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Category:CORRESPONDENCE-LETTERS
MONTHYEARML20216J0681999-09-29029 September 1999 Forwards Rev 3 of AP600 Design Control Document, Incorporating Documentation Changes Resulting from Final Review Performed to Check Consistency of Implementation of Approved Design Change Proposals.With Summary of Changes ML20207G5411999-06-0808 June 1999 Discusses Request Made by Westinghouse on 981109 That Proprietary WCAP-14252,Rev 1,be Withheld from Public Disclosure.Determined Info to Be Proprietary & Will Be Withheld from Public Disclosure ML20195D5201999-06-0404 June 1999 Discusses Westinghouse Request That Change Pages Submitted on 980921 to WCAP-14292 Be Withheld from Public Disclosure. Determined Info to Be Proprietary & Will Be Withheld from Public Disclosure ML20196G2431999-05-21021 May 1999 Informs That USNRC Has Published in Fr Encl Notice of Proposed Rulemaking Re AP600 Design Certification Rule. Rulemaking Allows Applicants or Licensees to Construct AP600 Std Plant Design by Referencing Design Certification Rule ML20206G5411999-05-0505 May 1999 Forwards Draft Environ Assessment Re Proposed Certification of AP600 Std Plant Design.Environ Assessment Will Be Used as Basis for NRC Finding of No Significant Environ Impact Resulting from Certification of AP600 Design ML20205J3351999-04-0707 April 1999 Informs That USNRC Staff Has Completed Review of Rev 2 of AP600 Design Control Document,Verified That All of Changes in Rev 2 Are Acceptable & Determined That AP600 Dcd,Rev 2, Can Now Be Used in Proposed Design Certification Rule NSD-NRC-99-5827, Forwards Rev 2 to AP600 Design Control Document.Attachment 1 Provides Summary of Changes Made as Part of Mar 1999 Rev to AP600 Design Control Document1999-03-31031 March 1999 Forwards Rev 2 to AP600 Design Control Document.Attachment 1 Provides Summary of Changes Made as Part of Mar 1999 Rev to AP600 Design Control Document ML20205D3051999-03-25025 March 1999 Requests Amend to 920626 Application for Design Certification of AP600,including AP600 Ssar & AP600 Dcd,To Reflect Sale of CBS Commercial Nuclear Business to W ML20203C5481999-02-10010 February 1999 Forwards Rev 1 to AP600 Design Control Document (DCD) for Docket File.Dcd Provides Reference Basis for AP600 Design Certification ML20199H8671999-01-20020 January 1999 Forwards Comments on AP600 Design Control Document,Submitted by Westinghouse ML20199B1121999-01-0707 January 1999 Advises That Info Contained in NSRA-APSL-92-0268 & Containing Presentation Matl Used in 921209-10 Meeting,Marked Proprietary,Will Be Withheld from Public Disclosure,Per 10CFR2.790(b)(5) & Section 103(b) of AEA ML20198B4601998-12-14014 December 1998 Discusses W Ltr NTD-NRC-95-4556,dtd 950918,provided as Status Rept on Proprietary Matl Submitted to NRC to Support AP600 Design Review Effort.Proprietary Info in Encl Have Been Removed from AP600 Docket File & Being Returned ML20197G3501998-11-30030 November 1998 Forwards AP600 Design Control Document, Vols 1-12 for Docket File.Submittal Closes Confirmatory Items 1.5-1 & 1.5-2 from Sept 1998 Final SER Re Certification of AP600 Std Design ML20195E9331998-11-0909 November 1998 Requests That Rev 1 to WCAP-14252, AP600 Low-Pressure Integral Sys Test at or State Univ Final Data Rept, Vols I- Iv,Be Withheld (Ref 10CFR2.790) NSD-NRC-98-5806, Forwards non-proprietary Rev 1 to WCAP-14253 & Proprietary Rev 1 to WCAP-14252, AP600 Low-Pressure Integral Sys Test at or State Univ Final Data Rept. Proprietary Rept Includes Vols 1-4.Proprietary Info Withheld,Per 10CFR2.7901998-11-0909 November 1998 Forwards non-proprietary Rev 1 to WCAP-14253 & Proprietary Rev 1 to WCAP-14252, AP600 Low-Pressure Integral Sys Test at or State Univ Final Data Rept. Proprietary Rept Includes Vols 1-4.Proprietary Info Withheld,Per 10CFR2.790 ML20155G9021998-11-0303 November 1998 Advises That Info Contained in 981012 ltr,NSD-NRC-98-5795, Will Be Withheld from Public Disclosure,Per 10CFR2.790(b) (5) & Section 103(b) of AEA of 1954,as Amended ML20155G9271998-11-0202 November 1998 Forwards Copy of NRC Staff FSER for Westinghouse AP600 Design.Staff Completed Review of Design & Issued Final Design Approval & FSER on 980903.Without Encl ML20155G7591998-11-0202 November 1998 Forwards Copy of NRC Staff FSER for Westinghouse AP600 Design,Per Discussion at Sept 1997 Meeting.Staff Completed & Issued Final Design Approval of FSER on 980903.Without Encl NSD-NRC-98-5795, Informs That Figures from Rev 0 & Rev 3 of PRA Which Indicate Location of H Igniters Should Be Considered Proprietary.Nonproprietary Versions of AP600 General Arrangement Drawings Were Provided in Rev 7 of Ssar1998-10-12012 October 1998 Informs That Figures from Rev 0 & Rev 3 of PRA Which Indicate Location of H Igniters Should Be Considered Proprietary.Nonproprietary Versions of AP600 General Arrangement Drawings Were Provided in Rev 7 of Ssar ML20154A4091998-09-29029 September 1998 Advises That Certain Info Contained in Westinghouse Ltr NTD-NRC-95-4506,dtd 950713,submitting WCAP-14425,will Be Withheld from Public Disclosure,Per 10CFR2.790(b)(5).Figure 3-1 Will Be Placed Into Public Record ML20153G2521998-09-25025 September 1998 Advises That Proprietary Matl Discovered by NRC in NSD-NRC-97-4966 & Proprietary Matl Noted by W in NSD-NRC-98-5772 Will Be Withhheld from Public Disclosure Per 