ML20196G138
ML20196G138 | |
Person / Time | |
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Site: | North Anna |
Issue date: | 11/03/1998 |
From: | NRC (Affiliation Not Assigned) |
To: | |
Shared Package | |
ML20196G120 | List: |
References | |
GL-90-05, GL-90-5, NUDOCS 9812070259 | |
Download: ML20196G138 (11) | |
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UNITED STATES NUCLEAR REGULATORY COMMISSION ,
$ ! WASHINGTON, D.C. 3000H001 s...../ l SAFETY EVALUATION BY THE OFFICE OF NUCLEAR REACTOR REGULATION REVISION TO THE REQUEST FOR APPROVAL TO REPAIR FLAWS IN ACCORDANCE WITH GENERIC LETTER 90-05 FOR ASME CODE CLASS 3 SERVICE WATER PIPING I VIRGINIA ELECTRIC AND POVER COMPANY NORTH ANNA POWER STATION. UNITS 1 AND 2 DOCKET NOS.: 50-338 AND 50-339
1.0 INTRODUCTION
10 CFR 50.55a(g) requires nuclear power facility piping and components to meet the applicable requirements of Section XI of the American Society of Mechanical Engineers (ASME) Boiler and Pressure Vessel Code (hereafter referred to as the Code).Section XI of the Code specifies Code-acceptable repair methods for flaws that exceed Code acceptance limits in piping that is in-service. A Code repair is required to restore the structural integrity of flawed Code piping, independent of the operational mode of the plant when the flaw is detected. Those repairs not in compliance with Section XI of the Code are non-Code repairs. However, the implementation of l required Code (weld) repairs to ASME Code Class 1,2 or 3 systems is often impractical for l nuclear licensees since the repairs normally require an isolation of the system requiring the repair, and often a shutdown of the nuclear power plant.
l Attematives to Code requirements may be used by nuclear licens3es when authorized by the l Director of the Office of Nuclear Reactor Regulation if the proposed attematives to the requirements are such that they are shown to provide an acceptable level of quality and safety in lieu of the Code requirements [10 CFR 50.55a(a)(3)(1)], or if compliance with the Code requirements would result in hardship or unusual difficulty without a compensating increase in the level of quality and safety [10 CFR 50.55a(a)(3)(ii)].
l A licensee may also submit requests for relief from certain Code requirements when a licensee j has determined that conformance with certain Code requirements is impractical for its facility [10 i
CFR 50.55a(g)(5)(iii)). Pursuant to 10 CFR 50.55a(g)(6)(l), the Commission will evaluate determinations of impracticality and may grant relief and may impose attemative requirements as it determines is authorized by law.
Enclosure 9812070259 981109 -
gDR ADOCK 05000538 PDR
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2 Generic Letter (GL) 90-05, " Guidance for Performing Temporary Non-Code Repair of ASME Code Class 1,2 and 3 Piping," dated June 15,1990, provides guidance for the staff in evaluating relief requests submitted by licensees for temporary non-Code repairs of Code Class 3 piping. For the purposes of the GL, impracticality is defined to exist if the flaw detected during l plant operation is in a section of the Class 3 piping that cannot be isolated for completing a code repair within the time period permitted by the limiting condition for operation of the affected system as specified in the plant TS and performance of the Code repair necessitates a plant shutdown.
