ML20136E396

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Informs That Violation Withdrawn Re Licensee Use of Ccw/Icw (Svc Water) in Mode 5 at Plant
ML20136E396
Person / Time
Site: Saint Lucie  NextEra Energy icon.png
Issue date: 10/31/1996
From: Mark Miller
NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION II)
To: Gillespie F
NRC (Affiliation Not Assigned)
Shared Package
ML17229A261 List: ... further results
References
FOIA-96-485 NUDOCS 9703130201
Download: ML20136E396 (1)


Text

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V From:

Mark Miller / f/l-WND2.WNP4.FPG b b i //e.5 gIc,, /V f fL To:

Date:

10/31/96 8:20am

Subject:

MC 9900 Guidence in Error Wasn't sure where to send this, but I wanted to get it up to NRR.

' MC 9900 guidence dated 12/08/96, STS 3.4.1.4.2-Component Cooling Water System, discussed a case at St. Lucie where we said they had to have a TS operable CCW train to support a TS required SDC train during SDC ops. The guidence said we cited them 1

for not satisfying TS, they denied it, we reaffirmed the vio, and concludes that CCW must be TS operable in Mode 5 to support SDC.

' And now, tFa rest of the story...

On 7/22/86, FPL stood on their initial position and informed us that TS had no specific

requirement for CCW/ICW(service water) in Mode 5 and they were, therefore, not required. On 11/17/87, (IR 87-20/21) the violation was withdrawn by NRC, acknowledging no TS requirement.

Bottom line, the guidence should be removed from 9900. This whole thing came up when I tried to apply it here last outage, and the paper trail didn't support me. Do we have a mechanism for cancelling old guidence?

CC:

KDL

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l 9703130201 970306 PDR FOIA BINDER 96-485 PDR

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