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MONTHYEARML20134H7621996-11-0606 November 1996 Proposed Tech Specs 3.4.6.1 Re Reactor Coolant Leakage Detection Systems Project stage: Request ML20137W3311997-04-17017 April 1997 Summary of 970407 Meeting W/Util & Transco Products,Inc Re Versawrap,New Electrical Raceway Firewrap Sys.Attachment 1 Describes Components of Typical Veraswrap Barrier & Attachment 2 Re Transco Products,Inc Test Procedure Encl Project stage: Meeting ML20141B4751997-05-0909 May 1997 Forwards RAI Re Util 961106 Response to GL 92-08, Thermo- Lag 330-1 Fire Barriers. NRC Identified Number of Open Issues & Concerns Requiring Clarification.Response Requested within 60 Days of Ltr Date Project stage: RAI ML20140H9181997-05-0909 May 1997 Trip Rept of 970410-11 Visit to Ul to Observe full-scale Fire Endurance Test of 1 & 3 Hour Versawrap Fire Barrier Sys.List of Participants Encl Project stage: Other ML20141A9341997-05-12012 May 1997 Responds to Util Responding to NRC RAI Re GL 92-08, Thermo-Lag 330-1 Fire Barriers. Encl Contractor Rept Identified Number of Open Issues & Concerns Requiring Clarification Project stage: RAI ML20141A8601997-05-12012 May 1997 Forwards RAI Re GL 92-08, Thermo-Lag 330-1 Fire Barriers. NRC Staff Reviewed & Identified Number of Open Issues & Concerns Requiring Clarification Project stage: Approval ML20141B6211997-05-13013 May 1997 Forwards RAI Re GL 92-08, Thermo-Lag 330-1 Fire Barriers, for Plant,Units 1 & 2 Re Ampacity Derating Issues.Technical Rept Encl Project stage: RAI ML20140F6731997-06-10010 June 1997 Forwards Request for Addl Info Re 970331 Response to NRC GL 92-08 for Plant Thermo-Lag Related Ampacity Derating Issues.Snl Ltr Rept Also Encl Project stage: RAI RBG-43994, Ack Receipt of NRC RAI Ltr Re Thermo-Lag-Related Ampacity Derating at River Bend Station.Draft Calculations Provided to Support Plant Response & Resolution of Associated Questions1997-06-16016 June 1997 Ack Receipt of NRC RAI Ltr Re Thermo-Lag-Related Ampacity Derating at River Bend Station.Draft Calculations Provided to Support Plant Response & Resolution of Associated Questions Project stage: Draft Other ML20149E0881997-07-0909 July 1997 Forwards Request for Addl Info Re Thermo-Lag Related Ampacity Derating Issues for Byron & Braidwood Stations Re GL 92-08 Project stage: RAI ML20217J5661997-08-11011 August 1997 Informs of Completion of Licensing Action for GL 92-08, Thermo-Lag 330-1 Fire Barriers. Requests Notification in Writing If Schedule or Resolution Plans Described in Submittal Change Project stage: Other RBG-44186, Informs That Detailed Response to NRC RAI & Final Calculations Re Thermo-Lag Related Ampacity Derating,Will Be Submitted by 9709261997-08-28028 August 1997 Informs That Detailed Response to NRC RAI & Final Calculations Re Thermo-Lag Related Ampacity Derating,Will Be Submitted by 970926 Project stage: Response to RAI ML20211J4861997-10-0202 October 1997 Discusses Completion of Licensing Action for GL 92-08, Thermo-Lag 330-1 Fire Barriers, Dtd 921217,for Plant Project stage: Other ML20199H6641997-11-14014 November 1997 Forwards Request for Addl Info Re 970324 Response to NRC RAI Re GL 92-08, Thermo-Lag 330-1 Fire Barriers, for Peach Bottom & Limerick.Requests Response within Sixty Days to Support Review Schedule Project stage: RAI RBG-44325, Notifies That Actions Associated W/Resolution of Thermo-Lag Issues at Plant Completed,Per GL 92-08.First Phase Completed by Development of Revised Safe Shutdown Analysis1997-11-25025 November 1997 Notifies That Actions Associated W/Resolution of Thermo-Lag Issues at Plant Completed,Per GL 92-08.First Phase Completed by Development of Revised Safe Shutdown Analysis Project stage: Other ML20249B7801998-06-19019 June 1998 Forwards Request for Addl Info Related to Thermo-Lag Fire Barriers & GL 92-08 for Grand Gulf Nuclear Station,Unit 1 Project stage: RAI ML20199H5821999-01-20020 January 1999 Forwards SE Re Ampacity Derating Issues Due to Application of Thermo-Lag Fire Barrier Matl at Plant Project stage: Approval ML20202E4631999-01-25025 January 1999 Provides Confirmation That Corrective Actions Re Thermo-Lag 330-1 Issues,Per GL 92-08,have Been Completed.Ltr Also Confirms Completion of Actions Required by Confirmatory Order Modifying License for Plant,Issued by NRC on 980622 Project stage: Other ML20202B3671999-01-26026 January 1999 Forwards Safety Evaluation Addressing Thermo-Lag Related Ampacity Derating Issues & Technical Evaluation of Duane Arnold Energy Ctr Analysis of Ampacity Loads for Fire Barrier Clad Power Cables. Technical Evaluation Rept Encl Project stage: Approval 1997-06-10
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Category:CORRESPONDENCE-LETTERS
MONTHYEARDD-99-12, Informs That Time Provided by NRC Regulation within Which Commission May Act to Review DD-99-12 Has Expired.With Certificate of Svc.Served on 9910281999-10-28028 October 1999 Informs That Time Provided by NRC Regulation within Which Commission May Act to Review DD-99-12 Has Expired.With Certificate of Svc.Served on 991028 ML20217N8261999-10-25025 October 1999 Discusses Errata Re 991021 Filing of Northeast Nuclear Energy Co Answer to Request for Hearing & Petition to Intervene B17901, Submits Statement of Personal Qualification (NRC Form 398) Along with Supporting Certification of Medical Exam by Facility Licensee (NRC from 396) in Support of License Renewal for PM Miner.Encls Withheld,Per 10CFR2.790(a)(6)1999-10-18018 October 1999 Submits Statement of Personal Qualification (NRC Form 398) Along with Supporting Certification of Medical Exam by Facility Licensee (NRC from 396) in Support of License Renewal for PM Miner.Encls Withheld,Per 10CFR2.790(a)(6) B17886, Requests Permission to Utilize Code Case N-623, Deferral of Insps of Shell-to-Flange & Head-to-Flange of Reactor Vessel,Section Xi,Div 1, for Millstone Unit 21999-10-18018 October 1999 Requests Permission to Utilize Code Case