ML18036A614: Difference between revisions
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{{#Wiki_filter:LICENSEE: | {{#Wiki_filter:LICENSEE: PSEG Nuclear LLC FACILITY: Hope Creek Generating Station | ||
PSEG Nuclear LLC FACILITY: | |||
Hope Creek Generating Station | |||
==SUBJECT:== | ==SUBJECT:== | ||
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==SUMMARY== | ==SUMMARY== | ||
OF JANUARY 24, 2018, MEETING WITH PSEG NUCLEAR LLC ON PLANNED SUBMITTAL OF LICENSE AMENDMENT REQUEST TO REVISE TECHNICAL SPECIFICATIONS REGARDING DIESEL GENERATOR EXTENDED ALLOWED OUTAGE TIME (EPID L-2018-LRM-0001) | OF JANUARY 24, 2018, MEETING WITH PSEG NUCLEAR LLC ON PLANNED SUBMITTAL OF LICENSE AMENDMENT REQUEST TO REVISE TECHNICAL SPECIFICATIONS REGARDING DIESEL GENERATOR EXTENDED ALLOWED OUTAGE TIME (EPID L-2018-LRM-0001) | ||
On January 24, 2018, a Category 1 public meeting was held between the U.S. Nuclear Regulatory Commission (NRC) and representatives of PSEG Nuclear LLC (PSEG, the licensee) by teleconference. | On January 24, 2018, a Category 1 public meeting was held between the U.S. Nuclear Regulatory Commission (NRC) and representatives of PSEG Nuclear LLC (PSEG, the licensee) by teleconference. The purpose of the meeting was to discuss PSEG's planned submittal of a license amendment request (LAR) for Hope Creek Generating Station to revise the technical specifications (TSs) for the diesel generator extended allowed outage time. Specifically, the amendment would remove requirements associated with the Salem Unit No. 3 (Salem 3) gas turbine generator from the TSs and propose new requirements for portable diesel generators as a defense-in-depth measure for the diesel generator extended allowed outage time. | ||
The purpose of the meeting was to discuss PSEG's planned submittal of a license amendment request (LAR) for Hope Creek Generating Station to revise the technical specifications (TSs) for the diesel generator extended allowed outage time. Specifically, the amendment would remove requirements associated with the Salem Unit No. 3 (Salem 3) gas turbine generator from the TSs and propose new requirements for portable diesel generators as a defense-in-depth measure for the diesel generator extended allowed outage time. The meeting notice and agenda, dated January 10, 2018, are available in the Agencywide Documents Access and Management System (ADAMS) at Accession No. ML18011A025. | The meeting notice and agenda, dated January 10, 2018, are available in the Agencywide Documents Access and Management System (ADAMS) at Accession No. ML18011A025. A list of attendees is enclosed. | ||
A list of attendees is enclosed. | |||
The licensee presented an overview of its plans to submit the LAR. The presentation closely followed PSEG's slides provided for the meeting (ADAMS Accession No. ML180248533). | The licensee presented an overview of its plans to submit the LAR. The presentation closely followed PSEG's slides provided for the meeting (ADAMS Accession No. ML180248533). | ||
The licensee stated that the proposed changes would not impact the existing allowed outage times. The licensee stated that only the A and B emergency diesel generators (EDGs) would be impacted, and that there would be no change to the C and D EDGs TS actions. Additionally, PSEG stated that the submittal would not be risk-informed. | The licensee stated that the proposed changes would not impact the existing allowed outage times. The licensee stated that only the A and B emergency diesel generators (EDGs) would be impacted, and that there would be no change to the C and D EDGs TS actions. Additionally, PSEG stated that the submittal would not be risk-informed. | ||
The licensee stated that the three portable diesels will be additional diesels, not the existing portable diesels credited for flex, and that the three portable diesels will not be pre-staged. | The licensee stated that the three portable diesels will be additional diesels, not the existing portable diesels credited for flex, and that the three portable diesels will not be pre-staged. The licensee stated that all three portable diesels will be needed to support extending the allowed outage time for the A or B EOG. | ||
The licensee stated that all three portable diesels will be needed to support extending the allowed outage time for the A or B EOG. The NRC staff provided the following feedback: | The NRC staff provided the following feedback: | ||
* The application needs to fully describe new operator actions. | * The application needs to fully describe new operator actions. | ||
* The application should describe the procedures and training for the portable diesels and their use. | * The application should describe the procedures and training for the portable diesels and their use. | ||
