BSEP 12-0018, Submittal of Confirmatory Evaluation for Cycle 19: Difference between revisions

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| issue date = 01/26/2012
| issue date = 01/26/2012
| title = Submittal of Confirmatory Evaluation for Cycle 19
| title = Submittal of Confirmatory Evaluation for Cycle 19
| author name = Pope A H
| author name = Pope A
| author affiliation = Progress Energy Carolinas, Inc
| author affiliation = Progress Energy Carolinas, Inc
| addressee name =  
| addressee name =  
Line 21: Line 21:


==Subject:==
==Subject:==
Brunswick Steam Electric Plant, Unit No. 1 Renewed Facility Operating License No. DPR-71 Docket No. 50-325 Submittal of Confirmatory Evaluation for Unit 1 Cycle 19  
Brunswick Steam Electric Plant, Unit No. 1 Renewed Facility Operating License No. DPR-71 Docket No. 50-325 Submittal of Confirmatory Evaluation for Unit 1 Cycle 19


==Reference:==
==Reference:==
Letter from Farideh E. Saba (NRC) to Michael J. Annacone (CP&L),
                          "Brunswick Steam Electric Plant, Units 1 and 2 - Issuance of Amendments Regarding Addition of Analytical Methodology Topical Report to Technical Specification 5.6.5 (TAC Nos. ME3856 and ME3857)," dated April 8,2011, ADAMS Accession Number ML111010234 Ladies and Gentlemen:
On April 8, 2011, the U.S. Nuclear Regulatory Commission issued Amendment Nos. 257 and 285 to the Renewed Facility Operating Licenses for the Brunswick Steam Electric Plant (BSEP), Units 1 and 2, respectively. The amendments changed the BSEP, Unit I and 2 Technical Specifications to support transition to ATRIUM I OXM fuel and associated core design methodologies. In conjunction with issuance of these amendments, the following license condition was included in Appendix B, "Additional Conditions," of the Operating Licenses for BSEP, Units 1 and 2:
Safety Limit Minimum Critical Power Ratio (SLMCPR), setpoint, and core operating limit values determined using the ANP-10298PA, ACE/ATRIUM 1OXM Critical Power Correlation (i.e., TS 5.6.5.b.21), shall be evaluated with methods described in AREVA Operability Assessment CR 2011-2274, Revision I to verify the values determined using the NRC-approved method remain applicable and the core operating limits include margin sufficient to bound the effects of the K-factor calculation issue described in AREVA Operability Assessment CR 2011-2274, Revision 1. The results of the evaluation shall be documented and submitted to the NRC, for review, at least 60 days prior to startup of each operating cycle.
The results of the evaluation specified by the license condition are documented in an AREVA Operability Assessment Report 2011-8616, titled "Operability Assessment (CR #2011-8616)," acopy of which is provided in Enclosure 1. Based on a currently scheduled startup date of April 6, 2012, for the upcoming Unit 1 Cycle 19 refueling outage, submittal of these Unit 1 evaluation results is required by February 6, 2012.
Progress Energy Carolinas, Inc.
Brunswick Nuclear Plant P.O. Box 10429 Southport, NC 28461