10CFR2.790(b)(5) & Section 103(b) of AEA of 1954 ML20153C1001998-09-15015 September 1998 Advises That Matls Re AP600 Notrump Final Validation Rept, WCAP-14807,marked Proprietary Will Be Withheld from Public Disclosure,Per 10CFR2.790(b)(5) & Section 103(b) of AEA of 1954,as Amended NSD-NRC-98-5788, Forwards Formal Transmittal of Correspondence Previously Sent Informally Over Period of 980702-0826.Index of Encl Matl Provided1998-09-15015 September 1998 Forwards Formal Transmittal of Correspondence Previously Sent Informally Over Period of 980702-0826.Index of Encl Matl Provided ML20151X4381998-09-15015 September 1998 Informs That Staff Has Decided to Accept Claim That Info in WCAP-14135,Rev 1 Is Proprietary & Will Be Withheld from Public Disclosure,Per W 980821 & 26 Ltrs ML20151X4041998-09-11011 September 1998 Discusses Revised Tier 2 Info for AP600 Design.Staff Revised Decision on Whether Fire Protection Should Expire at First Full Power Encl ML20151V1711998-09-0808 September 1998 Advises That Info Re Westinghouse AP600 Std Safety Analysis Rept Through Rev 4 & PRA Through Rev 5 Will Be Withheld from Public Disclosure,Per 10CFR2.790(b)(5).Disposition of Ssar & PRA Proprietary Info Encl ML20151V2231998-09-0808 September 1998 Informs That NRC Determined That WCAP-14132 Encl in Westinghouse Ltr NTD-NRC-94-4244,dtd 940729 & Marked as Proprietary,Will Be Withheld from Public Disclosure,Per to 10CFR2.790(b)(5) & Section 103(b) of AEA of 1954 ML20151S9181998-09-0303 September 1998 Advises That Info Marked as Proprietary Re Westinghouse AP600 Design Ltrs Concerning Pxs Scaling & Pirt Closure Rept WCAP-14727,will Be Withheld from Public Disclosure,Per 10CFR2.790(b)(5) ML20239A1481998-09-0303 September 1998 Forwards Notice of Issuance of Final Design Approval & Final SER for AP600.FDA Allows AP600 Design to Be Referenced in Application for Construction Permit or Operating License Under 10CFR50 or Application for Combined License ML20239A3111998-09-0303 September 1998 Forwards Final SER Which Summarizes Staff Safety Review of AP600 Design Against Requirements of Subpart B of 10CF5R52 & Delineates Scope of Technical Details Considered in Evaluating Proposed Design ML20151V8521998-09-0101 September 1998 Extends Invitation to Attend Ceremony on 980911,where NRC Will Present Final Design Approval for AP600 Std Nuclear Reactor Design to Westinghouse NSD-NRC-98-5781, Informs That W Determined That AP600 FSER Contains No Proprietary Info1998-09-0101 September 1998 Informs That W Determined That AP600 FSER Contains No Proprietary Info ML20151V2201998-08-31031 August 1998 Informs That EPRI Documents, GOTHIC Containment Analysis Package Qualification Rept, GOTHIC Containment Analysis Qualification Manual, & Listed Documents Dtd Sept 1993 Will Be Withheld from Public Disclosure ML20151V8431998-08-31031 August 1998 Extends Invitation to Attend Ceremony on 980911,where NRC Will Present Final Design Approval for AP600 Std Nuclear Reactor Design to Westinghouse ML20238F3241998-08-31031 August 1998 Advises That AP600 RAI Responses Encl in Westinghouse Ltrs NTD-NRC-95-4598,dtd 951117,as Modified by NSD-NRC-98-5776, Dtd 980826,marked Proprietary Will Be Withheld from Public Disclosure,Per 10CFR2.790(b)(5) & Section 103(b) ML20238F5991998-08-31031 August 1998 Refers to W 980821 Revised Response to Insp Rept 99900404/97-01 That Contained All Substantive Info Provided w/DCP/NRC-1074 Ltr.Nrc Will Destroy DCP/NRC-1074,as Requested NSD-NRC-98-5783, Forwards non-proprietary Rev 2 to WCAP-14989, Accident Specification & Phenomena Evaluation for AP600 Passive Containment Cooling Sys1998-08-28028 August 1998 Forwards non-proprietary Rev 2 to WCAP-14989, Accident Specification & Phenomena Evaluation for AP600 Passive Containment Cooling Sys NSD-NRC-98-5782, Forwards Corrected Pages 4-28 Through 4-32 to Be Inserted in Rev 2 to non-proprietary WCAP-14953, AP600 Pxs Scaling & Pirt Closure Rept. Pages Were Originally Submitted W/Incorrect Header Which Stated 'W Proprietary Class 2.'1998-08-28028 August 1998 Forwards Corrected Pages 4-28 Through 4-32 to Be Inserted in Rev 2 to non-proprietary WCAP-14953, AP600 Pxs Scaling & Pirt Closure Rept. Pages Were Originally Submitted W/Incorrect Header Which Stated 'W Proprietary Class 2.' NSD-NRC-98-5778, Provides Commitment to Include Requested Changes Into AP600 Design Control Document.Discussion W/Vijuk on 980825 Re Disposition of Ltrs DCP/NRC1074,dtd 971016 & DCP/NRC1324,dtd 980403,formalized1998-08-27027 August 1998 Provides Commitment to Include Requested Changes Into AP600 Design Control Document.Discussion W/Vijuk on 980825 Re Disposition of Ltrs DCP/NRC1074,dtd 971016 & DCP/NRC1324,dtd 980403,formalized ML20237E4421998-08-27027 August 1998 Advises That Info Contained in Ltr DCP/NRC-0985,dtd 970821, Sought to Be Withheld,Will Be Withheld from Public Disclosure,Per 10CFR2.790(b)(5) & Section 103(b) of AEA of 1954,as Amended NSD-NRC-98-5777, Provides Revised Response to NRC Ltr Re W Requests for Withholding Info Re AP600 PCS Final Data rept,WCAP-14135 & WCAP-141381998-08-26026 August 1998 Provides Revised Response to NRC Ltr Re W Requests for Withholding Info Re AP600 PCS Final Data rept,WCAP-14135 & WCAP-14138 NSD-NRC-98-5776, Forwards Proprietary Revised Response to Ref NRC Ltr Re W Requests for Withholding Info Re AP600 Design Certification Test Program,Notrump