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{{#Wiki_filter:ACCELERATED DI 0 REGULATORY INFORMATION DISTRIBUTION SYSTEM (RIDS)ACCESSION NBR: 9112260296 DOC.DATE: 91/12/16 NOTARIZED:
{{#Wiki_filter:ACCELERATED DI 0
YES FACIL:50-400 Shearon Harris Nuclear Power Plant, Unit 1, Carolina AUTH.NAME AUTHOR AFFILIATION VAUGHN,G.E.
REGULATORY INFORMATION DISTRIBUTION SYSTEM (RIDS)
Carolina Power&Light Co.RECIP.NAME RECIPIENT AFFILIATION Document Control Branch (Document Control Desk)DOCKET g 05000400 D S 05000400
ACCESSION NBR: 9112260296             DOC. DATE: 91/12/16   NOTARIZED: YES       DOCKET g FACIL:50-400 Shearon Harris Nuclear Power Plant, Unit 1, Carolina                 05000400 AUTH. NAME           AUTHOR AFFILIATION VAUGHN,G.E.         Carolina Power & Light Co.
RECIP.NAME           RECIPIENT AFFILIATION Document Control Branch (Document Control Desk)
Application for amend to license NPF-63,revising Tech Spec l


==SUBJECT:==
==SUBJECT:==
Application for amend to license NPF-63,revising Tech Spec 4.2.3.5 re calibr of RCS flow measurement instrumentation.
 
DISTRIBUTION CODE: AOOID COPIES RECEIVED:LTR g ENCL l SIZE: 7+TITLE: OR Submittal:
4.2.3.5 re calibr of RCS flow measurement instrumentation.
General Distribution NOTES:Application for permit renewal filed.RECIPXENT XD CODE/NAME PD2-1 LA MOZAFARI,B.
DISTRIBUTION CODE: AOOID           COPIES RECEIVED:LTR     g ENCL     SIZE:   7+       D TITLE: OR Submittal: General Distribution                                               S NOTES:Application for permit renewal filed.                                       05000400 RECIPXENT             COPIES            RECIPIENT          COPXES XD CODE/NAME           LTTR ENCL        ID  CODE/NAME      LTTR ENCL PD2-1 LA                     1    1    PD2-1 PD                1    1          D MOZAFARI,B.                 2    2 D
INTERNAL ACRS NRR/DET/ESGB NRR/DST SE2 NRR/DST/SICBSH7 NUDOCS-ABSTRACT OGC/HDS1 RES/DSIR/EIB EXTERNAL: NRC PDR COPIES LTTR ENCL 1 1 2 2 6 6 1 1 1 1 1 1 1 1 1 0 1 1 1 1 RECIPIENT ID CODE/NAME PD2-1 PD NRR/DET/ECMB 7D NRR/DOEA/OTSB11 NRR/DST/SELB 7E NRR/DST/SRXB SE-G/L EG FIL 01 NSIC COPXES LTTR ENCL 1 1 1 1 1 1 1 1 1 1 1 0 1 1 1 1 D D R D NOTE TO ALL"RIDS" RECIPIENTS:
INTERNAL ACRS                           6    6    NRR/DET/ECMB 7D        1   1 NRR/DET/ESGB                1    1    NRR/DOEA/OTSB11         1    1 NRR/DST        SE2          1    1    NRR/DST/SELB 7E         1    1 NRR/DST/SICBSH7              1    1    NRR/DST/SRXB SE         1    1 NUDOCS-ABSTRACT              1    1    -
PLEASE HELP US TO REDUCE WASTE!CONTACT THE DOCUMENT CONTROL DESK, ROOM Pl-37 (EXT.20079)TO ELIMINATE YOUR NAME FROM DISTRIBUTION LISTS FOR DOCUMENTS YOU DON'T NEEDI TOTAL NUMBER OF COPIES REQUIRED: LTTR 24 ENCL 22 D D 4'4 1 4 c J"a II Carolina Power&Light Company P.O.Box 1551~Raleigh, N.C.27602 G.E.VAUGHN Vice President Nuclear Services Department SERIAL'LS-91-319 10CFR50.90 Unit:ed States Nuclear Regulatory Commission ATTENTION:
G/L                   1    0 OGC/HDS1                    1    0      EG FIL     01       1   1 RES/DSIR/EIB                1     1 EXTERNAL: NRC PDR                      1     1     NSIC                    1   1 R
Document Control Desk Washington, DC 20555 SHEARON HARRIS NUCLEAR POWER PLANT DOCKET NO.50-400/LICENSE NO.NPF-63 REQUEST FOR LICENSE AMENDMENT REACTOR COOLANT SYSTEM (RCS)FLOW MEASUREMENT CALIBRATION Gentlemen:
D D
In accordance with the Code of Federal Regulations, Title 10, Parts 50.90 and 2.101, Carolina Power&Light Company (CP&L)hereby requests a revision t'o the Technical Specifications (TS)for the Shearon Harris Nuclear Power Plant (SHNPP).The proposed amendment revises TS 4.2.3.5 concerning the calibration of measurement instrumentation.
D NOTE TO ALL "RIDS" RECIPIENTS:
Speci.fically, the change revises the allowable time period from 7 days to 21 days for the calibration of instrumentation utili ed in the'performance of the'RCS caloritnetric flow measurement. provides a detailed description of the proposed change and the basis for the change.Enclosure 2 details the basis for the Company's determination that the proposed change does not involve a significant hazards consideration. is an environmental evaluation which demonstrates t:hat the proposed amendment meets the eligibility criteria for categorical exclusion set forth in 10CFR51.22(c)(9);
PLEASE HELP US TO REDUCE WASTE! CONTACT THE DOCUMENT CONTROL DESK, ROOM Pl-37 (EXT. 20079) TO ELIMINATEYOUR NAME FROM DISTRIBUTION LISTS FOR DOCUMENTS YOU DON'T NEEDI TOTAL NUMBER OF COPIES REQUIRED: LTTR               24   ENCL   22
therefore, pursuant to 10CFR51.22(b), no environmental impact statement or environmental assessment needs to be prepared in connection with the issuance of the amendment. provides the proposed TS pages.Carolina Power&Light Company requests approval of the proposed amendment by September 1, 1992 in order to support the next SHNPP refueling outage currently scheduled to begin in September 1992.In order to allow time for procedure revision and orderly incorporation into copies of the TSs, CP&L requests that the proposed amendment, once approved by the NRC, be issued such that implementation will occur within 60 days of issuance of the amendment.
 
