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Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20210B8491999-07-21021 July 1999 Exemption from Certain Requirements of 10CFR50.54(w),for Three Mile Island Nuclear Station Unit 2 to Reduce Amount of Insurance for Unit to $50 Million for Onsite Property Damage Coverage ML20206D4141999-04-20020 April 1999 Exemption from Requirements of 10CFR50,App R,Section III.G.2 Re Enclosure of Cable & Equipment & Associated non-safety Related Circuits of One Redundant Train in Fire Barrier Having 1-hour Rating ML20206T7211999-02-11011 February 1999 Memorandum & Order (CLI-99-02).* Denies C George Request for Intervention & Dismisses Subpart M License Transfer Proceeding.With Certificate of Svc.Served on 990211 ML20198A5111998-12-11011 December 1998 Comment Opposing Proposed Rule 10CFR50.65 Re Requirements for Monitoring Effectiveness of Maintenance at Nuclear Power Plants.Proposed Rulemaking Details Collaborative Efforts in That Rule Interjects Change ML20154G2941998-09-17017 September 1998 Transcript of 980917 Public Meeting in Rockville,Md Re License Transfer of TMI-1 from Gpu Nuclear,Inc to Amergen. Pp 1-41 ML20199J0121997-11-20020 November 1997 Comment on Pr 10CFR50 Re Financial Assurance Requirements for Decommisioning Nuclear Power Reactors.Three Mile Island Alert Invokes Comments of P Bradford,Former NRC Member ML20148R7581997-06-30030 June 1997 Comment on NRC Proposed Bulletin 96-001,suppl 1, Control Rod Insertion Problems. Licensee References Proposed Generic Communication, Control Rod Insertion, & Ltrs & 961022 from B&W Owners Group ML20078H0431995-02-0101 February 1995 Comment Opposing Proposed Rule 10CFR50 Re Shutdown & Lowpower Operations for Nuclear Reactors ML20077E8231994-12-0808 December 1994 Comment Supporting Proposed Rules 10CFR2,51 & 54 Re Rev to NRC NPP License Renewal Rule ML20149E2021994-04-20020 April 1994 R Gary Statement Re 10 Mile Rule Under Director'S Decision DD-94-03,dtd 940331 for Tmi.Urges Commissioners to Engage in Reconsideration of Author Petition ML20065Q0671994-04-0707 April 1994 Principal Deficiencies in Director'S Decision 94-03 Re Pica Request Under 10CFR2.206 ML20058A5491993-11-17017 November 1993 Exemption from Requirements in 10CFR50.120 to Establish, Implement & Maintain Training Programs,Using Sys Approach to Training,For Catorgories of Personnel Listed in 10CFR50.120 ML20059J5171993-09-30030 September 1993 Transcript of 930923 Meeting of Advisory Panel for Decontamination of TMI-2 in Harrisburg,Pa.Pp 1-130.Related Documentation Encl ML20065J3461992-12-30030 December 1992 Responds to Petition of R Gary Alleging Discrepancies in RERP for Dauphin County,Pa ML20065J3731992-12-18018 December 1992 Affidavit of Gj Giangi Responding to of R Gary Requesting Action by NRC Per 10CFR2.206 ML20198E5581992-12-0101 December 1992 Transcript of Briefing by TMI-2 Advisory Panel on 921201 in Rockville,Md ML20210D7291992-06-15015 June 1992 Exemption from Requirements of 10CFR70.24 Re Criticality Accident Requirements for SNM Storage Areas at Facility Containing U Enriched to Less than 3% in U-235 Isotope ML20079E2181991-09-30030 September 1991 Submits Comments on NRC Proposed Resolution of Generic Issue 23, Reactor Coolant Pump Seal Failure. Informs That Util Endorses Comments Submitted by NUMARC ML20066J3031991-01-28028 January 1991 Comment Supporting SECY-90-347, Regulatory Impact Survey Rept ML20059P0531990-10-15015 October 1990 Comment Opposing Proposed Rules 10CFR2,50 & 54 Re Nuclear Power Plant License Renewal ML20059N5941990-10-0404 October 1990 Transcript of 900928 Public Meeting in Rockville,Md Re Studies of Cancer in Populations Near Nuclear Facilities, Including TMI ML20055F4411990-06-28028 June 1990 Comment Supporting Petition for Rulemaking PRM-50-55 Re Revs to FSAR ML20248J1891989-10-0606 October 1989 Order.