ML20154P845

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Confirms 860310 Telcon Re Citing of Items B.1 & B.2 Concerning Flow for Effluent Vent Samplers & Use of Silicone Sealant on Ductwork in Attachment 1 to Low Power OL Transmitted by 860306 Memo.Items Deleted
ML20154P845
Person / Time
Site: Perry FirstEnergy icon.png
Issue date: 03/17/1986
From: Stefano J
Office of Nuclear Reactor Regulation
To: Knop R
NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION III)
References
NUDOCS 8603200430
Download: ML20154P845 (1)


Text

4 MAR 171986 MEMORANDUM FOR: Richard C. Knop, Division of Reactor Projects Region III FROM: John J. Stefano, Project Manager O BWR Project Directorate No. 4 Division of BWR Licensing h g-

SUBJECT:

ATTACHMENT 1 TO PERRY LICENSE Attachment 1 to the Perry Unit 1 low power operating license was transmitted to NRR by memorandum (C.E. Norelius to R.M. Bernero) dated March 6, 1986. During our telephone conversation on March 10th, we discussed the need to cite Items B.1 and B.2 in Attachment 1 to the license. This memorandum serves to document that telephone conversation and agreements recorded subsequent thereto.

Attachment 1 Item B.1 requires CEI to demonstrate that the sample flow for the radioactive and particulate effluent vent samplers are representative as stated in Section 11.5 of SSER No. 8, and that this work be completed prior to completion of the first refueling outage. Item B.2 requires CEI to resolve the use of sili-cone sealant on ductwork as delineated in Region III Inspection Report 50-440/85006, Item 04, and to also settle this matter prior to completion of the first refueling outage.

With respect to Item B.1, I pointed out that it is stated in Section 11.5 of SSER No. 8 that: "The applicant has agreed to perform ... measurements on their radio-iodine and particulate sampling systems ... if the NRC staff concludes that such measurements are necessary for these systems"; and that: The staff finds the high range effluent sampling system acceptable for interim use pending development of definitive guidance by the staff on line-loss determination." In view of these statements, I indicated that there is presently no requirement to have CEI do any work on radiciodine and particulate effluent vent samplers proposed by Region III for inclusion in Attachment 1 to the license. Accordingly it should be deleted from Attachment 1.

In regard to Item B.2, I indicated that CEI has committed (in the FSAR, Appendix

18) to demonstrate the integrity of the silicone sealant in accordance with the program found acceptable by the NRR staff (see Section 6.5 of SSER No. 8). As such we see no need to reiterate that commitment in Attachment 1 to the license as proposed by Region III, and Item B.2 should be deleted.

On March lith, you advised that Region III management agreed to have Items B.1 and B.2 deleted from Attachment 1 to the license. I have accordingly done so in finalizing the license.

Ortsinet msned by John J. Stefano, Project Manager A h 050860317 0 BWR Project Directorate No. 4 Division of BWR Licensing cc: H. R. Denton DISTRIBUTION R. M. Bernero  ; Docket File W. R. Butler 'NRC PDR' J. P. Keppler Local PDR C. E. Norelius PD#4 Reading

/ R. K. Warnick JStefano f MRushbrook

/PM PD#4/D fano:lb WButler i

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