Computer Code,Wcobra/Trac Computer Code & Loftran Computer Code.Proprietary Info Withheld1998-08-26026 August 1998 Forwards Proprietary Revised Response to Ref NRC Ltr Re W Requests for Withholding Info Re AP600 Design Certification Test Program,Notrump Computer Code,Wcobra/Trac Computer Code & Loftran Computer Code.Proprietary Info Withheld ML20237E0731998-08-26026 August 1998 Advises That Info in WCAP-14812,revs 1 & 2, Accident Spec & Phenomena Evaluation for AP600 PCS, Will Be Withheld from Public Disclosure ML20238F8031998-08-26026 August 1998 Requests That Proprietary W Revised Response to NRC Ltrs Re Requests for Withholding Info,Be Withheld from Public Disclosure IAW 10CFR2.790 NSD-NRC-98-5774, Informs That W Faxed Last Response Re Afser Open Item 1.1-1 to NRC on 980821.Last of Attachments Supporting Several of Responses Faxed to NRC Over Past Several Days Were Express Mailed to NRC on 980821.Responses Close Subject Open It1998-08-24024 August 1998 Informs That W Faxed Last Response Re Afser Open Item 1.1-1 to NRC on 980821.Last of Attachments Supporting Several of Responses Faxed to NRC Over Past Several Days Were Express Mailed to NRC on 980821.Responses Close Subject Open Item NSD-NRC-98-5773, Responds to Questions Raised in NRC 971022 & s Re Proprietary Info Contained in 970930 Summary of Meeting Held on 970804-15 Concerning Structural Design of AP600.Figure 12-24 of WCAP-14407 Still Considered Proprietary by W1998-08-21021 August 1998 Responds to Questions Raised in NRC 971022 & s Re Proprietary Info Contained in 970930 Summary of Meeting Held on 970804-15 Concerning Structural Design of AP600.Figure 12-24 of WCAP-14407 Still Considered Proprietary by W ML20237E7991998-08-21021 August 1998 Forwards non-proprietary Results of AP600 Design Assurance Review (Dar) That Was Commitment in W Response to NRC Insp Rept 99900404/97-02.Info Should Assist in Closing Nonconformances & Unresolved Item Identified in Insp Rept NSD-NRC-98-5771, Forwards non-proprietary Rev 2 to WCAP-14138, Final Data Rept for PCS Large-Scale Tests,Phase 2 & Phase 3. Submittal Satisfies Verbal Commitment to Revise non-proprietary Version of PCS Final Data Rept Made by W1998-08-21021 August 1998 Forwards non-proprietary Rev 2 to WCAP-14138, Final Data Rept for PCS Large-Scale Tests,Phase 2 & Phase 3. Submittal Satisfies Verbal Commitment to Revise non-proprietary Version of PCS Final Data Rept Made by W NSD-NRC-98-5769, Responds to NRC Ref Ltrs Re W Requests for Withholding Info. Info Provided as Proprietary in Ref 1 Has Either Been Moved from Ssar to Ref 3,which Includes non-proprietary Version of Rept or Made non-proprietary in Current Version of1998-08-21021 August 1998 Responds to NRC Ref Ltrs Re W Requests for Withholding Info. Info Provided as Proprietary in Ref 1 Has Either Been Moved from Ssar to Ref 3,which Includes non-proprietary Version of Rept or Made non-proprietary in Current Version of Ssar NSD-NRC-98-5772, Forwards non-proprietary & Proprietary Info in Response to NRC Ltrs Re W Requests for Withholding Info.Separate Ltr & Affidavit Justifying Proprietary Nature of Info,Encl. Proprietary Info Withheld,Per 10CFR2.7901998-08-21021 August 1998 Forwards non-proprietary & Proprietary Info in Response to NRC Ltrs Re W Requests for Withholding Info.Separate Ltr & Affidavit Justifying Proprietary Nature of Info,Encl. Proprietary Info Withheld,Per 10CFR2.790 1999-09-29
[Table view] Category:OUTGOING CORRESPONDENCE
MONTHYEARML20207G5411999-06-0808 June 1999 Discusses Request Made by Westinghouse on 981109 That Proprietary WCAP-14252,Rev 1,be Withheld from Public Disclosure.Determined Info to Be Proprietary & Will Be Withheld from Public Disclosure ML20195D5201999-06-0404 June 1999 Discusses Westinghouse Request That Change Pages Submitted on 980921 to WCAP-14292 Be Withheld from Public Disclosure. Determined Info to Be Proprietary & Will Be Withheld from Public Disclosure ML20196G2431999-05-21021 May 1999 Informs That USNRC Has Published in Fr Encl Notice of Proposed Rulemaking Re AP600 Design Certification Rule. Rulemaking Allows Applicants or Licensees to Construct AP600 Std Plant Design by Referencing Design Certification Rule ML20206G5411999-05-0505 May 1999 Forwards Draft Environ Assessment Re Proposed Certification of AP600 Std Plant Design.Environ Assessment Will Be Used as Basis for NRC Finding of No Significant Environ Impact Resulting from Certification of AP600 Design ML20205J3351999-04-0707 April 1999 Informs That USNRC Staff Has Completed Review of Rev 2 of AP600 Design Control Document,Verified That All of Changes in Rev 2 Are Acceptable & Determined That AP600 Dcd,Rev 2, Can Now Be Used in Proposed Design Certification Rule ML20199H8671999-01-20020 January 1999 Forwards Comments on AP600 Design Control Document,Submitted by Westinghouse ML20199B1121999-01-0707 January 1999 Advises That Info Contained in NSRA-APSL-92-0268 & Containing Presentation Matl Used in 921209-10 Meeting,Marked Proprietary,Will Be Withheld from Public Disclosure,Per 10CFR2.790(b)(5) & Section 103(b) of AEA ML20198B4601998-12-14014 December 1998 Discusses W Ltr NTD-NRC-95-4556,dtd 950918,provided as Status Rept on Proprietary Matl Submitted to NRC to Support AP600 Design Review Effort.Proprietary Info in Encl Have Been Removed from AP600 Docket File & Being Returned ML20155G9021998-11-0303 