2.0 BACKGROUND
L Virginia Electric and Power Company (hereafter referred to as the licensee) diccovered at the l _ North Anna Power Station, Units 1 and 2, various locations with evidence of possible previous
- leakage on several lines of the shared service water system (SWS). A repair plan was i developed and implemented for all affected service water lines. In all cases, the licensee requested, pursuant to 10 CFR 50.55a(g)(6)(l), a relief from the ASME Code,Section XI replacement requirements. The licensee based its request for relief on the results of a "through-wall flaw" evaluation that was performed in accordance with the guidelines and acceptance criteria contained in GL 90-05. The NRC staff reviewed those requests and granted relief from the ASME Code requirements for each of the submitted reliefs. On February 24,1997, the licensee submitted a request for relief for certain stainless steellines of the SWS because the l failure mechanism of the previously identified leaks was determined to be microbiologically j l
induced corrosion (MIC). On August 8,1997, the licensee supplemented its relief request by i identifying each and every line for which the relief would be applied. The purpose of the generic request was to avoid the submittal of a specific relief request to the NRC for each additional pin hole leak or location with possible evidence of previous leakage that may be identifed during routine SWS piping walkdowns. The MIC monitoring program required walkdowns of the l accessible portions of the stainless steel service water piping to identify, monitor and quantify leakage. When a leak or evidence of previous leakage was identified, structural analysis and increased monitoring of the affected welds were implemented. Further, the program included l provisions for evaluating continued systern operability in accordance with GL 90-05 until !
appropriate Code repairs can be completed.
The NRC approved this relief on November 24,1997.
By its _ letter dated February 24,1998, as supplemented November 12,1998, the licensee submitted Revision 3 and Revision 4 to Revision 2 of relief request NDE-32, dated l February 24,1997. This revision contains several enhancements that could be made to the L original program. The specific changes contained in this revision are:
! 1. Performance of a Code repair in 14 days after discovery of the MIC-induced leaks, in l place of a structural analysis.
l 2.' The use of an attemate non-destructive examination technique. The licensee submitted
- examination techniques and the revised relief request would permit the use of either RT j or UT to evaluate the MIC-affected locations in the SWS.
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- 3. Minor program scope changes to correct discrepancies in the listing of the service water lines.
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3.0 LICENSEE'S RELIEF REQUEST i l
3.1 Components for Which Relief is Reauested I l
The following drawings containing the SWS line numbers for which a generic relief was sought were identified by the licensee.
DRAWING 11715-CBB-040D-2. SHEET 1 1-1/4"-WS-G37-153A-Q3 3/4"-WS-F83-163 3/4"-WS-F82-163-Q3 4"-WS-G01-163-Q3 4"-WS-F99-163-Q3 ;
1 DRAWING 11715-CBB-040D-2. SHEET 2 1 1-1/4"-WS H78-153A-Q3 1-1/4"-WS-H81-153A-Q3 DRAWING 11715-CBM-078A-2. SHEET 1 3/4"-WS-G31-163-03 3/4"-WS-H77-163-Q3 4"-WS-H76-163-Q3 i 3/4"-WS-G30-163-03 3/4"-WS-339-163-Q3 3/4"-WS-G36-163-03 l 3/4"-WS-930-163-Q3 %"-WS-F61-163-Q3 2"-WS-D72-163-Q3 l 3/4"-WS-F78-163-Q3 4"-WS-F63-163-Q3 3/4"-WS-F67-163-Q3 l 4"-WS-F64-163-Q3 3/4"-WS-F80-163-Q3 3/4"-WS-F68-163-Q3 4"-WS-F65-163-Q3 3/4"-WS-F69-163-Q3 8"-WS-93-163-Q3 8"-WS-94-163-Q3 4"-WS-F62-163-Q3 3/4"-WS-F66-163-Q3 3/4"-WS-F79-163-Q3 4"-WS-G35-163-Q3(*) 3/4"-WS-F81-163-Q3(*)
The two lines with (*) were added in Rev. 4.