In accordance with 10CFR50.91(b), CP&L is providing the State of North Carolina with a copy of this letter.9112260296 9ii2i6 PDP ADOCK 05000400 Pl'I I 1 PDR C-I f I, p'c 4%4 t\f  
4 '
'ocument Control Des~(NLS-91-319)
4 1
/Page&Please refer any questions regarding this submittal to Mr.R.W.Prunty at (919)546-7318.Yours very truly, LSR/jbw (1414HNP)
c J
4 "a   II
 
Carolina Power & Light Company P.O. Box 1551 ~ Raleigh, N.C. 27602 SERIAL'LS-91-319 G. E. VAUGHN 10CFR50.90 Vice President Nuclear Services Department Unit:ed States Nuclear Regulatory Commission ATTENTION:             Document Control Desk Washington,             DC   20555 SHEARON HARRIS NUCLEAR POWER PLANT DOCKET NO. 50-400/LICENSE NO. NPF-63 REQUEST FOR LICENSE AMENDMENT REACTOR COOLANT SYSTEM (RCS) FLOW MEASUREMENT CALIBRATION Gentlemen:
In accordance with the             Code of Federal Regulations, Title 10, Parts 50.90 and 2.101, Carolina             Power & Light Company (CP&L) hereby requests a revision t'o the Technical Specifications (TS) for the Shearon Harris Nuclear Power Plant (SHNPP).           The proposed amendment revises TS 4.2.3.5 concerning the calibration of measurement instrumentation. Speci.fically, the change revises the allowable time period from 7 days to 21 days for the calibration of instrumentation utili ed in the 'performance of the'RCS caloritnetric flow measurement.
Enclosure 1 provides a detailed description of the proposed change and the basis for the change.
Enclosure 2 details the basis for the Company's determination that the proposed change does not involve a significant hazards consideration.
Enclosure 3 is an environmental evaluation which demonstrates t:hat the proposed amendment meets the eligibility criteria for categorical exclusion set forth in 10CFR51.22(c)(9); therefore, pursuant to 10CFR51.22(b), no environmental impact statement or environmental assessment needs to be prepared in connection with the issuance of the amendment.
Enclosure 4 provides the proposed                 TS   pages.
Carolina Power             & Light Company   requests approval of the proposed amendment by September           1, 1992 in order to support the next                   SHNPP refueling outage currently           scheduled to begin in September 1992.                     In order to allow time for procedure revision and             orderly incorporation into copies of the TSs, CP&L requests that the proposed amendment, once approved by the NRC, be issued such that implementation will occur within 60 days of issuance of the amendment.
In accordance with 10CFR50.91(b), CP&L is providing the State of North Carolina with a copy of this letter.
9112260296               9ii2i6 05000400 PDP         ADOCK Pl'I   I 1
PDR
 
C-I f I, p
    'c 4 %4 t\f
 
'ocument Control     Des~
(NLS-91-319)   / Page &
Please refer any questions regarding   this submittal to Mr. R. W. Prunty at (919) 546-7318.
Yours very truly, LSR/jbw (1414HNP)


==Enclosures:==
==Enclosures:==
: 1. Basis  for Change Request
: 2. 10CFR50.92  Evaluation
: 3. Environmental Evaluation
: 4. Technical Specification Pages cc:  Mr. Dayne H. Brown Mr. S. D. Ebneter Ms. B. L. Mozafari Mr. J. E. Tedrow G. E. Vaughn,  having been first'uly sworn, did depose and say that the information contained herein is true and correct to the best of his information, knowledge and belief; and the sources of his information are officers, employees, contractors, and agents of Carolina Power 6 Light Company.
My  connnissioc expires: A(jy/(PAL