Letter from Farideh E. Saba (NRC) to Michael J. Annacone (CP&L),"Brunswick Steam Electric Plant, Units 1 and 2 -Issuance of Amendments Regarding Addition of Analytical Methodology Topical Report to Technical Specification 5.6.5 (TAC Nos. ME3856 and ME3857)," dated April 8,2011, ADAMS Accession Number ML 111010234 Ladies and Gentlemen:
Document Control Desk BSEP 12-0018 / Page 2 This Operability Assessment Report contains information that AREVA considers proprietary, as defined by 10 CFR 2.390. AREVA, as the owner of that proprietary information, has executed the affidavit provided in Enclosure 2 and stated that the identified proprietary information has been handled and classified as proprietary, is customarily held in confidence, and has been withheld from public disclosure. AREVA requests that the identified proprietary information be withheld from public disclosure in accordance with the provisions of 10 CFR 2.390. A non-proprietary version of the AREVA Operability Assessment Report CR #2011-8616 is provided in Enclosure 3.
On April 8, 2011, the U.S. Nuclear Regulatory Commission issued Amendment Nos. 257 and 285 to the Renewed Facility Operating Licenses for the Brunswick Steam Electric Plant (BSEP), Units 1 and 2, respectively.
No regulatory commitments are contained in this letter. Please refer any questions regarding this submittal to Mr. Lee Grzeck, Acting Supervisor - Licensing/Regulatory Programs, at (910) 457-2487.
The amendments changed the BSEP, Unit I and 2 Technical Specifications to support transition to ATRIUM I OXM fuel and associated core design methodologies.
Sincerely, A ette H.Pope Manager - Support Services Brunswick Steam Electric Plant WRM/wrm
In conjunction with issuance of these amendments, the following license condition was included in Appendix B, "Additional Conditions," of the Operating Licenses for BSEP, Units 1 and 2: Safety Limit Minimum Critical Power Ratio (SLMCPR), setpoint, and core operating limit values determined using the ANP-10298PA, ACE/ATRIUM 1 OXM Critical Power Correlation (i.e., TS 5.6.5.b.21), shall be evaluated with methods described in AREVA Operability Assessment CR 2011-2274, Revision I to verify the values determined using the NRC-approved method remain applicable and the core operating limits include margin sufficient to bound the effects of the K-factor calculation issue described in AREVA Operability Assessment CR 2011-2274, Revision 1. The results of the evaluation shall be documented and submitted to the NRC, for review, at least 60 days prior to startup of each operating cycle.The results of the evaluation specified by the license condition are documented in an AREVA Operability Assessment Report 2011-8616, titled "Operability Assessment (CR #2011-8616)," acopy of which is provided in Enclosure
: 1. Based on a currently scheduled startup date of April 6, 2012, for the upcoming Unit 1 Cycle 19 refueling outage, submittal of these Unit 1 evaluation results is required by February 6, 2012.Progress Energy Carolinas, Inc.Brunswick Nuclear Plant P.O. Box 10429 Southport, NC 28461 Document Control Desk BSEP 12-0018 / Page 2 This Operability Assessment Report contains information that AREVA considers proprietary, as defined by 10 CFR 2.390. AREVA, as the owner of that proprietary information, has executed the affidavit provided in Enclosure 2 and stated that the identified proprietary information has been handled and classified as proprietary, is customarily held in confidence, and has been withheld from public disclosure.
AREVA requests that the identified proprietary information be withheld from public disclosure in accordance with the provisions of 10 CFR 2.390. A non-proprietary version of the AREVA Operability Assessment Report CR #2011-8616 is provided in Enclosure 3.No regulatory commitments are contained in this letter. Please refer any questions regarding this submittal to Mr. Lee Grzeck, Acting Supervisor  
-Licensing/Regulatory Programs, at (910) 457-2487.Sincerely, A ette H.Pope Manager -Support Services Brunswick Steam Electric Plant WRM/wrm  


==Enclosures:==
==Enclosures:==
: 1. AREVA Operability Assessment Report 2011-8616, titled "Operability Assessment (CR #2011-8616)" (Proprietary Information  
: 1. AREVA Operability Assessment Report 2011-8616, titled "Operability Assessment (CR #2011-8616)" (Proprietary Information - Withhold from Public Disclosure in Accordance With 10 CFR 2.390)
-Withhold from Public Disclosure in Accordance With 10 CFR 2.390)2. AREVA Affidavit Regarding Withholding "Operability Assessment (CR #2011-8616)" 3. Non-Proprietary Version of AREVA Operability Assessment Report 2011-8616, titled "Operability Assessment (CR #2011-8616)"
: 2. AREVA Affidavit Regarding Withholding "Operability Assessment (CR #2011-8616)"
Document Control Desk BSEP 12-0018 / Page 3 cc (with Enclosures 1, 2, and 3): U. S. Nuclear Regulatory Commission, Region II ATTN: Mr. Victor M. McCree, Regional Administrator 245 Peachtree Center Ave, NE, Suite 1200 Atlanta, GA 30303-1257 U. S. Nuclear Regulatory Commission ATTN: Mr. Philip B. O'Bryan, NRC Senior Resident Inspector 8470 River Road Southport, NC 28461-8869 U. S. Nuclear Regulatory Commission (Electronic Copy Only)ATTN: Mrs. Farideh E. Saba (Mail Stop OWFN 8G9A)11555 Rockville Pike Rockville, MD 20852-2738 cc (with Enclosures 2 and 3): Chair -North Carolina Utilities Commission P.O. Box 29510 Raleigh, NC 27626-0510 BSEP 12-0018 Enclosure 2 AREVA Affidavit Regarding Withholding"Operability Assessment (CR #2011-8616)"
: 3. Non-Proprietary Version of AREVA Operability Assessment Report 2011-8616, titled "Operability Assessment (CR #2011-8616)"
AFFIDAVIT STATE OF WASHINGTON  
 
