ML20073D311
| ML20073D311 | |
| Person / Time | |
|---|---|
| Site: | Crane |
| Issue date: | 03/31/1983 |
| From: | Hukill H GENERAL PUBLIC UTILITIES CORP. |
| To: | Stolz J Office of Nuclear Reactor Regulation |
| Shared Package | |
| ML19277C496 | List: |
| References | |
| 5211-83-098, 5211-83-98, NUDOCS 8304130437 | |
| Download: ML20073D311 (8) | |
Text
GPU Nuclear Corporation d U Nuclear
- s=Stx8o 8
Middletown, Pennsylvania 17057 717 944-7621 TELEX 84-2386 Writer"s Direct Dial Number:
March 31, 1983 5211-83-098 Office of Nuclear Reactor Regulation Attn: John F. Stolz, Chief Operating Reactors Branch No. 4 U. S. Nuclear Regulatory Commission Washington, D.C.
20555
Dear Sir:
Three Mile Island Nuclear Station, Unit 1 (TMI-1)
Operating License No. DPR-50 Docket No. 50-289 Steam Generator Repair (Topical Report 008, Rev. 2)
Attached for your information is Revision 2 to the subject topical report.
This revision provides updated information and responses to the questions in your letter dated February 7, 1983. This report and its conclusion addresses return of TMI-l to service after repair of the steam generators as reported in Licensee Event Report (LER)81-013.
Other plant equipment which has been identified as damaged by sulfer (the Waste Gas System and PORV) will be addressed separately by a closeout report for LER 82-11 and 83-03.
Since the attached report contains proprietary information, it should be withheld from public disclosure per 10 CFR 2.790.
Sincerely,
. D.
I kill Director, TMI-l 11D11:CWS:vj f Attachments:
- 1) Topical Report 008, Rev. 2
- 2) Affidavit O
F304130437 830331 PDR ADOCK 05000289 p
PDR GPU Nuclear Corporation is a subsidiary of the General Public Utilities Corporation
Babcock &Wilcox AFFIDAVIT OF JAMES H.
TAYLOR A.
My name is James H. Taylor.
I am Manager of Licensing in the Nuclear Power Generation Division of Babcock & Wilcox, and as such
)
I am authorized to execute this Affidavit.
i B.
I am familiar with tne criteria applied by Babcock & Wilcox to de-termine whether certain information of Babcock & Wilcox is proprietary and I am familiar with the procedures established within Babcock & Wilcox, particularly the Nuclear Power Generation Division (NPGD), to ensure the proper application of these criteria.
t C.
In determining whether a Babcock & Wilcox document is to be classi-fied as proprietary information, an initial determination is made by the unit manager who is responsible for originating the document I
as to whether it falls within the criteria set forth in Paragraph D hereof.
If the information falls within any one of these criteria, it is classified as proprietary by the originating unit manager.
This initial determination is reviewed by the cognizant section manager.
If the document is designated as' proprietary, i t is re-viewed again by Licensing personnel and other management within NPGD as designated by the Manager of Licensing to assure that the regulatory requirements of 10 CFR Section 2.790 are met.
1 D.
The following information is provided to demonstrate that the pro-visions of 10 CFR Section 2.790 of the Commission's regulations have been considered:
(i)
The information has been held in confidence by the Babcock &
Wilcox Company.
Copies of the document are clearly identified as proprietary.
In addition, whenever Babcock & Wilcox transmits the information to a customer, customer's agent, potential customer or regulatory agency, the transmittal re-quests the recipient to hold the information as proprietary.
Also, in order to strictly limit any potential or actual customer's use of proprietary information, the following
4 Babcock &Wilcox 1
AFFIDAVIT OF JAMES H.
TAYLOR (Cont'd) i provision is included in all proposals submitted by Babcock i
& Wilcox, and an applicable version of the proprietary 4
l provision is included in all of Babcock & Wilcox's contracts:
}
" Purchaser may retain Company's Proposal for use in i
connection with any contract resulting therefrom, and, for that purpose, make such copies thereof as may be necessary.
Any proprietary information concerning l
Company's or its Suppliers' products or manufacturing i
processes which is so designated by Company or its Suppliers and disclosed to Purchaser incident to the performance of such contract shall remain the property of Company or its Suppliers and is disclosed in confi-dence, and Purchaser shall not publish or otherwise j
disclose it to others without the written approval of Company, and no rights, implied or otherwise, are j
granted to produce or have produced any products or to practice or cause to be practiced any manufacturing processes covered thereby.
{
Notwithstanding the above, Purchaser may provide the NRC or any other regulatory agency with any such pro-4 prietary information as the NRC or such other agency may require; provided, however, that Pur Maser shall first give Company written notice of such proposed i
disclosure and Company shall have the right to amend such proprietary information so as to make it non-pro-prietary.