1.Basis for Change Request 2.10CFR50.92 Evaluation 3.Environmental Evaluation 4.Technical Specification Pages cc: Mr.Dayne H.Brown Mr.S.D.Ebneter Ms.B.L.Mozafari Mr.J.E.Tedrow G.E.Vaughn, having been first'uly sworn, did depose and say that the information contained herein is true and correct to the best of his information, knowledge and belief;and the sources of his information are officers, employees, contractors, and agents of Carolina Power 6 Light Company.My connnissioc expires: A(jy/(PAL ENCLOSURE 1 SHEARON HARRIS NUCLEAR POWER PLANT NRC DOCKET NO.50-400/LICENSE NO.NPF-63 REQUEST FOR LICENSE AMENDMENT REACTOR COOLANT SYSTEM (RCS)FLOW MEASUREMENT CALIBRATION BASIS FOR CHANGE RE VEST~Back round On April 17, 1989, Carolina Power&Light Company (CP&L)requested revisions to the Technical Specifications (TS)for the Shearon Harris Nuclear Power Plant (SHNPP)to support refueling and subsequent operation with the VANTAGE 5 improved fuel design.The proposed Technical Specifications resulted from changes in several areas, including the use of improved analytical methodologies.
ENCLOSURE 1 SHEARON HARRIS NUCLEAR POWER PLANT NRC DOCKET NO. 50-400/LICENSE NO. NPF-63 REQUEST FOR LICENSE AMENDMENT REACTOR COOLANT SYSTEM (RCS) FLOW MEASUREMENT CALIBRATION BASIS FOR CHANGE RE VEST
On October 2, 1989, CP&L submitted supplemental information in response to NRC staff review questions concerning the Westinghouse Improved Thermal Design Procedure (ITDP).On October 18, 1989, the NRC issued Amendment No.15 to the Facility Operating License for SHNPP regarding Cycle 3 reload with the VANTAGE 5 fuel design.Technical Specification 4.2.3.5 requires that the Reactor Coolant System (RCS)total flow rate be determined by precision heat balance measurement at least once per 18 months and that associated measurement instrumentation be calibrated within 7 days prior to the performance of the calorimetric flow measurement.
~Back round On April 17, 1989, Carolina Power & Light Company (CP&L) requested revisions to the Technical Specifications (TS) for the Shearon Harris Nuclear Power Plant (SHNPP) to support refueling and subsequent operation with the VANTAGE 5 improved fuel design. The proposed Technical Specifications resulted from changes in several areas, including the use of improved analytical methodologies. On October 2, 1989, CP&L submitted supplemental information in response to NRC staff review questions concerning the Westinghouse Improved Thermal Design Procedure     (ITDP). On October 18, 1989, the NRC issued Amendment No. 15   to the Facility Operating License for   SHNPP regarding Cycle 3 reload with the   VANTAGE 5   fuel design.
The bases for this Specification require that a measurement uncertainty oi 2.1 percent be included in the equation for total RCS flow.WCAP-12340,"Westinghouse Improved Thermal Design Procedure Instrumentation Uncertainty Methodology for Carolina Power&Light Company Shearon Harris Nuclear Power Station" provides specific measurement and control uncertainties for pressure, power, coolant flow rate, and'emperature.
Technical Specification 4.2.3.5 requires that the Reactor Coolant System (RCS) total flow rate be determined by precision heat balance measurement at least once per 18 months and that associated measurement instrumentation be calibrated within 7 days prior to the performance of the calorimetric flow measurement. The bases for this Specification require that a measurement uncertainty oi 2.1 percent     be included in the equation for total RCS flow.
WCAP-12340, which superseded WCAP-11168, Revision 1,"RCS Flow Uncertainty for Shearon Harris Unit 1," documents the 2.1 percent uncertainty allowance, and in so doing, assumes that the flow measurement is performed within 30 days of calibrating the measurement instrumentation.
WCAP-12340, "Westinghouse Improved Thermal Design Procedure Instrumentation Uncertainty Methodology for Carolina Power & Light Company Shearon Harris Nuclear Power Station" provides specific measurement and control uncertainties for pressure, power, coolant flow rate, and'emperature. WCAP-12340, which superseded WCAP-11168, Revision 1, "RCS Flow Uncertainty for Shearon Harris Unit 1," documents the 2.1 percent uncertainty allowance, and in so doing, assumes that the flow measurement is performed within 30 days of calibrating the measurement instrumentation.
The intent of this Request for License Amendment is to revise Technical Specification 4.2.3.5 such that up to 21 days will be allowed for the calibration of the measurement instrumentation utilized in the performance of the RCS calorimetric flow measurement.
The   intent of this Request for License Amendment is to revise Technical Specification 4.2.3.5 such that up to 21 days will be allowed for the calibration of the measurement instrumentation utilized in the performance of the RCS calorimetric flow measurement.       The current seven-day requirement creates a potential hardship since, once the calibration has begun, any slight delay in its performance means that the process must start over from the beginning. This situation has occurred. Further, a reactor trip occurred as the result of a calibration at 100 percent power during start-up from the last refueling outage. The proposed change will alleviate this potential and permit more efficient plant operations, is bounded by present analyses, and is more conservative than the 30-day period assumed in the ITDP.
The current seven-day requirement creates a potential hardship since, once the calibration has begun, any slight delay in its performance means that the process must start over from the beginning.
Pro osed Chan e The proposed amendment revises Technical Specification 4.2.3.5 concerning the calibration of measurement instrumentation. Specifically, the change revises the allowable time period from 7 days to 21 days for the calibration of instrumentation utilized in the performance of the       RCS calorimetric flow measurement.
This situation has occurred.Further, a reactor trip occurred as the result of a calibration at 100 percent power during start-up from the last refueling outage.The proposed change will alleviate this potential and permit more efficient plant operations, is bounded by present analyses, and is more conservative than the 30-day period assumed in the ITDP.Pro osed Chan e The proposed amendment revises Technical Specification 4.2.3.5 concerning the calibration of measurement instrumentation.
 