)) ss.COUNTY OF BENTON )1. My name is Alan B. Meginnis.
Document Control Desk BSEP 12-0018 / Page 3 cc (with Enclosures 1, 2, and 3):
I am Manager, Product Licensing, for AREVA NP Inc. and as such I am authorized to execute this Affidavit.
U. S. Nuclear Regulatory Commission, Region II ATTN: Mr. Victor M. McCree, Regional Administrator 245 Peachtree Center Ave, NE, Suite 1200 Atlanta, GA 30303-1257 U. S. Nuclear Regulatory Commission ATTN: Mr. Philip B. O'Bryan, NRC Senior Resident Inspector 8470 River Road Southport, NC 28461-8869 U. S. Nuclear Regulatory Commission (Electronic Copy Only)
: 2. I am familiar with the criteria applied by AREVA NP to determine whether certain AREVA NP information is proprietary.
ATTN: Mrs. Farideh E. Saba (Mail Stop OWFN 8G9A) 11555 Rockville Pike Rockville, MD 20852-2738 cc (with Enclosures 2 and 3):
I am familiar with the policies established by AREVA NP to ensure the proper application of these criteria.3. I am familiar with the AREVA NP information contained in the Operability Assessment for Condition Report 2011-8616, entitled, "Operability Assessment (CR #2011-8616)," and referred to herein as "Document." Information contained in this Document has been classified by AREVA NP as proprietary in accordance with the policies established by AREVA NP for the control and protection of proprietary and confidential information.
Chair - North Carolina Utilities Commission P.O. Box 29510 Raleigh, NC 27626-0510
: 4. This Document contains information of a proprietary and confidential nature and is of the type customarily held in confidence by AREVA NP and not made available to the public. Based on my experience, I am aware that other companies regard information of the kind contained in this Document as proprietary and confidential., 5. This Document has been made available to the U.S. Nuclear Regulatory Commission in confidence with the request that the information contained in this Document be withheld from public disclosure.
 
The request for withholding of proprietary information is made in accordance with 10 CFR 2.390. The information for which withholding from disclosure is requested qualifies under 10 CFR 2.390(a)(4) "Trade secrets and commercial or financial information." 6. The following criteria are customarily applied by AREVA NP to determine whether information should be classified as proprietary: (a) The information reveals details of AREVA NP's research and development plans and programs or their results.(b) Use of the information by a competitor would permit the competitor to significantly reduce its expenditures, in time or resources, to design, produce, or market a similar product or service.(c) The information includes test data or analytical techniques concerning a process, methodology, or component, the application of which results in a competitive advantage for AREVA NP.(d) The information reveals certain distinguishing aspects of a process, methodology, or component, the exclusive use of which provides a competitive advantage for AREVA NP in product optimization or marketability.(e) The information is vital to a competitive advantage held by AREVA NP, would be helpful to competitors to AREVA NP, and would likely cause substantial harm to the competitive position of AREVA NP.The information in the Document is considered proprietary for the reasons set forth in paragraphs 6(b), 6(d) and 6(e) above.7. In accordance with AREVA NP's policies governing the protection and control of information, proprietary information contained in this Document have been made available, on a limited basis, to others outside AREVA NP only as required and under suitable agreement providing for nondisclosure and limited use of the information.
BSEP 12-0018 Enclosure 2 AREVA Affidavit Regarding Withholding "Operability Assessment (CR #2011-8616)"
: 8. AREVA NP policy requires that proprietary information be kept in a secured file or area and distributed on a need-to-know basis.
 
