ML071590339: Difference between revisions
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| issue date = 06/01/2007 | | issue date = 06/01/2007 | ||
| title = Email from Charlie Medenciy (Wolf Creek Nuclear Operating Corporation) to Christian Jacobs (NRC) Regarding Clarification to Follow-Up Questions on Wolf Creek SAMA RAI Responses | | title = Email from Charlie Medenciy (Wolf Creek Nuclear Operating Corporation) to Christian Jacobs (NRC) Regarding Clarification to Follow-Up Questions on Wolf Creek SAMA RAI Responses | ||
| author name = Medenciy C | | author name = Medenciy C | ||
| author affiliation = Wolf Creek Nuclear Operating Corp | | author affiliation = Wolf Creek Nuclear Operating Corp | ||
| addressee name = Jacobs C | | addressee name = Jacobs C, Palla R | ||
| addressee affiliation = NRC/NRR/ADRA/DRA/APLA, NRC/NRR/ADRO/DLR/REBB | | addressee affiliation = NRC/NRR/ADRA/DRA/APLA, NRC/NRR/ADRO/DLR/REBB | ||
| docket = 05000482 | | docket = 05000482 | ||
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> On May 23, 2007, the NRC provided by electronic mail, six follow-up questions regarding Severe Accident Mitigation Alternatives for Wolf Creek Generating Station (WCGS). A teleconference was conducted on May 24, 2007 to discuss the questions. | > On May 23, 2007, the NRC provided by electronic mail, six follow-up questions regarding Severe Accident Mitigation Alternatives for Wolf Creek Generating Station (WCGS). A teleconference was conducted on May 24, 2007 to discuss the questions. | ||
All question were resolved during the teleconference with the exception of numbers 1 and 3. WCGS responses are provided in Attachment (1).<<Attachment (1).doc>>The information contained in this electronic correspondence is informally submitted to the NRC and is not considered as docketed correspondence by Wolf Creek Nuclear Operating Corporation (WCNOC). The information will be submitted formally in official correspondence shortly.> If you have any questions, please contact me at 620-364-8831 extension 4842.> Sincerely,> Charles Medenciy> Licensing Engineer CC: "Bell Lorrie I" <loyokum@WCNOC.com>, "Guevel Patrick E"<pagueve@WCNOC.com>, "Hooper Diane M" <dihoope@WCNOC.com> | All question were resolved during the teleconference with the exception of numbers 1 and 3. WCGS responses are provided in Attachment (1).<<Attachment (1).doc>>The information contained in this electronic correspondence is informally submitted to the NRC and is not considered as docketed correspondence by Wolf Creek Nuclear Operating Corporation (WCNOC). The information will be submitted formally in official correspondence shortly.> If you have any questions, please contact me at 620-364-8831 extension 4842.> Sincerely,> Charles Medenciy> Licensing Engineer CC: "Bell Lorrie I" <loyokum@WCNOC.com>, "Guevel Patrick E"<pagueve@WCNOC.com>, "Hooper Diane M" <dihoope@WCNOC.com> | ||
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Revision as of 23:09, 12 July 2019
ML071590339 | |
Person / Time | |
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Site: | Wolf Creek |
Issue date: | 06/01/2007 |
From: | Medenciy C Wolf Creek |
To: | Christian Jacobs, Palla R NRC/NRR/ADRA/DRA/APLA, NRC/NRR/ADRO/DLR/REBB |
References | |
Download: ML071590339 (5) | |
Text
Christian Jacobs -SAMA Follow-up Response (Wolf ek Generating Station) .. ..e From: "Medenciy Charlie M" <chmeden@WCNOC.com>
To: "Christian Jacobs (E-mail)" <CJJ @ nrc.gov>, "Robert Palla (E-mail)" <RLP3@nrc.gov>
Date: 6/1/2007 2:18:21 PM
Subject:
SAMA Follow-up Response (Wolf Creek Generating Station)>
Dear Mr. Jacobs,
> On May 23, 2007, the NRC provided by electronic mail, six follow-up questions regarding Severe Accident Mitigation Alternatives for Wolf Creek Generating Station (WCGS). A teleconference was conducted on May 24, 2007 to discuss the questions.