DRAWING 11715-CBM-078A-2. SHEET 4 8"-WS-515-163-Q3 8"-WS-513-163-Q3 4"-WS-H48-163-Q3 3/4"-WS-H52-163-Q3 4"-WS-H50-163-Q3 3/4"-WS-H54-163-Q3 3/4"-WS-H67-163-Q3 3/4"-WS-G32-163-Q3 8"-WS-115-163-Q3 8"-WS-113-163-Q3 4"-WS-47-163-Q3 3/4"-WS-H60-163-Q3 3/4" WS-H62-163-Q3 4"-WS-56-163-03 8"-WS-114-163-Q3 8"-WS-516-163-Q3 8"-WS-514-163-Q3 3/4"-WS-F64-163-Q3 3/4"-WS-H53-163-Q3 3/4"-WS-H66-163-Q3 4"-WS-H51-163-Q3 3/4"-WS-H55-163-Q3 3/4"-WS-G33-163-Q3 8"-WS-116-163-Q3 4"-WS-46-163-Q3 2"-WS-926-163-Q3 3/4"-WS-H61-163-Q3 3/4"-WS-H63-163-Q3 4"-WS-57-163-Q3 4"-WS-H49-163-03(*)
3/4"-WS-H65-163-Q3(*)
The two lines with (*) were added in Rev. 4.
l 4 DRAWING 11715-CBM-078B-2. SHEET 1 1-1/2"-WS-346-163-Q3 1"-WS-G06-163-Q3 1-1/2"-WS-348-163-Q3 1"-WS-G05-163-Q3 1-1/2"-WS-350-163-Q3 1"-WS-G04-163-Q3 l 1-1/2"-WS-352-163-Q3 1"-WS-G03-163-Q3 1"-WS-347-163-Q3 l 1-1/2"-WS-347-163-Q3 1"-WS-349-163-Q3 1-1/2"-WS-349-163-Q3 )
1"-WS-351-163-Q3 1-1/2"-WS-351-163-Q3 1"-WS-353-163-Q3 1-1/2"-WS-353-163-Q3 The following four lines that were in Rev. 2 were deleted in Rev. 4.
3/4"-WS-351-163-Q3 3/4"-WS-347-163-Q3 3/4"-WS-349-163-Q3 3/4"-WS-353-163-Q3 DRAWING 11715-CBM-078B-2. SHEET 3 1-1/2"-WS-724-163-Q3 1"-WS-933-163-Q3 1-1/2"-WS-726-163-Q3 1"-WS-934-163-Q3 1"-WS-729-163-Q3 1-1/2"-WS-729-163-Q3 1"-WS-731-163-Q3 1-1/2"-WS-731-163-Q3 1"-WS-725-163-Q3 1-1/2"-WS-725-163-Q3 1"-WS-727-163-Q3 1-1/2"-WS-728-163-Q3 1"-WS-935-163-Q3 1-1/2"-WS-730-163-Q3 1"-WS-936-163-Q3 1-1/2"-WS-727-163-Q3 The following four lines that were in Rev. 2 were deleted in Rev. 4.
3/4"-WS 725-163-Q3 3/4"-WS-729-163-Q3 3/4"-WS-725-163-Q3 3/4"-WS-731-163-Q3 DRAWING 11715-CBM-078C-2. SHEET 2 4"-WS-46-163-Q3 3/4"-WS-A47-163-Q3 1"-WS-81-163-Q3 1"-WS-77-163-Q3 1"-WS-477-163-Q3 1"-WS-481-163-Q3 3"-WS-73-163-Q3 4"-WS-47-163-03 3/4"-WS-A49-163-Q3 1"-WS-82-163-Q3 1"-WS-78-163-Q3 1"-WS-478-163-Q3 1"-WS-482-163-Q3 3"-WS-74-163-Q3 4"-WS-56-163-Q3 3/4"-WS-A48-163-Q3 1"-WS-85-163-Q3 1"-WS-485-163-Q3 1"-WS-487-163-Q3 1"-WS-489163-Q3 1"-WS-491-163-Q3 3"-WS-75-163-Q3 3"-WS-76-163-Q3 