November 1998 Advises That Info Contained in 981012 ltr,NSD-NRC-98-5795, Will Be Withheld from Public Disclosure,Per 10CFR2.790(b) (5) & Section 103(b) of AEA of 1954,as Amended ML20155G7591998-11-0202 November 1998 Forwards Copy of NRC Staff FSER for Westinghouse AP600 Design,Per Discussion at Sept 1997 Meeting.Staff Completed & Issued Final Design Approval of FSER on 980903.Without Encl ML20155G9271998-11-0202 November 1998 Forwards Copy of NRC Staff FSER for Westinghouse AP600 Design.Staff Completed Review of Design & Issued Final Design Approval & FSER on 980903.Without Encl ML20154A4091998-09-29029 September 1998 Advises That Certain Info Contained in Westinghouse Ltr NTD-NRC-95-4506,dtd 950713,submitting WCAP-14425,will Be Withheld from Public Disclosure,Per 10CFR2.790(b)(5).Figure 3-1 Will Be Placed Into Public Record ML20153G2521998-09-25025 September 1998 Advises That Proprietary Matl Discovered by NRC in NSD-NRC-97-4966 & Proprietary Matl Noted by W in NSD-NRC-98-5772 Will Be Withhheld from Public Disclosure Per 10CFR2.790(b)(5) & Section 103(b) of AEA of 1954 ML20151X4381998-09-15015 September 1998 Informs That Staff Has Decided to Accept Claim That Info in WCAP-14135,Rev 1 Is Proprietary & Will Be Withheld from Public Disclosure,Per W 980821 & 26 Ltrs ML20153C1001998-09-15015 September 1998 Advises That Matls Re AP600 Notrump Final Validation Rept, WCAP-14807,marked Proprietary Will Be Withheld from Public Disclosure,Per 10CFR2.790(b)(5) & Section 103(b) of AEA of 1954,as Amended ML20151X4041998-09-11011 September 1998 Discusses Revised Tier 2 Info for AP600 Design.Staff Revised Decision on Whether Fire Protection Should Expire at First Full Power Encl ML20151V1711998-09-0808 September 1998 Advises That Info Re Westinghouse AP600 Std Safety Analysis Rept Through Rev 4 & PRA Through Rev 5 Will Be Withheld from Public Disclosure,Per 10CFR2.790(b)(5).Disposition of Ssar & PRA Proprietary Info Encl ML20151V2231998-09-0808 September 1998 Informs That NRC Determined That WCAP-14132 Encl in Westinghouse Ltr NTD-NRC-94-4244,dtd 940729 & Marked as Proprietary,Will Be Withheld from Public Disclosure,Per to 10CFR2.790(b)(5) & Section 103(b) of AEA of 1954 ML20151S9181998-09-0303 September 1998 Advises That Info Marked as Proprietary Re Westinghouse AP600 Design Ltrs Concerning Pxs Scaling & Pirt Closure Rept WCAP-14727,will Be Withheld from Public Disclosure,Per 10CFR2.790(b)(5) ML20239A3111998-09-0303 September 1998 Forwards Final SER Which Summarizes Staff Safety Review of AP600 Design Against Requirements of Subpart B of 10CF5R52 & Delineates Scope of Technical Details Considered in Evaluating Proposed Design ML20239A1481998-09-0303 September 1998 Forwards Notice of Issuance of Final Design Approval & Final SER for AP600.FDA Allows AP600 Design to Be Referenced in Application for Construction Permit or Operating License Under 10CFR50 or Application for Combined License ML20151V8521998-09-0101 September 1998 Extends Invitation to Attend Ceremony on 980911,where NRC Will Present Final Design Approval for AP600 Std Nuclear Reactor Design to Westinghouse ML20151V2201998-08-31031 August 1998 Informs That EPRI Documents, GOTHIC Containment Analysis Package Qualification Rept, GOTHIC Containment Analysis Qualification Manual, & Listed Documents Dtd Sept 1993 Will Be Withheld from Public Disclosure ML20151V8431998-08-31031 August 1998 Extends Invitation to Attend Ceremony on 980911,where NRC Will Present Final Design Approval for AP600 Std Nuclear Reactor Design to Westinghouse ML20238F5991998-08-31031 August 1998 Refers to W 980821 Revised Response to Insp Rept 99900404/97-01 That Contained All Substantive Info Provided w/DCP/NRC-1074 Ltr.Nrc Will Destroy DCP/NRC-1074,as Requested ML20238F3241998-08-31031 August 1998 Advises That AP600 RAI Responses Encl in Westinghouse Ltrs NTD-NRC-95-4598,dtd 951117,as Modified by NSD-NRC-98-5776, Dtd 980826,marked Proprietary Will Be Withheld from Public Disclosure,Per 10CFR2.790(b)(5) & Section 103(b) ML20237E4421998-08-27027 August 1998 Advises That Info Contained in Ltr DCP/NRC-0985,dtd 970821, Sought to Be Withheld,Will Be Withheld from Public Disclosure,Per 10CFR2.790(b)(5) & Section 103(b) of AEA of 1954,as Amended ML20237E0731998-08-26026 August 1998 Advises That Info in WCAP-14812,revs 1 & 2, Accident Spec & Phenomena Evaluation for AP600 PCS, Will Be Withheld from Public Disclosure ML20237C4801998-08-20020 August 1998 Informs That Staff Will Withhold from Public Disclosure,Per 10CFR2.790(b)(5) & Section 103(b) of AEA of 1954,as Amended, Presentation Matl from 970212-14 ACRS Meeting Encl in W Ltr NSD-NRC-98-5744 Dtd 980803,until Policy Matter,Clarified ML20237D4391998-08-18018 August 1998 Confirms Phone Conversation Between NRC & W Re Submittal of Final Portions of Documentation Necessary to Complete Review & Issue Final SER & Final Design Approval for AP600 ML20236V6671998-07-30030 July 1998 Advises That Info Contained in WCAP-14601,rev 2,submitted in Westinghouse Ltr NSD-NRC-98-5712,dtd 980616 & Marked Proprietary,Will Be Withheld from Public Disclosure,Per 10CFR2.790(b)(5) & Section 103(b) of AEA of 1954,as Amended ML20236V8621998-07-30030 July 1998 Informs That Proprietary Info Encl in Westinghouse Ltr NSD-NRC-98-5736,dtd 980713 Will Be Withheld from Public Disclosure Per 10CFR2.790(b)(5) & Section 