ML20128C243

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Confirms Implementation of Activities & Establishment of Continuing Programs Described in Lp&L 900129 Response to GL 89-13, SWS Problems Affecting Safety-Related Equipment
ML20128C243
Person / Time
Site: Waterford Entergy icon.png
Issue date: 01/29/1993
From: Burski R
ENTERGY OPERATIONS, INC.
To:
NRC OFFICE OF INFORMATION RESOURCES MANAGEMENT (IRM)
References
GL-89-13, W3F1-93-0110, W3F1-93-110, NUDOCS 9302030361
Download: ML20128C243 (2)


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'r ut v W3F1-93-0110 A4.05 QA January 29, 1993 U.S. Nuclear Regulatory Commission ATTN: Docuuent Control Desk Washington, D.C.

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Subject:

Waterford 3 SES Docket No. 50-382 License No. NPF-38 NRC Generic Letter 89-13 Gentlemen:

Generic Letter (GL) 89-13, " Service Water System Problems Af fecting Safety-Related Equipment", was issued on July 18, 1989, and requested licensees io supply information about their respective service water systems to assure the NRC of compliance with regulatory and quality assurance requirements, and to confirm that the safety functions of the service water systems are being met.

Supplement 1 to the GL was issued on April 4, 1990, and contained questions and answers to workshops held by the NRC nn service water issues.

Louisiana Power & Light (LP&L) Company letter number W3P90-0207 was issued on January 29, 1990, as Waterford 3's response to Recommendations I through V in GL 89-13.

In that response, LP&L identifies a single system at Waterford 3 which met the inclusion criteria of GL 89-13; specifically, the Auxiliary Component Cooling Water (ACCW) system. By attachment to that response, LP&L discussed the activities and programs conducted or planned which addressed the areas of concern with respect to Waterford 3's ACCW system. These activities included the initial collection and evaluation of heat exchanger data (including the development of a procedure to collect and trend such data at least each refueling outage),

the addition of ACCW components to the Waterford 3 erosion / corrosion program, a walkdown of ACCW components and a review of ACCW routine mai<itenance tasks.

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- p.j W3FJ-93-0110-NRC Generic Letter'89-13

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Page 2 January 29,_1993, In addition to the original response,- G189-13 required that each.. licensee-e confirm to'the NRC within 30 days of implementation,:that all the recommended actions or justified alternatives have been -implemented.

This requirement was reiterated in a staff letter dated February 9,1990.

This letter is hereby submitted to confirm the implemhntation' of activitiec and'the establishment of continuing programs described in LP&L's original response, and-is expected to fulfill the final notification required per GL 89-13.

If you have any questions concerning this. submittal, please contact B. R. Loetzerich.at,"(504) 739-6636.=

Very truly-yours,

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ww R.F.Bu(rski Director, Nuclear Safety RFB/BRL/ssf cc:

J.L. Hilhoan, NRC Region IV D.L.1Wigginton, NRC-NRR R.B. McGehee N.S. Reynolds NRC Resident: Inspectors Office-

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