In the event that Company cannot amend such proprietary information, Purchaser shall, prior to disclosing such information, use its best efforts to obtain a commitment from NRC or such other agency 4
to have such information withheld from public inspection.
1 (2)
l I
Babcock &Wilcox AFFIDAVIT OF JAMES H. TAYLOR (Cont'd)
Company shall be given the right to participate in pursuit of such confidential treatment."
(ii) The following criteria are customarily applied by Babcock &
i Wilcox in a rational decision process to determine whether the j
information should be classified as proprietary.
Information may be classified as proprietary if one or more of the following i
criteria are met.
Information reveals cost or price information, commercial a.
strategies, production capabilities, or budget levels of Babcock & Wilcox, its customers or suppliers.
b.
The information reveals data or material concerning Babcock
& Wilcox research or development plans or programs of present or potential competitive advantage to Babcock &
Wilcox.
c.
The use of the information by a competitor would decrease his expenditures, in time or resources, in designing, producing or marketing a similar product.
d.
The information consists of test data or other similar data concerning a process, method or component, the application or which results in a competitive advantage to Babcock &
Wilcox.
e.
The information reveals special aspects of a process, method, component or the like, the exclusive use of which results in a competitive advantage to Babcock & Wilcox.
f.
The information contains ideas for which patent protection may be eought.
(3)
Babcock &Wilcox AFFIDAVIT OF JAMES H.
TAYLOR (Cont'd)
The document (s) listed on Cxhibit "A", which -is attached hereto and made a part hereof, has been evaluated in accordance with normal Babcock & Wilcox procedures with respect to classification and has been found to contain information which falls within one or more of the criteria enumerated above.
Exhibit "B",
which is attached hereto and made a part hereof, specifically identifies the criteria applicable to the document (s) listed in Exhibit "A".
(iii) The document (s) listed in Exhibit "A",
which has been made avail-able to the United States Nuclear Regulatory Commission was made available in confidence with a request that the document (s) and the information contained therein be withheld from public disclosure.
(iv) The information is not available in the open literature and to the best of our knowledge is not known by Combustion Engineering, EXXON, General Electric, Westinghouse or other current or potential domestic or foreign competitors of B&W.
(v) Specific information with regard to whether public disclosure of the information is likely to cause harm to the competitive position of Babcock & Wilcox, taking into account the value of the information to Babcock & Wilcox; the amount of effort or money expended by Babcock & Wilcox developing the information; and the ease or difficulty with which the information could be properly duplicated by others is given in Exhibit "B".
1 E. I have personally reviewed the document (s) listed on Exhibit "A" and have found that it is considered proprietary by Babcock & Wilcox because it contains information which falls within one or more of the criteria enumerated in Paragraph D, and it is information which is customarily held in confidence and protected as proprietary in-formation by Babcock & Wilcox.
This report comprises information utilized by Babcock & Wilcox in its business which afford Babcock
& Wilcox an opportunity to obtain a competitive advantage over (4) l l
A i
Babcock &Wilcox i
those who may wish to know or use the information contained in the document (s).
gq JAME[H. TAYLOR i
j State of Virginia)
)
SS.
Lynchburg i
City of Lynchburg) 4 James H. Taylor, being duly sworn, on his oath deposes and says that he is the person who subscribed his teame to the foregoing statement, and that the matters and facts set forth in the statement are true, e
v
/
Kid Vu
,/
JAMES H.
YLOR Subscribed and sworn before me this
?
day of 77/4uM 1983.
4
% st A A.Yk/ltsf/rxD Notary Public in and for the City of Lynchburg, State of Virginia i
My Comission Expiresg)M/<v43,/9f 7 (5) f
Babcock &Wilcox Exhibit A
" Assessment of Tf11-1 Plant Safety for Return to Servica After Stc;m Generator Repair"- GPUti Topical Report flo. 008, Rev. 2.
l I
Babcock &Wdcox 1
Exhibit B Description of Material Applicable Criteria
" Assessment of TMI-1 Plant Safety for B, C, D & E Return to Service After Steam Generator Repair", GPUN Topical Report No. 008, Rev. 2 Portions as noted below:
Fig. 1 - 4 I
Section III D & E Pages 25, 26, 27 & 28 Section V A 2 Pages 34 & 35 Section V C la Item 6, page 38 Section V C lb, ic, ld & le Pages 38 through 42 Section V C 2a, 2b & 2c Pages 42 & 43 Section V D 2 Pages 45, 46 & 47 Section VI C Pages 52 & 53 (to but not including VI D) e
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