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Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARML20217H9511999-10-21021 October 1999 Memorandum & Order.* Proceeding Re Nepco 990315 Application Seeking Commission Approval of Indirect License Transfers Consolidated,Petitioners Granted Standing & Two Issues Admitted.With Certificate of Svc.Served on 991021 ML20217N2561999-10-21021 October 1999 Transcript of Affirmation Session on 990121 in Rockville, Maryland Re Memorandum & Order Responding to Petitions to Intervene Filed by co-owners of Seabrook Station Unit 1 & Millstone Station Unit Three.Pp 1-3 ML20211L5141999-09-0202 September 1999 Comment on Draft Reg Guide DG-4006, Demonstrating Compliance with Radiological Criteria for License Termination. Author Requests Info as to When Seabrook Station Will Be Shut Down ML20211J1451999-08-24024 August 1999 Comment Opposing NRC Consideration of Waiving Enforcement Action Against Plants That Operate Outside Terms of Licenses Due to Y2K Problems ML20210S5641999-08-13013 August 1999 Motion of Connecticut Light & Power Co,Western Massachusetts Electric Co & North Atlantic Energy Corp to Strike Unauthorized Response of Nepco.* Unauthorized Response Fails to Comply with Commission Policy.With Certificate of Svc ML20210Q7531999-08-11011 August 1999 Order Approving Application Re Corporate Merger (Canal Electric Co). Canal Shall Provide Director of NRR Copy of Any Application,At Time Filed to Transfer Grants of Security Interests or Liens from Canal to Proposed Parent ML20210P6271999-08-10010 August 1999 Response of New England Power Company.* Nu Allegations Unsupported by Any Facts & No Genuine Issues of Matl Facts in Dispute.Commission Should Approve Application Without Hearing ML20210H8311999-08-0303 August 1999 Reply of Connecticut Light & Power Co,Western Massachusetts Electric Co & North Atlantic Energy Corp to Response of New England Power Co to Requests for Hearing.* Petitioners Request Hearing on Stated Issues.With Certificate of Svc ML20210J8501999-08-0303 August 1999 Order Approving Transfer of License & Conforming Amend.North Atlantic Energy Service Corp Authorized to Act as Agent for Joint Owners of Seabrook Unit 1 ML20211J1551999-07-30030 July 1999 Comment Opposing That NRC Allow Seabrook NPP to Operate Outside of Technical Specifications Due to Possible Y2K Problems ML20210E3011999-07-27027 July 1999 Response of New England Power Co to Requests for Hearing. Intervenors Have Presented No Justification for Oral Hearing in This Proceeding.Commission Should Reject Intervenors Request for Oral Hearing & Approve Application ML20209H9101999-07-20020 July 1999 Motion of Connecticut Light & Power Co & North Atlantic Energy Corp for Leave to Intervene & Petition for Hearing.* with Certificate of Svc & Notice of Appearance ML20195H1911999-06-15015 June 1999 Application of Montaup Electric Co & New England Power Co for Transfer of Licenses & Ownership Interests.Requests That Commission Consent to Two Indirect Transfers of Control & Direct Transfer ML20206A1611999-04-26026 April 1999 Memorandum & Order.* Informs That Montaup,Little Bay Power Corp & Nepco Settled Differences Re Transfer of Ownership of Seabrook Unit 1.Intervention Petition Withdrawn & Proceeding Terminated.With Certificate of Svc.Served on 990426 ML20205M7621999-04-15015 April 1999 Notice of Withdrawal of Intervention of New England Power Co.* New England Power Co Requests That Intervention in Proceeding Be Withdrawn & Hearing & Related Procedures Be Terminated.With Certificate of Svc CLI-99-06, Order.* Joint Request for ten-day Extension of Schedule Set Forth in CLI-99-06 in Order to Facilitate Parties Settlement Efforts Granted,With Exception of Date of Hearing. with Certificate of Svc.Served on 9904071999-04-0707 April 1999 Order.* Joint Request for ten-day Extension of Schedule Set Forth in CLI-99-06 in Order to Facilitate Parties Settlement Efforts Granted,With Exception of Date of Hearing. with Certificate of Svc.Served on 990407 ML20205G0921999-04-0505 April 1999 Joint Motion of All Active Participants for 10 Day Extension to Permit Continuation of Settlement Discussion.