This information is part or that which will enable i~ Westinghouse to:
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l (a). Provide documentation of the analyses, methods-and I l conservatisms for reaching a conclusion relative to 'l reducing EOL.MFC Limitin'g Condition for Operation (LCO) and Surveillance Requirements (SR).- U i
(b) Identify benefits for the suspension of the Surveillance-Requirements below 100, ppm Boron
- l Concentration. a r
(c) Establish the effects on the present safety analysis? !i with the More Negative MTC-conditions.-
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p (d) Establish temperature and pressure affects and RCCA' i Insertion. Limits for EOL MTC. '
(e) Assist customer to obtain NRC approval, ui L
Further this information has substantial commercial'value ,
as follows:- 1 t
(a) Westinghouse plans to sell the use of similar_ '!
information to its customers for purposes"of meeting 'I NRC requirements for licensing documentation. .
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1: 1 (b) -Westinghouse can sell support:and defense of the-(
L analyses to its customers in the' licensing process ~ .
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Pub 1tc disclosure;of this; proprietary..information is 'likely to cause+ substantial harm to the' competitive position of Westinghouse because-it would enhance the abi.lity of-competitors to provide similar analytical documentation-and-licensing defense: services for commercial power reactors-without commensurate expenses. Also, public disclosure of the information' would enable 'athers to use' the information to meet NRC requirements!for_ licensing documentation without purchasing the right to.use,the information.
The development of theitechnology described:in part' by the
.information is the result'of applying the results of many years of experience-in antintensive Westinghouse effort and i
the expenditure of a considerable ~ sum'of money.
In order for competitors of Westinghouse to duplicate this information,- similar technical programs would .haveL to be performed and a significant' manpower effort, having the r.9quisite-talent and experience, would have.to-be. expended-for developing the, analytical methods and approach.
Further the deponent sayeth not.
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ATTACBNENT 3 5-SIGNIFICAM HAZARDS CONSIDERATION EVALUATION PURSUAM T0'10 CFR 50.92 POR THE FROPOSED CBANGE TO THE END OF LIFE NODERATOR TENFERATURE COEFFICIENT TECHNICAL SPECIFICATION Proposed Change' The proposed Technical Specification changes vill revise the limit for the end-of-life (EOL) moderator temperature coefficient.(MTC).- Specifically,-
the proposed changes vill:
Change the-3.9 X 10',most delta negative k/k/'F to -4.3 XMTC 10' limitdelta frog k/k/*F (Technical Specification 3.1.1.3.b).
Change 1the'MTC surveillance requirement'from
-3.0 X 10' delta k/k/'F to -3.65 X 10' delta k/k/'F (Technical Specification 4.1.1.3.b)~.
Add a footnote to the MTC surveillance requirement which provides tor-suspension of MTC surveillance when the measured HTC at an equilibrium:
boron concentra} ion of less than or equal to 100 ppm is'less: negative.
than -4.0 X 10' delta k/k/*F (Technical Specification 4.1.1.3.b).
Revise associated Bases Section 3/4.1.1.3 to account for these_ changes.
Background
The use of 18-month cycles at Farley Nuclear Plant Units 1 and 2.has led to higher core average burnups.resulting in more negative end-of-life moderator temperature coefficients. The current Technical Specification.
3.1.1.3.b states "The mo negativethan-3.9X10'peratortemperaturecoefficient_(MTC)shallbe:less delta k/k/'F" (-39 pcm/'F) "for.the all rods withdrawn, end-of-cycle-life (EOL), RATED THERMAL' POWER condition.". The:
corresponding action for exceeding this limiting conditionLfor operation (LCO) is to'"be_in HOT SHUTDOWN vithin 12 hours1.388889e-4 days <br />0.00333 hours <br />1.984127e-5 weeks <br />4.566e-6 months <br />." In order to ensure that the LCO for the EOL MTC is met, the Technical Specification surveillance-requires that the MTC be measured within seven effective full power days of reaching an equilibrium boron This measurement must be compared to -3.0 X 10'joncentration delta k/k/*Fof(-30
.300pcm/'F) ppm.: at-the all-rods:
-l vithdrawn, rated thermal power condition. -If the measurement indicates that.the HTC is more negative than -30,pcm/*F, the MTC must be measured at least every 14 effective full power days (EFPD) ~ for the -remainder of! the cycle.