: 9. The foregoing statements are true and correct to the best of my knowledge, information, and belief.7 SUBSCRIBED before me this __day of "2012. K..- ,-NOTA¶~PUB L Susan K. McCoy ,,O,,,,0 NOTARY PUBLIC, STATE OF W INGTON MY COMMISSION EXPIRES: 1/10/12 BSEP 12-0018 Enclosure 3 Non-Proprietary Version of AREVA Operability Assessment Report 2011-8616, titled "Operability Assessment (CR #2011-8616)"
AFFIDAVIT STATE OF WASHINGTON           )
                              ) ss.
COUNTY OF BENTON               )
: 1.     My name is Alan B. Meginnis. I am Manager, Product Licensing, for AREVA NP Inc. and as such I am authorized to execute this Affidavit.
: 2. I am familiar with the criteria applied by AREVA NP to determine whether certain AREVA NP information is proprietary. I am familiar with the policies established by AREVA NP to ensure the proper application of these criteria.
: 3. I am familiar with the AREVA NP information contained in the Operability Assessment for Condition Report 2011-8616, entitled, "Operability Assessment (CR #2011-8616)," and referred to herein as "Document." Information contained in this Document has been classified by AREVA NP as proprietary in accordance with the policies established by AREVA NP for the control and protection of proprietary and confidential information.
: 4. This Document contains information of a proprietary and confidential nature and is of the type customarily held in confidence by AREVA NP and not made available to the public. Based on my experience, I am aware that other companies regard information of the kind contained in this Document as proprietary and confidential.,
: 5. This Document has been made available to the U.S. Nuclear Regulatory Commission in confidence with the request that the information contained in this Document be withheld from public disclosure. The request for withholding of proprietary information is made in accordance with 10 CFR 2.390. The information for which withholding from disclosure is
 
requested qualifies under 10 CFR 2.390(a)(4) "Trade secrets and commercial or financial information."
: 6.     The following criteria are customarily applied by AREVA NP to determine whether information should be classified as proprietary:
(a)     The information reveals details of AREVA NP's research and development plans and programs or their results.
(b)     Use of the information by a competitor would permit the competitor to significantly reduce its expenditures, in time or resources, to design, produce, or market a similar product or service.
(c)   The information includes test data or analytical techniques concerning a process, methodology, or component, the application of which results in a competitive advantage for AREVA NP.
(d)   The information reveals certain distinguishing aspects of a process, methodology, or component, the exclusive use of which provides a competitive advantage for AREVA NP in product optimization or marketability.
(e)   The information is vital to a competitive advantage held by AREVA NP, would be helpful to competitors to AREVA NP, and would likely cause substantial harm to the competitive position of AREVA NP.
The information in the Document is considered proprietary for the reasons set forth in paragraphs 6(b), 6(d) and 6(e) above.
: 7.     In accordance with AREVA NP's policies governing the protection and control of information, proprietary information contained in this Document have been made available, on a limited basis, to others outside AREVA NP only as required and under suitable agreement providing for nondisclosure and limited use of the information.
: 8.     AREVA NP policy requires that proprietary information be kept in a secured file or area and distributed on a need-to-know basis.
: 9.     The foregoing statements are true and correct to the best of my knowledge, information, and belief.
7 SUBSCRIBED before me this           __
day of       "2012.                                                           K.
                                                                    .- ,-NOTA
                                                                      ¶~PUB L Susan K. McCoy                                                           ,,O,,,,0 NOTARY PUBLIC, STATE OF W             INGTON MY COMMISSION EXPIRES: 1/10/12
 
BSEP 12-0018 Enclosure 3 Non-Proprietary AREVA Operability            Version of titled "Operability Assessment Report Assessment          2011-8616, (CR #2011-8616)"
 