* Grants Intervenors 891004 Motion for Permission for Opportunity to Respond to Staff Correspondence.Response Requested No Later That 891020.W/Certificate of Svc.Served on 891006 ML20248J1881989-10-0303 October 1989 Motion for Permission for Opportunity to Respond to Staff Correspondence in Response to Board Order of 890913.* Svc List Encl ML20248J0301989-09-29029 September 1989 NRC Staff Response to Appeal Board Order.* Matters Evaluated in Environ Assessment Involved Subjs Known by Parties During Proceeding & Appear in Hearing Record & Reflect Board Final Initial Decision LBP-89-7.W/Certificate of Svc ML20247E9181989-09-13013 September 1989 Order.* Requests NRC to Explain Purpose of 890911 Fr Notice on Proposed Amend to Applicant License,Revising Tech Specs Re Disposal of Accident Generated Water & Effects on ASLB Findings,By 890929.W/Certificate of Svc.Served on 890913 ML20247G0361989-07-26026 July 1989 Transcript of Oral Argument on 890726 in Bethesda,Md Re Disposal of accident-generated Water.Pp 1-65.Supporting Info Encl ML20247B7781989-07-18018 July 1989 Certificate of Svc.* Certifies Svc of Encl Gpu 890607 & 0628 Ltrs to NRC & Commonwealth of Pa,Respectively.W/Svc List ML20245D3651989-06-20020 June 1989 Notice of Oral Argument.* Oral Argument on Appeal of Susquehanna Valley Alliance & TMI Alert from ASLB 890202 Initial Decision Authorizing OL Amend,Will Be Heard on 890726 in Bethesda,Md.W/Certificate of Svc.Served on 890620 ML20245A5621989-06-14014 June 1989 Order.* Advises That Oral Argument on Appeal of Susquehanna Valley Alliance & TMI Alert from Board 890202 Initial Decision LBP-89-07 Authorizing OL Amend Will Be Heard on 890726 in Bethesda,Md.W/Certificate of Svc.Served on 890614 ML20247F3151989-05-22022 May 1989 NRC Staff Response to Appeal by Joint Intervenors Susquehanna Valley Alliance/Tmi Alert.* Appeal Should Be Denied Based on Failure to Identify Errors in Fact & Law Subj to Appeal.W/Certificate of Svc ML20246Q2971989-05-15015 May 1989 Comment Opposing Proposed Rule 10CFR50 Re Ensuring Effectiveness of Maint Programs for Nuclear Power Plants ML20246J6081989-05-12012 May 1989 Licensee Brief in Reply to Joint Intervenors Appeal from Final Initial Decision.* ASLB 890203 Final Initial Decision LBP-89-07 Re Deleting Prohibition on Disposal of accident- Generated Water Should Be Affirmed.W/Certificate of Svc ML20247D2761989-04-20020 April 1989 Transcript of 890420 Briefing in Rockville,Md on Status of TMI-2 Cleanup Activities.Pp 1-51.Related Info Encl ML20244C0361989-04-13013 April 1989 Order.* Commission Finds That ASLB Decision Resolving All Relevant Matters in Favor of Licensee & Granting Application for OL Amend,Should Become Effective Immediately.Certificate of Svc Encl.Served on 890413 ML20245A8381989-04-13013 April 1989 Transcript of Advisory Panel for Decontamination of TMI-2 890413 Meeting in Harrisburg,Pa.Pp 1-79.Supporting Info Encl ML20245A2961989-04-13013 April 1989 Transcript of 890413 Meeting in Rockville,Md Re Affirmation/Discussion & Vote ML20248H1811989-04-0606 April 1989 Valley Alliance/Tmi Alert Motion for Leave to File Appeal Brief out-of-time.* W/Certificate of Svc.Served on 890411.Granted for Aslab on 890410 ML20248G0151989-04-0606 April 1989 Valley Alliance/Tmi Alert Motion for Leave to File Appeal Brief out-of-time.* Requests to File Appeal Brief 1 Day Late Due to Person Typing Document Having Schedule Problems ML20248G0261989-04-0606 April 1989 Susguehanna Valley Alliance/Tmi Alert Brief in Support of Notification to File Appeal & Request for Oral Argument Re Appeal.* Certificate of Svc Encl ML20248D7211989-04-0404 April 1989 Memorandum & Order.* Intervenors Application for Stay Denied Due to Failure to Lack of Demonstrated Irreparable Injury & Any Showing of Certainty That Intervenors Will Prevail on Merits of Appeal.W/Certificate of Svc.Served on 890404 ML20247A4671989-03-23023 March 1989 Correction Notice.* Advises That Date of 891203 Appearing in Text of Commission 890322 Order Incorrect.Date Should Be 871203.Certificate of Svc Encl.Served on 890323 ML20246M2611989-03-22022 March 1989 Order.