All question were resolved during the teleconference with the exception of numbers 1 and 3. WCGS responses are provided in Attachment (1).<<Attachment (1).doc>>The information contained in this electronic correspondence is informally submitted to the NRC and is not considered as docketed correspondence by Wolf Creek Nuclear Operating Corporation (WCNOC). The information will be submitted formally in official correspondence shortly.> If you have any questions, please contact me at 620-364-8831 extension 4842.> Sincerely,> Charles Medenciy> Licensing Engineer CC: "Bell Lorrie I" <loyokum@WCNOC.com>, "Guevel Patrick E"<pagueve@WCNOC.com>, "Hooper Diane M" <dihoope@WCNOC.com>
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Subject:
Creation Date From: Created By: SAMA Follow-up Response (Wolf Creek Generating Station)6/1/2007 2:17: 10 PM"Medenciy Charlie M" <chmeden@WCNOC.com>
chmeden @WCNOC.com Recipients nrc.gov OWGWPO04.HQGWDO01 CJJ (Christian Jacobs)WCNOC.com dihoope CC (Hooper Diane M)pagueve CC (Guevel Patrick E)loyokum CC (Bell Lorrie I)nrc.gov TWGWPO03.HQGWDOO1 RLP3 (Robert Palla)Post Office OWGWPOO4.HQGWDOO1 TWGWPO03.HQGWDOO1 Route nrc.gov WCNOC.com nrc.gov Files MESSAGE TEXT.htm Attachment (1).doc Mime.822 Options Expiration Date: Priority: ReplyRequested:
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Security: Size 858 1806 26624 42290 Date & Time 6/1/2007 2:17: 10 PM None Standard No None No Standard Junk Mail Handling Evaluation Results Message is eligible for Junk Mail handling c RtmpGW}OOO1.TMP g2 This message was not classified as Junk Mail Junk Mail settings when this message was delivered Junk Mail handling disabled by User Junk Mail handling disabled by Administrator Junk List is not enabled Junk Mail using personal address books is not enabled Block List is not enabled Wolf Creek Nuclear Operating Corporation (WCNOC) Response to Follow-up SAMA Questions Wolf Creek Followup Questions for Discussion
-#1 In response to Question lb (QU-9) it is stated that "internal flooding scenarios have not been included in PSA updates and that new internal flooding criteria may identify new human-induced floods through consideration of errors of commission." State how this could impact the SAMA analysis.WCNOC's response to this question is based on the original response to question 1.b, QU-9, found in ET 07-0006. New criteria have since emerged from the 2005 Addenda of the ASME PRA Standard that may be factored in, in the future.In spite of this new guidance ,Wolf Creek Generating Station's (WCGS)compartmentalization is expected to minimize any new hypothetical flooding scenarios resulting from new evaluations.
Based on our experience with the PRA model, flooding analysis and the extent of compartmentalization at WCGS, minimal impact on the SAMA analysis is expected as a result of additional analysis to new requirements.
The conclusions of the SAMA analysis would not be expected to change.Wolf Creek Followup Questions for Discussion
-#3 In response to Question 2b, it is stated that NUREG-1570 asserts that only 2 percent of the high pressure melt scenarios with dry steam generators would result in an induced SGTR and that the applicability of percentage is predicated on the conditions that the secondary side is not depressurized and that the RCPs are not operated.
A review of NUREG-1570 found that for cases where a RCP Seal LOCA occurs that the TI-SGTR failure probability for 3 steam generators (4 SG scenario is not available) is 1.0. State how this increased failure likelihood on RCP seal failure was accounted for in the response to Question 2b.NUREG-1570 includes failure probabilities for TI-SGTR for a variety of situations.