3/4"-WS-79-163-Q3 3/4"-WS-381-163-Q3 2"-WS-80-163-Q3 3/4"-WS-83-163-Q3 3/8"-WS-383-163-Q3 3/8"-WS-382-163-Q3 2"-WS-376-163-Q3 3/8"-WS-397-163-Q3 3/8"-WS-398-163-Q3 1"-WS-90-163-Q3 3/4"-WS-C06-163-Q3 1"-WS-92-163-Q3 1"-WS-86-163-Q3 3/4"-WS-C01-163-Q3 1"-WS488-163-Q3 3/4"-WS-913-163-Q3 1"-WS-490-163-03 1"-WS-78-163-Q3 1"-WS-492-163-Q3 4"-WS-57-163-Q3 3/4"-WS-773-163-Q3 2"-WS-772-163-Q3 3/8"-WS-910-163-Q3 3/8"-WS-914-163-Q3 2"-WS-776-163-Q3
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3/8"-WS-916-163-Q3 2"-WS-777-163-Q3 1"-WS-486-163-Q3 l 2"-WS-377-163-Q3 3/8"-WS-C01-163-Q3 3/8"-WS-399-163-Q3 '
3/4"-WS-378-163-Q3 2"-WS-84-163-Q3 3/4"-WS-379-163-Q3 1"-WS-88-163-Q3 3/4"-WS-380-163-Q3 3/4"-WS-83-163-Q3 3/8"-WS-383-163-Q3 3/4"-WS-A50-163-Q3 1"-WS-89-163-Q3 3/4"-WS-400-163-03 3/4"-WS-774-163-Q3 2"-WS-775-163-Q3 3/8"-WS-913-163-Q3 3/8"-WS-915-163-Q3 3/4"-WS-779-163-Q3 3/4"-WS-909-163-03 3/8"-WS-912-163-Q3 The following line that was in Rev. 2 was deleted in Rev. 4. I 1"-WS 478-163-Q3 i
DRAWING 11715-CBM-078G-2. SHEET 1 2"-WS-D46-153A-Q3 1"-WS-D50-153A-Q3 3/4"-WS-D39-153A-Q3 1"-WS-D30-153A-Q3 3/4"-WS-D41-153A-Q3 3/8"-WS-D55-163-Q3 1"-WS-D31-153A-Q3 3/4"-WS-D43-153A-Q3 3"-WS-73-163-Q3 2"-WS-54-163-Q3 2"-WS-52-163-Q3 3/4"-WS-D67-163-Q3 2"-WS-50-163-OS 3"-WS-74-163-Q3 2"-WS-55-163-Q3 l
, 3/4"-WS-D54-163-Q3 2"-WS-53-163-Q3 3/4"-WS-D68-163-Q3 2"-WS-51-163-Q3 2"-WS-C88-153A-Q3 2"-WS-C81-153A-Q3 2"-WS-C87-153A-Q3 2"-WS-63-163-Q3 3/4"-WS-D61-163-Q3 2"-WS-62-163-Q3 2"-WS-C80-153A-Q3 3/4"-WS-C67-153A-Q3 j 3/4"-WS-C73-153A-Q3 3/4"-WS-C76-153A-Q3 3/4"-WS-C70-153A-Q3 i 2"-WS-C86-153A-Q3 2"-WS-79-153A-Q3 2"-WS-C85-153A-Q3 3/4"-WS-D62-163-Q3 2"-WS-60-163-Q3 3"-WS-75-163-Q3 3/4"-WS-D69-163-Q3 2"-WS-61-163-Q3 3/4"-WS-D56-163-03 2"-WS-C83-153A-Q3 2"-WS-C89-153A-Q3 3/4"-WS-D60-163-Q3 2"-WS-64-163-Q3 2"-WS-65-163-Q3 2"-WS-C82-153A-Q3 3/4"-WS-C68153A-Q3 3/4"-WS-C74-153A-Q3 3/4"-WS-C71-153A-Q3 3/4"-WS-D70-163-Q3 3"-WS-76-163-Q3 2"-WS-C78-153A-Q3 l 3/4"-WS-C66-153A-Q3 3/4"-WS-C72-153A-Q3 3/4"-WS-C75-153A-Q3 3/4"-WS-C69-153A-Q3 2"-WS-C84-153A-Q3 3/4"-WS-C77-153A-Q3 DRAWING 11715-CBM-078G-2. SHEET 2 2"-WS-D46-153A-Q3 3/4"-WS-D71-153A-Q3 1"-WS-D47-153A -Q3 3/4"-WS-D33-153A-Q3 3/4"-WS-D51-163-Q3 1"-WS-D48-153A-Q3 l 3/4"-WS-D35-153A-Q3 3/4"-WS-D52-163-Q3 1"-WS-D49-153A-Q'd