* The application should show that the portable diesels can perform the function Salem 3 is currently performing in the time allotted. | * The application should show that the portable diesels can perform the function Salem 3 is currently performing in the time allotted. | ||
* The application should describe any operating experience for this type of portable diesel. | * The application should describe any operating experience for this type of portable diesel. | ||
* The compensatory measures should be evaluated. | * The compensatory measures should be evaluated. Comparing them to Branch Technical Position 8-8, "Onsite Emergency Diesel Generators (EDGs) and Offsite Power Sources Allowed Outage Time Extensions," or the current compensatory measures would be acceptable to the NRC staff. | ||
Comparing them to Branch Technical Position 8-8, "Onsite Emergency Diesel Generators (EDGs) and Offsite Power Sources Allowed Outage Time Extensions," or the current compensatory measures would be acceptable to the NRC staff. | |||
* Any deviations from Branch Technical Position 8-8 should be discussed. | * Any deviations from Branch Technical Position 8-8 should be discussed. | ||
* Protection of the safety-related buses and EDGs needs to be described. | * Protection of the safety-related buses and EDGs needs to be described. | ||
* Salem 3 is in the Salem Nuclear Generating Station maintenance rule program. The new portable diesels will not be part of a maintenance rule program. In light of this, the application should discuss testing and reliability of the portable diesels. The licensee forecasted submittal of the LAR by March 30, 2018. There were no members of the public in attendance. | * Salem 3 is in the Salem Nuclear Generating Station maintenance rule program. The new portable diesels will not be part of a maintenance rule program. In light of this, the application should discuss testing and reliability of the portable diesels. | ||
The NRC staff did not receive any public meeting feedback forms. Please direct any inquiries to me at 301-415-1603 or Carleen.Parker@nrc.gov. | The licensee forecasted submittal of the LAR by March 30, 2018. | ||
Docket No. 50-354 | There were no members of the public in attendance. The NRC staff did not receive any public meeting feedback forms. | ||
Please direct any inquiries to me at 301-415-1603 or Carleen.Parker@nrc.gov. | |||
(y -~- | |||
Carleen J(p rker, Project Manager Plant Lice~i ng Branch I Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation Docket No. 50-354 | |||
==Enclosure:== | ==Enclosure:== | ||
List of Attendees cc: Listserv | List of Attendees cc: Listserv | ||
LIST OF ATTENDEES JANUARY 24, 2018, MEETING WITH PSEG NUCLEAR LLC HOPE CREEK GENERATING STATION PLANNED EMERGENCY DIESEL GENERATOR LICENSE AMENDMENT REQUEST ATTENDEE ORGANIZATION Carleen Parker U.S. Nuclear Regulatory Commission (NRC) | |||
Adakou Foli NRC John Hughey NRC James Danna NRC Pete Snyder NRC Todd Hilsmeier NRC Mehdi Reisi Fard NRC Nathan Rector Sargent & Lundy (PSEG (PSEG) Nuclear LLC Contractor) | |||
Paul Duke PSEG Tanya Timberman PSEG Dwight Bedford PSEG Bill Kopchick PSEG Mike Philips PSEG Matt Jermusyk PSEG Lee Marabella PSEG Dave Bartlett PSEG Jean Fleming PSEG Bill Richie PSEG Jerry Humphreys New Jersey Department of Environmental Protection Enclosure | |||
ML18036A614 OFFICE NRR/DORL/LPL 1/PM NRR/DORL/LSPB/LA NRR/DORL/LPL 1/LA NAME CParker IBetts LRonewicz DATE 02/14/2018 02/09/2018 02/09/2018 OFFICE NRR/DORL/LPL 1/BC NRR/DORL/LPL 1/PM NAME Joanna CParker DATE 02/16/2018 02/21/2018}} | |||
Latest revision as of 00:28, 22 October 2019
ML18036A614 | |
Person / Time | |
---|---|
Site: | Hope Creek |
Issue date: | 02/21/2018 |
From: | Carleen Parker Plant Licensing Branch 1 |
To: | Public Service Enterprise Group |
Parker C, NRR/DORL/LPL1, 415-1603 | |
References | |
EPID L-2018-LRM-0001 | |
Download: ML18036A614 (4) | |
Text
LICENSEE: PSEG Nuclear LLC FACILITY: Hope Creek Generating Station
SUBJECT:
SUMMARY
OF JANUARY 24, 2018, MEETING WITH PSEG NUCLEAR LLC ON PLANNED SUBMITTAL OF LICENSE AMENDMENT REQUEST TO REVISE TECHNICAL SPECIFICATIONS REGARDING DIESEL GENERATOR EXTENDED ALLOWED OUTAGE TIME (EPID L-2018-LRM-0001)
On January 24, 2018, a Category 1 public meeting was held between the U.S. Nuclear Regulatory Commission (NRC) and representatives of PSEG Nuclear LLC (PSEG, the licensee) by teleconference. The purpose of the meeting was to discuss PSEG's planned submittal of a license amendment request (LAR) for Hope Creek Generating Station to revise the technical specifications (TSs) for the diesel generator extended allowed outage time. Specifically, the amendment would remove requirements associated with the Salem Unit No. 3 (Salem 3) gas turbine generator from the TSs and propose new requirements for portable diesel generators as a defense-in-depth measure for the diesel generator extended allowed outage time.