N-623, Deferral of Insps of Shell-to-Flange & Head-to-Flange of Reactor Vessel,Section Xi,Div 1, for Millstone Unit 2 05000336/LER-1999-012, Forwards LER 99-012-00,re Unrecoverable CEA Misalignment Entry Into TS 3.0.3 on 990917.Commitments Made by Util Are Encl1999-10-15015 October 1999 Forwards LER 99-012-00,re Unrecoverable CEA Misalignment Entry Into TS 3.0.3 on 990917.Commitments Made by Util Are Encl B17900, Forwards Revised Assumptions Used in Fuel Handling Accident Analysis & Summary of Results.List of Regulatory Commitments Are Listed in Attachment 11999-10-14014 October 1999 Forwards Revised Assumptions Used in Fuel Handling Accident Analysis & Summary of Results.List of Regulatory Commitments Are Listed in Attachment 1 ML20217G9491999-10-14014 October 1999 Forwards Exemption from Requirements of 1-CFR50,App E, Section IV.F.2.c,re Conduct of full-participation Exercise in Sept 1999,at Plant,Units 1,2 & 3 ML20217D9671999-10-12012 October 1999 Forwards Copy of Transcript of Public Meeting Held by NRC Staff & NNECO on 990825 at Waterford,Connecticut on Decommissioning Program for Millstone,Unit 1.Without Encl ML20217D3011999-10-0707 October 1999 Forwards Request for Addl Info Re Util 990118 Request for Amend to License NPF-49 to Allow full-core Offloads to Spent Fuel Pool During Core Offloads to Spent Fuel Pool During Core Offload Events ML20217F0031999-10-0606 October 1999 Forwards Original Petition to Intervene Being Filed on Behalf of Clients,Connecticut Coalition Against Millstone & Long Island Coalition Against Millstone,Iaw Provisions of 10CFR2.714 ML20217P1201999-10-0606 October 1999 Informs NRC of Proposed Acquisition of Parent Holding Company of Central Maine & Requests NRC Concurrence,Based on Threshold Review,That Proposed Acquisition Does Not,In Fact, Constitute Transfer Subject to 10CFR50.80 B17892, Requests Withdrawal of License Amend Application Re 24-month SG Tube Insp Surveillance Extensions,Submitted in Util 950726 & s to NRC1999-10-0505 October 1999 Requests Withdrawal of License Amend Application Re 24-month SG Tube Insp Surveillance Extensions,Submitted in Util 950726 & s to NRC ML20217B4711999-10-0404 October 1999 Informs That Staff Did Not Identify Any Safety Concerns Re Licensee Proposals to Modify Commitments Made for Action Items 4.2.1,4.2.2,4.5.1 & 4.5.2 of GL 83-28 by Providing Addl Justifications or Safety Bases for Changes ML20212K1241999-10-0101 October 1999 Responds to Recent Ltrs to Chairman Jackson,Commissioners & Wd Travers,Expressing Concern Re Millstone Npps.Nrc Continues to Monitor Performace of Millstone to Ensure That Public Health & Safety,Adequately Protected ML20212J3051999-10-0101 October 1999 Discusses GL 97-06 Re Degradation of SG Internals,Dtd 971230.GL Requested Each PWR Licensee to Submit Info That Will Enable NRC Staff to Verify Whether PWR SG Internals Comply & Conform to Current Licensing Basis for Facilities ML20212L2081999-10-0101 October 1999 Responds to Recent Ltrs to President Wj Clinton,Chairman Jackson & Commissioners & Wd Travers,Expressing Concerns Re Millstone NPPs & Continued Lack of Mgt Plan for Eastern Long Island.Nrc Continues to Monitor Plant Performance ML20212J9991999-10-0101 October 1999 Responds to Recent Ltr to President Clinton,H Clinton, Chairman Jackson &/Or Wd Travers Expressing Concern Re Millstone Npps.Nrc Continues to Monitor Performance of Plant to Ensure That Public Health & Safety Adequately Protected ML20212L1971999-10-0101 October 1999 Responds to Recent Ltr to Chairman Jackson & Commissioners Expressing Concerns Re Millstone NPPs & Continued Lack of Emergency Mgt Plan for Eastern Long Island.Nrc Continues to Monitor Plant Performance to Ensure Public Health & Safety ML20212J2451999-10-0101 October 1999 Informs That Util 980807 & 990629 Responses to GL 98-01, Y2K Readiness of Computer Sys at NPPs Acceptable.Nrc Considers Subj GL to Be Closed for Units 2 &3 ML20212L1831999-10-0101 October 1999 Responds to Recent Ltr to Wd Travers Expressing Concerns Re Millstone NPPs & Continued Lack of Emergency Mgt Plan for Eastern Long Island.Nrc Continues to Monitor Performance of Millstone to Ensure Adequate Protection to Public Health ML20212L2171999-10-0101 October 1999 Responds to Recent Ltr to President Wj Clinton,Chairman Jackson & Commissioners,Wd Travers & Ferc,Expressing Concerns Re Millstone NPPs & Continued Lack of Emergency Mgt Plan for Eastern Long Island ML20217A9271999-09-30030 September 1999 Discusses Investigation Conducted at Millstone Nuclear Power Station by NRC OI Region I on 980319 to Determine If Contract Training Instructor Was Terminated for Raising Concerns About Quality of Training Matls ML20217B3221999-09-30030 September 1999 Refers to Investigation Rept 1-1997-035 Conducted at Millstone Nuclear Power Station by NRC Ofc of Investigation Field Ofc,Region I on 970915 to Determine Whether Former Health Physics Technician Discriminated Against ML20212J6621999-09-30030 September 1999 Informs of Completion of mid-cycle PPR of Units 2 & 3 on 990916.Identified Several Recent Instances in Which Condition Repts Were Not Initiated,Resulting in Untimely or Inadequate C/As.Historical Listing of Plant Issues Encl B17887, Requests Exemption from Requirements of 10CFR140.11(a)(4) Which Requires Licensees to Maintain Secondary Financial Protection Beyond Primary Layer1999-09-28028 September 1999 Requests Exemption from Requirements of 10CFR140.11(a)(4) Which Requires Licensees to Maintain Secondary Financial Protection Beyond Primary Layer ML20216J1341999-09-28028 September 1999 Ltr Contract:Task Order 49, Millstone Units 2 & 3 Employee Concerns Program Insp, Under Contract NRC-03-98-021 B17883, Forwards Mnps Unit 3 ISI Summary Rept,Cycle 6, IAW ASME Section XI,IWA-62301999-09-27027 September 1999 Forwards Mnps Unit 3 ISI Summary Rept,Cycle 6, IAW ASME Section XI,IWA-6230 B17890, Provides Response to GL 99-02, Laboratory Testing of Nuclear-Grade Activated