! 3/4"-WS-D37-153A-Q3 3/4"-WS-D53-163-Q3 3"-WS-73-163-Q3 3/4"-WS-D63-163-Q3 3"-WS-74-163-Q3 2"-WS-454-163-Q3 2"-WS-455-163-Q3 2"-WS-452-163-Q3 2"-WS-453-163-Q3 2"-WS-450-163-Q3 2"-WS-451-163-Q3 2"-WS-949-153A-Q3 1-1/2"-WS-981-153A-Q3 1-1/2"-WS-965-153A-Q3 2"-WS-955-153A-Q3 3/4"-WS-D57-163-Q3 2"-WS-464-163-Q3 2"-WS-465-163-Q3 3"-WS-75-163-Q3 3"-WS-76-163-Q3 3/4"-WS-D59-163-Q3 l
o l
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2"-WS-461-163-Q3 3/4"-WS-D65-163-Q3 3/4"-WS-D66-163-Q3 3/4"-WS-934-153A-Q3 2"-WS-948-153A-Q3 3/4"-WS-940-153A-Q3 1-1/2"-WS-976-153A-Q3 1-1/2"-WS-982-153A-Q3 3/4"-WS-943-153A-Q3 3/4"-WS-937-153A-Q3 2"-WS-954-153A-Q3 2"-WS-947-153A-Q3 l 1-1/2"-WS-977-153A-Q3 1-1/2"-WS-963-153A-Q3 2"-WS-953-153A-Q3 '
3/4"-WS-D58-163-Q3 2"-WS-462-163-Q3 2"-WS 463-163-Q3 2"-WS-946-153A-Q3 1-1/2"-WS-979-153A-Q3 1-1/2"-WS-978-153A-Q3 2"-WS-952-153A-Q3 2"-WS-945-153A-Q3 1-1/2"-WS-980-153A-Q3 1-1/2"-WS-961-153A-Q3 2"-WS-460-163-Q3 2"-WS-945-153A-Q3 2"-WS-944-153A-Q3 1-1/2"-WS-975-153A-Q3 1-1/2"-WS-971-153A-Q3 2"-WS-950-153A-Q3 2"-WS-951-153A-Q3(*)
This line with (*) was added in the Rev. 4. I DRAWING 11715-CBM-078H-2. SHEET 1 1"-WS-9-163 3/4"-WS-E03-163 3/4"-WS-F44-163 !
1"-WS-G07-163 3/4"-WS-E08-163 1"-WS-947-163 l 1"-WS-G50-163 1"-WS-10-163 3/4"-WS-F45-163 2"-WS-E64-163 %"-WS-E68-163 1"-WS-D97-163 2"-WS-D91-163 1"-WS-H48-163 1"-WS-G52-163(*) ,
This line with (*) was added in the Rev. 4.
The above listed piping lines are classified as ASME Code Class 3, moderate energy stainless steel piping of the SWS. The piping provides cooling water from the service water reservoir to safety-related equipment and retums service water back to return headers. Normal operating pressure is 100 psig. The design pressure is 150 psig and the design temperature is 150 F.
