RS-15-093, Second 10 CFR 54.21 (B) Annual Amendment to the Braidwood Station, Units 1 and 2, and Byron Station, Units 1 and 2, License Renewal Application: Difference between revisions

From kanterella
Jump to navigation Jump to search
(Created page by program invented by StriderTol)
(Created page by program invented by StriderTol)
 
(One intermediate revision by the same user not shown)
Line 3: Line 3:
| issue date = 04/06/2015
| issue date = 04/06/2015
| title = Second 10 CFR 54.21 (B) Annual Amendment to the Braidwood Station, Units 1 and 2, and Byron Station, Units 1 and 2, License Renewal Application
| title = Second 10 CFR 54.21 (B) Annual Amendment to the Braidwood Station, Units 1 and 2, and Byron Station, Units 1 and 2, License Renewal Application
| author name = Gallagher M P
| author name = Gallagher M
| author affiliation = Exelon Generation Co, LLC
| author affiliation = Exelon Generation Co, LLC
| addressee name =  
| addressee name =  
Line 18: Line 18:


=Text=
=Text=
{{#Wiki_filter:RS-15-093 April 6, 2015 10 CFR 50 10 CFR 51 10 CFR 54 U.S. Nuclear Regulatory Commission Attention:
{{#Wiki_filter:10 CFR 50 10 CFR 51 10 CFR 54 RS-15-093 April 6, 2015 U.S. Nuclear Regulatory Commission Attention: Document Control Desk Washington, DC 20555-0001 Braidwood Station, Units 1 and 2 Facility Operating License Nos. NPF-72 and NPF-77 NRC Docket Nos. STN 50-456 and STN 50-457 Byron Station, Units 1 and 2 Facility Operating License Nos. NPF-37 and NPF-66 NRC Docket Nos. STN 50-454 and STN 50-455
Document Control Desk Washington, DC 20555-0001  


==Subject:==
==Subject:==
Second 10 CFR 54.21 (b) Annual Amendment to the Braidwood Station, Units 1 and 2, and Byron Station, Units 1 and 2, License Renewal Application


==References:==
==References:==
: 1. Letter from Michael P. Gallagher, Exelon Generation Company LLC (Exelon),
to NRC Document Control Desk, dated May 29, 2013, "Application for Renewed Operating Licenses."
: 2. Letter from Michael P. Gallagher, Exelon, to NRG Document Control Desk, dated May 5, 2014, "10 CFR 54.21 (b) Annual Amendment to the Braidwood Station, Units 1 and 2, and Byron Station, Units 1 and 2, License Renewal Application"
: 3. Letter from Patrick R Simpson, Exelon, to NRC Document Control Desk, dated October 27, 2014, "Dissolution of Exelon Ventures Company, LLC" In Reference 1, Exelon Generation Company, LLC (Exelon) submitted the License Renewal Application (LRA) for the Byron Station, Units 1 and 2, and Braidwood Station, Units 1 and 2 (BBS). Reference 2 provided the first annual amendment to the LRA, as required by 10 CFR 54.21 (b).
Exelon has completed a review to identify any current licensing basis (CLB) changes made since submittal of the Reference 2, which have a material effect on the content of the LRA, including the FSAR Supplement. This amendment identified three (3) changes to the current


Braidwood Station, Units 1 and 2 Facility Operating License Nos. NPF-72 and NPF-77 NRC Docket Nos. STN 50-456 and STN 50-457 Byron Station, Units 1 and 2 Facility Operating License Nos. NPF-37 and NPF-66 NRC Docket Nos. STN 50-454 and STN 50-455 Second 10 CFR 54.21 (b) Annual Amendment to the Braidwood Station, Units 1 and 2, and Byron Station, Units 1 and 2, License Renewal Application
April 6, 2015 U.S. Nuclear Regulatory Commission Page 2 licensing basis (CLB) that materially affect the contents of the BBS LRA. Enclosure A contains a description of these CLB changes. Enclosure B contains updates to sections of the LRA affected by the changes.
: 1. Letter from Michael P. Gallagher, Exelon Generation Company LLC (Exelon), to NRC Document Control Desk, dated May 29, 2013, "Application for Renewed Operating Licenses." 2. Letter from Michael P. Gallagher, Exelon, to NRG Document Control Desk, dated May 5, 2014, "10 CFR 54.21 (b) Annual Amendment to the Braidwood Station, Units 1 and 2, and Byron Station, Units 1 and 2, License Renewal Application" 3. Letter from Patrick R Simpson, Exelon, to NRC Document Control Desk, dated October 27, 2014, "Dissolution of Exelon Ventures Company, LLC" In Reference 1, Exelon Generation Company, LLC (Exelon) submitted the License Renewal Application (LRA) for the Byron Station, Units 1 and 2, and Braidwood Station, Units 1 and 2 (BBS). Reference 2 provided the first annual amendment to the LRA, as required by 10 CFR 54.21 (b). Exelon has completed a review to identify any current licensing basis (CLB) changes made since submittal of the Reference 2, which have a material effect on the content of the LRA, including the FSAR Supplement.
This submittal satisfies the 10 CFR 54.21 (b) annual amendment requirement for 2015.
This amendment identified three (3) changes to the current April 6, 2015 U.S. Nuclear Regulatory Commission Page 2 licensing basis (CLB) that materially affect the contents of the BBS LRA. Enclosure A contains a description of these CLB changes. Enclosure B contains updates to sections of the LRA affected by the changes. This submittal satisfies the 10 CFR 54.21 (b) annual amendment requirement for 2015. There are no new or revised regulatory commitments contained in this letter. If you have any questions, please contact Mr. Al Fulvio, Manager, Exelon License Renewal, at 610-765-5936.
There are no new or revised regulatory commitments contained in this letter.
I declare under penalty of perjury that the foregoing is true and correct. Respectfully, Michael P. Gallagher Vice President  
If you have any questions, please contact Mr. Al Fulvio, Manager, Exelon License Renewal, at 610-765-5936.
-License Renewal Projects Exelon Generation Company, LLC  
I declare under penalty of perjury that the foregoing is true and correct.
Respectfully, Michael P. Gallagher Vice President - License Renewal Projects Exelon Generation Company, LLC


==Enclosures:==
==Enclosures:==
A Description of CLB Changes that Impact the LRA B. LRA Updates Associated with CLB Changes cc:      Regional Administrator- NRC Region Ill NRC Project Manager (Safety Review), NRR-DLR NRC Project Manager (Environmental Review), NRR-DLR NRC Senior Resident Inspector, Braidwood Station NRC Senior Resident Inspector, Byron Station NRC Project Manager, NRR-DORL-Braidwood and Byron Stations Illinois Emergency Management Agency - Division of Nuclear Safety


A Description of CLB Changes that Impact the LRA B. LRA Updates Associated with CLB Changes cc: Regional Administrator-NRC Region Ill NRC Project Manager (Safety Review), NRR-DLR NRC Project Manager (Environmental Review), NRR-DLR NRC Senior Resident Inspector, Braidwood Station NRC Senior Resident Inspector, Byron Station NRC Project Manager, NRR-DORL-Braidwood and Byron Stations Illinois Emergency Management Agency -Division of Nuclear Safety RS-15-093 Enclosure A Page 1 of 5 Enclosure A Description of CLB Changes that Impact the LRA
RS-15-093 Enclosure A Page 1 of 5 Enclosure A Description of CLB Changes that Impact the LRA
: 1) Change to Ownership Structure for Exelon Generation Company, LLC In Reference 3, Exelon Generation Company, LLC, notified the NRC that Exelon Ventures Company, LLC was dissolved and that Exelon Generation Company, LLC became a direct wholly-owned subsidiary of Exelon Corporation. This change affected the description of the ownership structure that was contained in LRA Section 1.1.3, "Descriptions of Business or Occupation of Applicant.In addition, it was identified that LRA Section 1.1.3 had inadvertently stated that Exelon Generation Company, LLC is a Delaware company, instead of a Pennsylvania company. LRA Section 1.1.3 is updated as shown in Enclosure B to reflect these changes.
: 1) Change to Ownership Structure for Exelon Generation Company, LLC In Reference 3, Exelon Generation Company, LLC, notified the NRC that Exelon Ventures Company, LLC was dissolved and that Exelon Generation Company, LLC became a direct wholly-owned subsidiary of Exelon Corporation. This change affected the description of the ownership structure that was contained in LRA Section 1.1.3, Descriptions of Business or Occupation of Applicant. In addition, it was identified that LRA Section 1.1.3 had inadvertently stated that Exelon Generation Company, LLC is a Delaware company, instead of a Pennsylvania company. LRA Section 1.1.3 is updated as shown in Enclosure B to reflect these changes.
: 2) Addition of Material for Different Component Type to Component Cooling System A modification of the Component Cooling System has been performed which installs two carbon steel check valves, a stainless steel restricting orifice, and a copper alloy drain valve to the primary sample cooler assembly at Byron Station, Unit 2. The installation of the carbon steel valve bodies and stainless steel restricting orifice does not materially affect the contents of the license renewal application since the appropriate component type, material, environment, and aging effect combination is included in the Summary of Aging Management table for this system (LRA Table 3.3.2-5). However, the installation of the drain valve constructed of copper alloy with less than 15 percent zinc introduces a new material for the Valve Body component type that was not previously evaluated in the Component Cooling System. Therefore, this material with the corresponding environments and aging management line items are added to the Valve Body component type in LRA Table 3.3.2-5. LRA Table 3.3.2-5 is updated in Enclosure B to reflect these changes.
: 2) Addition of Material for Different Component Type to Component Cooling System A modification of the Component Cooling System has been performed which installs two carbon steel check valves, a stainless steel restricting orifice, and a copper alloy drain valve to the primary sample cooler assembly at Byron Station, Unit 2. The installation of the carbon steel valve bodies and stainless steel restricting orifice does not materially affect the contents of the license renewal application since the appropriate component type, material, environment, and aging effect combination is included in the Summary of Aging Management table for this system (LRA Table 3.3.2-5). However, the installation of the drain valve constructed of copper alloy with less than 15 percent zinc introduces a new material for the Valve Body component type that was not previously evaluated in the Component Cooling System. Therefore, this material with the corresponding environments and aging management line items are added to the Valve Body component type in LRA Table 3.3.2-5. LRA Table 3.3.2-5 is updated in Enclosure B to reflect these changes.
: 3) Transition to Revision 7 of the EPRI PWR Primary Water Chemistry Guidelines NUREG-1801, Revision 2, Section XI.M2, "Water Chemistry" specifies the use of EPRI 1014986, "PWR Primary Water Chemistry Guidelines" Revision 6, for monitoring and control of reactor water chemistry at PWRs. At the time Byron Station, Units 1 and 2, and Braidwood Station, Units 1 and 2 (BBS) License Renewal Application (LRA) was submitted in May 2013, Water Chemistry program procedures implemented Revision 6 of the guideline without exception to NUREG-1801 Revision 2, Section XI.M2, "Water Chemistry".
: 3) Transition to Revision 7 of the EPRI PWR Primary Water Chemistry Guidelines NUREG-1801, Revision 2, Section XI.M2, Water Chemistry specifies the use of EPRI 1014986, PWR Primary Water Chemistry Guidelines Revision 6, for monitoring and control of reactor water chemistry at PWRs. At the time Byron Station, Units 1 and 2, and Braidwood Station, Units 1 and 2 (BBS) License Renewal Application (LRA) was submitted in May 2013, Water Chemistry program procedures implemented Revision 6 of the guideline without exception to NUREG-1801 Revision 2, Section XI.M2, Water Chemistry.
Therefore, LRA section B.2.1.2, Water Chemistry identified no exceptions to the program.
Therefore, LRA section B.2.1.2, Water Chemistry identified no exceptions to the program.
However, early in 2015 the Byron and Braidwood Water Chemistry program transitioned to the next revision of this EPRI document, EPRI 3002000505, "PWR Primary Water Chemistry Guidelines", Revision 7, for monitoring and control of reactor water chemistry. EPRI reports such as "PWR Primary Water Chemistry Guidelines" are industry reports, which are periodically reviewed and revised by industry experts to incorporate recent industry operating experience and best practices. Byron and Braidwood Stations are committed to following and implementing the Nuclear Energy Institute (NEI) industry initiative 97-06, "Steam Generator Program Guidelines," as well as NEI 03-08, "Guideline for RS-15-093 Enclosure A Page 2 of 5 the Management of Materials Issues."  Both of these NEI documents invoke various EPRI chemistry program guidelines, including PWR Primary Water Chemistry Guidelines, as forming a part of the bases of the initiative's requirements. Updates to the EPRI Guidelines, including "PWR Primary Water Chemistry Guidelines", are periodically distributed to the industry for expected timely implementation. These guidelines contain "mandatory", "shall",
However, early in 2015 the Byron and Braidwood Water Chemistry program transitioned to the next revision of this EPRI document, EPRI 3002000505, PWR Primary Water Chemistry Guidelines, Revision 7, for monitoring and control of reactor water chemistry.
and "recommended" requirements. Any deviation from implementing "mandatory" or "shall" requirements must be entered into the corrective action program, technically justified, and notifications made to EPRI, NEI, and the NRC. Revision 7 does not remove any "mandatory", "shall", or "recommended" requirements previously contained in Revision 6. The focus of Revision 7 was on updating the guideline with recent field experience, laboratory results and related investigations, and industry lessons learned. The following table provides a breakdown of major changes from Revision 6 to Revision 7 and the impact, if any, on Byron and Braidwood Water Chemistry aging management program.
EPRI reports such as PWR Primary Water Chemistry Guidelines are industry reports, which are periodically reviewed and revised by industry experts to incorporate recent industry operating experience and best practices. Byron and Braidwood Stations are committed to following and implementing the Nuclear Energy Institute (NEI) industry initiative 97-06, Steam Generator Program Guidelines, as well as NEI 03-08, Guideline for
Changes to "PWR Primary Water Chemistry Guidelines" (Revision 6 to Revision 7) Impact of Incorporating EPRI Revision 7 on BBS Water Chemistry Aging Management Program  Volume 1, Chapter 2: Updates to discussions on pH control regimes to provide details and comparisons of the constant, modified, and elevated regimes. There is no material impact on license renewal aging management activities.
The change from Revision 6 to Revision 7 only affects a discussion section, by documenting an improved understanding of pH control to mitigate primary water aging effects. Volume 1, Chapter 2: Updates documenting recent test results regarding low temperature crack propagation in nickel-base alloys. There is no material impact on license renewal aging management activities. 