Charcoal1999-09-27027 September 1999 Provides Response to GL 99-02, Laboratory Testing of Nuclear-Grade Activated Charcoal B17888, Informs That There No Longer Exists Need to Maintain Millstone Unit 2 SRO License for CA Hines,License SOP-10741-01,effective 9909151999-09-24024 September 1999 Informs That There No Longer Exists Need to Maintain Millstone Unit 2 SRO License for CA Hines,License SOP-10741-01,effective 990915 B17884, Forwards NRC Form 536, Operator Licensing Exam Data, for Mnps,Units 2 & 3,per Administrative Ltr 99-031999-09-24024 September 1999 Forwards NRC Form 536, Operator Licensing Exam Data, for Mnps,Units 2 & 3,per Administrative Ltr 99-03 ML20212F4961999-09-20020 September 1999 Forwards Insp Repts 50-245/99-08,50-336/99-08 & 50-423/99-08 on 990615-0809.Four Violations of NRC Requirements Occurred & Being Treated as Ncvs,Consistent with App C of Enforcement Policy 05000336/LER-1999-001, Forwards LER 99-001-00 Re Thermal Reactor Power Limit That Was Exceeded.Commitments Made by Util Encl1999-09-20020 September 1999 Forwards LER 99-001-00 Re Thermal Reactor Power Limit That Was Exceeded.Commitments Made by Util Encl B17867, Requests Relief from Requirements of 10CFR50.55a(g),IAW ASME Section XI for Millstone,Unit 3.Util Requests Relief from Performing Visual Exam of Reactor Pressure Supports to Extent Required by Code for Class 1 Supports1999-09-17017 September 1999 Requests Relief from Requirements of 10CFR50.55a(g),IAW ASME Section XI for Millstone,Unit 3.Util Requests Relief from Performing Visual Exam of Reactor Pressure Supports to Extent Required by Code for Class 1 Supports B17865, Provides NRC Staff with Updated Proposed Rev of FSAR Section 14.6.3, Radiological Consequences of SG Tube Failure. Updated Proposed Rev Will Replace Info Provided in Attachment 3 of Initial Submittal1999-09-16016 September 1999 Provides NRC Staff with Updated Proposed Rev of FSAR Section 14.6.3, Radiological Consequences of SG Tube Failure. Updated Proposed Rev Will Replace Info Provided in Attachment 3 of Initial Submittal B17876, Informs That Util Will Adopt Last Approved Northeast Util QA Program (Nuqap) Tr,Rev 21,dtd 990630,as Unit 1 Nuqap,Per Decision to Permanently Cease Operations at Subject Plant1999-09-16016 September 1999 Informs That Util Will Adopt Last Approved Northeast Util QA Program (Nuqap) Tr,Rev 21,dtd 990630,as Unit 1 Nuqap,Per Decision to Permanently Cease Operations at Subject Plant B17882, Forwards NRC Forms 398 & 369 in Support of License Renewal for Bb Parrish,License SOP-10399-2.Encl Withheld Per 10CFR2.790(a)(6)1999-09-15015 September 1999 Forwards NRC Forms 398 & 369 in Support of License Renewal for Bb Parrish,License SOP-10399-2.Encl Withheld Per 10CFR2.790(a)(6) B17881, Forwards NRC Form 398 & NRC Form 396 for Le Olsen,License SOP-10398-2.Encl Withheld Per 10CFR2.790(a)(6)1999-09-15015 September 1999 Forwards NRC Form 398 & NRC Form 396 for Le Olsen,License SOP-10398-2.Encl Withheld Per 10CFR2.790(a)(6) B17859, Forwards up-to-date Distribution Lists for NRC Correspondence to NNECO & NUSCO.Side-bars Indicate Changes from Previous Lists Provided to NRC on 9801281999-09-15015 September 1999 Forwards up-to-date Distribution Lists for NRC Correspondence to NNECO & NUSCO.Side-bars Indicate Changes from Previous Lists Provided to NRC on 980128 B17880, Forwards NRC Form 398 & NRC Form 396 for Rf Martin,License SOP-10397-0.Encls Withheld Per 10CFR2.790(a)(6)1999-09-15015 September 1999 Forwards NRC Form 398 & NRC Form 396 for Rf Martin,License SOP-10397-0.Encls Withheld Per 10CFR2.790(a)(6) B17872, Informs of Election to Consolidate Previous Commitments Re Work Observation Program with Two New Programmatic Commitments Listed in Attachment 11999-09-14014 September 1999 Informs of Election to Consolidate Previous Commitments Re Work Observation Program with Two New Programmatic Commitments Listed in Attachment 1 ML20212A9011999-09-10010 September 1999 Forwards Environ Assessment & Finding of No Significant Impact Re Application for Exemption,Dtd 990803.Proposed Exemption Would Provide Relief from Requirement of 10CFR50 ML20212A3171999-09-10010 September 1999 Discusses Investigation Rept 1-1998-045 Conducted on 981112 to Determine If Former Senior Health Physics Technician Being Denied Employment at Millstone in Retaliation for Having Raised Safety Concerns in Past.Synopsis Encl B17838, Forwards Revs 34 & 35 to Physical Security Plan.Explanation of Changes Provided as Attachment 1.Without Encls1999-09-10010 September 1999 Forwards Revs 34 & 35 to Physical Security Plan.Explanation of Changes Provided as Attachment 1.Without Encls ML20212A7501999-09-10010 September 1999 Forwards Staff Requirements Memo Response,Dtd 990525,which Provides Actions NRC Plans for Continued Oversight of safety-conscious Work Environ & Employee Concerns Program ML20211J9291999-09-0303 September 1999 Forwards mark-ups & Retypes of Proposed Conforming License Changes Required in Connection with Transfers Being Sought in 990615 Application of Montaup Electric Co & New England Power Co for Transfer of Licenses & Ownership Interests ML20211K5171999-09-0202 September 1999 Expresses Appreciation for Support Provided for NRC Public Meeting on 990825 05000336/LER-1999-010, Forwards LER 99-010-00,documenting 990804 Event of Failure to Perform ASME Section XI IST on Pressurizer Relief Line Flow Control Sample Valve Following Maint Activities.List of Util Commitments Contained in Attachment 11999-09-0202 September 1999 Forwards LER 99-010-00,documenting 990804 Event of Failure to Perform ASME Section XI IST on Pressurizer Relief Line Flow Control Sample Valve Following Maint Activities.List of Util Commitments Contained in Attachment 1 ML20216H0591999-09-0202 September 1999 Responds to Re Issues Submitted by Cullen on Behalf of Several Petitioners Concerning Offsite Emergency Prepardeness for Millstone Nuclear Power Station ML20211N9241999-09-0101 September 1999 Forwards Document Classification Form for Insertion Into Emergency Planning Services Department Procedures ML20211H0741999-08-30030 August 1999 Discusses GL 92-01,Rev 1, Rv Structural Integrity, Issued by NRC on 950519 & NNECO Responses for Millstone Unit 2 & 980715.Informs That Staff Revised Info in Rvid & Released Info as Rvid Version 2 Based on Response Review 1999-09-30