* Participants Request That Procedural Schedule Be Extended by 10 Days.With Certificate of Svc ML20205G3091999-03-31031 March 1999 Petition That Individuals Responsible for Discrimination Against Contract Electrician at Plant as Noted in OI Rept 1-98-005 Be Banned by NRC from Participation in Licensed Activities for at Least 5 Yrs ML20204E6401999-03-24024 March 1999 Protective Order.* Issues Protective Order to Govern Use of All Proprietary Data Contained in License Transfer Application or in Participants Written Submission & Oral Testimony.With Certificate of Svc.Served on 990324 ML20204G7671999-03-23023 March 1999 Comment Supporting Proposed Rule 10CFR50.54(a) Re Direct Final Rule,Changes to QA Programs ML20207K1941999-03-12012 March 1999 North Atlantic Energy Svc Corp Participation in Proceeding.* Naesco Wished to Remain on Svc List for All Filings.Option to Submit post-hearing Amicus Curiae Brief Will Be Retained by Naesco.With Certificate of Svc ML20207H4921999-02-12012 February 1999 Comment on Draft Contingency Plan for Year 2000 Issue in Nuclear Industry.Util Agrees to Approach Proposed by NEI ML20203F9471999-02-0909 February 1999 License Transfer Application Requesting NRC Consent to Indirect Transfer of Control of Interest in Operating License NPF-86 ML20199F7641999-01-21021 January 1999 Answer of Montaup Electric Co to Motion of Ui for Leave to Intervene & Petition to Allow Intervention out-of-time.* Requests Motion Be Denied on Basis of Late Filing.With Certificate of Svc ML20199H0451999-01-21021 January 1999 Answer of Little Bay Power Corp to Motion of Ui for Leave to Intervene & Petition to Allow Intervention out-of-time.* Requests That Ui Petition to Intervene & for Hearing Be Denied for Reasons Stated.With Certificate of Svc ML20199D2461999-01-19019 January 1999 Supplemental Affidavit of Js Robinson.* Affidavit of Js Robinson Providing Info Re Financial Results of Baycorp Holding Ltd & Baycorp Subsidiary,Great Bay Power Corp. with Certificate of Svc ML20199D2311999-01-19019 January 1999 Response of New England Power Co to Answers of Montaup Electric Co & Little Bay Power Corp.* Nep Requests That Nep Be Afforded Opportunity to File Appropriate Rule Challenge with Commission Pursuant to 10CFR2.1329 ML20206R1041999-01-13013 January 1999 Answer of Little Bay Power Corp to Motion of New England Power Co for Leave to Intervene & Petition for Summary Relief Or,In Alternative,For Hearing.* with Certificate of Svc ML20206Q8451999-01-12012 January 1999 Written Comments of Massachusetts Municipal Wholesale Electric Co.* Requests That Commission Consider Potential Financial Risk to Other Joint Owners Associated with License Transfer.With Certificate of Svc.Served on 990114 ML20199A4741999-01-12012 January 1999 Answer of Montaup Electric Co to Motion of Nepco for Leave to Intervene & Petition for Summary Relief Or,In Alternative,For Hearing.* Nepco 990104 Motion Should Be Denied for Reasons Stated.With Certificate of Svc ML20206Q0151999-01-12012 January 1999 North Atlantic Energy Svc Corp Answer to Petition to Intervene of New England Power Co.* If Commission Deems It Appropriate to Explore Issues Further in Subpart M Hearing Context,Naesco Will Participate.With Certificate of Svc ML20199A4331999-01-11011 January 1999 Motion of United Illuminating Co for Leave to Intervene & Petition to Allow Intervention out-of-time.* Company Requests That Petition to Allow Intervention out-of-time Be Granted.With Certificate of Svc ML20198P7181998-12-31031 December 1998 Motion of Nepco for Leave to Intervene & Petition for Summary Relief Or,In Alternative,For Hearing.* Moves to Intervene in Transfer of Montaup Seabrook Ownership Interest & Petitions for Summary Relief or for Hearing ML20198P7551998-12-30030 December 1998 Affidavit of J Robinson.* Affidavit of J Robinson Describing Events to Date in New England Re Premature Retirement of Npps,Current Plans to Construct New Generation in Region & Impact on Seabrook Unit 1 Operation.With Certificate of Svc ML20195K4061998-11-24024 November 1998 Memorandum & Order.