The change from Revision 6 to Revision 7 only affects a discussion section by documenting an improved understanding of crack propagation in nickel based alloys. Volume 1, Chapter 2: Updates documenting the industry use of zinc injection to mitigate PWSCC. There is no material impact on license renewal aging management activities.
RS-15-093 Enclosure A Page 2 of 5 the Management of Materials Issues. Both of these NEI documents invoke various EPRI chemistry program guidelines, including PWR Primary Water Chemistry Guidelines, as forming a part of the bases of the initiatives requirements. Updates to the EPRI Guidelines, including PWR Primary Water Chemistry Guidelines, are periodically distributed to the industry for expected timely implementation. These guidelines contain mandatory, shall, and recommended requirements. Any deviation from implementing mandatory or shall requirements must be entered into the corrective action program, technically justified, and notifications made to EPRI, NEI, and the NRC.
The change from Revision 6 to Revision 7 only affects a discussion section by documenting an improved understanding of the use of zinc to mitigate PWSCC. Volume 1, Chapter 2: Updates documenting the influence of primary water chemistry on corrosion of fuel cladding and on core performance. There is no material impact on license renewal aging management activities.  
Revision 7 does not remove any mandatory, shall, or recommended requirements previously contained in Revision 6. The focus of Revision 7 was on updating the guideline with recent field experience, laboratory results and related investigations, and industry lessons learned. The following table provides a breakdown of major changes from Revision 6 to Revision 7 and the impact, if any, on Byron and Braidwood Water Chemistry aging management program.
Changes to PWR Primary Water Chemistry            Impact of Incorporating EPRI Revision 7 on BBS Water Guidelines (Revision 6 to Revision 7)                  Chemistry Aging Management Program Volume 1, Chapter 2: Updates to discussions on    There is no material impact on license renewal aging pH control regimes to provide details and          management activities.
comparisons of the constant, modified, and elevated regimes.                                  The change from Revision 6 to Revision 7 only affects a discussion section, by documenting an improved understanding of pH control to mitigate primary water aging effects.
Volume 1, Chapter 2: Updates documenting          There is no material impact on license renewal aging recent test results regarding low temperature      management activities.
crack propagation in nickel-base alloys.
The change from Revision 6 to Revision 7 only affects a discussion section by documenting an improved understanding of crack propagation in nickel based alloys.
Volume 1, Chapter 2: Updates documenting the       There is no material impact on license renewal aging industry use of zinc injection to mitigate        management activities.
PWSCC.
The change from Revision 6 to Revision 7 only affects a discussion section by documenting an improved understanding of the use of zinc to mitigate PWSCC.
Volume 1, Chapter 2: Updates documenting the       There is no material impact on license renewal aging influence of primary water chemistry on           management activities.
corrosion of fuel cladding and on core performance.                                       The change from Revision 6 to Revision 7 only affects a discussion section by documenting an improved understanding of mitigation strategies to mitigate corrosion in fuel cladding.
Volume 1, Chapter 2: The addition of a            There is no material impact on license renewal aging discussion on the effects of pH on shutdown        management activities.
dose rates, including a summary from ongoing trials with elevated lithium concentrations.      The change from Revision 6 to Revision 7 only affects a discussion section by documenting an improved understanding for reducing shutdown dose rates.


The change from Revision 6 to Revision 7 only affects a discussion section by documenting an improved understanding of mitigation strategies to mitigate corrosion in fuel cladding. Volume 1, Chapter 2: The addition of a discussion on the effects of pH on shutdown dose rates, including a summary from ongoing trials with elevated lithium concentrations. There is no material impact on license renewal aging management activities.
RS-15-093 Enclosure A Page 3 of 5 Changes to PWR Primary Water Chemistry             Impact of Incorporating EPRI Revision 7 on BBS Water Guidelines (Revision 6 to Revision 7)                    Chemistry Aging Management Program Volume 1, Chapter 2: Calculations regarding the     There is no material impact on license renewal aging solubility of iron and nickel corrosion products   management activities.
The change from Revision 6 to Revision 7 only affects a discussion section by documenting an improved understanding for reducing shutdown dose rates.
have been updated to reflect the current understanding.                                     The change from Revision 6 to Revision 7 relates to discussion on changes to calculations used in assessing solubility of iron and nickel corrosion products, based on the current understanding of the topic.
RS-15-093 Enclosure A Page 3 of 5 Changes to "PWR Primary Water Chemistry Guidelines" (Revision 6 to Revision 7) Impact of Incorporating EPRI Revision 7 on BBS Water Chemistry Aging Management Program Volume 1, Chapter 2: Calculations regarding the solubility of iron and nickel corrosion products have been updated to reflect the current understanding. There is no material impact on license renewal aging management activities.
Volume 1, Chapter 2: Updates to discussions         There is no material impact on license renewal aging regarding use of zinc to reduce shutdown dose       management activities.
The change from Revision 6 to Revision 7 relates to discussion on changes to calculations used in assessing solubility of iron and nickel corrosion products, based on the current understanding of the topic. Volume 1, Chapter 2: Updates to discussions regarding use of zinc to reduce shutdown dose rates to reflect the continuing encouraging industry results. There is no material impact on license renewal aging management activities.
rates to reflect the continuing encouraging industry results.                                   The change from Revision 6 to Revision 7 only affects a discussion section by documenting additional operating experience for reducing shutdown dose rates.
The change from Revision 6 to Revision 7 only affects a discussion section by documenting additional operating experience for reducing shutdown dose rates. Volume 1, Chapter 3: A change has been made to Table 3-1, "Generic Principles for Optimization of Primary System pH," that adds a new principle to assure operating pH is  
Volume 1, Chapter 3: A change has been made         Improvement - The change from Revision 6 to Revision 7 to Table 3-1, Generic Principles for               results in additional conservatism.
Optimization of Primary System pH, that adds a new principle to assure operating pH is             This change adds a new requirement to Revision 7 that maintained  7.0 while at full-power xenon-        was not previously contained in Revision 6. Specifically, it equilibrium conditions.                            documents an improved program principle to operate with pH values as high as achievable, within vendor specified restrictions, for improved mitigation to the susceptibility to PWSCC and to reduce fuel deposits.
Volume 1, Chapter 3: Footnote 2 to Table 3-1,      There is no significant impact on aging management "Generic Principles for Optimization of Primary    effectiveness.
System pH, was amended with the statement, Operating with pHT < 6.5 requires plant specific  This change was added to allow plants the flexibility, evaluation.                                        subject to a plant specific evaluation, to operate at a pHT value of less than 6.5 during the 24 hour window prior to plant shutdown. EPRIs description of this change states that operating experience indicates there is no plant impact associated with lowering pHT to less than 6.5 during this time.
Volume 1, Chapter 3: Principle 7 in Table 3-1,      Improvement - The change from Revision 6 to Revision 7 is Generic Principles for Optimization of Primary    more prescriptive and results in additional conservatism.
System pH, was amended to provide clarification for lithium control following a power Revision 7 now requires actions to be taken if the lithium transient.                                          concentration is not reestablished within the required control band during a 24 hour period. Revision 6 did not contain this requirement.
Volume 1, Chapter 3: Table 3-3, Reactor            Improvement - The change from Revision 6 to Revision 7 is Coolant System Power Operation Control              more prescriptive and results in additional conservatism.
Parameters (Reactor Critical) was revised to include an Action Level 1 limit for anions        Revision 6 previously allowed for a plant-specific (chloride, fluoride, and sulfate).                  administrative limit to be used as the Action Level 1 limits for the respective anions. Revision 7 now identifies common specific industry values to be used as the Action Level 1 limits for anions.


maintained  7.0 while at full-power xenon-equilibrium conditions. Improvement - The change from Revision 6 to Revision 7 results in additional conservatism.
RS-15-093 Enclosure A Page 4 of 5 Changes to PWR Primary Water Chemistry            Impact of Incorporating EPRI Revision 7 on BBS Water Guidelines (Revision 6 to Revision 7)                  Chemistry Aging Management Program Volume 1, Chapter 3: Table 3-3, Reactor          There is no significant impact on aging management Coolant System Power Operation Control            effectiveness.
This change adds a new requirement to Revision 7 that was not previously contained in Revision 6. Specifically, it documents an improved program principle to operate with pH values as high as achievable, within vendor specified restrictions, for improved mitigation to the susceptibility to PWSCC and to reduce fuel deposits. Volume 1, Chapter 3: Footnote 2 to Table 3-1, "Generic Principles for Optimization of Primary System pH," was amended with the statement, "Operating with pH T < 6.5 requires plant specific evaluation."
Parameters (Reactor Critical) was changed to allow for plants to establish a plant-specific    The previous Revision 6 upper limit for hydrogen was >50 Action Level 1 for hydrogen in the range of 50  cc/kg H2O. Revision 7 now allows for hydrogen in the to 60 cc/kg H2O, incorporating the Interim        range of 50 to 60 cc/kg H2O without required action Guidance SGMP-IG-11-02.                            statements, provided that the proper technical basis is established in plant program documents. This change allows plants to more easily operate at the higher end of the recommended range without reaching required action levels, in order to improve aging management, so long as potential adverse effects are fully evaluated.
There is no significant impact on aging management effectiveness.  
Volume 1, Chapter 3: Table 3-8, Reactor          Improvement - The change from Revision 6 to Revision 7 Coolant System Startup Control Parameters          results in additional conservatism.
(Reactor Subcritical and > 250&deg;F (121&deg;C)), was revised to include an action statement requiring  The change to Revision 7 involves a new action statement plant cooldown to < 250 &deg;F if Cl, F, SO4, or DO2  that requires a plant cooldown when identified limits are limits are exceeded during startup.                exceeded during startup. Revision 6 did not contain this requirement.
Volume 1, Chapter 3: Table 3-9, Reactor          Improvement - The change from Revision 6 to Revision 7 is Coolant System Startup Chemistry Diagnostic        more prescriptive and results in additional conservatism.
Parameters (From Initiation of Continuous RCP Operation to Reactor Critical), was modified to   The change modified notes in Table 3-9 to provide add notes relative to start-up lithium control and additional requirements for increased sample frequencies total suspended solids.                            of lithium and cautionary statements related to limits on suspended solids during startup.
Volume 1, Chapter 3: Table 3-10, Reactor          Improvement - The change from Revision 6 to Revision 7 Coolant System Startup and Shutdown                results in additional conservatism.
Required Parameters for Fuel Integrity Surveillance was added to address concerns        A new table of chemistry parameters and frequencies was regarding fuel integrity.                          added to Revision 7. The new table includes sample frequency requirements taken from a previous Revision 6 table, in addition to new parameters. The addition of new monitoring parameters in Revision 7 is considered conservative with respect to Revision 6.
Volume 1, Appendix A was updated to reflect        There is no material impact on license renewal aging SGMP-IG-09-01, Interim Guidance Regarding        management activities.
PWR Primary Water Chemistry Guidelines Volume 1, Revision 6, EPRI, Palo Alto, Ca:        This change updates the guidelines with previously 2007. TR1014986.                                  established interim guidance to Revision 6. The change incorporates previous guidance from EPRI on the calculation of pHT, and is not materially impactful to the aging management program elements.
Volume 1, Appendix H, Maintaining and            There is no material impact on license renewal aging Monitoring the Chemistry Environment in            management activities.
Stagnant Attached RCS Lines and Components was added.                            This new appendix provides a discussion section, for information only, of potential corrosion issues related to piping and components filled with fluid in stagnant conditions.