[Table view] Category:OUTGOING CORRESPONDENCE
MONTHYEARDD-99-12, Informs That Time Provided by NRC Regulation within Which Commission May Act to Review DD-99-12 Has Expired.With Certificate of Svc.Served on 9910281999-10-28028 October 1999 Informs That Time Provided by NRC Regulation within Which Commission May Act to Review DD-99-12 Has Expired.With Certificate of Svc.Served on 991028 ML20217G9491999-10-14014 October 1999 Forwards Exemption from Requirements of 1-CFR50,App E, Section IV.F.2.c,re Conduct of full-participation Exercise in Sept 1999,at Plant,Units 1,2 & 3 ML20217D9671999-10-12012 October 1999 Forwards Copy of Transcript of Public Meeting Held by NRC Staff & NNECO on 990825 at Waterford,Connecticut on Decommissioning Program for Millstone,Unit 1.Without Encl ML20217D3011999-10-0707 October 1999 Forwards Request for Addl Info Re Util 990118 Request for Amend to License NPF-49 to Allow full-core Offloads to Spent Fuel Pool During Core Offloads to Spent Fuel Pool During Core Offload Events ML20217B4711999-10-0404 October 1999 Informs That Staff Did Not Identify Any Safety Concerns Re Licensee Proposals to Modify Commitments Made for Action Items 4.2.1,4.2.2,4.5.1 & 4.5.2 of GL 83-28 by Providing Addl Justifications or Safety Bases for Changes ML20212J3051999-10-0101 October 1999 Discusses GL 97-06 Re Degradation of SG Internals,Dtd 971230.GL Requested Each PWR Licensee to Submit Info That Will Enable NRC Staff to Verify Whether PWR SG Internals Comply & Conform to Current Licensing Basis for Facilities ML20212L1831999-10-0101 October 1999 Responds to Recent Ltr to Wd Travers Expressing Concerns Re Millstone NPPs & Continued Lack of Emergency Mgt Plan for Eastern Long Island.Nrc Continues to Monitor Performance of Millstone to Ensure Adequate Protection to Public Health ML20212J9991999-10-0101 October 1999 Responds to Recent Ltr to President Clinton,H Clinton, Chairman Jackson &/Or Wd Travers Expressing Concern Re Millstone Npps.Nrc Continues to Monitor Performance of Plant to Ensure That Public Health & Safety Adequately Protected ML20212J2451999-10-0101 October 1999 Informs That Util 980807 & 990629 Responses to GL 98-01, Y2K Readiness of Computer Sys at NPPs Acceptable.Nrc Considers Subj GL to Be Closed for Units 2 &3 ML20212K1241999-10-0101 October 1999 Responds to Recent Ltrs to Chairman Jackson,Commissioners & Wd Travers,Expressing Concern Re Millstone Npps.Nrc Continues to Monitor Performace of Millstone to Ensure That Public Health & Safety,Adequately Protected ML20212L1971999-10-0101 October 1999 Responds to Recent Ltr to Chairman Jackson & Commissioners Expressing Concerns Re Millstone NPPs & Continued Lack of Emergency Mgt Plan for Eastern Long Island.Nrc Continues to Monitor Plant Performance to Ensure Public Health & Safety ML20212L2171999-10-0101 October 1999 Responds to Recent Ltr to President Wj Clinton,Chairman Jackson & Commissioners,Wd Travers & Ferc,Expressing Concerns Re Millstone NPPs & Continued Lack of Emergency Mgt Plan for Eastern Long Island ML20212L2081999-10-0101 October 1999 Responds to Recent Ltrs to President Wj Clinton,Chairman Jackson & Commissioners & Wd Travers,Expressing Concerns Re Millstone NPPs & Continued Lack of Mgt Plan for Eastern Long Island.Nrc Continues to Monitor Plant Performance ML20212J6621999-09-30030 September 1999 Informs of Completion of mid-cycle PPR of Units 2 & 3 on 990916.Identified Several Recent Instances in Which Condition Repts Were Not Initiated,Resulting in Untimely or Inadequate C/As.Historical Listing of Plant Issues Encl ML20217A9271999-09-30030 September 1999 Discusses Investigation Conducted at Millstone Nuclear Power Station by NRC OI Region I on 980319 to Determine If Contract Training Instructor Was Terminated for Raising Concerns About Quality of Training Matls ML20217B3221999-09-30030 September 1999 Refers to Investigation Rept 1-1997-035 Conducted at Millstone Nuclear Power Station by NRC Ofc of Investigation Field Ofc,Region I on 970915 to Determine Whether Former Health Physics Technician Discriminated Against ML20216J1341999-09-28028 September 1999 Ltr Contract:Task Order 49, Millstone Units 2 & 3 Employee Concerns Program Insp, Under Contract NRC-03-98-021 ML20212F4961999-09-20020 September 1999 Forwards Insp Repts 50-245/99-08,50-336/99-08 & 50-423/99-08 on 990615-0809.Four Violations of NRC Requirements Occurred & Being Treated as Ncvs,Consistent with App C of Enforcement Policy ML20212A9011999-09-10010 September 1999 Forwards Environ Assessment & Finding of No Significant Impact Re Application for Exemption,Dtd 990803.Proposed Exemption Would Provide Relief from Requirement of 10CFR50 ML20212A7501999-09-10010 September 1999 Forwards Staff Requirements Memo Response,Dtd 990525,which Provides Actions NRC Plans for Continued Oversight of safety-conscious Work Environ & Employee Concerns Program ML20212A3171999-09-10010 September 1999 Discusses Investigation Rept 1-1998-045 Conducted on 981112 to Determine If Former Senior Health Physics Technician Being Denied Employment at Millstone in Retaliation for Having Raised Safety Concerns in Past.Synopsis Encl ML20211K5171999-09-0202 September 1999 Expresses Appreciation for Support Provided for NRC Public Meeting on 990825 ML20211H0741999-08-30030 August 1999 Discusses GL 92-01,Rev 1, Rv Structural Integrity, Issued by NRC on 950519 & NNECO Responses for Millstone Unit 2 & 980715.Informs That Staff Revised Info in Rvid & Released Info as Rvid Version 2 Based on Response Review ML20211H9971999-08-27027 August 1999 Forwards Insp Rept 50-423/99-07 