1707-01-F03 (Rev. 003, 09/08/2011)
1707-01-F03 (Rev. 003, 09/08/2011)
OPERABILITY ASSESSMENT (CR #2011-8616)
OPERABILITY ASSESSMENT (CR #2011-8616)
Line 52: Line 81:
== Description:==
== Description:==


CR2011-2274 identifies an issue with the approved ACE correlation for the ATRIUM T M 1 0XM* fuel design with regard to the calculation of K-factor within the ACE correlation.
CR2011-2274 identifies an issue with the approved ACE correlation for the ATRIUM TM 10XM* fuel design with regard to the calculation of K-factor within the ACE correlation. [
[I This issue was discussed with the USNRC during the review of a licensing amendment request to add the ATRIUM 1 0XM version of the ACE correlation to the list of approved COLR references in the Brunswick Technical Specifications.
I This issue was discussed with the USNRC during the review of a licensing amendment request to add the ATRIUM 1 0XM version of the ACE correlation to the list of approved COLR references in the Brunswick Technical Specifications. As part of the approval of the licensing amendment (Reference 1), the USNRC imposed the following license condition:
As part of the approval of the licensing amendment (Reference 1), the USNRC imposed the following license condition:
Safety Limit Minimum CriticalPower Ratio (SLMCPR), setpoint, and core operatinglimit values determined using the ANP-10298PA, ACE/ATRIUM IOXM Critical Power Correlation(i.e., TS 5.6.5.b.21), shall be evaluated with methods describedin AREVA OperabilityAssessment CR 2011-2274, Revision I to verify the values determined using the NRC-approved method remain applicable and the core operating limits include margin sufficient to bound the effects of the K-factor calculation issue describedin AREVA OperabilityAssessment CR 2011-2274, Revision
Safety Limit Minimum Critical Power Ratio (SLMCPR), setpoint, and core operating limit values determined using the ANP-10298PA, ACE/ATRIUM IOXM Critical Power Correlation (i.e., TS 5.6.5.b.21), shall be evaluated with methods described in AREVA Operability Assessment CR 2011-2274, Revision I to verify the values determined using the NRC-approved method remain applicable and the core operating limits include margin sufficient to bound the effects of the K-factor calculation issue described in AREVA Operability Assessment CR 2011-2274, Revision 1. The results of the evaluation shall be documented and submitted to the NRC, for review, at least 60 days prior to startup of each operating cycle.This is the operability assessment for Brunswick Unit 1 Cycle 19 and as such addresses impacts on information provided in Reference 2.
: 1. The results of the evaluation shall be documented and submitted to the NRC, for review, at least 60 days priorto startup of each operating cycle.
This is the operability assessment for Brunswick Unit 1 Cycle 19 and as such addresses impacts on information provided in Reference 2.


==References:==
==References:==
: 1. Brunswick Steam Electric Plant, Units I and 2 -Issuance of Amendments regarding Addition of Analytical Methodology Topical Report to Technical Specification 5.6.5 (TAC Nos. ME3856 and ME3857), MLS No. 111010234, April 8, 2011.2. ANP-3061 (P) Revision 0, Brunswick Unit I Cycle 19 Reload Safety Analysis, AREVA NP, December 2011.Affected Projects Customer, Reload or Customer Reactor (if applicable)
: 1.       Brunswick Steam Electric Plant, Units I and 2 - Issuance of Amendments regardingAddition of Analytical Methodology Topical Report to Technical Specification 5.6.5 (TAC Nos. ME3856 and ME3857), MLS No. 111010234, April 8, 2011.
Project Identifier BRK1-19 Progress Energy Brunswick Unit 1 I I* I I I* ATRIUM is a trademark of AREVA NP.Ref: 1707-01 Page 1 of 10 AREVA NP Inc.
: 2.       ANP-3061 (P) Revision 0, Brunswick Unit I Cycle 19 Reload Safety Analysis, AREVA NP, December 2011.
Affected Projects Customer, Reload or           Customer                               Reactor (if applicable)
Project Identifier BRK1-19                       Progress Energy                       Brunswick Unit 1 I                                     I
* I I                                     I
* ATRIUM is a trademark of AREVA NP.
Ref: 1707-01                                                                                                 Page 1 of 10 AREVA NP Inc.
 