* North Atlantic Energy Services Corp Granted Motion to Withdraw Proposed Amends & Dismiss Related Adjudicatory Proceedings as Moot.Board Decision LBP-98-23 Vacated.With Certificate of Svc.Served on 981124 ML20155J1071998-11-0909 November 1998 NRC Staff Answer to North Atlantic Energy Svc Corp Motion for Leave to File Reply.* Staff Does Not Object to North Atlantic Energy Svc Corp Motion.With Certificate of Svc ML20155D0041998-10-30030 October 1998 Motion for Leave to File Reply.* Licensee Requests Leave to Reply to Petitioner 981026 Response to Licensee 981015 Motion to Terminate Proceedings.Reply Necessary to Assure That Commission Is Fully Aware of Licensee Position ML20155D0121998-10-30030 October 1998 Reply to Petitioner Response to Motion to Terminate Proceedings.* Licensee Views Segmentation Issue as Moot & Requests Termination of Subj Proceedings.With Certificate of Svc ML20155B1641998-10-26026 October 1998 Response to Motion by Naesco to Withdraw Applications & to Terminate Proceedings.* If Commission Undertakes to Promptly Proceed on Issue on Generic Basis,Sapl & Necnp Will Have No Objection to Naesco Motion.With Certificate of Svc ML20154K8751998-10-15015 October 1998 Motion to Withdraw Applications & to Terminate Proceedings.* NRC Does Not Intend to Oppose Motion.With Certificate of Svc ML17265A8071998-10-0606 October 1998 Comment on Integrated Review of Assessment Process for Commercial Npps.Util Endorses Comments Being Provided by NEI on Behalf of Nuclear Industry ML20154C8171998-10-0606 October 1998 Notice of Appointment of Adjudicatory Employee.* Notice Given That W Reckley Appointed as Commission Adjudicatory Employee to Advise Commission on Issues Related to Review of LBP-98-23.With Certificate of Svc.Served on 981006 CLI-98-18, Order.* Grants Joint Motion Filed by Naesco,Sapl & Necnp for Two Week Deferral of Briefing Schedule Set by Commission in CLI-98-18.With Certificate of Svc.Served on 9810061998-10-0505 October 1998 Order.* Grants Joint Motion Filed by Naesco,Sapl & Necnp for Two Week Deferral of Briefing Schedule Set by Commission in CLI-98-18.With Certificate of Svc.Served on 981006 ML20153H4471998-10-0101 October 1998 Joint Motion of Schedule Deferral.* Naesco,Sapl & Necnp Jointly Request Temporary Deferral of Briefing Schedule as Established by Commission Order of 980917 (CLI-98-18). with Certificate of Svc ML20154F9891998-09-29029 September 1998 License Transfer Application Requesting Consent for Transfer of Montaup Electric Co Interest in Operating License NPF-86 for Seabrook Station,Unit 1,to Little Bay Power Corp ML20154D7381998-09-21021 September 1998 Affidavit of FW Getman Requesting Exhibit 1 to License Transfer Application Be Withheld from Public Disclosure,Per 10CFR2.790 ML20153C7791998-09-18018 September 1998 Comment Supporting Proposed Rule 10CFR50 Re Reporting Requirements for Nuclear Power Reactors.Util Endorses NRC Staff Focus on Operability & Funtionality of Equipment & NEI Comments ML20151Z5611998-09-18018 September 1998 Order.* Pursuant to Commission Order CLI-98-18 Re Seabrook Unit 1 Proceeding,Schedule Described in Board 980904 Memorandum & Order Hereby Revoked Pending Further Action. with Certificate of Svc.Served on 980918 ML20151Y0331998-09-17017 September 1998 Order.* All Parties,Including Util,May File Brief No Later than 981007.Brief Shall Not Exceed 30 Pages.Commission May Schedule Oral Argument to Discuss Issues,After Receiving Responses.With Certificate of Svc.Served on 980917 ML20153E8771998-09-16016 September 1998 Comment Opposing Draft NUREG-1633, Assessment of Use of Potassium Iodide (Ki) as Protective Action During Severe Reactor Accidents. Recommends That NRC Reverse Decision to Revise Emergency Planning Regulation as Listed 1999-09-02
[Table view] Category:PUBLIC COMMENTS ON PROPOSED RULES & PETITIONS FOR