103(b) of AEA of 1954,as Amended ML20236U7811998-07-29029 July 1998 Advises That WCAP-14270,rev 1, AP600 LP Integral Sys Test Facility Scaling Rept, Encl in Ltr NSD-NRC-98-5718,dtd 980619 & Marked Proprietary,Will Be Withheld from Public Disclosure,Per 10CFR2.790(b)(5) & Section 103(b) of AEA ML20236U7831998-07-29029 July 1998 Informs That Certain Info in AP600 Ssar,If Proposed for Change That Refs AP600 Std Design,Will Require Prior NRC Approval Before Proposed Change Can Be Implemented.Tier 2* Info for AP600 Design & Staff Decision Encl ML20236U8131998-07-29029 July 1998 Advises That WCAP-14471,rev 0, Steam Condensation Events at Osu AP600 Facility Submitted in Ltr NSD-NRC-96-4661,dtd 960306 & Marked Proprietary,Will Be Withheld from Public Disclosure,Per 10CFR2.790(b)(5) & Section 103(b) of AEA ML20236V0511998-07-29029 July 1998 Informs That AP600 Boron Dilution Transient Analysis Encl in Westinghouse Ltrs NSD-NRC-96-4792,dtd 960808 & NSD-NRC-98-5739,dtd 980720 & Marked as Proprietary Will Be Withheld from Public Disclosure Per 10CFR2.790 ML20236V0411998-07-28028 July 1998 Discusses Return of Proprietary Matl to Westinghouse Docketed Under AP600 Design Review.Proprietary Documents Listed in Encl 1 Removed from AP600 File & Returned for Disposition or Retention ML20236T3101998-07-22022 July 1998 Discusses W 941031 Submittal by Ltr (NTD-NRC-94-4330) of AP600 Notrump Core Makeup Tank Preliminary Validation Rept & Requests That Info Be Withheld from Public Disclosure. Determined Info Proprietary & Will Be Withheld from Public ML20236T4091998-07-22022 July 1998 Informs That Info Related to Wgothic lumped-parameter & Distributed Parameter Nodalization of AP600 & Wgothic Heat Sink & Flow Path Description Including Areas,Thickness & Evaluations Will Be Withheld,Per 10CFR2.790(b)(5) & 103(b) ML20236T1691998-07-22022 July 1998 Advises That Proprietary Matl Encl in NSD-NRC-96-4700,will Be Withheld from Public Disclosure,Per 10CFR2.790(b)5) & Section 103(b) of AEA of 1954,as Amended ML20236T1361998-07-22022 July 1998 Advises That Info Contained in TRs WCAP-12945-P-A & WCAP-14747,respectively Submitted in Ltr NTD-NRC-95-4406, Will Be Withheld from Public Disclosure Per 10CFR2.790(b)(5) & Section 103(b) of AEC of 1954,as Amended ML20236T0591998-07-22022 July 1998 Informs That Staff Plans to Return NSD-NRC-96-4762, NSD-NRC-96-4763,NSD-NRC-96-4790,... Transmittals to Westinghouse W/O Proprietary Determination,Due to Info Being Provided in Documents Submitted at Later Date ML20236S9841998-07-22022 July 1998 Informs That Staff Plans to Return NSD-NRC-94-4246, NSD-NRC-94-4327 & NSD-NRC-94-4318 Transmittals to Westinghouse W/O Proprietarty Determination,Due to Info Being Provided in Documents Submitted at Later Date ML20236S9621998-07-22022 July 1998 Advises That Info in NSD-NRC-97-5424 on AP600 Passive Containment Cooling Sys Will Be Withheld from Public Disclosure,Per 10CFR2.790 ML20236S9321998-07-22022 July 1998 Advises That Info in on AP600 Large Scale Test Facility Will Be Withheld from Public Disclosure,Per 10CFR2.790 ML20236S9131998-07-22022 July 1998 Informs That WCAP-14776 (Rev 2) Encl in Westinghouse Ltr NSD-NRC-97-5202,dtd 970620 Will Be Withheld from Public Disclosure Pursuant to 10CFR2.790(b)(5) & Section 103(b) of Atomic Energy Act of 1954,as Amended ML20236S1601998-07-22022 July 1998 Informs That Encl Table,Associated W/Westinghouse AP600 Ltrs,Will Be Marked as Proprietary & Will Be Withheld from Public Disclosure Pursuant to 10CFR2.790(b)(5) & Section 103(b) of Atomic Energy Act of 1954,as Amended ML20236S1511998-07-22022 July 1998 Informs That Matl Encl in NTD-NRC-94-4215 & NTD-NRC-95-4436, Marked as Proprietary,Will Be Withheld from Public Disclosure Pursuant to 10CFR2.790(b)(5) & Section 103(b) of Atomic Energy Act of 1954,as Amended ML20236S1431998-07-22022 July 1998 Informs That Encl Table Associated W/Westinghouse AP600 Design Ltrs Will Be Marked as Proprietary & Will Be Withheld from Public Disclosure Pursuant 10CFR2.790(b)(5) & Section 103(b) of Atomic Energy Act of 1954,as Amended ML20236S1321998-07-22022 July 1998 Informs That Matls Documented in Encl Table,Associated W/Westinghouse AP600 WCAPs Submitted in Will Be Withheld from Public Disclosure Pursuant to 10CFR2.790(b)(5) & Section 103(b) of Atomic Energy Act of 1954,as Amended 1999-06-08
[Table view] |
Text
Mr. Nicholas J. Liparulo, Manager l Nuclear Safety and Regulatory Analysis Nuclear and Advanced Technology Division Westinghouse Electric Corporation P.O. Box 355 Pittsburgh, PA 15230 1
SUBJECT:
REQUESTS FOR ADDITIONAL INFORMATION (RAIs) ON THE NOTRUMP FINAL l VALIDATION REPORT l l
Dear Mr. Liparulo:
In support of the AP600 design certification review, the Nuclear Regulatory j Commission (NRC) staff it evaluating the use of the NOTRUMP small break loss- 1 of-coolant-accident analysis computer code for assessing the performance of 1 the AP600.- Westinghouse letter NSD-NRC-96-4920, dated December 18, 1996, submitted the NOTRUMP Final Validation Report, WCAP-14807 (without the Oregon {
State University (OSU) validations). Westinghouse letter NSD-NRC-97-4960 '
dated January 31, 1997, provided the OSU validations needed to complete the report. Based on a review by the NRC staff and its contractor, additional information is needed for the review. These RAIs are provided as an enclor ce to this letter.