Recent Farley core designs have approached the -30 pcm/'F sbrveillance requirement.- It is anticipated that future EOL.MTC measurements may be>
more negative than -30 pcm/'F. When'the surveillance limit is exceeded, measurements must be performed every 14 EFPD. These. additional measurements are undesirable because they require that load svings be :'
performed, perturbing the normal reactor operation. .In: addition, thousands-of1 gallons of additional water must be processed as.a result of boration-and dilution.
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Atttchmnt 3 P:ga 2 l
l In order to avoid future unnecessary EOL MTC measurements, Alabama Power Company proposes to change the EOL MTC surveillance limit to -36.5 pcm/'F i and to change the LCO to -43 pcm/'F. The proposed changes are made without impacting the safety analysis basis value.
1 The current LCO limit of -39 pcm/'F is based on EOL conditions (specifically with regard to fuel burnup and boron concentration), full power, with rods fully inserted. Most accident analyses use a constant moderator density coefficient (MDC) designed to bound the MDC at this vorst set of initial !
conditions (as well as at the most limiting set of transient conditions).
This value for MDC forms the licensing basis for the PSAR accident analysis. The new value of -43 pcm/'F is based on calculational methods described in VCAP-11953 which assure that present safety analysis conditions are met while providing additional operating margin.
In addition, a change is proposed to surveillance requirement 4.1.1.3.b to allow for suspension of extended measurement once the equilibrium boron concentration falls below 100 ppm, provided the last measured value is los negative than -40 pcm/*F. This change is proposed-to eliminate unnecessary measurements which perturb reactor operation and generate large volumes of vaste water at low boron concentrations.
The value of -40 pcm/'F, belov which extended measurement may be suspended once the equilibrium boron concentration falls below 100 ppm, is set with ;
due consideration for MTC behavior with boron concentration reduction and ;
fuel depletion, to ensure that the proposed E0L (0 ppm) hot full power all rods withdrawn LCO value of -43 pcm/'F vill be met, even if no further measurement is conducted.
The -40 pcm/*F value was chosen such that if the proposed surveillance requirement value of -36.5 pcm/'F vas exceeded, and a subsequent measurement below a boron concentration of 100 ppm yielded a value less negative than -40 pcm/*F, the slope of the MTC versus burnup curve would be conservatively high enough to assure that the LC0 would not be exceeded. ;
Analysis:
Alabama Power Company has reviewed the requirements of 10CFR50.92 as they relate to this proposed Technical Specification change and considers the proposed change not to involve a significant hazards consideration. In support of this conclusion the following analysis is provided:
- 1) Operation of Farley Nuclear Plant Units 1 and 2 in accordance with the proposed license amendment does not involve a significant.
increase in the probability or consequences of an accident previously evaluated. The existing-safety analyses for Farley Nuclear Plant have been evaluated to determine potential impact of the proposed change to the E0L MTC limit. This evaluation demonstrates that the existing safety analyses input parameters conservatively envelop the proposed change to the E0L HTC limit and that the change to both the E0L MTC-'LC0 and the surveillance requirement are acceptable without any changes to the existing safety analyses assumptions.
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Attechnent 3 Pag 3-3' '
.i The effect on the Non-LOCA transients due to'alchange to the MTC
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vas evaluated both for-normal operation and; transient conditions and' n
even the most adverse conditions! vill not result in a reactivity insertion which would invalidate the conclusions presented'in the FSAR analysis. In addition, this change was found to show no effect-to the Large Break LOCA; the Small Break LOCA, and the Steam Generator Tube Rupture (SGTR) analyses.-
Therefore, the proposed license amendment,does not involve a significant' increase in the pro ability or consequences of an accident previously evaluated.