MONTHYEARML20211L5141999-09-0202 September 1999 Comment on Draft Reg Guide DG-4006, Demonstrating Compliance with Radiological Criteria for License Termination. Author Requests Info as to When Seabrook Station Will Be Shut Down ML20211J1451999-08-24024 August 1999 Comment Opposing NRC Consideration of Waiving Enforcement Action Against Plants That Operate Outside Terms of Licenses Due to Y2K Problems ML20211J1551999-07-30030 July 1999 Comment Opposing That NRC Allow Seabrook NPP to Operate Outside of Technical Specifications Due to Possible Y2K Problems ML20204G7671999-03-23023 March 1999 Comment Supporting Proposed Rule 10CFR50.54(a) Re Direct Final Rule,Changes to QA Programs ML20207H4921999-02-12012 February 1999 Comment on Draft Contingency Plan for Year 2000 Issue in Nuclear Industry.Util Agrees to Approach Proposed by NEI ML17265A8071998-10-0606 October 1998 Comment on Integrated Review of Assessment Process for Commercial Npps.Util Endorses Comments Being Provided by NEI on Behalf of Nuclear Industry ML20153C7791998-09-18018 September 1998 Comment Supporting Proposed Rule 10CFR50 Re Reporting Requirements for Nuclear Power Reactors.Util Endorses NRC Staff Focus on Operability & Funtionality of Equipment & NEI Comments ML20153E8771998-09-16016 September 1998 Comment Opposing Draft NUREG-1633, Assessment of Use of Potassium Iodide (Ki) as Protective Action During Severe Reactor Accidents. Recommends That NRC Reverse Decision to Revise Emergency Planning Regulation as Listed ML20248L4071998-06-0505 June 1998 Comment on 980506 North Atlantic Energy Svc Corp License Exemption Request for Changes to TS to Permit 24 Month Refueling Cycle at Seabrook.Requested Exemption Involves No Significant Hazards Considerations ML20248J6751998-06-0101 June 1998 Comment Opposing Proposed GL Re Guidance on Storage, Preservation & Safekeeping of Quality Assurance Records in Electronic Media ML20248J5101998-05-29029 May 1998 Comment Supporting NRC Proposed GL, Augmented Insp of Pressurized-Water Reactor Class 1 High Pressure Safety Injection Piping ML20248C5861998-05-22022 May 1998 Comment Opposing Several Requests for License Changes That Appeared in Fr on 980422,pp 19972-74 ML20217N3091998-04-0202 April 1998 Comment on Proposed Rule 10CFR50 Re Industry Codes & Stds: Amended Requirements 10CFR50.55a,Requirements for ISI & IST of NPP Components ML20217H2981998-03-27027 March 1998 Comment Opposing Proposed GL, Laboratory Testing of Nuclear Grade Activated Charcoal, Issued for Comment on 970225. Requests That NRC Consider Impact & Feasibility for Industry to Implement Requirements of GL ML20216C1461998-03-0505 March 1998 Comment Opposing Proposed GL, Yr 2000 Readiness of Computer Sys at Npps ML20203L6071998-02-27027 February 1998 Comments Re Draft Reg Guide DG-5008 (Proposed Rev to Reg Guide 5.62) Reporting of Safeguards Events ML20204A7571997-11-24024 November 1997 Comment Supporting Proposed Rule 10CFR50 Re Financial Assurance Requirements for Decommissioning Nuclear Power Reactors ML20211H4231997-09-30030 September 1997 Comment Supporting Draft NUREG-1602 & DG-1061 & Encourage NRC to Carefully Consider Comments as Well as Encl Comments ML20141G9691997-07-0303 July 1997 Comment Opposing NUREG-1606 Re Proposed Regulatory Guidance Related to Implementation of 10CFR50.59.Licensee Supports Approach Proposed by Nuclear Energy Inst ML20148N0561997-06-19019 June 1997 Comment on Proposed Supplement to NRC Bulletin 96-001, Control Rod Insertion Problems. North Atlantic Endorses Concerns & Considerations Presented on Topic by NEI, Westinghouse & Wog,Specifically Control Rod Testing ML20077M7431994-12-27027 December 1994 Comment Supporting Proposed Rule 10CFR50 Re Shutdown & Lower Power Operations for Nuclear Reactors ML20078N0281994-11-30030 November 1994 Comment Supporting NRC Initiative to Issue GL to Reconsider Positions Re Certain Security Measures to Protect Against Internal Threats at Npp.Supports Comments Presented by NEI ML20071H0761994-06-29029 June 1994 Comment Supporting Petition for Rulemaking PRM-50-60 Which Requested That NRC Change Frequency That License Conducts Independent Reviews of Emergency Preparedness Program from Annually to Biannually ML20057F7181993-09-13013 September 1993 Comment Supporting Proposed Rule 10CFR50 Re Emergency Planning & Preparedness Exercise Requirements ML20045F7841993-06-18018 June 1993 Comment on Proposed Rule 10CFR55 Re Exam Procedures for Operator Licensing.Opposes Rule ML20245K4201989-08-0707 August 1989 Comments on Draft Reg Guide,Task DG 1003, Assuring Availability of Funds for Decommissioning Nuclear Reactors. Funding Schedules Should Continue to Be Developed