Specifically, the change revises the allowable time period from 7 days to 21 days for the calibration of instrumentation utilized in the performance of the RCS calorimetric flow measurement.
ENCLOSURE 1 (continued)
ENCLOSURE 1 (continued)
Safet   Evaluation Technical Specification 4.2.3.5 requires that measurement instrumentation be calibrated within 7 days prior to the performance of the RCS calorimetric flow measurement. The bases for the Specification require that a measurement uncertainty of 2.1 percent be included in the equation for total RCS flow.
Safet Evaluation Technical Specification 4.2.3.5 requires that measurement instrumentation be calibrated within 7 days prior to the performance of the RCS calorimetric flow measurement.
The proposed change will continue to meet these existing basest     Therefore, no reduction in the margin of safety will occur.
The bases for the Specification require that a measurement uncertainty of 2.1 percent be included in the equation for total RCS flow.The proposed change will continue to meet these existing basest Therefore, no reduction in the margin of safety will occur.The calibration procedure is unaffected by a change in the allowable time for its performance.
The calibration procedure is unaffected by a change in the allowable time for its performance. As such, there is no increase in the probability of occurrence of any accident previously analyzed in Chapter 15 of the Final Safety Analysis Report (FSAR). The proposed change is bounded by the existing documented basis for the FSAR and the Technical Specifications.     Therefore,   it will not increase the consequences of any accident previously evaluated.
As such, there is no increase in the probability of occurrence of any accident previously analyzed in Chapter 15 of the Final Safety Analysis Report (FSAR).The proposed change is bounded by the existing documented basis for the FSAR and the Technical Specifications.
The proposed change to the Technical Specifications does not require any physical modifications to plant equipment nor does     it affect any required maintenance or testing of equipment. Therefore, there will be no increase in the probability of occurrence of a malfunction of equipment important to safety. Since this change is bounded by the current FSAR Chapter 15 analyses and the Technical Specifications, there is no increase in the consequences of a malfunction of equipment important to safety.
Therefore, it will not increase the consequences of any accident previously evaluated.
The only logical mechanism for increasing the possibility of a new or different kind of accident by the proposed increase in allowed calibration interval would be an adverse impact on the error analysis for the precision heat balance. However, both the Westinghouse analysis and vendor test data show that an increase from 7 days to 21 days will have no significant impact on this analysis. Therefore, the proposed change does not create the possibility of a new or different kind of accident'rom any accident previously evaluated.
The proposed change to the Technical Specifications does not require any physical modifications to plant equipment nor does it affect any required maintenance or testing of equipment.
In summary, the'roposed change does not introduce any new plant equipment, will not   modify existing plant equipment, and will not change the performance of existing procedures. It does, however, remain bounded by existing analyses. Therefore, there is reasonable assurance that the proposed change to Specification 4.2.3.5 will not adversely affect the health and safety of the 'public.
Therefore, there will be no increase in the probability of occurrence of a malfunction of equipment important to safety.Since this change is bounded by the current FSAR Chapter 15 analyses and the Technical Specifications, there is no increase in the consequences of a malfunction of equipment important to safety.The only logical mechanism for increasing the possibility of a new or different kind of accident by the proposed increase in allowed calibration interval would be an adverse impact on the error analysis for the precision heat balance.However, both the Westinghouse analysis and vendor test data show that an increase from 7 days to 21 days will have no significant impact on this analysis.Therefore, the proposed change does not create the possibility of a new or different kind of accident'rom any accident previously evaluated.
(1414HMP)
In summary, the'roposed change does not introduce any new plant equipment, will not modify existing plant equipment, and will not change the performance of existing procedures.
 
It does, however, remain bounded by existing analyses.Therefore, there is reasonable assurance that the proposed change to Specification 4.2.3.5 will not adversely affect the health and safety of the'public.(1414HMP)
ENCLOSURE 2 SHEARON HARRIS NUCLEAR POWER PLANT NRC DOCKET NO. 50-400/LICENSE NO. NPF-63 REQUEST FOR LICENSE AMENDMENT REACTOR COOLANT SYSTEM (RCS) FLOW MEASUREMENT CALIBRATION 10CFR50.92 EVALUATION The Commission has provided standards in 10CFR50.92(c) for determining whether a significant hazards consideration exists.       A proposed amendment to an operating license for a   facility   involves no significant hazards consideration if operation of the   facility   in accordance with the proposed amendment would not: (1) involve a significant increase in the probability or consequences of an accident previously evaluated, (2) create the possibility of a new or different kind of accident from any accident previously evaluated, or (3) involve a significant reduction in a margin of safety. Carolina Power & Light Company has reviewed this proposed license amendment request and determined that its adoption would not involve a significant hazards determination. The bases for this determination are as follows:
ENCLOSURE 2 SHEARON HARRIS NUCLEAR POWER PLANT NRC DOCKET NO.50-400/LICENSE NO.NPF-63 REQUEST FOR LICENSE AMENDMENT REACTOR COOLANT SYSTEM (RCS)FLOW MEASUREMENT CALIBRATION 10CFR50.92 EVALUATION The Commission has provided standards in 10CFR50.92(c) for determining whether a significant hazards consideration exists.A proposed amendment to an operating license for a facility involves no significant hazards consideration if operation of the facility in accordance with the proposed amendment would not: (1)involve a significant increase in the probability or consequences of an accident previously evaluated, (2)create the possibility of a new or different kind of accident from any accident previously evaluated, or (3)involve a significant reduction in a margin of safety.Carolina Power&Light Company has reviewed this proposed license amendment request and determined that its adoption would not involve a significant hazards determination.
Pro osed Chan e The proposed amendment   revises Technical Specification 4.2.3.5 concerning the calibration of   measurement   instrumentation. Specifically, the change revises the allowable time period from 7 days to 21 days for the calibration of instrumentation utilized in the performance of the reactor,'coolant syst: em calorimetric flow measurement.
The bases for this determination are as follows: Pro osed Chan e The proposed amendment revises Technical Specification 4.2.3.5 concerning the calibration of measurement instrumentation.
Basis This change does not involve a significant hazards consideration       for the following reasons:
Specifically, the change revises the allowable time period from 7 days to 21 days for the calibration of instrumentation utilized in the performance of the reactor,'coolant syst: em calorimetric flow measurement.
The proposed amendment   does not involve a   significant increase in the probability or   consequences of an accident   previously evaluated.
Basis This change does not involve a significant hazards consideration for the following reasons: The proposed amendment does not involve a significant increase in the probability or consequences of an accident previously evaluated.
The proposed change   only increases the maximum calibration period of the measurement instrumentation used for the precision heat balance measurement from 7 days to 21 days prior to the test. The 21 day interval is within the 30 day bounds assumed by Westinghouse in the error analysis for the precision heat balance measurement instrumentation. Further, an analysis of vendor transmitter test data shows that any increase in instrument drift between 7 days and 21 days in negligible. Therefore, there would be no significant increase in the probability or consequences of an accident previously evaluated.
The proposed change only increases the maximum calibration period of the measurement instrumentation used for the precision heat balance measurement from 7 days to 21 days prior to the test.The 21 day interval is within the 30 day bounds assumed by Westinghouse in the error analysis for the precision heat balance measurement instrumentation.
Further, an analysis of vendor transmitter test data shows that any increase in instrument drift between 7 days and 21 days in negligible.
Therefore, there would be no significant increase in the probability or consequences of an accident previously evaluated.
(1414HNP)
(1414HNP)
ENCLOSURE 2 (continued)
 