on 990614-0715.Violations of NRC Requirements Occurred Re Adequacy of C/As for Organizational Changes & Being Treated as NCVs DD-99-09, Informs That Time Provided by NRC Regulation within Which Commission May Act to Review Director'S Decision (DD-99-09) Expired.Commission Declined Any Review & Decision Became Final on 990823.With Certificate of Svc.Served on 9908261999-08-26026 August 1999 Informs That Time Provided by NRC Regulation within Which Commission May Act to Review Director'S Decision (DD-99-09) Expired.Commission Declined Any Review & Decision Became Final on 990823.With Certificate of Svc.Served on 990826 ML20211F5841999-08-23023 August 1999 Discusses Proposed Rev 21 to Northeast Utils Quality Assurance Program TR for NRC Review & Approval,Iaw 10CFR50.54 ML20211D5701999-08-20020 August 1999 Informs That in May 1999,Northeast Nuclear Energy Co, Restarted Millstone Nuclear Power Station,Unit 2.Licensee Has Been Tasked Charter with Listed Specific Responsibilities ML20211C4621999-08-18018 August 1999 Discusses Rev to TS Bases Sections 3/4.5.2 & 3/4.5.3, Emergency Core Cooling Sys Subsystems ML20210S9611999-08-13013 August 1999 Informs That NRC Received Encl Ltr from Pb Johnston Expressing Concern About Certain Impacts on Shareholders of New England Electric Sys with Respect to Nees Proposed Merger with Natl Grid Group ML20210S9511999-08-13013 August 1999 Responds to to Collins Expressing Concerns with Certain Terms of Proposed Merger Between New England Electric Sys & National Grid Group.Nrc Has No Authority to Interject Itself in Nees Merger with National Grid Group ML20210N4921999-08-0909 August 1999 Ack Receipt of 990331 Electronic Transfer of $88,000 for Civil Penalty,Proposed on 990309.Corrective Actions Will Be Examined During Future Insp ML20210C0751999-07-21021 July 1999 Forwards 990721 Notice of Public Meeting Re post-shutdown Decommissioning Activities Rept ML20210A9681999-07-14014 July 1999 Responds to Re Changes to Millstone Physical Security Plan Identified as Rev 32,submitted Per Provisions of 10CFR50.54(p).No NRC Approval Is Required,Based on Util Determination That Revs Do Not Decrease Plan Effectiveness ML20209E7341999-07-12012 July 1999 Discusses Util Responses to GL 92-01,rev 1,suppl 1, Reactor Vessel Structural Integrity. Responses Acceptable.Info Revised in Reactor Vessel Integrity Database (Rvid) & Is Releasing as Rvid Version 2 ML20209G2921999-07-0909 July 1999 Forwards Insp Repts 50-336/99-06 & 50-423/99-06 on 990420-0614.Ten Violations of NRC Requirements Occurred & Being Treated as non-cited Violations,Consistent with App C of Enforcement Policy DD-96-23, Informs That on 961226,NRC Issued Partial Director'S Decision DD-96-23,in Response to Petition Submitted,Per 10CFR2.206,on 9508211999-07-0101 July 1999 Informs That on 961226,NRC Issued Partial Director'S Decision DD-96-23,in Response to Petition Submitted,Per 10CFR2.206,on 950821 ML20196J2111999-06-30030 June 1999 Forwards SE Concluding Licensee USI A-46 Implementation Program Meets Purpose & Intent of Criteria in Generic Implementation Procedure for Seismic Verification of NPP Equipment, Rev 2 ML20196J5031999-06-30030 June 1999 Responds to 990414 Petition,Submitted Per 10CFR2.206 to Nrc. NRC Solicited Support from FEMA to Ensure That Appropriate Response to Enhancements Identified to Offsite EP in Event of Radiological Emergency at Millstone,Developed ML20196J1131999-06-29029 June 1999 Forwards Notice of Receipt & Availability for Comment of Post-Shutdown Decommissioning Activities Rept, Re .Notice Provided for Public Comments to Be Submitted within 30 Days of Notice Date ML20196G9531999-06-24024 June 1999 Discusses Changes Provided by NNECO on 990504 to TS Bases Sections 3/4.7.7 & 3/4.7.8.Returns TS Bases to NNECO to Be Inserted in TS to Ensure That NRC Staff & NNECO Have Identical TS Bases Pages ML20212H9661999-06-21021 June 1999 Confirms 990611 & 14 Telcons with M Selden,In Which Beckman & Assocs,Inc Was Advised to Stop Work Under Mod 4 to Task Order 005,under Contract NRC-03-98-021 ML20212H6661999-06-15015 June 1999 Forwards RAI Re 990315 Application Request for Approval of Proposed Indirect Transfer of Seabrook Station,Unit 1 License & Proposed Indirect Transfer of Millstone,Unit 3 License to Extent Held by Nepco ML20212J0751999-06-15015 June 1999 Forwards Notice of Withdrawal of Amend Request for Allowed Outage Time Extensions for Emergency Diesel Generators & Low Pressure Safety Injection Trains of Emergency Core Cooling Sys ML20195J3121999-06-15015 June 1999 Expresses Concern Re M Casey 990523 Column, Gaffes Turn Into Cash at NRC, & Disagrees with New London Day Earlier Editorial Criticism of NRC Investigations of Harassment & Intimidation of Employees at Millstone NPPs ML20195K0601999-06-15015 June 1999 Forwards Request for Addl Info Re fire-related IPEEE Analysis,Per GL 88-20 ML20195J4761999-06-10010 June 1999 Forwards Insp Rept 50-336/98-219 on 981214-18,990126-29 0208-19 & 0301-05.Four Violations Identified & Being Treated as Noncited Violations ML20195J0321999-06-10010 June 1999 Expresses Appreciation for Serving as Moderator for 990209 Public Meeting at Waterword,Ct.Questions Raised by Interested Members of Public & NRC Responses Encl.Staff Reply to Blanch Also Encl ML20196J5091999-06-0404 June 1999 Requests Assistance to Review Petition Submitted Under 10CFR2.206 of NRC Rules.Petition Concerns EP Issues for Millstone Nuclear Power Station ML20207G1121999-06-0303 June 1999 Forwards Insp Repts 50-245/99-05,50-336/99-05 & 50-423/99-05 on 990302-0419.No Violations Noted.Closure of 15 Significant Items List (SIL) Issues at Unit 2 Signifies Completion of Insp for Entire Unit 2 SIL ML20207G6271999-06-0303 June 1999 Forwards Amends 105,235 & 171 to Licenses DPR-21,DPR-65 & NPF-49,respectively & Safety Evaluation.Amends Replace Specific Titles in Section 6.0 of TSs for All Three Millstone Units with Generic Titles 1999-09-30
[Table view] |
Text
.