by Utils. Recommends That App B 3.1 Be Revised to Read as Stated ML20248B6201989-08-0202 August 1989 Comments on Draft Reg Guide, Assuring Availability of Funds for Decommissioning Nuclear Reactors. NRC Should Permit Use of Potential Tax Refund as Source of Decommissioning Funds ML20246H8851989-07-0606 July 1989 Comment Opposing Proposed Rule 10CFR50, Acceptance of Products Purchased for Use in Nuclear Power Plant Structures,Sys & Components ML20235T3581989-02-27027 February 1989 Comment Opposing Proposed Rule 10CFR50 Re Maint Programs for Nuclear Power Plants.Util Endorses Comments Filed by NUMARC & Nuclear Util Backfitting & Reform Group.Rule Fails to Provide Basis for Determining Effective Maint Program ML20196D0091988-11-0303 November 1988 Forwards Constituent Rj Perry Comments Opposing Proposed Rule 10CFR50 Re Emergency Planning & Preparedness Requirements for Nuclear Power Plant Fuel Loading & Initial Low Power Operations ML20205Q1501988-10-28028 October 1988 Comment on Proposed Rule 10CFR50 Re NUREG-1317, Regulatory Options for Nuclear Plant License Renewal. Safety Sys Functional Insps & Configuration Mgt Programs Support Renewal Basis as Opposed to Relicensing Process ML20151L9621988-07-26026 July 1988 Comment Opposing Proposed Rules 10CFR170 & 171 Re Revs of Fee Schedules.Requests That Commissioners Reexamine NRC Current Budgetary Processes in Order to Provide Greater Assurance of Reasonable Correlation Between Svcs & Costs ML20151H3561988-07-22022 July 1988 Comment Opposing Proposed Rule 10CFR50 Re Emergency Planning & Preparedness Requirements for Nuclear Power Plant Fuel Loading & Initial Low Power Operations ML20150E8641988-07-11011 July 1988 Comment Opposing Proposed Rule 10CFR50 Re Emergency Planning & Preparedness Requirements for Nuclear Power Plant Fuel Loading & Initial Low Power Operations ML20150E8681988-07-0606 July 1988 Comment Opposing Proposed Rule 10CFR50 Re Emergency Planning & Preparedness Requirements for Nuclear Power Plant Fuel Loading & Initial Low Power Operations ML20150C4781988-07-0101 July 1988 Comment Opposing Proposed Rule 10CFR50 Re Emergency Planning & Preparedness Requirements for Nuclear Power Plant Fuel Loading & Initial Low Power Operations ML20150C0131988-06-28028 June 1988 Comment Supporting Proposed Rule 10CFR50 Re Emergency Planning & Preparedness Requirements for Nuclear Power Plant Fuel Loading & Initial Low Power Operations ML20196K2431988-06-25025 June 1988 Comment Supporting Proposed Rule 10CFR50 Re Emergency Planning & Preparedness Requirements for Nuclear Power Plant Fuel Loading & Initial Low Power Operations ML20196L2631988-06-24024 June 1988 Comment Opposing Proposed Rule 10CFR50 Re Emergency Planning & Preparedness Requirements for Nuclear Power Plant Fuel Loading & Initial Low Power Operations ML20196K8161988-06-24024 June 1988 Comment Opposing Proposed Rule 10CFR50 Re Emergency Planning & Preparedness Requirements for Nuclear Power Plant Fuel Loading & Initial Low Power Operations ML20196F2101988-06-23023 June 1988 Comment Supporting Proposed Rule 10CFR50 Re Emergency Planning & Preparedness Requirements for Nuclear Power Plant Fuel Loading & Initial Low Power Operations ML20196F2131988-06-23023 June 1988 Comment Supporting Proposed Rule 10CFR50 Re Emergency Planning & Preparedness Requirements for Nuclear Power Plant Fuel Loading & Initial Low Power Operations ML20196F3111988-06-23023 June 1988 Comment Supporting Proposed Rule 10CFR50 Re Emergency Planning & Preparedness Requirements for Nuclear Power Plant Fuel Loading & Initial Low Power Operations ML20196F2671988-06-23023 June 1988 Comment Supporting Proposed Rule 10CFR50 Re Emergency Planning & Preparedness Requirements for Nuclear Power Plant Fuel Loading & Initial Low Power Operations ML20196G2591988-06-23023 June 1988 Comment Supporting Proposed Rule 10CFR50 Re Emergency Planning & Preparedness Requirements for Nuclear Power Plant Fuel Loading & Initial Low Power Operations ML20196F0911988-06-23023 June 1988 Comment Supporting Proposed Rule 10CFR50 Re Emergency Planning & Preparedness Requirements for Nuclear Power Plant Fuel Loading & Initial Low Power Operations ML20196F2951988-06-23023 June 