This change was add ed to allow plants the flexibility, subject to a plant specific evaluation, to operate at a pH T value of less than 6.5 during the 24 hour window prior to plant shutdown. EPRI's description of this change states that operating experience indicates there is no plant impact associated with lowering pH T to less than 6.5 during this time. Volume 1, Chapter 3: Principle 7 in Table 3-1, "Generic Principles for Optimization of Primary System pH," was amended to provide clarification for lithium control following a power transient. Improvement - The change from Revision 6 to Revision 7 is more prescriptive and results in additional conservatism. 
RS-15-093 Enclosure A Page 5 of 5 Changes to PWR Primary Water Chemistry         Impact of Incorporating EPRI Revision 7 on BBS Water Guidelines (Revision 6 to Revision 7)               Chemistry Aging Management Program Volume 1, Appendix I, Metal Solubility was     There is no material impact on license renewal aging added to document a collection of industry data. management activities.
 
This new appendix provides a discussion and basis for previous changes to EPRI chemistry software related to metal solubility calculations. These changes are not materially impactful to the aging management program elements.
Revision 7 now requires actions to be taken if the lithium concentration is not reestablished within the required control band during a 24 hour period. Revision 6 did not contain this requirement. Volume 1, Chapter 3: Table 3-3, "Reactor Coolant System Power Operation Control Parameters (Reactor Critical)" was revised to include an "Action Level 1" limit for anions (chloride, fluoride, and sulfate). Improvement - The change from Revision 6 to Revision 7 is more prescriptive and results in additional conservatism.
Volume 2 of the report was revised with         There is no material impact on license renewal aging additional discussions and updated industry      management activities.
Revision 6 previously allowed for a plant-specific administrative limit to be used as the "Action Level 1" limits for the respective anions. Revision 7 now identifies common specific industry values to be used as the "Action Level 1" limits for anions.
operating experiences.
RS-15-093 Enclosure A Page 4 of 5 Changes to "PWR Primary Water Chemistry Guidelines" (Revision 6 to Revision 7) Impact of Incorporating EPRI Revision 7 on BBS Water Chemistry Aging Management Program  Volume 1, Chapter 3: Table 3-3, "Reactor Coolant System Power Operation Control Parameters (Reactor Critical)" was changed to allow for plants to establish a plant-specific "Action Level 1" for hydrogen in the range of 50 to 60 cc/kg H 2O, incorporating the Interim Guidance SGMP-IG-11-02. There is no significant impact on aging management effectiveness.
These new Volume 2 changes are related to discussion sections and operating experience on start-up and shut-down water chemistry.
The previous Revision 6 upper limit for hydrogen was >50 cc/kg H 2O. Revision 7 now allows for hydrogen in the range of 50 to 60 cc/kg H 2O without required action statements, provided that the proper technical basis is established in plant program documents. This change allows plants to more easily operate at the higher end of the recommended range without reaching required action levels, in order to improve aging management, so long as potential adverse effects are fully evaluated. Volume 1, Chapter 3: Table 3-8, "Reactor Coolant System Startup Control Parameters (Reactor Subcritical and > 250&deg;F (121&deg;C))", was revised to include an action statement requiring plant cooldown to < 250 &deg;F if Cl, F, SO 4, or DO 2 limits are exceeded during startup. Improvement - The change from Revision 6 to Revision 7 results in additional conservatism.
The above table illustrates that the major changes introduced by Revision 7 are primarily related to updated discussions and operating experience sections. Where changes affect chemistry monitoring parameters and methods, these changes represent improvements to the management of primary water chemistry and aging management effectiveness through incorporation of the latest industry best practices. Therefore, this ensures that the main objectives of the Water Chemistry aging management program, which are to mitigate loss of material due to corrosion, cracking due to stress corrosion cracking (SCC) and related mechanisms, and reduction of heat transfer due to fouling in components exposed to a treated water environment, are maintained. The Water Chemistry aging management program will continue to manage the effects of aging so that the intended function(s) will be maintained consistent with the CLB for the period of extended operation.
The change to Revision 7 involves a new action statement that requires a plant cooldown when identified limits are exceeded during startup. Revision 6 did not contain this requirement. Volume 1, Chapter 3: Table 3-9, "Reactor Coolant System Startup Chemistry Diagnostic Parameters (From Initiation of Continuous RCP Operation to Reactor Critical)," was modified to add notes relative to start-up lithium control and total suspended solids. Improvement - The change from Revision 6 to Revision 7 is more prescriptive and results in additional conservatism.
As a result of this change, LRA Sections A.2.1.2 and B.2.1.2, Water Chemistry, and B.2.1.10, Steam Generators, have been updated as shown in Enclosure B to document incorporation of the latest EPRI industry guidance on PWR Primary Water Chemistry. Additionally, changes to LRA Tables 3.x.1 (Table 1s) and Tables 3.x.2-y (Table 2s) as a result of the new exception are also described in Enclosure B.
The change modified notes in Table 3-9 to provide additional requirements for increased sample frequencies of lithium and cautionary statements related to limits on suspended solids during startup. Volume 1, Chapter 3: Table 3-10, "Reactor Coolant System Startup and Shutdown Required Parameters for Fuel Integrity Surveillance" was added to address concerns regarding fuel integrity. Improvement - The change from Revision 6 to Revision 7 results in additional conservatism.
A new table of chemistry parameters and frequencies was added to Revision 7. The new table includes sample frequency requirements taken from a previous Revision 6 table, in addition to new parameters. The addition of new monitoring parameters in Revision 7 is considered conservative with respect to Revision 6. Volume 1, Appendix A was updated to reflect SGMP-IG-09-01, "Interim Guidance Regarding PWR Primary Water Chemistry Guidelines Volume 1, Revision 6, EPRI, Palo Alto, Ca:
2007. TR1014986". There is no material impact on license renewal aging management activities.
This change updates the guidelines with previously established interim guidance to Revision 6. The change incorporates previous guidance from EPRI on the calculation of pH T, and is not materially impactful to the aging management program elements. Volume 1, Appendix H, "Maintaining and Monitoring the Chemistry Environment in Stagnant Attached RCS Lines and Components" was added. There is no material impact on license renewal aging management activities. 
 
This new appendix provides a discussion section, for information only, of potential corrosion issues related to piping and components filled with fluid in stagnant conditions.
RS-15-093 Enclosure A Page 5 of 5 Changes to "PWR Primary Water Chemistry Guidelines" (Revision 6 to Revision 7) Impact of Incorporating EPRI Revision 7 on BBS Water Chemistry Aging Management Program  Volume 1, Appendix I, "Metal Solubility" was added to document a collection of industry data. There is no material impact on license renewal aging management activities.
This new appendix provides a discussion and basis for previous changes to EPRI chemistry software related to metal solubility calculations. These changes are not materially impactful to the aging management program elements. Volume 2 of the report was revised with additional discussions and updated industry operating experiences. There is no material impact on license renewal aging management activities.  
 
These new Volume 2 changes are related to discussion sections and operating experience on start-up and shut-down water chemistry.  
 
The above table illustrates that the major changes introduced by Revision 7 are primarily related to updated discussions and operating experience sections. Where changes affect chemistry monitoring parameters and methods, these changes represent improvements to the management of primary water chemistr y and aging management effectiveness through incorporation of the latest industry best practices. Therefore, this ensures that the main objectives of the Water Chemistry aging management program, which are to mitigate loss of material due to corrosion, cracking due to stress corrosion cracking (SCC) and related mechanisms, and reduction of heat transfer due to fouling in components exposed to a treated water environment, are maintained. The Water Chemistry aging management program will continue to manage the effects of aging so that the intended function(s) will be maintained consistent with the CLB for the period of extended operation.  
 
As a result of this change, LRA Sections A.2.1.2 and B.2.1.2, Water Chemistry, and B.2.1.10, Steam Generators, have been updated as shown in Enclosure B to document incorporation of the latest EPRI industry guidance on PWR Primary Water Chemistry. Additionally, changes to LRA Tables 3.x.1 (Table 1s) and Tables 3.x.2-y (Table 2s) as a result of the new exception are also described in Enclosure B.  


RS-15-093 Enclosure B Page 1 of 10 Enclosure B LRA Updates Associated with CLB Changes
RS-15-093 Enclosure B Page 1 of 10 Enclosure B LRA Updates Associated with CLB Changes
: 1) As a result of the CLB change associated with the ownership structure of Exelon Generation Company, LLC, LRA Section 1.1.3, on page 1-1, is revised as shown below. Additions are shown in bolded italics and deletions are shown with strikethroughs. 1.
: 1) As a result of the CLB change associated with the ownership structure of Exelon Generation Company, LLC, LRA Section 1.1.3, on page 1-1, is revised as shown below. Additions are shown in bolded italics and deletions are shown with strikethroughs.
1.


==1.3 DESCRIPTION==
==1.3 DESCRIPTION==
S OF BUSINESS OR OCCUPATION OF APPLICANT Exelon Generation Company, LLC is a Delaware Pennsylvania limited liability company which is wholly owned by Exelon Ventures Company, a Delaware limited liability company, which in turn is wholly owned by Exelon Corporation, a corporation formed under the laws of the Commonwealth of Pennsylvania. Exelon Generation Company, LLC is the licensed operator of Byron and Braidwood Stations, Units 1 and 2, which are the subject of this application. The current Byron and Braidwood Station operating licenses will expire as follows:
S OF BUSINESS OR OCCUPATION OF APPLICANT Exelon Generation Company, LLC is a Delaware Pennsylvania limited liability company which is wholly owned by Exelon Ventures Company, a Delaware limited liability company, which in turn is wholly owned by Exelon Corporation, a corporation formed under the laws of the Commonwealth of Pennsylvania. Exelon Generation Company, LLC is the licensed operator of Byron and Braidwood Stations, Units 1 and 2, which are the subject of this application. The current Byron and Braidwood Station operating licenses will expire as follows:
o At midnight on October 31, 2024 for Byron Station, Unit 1 (Facility Operating License No. NPF-37) o At midnight on November 6, 2026 for Byron Station, Unit 2 (Facility Operating License No. NPF-66) o At midnight on October 17, 2026 for Braidwood Station, Unit 1 (Facility Operating License No. NPF-72) o At midnight on December 18, 2027 for Braidwood Station, Unit 2 (Facility Operating License No. NPF-77 Exelon Generation Company, LLC will continue as the licensed operator on the renewed operating licenses.  
o   At midnight on October 31, 2024 for Byron Station, Unit 1 (Facility Operating License No. NPF-37) o   At midnight on November 6, 2026 for Byron Station, Unit 2 (Facility Operating License No. NPF-66) o   At midnight on October 17, 2026 for Braidwood Station, Unit 1 (Facility Operating License No. NPF-72) o   At midnight on December 18, 2027 for Braidwood Station, Unit 2 (Facility Operating License No. NPF-77 Exelon Generation Company, LLC will continue as the licensed operator on the renewed operating licenses.


RS-15-093 Enclosure B Page 2 of 10
RS-15-093 Enclosure B Page 2 of 10
: 2) As a result of the annual update provided in Enclosure A of this letter, LRA Table 3.3.2-5, Component Cooling System, page 3
: 2) As a result of the annual update provided in Enclosure A of this letter, LRA Table 3.3.2-5, Component Cooling System, page 3.3-163, is revised as shown below. Additions are indicated with bolded italics.
.3-163, is revised as shown below. Additions are indicated with bolded italics. Table 3.3.2-5   Component Cooling System Component Type Intended Function Material Environment Aging Effect Requiring Management Aging Management Programs NUREG-1801 Item Table 1 Item Notes Tanks (Chemical Addition Tank) Leakage Boundary Carbon Steel Closed Cycle Cooling Water (Internal) Loss of Material Closed Treated Water Systems (B.2.1.12) VII.C2.AP-202 3.3.1-45 A Tanks (Surge Tank)                                Pressure Boundary Carbon Steel Air with Borated Water Leakage (External)                  Loss of Material                 Boric Acid Corrosion (B.2.1.4) VII.I.A-79 3.3.1-9 A External Surfaces Monitoring of Mechanical Components (B.2.1.23) VII.I.A-77 3.3.1-78 A Closed Cycle Cooling Water (Internal) Loss of Material Closed Treated Water Systems (B.2.1.12) VII.C2.AP-202 3.3.1-45 A Valve Body          
Table 3.3.2-5                 Component Cooling System Component           Intended       Material         Environment         Aging Effect     Aging Management         NUREG-1801   Table 1 Item Notes Type            Function                                              Requiring            Programs                Item Management Tanks (Chemical Leakage Boundary   Carbon Steel   Closed Cycle Cooling Loss of Material Closed Treated Water     VII.C2.AP-202   3.3.1-45     A Addition Tank)                                        Water (Internal)                      Systems (B.2.1.12)
 
Tanks (Surge   Pressure Boundary Carbon Steel   Air with Borated Water Loss of Material   Boric Acid Corrosion       VII.I.A-79     3.3.1-9     A Tank)                                          Leakage (External)                            (B.2.1.4)
Leakage Boundary                
External Surfaces        VII.I.A-77   3.3.1-78     A Monitoring of Mechanical Components (B.2.1.23)
 