Mr. Nail S. Carns May 13, 1997 Senior Vice Pr:sid:nt and Chief Nuclear OfficGr
, Northeast Nuclear Energy Company c/o Mr. Richard T. Laudenat Director - Regulatory Affairs P. O. Box 128 Waterford, CT 06385
SUBJECT:
MILLSTONE NUCLEAR POWER STATION, UNIT NOS. 1 AND 2 - REQUEST FOR ADDITIONAL INFORMATION REGARDING THERMO-LAG RELATED AMPACITY DERATING ISSUES (TAC N0. M82809)
Dear Mr. Carns:
By letters dated December 27, 1996, and December 13, 1996, Northeast Nuclear Energy Company (NNECO) submitted responses to the NRC staff's Request for Additional Information (RAI) dated August 12, 1996, related to Generic Letter (GL) 92-08, "Thermo-Lag 330-1 Fire Barriers," for Millstone Nuclear Power Station, Units 1 and 2, respectively. The staff, in conjunction with its contractor, Sandia National Laboratories, has completed the second review of NNEC0's submittals, and has identified a number of open issues and concerns requiring clarification.
Please respond to the enclosed RAI within 60 days of the date of this letter so that the outstanding issues can be resolved for the application of Thermo-Lag 330-1 Fire Barriers at Millstone Power Station. Your response is needed for resolving our concerns on the ampacity derating factor determinations for Millstone Nuclear Power Station, Units 1 and 2.
Sincerely, Original signed by D. Mcdonald for:
Phillip F. McKee Deputy Director for Licensing ,
Special Projects Office l Office of Nuclear Reactor Regulation l Docket Nos. 50-245 and 50-336
Enclosure:
As stated i cc w/encls: See next page DISTRIBUTION:
7 Docket File?
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DATE 05/ 6 /97 05/lh/97 ~\ 05/ L197 ~W05/ 9/97 F 05/ /97 j 9705150358 970513 '~CICIAL RECORD COPY l PDR ADOCK 05000245 i P PDR a
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'a UNITED STATES l-l g
o i NUCLEAR REGUL.ATORY COMMISSION WASHINGTON, D.C. 200064rm i +o , [$' May 13, 1997
.Mr. Neil S. Carns Senior Vice President and Chief Nuclear Officer Northeast Nuclear Energy Company i c/o Mr. Richard T. Laudenat Director - Regulatory Affairs P. O. Box 128 l Waterford, CT 06385 l
SUBJECT:
MILLSTONE NUCLEAR POWER STATION, UNIT NOS. 1 AND 2 - REQUEST FOR ,
3 ADDITIONAL INFORMATION REGARDING THERMO-LAG RELATED AMPACITY DERATING ISSUES (TAC NO. M82809)
Dear Mr. Carns:
By letters dated December 27, 1996, and December 13, 1996, Northeast Nuclear Energy Company (NNECO) submitted responses to the NRC staff's Request for Additional Information (RAI) dated August 12, 1996, related to Generic Letter ,
(GL) 92-08, "Thermo-Lag 330-1 Fire Barriers," for Millstone Nuclear Power Station, Units 1 and 2, respectively. The staff, in conjunction with its contractor, Sandia National Laboratories, has completed the second review of i NNECO's submittals, and has identified a number of open issues and concerns <
requiring clarification. l i
Please respond to the enclosed RAI within 60 days of the date of this letter so that the outstanding issues can be resolved for the application of Thermo-Lag 330-1 Fire Barriers at Millstone Power Station. Your response is needed for resolving our concerns on the ampacity derating factor determinations for Millstone-Nuclear Power Station, Units 1 and 2.
Sincerely.
. ( Phillip F. McKee Deputy Director for Licensing
/
Special Projects Office Office of Nuclear Reactor Regulation ,
Docket Nos. 50-245 and 50-336
Enclosure:
As stated cc w/encis: See next page >
2 i
4
Northeast Nuclear Energy' Company ' Millstone Nuclear Power Station i Units I and 2 CC' Lillian'M. Cuoco..Esq. Mr. D. M. Goebel
' Senior Nuclear Counsel Vice President.- Nuclear Oversight Northeast Utilities Service Company Northeast Nuclear Energy Company P.O. Box 270 P.O. Box 128 Hartford, CT 06141-0270 Waterford, CT 06385 Kevin.T. A. McCarthy, Director Mr. F. C..Rothen Monitoring and Radiation Division Vice President - Nuclear Work Services-Departsent of Environmental Protection Northeast Nuclear Energy Company 79 Elm Street P.O. Box 128 Hartford, CT 06106-5127 Waterford, CT 06385 Allan Johanson,~ Assistant Director Mr. J. K. Thayer
.0ffice of Policy and Management Recovery Officer - Nuclear Engineering Policy Development and Planning Division and Support 450 Capitol' Avenue - MS~52ERN Northeast Nuclear Energy Company P.O. Box 341441 P. O. Box 128 Hartford, CT 06134-1441 Waterford, CT 06385 Regional Administrator, Region I Mr. M. L. Bowling, Jr.
U.S. Nuclear Regulatory Commission Millstone Unit No. 2 Nuclear 475 Allendale Road Recovery Officer King of Prussia, PA 19406 Northeast Nuclear Energy Company P. O. Box 128 First Selectmen Waterforld, CT 06385 Town of Waterford Hall of Records Mr. J. McElwain 200 Boston Post Road Millstone Unit No. I Nuclear Waterford, CT 06385 Recovery Officer Northeast Nuclear Energy Company Charles Brinkman, Manager P. O. Box 128 Washington Nuclear Operations Waterford, CT 06385
! ABB Combustion Engineering
- i. Nuclear Power Senior Resident Inspector 12300 Twinbrook Pkwy, Suite 330 Millstone Nuclear Power Station Rockville, MD 20852 c/o U.S. Nuclear Regulatory Commission P.O. Box 513 Mr. . John Buckingham Niantic, CT 06357 L Department of Public Utility Control Electric Unit Ernest C. Hadley, Esquire 10 Liberty Square 1040 B Main Street New Britain, CT 06051 '
P.O. Box 549 West Wareham, MA_02576 9
i
i t
Northeast Nuclear Energy Company Millstone Nuclear Power Station Units 1 and 2 CC:
i Mr. B. D. Kenyon :'
President and Chief Executive Officer Northeast Nuclear Energy Company P. O. Box 128 Waterford, Connecticut 06385 Citizens Regulatory Commission ATTN: Ms. Susan Ferry Luxton 180' Great Neck Road Waterford, Connecticut 06385 .
Deborah Katz, President
- Citizens Awareness Network P. O. Box 83 Shelburne Falls, MA 03170 ,
The Honorable Terry Concannon Co-Chair Nuclear. Energy Advisory Council Room 4035 Legislative Office Building Capitol Avenue Hartford, Connecticut 06106 Mr. Evan W. Woollacott Co-Chair .