* Advises That Commission Currently Considering Question of Effectiveness,Pending Appellate Review of Final Initial Decision in Case Issued by ASLB in LBP-89-07. Certificate of Svc Encl.Served on 890322 ML20236D3821989-03-16016 March 1989 Valley Alliance & TMI Alert Motion for Extension of Time to File Brief in Support of Request for Appeal in Matter of 2.3 Million Gallons Of....* Certificate of Svc Encl.Served on 890316.Granted for Aslab on 890316 ML20236D3121989-03-15015 March 1989 Licensee Answer to Joint Intervenors Motion for Extension of Time to File Brief on Appeal.* Motion Opposed Based on Failure to Demonstrate Good Cause.W/Certificate of Svc ML20236D2901989-03-11011 March 1989 Valley Alliance/Tmi Alert Motion for Extension of Time to File Brief in Support of Request for Appeal in Matter of Disposal of 2.3 Million Gallons of Radioactive Water at Tmi,Unit 2.* Svc List Encl ML20236A3761989-03-0808 March 1989 Licensee Answer Opposing Joint Intervenors Motion for Stay.* Stay of Licensing Board Decision Pending Appeal Unwarranted Under NRC Stds.Stay Could Delay Safe,Expeditious Cleanup of Facility.Certificate of Svc Encl ML20236C2441989-03-0808 March 1989 NRC Staff Response in Opposition to Application for Stay Filed by Joint Intervenors.* Application for Stay of Effectiveness of Final Initial Decision LBP-89-07,dtd 890202 Should Be Denied.W/Certificate of Svc ML20235V2641989-03-0202 March 1989 Notice of Aslab Reconstitution.* TS Moore,Chairman,Cn Kohl & Ha Wilber,Members.Served on 890303.W/Certificate of Svc ML20235V2161989-02-25025 February 1989 Changes & Corrections to Susquehanna Valley Alliance/Three Mile Island Alert Documents Submitted on 890221.* Certificate of Svc Encl 1999-07-21
[Table view] Category:PLEADINGS
MONTHYEARML20065J3461992-12-30030 December 1992 Responds to Petition of R Gary Alleging Discrepancies in RERP for Dauphin County,Pa ML20248J1881989-10-0303 October 1989 Motion for Permission for Opportunity to Respond to Staff Correspondence in Response to Board Order of 890913.* Svc List Encl ML20248J0301989-09-29029 September 1989 NRC Staff Response to Appeal Board Order.* Matters Evaluated in Environ Assessment Involved Subjs Known by Parties During Proceeding & Appear in Hearing Record & Reflect Board Final Initial Decision LBP-89-7.W/Certificate of Svc ML20248H1811989-04-0606 April 1989 Valley Alliance/Tmi Alert Motion for Leave to File Appeal Brief out-of-time.* W/Certificate of Svc.Served on 890411.Granted for Aslab on 890410 ML20248G0261989-04-0606 April 1989 Susguehanna Valley Alliance/Tmi Alert Brief in Support of Notification to File Appeal & Request for Oral Argument Re Appeal.* Certificate of Svc Encl ML20248G0151989-04-0606 April 1989 Valley Alliance/Tmi Alert Motion for Leave to File Appeal Brief out-of-time.* Requests to File Appeal Brief 1 Day Late Due to Person Typing Document Having Schedule Problems ML20236D3821989-03-16016 March 1989 Valley Alliance & TMI Alert Motion for Extension of Time to File Brief in Support of Request for Appeal in Matter of 2.3 Million Gallons Of....* Certificate of Svc Encl.Served on 890316.Granted for Aslab on 890316 ML20236D3121989-03-15015 March 1989 Licensee Answer to Joint Intervenors Motion for Extension of Time to File Brief on Appeal.* Motion Opposed Based on Failure to Demonstrate Good Cause.W/Certificate of Svc ML20236D2901989-03-11011 March 1989 Valley Alliance/Tmi Alert Motion for Extension of Time to File Brief in Support of Request for Appeal in Matter of Disposal of 2.3 Million Gallons of Radioactive Water at Tmi,Unit 2.* Svc List Encl ML20236A3761989-03-0808 March 1989 Licensee Answer Opposing Joint Intervenors Motion for Stay.* Stay of Licensing Board Decision Pending Appeal Unwarranted Under NRC Stds.Stay Could Delay Safe,Expeditious Cleanup of Facility.Certificate of Svc Encl ML20236C2441989-03-0808 March 1989 NRC Staff Response in Opposition to Application for Stay Filed by Joint Intervenors.