1707-01-F03 (Rev. 003, 09/08/2011)
1707-01-F03 (Rev. 003, 09/08/2011)
Assessment:
Assessment:
The USNRC approved ACE correlation was used in Cycle 19 core design and licensing analyses and will be used in the POWERPLEX-Ill core monitoring system to ensure Technical Specifications compliance of the fuel operating limits during operation.
The USNRC approved ACE correlation was used in Cycle 19 core design and licensing analyses and will be used in the POWERPLEX-Ill core monitoring system to ensure Technical Specifications compliance of the fuel operating limits during operation. This assessment addresses the licensing and subsequent monitoring of the Cycle 19 core in regard to the potential impacts of the ACE correlation issue described above.
This assessment addresses the licensing and subsequent monitoring of the Cycle 19 core in regard to the potential impacts of the ACE correlation issue described above.[]These are the same methods previously utilized in the Operability Assessment CR2011-2274 Revision 1 and their use is therefore consistent with the license condition imposed by Reference 1.Methods Used for Operability Evaluation In the licensed methodology, a K-factor is determined by [I An evaluation version of the ACE correlation was constructed in which the K-factor [I Justification of the Evaluation Tool[Ref: 1707-01 Ap-I\/A MD In,-Page 2 of 10 1707-01-F03 (Rev. 003, 09/08/2011)
[]
Monitoring During Cycle 19 Operation The Brunswick Unit 1 Cycle 19 core is composed of the following fuel types: Fuel Design No. Bundles CPR Correlation Fresh ATRIUM 1OXM 234 ACE (10XM)Once-Burnt ATRIUM-10 242 SPCB Twice-Burnt ATRIUM-10 84 SPCB As noted earlier, the concern identified in the condition reports affects the K-factor calculation within the ACE correlation.
These are the same methods previously utilized in the Operability Assessment CR2011-2274 Revision 1 and their use is therefore consistent with the license condition imposed by Reference 1.
This only affects the ATRIUM 1OXM fuel in the Cycle 19 core since the co-resident ATRIUM-10 fuel utilizes a different CPR correlation.
Methods Used for Operability Evaluation In the licensed methodology, a K-factor is determined by [
I An evaluation version of the ACE correlation was constructed in which the K-factor [
I Justification of the Evaluation Tool
[
Ref: 1707-01                                                                                           Page 2 of 10 Ap-I\/A MD In,-
 
1707-01-F03 (Rev. 003, 09/08/2011)
Monitoring During Cycle 19 Operation The Brunswick Unit 1 Cycle 19 core is composed of the following fuel types:
Fuel Design         No. Bundles     CPR Correlation Fresh         ATRIUM 1OXM               234           ACE (10XM)
Once-Burnt         ATRIUM-10               242               SPCB Twice-Burnt         ATRIUM-10                 84               SPCB As noted earlier, the concern identified in the condition reports affects the K-factor calculation within the ACE correlation. This only affects the ATRIUM 1OXM fuel in the Cycle 19 core since the co-resident ATRIUM-10 fuel utilizes a different CPR correlation.
Once Cycle 19 begins operation, compliance to the operating limits will be performed using the POWERPLEX-Ill core monitoring system which contains the approved version of the ACE correlation.
Once Cycle 19 begins operation, compliance to the operating limits will be performed using the POWERPLEX-Ill core monitoring system which contains the approved version of the ACE correlation.
The nominal design step-thcough depletion was recalculated with the modified version [] of the ACE correlation in order to evaluate potential non-conservatisms in monitoring during Cycle 19 operation.
The nominal design step-thcough depletion was recalculated with the modified version [
Ref: 1707-01 Page 3 of 10 ADMIA KD ID ,-
                ] of the ACE correlation in order to evaluate potential non-conservatisms in monitoring during Cycle 19 operation.
1707-01-F03 (Rev. 003, 09/08/2011)
Ref: 1707-01                                                                                             Page 3 of 10 ADMIA KD ID ,-
Figure 1 shows that there is no significant non-conservative impact to the limiting CPR margin throughout I Figure 1 Impact on Core Limiting MFLCPR during Cycle 19 Figure 1 shows that there is no significant non-conservative impact to the limiting CPR margin throughout most of the cycle. [Figure 2 Change in ATRIUM 1OXM CPR at Rated Conditions It is also useful to quantify the impact of the modified correlation on the calculated CPR for the ATRIUM 1 OXM fuel design (on an absolute AMCPR basis). For the same rated power cases, the maximum change in the calculated CPR was determined to be [ ], as shown in Figure 2. [I This evaluation was then expanded to look at a number of off-rated cases to determine if the rated power AMCPR results are representative for operation at reduced power conditions.
 
