ML20101B114

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Forwards Conformance to Reg Guide 1.97,Perry Nuclear Power Plant Units 1 & 2, Re Emergency Response Capabilities. Response to Identified Open Items Requested within 60 Days of Ltr Receipt
ML20101B114
Person / Time
Site: Perry  FirstEnergy icon.png
Issue date: 12/11/1984
From: Youngblood B
Office of Nuclear Reactor Regulation
To: Edelman M
CLEVELAND ELECTRIC ILLUMINATING CO.
Shared Package
ML20101B117 List:
References
RTR-REGGD-01.097, RTR-REGGD-1.097 NUDOCS 8412200109
Download: ML20101B114 (4)


Text

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,1 Mr. Murray R'. Edelman 3.

RHR Heat Exchanger Outlet Temperature -- CEI needs to provide addi-tional information on the instrumentation for this variable (see Section 3.3.7 of the enclosed report).

4.

Cooling Water Temperature to ESF System Components -- CEI needs to provide a justification basis for the lower limit of emergency closed cooling with temperature being 50 F.

(see Section 3.3.8 of the enclosed report).

It is requested that CEI provide a response to the oper. items identified in the enclosed report, and sumarized above, within 60 days of receipt of this letter.

In responding, CEI should provide any other coments on the enclosed report if any incorrect assumptions are made, or if it improperly reflects commitments made in regard to Perry's conformance with Regulatory Guide 1.97, Rev. 2.

This information is needed in order for the staff to complete its review of this matter. We plan to add Perry's conformances with Regulatory Guide 1.97, Rev. 2 as a license condition in the next SER' supplement.

Sincerely, B.

Youngblood, Chief Licensing Branch No. 1 Division of Licensing

Enclosure:

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UNITED STATES

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%l.Y..*j-DEC 11 E Docket Nos.:

50-440 and 50-441 Mr. Murray R. Edelman Vice President - Nuclear Group The Cleveland Electric 11.luminating Company P. O. Box 5000 Cleveland, Ohio 44101 i

Dear Mr. Edelman:

Subject:

NRC Interim Report'on the Conformance of the Perry Nuclear Power Plant with the Emergency Response Capability Guidelines of Regulatory Guide 1.97, Rev. 2 Included in NRC Generic Letter 82-33 (December 17,1983) was the need for the Cleveland Electric Illuminating Company (CEI) to identify the extent to which the Perry emergency response capability conforms with the guidelines of Regu-latory Guide 1.97, Rev. 2.

This information, including deviations requested from Regulatory Guide 1.97, Rev. 2, was documented in Amendment 12 to the Perry FSA,R (July 19,1983).

The NRC staff's contractor, EG&G Idaho, Inc. (EG8G) interim report, based on a review of the information contained in FSAR, Amendment 12, is enclosed. We propose to incorporate the enclosed report as a new appendix to the SER in the forthcoming Perry SER Supplement No. 5.

It should be noted that the review performed by EG&G was directed toward acceptability of deviations requested or proposed by CEI. As such, the staff considers the Perry energency response capability to be otherwise in complete conformance with the guidelines of Regu-latory Guide 1.97, Rev. 2, for which deviations were not requested.

The enclosed report findings, endorsed by the NRC staff, conclude that Parry either conforms with or is justified in deviating from the guidelines of Regu-latory Guide 1.97, Rev. 2 with the following exceptions.

1.

Neutron Flux -- The present Perry instrumentation for this variable is acceptable on an interim basis until Category 1 instrumentation is developed and installed. CEI should advise when the Category 1 instrumentation will be installed in the plant (see Section 3.3.1 of the enclosed report).

2.

Suppression Chamber Spray Flow -- CEI should show the instrumentation for this variable is in conformance with the recommendations of Regu-latory Guide 1.97, Rev. 2 (see Section 3.3.4 of the enclosed report).

DEC 11 N Mr. Murray R. Edelman.

3.

RHR Heat Exchanger Outlet Temperature -- CEI needs to provide addi-tional information on the instrumentation for this variable (see Section 3.3.7 of the enclosed report).

4.

Cooling Water Temperature to ESF System Components -- CEI needs to provide a justification basis for the lower limit of emergency closed cooling with temperature being 50*F.

(seeSection3.3.8 of the enclosed report).

It is requested that CEI provide a response to the open items identified in the enclosed report, and summarized above., within 60 days of receipt of this letter.

In responding, CEI should provide any other comments on the enclosed report if any incorrect assumptions are made, or if it improperly reflects commitments made in regard to Perry's conformance with Regulatory Guide 1.97, Rev. 2.

This information is needed in order for the staff to complete its review of this matter. We plan to add Perry's conformances with Regulatory Guide 1.97, Rev. 2 as a license condition in the next SER supplement.

Sincerely, 9

/

B.J)Y ngbloo, Chief Licensi g Branch No. 1 Divisi n of Licensing

Enclosure:

As stated cc: See next page I

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PERRY Mr. Murray R. Edelman Vice President, Nuclear Group The Cleveland Electric Illuminating Company P. O. Box 5000 Cleveland, Ohio 44101

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cc:

Jay Silberg, Esq.

Shaw, Pittman, Potts & Trowbridge 1800 M Street, N. W.

Washington, D. C.

20006 Donald H. Hauser, Esq.

The Cleveland Electric Illuminating Company P. O. Box 5000 Cleveland, Ohio 44101 Resident Inspector's Office U. S. Nuclear Regulatory Comission Parmly at Center Road Perry, Ohio 44081 U. S. Nuclear Regulatory Commission Mr. James G. Keppler, Regional Administrator, Region III 799' Roosevelt Road Glen Ellyn, Illinois 60137 Donald T. Ezzone, Esq.

Assistant Prosecuting Attorney 105 Main Street Lake County Administration Center Painesville, Ohio 44077 Ms. Sue Hiatt OCRE Interim Representative 8275 Munson Mentor, Ohio 44060 Terry J. Lodge, Esq.

618 N. Michigan Street Suite 105 Toledo, Ohio 43624 John G. Cardinal, Esq.

Prosecuting Attornay Ashtabula County Courthouse Jefferson, Ohio 44047

. _ _.