ML20154D761
| ML20154D761 | |
| Person / Time | |
|---|---|
| Issue date: | 05/10/1988 |
| From: | Kerr W Advisory Committee on Reactor Safeguards |
| To: | Zech L NRC COMMISSION (OCM) |
| References | |
| FRN-52FR6334, RULE-PR-50 AC44-2-09, AC44-2-9, ACRS-R-1301, NUDOCS 8805190331 | |
| Download: ML20154D761 (2) | |
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UNITED SYATES 1
NUCLEAR REGULATORY COMMISSION n
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.,I ADVISORY COMMITTEE ON REACTOR SAFEGUARD 3 L
o WASHINGTON, D, C. 2o666 May 10, 1988 E
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The Honorable Lando W. Zech, Jr.
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3 Chairman U.S. Nuclear Regulatory Comissien Washington, D.C.
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Dear Chairman Zech:
SUBJECT:
PROPCSED REVISION OF THE ECCS RULE CONTAINED IN 10 CFR 50.46 AND APPENDIX X During the 337th meeting of the Advisory Committee on Reactor Safe-guards, May 5-7, 1938, we met with members of the NRC Staff and reviewed the final version of the proposed revision to the emergency core cooling system (ECCS) rule contained in 10 CFR 50.46 and Appendix K.
Our l
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Subcomittee on Thermal Hydraulic Phenomena met on April 20, 1988 to discuss this matter.
We also had the benefit of discussions with the NRC Staff and of the documents referenced.
The ACRS previously coment-i ed on the proposal to issue this rule for public coment in a letter dated September 16, 1986.
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l The proposed revision to the ECCS rule will eliminate the requirement to 4
use the models specified in Appendix K and allow use of realistic models j
combined with an uncertainty analysis of the overall calculation.
t Certain criteria in 10 CFR 50.46, such as 2200'F peak cladding tempera-I ture and 17% cladding oxidation, would be maintained.
Tne re[ulatory
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guide which will accompany the revised rule describes features of a l
realistic evaluation model acceptable to the NRC Staff and contains l
guidance on performing the necessary associated unt.ertainty evaluation.
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No changes have been proposed to the final rule version as a result of the public coments received.
The regulatory guide has been modified 7
somewhat to clarify the NRC Staff's intent in certain areas.
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The ACRS has long advocated use of best estimate or realistic evalua-t
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tions for safety analysis. We believe the proposed rule is a major step q
forward in this effort, and we support its adoption.
We wish to note j
the following points:
' Work to demonstrate the Code Scaling Applicability, and Uncer.
1 tainty (CSAU) method for the peak cladding temperature calculated to occur in the reflood phase of a large break LOCA has not been l
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completed.
This will be needed to establish guidelines for Staff review of future licensee submittals under the new rule. While the l
CSAU nethod hat been reasonably demonstrated for the so-called l
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(Mom o33 4
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The Honorable Lando W. Zech, Jr. May 10,1988 i
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blowdown peak, application to the reflood demonstration will be l
3 mort difficult.
We do not object to plans to proceed with promulgation of the rule change, but we would like to be kept informed about the development of and allowance for uncertainty in j
the retiond peak tenterature.
- We note that the draf t Federal Register notice provided to support j
i the rule change has eliminated reference to any claimed safety i
edventages for the rule.
We believe the safety 6dvantages are 1
substantial.
f Additional coments by ACRS Member Harold W. Lewis are presented below.
l Sincerely, i
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W. Kerr i
l Chairman i
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j Additional Coments by ACRS Member Harold W. Lewis i
I have no quarrel with the Comittee's letter, but want to seize the 1
opportunity to reinforc( a point that has been made before.
It is j
stimulated by unsatisfactory answers to questions at the presentation to I
tne Comittee.
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l The CSAU "methocology" purports to be a systematic procedure for esti-mating the uncertainty in code calculations.
That is a laudable objec-tive, hnd its achievement would be even more laudable.
It would be j
i helpful if, in so doing, there were less confusion between the concepts of uncertainty and a probability distribution, and lest misuse of the term "confiderice limits."
These objectives will not be reached unless j
some professional statisticians become involved.
In this case, it is of 1
more than usual importance, since the uncertainty is directly related to the acceptable level of conservatism which must be added to the realis-I tic calculations.
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References:
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U.S.
Nuclear Regulatory Comission, Draft SECY paper for the Commissioners from V.
Stello. EDO, "Revision to the ECCS Rule Contained in Appendix K and Section 50.46 of 10 CFR Part 50,"
provided to the ACRS, April 20, 1980.
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U.S. Nuclear Regulatory Comission, Dref t NUREG 1230 "Compendium of ECCS Research for Realistic LOCA Analysis," Office af Nuclear 1
Regulatory Research, dated April 1987, i
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