Closed Cycle Cooling Loss of Material Closed Treated Water     VII.C2.AP-202   3.3.1-45     A Water (Internal)                      Systems (B.2.1.12)
Carbon Steel            
Valve Body     Leakage Boundary   Carbon Steel   Air with Borated Water Loss of Material   Boric Acid Corrosion       VII.I.A-79     3.3.1-9     A Leakage (External)                            (B.2.1.4)
 
External Surfaces        VII.I.A-77   3.3.1-78     A Monitoring of Mechanical Components (B.2.1.23)
Air with Borated Water Leakage (External)                  Loss of Material                 Boric Acid Corrosion (B.2.1.4) VII.I.A-79 3.3.1-9 A External Surfaces Monitoring of Mechanical Components (B.2.1.23) VII.I.A-77 3.3.1-78 A Closed Cycle Cooling Water (Internal) Loss of Material Closed Treated Water Systems (B.2.1.12) VII.C2.AP-202 3.3.1-45 A Waste Water (Internal)Loss of Material Inspection of Internal Surfaces in Miscellaneous Piping and Ducting Components (B.2.1.25) VII.E5.AP-281 3.3.1-91 A Copper Alloy with less than 15% Zinc (Byron Unit 2 only) Air with Borated Water Leakage (External)          None                  None VII.J.AP-11 3.3.1-115 A Closed Cycle Cooling Water (Internal) Loss of Material Closed Treated Water Systems (B.2.1.12) VII.C2.AP-199 3.3.1-46 A Stainless Steel               Air with Borated Water Leakage (External) None None VII.J.AP-18 3.3.1-120 A Closed Cycle Cooling Water (Internal) Loss of Material Closed Treated Water Systems (B.2.1.12) VII.C2.A-52 3.3.1-49 A RS-15-093 Enclosure B Page 3 of 10
Closed Cycle Cooling Loss of Material Closed Treated Water     VII.C2.AP-202   3.3.1-45     A Water (Internal)                      Systems (B.2.1.12)
: 3) As a result of the transition to EPRI document, EPRI 3002000505, "PWR Primary Water Chemistry Guidelines", Revision 7, and the corresponding new exception to the NUREG-1801 XI.M2 program recommendations, various LRA Section 3 Table revisions are required, and are described below.  
Waste Water (Internal) Loss of Material   Inspection of Internal VII.E5.AP-281    3.3.1-91    A Surfaces in Miscellaneous Piping and Ducting Components (B.2.1.25)
Copper Alloy      Air with Borated        None                  None            VII.J.AP-11    3.3.1-115    A with less than     Water Leakage 15% Zinc             (External)
(Byron Unit 2 Closed Cycle Cooling  Loss of Material  Closed Treated Water     VII.C2.AP-199  3.3.1-46      A only)
Water (Internal)                       Systems (B.2.1.12)
Stainless Steel Air with Borated Water     None                 None             VII.J.AP-18   3.3.1-120     A Leakage (External)
Closed Cycle Cooling Loss of Material Closed Treated Water     VII.C2.A-52     3.3.1-49     A Water (Internal)                      Systems (B.2.1.12)


RS-15-093 Enclosure B Page 3 of 10
: 3) As a result of the transition to EPRI document, EPRI 3002000505, PWR Primary Water Chemistry Guidelines, Revision 7, and the corresponding new exception to the NUREG-1801 XI.M2 program recommendations, various LRA Section 3 Table revisions are required, and are described below.
Aging Management Review Tables 3.x.1 (Table 1s):
Aging Management Review Tables 3.x.1 (Table 1s):
As a result of the new exception to the Water Chemistry aging management program, revisions are required to various LRA Table 3.1.1, Table 3.2.1, Table 3.3.1, Table 3.4.1, and Table 3.5.1 Item Numbers. For each Table 1 Item Number (3.x.1-yy), the "Discussion" column in the respective table summarizes the consistency between the aging management programs credited in the BBS LRA and those aging management programs cited in the corresponding NUREG-1800 table and line items. The NUREG-1801 consistency statement at the beginning of the Discussion for each of the Table 1 Item Numbers identified below, is hereby revised (as  
As a result of the new exception to the Water Chemistry aging management program, revisions are required to various LRA Table 3.1.1, Table 3.2.1, Table 3.3.1, Table 3.4.1, and Table 3.5.1 Item Numbers. For each Table 1 Item Number (3.x.1-yy), the Discussion column in the respective table summarizes the consistency between the aging management programs credited in the BBS LRA and those aging management programs cited in the corresponding NUREG-1800 table and line items. The NUREG-1801 consistency statement at the beginning of the Discussion for each of the Table 1 Item Numbers identified below, is hereby revised (as shown in bolded italics for inserted text) to state, Consistent with NUREG-1801 with exceptions. The following statement is also added to the Discussion column of the Item Number, Exceptions apply to the NUREG-1801 recommendations for Water Chemistry (B.2.1.2) program implementation.
 
shown in bolded italics for inserted text) to state, "Consistent with NUREG-1801 with exceptions.The following statement is also added to the Discussion column of the Item Number, "Exceptions apply to the NUREG-1801 recommendations for Water Chemistry (B.2.1.2) program implementation.
"
 
Applicable Table 1 Item Numbers:
Applicable Table 1 Item Numbers:
3.1.1-12 3.2.1-5 3.3.1-3 3.4.1-11 3.5.1-78 3.1.1-25 3.2.1-18 3.3.1-17 3.4.1-12 3.1.1-33 3.2.1-19 3.3.1-20 3.4.1-13 3.1.1-34 3.2.1-20 3.3.1-28 3.4.1-14 3.1.1-39 3.2.1-22 3.3.1-29 3.4.1-15 3.1.1-40 3.3.1-125 3.4.1-16 3.1.1-40x 3.1.1-42 3.1.1-45 3.1.1-46     3.1.1-47     3.1.1-78 3.1.1-80 3.1.1-81 3.1.1-83     3.1.1-87     3.1.1-88    
3.1.1-12     3.2.1-5     3.3.1-3     3.4.1-11   3.5.1-78 3.1.1-25     3.2.1-18     3.3.1-17     3.4.1-12 3.1.1-33     3.2.1-19     3.3.1-20     3.4.1-13 3.1.1-34     3.2.1-20     3.3.1-28     3.4.1-14 3.1.1-39     3.2.1-22     3.3.1-29     3.4.1-15 3.1.1-40                   3.3.1-125   3.4.1-16 3.1.1-40x 3.1.1-42 3.1.1-45 3.1.1-46 3.1.1-47 3.1.1-78 3.1.1-80 3.1.1-81 3.1.1-83 3.1.1-87 3.1.1-88


RS-15-093 Enclosure B Page 4 of 10 To reflect the Water Chemistry aging management program exception, the additional Table 1 Item Numbers noted below are also revised to include only the following statement in the  
RS-15-093 Enclosure B Page 4 of 10 To reflect the Water Chemistry aging management program exception, the additional Table 1 Item Numbers noted below are also revised to include only the following statement in the discussion column, Exceptions apply to the NUREG-1801 recommendations for Water Chemistry (B.2.1.2) program implementation.
 
discussion column, "Exceptions apply to the NUREG-1801 recommendations for Water  
 
Chemistry (B.2.1.2) program implementation.
"
Applicable Table 1 Item Numbers:
Applicable Table 1 Item Numbers:
3.1.1-19 3.5.1-84  
3.1.1-19   3.5.1-84 3.1.1-20   3.5.1-85 3.1.1-23 3.1.1-53 3.1.1-69 3.1.1-70 3.1.1-71 3.1.1-72 3.1.1-74 Aging Management Review Tables 3.x.2-y (Table 2s):
 
All aging management review (AMR) line items contain a Standard Note of A through J to identify the degree of consistency with NUREG-1801 AMR line items. Standard Notes A through D are defined as follows:
3.1.1-20 3.5.1-85  
A     Consistent with NUREG-1801 item for component, material, environment, and aging effect. AMP is consistent with NUREG-1801 AMP.
 
B     Consistent with NUREG-1801 item for component, material, environment, and aging effect. AMP takes some exceptions to NUREG-1801 AMP.
3.1.1-23
C     Component is different, but consistent with NUREG-1801 item for material, environment, and aging effect. AMP is consistent with NUREG-1801 AMP.
 
D     Component is different, but consistent with NUREG-1801 item for material, environment, and aging effect. AMP takes some exceptions to NUREG-1801 AMP.
3.1.1-53 3.1.1-69 3.1.1-70
As a result of the new exception to the Water Chemistry (B.2.1.2) aging management program, all AMR lines which credit the Water Chemistry program and cite a Standard Note A are hereby revised to cite a Standard Note B. All AMR lines which credit the Water Chemistry aging management program and cite a Standard Note C are hereby revised to cite a Standard Note D.
 
The following AMR tables are affected by this change:
3.1.1-71
Reactor Vessel, Internals, and Reactor Coolant System Table 3.1.2 Reactor Coolant System Table 3.1.2 Reactor Vessel Table 3.1.2 Reactor Vessel Internals Table 3.1.2 Steam Generators
 
3.1.1-72
 
3.1.1-74
 
Aging Management Review Tables 3.x.2-y (Table 2s):
All aging management review (AMR) line items contain a Standard Note of 'A' through 'J' to identify the degree of consistency with NUREG-1801 AMR line items. Standard Notes 'A' through 'D' are defined as follows:  
 
A Consistent with NUREG-1801 item for component, material, environment, and aging effect. AMP is consistent with NUREG-1801 AMP. B Consistent with NUREG-1801 item for component, material, environment, and aging effect. AMP takes some exceptions to NUREG-1801 AMP. C Component is different, but consistent with NUREG-1801 item for material, environment, and aging effect. AMP is consistent with NUREG-1801 AMP. D Component is different, but consistent with NUREG-1801 item for material, environment, and aging effect. AMP takes some exceptions to NUREG-1801 AMP.
As a result of the new exception to the Water Chemistry (B.2.1.2) aging management program, all AMR lines which credit the Water Chemistry program and cite a Standard Note 'A' are hereby revised to cite a Standard Note 'B'. All AMR lines which credit the Water Chemistry aging management program and cite a Standard Note 'C' are hereby revised to cite a Standard Note 'D'.  
 
The following AMR tables are affected by this change:  
 
Reactor Vessel, Internals, and Reactor Coolant System Table 3.1.2 Reactor Coolant System Table 3.1.2 Reactor Vessel Table 3.1.2 Reactor Vessel Internals Table 3.1.2 Steam Generators  
 
RS-15-093 Enclosure B Page 5 of 10 Engineered Safety Features Table 3.2.2 Containment Spray System Table 3.2.2 Residual Heat Removal System Table 3.2.2 Safety Injection System
 
Auxiliary Systems Table 3.3.2 Auxiliary Building Ventilation System Table 3.3.2 Chemical & Volume Control System Table 3.3.2 Control Area Ventilation System Table 3.3.2 Demineralized Water System Table 3.3.2 Fuel Handling & Fuel Storage System Table 3.3.2 Radiation Monitoring System Table 3.3.2 Radwaste System Table 3.3.2 Sampling System Table 3.3.2 Spent Fuel Cooling System
 
Steam and Power Conversion System Table 3.4.2 Auxiliary Feedwater System Table 3.4.2 Condensate and Feedwater Auxiliaries System Table 3.4.2 Main Condensate and Feedwater System Table 3.4.2 Main Steam System Table 3.4.2 Main Turbine and Auxiliaries System Containments, Structures, and Component Supports Table 3.5.2 Component Supports Commodity Group Table 3.5.2 Containment Structure Table 3.5.2 Fuel Handling Building
 
RS-15-093 Enclosure B Page 6 of 10 As a result of the transition to EPRI document, EPRI 3002000505, "PWR Primary Water Chemistry Guidelines", Revision 7, LRA Section A.2.1.2, on pages A-10 and A-11, is revised as shown below. Revisions are indicated with bolded italics for inserted text and strikethroughs for deleted text A.2.1.2 Water Chemistry The Water Chemistry aging management program is an existing mitigative program whose activities mitigate the loss of material due to corrosion, cracking due to stress corrosion cracking (SCC) and related mechanisms, and reduction of heat transfer due to fouling in components exposed to a reactor coolant, steam, treated borated water, and treated water environment. The program controls water chemistry for impurities (e.g., chloride, fluoride, and sulfate) that accelerate corrosion. Major component types include the reactor vessel, reactor internals, pressurizer vessel, steam generator internals, heat exchangers, tanks, piping, piping elements, and piping components.
The primary system portion of this program consists of the reactor coolant system and related interfacing systems containing reactor coolant, treated borated water, and treated water. The secondary system portion of the program consists of the various secondary systems containing steam and treated water. The Byron and Braidwood Water Chemistry aging management program relies on monitoring and control of water
 
chemistry to keep peak levels of various detrimental contaminants below system-specific limits, based on EPRI 30020005051014986, "PWR Primary Water Chemistry Guidelines," Revision 7 6, and EPRI 1016555, "PWR Secondary Water Chemistry Guidelines," Revision 7.
 