* Application for Stay of Effectiveness of Final Initial Decision LBP-89-07,dtd 890202 Should Be Denied.W/Certificate of Svc ML20235N1621989-02-20020 February 1989 Application for Stay of Effectiveness of Final Initial Decision LBP-89-07 Dtd 890202.* Licensee Would Not Be Harmed by Granting of Stay ML20205D8451988-10-24024 October 1988 Licensee Motion to Strike Portions of Proposed Testimony of Kz Morgan.* Proposed Testimony Should Be Ruled to Be Not Admissible as Evidence in Upcoming Hearing.Supporting Info & Certificate of Svc Encl.W/Copyrighted Matl ML20205D6801988-10-20020 October 1988 Valley Alliance/Tmi Alert Notification to Parties That Kz Morgan Apps to Testimony Should Be Accepted as Exhibits.* Apps Listed.Svc List Encl.Related Correspondence ML20155G9981988-10-0404 October 1988 Valley Alliance/Tmi Alert Motion for Reconsideration of Part of Judge Order (880927) Re Limited Appearance Statements by Public.* Certificate of Svc Encl ML20155G9921988-10-0404 October 1988 Valley Alliance/Tmi Alert Motion to Submit Witness Testimony as Evidence W/O cross-exam at Hearing in Lancaster.* Requests That Cw Huver Testimony Be Accepted as Evidence ML20151S0261988-07-28028 July 1988 Valley Alliance/Tmi Alert Response to Licensee Notification of Typo in Bid Procurement Document.* Explanation for Change in Document Inadequate.W/Svc List ML20196G7801988-06-23023 June 1988 Motion of NRC Staff for Leave to File Response Out of Time.* Encl NRC Response in Support of Licensee Motion for Summary Disposition Delayed Due to Equipment Problems ML20196G9051988-06-23023 June 1988 NRC Staff Response in Support of Licensee Motion for Summary Disposition.* Motion Should Be Granted on Basis That No Genuine Issue Before ASLB or to Be Litigated.Supporting Documentation & Certificate of Svc Encl ML20196B5091988-06-20020 June 1988 Valley Alliance/Tmi Alert Response to Licensee Motion or Summary Disposition on Contentions 1-4,5d,6 & 8.* Affidavits of Kz Morgan,R Piccioni,L Kosarek & C Huver & Supporting Documentation Encl ML20154E2301988-05-16016 May 1988 Licensee Statement of Matl Facts as to Which There Is No Genuine Issue to Be Heard (Contentions 1,2,3 & 8).* ML20154E2081988-05-16016 May 1988 Licensee Motion for Summary Disposition on Alternatives (Contentions 1,2,3 & 8).* Motion Should Be Granted Based on Licensee Meeting Burden of Showing That Alternatives Not Superior to Licensee Proposal ML20154E3491988-05-16016 May 1988 Licensee Statement of Matl Facts as to Which There Is No Genuine Issue to Be Heard (Contention 5d).* ML20154E2851988-05-16016 May 1988 Licensee Statement of Matl Facts as to Which There Is No Genuine Issue to Be Heard (Contentions 4b in Part & 6 on Chemicals).* ML20154E3251988-05-16016 May 1988 Licensee Motion for Summary Disposition of Contention 5d.* Motion Should Be Granted in Licensee Favor ML20154E2681988-05-16016 May 1988 Licensee Motion for Summary Disposition of Contentions 4b in Part & 6 (Chemicals).* Licensee Entitled to Decision in Favor on Contentions & Motion Should Be Granted ML20154E1631988-05-0909 May 1988 Licensee Statement of Matl Facts as to Which No Genuine Issue to Be Heard (Contentions 4b in part,4c & 4d).* Lists Matl Facts for Which No Genuine Issue Exists ML20154E1281988-05-0909 May 1988 Licensee Motion for Summary Disposition of Contentions 4b (in part),4c & 4d.* Requests That Motion for Summary Disposition Be Granted on Basis That No Genuine Issue of Matl Fact Exists to Be Heard Re Contentions ML20154E1761988-05-0909 May 1988 Licensee Memorandum of Law in Support of Motions for Summary Disposition.* Requests Ample Notice Should Board Decide to Deny Summary in Part or in Whole ML20151E9491988-04-0707 April 1988 Licensee Answer to Intervenor Motion for Order on Production of Info on Disposal Sys Installation & Testing.* Intervenor 880330 Motion Should Be Denied Due to Insufficient Legal Basis.W/Certificate of Svc ML20150F9821988-04-0101 April 1988 Licensee Answer to Intervenors Motion to Compel Discovery.