The meeting notice and agenda, dated January 10, 2018, are available in the Agencywide Documents Access and Management System (ADAMS) at Accession No. ML18011A025. A list of attendees is enclosed.
The licensee presented an overview of its plans to submit the LAR. The presentation closely followed PSEG's slides provided for the meeting (ADAMS Accession No. ML180248533).
The licensee stated that the proposed changes would not impact the existing allowed outage times. The licensee stated that only the A and B emergency diesel generators (EDGs) would be impacted, and that there would be no change to the C and D EDGs TS actions. Additionally, PSEG stated that the submittal would not be risk-informed.
The licensee stated that the three portable diesels will be additional diesels, not the existing portable diesels credited for flex, and that the three portable diesels will not be pre-staged. The licensee stated that all three portable diesels will be needed to support extending the allowed outage time for the A or B EOG.
The NRC staff provided the following feedback:
- The application needs to fully describe new operator actions.
- The application should describe the procedures and training for the portable diesels and their use.
- The application should show that the portable diesels can perform the function Salem 3 is currently performing in the time allotted.
- The application should describe any operating experience for this type of portable diesel.
- The compensatory measures should be evaluated. Comparing them to Branch Technical Position 8-8, "Onsite Emergency Diesel Generators (EDGs) and Offsite Power Sources Allowed Outage Time Extensions," or the current compensatory measures would be acceptable to the NRC staff.
- Any deviations from Branch Technical Position 8-8 should be discussed.
- Protection of the safety-related buses and EDGs needs to be described.
- Salem 3 is in the Salem Nuclear Generating Station maintenance rule program. The new portable diesels will not be part of a maintenance rule program. In light of this, the application should discuss testing and reliability of the portable diesels.
The licensee forecasted submittal of the LAR by March 30, 2018.
There were no members of the public in attendance. The NRC staff did not receive any public meeting feedback forms.
Please direct any inquiries to me at 301-415-1603 or Carleen.Parker@nrc.gov.
(y -~-
Carleen J(p rker, Project Manager Plant Lice~i ng Branch I Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation Docket No. 50-354
Enclosure:
List of Attendees cc: Listserv
LIST OF ATTENDEES JANUARY 24, 2018, MEETING WITH PSEG NUCLEAR LLC HOPE CREEK GENERATING STATION PLANNED EMERGENCY DIESEL GENERATOR LICENSE AMENDMENT REQUEST ATTENDEE ORGANIZATION Carleen Parker U.S. Nuclear Regulatory Commission (NRC)
Adakou Foli NRC John Hughey NRC James Danna NRC Pete Snyder NRC Todd Hilsmeier NRC Mehdi Reisi Fard NRC Nathan Rector Sargent & Lundy (PSEG (PSEG) Nuclear LLC Contractor)
Paul Duke PSEG Tanya Timberman PSEG Dwight Bedford PSEG Bill Kopchick PSEG Mike Philips PSEG Matt Jermusyk PSEG Lee Marabella PSEG Dave Bartlett PSEG Jean Fleming PSEG Bill Richie PSEG Jerry Humphreys New Jersey Department of Environmental Protection Enclosure
ML18036A614 OFFICE NRR/DORL/LPL 1/PM NRR/DORL/LSPB/LA NRR/DORL/LPL 1/LA NAME CParker IBetts LRonewicz DATE 02/14/2018 02/09/2018 02/09/2018 OFFICE NRR/DORL/LPL 1/BC NRR/DORL/LPL 1/PM NAME Joanna CParker DATE 02/16/2018 02/21/2018