RS-15-093 Enclosure B Page 7 of 10 As a result of the transition to EPRI document, EPRI 3002000505, "PWR Primary Water Chemistry Guidelines", Revision 7, an exception has been added to BBS LRA Section B.2.1.2 on pages B-22 and B-23. This LRA Section is revised as shown below. Revisions are indicated
 
with bolded italics for inserted text and strikethroughs for deleted text.
B.2.1.2 Water Chemistry Program Description The Water Chemistry aging management program is an existing mitigative program whose activities mitigate the loss of material due to corrosion, cracking due to stress corrosion cracking (SCC) and related mechanisms, and reduction of heat transfer due to fouling. The program includes monitoring and control of known detrimental contaminants such as chloride, fluorides, dissolved oxygen, and sulfate concentrations below the levels known to result in loss of material, cracking, or reduction of heat transfer in accordance with EPRI 3002000505 1014986, "PWR Primary Water Chemistry Guidelines," Revision 76, and EPRI 1016555, "PWR Secondary Water Chemistry Guidelines," Revision 7. The Byron and Braidwood (BBS) Water Chemistry aging management program consists of monitoring and controlling the c hemical environments of those systems that are exposed to reactor coolant, steam, treated borated water, and treated water, such that aging effects of system components are minimized in accordance with the guidance specified in EPRI 3002000505 1014986, "PWR Primary Water Chemistry Guidelines," Revision 7 6, and the EPRI 1016555, "PWR Secondary Water Chemistry Guidelines," Revision 7. Major component types include the reactor vessel, reactor internals, pressurizer vessels, steam generator internals, heat exchangers, tanks, piping, piping elements, and piping components.
Exceptions to NUREG-1801 None. 1. NUREG-1801, Revision 2 specifies the use of EPRI 1014986, "PWR Primary Water Chemistry Guidelines" Revision 6, for monitoring and control of reactor water chemistry. However, early in 2015 the Byron and Braidwood
 
Station Water Chemistry program transitioned to the next revision of this EPRI document, EPRI 3002000505, "PWR Primary Water Chemistry
 
Guidelines," Revision 7, for monitoring and control of reactor water chemistry. Program Elements Affected: Parameters Monitored/Inspected (Element 3); Detection of Aging Effects (Element 4); Monitoring and Trending (Element 5); Acceptance Criteria (Element 6); Corrective Actions (Element 7)
Justification of Exception EPRI reports such as "PWR Primary Water Chemistry Guidelines" are industry reports, which are periodically reviewed and revised by industry experts to incorporate recent industry operating experience and best practices. Byron and Braidwood Stations are committed to following and RS-15-093 Enclosure B Page 8 of 10 implementing the Nuclear Energy Institute (NEI) industry initiative 97-06, "Steam Generator Program Guidelines," as well as NEI 03-08, "Guideline for the Management of Materials Issues."  Both of these NEI documents invoke various EPRI chemistry program guidelines, including PWR Primary Water Chemistry Guidelines, forming a part of the bases of the initiative's requirements. Updates to the EPRI Guidelines, including PWR Primary Water Chemistry Guidelines, are periodically distributed to the industry for expected timely implementation. These guidelines contain "mandatory",
"shall", and "recommended" requirements. Any deviation from implementing "mandatory" or "shall" requirements must be entered into the
 
corrective action program, technically justified, and notifications made to EPRI, NEI, and the NRC. Revision 7 does not remove any "mandatory", "shall", or "recommended" requirements previously contained in Revision 6. The focus of Revision 7 was on updating and improving the guideline based on operating experience, laboratory results and related investigations, and lessons learned. Revision
 
7 major changes include:
: 1) Updates within the report and in appendices based on industry operating experience, laboratory test results, and improved chemical parameter monitoring and control as follows: improved
 
details related to pH control regimes; recent test results regarding
 
low temperature crack propagation in nickel-based alloys; use of zinc to mitigate PWSCC; the influence of primary water chemistry on corrosion of fuel cladding; the effects of pH parameters on shutdown dose rates; improved calculations regarding the solubility of iron and nickel corrosion; the use of zinc to reduce shutdown


dose rates; previous guidance in determination of pH T , potential corrosion issues related to stagnant conditions; additional data related to metal solubility, and start-up and shut-down water chemistry. 2) Changes to Table 3-1 that improve pH control to mitigate PWSCC while providing improved guidance related to pH transients prior to
RS-15-093 Enclosure B Page 5 of 10 Engineered Safety Features Table 3.2.2 Containment Spray System Table 3.2.2 Residual Heat Removal System Table 3.2.2 Safety Injection System Auxiliary Systems Table 3.3.2 Auxiliary Building Ventilation System Table 3.3.2 Chemical & Volume Control System Table 3.3.2 Control Area Ventilation System Table 3.3.2 Demineralized Water System Table 3.3.2 Fuel Handling & Fuel Storage System Table 3.3.2 Radiation Monitoring System Table 3.3.2 Radwaste System Table 3.3.2 Sampling System Table 3.3.2 Spent Fuel Cooling System Steam and Power Conversion System Table 3.4.2 Auxiliary Feedwater System Table 3.4.2 Condensate and Feedwater Auxiliaries System Table 3.4.2 Main Condensate and Feedwater System Table 3.4.2 Main Steam System Table 3.4.2 Main Turbine and Auxiliaries System Containments, Structures, and Component Supports Table 3.5.2 Component Supports Commodity Group Table 3.5.2 Containment Structure Table 3.5.2 Fuel Handling Building


plant shutdown, and provide clarification related to required actions for lithium transients. 3) Changes to Table 3-3 which allow for improvements to plant specific criteria for the hydrogen concentration and new required actions for anion concentrations. 4) Changes to Tables 3-8 and 3-9 and the addition of new Table 3-10 that require more conservative action statements for plant cooldown if Cl, F, SO 4 , or DO 2 limits are exceeded during plant startup; and more conservative sample frequencies for lithium, total suspended solids, and corrosion byproducts during plant startups and
RS-15-093 Enclosure B Page 6 of 10 As a result of the transition to EPRI document, EPRI 3002000505, PWR Primary Water Chemistry Guidelines, Revision 7, LRA Section A.2.1.2, on pages A-10 and A-11, is revised as shown below. Revisions are indicated with bolded italics for inserted text and strikethroughs for deleted text A.2.1.2 Water Chemistry The Water Chemistry aging management program is an existing mitigative program whose activities mitigate the loss of material due to corrosion, cracking due to stress corrosion cracking (SCC) and related mechanisms, and reduction of heat transfer due to fouling in components exposed to a reactor coolant, steam, treated borated water, and treated water environment. The program controls water chemistry for impurities (e.g., chloride, fluoride, and sulfate) that accelerate corrosion. Major component types include the reactor vessel, reactor internals, pressurizer vessel, steam generator internals, heat exchangers, tanks, piping, piping elements, and piping components.
The primary system portion of this program consists of the reactor coolant system and related interfacing systems containing reactor coolant, treated borated water, and treated water. The secondary system portion of the program consists of the various secondary systems containing steam and treated water. The Byron and Braidwood Water Chemistry aging management program relies on monitoring and control of water chemistry to keep peak levels of various detrimental contaminants below system-specific limits, based on EPRI 30020005051014986, PWR Primary Water Chemistry Guidelines, Revision 76, and EPRI 1016555, PWR Secondary Water Chemistry Guidelines, Revision 7.


shutdowns
RS-15-093 Enclosure B Page 7 of 10 As a result of the transition to EPRI document, EPRI 3002000505, PWR Primary Water Chemistry Guidelines, Revision 7, an exception has been added to BBS LRA Section B.2.1.2 on pages B-22 and B-23. This LRA Section is revised as shown below. Revisions are indicated with bolded italics for inserted text and strikethroughs for deleted text.
B.2.1.2 Water Chemistry Program Description The Water Chemistry aging management program is an existing mitigative program whose activities mitigate the loss of material due to corrosion, cracking due to stress corrosion cracking (SCC) and related mechanisms, and reduction of heat transfer due to fouling. The program includes monitoring and control of known detrimental contaminants such as chloride, fluorides, dissolved oxygen, and sulfate concentrations below the levels known to result in loss of material, cracking, or reduction of heat transfer in accordance with EPRI 30020005051014986, PWR Primary Water Chemistry Guidelines, Revision 76, and EPRI 1016555, PWR Secondary Water Chemistry Guidelines, Revision 7.
The Byron and Braidwood (BBS) Water Chemistry aging management program consists of monitoring and controlling the chemical environments of those systems that are exposed to reactor coolant, steam, treated borated water, and treated water, such that aging effects of system components are minimized in accordance with the guidance specified in EPRI 30020005051014986, PWR Primary Water Chemistry Guidelines, Revision 76, and the EPRI 1016555, PWR Secondary Water Chemistry Guidelines, Revision 7. Major component types include the reactor vessel, reactor internals, pressurizer vessels, steam generator internals, heat exchangers, tanks, piping, piping elements, and piping components.
Exceptions to NUREG-1801 None.
: 1. NUREG-1801, Revision 2 specifies the use of EPRI 1014986, PWR Primary Water Chemistry Guidelines Revision 6, for monitoring and control of reactor water chemistry. However, early in 2015 the Byron and Braidwood Station Water Chemistry program transitioned to the next revision of this EPRI document, EPRI 3002000505, PWR Primary Water Chemistry Guidelines, Revision 7, for monitoring and control of reactor water chemistry. Program Elements Affected: Parameters Monitored/Inspected (Element 3); Detection of Aging Effects (Element 4); Monitoring and Trending (Element 5); Acceptance Criteria (Element 6); Corrective Actions (Element 7)
Justification of Exception EPRI reports such as PWR Primary Water Chemistry Guidelines are industry reports, which are periodically reviewed and revised by industry experts to incorporate recent industry operating experience and best practices. Byron and Braidwood Stations are committed to following and


These industry recommended changes improve and clarify implementation  
RS-15-093 Enclosure B Page 8 of 10 implementing the Nuclear Energy Institute (NEI) industry initiative 97-06, Steam Generator Program Guidelines, as well as NEI 03-08, Guideline for the Management of Materials Issues. Both of these NEI documents invoke various EPRI chemistry program guidelines, including PWR Primary Water Chemistry Guidelines, forming a part of the bases of the initiatives requirements. Updates to the EPRI Guidelines, including PWR Primary Water Chemistry Guidelines, are periodically distributed to the industry for expected timely implementation. These guidelines contain mandatory, shall, and recommended requirements. Any deviation from implementing mandatory or shall requirements must be entered into the corrective action program, technically justified, and notifications made to EPRI, NEI, and the NRC.
Revision 7 does not remove any mandatory, shall, or recommended requirements previously contained in Revision 6. The focus of Revision 7 was on updating and improving the guideline based on operating experience, laboratory results and related investigations, and lessons learned. Revision 7 major changes include:
: 1) Updates within the report and in appendices based on industry operating experience, laboratory test results, and improved chemical parameter monitoring and control as follows: improved details related to pH control regimes; recent test results regarding low temperature crack propagation in nickel-based alloys; use of zinc to mitigate PWSCC; the influence of primary water chemistry on corrosion of fuel cladding; the effects of pH parameters on shutdown dose rates; improved calculations regarding the solubility of iron and nickel corrosion; the use of zinc to reduce shutdown dose rates; previous guidance in determination of pHT, potential corrosion issues related to stagnant conditions; additional data related to metal solubility, and start-up and shut-down water chemistry.
: 2) Changes to Table 3-1 that improve pH control to mitigate PWSCC while providing improved guidance related to pH transients prior to plant shutdown, and provide clarification related to required actions for lithium transients.
: 3) Changes to Table 3-3 which allow for improvements to plant specific criteria for the hydrogen concentration and new required actions for anion concentrations.
: 4) Changes to Tables 3-8 and 3-9 and the addition of new Table 3-10 that require more conservative action statements for plant cooldown if Cl, F, SO4, or DO2 limits are exceeded during plant startup; and more conservative sample frequencies for lithium, total suspended solids, and corrosion byproducts during plant startups and shutdowns These industry recommended changes improve and clarify implementation of the guidelines and ensure that the main objectives of the Water Chemistry aging management program, which are to mitigate loss of material due to corrosion, cracking due to stress corrosion cracking (SCC) and related


of the guidelines and ensure that the main objectives of the Water Chemistry aging management program, which are to mitigate loss of material due to
RS-15-093 Enclosure B Page 9 of 10 mechanisms, and reduction of heat transfer due to fouling in components exposed to a treated water environment, are maintained.