* Motion Should Be Denied on Basis That Licensee Responded Fully to Discovery Request.Certificate of Svc Encl ML20148P3931988-03-30030 March 1988 Valley Alliance & TMI Alert Motion to Request That Presiding Judge Order Gpu Nuclear to Provide Addl Info & Clarify Intentions to Install Test & Conduct Experiments W/Evaporator Prior to Hearings.* ML20196D2801988-02-12012 February 1988 NRC Staff Response to Motion by TMI Alert/Susquehanna Valley Alliance for Extension of Discovery.* Motion Should Be Denied.Certificate of Svc Encl ML20196D3541988-02-10010 February 1988 Licensee Response Opposing Susquehanna Valley Alliance/Tmi Alert Intervenor Motion for Extension of Time for Discovery.* Joint Intervenors Failed to Show Good Cause for Extension of Time for Discovery.Certificate of Svc Encl ML20148D4661988-01-19019 January 1988 Licensee Objection to Special Prehearing Conference Order.* Board Requested to Clarify 880105 Order Consistent W/ Discussed Description of Board Jurisdiction & Scope of Proceeding.W/Certificate of Svc ML20236N9081987-11-0505 November 1987 Joint Motion for Approval of Settlement Agreement & for Termination of Proceeding.* Termination of Proceeding Should Be Granted ML20235F3651987-09-23023 September 1987 Util Response Opposing NRC Staff Motion to Rescind Protective Order.* Response Opposing Protective Order Guarding Confidentiality of Document Re Methodology of Bechtel Internal Audit Group ML20235B3911987-09-18018 September 1987 NRC Staff Motion for Extension of Time.* Staff Requests Short Extension of Time Until 870925 to File Responses to Pending Petitions.Certificate of Svc Encl ML20235F4401987-09-18018 September 1987 Util Supplemental Response to NRC Staff First Request for Admissions.* Util Objects to Request as Vague in Not Specifying Time Frame or Defining Proprietary, Pecuniary.... W/Certificate of Svc.Related Correspondence ML20238E6001987-09-0404 September 1987 NRC Staff Motion to Rescind Protective Order.* Protective Order Should Be Rescinded & Presiding Officer Should Take Further Action as Deemed Appropriate.W/ Certificate of Svc ML20238E6391987-09-0303 September 1987 Commonwealth of PA Statement in Support of Request for Hearing & Petition to Participate as Interested State.* Susquehanna Valley Alliance 870728 Request for Hearing, Notice of Appearance & Certificate of Svc Encl ML20237J9931987-08-12012 August 1987 Joint Gpu & NRC Staff Motion for Protective Order.* Order Will Resolve Discovery Dispute ML20237K0431987-08-11011 August 1987 Gpu Response Opposing Parks Motion to Quash Subpoena Duces Tecum.* Exhibits & Certificate of Svc Encl ML20236P1871987-08-0505 August 1987 Formal Response of Rd Parks to Subpoena Duces Tecum of Gpu &/Or,In Alternative,Motion to Quash/Modify Subpoena Due to Privileged Info.* Documents Are Communications Protected by Atty/Client Privilege.Certificate of Svc Encl ML20236E7101987-07-28028 July 1987 Joint General Public Utils Nuclear Corp & NRC Staff Motion for Protective Order.* Adoption & Signature of Encl Proposed Order Requested ML20216J7871987-06-29029 June 1987 Opposition of Gpu Nuclear Corp to Aamodt Motion for Reconsideration.* Motion Asserts Board Did Not Consider Important Evidence on Leakage at TMI-2.W/Certificate of Svc ML20216D2311987-06-23023 June 1987 Response of Jg Herbein to Aamodt Request for Review & Motion for Reconsideration.* Opportunity for Comment Should Come After NRC Has Made Recommendations to Commission.Certificate of Svc Encl ML20215J8981987-06-19019 June 1987 Response of Numerous Employees to Aamodt Request to File Comments on Recommended Decision.* Numerous Employees Do Not Agree W/Aamodt That Recommended Decision Is Greatly in Error.Certificate of Svc Encl ML20215K2121987-06-17017 June 1987 (Motion for reconsideration,870610).* Corrections to Pages 3 & 4 Listed ML20215J7551987-06-15015 June 1987 Gpu Response to Motion to Quash Subpoena.* Dept of Labor 870601 Motion to Quash Subpoena Served on D Feinberg Should Be Denied.W/Certificate of Svc 1992-12-30
[Table view] |
Text
-
O o 7
UNITED STATES OF AMERICA !