The conditions associated with the 2% failure are; 1) no SG depressurized and 2) no Seal LOCA. As described in the original RAI response, these are the most likely conditions that the plant would be in for this type of assessment.
However, NUREG-1570 does show that for cases with depressurized Steam Generators combined with a cleared loop seal, the failure probability for TI-SGTR is 1.0. The inference from the NRC followup question is that a Seal LOCA will result in a cleared loop seal. It is important to note, however, that a failure probability of 1.0 also requires that the Steam Generators are depressurized.
A recent public meeting (ML071230212) was held jointly by the NRC and EPRI to discuss steam generator tube rupture. SCDAP/RELAP5 analyses were presented by the NRC to investigate various sensitivities associated with tube heatup. Included in the NRC presentation was a discussion of loop seal clearing and the impact on tube failure for a range of seal leakage rates. One of the conclusions from the NRC analysis was, that for RCP leakage at the cold leg centerline, no loop seal clearing was observed for leak rates of 300 gpm per pump and lower. In addition to clearing the loop seal, the lower downcomer skirt path must also clear to allow the hot gas to circulate throughout the primary system. Clearing this path required a seal leakage of 480 gpm per pump.For RCP shaft seal leakage located below the cold leg centerline, loop seals were calculated to clear with leak rates greater than 120 gpm per pump. It is also important to note that the NRC analysis assumed 0.5 in 2 steam leakage from all steam generators resulting in the SGs being depressurized.
The original RAI response looked at the increase in the maximum averted cost risk assuming that 2% of all "Late Containment Failure" and "No Containment Failure" cases resulted in a SGTR. Another method to assess the impact of TI-SGTR is to review the major contributors to CDF from Table F.2.4 of the Environmental Report. Consistent with the discussion above, all cases with a Seal LOCA greater than 120 gpm per pump in combination with a depressurized steam generator will be assumed to result in a TI-SGTR (Failure probability
= 1.0). Sequence identifier SBOS12 is defined as a Station Blackout with AFW initially available, but assumed to be lost after a failure to recover AC power in 4 hours4.62963e-5 days <br />0.00111 hours <br />6.613757e-6 weeks <br />1.522e-6 months <br />. This sequence type also assumes successful RCS cooldown and depressurization.
For sequences of this type, it is not certain that the SG would remain in a depressurized state after loss of DC power. However, as a conservative assumption they will all be assumed to involve both an elevated primary side pressure in combination with a depressurized secondary side. This sequence group has a CDF contribution equal to 3.582E-6 per reactor year. Assuming that this entire frequency is then added to the existing SGTR frequency will result in an updated SGTR CDF of 3.75E-6. To conserve the total frequency, the SBOS12 CDF is subtracted from the "No Containment Failure" probability.
Making this adjustment to the total SGTR probability will result in a SGTR dose-risk of 0.83 person-rem compared to the base value of 0.04.The economic cost risk for SGTR is increased from $72 to $1,625. While this represents a significant increase in the SGTR specific contribution, the following confirms no significant impact on the overall SAMA conclusions.
The maximum averted cost risk increases from the base value of $1,852,000 to$1,946,000.
Based on a review of the non-cost beneficial SAMAs in the 9 5 th percentile PRA case from the SAMA analysis, SAMA 4 is seen to be "not cost beneficial" by the smallest margin ($137,601).
Even if all of the TI-SGTR risk could be mitigated by SAMA 4 in addition to its baseline mitigated risk (which is not physically possible for SAMA 4), it would still not be cost beneficial by $43,601 ($137,601-$94,000=$43,601).
Given that the margins are even larger on the remaining "not cost beneficial" SAMAs, it can be concluded that changes to the treatment of TI-SGTRs would not have an impact on the conclusions of the WCGS SAMA analysis.