corrosion, cracking due to stress corrosion cracking (SCC) and related RS-15-093 Enclosure B Page 9 of 10 mechanisms, and reduction of heat transfer due to fouling in components exposed to a treated water environment, are maintained.
RS-15-093 Enclosure B Page 10 of 10 As a result of the transition to EPRI document, EPRI 3002000505, PWR Primary Water Chemistry Guidelines, Revision 7, LRA Section B.2.1.10, on page B-73, is revised as shown below. Revisions are indicated with bolded italics for inserted text and strikethroughs for deleted text.
RS-15-093 Enclosure B Page 10 of 10 As a result of the transition to EPRI document, EPRI 3002000505, "PWR Primary Water Chemistry Guidelines", Revision 7, LRA Section B.2.1.10, on page B-73, is revised as shown below. Revisions are indicated with bolded italics for inserted text and strikethroughs for deleted text.
B.2.1.10 Steam Generators Program Description The Steam Generators aging management program is an existing preventive, mitigative, condition monitoring, and performance monitoring program that provides for managing aging of the steam generator tubes, plugs, and secondary side components that are contained within the steam generator (i.e., secondary side internals). The program implements NEI 97-06, Steam Generator Program Guidelines. Aging is managed through assessment of potential degradation mechanisms, inspections, tube integrity assessments, tube plugging and repairs, primary to secondary leakage monitoring, maintenance of secondary side internal component integrity, primary and secondary side water chemistry, and foreign material exclusion. Station procedural guidance implements the performance criteria for steam generator tube integrity, condition monitoring requirements, inspection scope and frequency, acceptance criteria for the plugging or repair of flawed tubes, acceptable tube repair methods, leakage monitoring requirements, operational leakage and accident induced leakage requirements specified in plant technical specifications.
B.2.1.10 Steam Generators Program Description The Steam Generators aging management program is an existing preventive, mitigative, condition monitoring, and performance monitoring program that provides for managing aging of the steam generator tubes, plugs, and secondary side components that are contained within the steam generator (i.e., secondary side internals). The program implements NEI 97-06, "Steam Gener ator Program Guidelines." Aging is managed through assessment of potential degradation mechanisms, inspections, tube integrity assessments, tube plugging and repairs, primary to secondary leakage monitoring, maintenance of secondary side internal component integrity, primary and secondary side water chemistry, and foreign material exclusion. Station procedural guidance implements the performance criteria for steam generator tube integrity, condition monitoring requirements, inspection scope and frequency, acceptance criteria for the plugging or repair of flawed tubes, acceptable tube repair methods, leakage monitoring requirements, operational leakage and accident induced leakage requirements specified in plant technical specifications. The program reporting requirements, inspection scope and frequency, assessments, tube plugging criteria, primary to secondary leak rate monitoring, and monitoring/controlling primary and secondary side water chemistry are consistent with the requirements of the plant technical specifications, the Maintenance Rule (10 CFR 50.65), ASME Code, and EPRI steam generator guidelines EPRI 1019038, "Steam Generator Integrity Assessment Guidelines", EPRI 1013706, "Steam Generator Examination Guidelines", EPRI 1022832, "PWR Primary-to-Secondary Leak Guidelines", and EPRI 1014983, "Steam Generator In-Situ Pressure Test Guidelines."
The program reporting requirements, inspection scope and frequency, assessments, tube plugging criteria, primary to secondary leak rate monitoring, and monitoring/controlling primary and secondary side water chemistry are consistent with the requirements of the plant technical specifications, the Maintenance Rule (10 CFR 50.65), ASME Code, and EPRI steam generator guidelines EPRI 1019038, Steam Generator Integrity Assessment Guidelines, EPRI 1013706, Steam Generator Examination Guidelines, EPRI 1022832, PWR Primary-to-Secondary Leak Guidelines, and EPRI 1014983, Steam Generator In-Situ Pressure Test Guidelines.
The EPRI guidelines provide a generic industry program to implement NEI 97-06, "Steam Generator Program Guidelines."
The EPRI guidelines provide a generic industry program to implement NEI 97-06, Steam Generator Program Guidelines.
The Steam Generators program includes preventive measures to mitigate age-related degradation through foreign material exclusion as a means to inhibit wear degradation and secondary side maintenance activities, such as sludge lancing, for removing deposits that may contribute to degradation. The Water Chemistry program (B.2.1.2) monitors and controls primary side and secondary side water chemistry for the steam generators consistent with the EPRI guidelines EPRI 3002000505 1014986, "Pressurized Water Reactor Primary Water Chemistry Guidelines" and EPRI 1016555, "Pressurized Water Reactor Secondary Water Chemistry Guidelines" applicable to primary water chemistry and secondary wate r chemistry as a preventative measure.}}
The Steam Generators program includes preventive measures to mitigate age-related degradation through foreign material exclusion as a means to inhibit wear degradation and secondary side maintenance activities, such as sludge lancing, for removing deposits that may contribute to degradation. The Water Chemistry program (B.2.1.2) monitors and controls primary side and secondary side water chemistry for the steam generators consistent with the EPRI guidelines EPRI 30020005051014986, Pressurized Water Reactor Primary Water Chemistry Guidelines and EPRI 1016555, Pressurized Water Reactor Secondary Water Chemistry Guidelines applicable to primary water chemistry and secondary water chemistry as a preventative measure.}}

Latest revision as of 14:21, 31 October 2019

Second 10 CFR 54.21 (B) Annual Amendment to the Braidwood Station, Units 1 and 2, and Byron Station, Units 1 and 2, License Renewal Application
ML15096A409
Person / Time
Site: Byron, Braidwood  Constellation icon.png
Issue date: 04/06/2015
From: Gallagher M
Exelon Generation Co
To:
Document Control Desk, Office of Nuclear Reactor Regulation
References
RS-15-093
Download: ML15096A409 (17)


Text

10 CFR 50 10 CFR 51 10 CFR 54 RS-15-093 April 6, 2015 U.S. Nuclear Regulatory Commission Attention: Document Control Desk Washington, DC 20555-0001 Braidwood Station, Units 1 and 2 Facility Operating License Nos. NPF-72 and NPF-77 NRC Docket Nos. STN 50-456 and STN 50-457 Byron Station, Units 1 and 2 Facility Operating License Nos. NPF-37 and NPF-66 NRC Docket Nos. STN 50-454 and STN 50-455

Subject:

Second 10 CFR 54.21 (b) Annual Amendment to the Braidwood Station, Units 1 and 2, and Byron Station, Units 1 and 2, License Renewal Application

References:

1. Letter from Michael P. Gallagher, Exelon Generation Company LLC (Exelon),

to NRC Document Control Desk, dated May 29, 2013, "Application for Renewed Operating Licenses."

2. Letter from Michael P. Gallagher, Exelon, to NRG Document Control Desk, dated May 5, 2014, "10 CFR 54.21 (b) Annual Amendment to the Braidwood Station, Units 1 and 2, and Byron Station, Units 1 and 2, License Renewal Application"
3. Letter from Patrick R Simpson, Exelon, to NRC Document Control Desk, dated October 27, 2014, "Dissolution of Exelon Ventures Company, LLC" In Reference 1, Exelon Generation Company, LLC (Exelon) submitted the License Renewal Application (LRA) for the Byron Station, Units 1 and 2, and Braidwood Station, Units 1 and 2 (BBS). Reference 2 provided the first annual amendment to the LRA, as required by 10 CFR 54.21 (b).

Exelon has completed a review to identify any current licensing basis (CLB) changes made since submittal of the Reference 2, which have a material effect on the content of the LRA, including the FSAR Supplement. This amendment identified three (3) changes to the current

April 6, 2015 U.S. Nuclear Regulatory Commission Page 2 licensing basis (CLB) that materially affect the contents of the BBS LRA. Enclosure A contains a description of these CLB changes. Enclosure B contains updates to sections of the LRA affected by the changes.

This submittal satisfies the 10 CFR 54.21 (b) annual amendment requirement for 2015.

There are no new or revised regulatory commitments contained in this letter.

If you have any questions, please contact Mr. Al Fulvio, Manager, Exelon License Renewal, at 610-765-5936.

I declare under penalty of perjury that the foregoing is true and correct.

Respectfully, Michael P. Gallagher Vice President - License Renewal Projects Exelon Generation Company, LLC

Enclosures:

A Description of CLB Changes that Impact the LRA B. LRA Updates Associated with CLB Changes cc: Regional Administrator- NRC Region Ill NRC Project Manager (Safety Review), NRR-DLR NRC Project Manager (Environmental Review), NRR-DLR NRC Senior Resident Inspector, Braidwood Station NRC Senior Resident Inspector, Byron Station NRC Project Manager, NRR-DORL-Braidwood and Byron Stations Illinois Emergency Management Agency - Division of Nuclear Safety

RS-15-093 Enclosure A Page 1 of 5 Enclosure A Description of CLB Changes that Impact the LRA

1) Change to Ownership Structure for Exelon Generation Company, LLC In Reference 3, Exelon Generation Company, LLC, notified the NRC that Exelon Ventures Company, LLC was dissolved and that Exelon Generation Company, LLC became a direct wholly-owned subsidiary of Exelon Corporation. This change affected the description of the ownership structure that was contained in LRA Section 1.1.3, Descriptions of Business or Occupation of Applicant. In addition, it was identified that LRA Section 1.1.3 had inadvertently stated that Exelon Generation Company, LLC is a Delaware company, instead of a Pennsylvania company. LRA Section 1.1.3 is updated as shown in Enclosure B to reflect these changes.
2) Addition of Material for Different Component Type to Component Cooling System A modification of the Component Cooling System has been performed which installs two carbon steel check valves, a stainless steel restricting orifice, and a copper alloy drain valve to the primary sample cooler assembly at Byron Station, Unit 2. The installation of the carbon steel valve bodies and stainless steel restricting orifice does not materially affect the contents of the license renewal application since the appropriate component type, material, environment, and aging effect combination is included in the Summary of Aging Management table for this system (LRA Table 3.3.2-5). However, the installation of the drain valve constructed of copper alloy with less than 15 percent zinc introduces a new material for the Valve Body component type that was not previously evaluated in the Component Cooling System. Therefore, this material with the corresponding environments and aging management line items are added to the Valve Body component type in LRA Table 3.3.2-5. LRA Table 3.3.2-5 is updated in Enclosure B to reflect these changes.
3) Transition to Revision 7 of the EPRI PWR Primary Water Chemistry Guidelines NUREG-1801, Revision 2,Section XI.M2, Water Chemistry specifies the use of EPRI 1014986, PWR Primary Water Chemistry Guidelines Revision 6, for monitoring and control of reactor water chemistry at PWRs. At the time Byron Station, Units 1 and 2, and Braidwood Station, Units 1 and 2 (BBS) License Renewal Application (LRA) was submitted in May 2013, Water Chemistry program procedures implemented Revision 6 of the guideline without exception to NUREG-1801 Revision 2,Section XI.M2, Water Chemistry.

Therefore, LRA section B.2.1.2, Water Chemistry identified no exceptions to the program.

However, early in 2015 the Byron and Braidwood Water Chemistry program transitioned to the next revision of this EPRI document, EPRI 3002000505, PWR Primary Water Chemistry Guidelines, Revision 7, for monitoring and control of reactor water chemistry.

EPRI reports such as PWR Primary Water Chemistry Guidelines are industry reports, which are periodically reviewed and revised by industry experts to incorporate recent industry operating experience and best practices. Byron and Braidwood Stations are committed to following and implementing the Nuclear Energy Institute (NEI) industry initiative 97-06, Steam Generator Program Guidelines, as well as NEI 03-08, Guideline for

RS-15-093 Enclosure A Page 2 of 5 the Management of Materials Issues. Both of these NEI documents invoke various EPRI chemistry program guidelines, including PWR Primary Water Chemistry Guidelines, as forming a part of the bases of the initiatives requirements. Updates to the EPRI Guidelines, including PWR Primary Water Chemistry Guidelines, are periodically distributed to the industry for expected timely implementation. These guidelines contain mandatory, shall, and recommended requirements. Any deviation from implementing mandatory or shall requirements must be entered into the corrective action program, technically justified, and notifications made to EPRI, NEI, and the NRC.

Revision 7 does not remove any mandatory, shall, or recommended requirements previously contained in Revision 6. The focus of Revision 7 was on updating the guideline with recent field experience, laboratory results and related investigations, and industry lessons learned. The following table provides a breakdown of major changes from Revision 6 to Revision 7 and the impact, if any, on Byron and Braidwood Water Chemistry aging management program.

Changes to PWR Primary Water Chemistry Impact of Incorporating EPRI Revision 7 on BBS Water Guidelines (Revision 6 to Revision 7) Chemistry Aging Management Program Volume 1, Chapter 2: Updates to discussions on There is no material impact on license renewal aging pH control regimes to provide details and management activities.

comparisons of the constant, modified, and elevated regimes. The change from Revision 6 to Revision 7 only affects a discussion section, by documenting an improved understanding of pH control to mitigate primary water aging effects.

Volume 1, Chapter 2: Updates documenting There is no material impact on license renewal aging recent test results regarding low temperature management activities.

crack propagation in nickel-base alloys.

The change from Revision 6 to Revision 7 only affects a discussion section by documenting an improved understanding of crack propagation in nickel based alloys.

Volume 1, Chapter 2: Updates documenting the There is no material impact on license renewal aging industry use of zinc injection to mitigate management activities.

PWSCC.

The change from Revision 6 to Revision 7 only affects a discussion section by documenting an improved understanding of the use of zinc to mitigate PWSCC.