\
NUCLEAR REGULATORY COMMISSION f j.y)
',e,,$ ) '
Before the Atomic Safety and Licensing -Board 6]$ ~
II
'e i ?as In the Matter of ) 6 'M-ldM'FQi A METROPOLITAN EDISON COMPANY
)
) Docket 4 /M3OGg g pf)B
) (Steam or (Three Mile Island Nuclear ) Plugging Criteria)
Station, Unit 1) )
TMIA'S MOTION TO BROADEN IIEARING SCOPE INTRODUCTION On February 21, 1986, the NRC Staff notified the Licensing Board of its position regarding whether the hearing scope in this proceeding should be broadened to include litigation of Licensee's Technical Specification Change Request (TSCR) No. 153, which would allow TMI-l's operation with steam generator tube defects up to 50%
throughwall with a maximum length of .55 inches. TMIA has requested a hearing on this license amendment request, which it has attached hereto as Exhibit 1.
The Staff and the Licensee argue that TSCR 153 is so different from the subject of this hearing, that it should be considered within the context of an entirely separate proceeing. The Staff bases this conclusion on a determination that TSCR 153 satisfies Reg. Guide 1.121, whereas TSCR 148 does not.
Ilowever, transcripts of discussions between the NRC Staf f and GPU, as well as Staf f concerns apparently expressed to GPU in a July 16, 1985, telephone conversation, (see TSCR 148 at 8-12), show clearly that the broad safety questions rhised by any change the plugging criteria at this time have little to do with the vague provisions of Reg. Guide 1.121.
B603140372 860310 PDR ADOCK 05000289 o PDR
7 Rather, these questions concern the nature of new indications discovered in a 1984 steam generator inspection, and the capability of eddy current testing to accurately asses the size and configuration, indeed the very existence, of tube defects, whether 50% or up to 70% throughwall.
Because the unresolved issues surrounding both requests are virtually identical, TMIA hereby moves to broaden the scope to this proceeding to include TSCR 153. Requiring two separate hearings in this case would be an extraordinary waste of agency resources. In addition, it would place an unreasonable and completely unjustified financial burden on the sole intervenor, TMIA.
DISCUSSION According to GPU, there are two reasons for revising the plugging criteria at this time. One reason is to more accurately reflect the condition of the TMI-1 steam generator. The other is to reflect the capabilities of eddy current testing at TMI-1. TSCR 148 at Section II; TSCR 153 at Section II.1/
To support both requests, the Licensee relies upon the same technical reports to demonstrate both that the amendments comply with the requirements of the GDC 14, 15 and 312/, and Reg. Guide 1.121, and generally would not endanger the public. The company's
- 1. In TSCR 153, the company provides an additional reason --
the reduction in occupational radiation doses. This reason also was presented to the Staf f during their 1985 meeting on TSCR 148, and provoked a skeptical reaction from the Staff. See NRC Staf f/GPU Meeting (Feb. 19,198 5 ), Tr. a t 7 7.
- 2. TMIA's proposed Contention 4 addresses deficiencies in the (Footnote continued on next page) l i
I l
k
t l
- safetyievaluations for both TSCR 148 and TSCR 153 are is based on j the assumption that eddy current technology " indicates that
[
t
' imperfections greater than 40% throughwall are acceptable." i
, e l For both' requests, the analytical basis for the Licensee's >
! . fatigue analysis is contained in GPU's Technical Document Report ,
t i l ("TDR") 008; the ASME Section III fatigue evaluation,Section XI [
i :
L Linear Elastic Fracture Mechanics results, and the Main Steam l i l Line Break solid mechanics analysis, with a 10% margin on nominal l - l throughwall.' TSCR 148 at 4; TSCR 153 at Sec. III. The company uses identical TDR's to support its characterization of current j defects, and to demonstrate the accuracy of eddy current :
! l
[ techniques. See TDR-638, TDR-652, TDR-686, and TDR-642. i i
TDR-690 evaluates the criteria proposed by TSCR 148 against l i
Reg. Guide 1.121. TDR-758 evaluates the criteria proposed by TSCR l
'153 against Reg. Guide 1.121. Both argue that an additional [;
thickness degredation allowance for corrosion and wear is not necessary, claiming "the mechanism for continued chemical attack i
from the inner surf ace has been arrested . . and the TMI-l steam -
I (Footnote continued from previous page) '
Licensee's demonstration of GDC 31 compliance, applicable to both TSCR 148 and TSCR 153. Specifically, GPU has demonstrated i compliance with GDC 31 by using ASME Section XI App. A methodology, !
which directs.that' variables affecting the data should be i cor:sidered, including environmental effects. GPU has refused to i take environmental ef fects into account for both license amendment l
, requests.
l
! In addition, TMIA's proposed Contention 3 addresses the !
l failure to demonstrate compliance with GDC .32 and true for both !