1988 Comment Supporting Proposed Rule 10CFR50 Re Emergency Planning & Preparedness Requirements for Nuclear Power Plant Fuel Loading & Initial Low Power Operations ML20196F1641988-06-23023 June 1988 Comment Supporting Proposed Rule 10CFR50 Re Emergency Planning & Preparedness Requirements for Nuclear Power Plant Fuel Loading & Initial Low Power Operations ML20196F0961988-06-23023 June 1988 Comment Supporting Proposed Rule 10CFR50 Re Emergency Planning & Preparedness Requirements for Nuclear Power Plant Fuel Loading & Initial Low Power Operations ML20196F2591988-06-23023 June 1988 Comment Supporting Proposed Rule 10CFR50 Re Emergency Planning & Preparedness Requirements for Nuclear Power Plant Fuel Loading & Initial Low Power Operations 1999-09-02
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>f Atlantic l i Se b FM JUN 24 PH 1:(Shrook,NH 474 9321 03874 37 W Of br) RULES & Dg gpg{Q4 Northeast Utilities System US NRC June 19,1997 Docket No. 50-443 NYN 97066 l
l Chief, Rules Review and Directives Branch United States Nuclear Regulatory Commission Mail Stop T-6D-69 l Washington, DC 20555-0001
- Seabrook Station l Comments on Prooosed NRC Bulletin 96-01. Sucolement 1
( (Control Rod Insertion Problems) l This letter forwards North Atlantic Energy Service Corporation's comments on the proposed supplement to Nuclear Regulatory Commission (NRC)Bulletin 96-01 (62 Fed. Reg 27629, S/20/97). North Atlantic Energy Service Corporation (North Atlantic), is the managing agent for Seabrook Station.
l The proposed supplement requests all licensees of Westinghouse and Babcock & Wilcox designed piams to ensure the operability of control rods during operations. This would be accomplished by i erifying the full insertion and rod drop times of control rods in fuel assemblies that exceed prescribed burnup levels, and repeating this testing periodically until the end-of-cycle. In addition, the proposed supplement suggests end-of-cycle rod drop time tests and drag testing of all rodded fuel assembhes should be performed.
i Seabrook Station is currently shutdown for its fifth refueling outage, and expects to return to service l
before the end of this month. During its next cycle (from July,1997 to March,1999), the peak rodded fuel assembly burnup (without IFM grids) is expected to be about 50,000 MWD /MTU. Under the proposed bulletin supplement, Seabrook Station would have to shutdown for rod drop testing after 35,000 MWD /MTU burnup for the highest burnup rodded fuel assembly (expected to occur in February, 1998), and to repeat this evolution every 2,500 MWD /MTU burnup thereafter (about every two months).
As a result, Seabrook Station would be directly affected by the proposed requirements.
North Atlantic endorses the concerns and considerations presented on this topic by the Nuclear Energy Institute (NEI), Westinghouse, and the Westinghouse Owners Group (WOG). Specifically, the control rod testing, as currently proposed by the NRC, affects over fifty nuclear units and would necessitate a number of several day shutdowns for each unit. The increased number of reactor shutdowns and startups necessary for control rod testing will have a significant operational and economic impact on Seabrook i
Station, and for the nuclear industry. It would interrupt power generation, increase the potential for inadvertent plant transients, and place added stresses on fuel and mechanical equipment, without any net
! safety benefit, t l
Ullil.lil.ill.illlil.ill!l.llki.l 9706260030 970619 PDR I&E MISC PDR
1 U. S. Nuclear Regulatory Commission ;
, NYN-97066/Page 2 North Atlantic requests that consideration or clarification be provided prior to issuance of the bulletin I supplement in the areas noted in Attachment 1. Also, North Atlantic has det.imined that it is likely that 1 the periodic shutdowns to do testing (due to the challenges to the trip sysem as the plant transitions from 100% to 0% power and back to full power) is greater than the reduction i.1 risk from detecting sticking control rod conditions. Accordingly, the NRC should apply Backfit Rile guidance in determining whether or not Bulletin 96-01, Supplement I should be issued to licensces.