Volume 1, Chapter 2: Updates documenting the There is no material impact on license renewal aging influence of primary water chemistry on management activities.

corrosion of fuel cladding and on core performance. The change from Revision 6 to Revision 7 only affects a discussion section by documenting an improved understanding of mitigation strategies to mitigate corrosion in fuel cladding.

Volume 1, Chapter 2: The addition of a There is no material impact on license renewal aging discussion on the effects of pH on shutdown management activities.

dose rates, including a summary from ongoing trials with elevated lithium concentrations. The change from Revision 6 to Revision 7 only affects a discussion section by documenting an improved understanding for reducing shutdown dose rates.

RS-15-093 Enclosure A Page 3 of 5 Changes to PWR Primary Water Chemistry Impact of Incorporating EPRI Revision 7 on BBS Water Guidelines (Revision 6 to Revision 7) Chemistry Aging Management Program Volume 1, Chapter 2: Calculations regarding the There is no material impact on license renewal aging solubility of iron and nickel corrosion products management activities.

have been updated to reflect the current understanding. The change from Revision 6 to Revision 7 relates to discussion on changes to calculations used in assessing solubility of iron and nickel corrosion products, based on the current understanding of the topic.

Volume 1, Chapter 2: Updates to discussions There is no material impact on license renewal aging regarding use of zinc to reduce shutdown dose management activities.

rates to reflect the continuing encouraging industry results. The change from Revision 6 to Revision 7 only affects a discussion section by documenting additional operating experience for reducing shutdown dose rates.

Volume 1, Chapter 3: A change has been made Improvement - The change from Revision 6 to Revision 7 to Table 3-1, Generic Principles for results in additional conservatism.

Optimization of Primary System pH, that adds a new principle to assure operating pH is This change adds a new requirement to Revision 7 that maintained 7.0 while at full-power xenon- was not previously contained in Revision 6. Specifically, it equilibrium conditions. documents an improved program principle to operate with pH values as high as achievable, within vendor specified restrictions, for improved mitigation to the susceptibility to PWSCC and to reduce fuel deposits.

Volume 1, Chapter 3: Footnote 2 to Table 3-1, There is no significant impact on aging management "Generic Principles for Optimization of Primary effectiveness.

System pH, was amended with the statement, Operating with pHT < 6.5 requires plant specific This change was added to allow plants the flexibility, evaluation. subject to a plant specific evaluation, to operate at a pHT value of less than 6.5 during the 24 hour2.777778e-4 days <br />0.00667 hours <br />3.968254e-5 weeks <br />9.132e-6 months <br /> window prior to plant shutdown. EPRIs description of this change states that operating experience indicates there is no plant impact associated with lowering pHT to less than 6.5 during this time.

Volume 1, Chapter 3: Principle 7 in Table 3-1, Improvement - The change from Revision 6 to Revision 7 is Generic Principles for Optimization of Primary more prescriptive and results in additional conservatism.

System pH, was amended to provide clarification for lithium control following a power Revision 7 now requires actions to be taken if the lithium transient. concentration is not reestablished within the required control band during a 24 hour2.777778e-4 days <br />0.00667 hours <br />3.968254e-5 weeks <br />9.132e-6 months <br /> period. Revision 6 did not contain this requirement.

Volume 1, Chapter 3: Table 3-3, Reactor Improvement - The change from Revision 6 to Revision 7 is Coolant System Power Operation Control more prescriptive and results in additional conservatism.

Parameters (Reactor Critical) was revised to include an Action Level 1 limit for anions Revision 6 previously allowed for a plant-specific (chloride, fluoride, and sulfate). administrative limit to be used as the Action Level 1 limits for the respective anions. Revision 7 now identifies common specific industry values to be used as the Action Level 1 limits for anions.

RS-15-093 Enclosure A Page 4 of 5 Changes to PWR Primary Water Chemistry Impact of Incorporating EPRI Revision 7 on BBS Water Guidelines (Revision 6 to Revision 7) Chemistry Aging Management Program Volume 1, Chapter 3: Table 3-3, Reactor There is no significant impact on aging management Coolant System Power Operation Control effectiveness.

Parameters (Reactor Critical) was changed to allow for plants to establish a plant-specific The previous Revision 6 upper limit for hydrogen was >50 Action Level 1 for hydrogen in the range of 50 cc/kg H2O. Revision 7 now allows for hydrogen in the to 60 cc/kg H2O, incorporating the Interim range of 50 to 60 cc/kg H2O without required action Guidance SGMP-IG-11-02. statements, provided that the proper technical basis is established in plant program documents. This change allows plants to more easily operate at the higher end of the recommended range without reaching required action levels, in order to improve aging management, so long as potential adverse effects are fully evaluated.

Volume 1, Chapter 3: Table 3-8, Reactor Improvement - The change from Revision 6 to Revision 7 Coolant System Startup Control Parameters results in additional conservatism.

(Reactor Subcritical and > 250°F (121°C)), was revised to include an action statement requiring The change to Revision 7 involves a new action statement plant cooldown to < 250 °F if Cl, F, SO4, or DO2 that requires a plant cooldown when identified limits are limits are exceeded during startup. exceeded during startup. Revision 6 did not contain this requirement.

Volume 1, Chapter 3: Table 3-9, Reactor Improvement - The change from Revision 6 to Revision 7 is Coolant System Startup Chemistry Diagnostic more prescriptive and results in additional conservatism.

Parameters (From Initiation of Continuous RCP Operation to Reactor Critical), was modified to The change modified notes in Table 3-9 to provide add notes relative to start-up lithium control and additional requirements for increased sample frequencies total suspended solids. of lithium and cautionary statements related to limits on suspended solids during startup.

Volume 1, Chapter 3: Table 3-10, Reactor Improvement - The change from Revision 6 to Revision 7 Coolant System Startup and Shutdown results in additional conservatism.

Required Parameters for Fuel Integrity Surveillance was added to address concerns A new table of chemistry parameters and frequencies was regarding fuel integrity. added to Revision 7. The new table includes sample frequency requirements taken from a previous Revision 6 table, in addition to new parameters. The addition of new monitoring parameters in Revision 7 is considered conservative with respect to Revision 6.

Volume 1, Appendix A was updated to reflect There is no material impact on license renewal aging SGMP-IG-09-01, Interim Guidance Regarding management activities.

PWR Primary Water Chemistry Guidelines Volume 1, Revision 6, EPRI, Palo Alto, Ca: This change updates the guidelines with previously 2007. TR1014986. established interim guidance to Revision 6. The change incorporates previous guidance from EPRI on the calculation of pHT, and is not materially impactful to the aging management program elements.

Volume 1, Appendix H, Maintaining and There is no material impact on license renewal aging Monitoring the Chemistry Environment in management activities.

Stagnant Attached RCS Lines and Components was added. This new appendix provides a discussion section, for information only, of potential corrosion issues related to piping and components filled with fluid in stagnant conditions.

RS-15-093 Enclosure A Page 5 of 5 Changes to PWR Primary Water Chemistry Impact of Incorporating EPRI Revision 7 on BBS Water Guidelines (Revision 6 to Revision 7) Chemistry Aging Management Program Volume 1, Appendix I, Metal Solubility was There is no material impact on license renewal aging added to document a collection of industry data. management activities.

This new appendix provides a discussion and basis for previous changes to EPRI chemistry software related to metal solubility calculations. These changes are not materially impactful to the aging management program elements.

Volume 2 of the report was revised with There is no material impact on license renewal aging additional discussions and updated industry management activities.

operating experiences.

These new Volume 2 changes are related to discussion sections and operating experience on start-up and shut-down water chemistry.

The above table illustrates that the major changes introduced by Revision 7 are primarily related to updated discussions and operating experience sections. Where changes affect chemistry monitoring parameters and methods, these changes represent improvements to the management of primary water chemistry and aging management effectiveness through incorporation of the latest industry best practices. Therefore, this ensures that the main objectives of the Water Chemistry aging management program, which are to mitigate loss of material due to corrosion, cracking due to stress corrosion cracking (SCC) and related mechanisms, and reduction of heat transfer due to fouling in components exposed to a treated water environment, are maintained. The Water Chemistry aging management program will continue to manage the effects of aging so that the intended function(s) will be maintained consistent with the CLB for the period of extended operation.

As a result of this change, LRA Sections A.2.1.2 and B.2.1.2, Water Chemistry, and B.2.1.10, Steam Generators, have been updated as shown in Enclosure B to document incorporation of the latest EPRI industry guidance on PWR Primary Water Chemistry. Additionally, changes to LRA Tables 3.x.1 (Table 1s) and Tables 3.x.2-y (Table 2s) as a result of the new exception are also described in Enclosure B.

RS-15-093 Enclosure B Page 1 of 10 Enclosure B LRA Updates Associated with CLB Changes

1) As a result of the CLB change associated with the ownership structure of Exelon Generation Company, LLC, LRA Section 1.1.3, on page 1-1, is revised as shown below. Additions are shown in bolded italics and deletions are shown with strikethroughs.

1.

1.3 DESCRIPTION

S OF BUSINESS OR OCCUPATION OF APPLICANT Exelon Generation Company, LLC is a Delaware Pennsylvania limited liability company which is wholly owned by Exelon Ventures Company, a Delaware limited liability company, which in turn is wholly owned by Exelon Corporation, a corporation formed under the laws of the Commonwealth of Pennsylvania. Exelon Generation Company, LLC is the licensed operator of Byron and Braidwood Stations, Units 1 and 2, which are the subject of this application. The current Byron and Braidwood Station operating licenses will expire as follows:

o At midnight on October 31, 2024 for Byron Station, Unit 1 (Facility Operating License No. NPF-37) o At midnight on November 6, 2026 for Byron Station, Unit 2 (Facility Operating License No. NPF-66) o At midnight on October 17, 2026 for Braidwood Station, Unit 1 (Facility Operating License No. NPF-72) o At midnight on December 18, 2027 for Braidwood Station, Unit 2 (Facility Operating License No. NPF-77 Exelon Generation Company, LLC will continue as the licensed operator on the renewed operating licenses.

RS-15-093 Enclosure B Page 2 of 10

2) As a result of the annual update provided in Enclosure A of this letter, LRA Table 3.3.2-5, Component Cooling System, page 3.3-163, is revised as shown below. Additions are indicated with bolded italics.

Table 3.3.2-5 Component Cooling System Component Intended Material Environment Aging Effect Aging Management NUREG-1801 Table 1 Item Notes Type Function Requiring Programs Item Management Tanks (Chemical Leakage Boundary Carbon Steel Closed Cycle Cooling Loss of Material Closed Treated Water VII.C2.AP-202 3.3.1-45 A Addition Tank) Water (Internal) Systems (B.2.1.12)

Tanks (Surge Pressure Boundary Carbon Steel Air with Borated Water Loss of Material Boric Acid Corrosion VII.I.A-79 3.3.1-9 A Tank) Leakage (External) (B.2.1.4)

External Surfaces VII.I.A-77 3.3.1-78 A Monitoring of Mechanical Components (B.2.1.23)

Closed Cycle Cooling Loss of Material Closed Treated Water VII.C2.AP-202 3.3.1-45 A Water (Internal) Systems (B.2.1.12)

Valve Body Leakage Boundary Carbon Steel Air with Borated Water Loss of Material Boric Acid Corrosion VII.I.A-79 3.3.1-9 A Leakage (External) (B.2.1.4)

External Surfaces VII.I.A-77 3.3.1-78 A Monitoring of Mechanical Components (B.2.1.23)

Closed Cycle Cooling Loss of Material Closed Treated Water VII.C2.AP-202 3.3.1-45 A Water (Internal) Systems (B.2.1.12)

Waste Water (Internal) Loss of Material Inspection of Internal VII.E5.AP-281 3.3.1-91 A Surfaces in Miscellaneous Piping and Ducting Components (B.2.1.25)

Copper Alloy Air with Borated None None VII.J.AP-11 3.3.1-115 A with less than Water Leakage 15% Zinc (External)

(Byron Unit 2 Closed Cycle Cooling Loss of Material Closed Treated Water VII.C2.AP-199 3.3.1-46 A only)

Water (Internal) Systems (B.2.1.12)

Stainless Steel Air with Borated Water None None VII.J.AP-18 3.3.1-120 A Leakage (External)

Closed Cycle Cooling Loss of Material Closed Treated Water VII.C2.A-52 3.3.1-49 A Water (Internal) Systems (B.2.1.12)

RS-15-093 Enclosure B Page 3 of 10

3) As a result of the transition to EPRI document, EPRI 3002000505, PWR Primary Water Chemistry Guidelines, Revision 7, and the corresponding new exception to the NUREG-1801 XI.M2 program recommendations, various LRA Section 3 Table revisions are required, and are described below.

Aging Management Review Tables 3.x.1 (Table 1s):

As a result of the new exception to the Water Chemistry aging management program, revisions are required to various LRA Table 3.1.1, Table 3.2.1, Table 3.3.1, Table 3.4.1, and Table 3.5.1 Item Numbers. For each Table 1 Item Number (3.x.1-yy), the Discussion column in the respective table summarizes the consistency between the aging management programs credited in the BBS LRA and those aging management programs cited in the corresponding NUREG-1800 table and line items. The NUREG-1801 consistency statement at the beginning of the Discussion for each of the Table 1 Item Numbers identified below, is hereby revised (as shown in bolded italics for inserted text) to state, Consistent with NUREG-1801 with exceptions. The following statement is also added to the Discussion column of the Item Number, Exceptions apply to the NUREG-1801 recommendations for Water Chemistry (B.2.1.2) program implementation.