The proposed amendment does not create the possibility of a new or different kind of accident from any accident previously evaluated.
ENCLOSURE 2 (continued)
The only logical mechanism for increasing the possibility of a new or different kind of accident by the proposed increase in the allowed calibration interval would be an adverse impact on the error analysis for the precision heat balance measurement.
The proposed amendment   does not create the possibility of a new or different kind of accident from   any accident previously evaluated.
However, both the Westinghouse analysis and vendor test data show that an increase from 7 days to 21 days will have no significant impact on this analysis.Therefore, the proposed change does not create the possibility of a new or different kind of accident from any accident previously evaluated.
The only logical mechanism for increasing the possibility of a new or different kind of accident by the proposed increase in the allowed calibration interval would be an adverse impact on the error analysis for the precision heat balance measurement. However, both the Westinghouse analysis and vendor test data show that an increase from 7 days to 21 days will have no significant impact on this analysis.
The proposed amendment'oes not involve a significant reduction in the margin of safety.An increase in the allowable calibration time interval from 7 to 21 days has no effect on the RCS flow measurement uncertainty which forms the current basis for the Final Safety Analysis Report Chapter 15 accident analyses and the plant Technical Specifications.
Therefore, the proposed change does not create the possibility of a new or different kind of accident from any accident previously evaluated.
Additionally, the proposed change does not introduce new equipment or alter the way existing surveillances or testing are performed.
The proposed amendment'oes     not involve a significant reduction in the margin of safety.
Therefore, the proposed change does not involve a significant reduction in a margin of safety.
An increase in the allowable calibration time interval from 7 to 21 days has no   effect on the RCS flow measurement uncertainty which forms the current basis for the Final Safety Analysis Report Chapter 15 accident analyses and the plant Technical Specifications. Additionally, the proposed change does not introduce new equipment or alter the way existing surveillances or testing are performed. Therefore, the proposed change does not involve a significant reduction in a margin of safety.
ENCLOSURE 3 SHEARON HARRIS NUCLEAR POWER PLANT NRC DOCKET NO.50-400/LICENSE NO.NPF-63 REQUEST FOR LICENSE AMENDMENT REACTOR COOLANT SYSTEM (RCS)FLOW MEASUREMENT CALIBRATION ENVIRONMENTAL CONSIDERATIONS 10CFR51.22(c)(9) provides criterion for and identification of licensing and regulatory actions eligible for categorical exclusion from performing an environmental assessment.
 