Nortb Atlantic believes that the appropriate approach to resolving this issue is to conduct rod drop testing (for radded fuel assemblies that have exseeded 35,000 - 40,000 MWD /MTU burnup) at any outage (planned or unplanned) and to further conduct drag testing at scheduled refueling outages. The time frame for this testing sh1uld be limited to two years, absent any regulatory concern that might develop i
based on test results. Fo the large number of plants involved, this period would provide a substantial database ofinformation fc r NRC staff assessment.
1 The impact of foicing Seetrook Station to shutdown to perform rod drop testing is significant, and especially during summer months in New England when power restrictions (e.g. demand exceeding supply) are likely to occur in 1997 and beyond. If Seabrook has to shutdown six times during its next cycle, it is estimated that the economic impact could be over $10 million during the next cycle alone.
] '
This total impact consists of replacement power costs and increased production costs (due to operating and maintenance and station service costs incurred during the non-productive periods).
Should you have any questions regarding this response, please contact Mr. Terry L. Harpster, Director of Licensing Services, at (603) 773-7765.
Very truly yours, 1
NORTH AT TIC ENERGY S RVICE CORP.
1
- grdh./
3 C. Feigeg96um Executive Vice Pres" t
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and Chief Nuclear Officer l i
cc: Mr. II. J. Miller, Region I Administrator Mr. A. W. De Agazio, Sr. Project Manager Mr. W. T. Olsen, NRC Senior Resident inspector Document Control Desk U. S. Nuclear Regulatory Commission Washington, DC 20555 Westinghouse Owners Group c/o Westinghouse Electric Corporation P. O. Box 355 Pittsburgh, PA 15230-0355
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l Attachment I
! Seabrook Station, Unit No. I Detailed Comments na Proposed NRC Bulletin 96-01. Supplement 1 (Control Rod Insertion Problems) 1 l
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1
! Enclosure Detail Comments Proposed NRC Bulletin 96-01. SupolementJ.
(Control Rod Insertion Problems)
The following comments are provided to address the Safety, Operations, Fuel Cycle Design, and Economic impact of the proposed bulletin supplement.
Ooerations Imoact Incomplete rod insertion (IRI) is a known phenomenon and specific data has been obtained at the plants where IRI occurred. Additionally, fuel assembly drop time and drag testing at Seabrook Station and l throughout the industry has provided further understanding ofIRI.
Ilowever, it seems that some of the additional requirements in the supplement are based only on testing and are not based on data taken following an IRI occurrence. An example of this is that the bulletin implies that the top spans of fuel might be the most susceptible to IRI, however, as the Westinghouse ,
Owners Group has indicated, there is no data which supports this conclusion. !
The stuck rod risk has several components to it: (1) the frequency of a single or multiple stuck rods - )
with and without high burnup;(2) the consequence of single or multiple stack rods; and (3) the value of !
periodic rod drop testing. Each of these items is addressed below.
i 1
a) Generic Probability of Stuck Rod. For Seabrook Station, the probability of a stuck rod is 3.3E-5 per l demand, based on generic data used in the Seabrook Station Individual Plant Exarnination (IPE) approved earlier by the NRC, and the probability of two (or more) of the 57 assemblies being stuck is 5.4E-6 per demand. The recent industry operational data does not give us any basis for updating the probability of rods failing to insert since the events that occurred would be classified as successes l from a functional standpoint. It would be only speculation to try to extrapolate these events to the l
condition of multiple rods failing to function. l b) Consequence of a Stuck Rod. For a stuck rod to have any impact on reactivity, it would have to be stuck well out of the core. Also, UFSAR Chapter 15 analysis assumes a single stuck rod. Thus the event would have to be multiple rods, stuck well out of the core. The consequences of multiple rods failing to insert, given a trip demand, would be ATWS - overpower in the primary side compared to the secondary side. With a loss of feedwater, this could lead to vessel integrity challenge or long-term criticality concerns if boration from the RWST is not successful.