Applicable Table 1 Item Numbers:

3.1.1-12 3.2.1-5 3.3.1-3 3.4.1-11 3.5.1-78 3.1.1-25 3.2.1-18 3.3.1-17 3.4.1-12 3.1.1-33 3.2.1-19 3.3.1-20 3.4.1-13 3.1.1-34 3.2.1-20 3.3.1-28 3.4.1-14 3.1.1-39 3.2.1-22 3.3.1-29 3.4.1-15 3.1.1-40 3.3.1-125 3.4.1-16 3.1.1-40x 3.1.1-42 3.1.1-45 3.1.1-46 3.1.1-47 3.1.1-78 3.1.1-80 3.1.1-81 3.1.1-83 3.1.1-87 3.1.1-88

RS-15-093 Enclosure B Page 4 of 10 To reflect the Water Chemistry aging management program exception, the additional Table 1 Item Numbers noted below are also revised to include only the following statement in the discussion column, Exceptions apply to the NUREG-1801 recommendations for Water Chemistry (B.2.1.2) program implementation.

Applicable Table 1 Item Numbers:

3.1.1-19 3.5.1-84 3.1.1-20 3.5.1-85 3.1.1-23 3.1.1-53 3.1.1-69 3.1.1-70 3.1.1-71 3.1.1-72 3.1.1-74 Aging Management Review Tables 3.x.2-y (Table 2s):

All aging management review (AMR) line items contain a Standard Note of A through J to identify the degree of consistency with NUREG-1801 AMR line items. Standard Notes A through D are defined as follows:

A Consistent with NUREG-1801 item for component, material, environment, and aging effect. AMP is consistent with NUREG-1801 AMP.

B Consistent with NUREG-1801 item for component, material, environment, and aging effect. AMP takes some exceptions to NUREG-1801 AMP.

C Component is different, but consistent with NUREG-1801 item for material, environment, and aging effect. AMP is consistent with NUREG-1801 AMP.

D Component is different, but consistent with NUREG-1801 item for material, environment, and aging effect. AMP takes some exceptions to NUREG-1801 AMP.

As a result of the new exception to the Water Chemistry (B.2.1.2) aging management program, all AMR lines which credit the Water Chemistry program and cite a Standard Note A are hereby revised to cite a Standard Note B. All AMR lines which credit the Water Chemistry aging management program and cite a Standard Note C are hereby revised to cite a Standard Note D.

The following AMR tables are affected by this change:

Reactor Vessel, Internals, and Reactor Coolant System Table 3.1.2 Reactor Coolant System Table 3.1.2 Reactor Vessel Table 3.1.2 Reactor Vessel Internals Table 3.1.2 Steam Generators

RS-15-093 Enclosure B Page 5 of 10 Engineered Safety Features Table 3.2.2 Containment Spray System Table 3.2.2 Residual Heat Removal System Table 3.2.2 Safety Injection System Auxiliary Systems Table 3.3.2 Auxiliary Building Ventilation System Table 3.3.2 Chemical & Volume Control System Table 3.3.2 Control Area Ventilation System Table 3.3.2 Demineralized Water System Table 3.3.2 Fuel Handling & Fuel Storage System Table 3.3.2 Radiation Monitoring System Table 3.3.2 Radwaste System Table 3.3.2 Sampling System Table 3.3.2 Spent Fuel Cooling System Steam and Power Conversion System Table 3.4.2 Auxiliary Feedwater System Table 3.4.2 Condensate and Feedwater Auxiliaries System Table 3.4.2 Main Condensate and Feedwater System Table 3.4.2 Main Steam System Table 3.4.2 Main Turbine and Auxiliaries System Containments, Structures, and Component Supports Table 3.5.2 Component Supports Commodity Group Table 3.5.2 Containment Structure Table 3.5.2 Fuel Handling Building

RS-15-093 Enclosure B Page 6 of 10 As a result of the transition to EPRI document, EPRI 3002000505, PWR Primary Water Chemistry Guidelines, Revision 7, LRA Section A.2.1.2, on pages A-10 and A-11, is revised as shown below. Revisions are indicated with bolded italics for inserted text and strikethroughs for deleted text A.2.1.2 Water Chemistry The Water Chemistry aging management program is an existing mitigative program whose activities mitigate the loss of material due to corrosion, cracking due to stress corrosion cracking (SCC) and related mechanisms, and reduction of heat transfer due to fouling in components exposed to a reactor coolant, steam, treated borated water, and treated water environment. The program controls water chemistry for impurities (e.g., chloride, fluoride, and sulfate) that accelerate corrosion. Major component types include the reactor vessel, reactor internals, pressurizer vessel, steam generator internals, heat exchangers, tanks, piping, piping elements, and piping components.

The primary system portion of this program consists of the reactor coolant system and related interfacing systems containing reactor coolant, treated borated water, and treated water. The secondary system portion of the program consists of the various secondary systems containing steam and treated water. The Byron and Braidwood Water Chemistry aging management program relies on monitoring and control of water chemistry to keep peak levels of various detrimental contaminants below system-specific limits, based on EPRI 30020005051014986, PWR Primary Water Chemistry Guidelines, Revision 76, and EPRI 1016555, PWR Secondary Water Chemistry Guidelines, Revision 7.

RS-15-093 Enclosure B Page 7 of 10 As a result of the transition to EPRI document, EPRI 3002000505, PWR Primary Water Chemistry Guidelines, Revision 7, an exception has been added to BBS LRA Section B.2.1.2 on pages B-22 and B-23. This LRA Section is revised as shown below. Revisions are indicated with bolded italics for inserted text and strikethroughs for deleted text.

B.2.1.2 Water Chemistry Program Description The Water Chemistry aging management program is an existing mitigative program whose activities mitigate the loss of material due to corrosion, cracking due to stress corrosion cracking (SCC) and related mechanisms, and reduction of heat transfer due to fouling. The program includes monitoring and control of known detrimental contaminants such as chloride, fluorides, dissolved oxygen, and sulfate concentrations below the levels known to result in loss of material, cracking, or reduction of heat transfer in accordance with EPRI 30020005051014986, PWR Primary Water Chemistry Guidelines, Revision 76, and EPRI 1016555, PWR Secondary Water Chemistry Guidelines, Revision 7.

The Byron and Braidwood (BBS) Water Chemistry aging management program consists of monitoring and controlling the chemical environments of those systems that are exposed to reactor coolant, steam, treated borated water, and treated water, such that aging effects of system components are minimized in accordance with the guidance specified in EPRI 30020005051014986, PWR Primary Water Chemistry Guidelines, Revision 76, and the EPRI 1016555, PWR Secondary Water Chemistry Guidelines, Revision 7. Major component types include the reactor vessel, reactor internals, pressurizer vessels, steam generator internals, heat exchangers, tanks, piping, piping elements, and piping components.

Exceptions to NUREG-1801 None.

1. NUREG-1801, Revision 2 specifies the use of EPRI 1014986, PWR Primary Water Chemistry Guidelines Revision 6, for monitoring and control of reactor water chemistry. However, early in 2015 the Byron and Braidwood Station Water Chemistry program transitioned to the next revision of this EPRI document, EPRI 3002000505, PWR Primary Water Chemistry Guidelines, Revision 7, for monitoring and control of reactor water chemistry. Program Elements Affected: Parameters Monitored/Inspected (Element 3); Detection of Aging Effects (Element 4); Monitoring and Trending (Element 5); Acceptance Criteria (Element 6); Corrective Actions (Element 7)

Justification of Exception EPRI reports such as PWR Primary Water Chemistry Guidelines are industry reports, which are periodically reviewed and revised by industry experts to incorporate recent industry operating experience and best practices. Byron and Braidwood Stations are committed to following and

RS-15-093 Enclosure B Page 8 of 10 implementing the Nuclear Energy Institute (NEI) industry initiative 97-06, Steam Generator Program Guidelines, as well as NEI 03-08, Guideline for the Management of Materials Issues. Both of these NEI documents invoke various EPRI chemistry program guidelines, including PWR Primary Water Chemistry Guidelines, forming a part of the bases of the initiatives requirements. Updates to the EPRI Guidelines, including PWR Primary Water Chemistry Guidelines, are periodically distributed to the industry for expected timely implementation. These guidelines contain mandatory, shall, and recommended requirements. Any deviation from implementing mandatory or shall requirements must be entered into the corrective action program, technically justified, and notifications made to EPRI, NEI, and the NRC.

Revision 7 does not remove any mandatory, shall, or recommended requirements previously contained in Revision 6. The focus of Revision 7 was on updating and improving the guideline based on operating experience, laboratory results and related investigations, and lessons learned. Revision 7 major changes include:

1) Updates within the report and in appendices based on industry operating experience, laboratory test results, and improved chemical parameter monitoring and control as follows: improved details related to pH control regimes; recent test results regarding low temperature crack propagation in nickel-based alloys; use of zinc to mitigate PWSCC; the influence of primary water chemistry on corrosion of fuel cladding; the effects of pH parameters on shutdown dose rates; improved calculations regarding the solubility of iron and nickel corrosion; the use of zinc to reduce shutdown dose rates; previous guidance in determination of pHT, potential corrosion issues related to stagnant conditions; additional data related to metal solubility, and start-up and shut-down water chemistry.
2) Changes to Table 3-1 that improve pH control to mitigate PWSCC while providing improved guidance related to pH transients prior to plant shutdown, and provide clarification related to required actions for lithium transients.
3) Changes to Table 3-3 which allow for improvements to plant specific criteria for the hydrogen concentration and new required actions for anion concentrations.
4) Changes to Tables 3-8 and 3-9 and the addition of new Table 3-10 that require more conservative action statements for plant cooldown if Cl, F, SO4, or DO2 limits are exceeded during plant startup; and more conservative sample frequencies for lithium, total suspended solids, and corrosion byproducts during plant startups and shutdowns These industry recommended changes improve and clarify implementation of the guidelines and ensure that the main objectives of the Water Chemistry aging management program, which are to mitigate loss of material due to corrosion, cracking due to stress corrosion cracking (SCC) and related

RS-15-093 Enclosure B Page 9 of 10 mechanisms, and reduction of heat transfer due to fouling in components exposed to a treated water environment, are maintained.

RS-15-093 Enclosure B Page 10 of 10 As a result of the transition to EPRI document, EPRI 3002000505, PWR Primary Water Chemistry Guidelines, Revision 7, LRA Section B.2.1.10, on page B-73, is revised as shown below. Revisions are indicated with bolded italics for inserted text and strikethroughs for deleted text.

B.2.1.10 Steam Generators Program Description The Steam Generators aging management program is an existing preventive, mitigative, condition monitoring, and performance monitoring program that provides for managing aging of the steam generator tubes, plugs, and secondary side components that are contained within the steam generator (i.e., secondary side internals). The program implements NEI 97-06, Steam Generator Program Guidelines. Aging is managed through assessment of potential degradation mechanisms, inspections, tube integrity assessments, tube plugging and repairs, primary to secondary leakage monitoring, maintenance of secondary side internal component integrity, primary and secondary side water chemistry, and foreign material exclusion. Station procedural guidance implements the performance criteria for steam generator tube integrity, condition monitoring requirements, inspection scope and frequency, acceptance criteria for the plugging or repair of flawed tubes, acceptable tube repair methods, leakage monitoring requirements, operational leakage and accident induced leakage requirements specified in plant technical specifications.

The program reporting requirements, inspection scope and frequency, assessments, tube plugging criteria, primary to secondary leak rate monitoring, and monitoring/controlling primary and secondary side water chemistry are consistent with the requirements of the plant technical specifications, the Maintenance Rule (10 CFR 50.65), ASME Code, and EPRI steam generator guidelines EPRI 1019038, Steam Generator Integrity Assessment Guidelines, EPRI 1013706, Steam Generator Examination Guidelines, EPRI 1022832, PWR Primary-to-Secondary Leak Guidelines, and EPRI 1014983, Steam Generator In-Situ Pressure Test Guidelines.

The EPRI guidelines provide a generic industry program to implement NEI 97-06, Steam Generator Program Guidelines.

The Steam Generators program includes preventive measures to mitigate age-related degradation through foreign material exclusion as a means to inhibit wear degradation and secondary side maintenance activities, such as sludge lancing, for removing deposits that may contribute to degradation. The Water Chemistry program (B.2.1.2) monitors and controls primary side and secondary side water chemistry for the steam generators consistent with the EPRI guidelines EPRI 30020005051014986, Pressurized Water Reactor Primary Water Chemistry Guidelines and EPRI 1016555, Pressurized Water Reactor Secondary Water Chemistry Guidelines applicable to primary water chemistry and secondary water chemistry as a preventative measure.