A proposed amendment to an operating license for a facility requires no enviionmental assessment if operation of the facility in accordance with the proposed amendment would not: (1)involve a significant hazards consideration; (2)result in a significant change in the types or significant increase in the amounts of any effluents that may be released off-site;(3)result in an increase in individual or cumulative occupational radiation exposure., Carolina Power 6 Light Company has reviewed this request and determined that the proposed amendment meets the eligibility criteria for categorical exclusion set forth in 10CFR51.22(c)(9).
ENCLOSURE 3 SHEARON HARRIS NUCLEAR POWER PLANT NRC DOCKET NO. 50-400/LICENSE NO. NPF-63 REQUEST FOR LICENSE AMENDMENT REACTOR COOLANT SYSTEM (RCS) FLOW MEASUREMENT CALIBRATION ENVIRONMENTAL CONSIDERATIONS 10CFR51.22(c)(9) provides criterion for and identification of licensing and regulatory actions eligible for categorical exclusion from performing an environmental assessment.     A proposed amendment to an operating license for a facility requires no enviionmental assessment     if operation of the facility in accordance with the proposed amendment would not: (1) involve a significant hazards consideration; (2) result in a significant change in the types or significant increase in the amounts of any effluents that may be released off-site; (3) result in an increase in individual or cumulative occupational radiation exposure., Carolina Power 6 Light Company has reviewed this request and determined   that the proposed   amendment meets the eligibility criteria for categorical exclusion set forth in 10CFR51.22(c)(9). Pursuant to 10CFR51.22(b), no environmental impact statement or environmental assessment needs to be prepared in connection with the issuance of the amendment.       The basis for this determination follows:
Pursuant to 10CFR51.22(b), no environmental impact statement or environmental assessment needs to be prepared in connection with the issuance of the amendment.
Pro osed Chan e The proposed amendment   revises Technical Specification 4.2.3.5 concerning the       .
The basis for this determination follows: Pro osed Chan e The proposed amendment revises Technical Specification 4.2.3.5 concerning the.calibration of measurement instrumentation.
calibration of   measurement   instrumentation. Specifically, the change revises the allowable time period from 7 days to 21 days for the calibration of instrumentation utilized in tne performance of the RCS calorimetric flow measurement.
Specifically, the change revises the allowable time period from 7 days to 21 days for the calibration of instrumentation utilized in tne performance of the RCS calorimetric flow measurement.
Basis The change meets the   eligibility criteria for categorical exclusion set forth in 10CFR51.22(c)(9)   for the following reasons:
Basis The change meets the eligibility criteria for categorical exclusion set forth in 10CFR51.22(c)(9) for the following reasons: As demonstrated in Enclosure 2, the proposed amendment does not involve a significant hazards consideration.
As demonstrated in Enclosure 2, the proposed amendment does not involve a significant hazards consideration.
2.The proposed amendment does not result in a significant change in the types o'r significant increase in the amounts of any effluents that may be released off-site'.
: 2. The proposed amendment does not result in a significant change in the types o'r significant increase in the amounts of any effluents that may be released off-site'.
The proposed amendment does not introduce any new equipment nor does it require existing'equipment or systems to perform a different type of function than they are currently designed to perform.As such, the change can not affect the types or amounts of any effluents that may be released off-site.3.The proposed amendment does not result in an increase in individuaI or cumulative occupational radiation exposure.The proposed amendment does not change the way existing surveillances or testing are performed nor does it add additional surveillances or testing requirements.
The proposed amendment   does not introduce any new equipment nor does require existing 'equipment or systems to perform a different type of it function than they are currently designed to perform. As such, the change can not affect the types or amounts of any effluents that may       be released off-site.
However, it will decrease the need for repeat calibrations and may result in a dose reduction compared with current practice.Therefore, the amendment has no affect on either individual or cumulative occupational radiation exposure.(1414HHP)}}
: 3. The proposed amendment   does not result in an increase in individuaI or cumulative occupational radiation exposure.
The proposed amendment   does not change the way existing surveillances or testing are performed nor does it add additional surveillances or testing requirements. However, it will decrease the need for repeat calibrations and may result in a dose reduction compared with current practice. Therefore, the amendment has no affect on either individual or cumulative occupational radiation exposure.
(1414HHP)}}

Revision as of 06:29, 22 October 2019

Application for Amend to License NPF-63,revising Tech Spec 4.2.3.5 Re Calibr of RCS Flow Measurement Instrumentation
ML18010A479
Person / Time
Site: Harris Duke Energy icon.png
Issue date: 12/16/1991
From: Vaughn G
CAROLINA POWER & LIGHT CO.
To:
NRC OFFICE OF INFORMATION RESOURCES MANAGEMENT (IRM)
Shared Package
ML18010A480 List:
References
NLS-91-319, NUDOCS 9112260296
Download: ML18010A479 (10)


Text

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ACCESSION NBR: 9112260296 DOC. DATE: 91/12/16 NOTARIZED: YES DOCKET g FACIL:50-400 Shearon Harris Nuclear Power Plant, Unit 1, Carolina 05000400 AUTH. NAME AUTHOR AFFILIATION VAUGHN,G.E. Carolina Power & Light Co.

RECIP.NAME RECIPIENT AFFILIATION Document Control Branch (Document Control Desk)

Application for amend to license NPF-63,revising Tech Spec l

SUBJECT:

4.2.3.5 re calibr of RCS flow measurement instrumentation.

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Carolina Power & Light Company P.O. Box 1551 ~ Raleigh, N.C. 27602 SERIAL'LS-91-319 G. E. VAUGHN 10CFR50.90 Vice President Nuclear Services Department Unit:ed States Nuclear Regulatory Commission ATTENTION: Document Control Desk Washington, DC 20555 SHEARON HARRIS NUCLEAR POWER PLANT DOCKET NO. 50-400/LICENSE NO. NPF-63 REQUEST FOR LICENSE AMENDMENT REACTOR COOLANT SYSTEM (RCS) FLOW MEASUREMENT CALIBRATION Gentlemen:

In accordance with the Code of Federal Regulations, Title 10, Parts 50.90 and 2.101, Carolina Power & Light Company (CP&L) hereby requests a revision t'o the Technical Specifications (TS) for the Shearon Harris Nuclear Power Plant (SHNPP). The proposed amendment revises TS 4.2.3.5 concerning the calibration of measurement instrumentation. Speci.fically, the change revises the allowable time period from 7 days to 21 days for the calibration of instrumentation utili ed in the 'performance of the'RCS caloritnetric flow measurement.

Enclosure 1 provides a detailed description of the proposed change and the basis for the change.

Enclosure 2 details the basis for the Company's determination that the proposed change does not involve a significant hazards consideration.

Enclosure 3 is an environmental evaluation which demonstrates t:hat the proposed amendment meets the eligibility criteria for categorical exclusion set forth in 10CFR51.22(c)(9); therefore, pursuant to 10CFR51.22(b), no environmental impact statement or environmental assessment needs to be prepared in connection with the issuance of the amendment.