3.2 Section XI Edition for Nor1h Anna 1 and 2 North Anna Unit 1 - 1983 Edition of the ASME Code,Section XI including Summer 1983 Addenda.
1 North Anna Unit 2 - 1986 Edition of the ASME Code,Section XI. J 3.3 ASME Section XI Code Reauirement The ASME Code Section Xi requires that repairs or replacements of ASME Code Class components be performed in accordance with rules found in Articles IWA-4000 or IWA-7000, respectively. The intent of these rules serves to provide an acceptable means of restoring the structuralintegrity of a degraded Code Class system back to the original design requirements.
3.4 Content of the revision to the Relief Reauest The original Relief Request was sought from performing a repair or replacement of the service water piping per the requirements of Article IWA-4000 or IWA-7000, respectively, and from
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submitting to the NRC a relief request for each and every observation of evidence of pin hole leaks in the stainless steel piping portion of the SWS listed above. It established a plan for continued operation with through-wall flaws in stainless steel piping in the SWS based upon the guidance provided in GL 90-05. Relief was being sought because performing a Code repair within the limiting conditions of the SWS operation may be impracticable or impose undue burden upon the licensee without a compensating increase in the level of quality and safety.
By its letter dated February 24,1998, as supplemented November 12,1998, the licensee submitted a revision to relief request NDE-32, dated February 24,1997. The specific changes contained in this revision are:
- 1. Performance of a bode repair in 14 days aRar discovery of the MIC-induced leaks, in place of a structural analysis.
- 2. The use of an attemate non-destructive examination technique. The licensee submitted l
a report on the correlation between RT and UT examination techniques and the revised relief request would permit the use of either RT or UT to evaluate the MIC-affected
! locations in the SWS.
- 3. Minor program scope changes to correct discrepancies in the listing of the service water lines.
- 3.5 Basis for Relief The licensee has submitted a revision to the request for relief dated February 24,1997, as supplemented August 8,1997, and November 18,1997, and proposed altematives to the Code requirement. The licensee has committed to evaluate any newly found flaw or indication of a l flaw in accordance with the guidance provided in GL 90-05. Based upon the evaluation, it will ,
I be established whether the discovered flaws satisfy the criteria for non-Code repair as described l in GL 90-05. The evaluation will also determine whether performing permanent repairs in accordance with the ASME Code within the limits of the limiting conditions of the SWS would constitute an undue burden (create undue hardship) upon the licensee since the repairs would I necessitate the unnecessary isolation of portions of the SWS that are structurally sound and j thus reduce the margins of safety of the SWS. i 3.6 Licensee's Alternative Proaram As an altemative to performing Code repairs in accordance with IWA-5250(a)(2) to through-wall flaws in the SWS, the flaws will be left as found. The through-wall flaw will be monitored for leakage and must meet the criteria for flooding and spraying consequences and for structural integrity as described in GL 90-05 to remain in service. All welds identified with through-wall ;
flaws will be replaced within 18 months from the time of discovery. This attemative to the Code l requirement will be followed for the remainder of the second 10-year inspection interval. The Unit 1 second 10-year interval will end on December 24,1998, and the Unit 2 second 10-year interval will end on December 14, 2000. The structuralintegrity of the SWS will be monitored by the following methods until the repairs required by IWA-5250(a)(2) are completed.
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l Weekly visual monitoring of through-wall flaws from the time of identification until repair or l completion of structuralintegrity analysis. If the welds are determined to be structurally acceptable, then the visual monitoring frequency will be decreased to once every 6 weeks.
All welds identified as having through-wall flaws and not repaired within 14 days of l
detection will be assessed for structuralintegrity within 14 days of detection. Butt welds I will be examined by RT or UT methods, if accessible, to characterize the flaws. Socket l
welds and butt welds inaccessible to RT or UT will be assessed for structural integrity by l assuming a conservative 3/4" diameter hole. Welds determined to be structurally adequate will be included in the above monitoring program. Identification of a structurally inadequate weld will result in the associated piping to be declared inoperable and the appropriate Technical Specification action statement to be taken.