- requests. This issue concerns the form of degradation and the l
! nature of tube defects. See- NRC Staf f/GPU Meeting (Feb.19, 1985), r l Tr. 'a t 8-9, 3 9 ( Liaw) . '
l l l i
l
[
generators do not have a history of either tube f ailure by wear on the outer surf ace . . . TSCR 14 8 at 5; TSCR 153 at Section II; TDR-7 5 8 a t 2.
According to the Staff, any new plugging criteria at TMI-1 must be judged against both eddy current testing uncertainties, and knowledge of the f orm and rate of the new tube degradation. NRC Staff /GPU Meeting (Feb. 19, 1985), Tr. at 19, 23. Both criteria must be evaluated in light of the very same technical analyses, particularly on the issue of whether the analyses are reliable enough to support a plugging criteria change without verification through metallurgical examinations of newly pulled TMI-1 tubes.3/
Indeed, the key questions raised by the Staff in 1985 concerning TSCR 148, and in 1986 concerning TSCR 153, such as whether the new indications can be detected, whether degradation is proceeding, and whether grain drop out has stopped or is likely to continue, have not been answered by Licensee's technical analyses.
- 3. Since tubes were last pulled f rom TMI-1 in 1982, the steam generators have been subjected to thermal / hydraulic loading associated with hot functional testing and plant operation, and have been subjected to new flow patterns from the last round of extensive plugging, which may have resulted in tube wear. See TDR-690.
The Staf f is requiring destructive testing on actual steam generator tubes before evaluating TSCR 148. There are two purposes for this. One is "to get come confirmation on the eddy current technique versus actual metallurgical examination." NRC Staff /GPU Meeting (Jan. 2 9,1986), Tr. a t 27 (Crutchfield). The second is to verify that no additional degradation mechanisms are going on. NRC Staff /GPU Meeting (Jan. 29, 1986), Tr. at 23 (Cheng). Until such actual testing is done, the Staf f considers the license amendment deficient, "to be missing a piece, a substantial piece in the !
s ta f f 's eye s." NRC Staf f /GPU Meeting (Jan. 2 9,19 8 6 ), Tr. a t 3 3 )
(Crutchfield). l l
1 l
1
NRC Staf f/GPU Meeting (Jan. 2 9,198 6 ) , Tr. a t 14.
Both criteria revisions rely on unique eddy current testing methods for which there it little or no industry experience to verify their accuracy. TMI-1 steam generators must undergo a dual examination method. The differential technique is used first. If this technique fails to reveal a " relevant" indication, the tube is deemed " acceptable." If a " relevant" indication appears, a more sensitive 8x1 absolute probe is done to confirm the indication, and to determine crack length. TDR-652 at 7.
A defect's throughwall penetration is measured by an eddy current signal's phase angle, which is then compared to a conversion curve to determine the percent throughwall. TSCR 148 at
- 7. Ilowever, unlike other plants, THI-l's defects are on the inner tube diameter ("ID"). Traditional curves were designed for the 1
l more common outer diameter ("OD") defects, which GPU claims I
l "overcalls" small volume ID defects. Ibid. Therefore, GPU l
designed a new, less conservative curve by extrapolating f rom the OD curve and f actoring in " supplemental data." TDR-642.
The accuracy of Licensee's system has been " correlated" only by using old IGSAC samples. Ibid. Its accuracy has not been l confirmed by metallurgical examination on newly pulled TMI-l tubes, which contain unverified f orms of degradation admittedly dif ficult I
to detect with eddy current methods. See TDR-686; NRC Staff /GPU 1
Meeting (Jan. 2 9, 19 86 ) , Tr. a t 41.
Moreover, both requests introduce an entirely new consideration in plugging analysis. Under the current license, all cracks greater than 40% throughwall must be plugged irrespective of circumferential length. Under both proposed revisions, plugging
criteria would define degraded tubes in terms of circumferential length in addition to throughwall penetration. Therefore, there is heavy reliance on Licensee's ability to accurately measure crack length. See NRC Staf f /GPU Meeting (Feb.19, 1985), Tr. at 40 (Liaw).
Crack length measurements are not precise, but are determined by the number of coils measured. For purposes of TSCR 153, indications revealing more than three coils must be plugged.