If you have any questions regarding this matter, you can contact me at (301) 415-1141.
Sincerely, original signed by:
William C. Huffman, Project Manager Standardization Project Directorate Division of Reactor Program Management Office of Nuclear Reactor Regulation 1
Docket No.52-003
Enclosure:
As stated cc w/ encl: See next page g t
DISTRIBUTION:
Docket File PDST R/F TTMartin 03 !
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DOCUMENT NAME: A:NTP-FV&V.RAI // N Ta receive e copy of this document,inacote in the ben: 'C" = Copy wMhout ettschment/ enclosure *E* = Copy with attechment/ enclosure 'N' s No copy l
0FFICE PM:PDST:DRPM SRXB:DS h D:PDST:DRPM l NAME WCHuf fman:(gS_43- Alevi# f C TRQuay -r724 DATE 04/M7 04f).-/9V 04/ 3 /97 0FFICIAL RECORD COPY I 040038 jo 9704040192 970403 oom o m = 2 gggma
Mr. Nicholas J. Liparulo Docket No.52-003 i i Westinghouse Electric Corporation AP600 1
i cc: Mr. B. A. McIntyre Mr. Ronald Simard, Director Advanced Plant Safety & Licensing Advanced Reactor Programs Westinghouse Electric Corporation Nuclear Energy Institute Energy Systems Business Unit 1776 Eye Street, N.W.
P.O. Box 355 Suite 300 Pittsburgh, PA 15230 Washington, DC 20006-3706 Ms. Cindy L. Haag Ms. Lynn Connor Advanced Plant Safety & Licensing Doc-Search Associates Westinghouse Electric Corporation Post Office Box 34 Energy Systems Business Unit Cabin John, MD 20818 Box 355
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Pittsburgh, PA 15230 Mr. James E. Quinn, Projects Manager LMR and SBWR Programs '
) Mr. M. D. Beaumont GE Nuclear Energy Nuclear and Advanced Technology Division 175 Curtner Avenue, M/C 165 Westinghouse Electric Corporation San Jose, CA 95125 ,
One Montrose Metro '
11921 Rockville Pike Mr. Robert H. Buchholz Suite 350 GE Nuclear Energy i Rockville, MD 20852 175 Curtner Avenue, MC-781 San Jose, CA 95125 Mr. Sterling Franks U.S. Department of Energy Barton Z. Cowan, Esq.
NE-50 Eckert Seamans Cherin & Mellott 19901 Germantown Road 600 Grant Street 42nd Floor Germantown, MD 20874 Pittsburgh, PA 15219 Mr. S. M. Modro Mr. Ed Rodwell, Manager Nuclear Systems Analysis Technologies PWR Design Certification Lockheed Idaho Technologies Company Electric Power Research Institute Post Office Box 1625 3412 Hillview Avenue Idaho Falls, ID 83415 Palo Alto, CA 94303 Mr. Frank A. Ross Mr. Charles Thompson, Nuclear Engineer U.S. Department of Energy, NE-42 AP600 Certification Office of LWR Safety and Technology NE-50 19901 Germantown Road 19901 Germantown Road Germantown, MD 20874 Germantown, MD 20874
REQUEST FOR ADDITIONAL INFORMATION NOTRUMP FINAL V&V REPORT, WCAP-14807 General Comments 440.599 The report needs to document the specific judgements made by the Westin-ghouse analysts of the validity of each modified code model. Addition-ally, even though Westinghouse is making an Appendix K submittal, they have based much of their final V&V report on high-ranked PIRT phenomena.
Therefore, the report needs to document Westinghouse judgements of the ability of NOTRUMP to correctly represent all PIRT high-ranked phenomena.
These judgements should be summarized at the end of each applicable ,
report section and a summary of all of the assessments should appear in '
the conclusions of the report. These judgements should be made using the terms defined in Section 1.5. In cases where the judgement would te 1 minimal or inadequate, analyses should be provided which show that the '
code results are conservative.
Soecific Comments i 1
440.600 Section 3.2.2 discusses the validity of the Yeh correlation used in the drift flux model for core flooding. It indicates that the validity of the model is shown in reference 3-4. Reference 3-4 was written in 1985.
The Yeh correlation used in NOTRUMP was modified recently as documented in section 2.3. Please provide a validation that is applicable to the modified Yeh correlation that is currently found in NOTRUMP.
i 440.601 Section 3.2.5 states that "...CCFL is correctly predicted by NOTRUMP..." i but then it continues to say that "... NOTRUMP will tend to predict more !
holdup of liquid... than indicated by data." Please make a specific j judgement using the terms defined in Section 1.5.
440.602 Section 3.3.4 states that the flow reversal point predicted by NOTRUMP occurs at a lower vapor flow than indicated by the data. Does this l considerable discrepancy indicate that the leveling drift flux model performance is reasonable or minimal? Is this behavior conservative?
440.603 There are two apparently inconsistent references to Figure 3.4-11 in Section 3.4. The first reference is at the bottom of page 3.4-2 and it appears to refer to a figure that has been omitted. The second reference to Figure 3.4-11 is at the top of page 3.4-3. This second reference does match the Figure 3.4-11 that is included. Please provide the omitted Figure and renumber the remaining figures.
'440.604- Please add conclusions to Section 3.4.
Enclosure
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, 440.605' Figure 5.4-18 shows a step change in the PE5W data which appears ;
. erroneous. This was not discussed in the text. Including this step !
change distorts the scale of the plot. Please redraw the plot with the scale adjusted so the top of the step change is not included but the i remainder of the plot is shown larger. Please explain the step change in
- ' the text.
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! 440.606 The Westinghouse response to RAI 440.440 states that, " thermal l
! stratification effects in the CMT are not identified as a specific
- thermal-hydraulic phenomena on the final small break LOCA PIRT chart."