I e Weekly visual monitoring of through-wall flaws in socket welds and butt welds inaccessible to RT or UT examination for a period of 2 months. If there is no significant change in the l leakage rate, the monitoring frequency will be decreased to once every 6 weeks until the l welds are repaired.
- A significant change is defined as a 0.5 gpm increase in the leakage rate from the initial observed leakage condition for each weld. Should any location reach the threshold of significant change, the weld will be reassessed for structural integrity and flood / spraying consequences.
e A walkdown of the accessible stainless steel portions of the SWS will be performed every 6 weeks. The frequency of walkdowns will be assessed after a year and adjusted based on the results of the inspections.
- A total leakage rate limit of 1.0 gpm for a single supply or retum line for an individual component will be established. If this totalleakage rate limit is exceeded, then an evaluation will be performed to determine if design service water flow is available to affected components, inadequate service water supply will cause the associated service -
water lines and equipment to be declared inoperable and appropriate action will be taken I according to the Technical Specifications.
e An augmented inspection program will monitor a sample of 10 butt welds in the SWS using RT or UT examination methods. Examinations will be performed every 3 months.
The frequency of examinations will be assessed after a year and may be adjusted for each location based on the results of the examinations.
4.0 STAFF EVALUATION AND CONCLUSIONS
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4.1 Operability Determination. Root Cause Analysis and Structural inteority Evaluation l The licensee has proposed to use the guidance provided in GL 90-05 to assess newly l discovered flaws in certain stainless steel lines of the SWS. The system was constructed in accordance with the requirements of ASME Code, Class 3. A routine MIC monitoring program
! 9 has been developed for the SWS. The program includes walkdowns to identify, monitor and quantify leakage. The SWS has previously experienced MIC. Radiographic examination of the l
welds having through-wall leakage revealed small voids surrounded by exfoliation, which is ,
typical of MIC. No other type of inservice defects were identified on the radiographs near the '
ereas with through-wallleaks. Additionally, a visual examination of a sample of piping segments removed to repair leaking welds confirmed the presence of MIC. No through-wall leaks have been identined involving the stainless steellines associated with this relief. Flaw evaluation for ,
newly discovered welds with through-wall leaks will be performed as follows. The flaws in butt l
welds that can be characterized by radiography will be evaluated by three types of analysis: l area reinforcement, limit load analysis, and fracture mechanics using the guidance from GL 90-
- 05. The flaws in welds that cannot be characterized by radiography, i.e., socket welds and inaccessible butt welds, will be evaluated by the same analysis by assuming a 3/4-inch hole for i each point of leakage within a weld with through-wall leakage. Socket welds will be analyzed by treating the weld cross section as an equivalent pipe cross section.
l 4.2 Auamented insoection To assess the overall degradation of the SWS, an augmented inspection program has been developed. The augmented program is performed on a sample of 10 welds in the SWS using RT or UT and will be performed every 3 months. The frequency of testing will be assessed after l a year and may be adjusted for each location based on the results. !
l 4.3 Proposed Temporarv Non-Code Repair and Monitorina Provisions As an alternative to performing Code repairs in accordance with IWA-5250(a)(2) for newly discovered through-wall flaws in the SWS, the flaws will be left as found. The through-wall flaw will be monitored for leakage and must meet the criteria for flooding ar d spraying consequences and for structural integrity as described in GL 90-05 to remain in service. All welds identified with through-wall flaws will be replaced within 18 months from the time cf discovery. This attemative to the Code requirement will be followed for the remainder of the second 10-year inspection interval. The Unit 1 second 10-year interval will end on December 24,1998, and the Unit 2 secorc 10-year interval will end on December 14,2000. The structuralintegrity of the SWS will be monitored by the visual and radiographic examinations as stated in paragraph 3.6 above until the repairs required by IWA 5250(a)(2) are completed.