NRC Staff /GPU Meeting (Jan. 29, 1986), Tr. at 12. Ilowever, coil measurements are not always accurate, and can underestimate crack l size. See TDR-686 at 13; TDR-652 at 11. Staf f members have expressed concern about eddy current's ability to detect circumferential length to the degree of accuracy required. See e.g. NRC Staf f /GPU Meeting (Feb. 19,19 8 5), Tr. a t 4 7 (Liaw).
In addition, evaluation of plugging criteria based on crack length under either criteria revision must resolve the yet unsolved structural problems of OD and ID surf ace flaws at the same elevation. See TDR-758 at 9.
IGA is particularly difficult to detect using eddy current methods. NRC Staff /GPU Meeting (Jan. 29, 1986), Tr. at 41.
According to TDR-690, the inability to call IGA defects impacts the statistics associated with eddy current accuracy. TDR-690 at 9.
Unless there is grain drop out, IGA is not be detectable.
Grain drop out, however, can also mask otherwise detectable cracks. Past TMI-1 inspections showed that in some cases there were cracks originating at the base of IGA or intergranular pits propogating further through the tube thickness than through the IGA, masking the crack. TSCR 148 at 11-12.
Currently, there is no way to tell without metallurgical examination, whether grain drop out will continue. NRC Staff /GPU Meeting (Jan. 29,1986), Tr. at 21 (Crutchfield). Nor is there any way to determine pit density, whether pits can be expected to stay separate, and whether load-carrying capability could be af fected.
NRC Staff /GPU Meeting (Feb. 19, 1985), Tr. at 31 (Johnston). These issues pertain to both proposals, and must be resolved before there can be assurance that either proposal can be implemented safely.
In sum, the questions which must be litigated and answered are fundamental to both TSCR 148 and TSCR 153. They extend far beyond i whether Reg. Guide 1.121 is satisfied. The questions really concern whether any plugging revision which would decrease the safety margin, is appropriate at this time, when the company has the least knowledge about the true condition of the steam generator since the 1981 corrosive attack. Clearly, these amendments should be considered together.
Respectfully submitted, TilREE MILE ISLAND ALERT By: -
Art / N oanne Doroshow l
Dated: March 10, 1986 p g-y \
ffA'q I l $
b l- UNITED STATES OF AMERICA -
o NUCLEAR REGULATORY COMMISSION h 1, O'* y I
%h $g In the Matter of ) g i
( METROPOLITAN EDISION COMPANY ) Docket No. 50-289 4M l t ) (Steam Generator !
l (Three Mile Island Nuclear ) Plugging Criteria)
[ Station, Unit 1) )
CERTIFICATE OF SERVICE I I hereby certify that one copy of TMIA'S SUPPLEMENT TO r PETI" ION FOR LEAVE TO INTERVENE, THREE MILE ISLAND ALERT'S FORMAL ,
DEMN) FOR ADJUDICATORY llEARING ON AMENDMENT TO TMI-l OPERATING LICENSE TO CHANGE TUBE PLUGGING CRITERIA, AND TMIA'S MOTION TO I BROADEN ~ HEARING SCOPE, was served this loth day of March,1986, by hand-delivery to all parties on the service , list below.
l N -
anne Doroshow ;
i Sheldon J. Wolfe, Chairman Administrative Judge i
( -U.S. Nuclear Regulatory Commission I Washington, D.C. 20555 j Frederick J. Shon Oscar H. Paris i i
Administrative Judge Administrative Judge !
U.S. Nuclear Regulatory Commission U.S. Nuclear Regulatory Commission !
Washington, D.C. 20555 Washington, D.C. 20555 i
t Docketing and Service Section Bruce W. Churhill, Esq. i U.S. Nuclear Regulatory Commission Shaw, Pittman, Potts &
l Washington, D.C. 20555 Trowbridge !
l 1800 M St. N.W. ;
} Washington, D.C. 20036 l t
l.
Mary Wagner i Office of the Executive Legal Director f U.S Nuclear Regulatory Commission
! Washington, D.C. 20555 [
- i. , .
Chairman Nunzio Palladino ;
U.S. Nuclear Regulatory Commission :
Washington, D.C. 20555 l
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Commission'Asselstine U.S. Nuclear Regulatory Commission Washington _, D.C. 20555 !
Commissioner Roberts '
U.S. Nuclear Regulatory Commission
- j. Washington, D.C. 20555 Commissioner Bernthal
.U.S. Nuclear Regulatory Commission l Washington,.D.C. 20555 '
Commissioner Zech U.S. Nuclear Regulatory Commission .
t Washington, D.C. 20555 i
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