Enclosure 4 provides the proposed TS pages.

Carolina Power & Light Company requests approval of the proposed amendment by September 1, 1992 in order to support the next SHNPP refueling outage currently scheduled to begin in September 1992. In order to allow time for procedure revision and orderly incorporation into copies of the TSs, CP&L requests that the proposed amendment, once approved by the NRC, be issued such that implementation will occur within 60 days of issuance of the amendment.

In accordance with 10CFR50.91(b), CP&L is providing the State of North Carolina with a copy of this letter.

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Please refer any questions regarding this submittal to Mr. R. W. Prunty at (919) 546-7318.

Yours very truly, LSR/jbw (1414HNP)

Enclosures:

1. Basis for Change Request
2. 10CFR50.92 Evaluation
3. Environmental Evaluation
4. Technical Specification Pages cc: Mr. Dayne H. Brown Mr. S. D. Ebneter Ms. B. L. Mozafari Mr. J. E. Tedrow G. E. Vaughn, having been first'uly sworn, did depose and say that the information contained herein is true and correct to the best of his information, knowledge and belief; and the sources of his information are officers, employees, contractors, and agents of Carolina Power 6 Light Company.

My connnissioc expires: A(jy/(PAL

ENCLOSURE 1 SHEARON HARRIS NUCLEAR POWER PLANT NRC DOCKET NO. 50-400/LICENSE NO. NPF-63 REQUEST FOR LICENSE AMENDMENT REACTOR COOLANT SYSTEM (RCS) FLOW MEASUREMENT CALIBRATION BASIS FOR CHANGE RE VEST

~Back round On April 17, 1989, Carolina Power & Light Company (CP&L) requested revisions to the Technical Specifications (TS) for the Shearon Harris Nuclear Power Plant (SHNPP) to support refueling and subsequent operation with the VANTAGE 5 improved fuel design. The proposed Technical Specifications resulted from changes in several areas, including the use of improved analytical methodologies. On October 2, 1989, CP&L submitted supplemental information in response to NRC staff review questions concerning the Westinghouse Improved Thermal Design Procedure (ITDP). On October 18, 1989, the NRC issued Amendment No. 15 to the Facility Operating License for SHNPP regarding Cycle 3 reload with the VANTAGE 5 fuel design.

Technical Specification 4.2.3.5 requires that the Reactor Coolant System (RCS) total flow rate be determined by precision heat balance measurement at least once per 18 months and that associated measurement instrumentation be calibrated within 7 days prior to the performance of the calorimetric flow measurement. The bases for this Specification require that a measurement uncertainty oi 2.1 percent be included in the equation for total RCS flow.

WCAP-12340, "Westinghouse Improved Thermal Design Procedure Instrumentation Uncertainty Methodology for Carolina Power & Light Company Shearon Harris Nuclear Power Station" provides specific measurement and control uncertainties for pressure, power, coolant flow rate, and'emperature. WCAP-12340, which superseded WCAP-11168, Revision 1, "RCS Flow Uncertainty for Shearon Harris Unit 1," documents the 2.1 percent uncertainty allowance, and in so doing, assumes that the flow measurement is performed within 30 days of calibrating the measurement instrumentation.

The intent of this Request for License Amendment is to revise Technical Specification 4.2.3.5 such that up to 21 days will be allowed for the calibration of the measurement instrumentation utilized in the performance of the RCS calorimetric flow measurement. The current seven-day requirement creates a potential hardship since, once the calibration has begun, any slight delay in its performance means that the process must start over from the beginning. This situation has occurred. Further, a reactor trip occurred as the result of a calibration at 100 percent power during start-up from the last refueling outage. The proposed change will alleviate this potential and permit more efficient plant operations, is bounded by present analyses, and is more conservative than the 30-day period assumed in the ITDP.

Pro osed Chan e The proposed amendment revises Technical Specification 4.2.3.5 concerning the calibration of measurement instrumentation. Specifically, the change revises the allowable time period from 7 days to 21 days for the calibration of instrumentation utilized in the performance of the RCS calorimetric flow measurement.

ENCLOSURE 1 (continued)

Safet Evaluation Technical Specification 4.2.3.5 requires that measurement instrumentation be calibrated within 7 days prior to the performance of the RCS calorimetric flow measurement. The bases for the Specification require that a measurement uncertainty of 2.1 percent be included in the equation for total RCS flow.

The proposed change will continue to meet these existing basest Therefore, no reduction in the margin of safety will occur.

The calibration procedure is unaffected by a change in the allowable time for its performance. As such, there is no increase in the probability of occurrence of any accident previously analyzed in Chapter 15 of the Final Safety Analysis Report (FSAR). The proposed change is bounded by the existing documented basis for the FSAR and the Technical Specifications. Therefore, it will not increase the consequences of any accident previously evaluated.

The proposed change to the Technical Specifications does not require any physical modifications to plant equipment nor does it affect any required maintenance or testing of equipment. Therefore, there will be no increase in the probability of occurrence of a malfunction of equipment important to safety. Since this change is bounded by the current FSAR Chapter 15 analyses and the Technical Specifications, there is no increase in the consequences of a malfunction of equipment important to safety.

The only logical mechanism for increasing the possibility of a new or different kind of accident by the proposed increase in allowed calibration interval would be an adverse impact on the error analysis for the precision heat balance. However, both the Westinghouse analysis and vendor test data show that an increase from 7 days to 21 days will have no significant impact on this analysis. Therefore, the proposed change does not create the possibility of a new or different kind of accident'rom any accident previously evaluated.