However, thermal stratification effects in the CMT are included as j high-ranked phenomena on both the Westinghouse and the NRC PIRT charts.
i Please explain this difference. The RAI also requested that Westinghouse l b provide plots of the fluid driving heads calculated by NOTRUMP for each F side of the CMT loop. Westinghouse responded that the requested plots >
e would be provided in the final V&V report. The requested plots were not I provided in the final V&V report. '
440.607 None of the NOTRUMP calculations (CMT test, SPES, nor OSU) predict the i CMT temperature distribution observed in the test data. In the integral !
! facility simulations this has caused delays in the start of ADS-1 as well !
) as overly warm fluid being injected from the CMis. It might be easier to '
j develop a thermal stratification model for the CMTs rather than explain l
- the discrepancies. In any case, this difficulty needs to be discussed in l greater depth. 3 l
- 440.608 It appears that the NOTRUMP model of the SPES facility may underestimate the ambient losses and overestimate the heat transfer between the primary and the secondary. This should be discussed in more detail. j
! 440.609 The Westinghouse response to RAI 440.489 indicates that nodalization
! studies would be performed to assess ways of improving PRHR heat transfer l and the results would be presented in the final V&V report. The final
- V&V. report did not document the results of any such nodalization studies i and the PRHR heat transfer is found to be persistently underestimated by '
i NOTRUMP when compared to the data from the SPES and OSU test facilities.
[ Can these problems be fixed merely with a different nodalization or do i they indicate an intrinsic deficiency in the NOTRUMP code? The Westing-i house response to RAI 440.513 indicated that the additional PRHR modeling '
i issues raised in that RAI would be resolved in the final V&V report.
- These issues remain unresolved.
440.610 The Westinghouse response to RAI 440.504 points out that using a check i valve connected between the ADS 1-3 line and atmospheric pressure to i represent the vacuum breaker was ineffective. A more accurate represen-i tation of the elevation changes in the ADS 1-3 line would have made the 1 vacuum breaker model effective. Perhaps a more accurate representation t would be useful to resolve other problems as well. The OSU and SPES '
- models of the pressurizer and ADS 1-3 do not predict as much pressurizer refill during ADS 1-3 flow as is observed in the tests and the model of 4 the OSU pressurizer drains too quickly once ADS 4 begins to flow. These problems might be fixed by merely improving the NOTRUMP input
3 specification but may also require code modifications. Please analyze and document what nodalization changes.have been considered to improve the ability of the NOTRUMP model to match the SPES and OSU data for pressurizer level beyond the time when ADS 1 opens.
440.611 RAI 440.510 asks for an explanation for why the NOTRUMP code overpredicts the IRWST injection flow rates during the early part of IRWST injection.
The Westinghouse response indicates that this is caused by over predic-l tion of ADS 4 flow. The final V&V report indicates that it is caused by a low pressure in the DVI line in the calculation. This behavior (overprediction of the initial IRWST injection) was observed in nearly all of the calculations of SPES and OSU even though the ADS 4 flow is not always overpredicted. Please provide a more complete explanation.
440.612 The OSU model 'does not include ambient losses from the steam generator ;
secondary. An explanation should be provided to justify why this is acceptable.
Report Details The final V&V report does not address some known problems with the OSU tests. i For example, in test SB12 a leaky check valve in the NRHR system caused unusual CMT recirculation flow. In the final V&V report, Westinghouse has removed the test data trace for the CMT injection flow rate from Fig-ures 8.3.4-21 and 8.3.4-22. If these two figures had included the data traces, ;
the effect of the leaky check valve would have been evident. In the earlier '
NOTRUMP preliminary Validation Report for OSU tests, Figure 5.4-16 included the test data trace for the CMT injection flow rate and the leaky check valve was detectable from the magnitude of the recirculation flow. In similar ways elsewhere in the report, Westinghouse did not address several other important i problems with test performance, instrumentation, and calculation results.
Some of these problems are briefly discussed but dismissed without detailed explanations. The following questions are examples of some of these occur-rences.
440.613 On page 7.3.1-3, Westinghouse states that the NOTRUMP calculation relies excessively on steam generator heat transfer because of low PRHR heat transfer. On page 7.3.1-7 in the discussion of Figures 7.3.1-37 through 7.3.1-39, Westinghouse states that the initial secondary pressure was set higher than in the test in order to match the primary conditions. This implies that when the NOTRUMP secondary pressure was set at the experimental value, the primary temperature was too low. In order to raise the primary temperature the secondary pressure was raised. This is an indication that the heat transfer from the primary to the secondary is too high. Thus, the excess reliance on the steam generators in the NOTRUMP calculation may be due largely to the excessive primary to secondary heat transfer and only partially to the low PRHR heat transfer.
Please explain the root cause for the overprediction of the heat transfer through the steam generators. Is it due to an inadequacy in the NOTRUMP code itself or only in the SPES input? How does this impact the AP6007 (Note: this problem is persistent for all of the SPES test analyses.)
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4 440.614 At the bottom of page 7.3.1-5 and for each of the SPES test analyses, Westinghouse says that the upper head does not drain properly in the i
NOTRUMP model because of differences in the initial upper head I
-temperature, flow rates, and ambient losses. All of these things could j have and should have been corrected in the SPES NOTRUMP input. Why j weren't these errors corrected?
} 440.615 All of the SPES and OSU NOTRUMP calculations have a problem that whenever
- any water enters the cold legs it passes up the balance lines. This is t not physically accurate. Is this due to deficiencies in the horizontal
! stratification model or a horizontal stratification entrainment model?
[ 440.616 Figures 7.3.3-27 and 28 show that NOTRUMP considerably underpredicts the
- - ADS flow but on page 7.3.3-6 the text says that the agreement is l reasonable. Please reevaluate this judgement.
440.617 On page 7.3.3-7 the discussion of Figure 7.3.3-39.says that the secondary
- level for steam generator B in the test is not available. However, the i steam generator B level does appear on the plot. Please revise the text and explain the steam generator B level.
i 440.618 On page 7.3.4-2 Westinghouse merely says that the cold leg temperature is i underpredicted. There is no discussion of why. Please provide the
! reason why.