- 2) The proposed change vill not crea :e the possibility of a nev or different kind of accident from esy. accident previously evaluated' .,
because implementation of this change vill not. alter plant *'
configuration or mode of_ operation.- Implementation.of the' proposed license amendment vill provide continued assurance that_ analysis; assumptions conservatively enve3op operational parameters.-
As identified previously,.the chance to the E0L'MTC would.be bounded, by the present FSAR accident analys h. -(Both normal:and transient conditions were evaluated and the results were shown.to.be bounded by the current FSAR accident analyses.) The core design and '
emergency operating procedures vill assureithat suberiticality is maintained for the conditions encountered:during the recovery,even if an accident would occur.
The current safety analysis remains bounding and' valid-for.the new-conditions. No new accidents have been established with.the-modification of the MTC value and_the present accidents. analyzed can not degrade to a new failure mode. Sufficient margin is still.
present between the current safety analysis-limits'for'MTC and the '
actual operational-limits proposed with this Technical ~ Specification change. In addition, surveillance limits will be' maintained and' only suspended if the first measured HFP MTC measurement-taken after reaching 100 ppm HFP equilibrium: boron concentration is.less negative than -40 pcm/'F as this vill. provide' assurance that the s
ultimate EOL (0 ppm) HFP ARO MTC value vill,notiviolate the LCO limits.
Therefore, this change to the Technical Specifications does not create the possibility of a new or different. kind of accident from any accident previously evaluated.
- 3) The proposed license amendment does not involve a4significant reduction to a margin of safety because an evalua'tionJof the safety analyses demonstrates that the proposed change vill maintain adequate margin to the current safety analysis vhile achieving improved operability for Farley Nuclear. Plant Units 1 and 2. The
q At tchment 3 >
Pag) 4' D
7 evaluation discussed;in VCAP-11953 shows that'the safety analysis ~
assumption remains conservative with respect to_the proposed LCOs limit value of;-43 pcm/'F.' A11~ accidents are bounded by the present i FSAR and ru) nev' accidents have been created. :Therefore,.the ' ,. .
proposed change in the LCO-technical specification: limit from to -!
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>-43 pem/'F doesinot invalidate the conclusions of the FSAR' safety analyses and ample margin still exists between;the~ actual operating.
L MTC values and those used-in the safety analysis of record'.-' >
There ds no basis in the safety analyses for theisurveillancet a requirement limitivalue.a This limit.merely-provides early '
indication that the.LCOLis being approached.'. Implementation'of the' new surveillance requirement:value vill continue to provide adequate notice prior to reaching the LCO.= i The suspension of theisurveillance requirement below 100 ppm [*
provides additionalioperational flexibility while assuring-'
compliance with the Technical Specifications since exclusion would. ,
only be permitted-if the'first HFP MTC measurement:taken'after'
reaching the 100 ppm hot full power-equilibrium boron concentration
=is less negative than~-40 pcm/'F. Satisfaction of this: caveat ensures that the remainder of any given' cycle vill be operated-within the LCO value.
. . i Finally, prior to each reload all applicable safety limits are
' reviewed and any impact to the operating plant. margin noted.
.l Therefore, thisLehange does-not involve a significant reduction to the margin of: safety.
Conclusion i
Based upon the analysis'provided. herewith,nAlabama' Power-Company has. 1 determined that the proposed Technical Specification changetvill not t
, significantly increase the probability or consequences of.an accident. i h previously evaluatedn createL t he possibility of a nev'or.different kind of accident from any. accident.previously: evaluated, orl involve a"significant- '
reduction in a margin of~ safety. 'Therefore, Alabama' Power, Company has.
determined that the proposed, change meets the requirements of'10 CFR 50.92 j and:does not involve a significant hazards considerations. !
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