In summary, the'roposed change does not introduce any new plant equipment, will not modify existing plant equipment, and will not change the performance of existing procedures. It does, however, remain bounded by existing analyses. Therefore, there is reasonable assurance that the proposed change to Specification 4.2.3.5 will not adversely affect the health and safety of the 'public.

(1414HMP)

ENCLOSURE 2 SHEARON HARRIS NUCLEAR POWER PLANT NRC DOCKET NO. 50-400/LICENSE NO. NPF-63 REQUEST FOR LICENSE AMENDMENT REACTOR COOLANT SYSTEM (RCS) FLOW MEASUREMENT CALIBRATION 10CFR50.92 EVALUATION The Commission has provided standards in 10CFR50.92(c) for determining whether a significant hazards consideration exists. A proposed amendment to an operating license for a facility involves no significant hazards consideration if operation of the facility in accordance with the proposed amendment would not: (1) involve a significant increase in the probability or consequences of an accident previously evaluated, (2) create the possibility of a new or different kind of accident from any accident previously evaluated, or (3) involve a significant reduction in a margin of safety. Carolina Power & Light Company has reviewed this proposed license amendment request and determined that its adoption would not involve a significant hazards determination. The bases for this determination are as follows:

Pro osed Chan e The proposed amendment revises Technical Specification 4.2.3.5 concerning the calibration of measurement instrumentation. Specifically, the change revises the allowable time period from 7 days to 21 days for the calibration of instrumentation utilized in the performance of the reactor,'coolant syst: em calorimetric flow measurement.

Basis This change does not involve a significant hazards consideration for the following reasons:

The proposed amendment does not involve a significant increase in the probability or consequences of an accident previously evaluated.

The proposed change only increases the maximum calibration period of the measurement instrumentation used for the precision heat balance measurement from 7 days to 21 days prior to the test. The 21 day interval is within the 30 day bounds assumed by Westinghouse in the error analysis for the precision heat balance measurement instrumentation. Further, an analysis of vendor transmitter test data shows that any increase in instrument drift between 7 days and 21 days in negligible. Therefore, there would be no significant increase in the probability or consequences of an accident previously evaluated.

(1414HNP)

ENCLOSURE 2 (continued)

The proposed amendment does not create the possibility of a new or different kind of accident from any accident previously evaluated.

The only logical mechanism for increasing the possibility of a new or different kind of accident by the proposed increase in the allowed calibration interval would be an adverse impact on the error analysis for the precision heat balance measurement. However, both the Westinghouse analysis and vendor test data show that an increase from 7 days to 21 days will have no significant impact on this analysis.

Therefore, the proposed change does not create the possibility of a new or different kind of accident from any accident previously evaluated.

The proposed amendment'oes not involve a significant reduction in the margin of safety.

An increase in the allowable calibration time interval from 7 to 21 days has no effect on the RCS flow measurement uncertainty which forms the current basis for the Final Safety Analysis Report Chapter 15 accident analyses and the plant Technical Specifications. Additionally, the proposed change does not introduce new equipment or alter the way existing surveillances or testing are performed. Therefore, the proposed change does not involve a significant reduction in a margin of safety.

ENCLOSURE 3 SHEARON HARRIS NUCLEAR POWER PLANT NRC DOCKET NO. 50-400/LICENSE NO. NPF-63 REQUEST FOR LICENSE AMENDMENT REACTOR COOLANT SYSTEM (RCS) FLOW MEASUREMENT CALIBRATION ENVIRONMENTAL CONSIDERATIONS 10CFR51.22(c)(9) provides criterion for and identification of licensing and regulatory actions eligible for categorical exclusion from performing an environmental assessment. A proposed amendment to an operating license for a facility requires no enviionmental assessment if operation of the facility in accordance with the proposed amendment would not: (1) involve a significant hazards consideration; (2) result in a significant change in the types or significant increase in the amounts of any effluents that may be released off-site; (3) result in an increase in individual or cumulative occupational radiation exposure., Carolina Power 6 Light Company has reviewed this request and determined that the proposed amendment meets the eligibility criteria for categorical exclusion set forth in 10CFR51.22(c)(9). Pursuant to 10CFR51.22(b), no environmental impact statement or environmental assessment needs to be prepared in connection with the issuance of the amendment. The basis for this determination follows:

Pro osed Chan e The proposed amendment revises Technical Specification 4.2.3.5 concerning the .

calibration of measurement instrumentation. Specifically, the change revises the allowable time period from 7 days to 21 days for the calibration of instrumentation utilized in tne performance of the RCS calorimetric flow measurement.

Basis The change meets the eligibility criteria for categorical exclusion set forth in 10CFR51.22(c)(9) for the following reasons:

As demonstrated in Enclosure 2, the proposed amendment does not involve a significant hazards consideration.

2. The proposed amendment does not result in a significant change in the types o'r significant increase in the amounts of any effluents that may be released off-site'.

The proposed amendment does not introduce any new equipment nor does require existing 'equipment or systems to perform a different type of it function than they are currently designed to perform. As such, the change can not affect the types or amounts of any effluents that may be released off-site.

3. The proposed amendment does not result in an increase in individuaI or cumulative occupational radiation exposure.

The proposed amendment does not change the way existing surveillances or testing are performed nor does it add additional surveillances or testing requirements. However, it will decrease the need for repeat calibrations and may result in a dose reduction compared with current practice. Therefore, the amendment has no affect on either individual or cumulative occupational radiation exposure.

(1414HHP)