Nuclear Energy Advisory Council 128 Terry's Plain Road Simsbury, Connecticut 06070 Little Harbor Consultants, Inc.
Millstone - ITPOP Project Office
, P. O. Box 0630 Niantic, Connecticut 06357-0630 f
i r
9 9
l I
.. 1 REQUEST FOR ADDITIONAL INFORMATION i
NILLSTONE NUCLEAR POWER STATION. UNITS I Ale 2 FIRE BARRIER AMPACITY DERATING ISSUES l (TAC N0. N828091 1.0 STAFF REQUEST FOR AD0!TIONAL INFORMATION (RAI) l.1 Resoonse to Staff RAI dated Auaust 12. 1996 j
The licensee was requested by the subject Nuclear Regulatory Commission (NRC) RAI to verify that those Millstone Nuclear Power Station (MNPS) !
fire barriers which utilized ampacity correction factor (ACF)/ampacity i derating factor (ADF) values based on the Texas Utilities Electric (TVE) i i ampacity. test results are representative of the Comanche Peak Steam )
Electric Station (CPSES), Unit 2 tested fire barrier configurations. In the licensee's submittals dated December 27, 1996, and December 13, 1996, for MNPS Units 1 and 2, respectively, the licensee responded that the new set of calculations provided the specific ACF/ADF values. This !
response is considered nonresponsive to the staff concern. l In order to take credit for any test results, the tested configuration must be representative of the installed plant configurations. The question being asked is whether or not it is appropriate to extrapolate the TUE ampacity test results to MNPS fire barriers. The licensee is requested to confirm that all fire barrier construction for the applicable configurations are representative of the barrier construction
. used in CPSES,' Unit 2, ampacity derating tests. If there are deviations or differences between MNPS-installed Thermo-Lag configurations and 1 tested configurations, the licensee should provide an assessment of the impact of the test results that are being credited by the licensee.
Further, the subject response should focus on a description of the physical characteristics that will influence the heat transfer behavior for the installed fire barriers. -
1.2 Response to September 5.1996. Staff Conference Call Guestions with Licensee 1.2.1 In the licensee's submittals dated December 27, 1996, and December 13, 1996, for MNPS Units 1 and 2, respectively, with regard to the item
- _ pertaining to the consideration of the total number of conductors in ,
i' derating cables in conduits, the licensee responded that for conduit installations,'ampacity was derated based on the number of conductors in the_ conduit and the grouping factor for the conduits.
Sandia National Laboratories (SNL) finds that the licensee seems to be applying the older National Electric Code (NEC) conductor count derating factors that explicitly assume a 50-percent load Ihclosure
___-_..a_...
~
4 l l diversity without justification given the existing diversity. The -
, licensee is requested to provide technical justification for the apparent use of older NEC conductor-count derating factors and to j address the SNL finding. See Sections 2.1.4.3 and 2.2.4.3.of the
!' SNL letter report [ attached).
l 1.2.2 In the licensee's~ submittal dated December 27, 1996, for MNPS, Unit 1, i with regard to the item pertaining to derating cables /ampacity of cables ,
in overfilled conduits, the licensee responded that the ampacity of '
i conductors in the conduit is based on the number of conductors in the conduit and that industry standards do not require any derating based on -
percent fill. l l
The NEC standard ampacity ratings are based on the assumption that )
conduits will not be loaded in excess of the limits established elsewhere in the standard. SNL finds that for the licensee to invoke the standard, without including a consideration of all standard provisions, is inappropriate without additional qualification. SNL notes that the NEC does identify methods of calculation for non-standard configuretion under " engineering supervision" (i.e., reference to the Neher /McGrath (1957) approach
- to analysis). The licensee is requested to verify its standard table based results for the overfilled conduits using the Neher /McGrath approach to analysis. )
- 2.0 CALCULATIONS FOR MNPS UNIT 1 SNL finds that the three conduit applications of Thermo-Lag fire )
. material that the applicable calculations, which were included in the licensee's submittal dated December 27, 1996, were deficient for various reasons. The licensee is requested to address the following concerns raised by SNL. (See Section 4.7 of the SNL letter report [ attached] for l; details.)
2.1 MNPS-1 Installation 1 Installation 1 involves a pair of cables each wrapped individually in a conduit-style barrier. SNL finds that the licensee's analysis of the installations is inadequate because the licensee has applied conduit ACF values to what is effectively an air drop application. The licensee is requested to adjust its analysis to either-(1) estimate the base line ampacity assuming that the cable is installed in conduit and then apply e the conduit ADF value, or (2) use the open air ampacity limit for the ,
base line assessment but use a more severe ADF value to reflect the !
harsher penalty associated with air drop fire barrier systems.
2.2: MNPS-1 Installation 2 For_ Installation 2, SNL finds the licensee's treatment to be inadequate ,
because in addition to the Thermo-Lag, the installation includes '
_ _ u. u .2 - _. ______ - - .-. . . - - . _ _ ._ _ _ _ . -.
f i ) enclosing of the two conduits in. question within an outer box made up of f .
several layers of gypsum wall board, and yet the licensee has applied only the standard derating factor associated with a standard single -
layer conduit installation. This ADF value is considered nonconservative for this application. The licensee is requested to provide a more complete alternate analysis for this case that more accurately reflects the actual installations and conditions.
T 2.3 MNPS-1 Installation 3 For Installation 3, SNL finds the licensee's analysis to be deficient for the following reasons:
N (a) The installation includes various special configurations that will likely result in a more severe ampacity derating impact than would be applicable for the single conduit configuration assumed by the
- licensee.
(b) The licensee's assessment of baseline ampacity limits has neglected the effects of conduit grouping on ampacity limits. !
3.0 CALCULATIONS FOR MNPS UNIT 2 SNL finds that the MNPS Unit 2 calculations, which were included in the j_ licensee's submittal dated December 13, 1996, were deficient for various -
reasons. The licensee is requested to address the following concerns raised by SNL. (See Sections 3.1 through 3.4 of the SNL letter report
, [ attached) for details.)
3.1 Cable Tray Analyses
- 3.1.1 Determination of Baseline Cable Tray Ampacity Limits SNL finds that while the demonstration of a thermal model consistent
- with the Stolpe analyses is an appropriate aspect of the cable tray ACF calculation, in the context of determining baseline ampacity limits it is unnecessary.for the licensee to implement its own version of Stolpe's 1 thermal model in an attempt to reproduce its results for each and every case examined. The licensee is requested to consider abandoning its own model implementation for the purposes of baseline ampacity calculations, and to instead rely on the heat intensity limits as published by Stolpe directly. This would remove one source of several errors in the licensee's submittal, will simplify the submittal, and will increase the overall reliability and scrutability of the licensee's results. While this will result in a very modest increase in the estimated ampacity limits for most of the cable trays considered, it is expected that this simplification of the licensee's analysis will serve the long-term ,
interests of both the licensee and the staff. ,
t
-- . -- - . . _ - - . . ~ , - - - . . . -. -.-.-. .