4.4 Comoarison of UT results with the RT/ destructive examination results The licensee conducted a comprehensive study on RT and UT, comparing the flaw indication pattern of the two testing programs and also did a destructive test / visual examination of the different test specimens and compared the results with the UT test results of those specimens.
The sample set consisted of 10 welds on three different 4" diameter service water lines.
Further, the sample set was selected to meet the fabrication conditions specified by Appendix Vill of the ASME Section XI for austenitic stainless steel piping welds. Five of the ten specimens selected for this program showed evidence of leakage in the field. For RT examination, a double-wall single viewing technique was used. For UT examination, since the form or structure of MIC does not present an optimum reflecting surface when using angle beam techniques, the j test consisted of two examinations. One examination utilized a 2 MHZ dual element tandem
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l 10 search unit and the second examination utilized a smaller 45 degree shear wave search unit.
The destructive examination consisted of cutting the specimens through the base metal, perpendicular to the pipe axis in each side of the weld, which resulted in coupon stri,os of 0.020 inch. Observations were made after each cut and the results were documented after every three cuts. The comparison of destructive and nondestructive examination (RT and UT) results showed that clusters of MIC shown by the destructive results agree with the RT/UT test indications (clusters of MIC are reported as a single indication in RT/UT). I The results achieved by this program provide the basis for the following observations:
e The UT technique developed under this program is as effective as RT for detection of MIC.
- The UT length sizing technique developed under this program is as effective as RT for length sizing of MIC indications when considering the total length of a flawed weld, e The UT depth sizing technique developed is capable of measuring the depth of MIC indications within 0.000" and may be improved to 0.040" if sizing is limited to indications located on the accessible side when performing sizing on single access welds.
The licensee concluded that UT is a less intrusive examination technique compared to RT and is acceptable for monitoring MIC in stainless steel piping. The UT personnel should be qualified with adequate training for detection or sizing of MIC indications. For those cases where the MIC is located on the inaccessible side of single-sided access welds, the UT cannot be used for through-wall sizing. Finally, two or three welds examined by UT should be selected and examined by RT or a destructive examination technique on an annual basis. !
4.5 Staff Conclusions The staff has determined that the licensee's proposed flaw evaluation has been consistent with the guidelines and acceptance criteria of GL 90-05. The staff finds the licensee's proposed UT examination technique to be used for the detection of MIC in the stainless steel service water piping is as effective as the currently followed RT examination technique. The staff finds the licensee's proposed approach acceptable to perform future structural integrity and operability assessments of the stainless steel piping as listed in paragraph 3.1 above. The licensee's revised alternative to postpone repairing a through-wall leak discovered in certain stainless steel piping of the SWS in the future is reasonable because: (1) the licensee's flaw determination and monitoring program is consistent with the guidance of GL 90-05, as described above, up to the point of actually submitting a relief request to the NRC; (2) each occurrence of flaw detection is documented in the North Anna's corrective action system; and (3) all re!?vant documentation is available for NRC staff review.
i Furthermore, the staff finds that performance of an immediate Code repair after each and every j newly discovered flaw caused by MIC would constitute an undue burden (create undue
- hardship) upon the licensee since the repair may exceed the time limits imposed by the governing Technical Specification and thus necessitate the isolation of portions of the SWS.
Isolating portions of the SWS to perform a Code repair is not in the best interest of plant safety, I
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given the magnitude of the flaw and the assurance of structural integrity provided by the licensee's attemative program. The staff, therefore, concludes that the attemative is authorized pursuant to 10 CFR 50.55a(a)(3)(ii), in that compliance with the specified requirements would result in hardship or unusual difficulty without a compensating increase in the level of quality and safety. This attemative is authorized for the remainder of the second 10-year inspection interval for each unit.
l PrincipalContributor: N. Kalyanam i l
Date: November 3, 1998 i I
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