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! 440.619 On page 7.3.4-4 Westinghouse states that the performance of accumulator B i is unimportant. However, it appears that an overprediction of the j accumulator B flow causes CMT B flow to be unduly reduced. This delays i the predicted draining of CMT B and delays ADS. That makes the perfor-i mance of accumulator B important. The flow resistance should be modeled i correctly. Please revise this section to acknowledge the importance of I
the accumulator B flow or provide enough information to justify the Westinghouse position.
440.620 On page 7.3.4-4 Westinghouse states that the downcomer level is overpredicted without explanation. Then it is stated that the predic-tions are adequate. The agreement to data appears to be minimal.
NOTRUMP predicts a higher core level at the time of the minimum core level in the test. Additionally, the core level prediction is not well matched to the data at the start of IRWST injection. Please reevaluate
.the discussion of these issues.
440.621 On page 7.3.4-5, in the discussion of Figure 7.3.4-21, Westinghouse points out some considerable problems with the agreement of the NOTRUMP ;
prediction and the test data but does not discuss the cause of the i discrepancies. Please provide an explanation of the discrepancies.
440.622 In Figure 7.3.4-24, the agreement between the NOTRUMP prediction and the test data appears to be minimal. Please provide an explanation and/or a new calculation.
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440.623 At the top of page 7.3.4-6, Westinghouse says that NOTRUMP underpredicts the downcomer voiding. This is only true for the tubular part of the
- downcomer. Voiding in the annular part of the downcomer is overpredicted by NOTRUMP. Please provide an explanation.
- 440.624 On page 7.3.4-6, Westinghouse says that Figure 7.3.4-32 compares the PRHR
- heat transfer but provides no discussion. Please discuss the results shown in this figure.
440.625 The results shown in Figure 7.3.5-11 are quite different from other tests. Please provide an explanation of these results.
440.626 In all of the NOTRUMP calculations for OSU the distribution of fluid in the vessel is skewed when compared to the test data. The calculated core level is consistently low and the downcomer level is consistently high.
Is it possible that NOTRUMP is failing to represent an important phenomenon?
440.627 In Figure 8.3.1-22, NOTRUMP underpredicts the CMT 2 recirculating flow
- rate. This could be an effect of the leaky check valve in the NRHR system. Please comment.
440.628 In the discussion of Figure 8.3.1 27, Westinghouse says that no conclusions can be drawn. ADS 1-3 flow is a highly-ranked PIRT item for which the ability of NOTRUMP must be assessed. Westinghouse points out that the fluid conditions were different. Please explain why the fluid conditions were different. Discuss the implications to AP600 cal-culations, possible causes, and possible solutions to the problem.
440.629 In Figure 8.3.1-29, the predicted break flow is quite inaccurate.
Westinghouse explains that this is because accumulator water reaches the
, break. Please make a judgement of the NOTRUMP ability to properly model tfie break flow. Why does the accumulator water reach the break in the calculation and not in the test? How can this be fixed? How will this affect AP600 calculations? Is this conservative?
440.630 Please explain the sudden drops in the calculated secondary temperatures i in Figure 8.3.1-38.
440.631 Please draw some conclusions from Figures 8.3.1-42 and 43. Why is the calculated temperature high? Could this cause the low core level?
, 440.632 For OSU test SB23 the break area was not the area of the installed orifice. How did this happen? What was the break area? Is this related to the problem with the break area in the performance of test SB05.
440.633 In the discussion of OSU test SB23 on page 8.3.2-3, Westinghouse mentions that the test data appears to have found a source of vapor that drains the tubes in steam generator 1. Is this real? Could this be an instru-ment problem? Please explain where the vapor came from and why it only exhibited its presence in the draining of the steam generator 1 tubes.
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3' 440.634 There is some confusion either in the text or in the Figure labels for {
Figures 8.3.2-6 through 9. Steam generator I and steam generator 2 may l be switched.
l 440.635 There'are many problems with OSU test SB23 (both the test itself and the
! calculation). Credibility of the. final V&V is diminished by the Westin-i ghouse claim that there is reasonable agreement between NOTRUMP and the j test data considering all the test uncertainties and the calculation
- adjustments. Westinghouse should reassess this conclusion.
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440.636 Please provide an explanation of the poor agreement in Figure 8.3.3- 40.
- 440.637 In Figure 8.3.4-5 the flow from accumulator 2 affects the flow from CMT2 l l far more in the NOTRUMP calculation than in the test. Please explain. '
l 440.638 On page 8.3.4-6 at the end of paragraph I and the beginning of para-
. graph 2, no conclusions were drawn regarding ADS 1-3 flow. Please j document what causes the discrepancies in ADS 1-3 flow, break flow, and i pressurizer level.
l 440.639 There is a persistent problem in both SPES and OSU NOTRUMP calculations caused by water entering the cold legs when there is no water there in the tests. Why does this happen? Can you present comparison figures showing the cold leg levels in the test and the calculation? Many of-the i NOTRUMP inaccuracies are blamed on problems with the cold leg levels. ;
Please provide more documentation on what the cold leg levels are.
Please evaluate how these level problems can be eliminated.
440.640 On page 8.3.5-4' Westinghouse discusses Figures 8.3.5-10 and 11 and points l out that the calculated behavior of the balance line level is wrong beyond 1500 s. Yet Westinghouse states that NOTRUMP predicts well the PIP.T items related to the balance line. This is confusing'and requires more explanation. Please reassess this judgement and revise the section to clearly explain that the refill is caused by nonphysical refill of the cold legs.
440.641 On page 8.3.6-2 in the second paragraph, the calculated behavior of CMT1 is very different from the test data. Why? What does this say about NOTRUMP7 440.642 In the last paragraph on page 8.3.6-3, 55 seconds is wrong. Perhaps it should be 5.5 seconds.
440.643 The comments contained in RAls 440.613 through 440.642 are examples of areas in the final V&V where discussions do not appear to be adequate.
Please re-examine the analyses presented in the final V&V report for areas which need additional discussion or explanation.
7 Ouench Model 440.644 For each case where the quench model was used, a mixture level plot should be included that shows the calculation results with and without the quench model. Please specify the guidelines that should be followed in order to decide whether the quench model needs to be used. Clearly i state that, because of these guidelines, no AP600 analysis would ever use the quench model. -
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