~.
J. l SNL has identified numerous errors in the licensee's implementation of !
baseline ampacity calculations for individual applications. The '
i licensee is requested to address these discrepancies in the cable tray baseline ampacity calculations. However,'as noted in 4.1.1.a of the referenced SNL letter report, many of the licensee's individual case 4 heat intensity calculations are, in fact, unnecessary and could be ,
eliminated. SNL also recommends that the licensee could more reliably-
- depend on the Stolpe-published values of heat intensity, and hence could significantly simplify. this aspect of the analysis. If the above-recommendations were acted upon by the licensee, then certain errors j identified by SNL would be rendered moot.
. 3.1.2 Estimation of Fire Barrier ADF Assessments With respect to the estimation of fire barrier ADF assessments, SNL finds that the licensee's analysis of cable tray ACF/ADF values as currently presented is fundamentally flawed. The licensee's treatment I c has not only compromised the critical need for consistency between the.
baseline and clad analysis cases, but has also violated the fundamental laws of thermodynamics. The licensee is requested either (1) correct the identified concerns regarding the analyses, or (2) provide an ,
alternate basis for the assessment of cable tray fire barrier ACF values. Specific problems with the licensee's model include: i (a) SNL finds that the licensee has failed to demonstrate that the cited 3M ACF value of 0.59.for a tightly covered cable tray is applicable to this analysis. While this approach may be >
justified, the licensee is requested to include the cited 3M
. letter and any supporting analyses or experimental results as a ,
part of the submittal and to explicitly justify the applicability i of the 3M results to the licensee's analyses of its barrier '
systems.
(b) SNL finds that the licensee has compromised the consistency between the baseline and clad case analyses by (1) crediting heat transfer from the sides of the tray only in the last steps of the clad case analysis while not crediting the sides in either the baseline analysis nor the analysis of the 3M-covered tray case, i
- i. and (2) applying an entirely different set of convective heat transfer correlations to the final analysis of heat transport away ;
from the surface of the fire barrier system. Consistency between !
the baseline and clad case analyses is critical to a quality }
derating analysis. SNL finds that, even putting all other concerns aside, this is a critical flaw in the licensee's i analysis. The licensee is requested to modify its analyses so as 3 to ensure that its baseline and clad analyses are self consistent !
throughout its calculation. .
(c) SNL finds that because a lower bound estimate of the cable tray ,
cover emissivity was selected, the licensee's analysis has calculated a. tray / cover temperature that exceeds the hot-spot ,
temperature of. the cables. Further, the licensee has calculated a l i
f i
. . . - L, i. .. -. . ... . _ - - , ,,
f
- negative cable-to-tray / cover thermal resistance value. Both ;
results are clearly nonphysical and represent a fundamental 1
violation of the laws of thermodynamics. . One of two approaches
, 'was cited as methods to-resolve this discrepancy; namely, (1) given the current licensee-approach, the use of a conservative-upper bound estimate of the cover emissivity, such as 0.8, would ensure that a conservative bound on the internal thermal '
resistance is obtained, or (2)- supplementing the thermal model so as'to impose a balance between the internal and external rates-of heat flow for the cables-to-cover-to-ambient. system would result in more realistic results. The licensee is requested to. provide for a resolution of this concern.
3.2 Conduit Analyses 3.2.1 Determination of Baseline Cable Tray Ampacity Limits SNL-finds that the licensee has not demonstrated that the older, pre- *
, 1990 diversity-based conduit conductor count correction factors can.be applied to the cases cited. The licensee is requested to either (1) I
. justify its use of the pre-1990 NEC diversity-based correction factors on the basis of existing cable load diversity, or (2) apply the newer 4 post-1990 NEC correction factors for cases in which diversity cannot be ,
verified for plant installations.
3.2.2 Estimation of Fire Barrier ADF Assessments
- SNL finds that the licensee's approach to the estimation of conduit i ACF/ADF values is acceptable in principle, but that the implementation I
, of this analysis as currently documented is deficient. Two discrepancies were noted; namely, (1) the licensee has not accounted for the uncertainty inherent in the measured baseline ampacity for the TUE
. tests and the limitations under which the NRC has accepted the L application of those test results, and (2) the licensee's implementation of Neher /McGrath equation 42 for heat transfer between the outer surface .
of the fire barrier and the ambient contains a mistake in how the terms l 3 .in the denominator of that expression have been grouped. The licensee !
i is requested to consider (1) addressing the first concern by assuming a l baseline ampacity of 119 percent of the reported measured value (or
- 680A) for the case cited by the licensee in its analysis, and (2) addressing the second concern by correcting the term groupings in the Neher /McGrath external heat transport expression.
3.3 Air-Dron Aeolications ,
The licensee's descriptions of some electrical raceway cases depict a.
single cable within a cable tray but not in conduit, which has been
, wrapped using a conduit-style barrier system. This application would appear-to be equivalent to the air-drop-type fire barrier configuration.
It would also appear that for the subject cases the derated ampacity 1 limit is taken as the open air ampacity limit multiplied by the conduit fire barrier ACF.
l-I
e 9
As a general conclusion, SNL finds that the adequacy of the licensco's
- treatment for individually wrapped cables is indeterminate. The licensee is requested to (1) describe the physical characteristics of '
4 the individual cable wrap systems as applied by the licensee, (2)
- explicitly identify all such applications and their corresponding :
, ampacity assessments, (3) cite the assumed source for the baseline ampacity of each cable in question. and (4) state the assumed ampacity s derating value applied to that cable and further clarify the basis for that assumption '
3.4 Wire-Way Analysis ;
SNL. finds that the licensee's discussion of the Z25XA10 Wire-Way is inadequate to its appropriateness. The licensee is requested to (1) 4 provide a physical description of the wire-way. (?) provide a description of the installed fire barrier system, and (3) further justify its treatment of ampacity derating for this wire-way as a '
conduit. ,
- 4.0 RESOLUTION 0F OVERL0ADED CABLES The licensee has not yet identified what course of action will be taken 4
to resolve those cables that were identified as overloaded for application at Hillstone Nuclear Power Station. The licensee is requested to estimate conservatively the remaining cable life for those cables that have operated under overloaded conditions.
1
Attachment:
Letter report to U.S. NRC, Rev. 0, dated March 27, 1997, prepared !
by Steve Nowlen of Sandia National Laboratories. 1 I
i J
4 0
4 1
_ . . , , -- . . _ _ _ __ . _ _ _ _ _