For Seabrook Station, an IRI assessment for its next cycle (Cycle 6) shows minimum shutdown margin would be lost if all RCCAs stuck at 20 steps (far more than the experience at Wolf Creek or South Texas plants) withdrawn in assemblies of exposure greater than 35,000 MWD /MTU. The excess shutdown margin available at Seabrook is much more than the reactivity margin that would be lost with stuck control rods. The assessment also determined a potential loss in instantaneous scram reactivity. This loss is completely bounded by the difference between the minimum cycle 6 scram reactivity and the analysis limit.
Page1
i . .
c) Value of Rod Drop Testing. The primary value to the NRC in rod drop testing appears to be to detect the onset of rod " sticking"- assuming this is a progressive condition - that sticking a few steps from the bottom of the core is an early indication of rods not inserting at all. That premise has not been established. It is not clear that the process of dropping rods has any benefit beyond establishing whether they work (ae exercising a valve does).
Safety Imoact The risk of incomplete rod insertion has not been compared to the risk of forcing plants to perform the additional shutdowns necessary to perform the proposed control rod testing. For Seabrook Station the requirements of the bulletin would result in six additional shutdowns during the next cycle.
- Evaluation - Multiple Shutdown - Startup Cycles To perform the rod drop testing, the plant must be in Mode 3. Thus, for each test, the plant I must transition from 100% power to Mode 3 and then back to power. This transition mode l
risk, for a controlled shutdown, has been estimated by determining the probability of a trip given a controlled shutdown and using the conditional probability of a core damage accident given a plant trip. This assessment reveals that there is a small risk increase in performing these tests.
There are other potential risk impacts that are difficult to quantify, such as the impact on long term reliability of plant equipment due to the shutdown and startup stresses and the potential for an ATWS from the very condition the test is being run to detect. Additionally, l multiple shutdowns unnecessary challenge the operators with no resultant net safety benefit.
Any potential risk benefits appear to be marginal at best, and largely unknown.
Given that the risk is greater for having to cycle the plant for rod drop testing, than to continue operations, there is no risk benefit to the proposed Bulletin 96-01, Supplement 1.
Economic Imoact The impact of forcing Seabrook Station to shutdown to perform rod drop testing is significant, and especially during summer months in New England when power restrictions (e.g. demand exceeding supply) are likely to occur in 1997 and beyond. If Seabrook has to shutdown six times during its next cycle, it is estimated that the economic impact could be over $10 million during the next cycle alone.
This total impact consists of replacement power costs and increased production costs (due to operating and maintenance and station service costs incurred during the non-productive periods).
Fuel Cycle Impact it is reasonable to expect that utilities will seek to develop alternative core loading patterns that could eliminate, os reduce, the number of times that shutdown would need to occur to conduct rod drop testing.
Alternative loading patterns would allow the highest assembly burnup to be reduced, and thereby l avoiding potential shutdowns for testing. Ilowever, these loading patterns introduce higher (Fall) i peaking factors (lower DNB margin) that, while within the licensing envelope, provide minimal l operating margin for plant operators. This matter is far more important from operational and safety perspectives than periodic shutdown for rod drop testing.
Page 2 l
After review of the proposed supplement, we request that consideration or clarification be provided in the areas noted below.
- 1. Our interpretation of the bulletin is that the specified burnup levels / criteria for testing apply to the individual fuel assembly burnups and not the core average burnup. Is this interpretation correct?
- 2. The bulletin has proposed criteria of "approximately 2,500 MWD /MTU" as an acceptable testing interval. North Atlantic would intend to treat this similar to a surveillance interval and place a 25%
grace period on the interval. This same grace period (e.g. i 25% of 2,500 MWD /MTU) would also apply to the 35,000 MWD /MTU trigger. Is this acceptable?
- 3. Our interpretation of the bulletin is that any rod drop test performed in the last 2,500 MWD /MTU is sufficient to meet the test interval criterion for a rodded fuel assembly. This would allow enveleping assemblies rather than requiring each fuel assembly to be tested as they pass the burnup level. Is this interpretation correct? -
- 4. Our interpretation of the bulletin is that testing (i.e., rod drop time tests) is required to be perfonned only for control rods in fuel assemblies which have exceeded the burnup levels, not for all control rods. Is this interpretation correct?
- 5. Is a safety analysis assuming multiple stuck rods, or I stuck rod plus suspect control rods not fully inserted, acceptable to allow cycle operation without testing at the stated intervals?
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