The off-rated cases were performed for a subset of the cycle exposure points presented in Figure 2. The results of this evaluation are Ref: 1707-01 ADrI-\A kID It-Page 4 of 10 1707-01 -F03 (Rev. 003, 09/08/2011) summarized in Figure 3.The primary results of this off-rated evaluation include: I I Figure 3 Change in ATRIUM 1OXM CPR at Rated and Off-Rated Conditions The off-rated evaluation described above was performed for power levels at and above [Ref: 1707-01 ADO\A KID In," Page 5 of 10 1707-01 -F03 (Rev. 003, 09/08/2011)
1707-01-F03 (Rev. 003, 09/08/2011) throughout CPR margin the limiting impact to non-conservative no significant that there is shows Figure 1 I
I I Impact on the Safety Limit MCPR (SLMCPR)For Cycle 19, the limiting conditions for SLMCPR are [A As mentioned previously, the K-factor issue only affects Cycle 19 exposures
Figure 1 Impact on Core Limiting MFLCPR during Cycle 19 Figure 1 shows that there is no significant non-conservative impact to the limiting CPR margin throughout most of the cycle. [
[] Therefore, these margins are expected to more than compensate for the change in] in the SLMCPR analysis.the K-factor [It should be noted MCPR is monitored relative to the OLMCPR and not directly to the SLMCPR. Therefore, there is no need in this SLMCPR evaluation to []Impact on CPR Operatingq Limits (OLMCPR)The licensing analyses result in OLMCPRs that are a combination of power-dependent (MCPRp) and flow-dependent (MCPRf) limits. These are calculated from a series of quasi-steady-state and transient pressurization analyses.
Figure 2 Change in ATRIUM 1OXM CPR at Rated Conditions It is also useful to quantify the impact of the modified correlation on the calculated CPR for the ATRIUM 1OXM fuel design (on an absolute AMCPR basis). For the same rated power cases, the maximum change in the calculated CPR was determined to be [                       ], as shown in Figure 2. [
The quasi-steady-state events that have the potential to contribute to the MCPRP limits are the Control Rod Withdrawal Error (CRWE) and the Loss of Feedwater Heating (LFWH).The MCPRf limits are based on the quasi-steady-state flow run-up analysis.
I This evaluation was then expanded to look at a number of off-rated cases to determine if the rated power AMCPR results are representative for operation at reduced power conditions. The off-rated cases were performed for a subset of the cycle exposure points presented in Figure 2. The results of this evaluation are Ref: 1707-01                                                                                                 Page 4 of 10 ADrI-\A kID It-
[Ref: 1707-01 APPI\A KID I-.Page 6 of 10 1707-01-F03 (Rev. 003, 09108/2011)
 
The Cycle 19 flow run-up results were reviewed to determine the margin to the MCPRf limits presented in Reference
1707-01 -F03 (Rev. 003, 09/08/2011) summarized in Figure 3.
: 2. These results show that for MCPRf limits above 1.39 (the lowest rated power MCPR limit), the margin to the limit is more than enough to compensate for the K-factor [ ] in setting the MCPRf limits and the steady-state CPR monitoring concern.The MCPRp limits are a combination of the results from the pressurization analyses, CRWE, and potentially LFWH.Pressurization Transient Impacts. This K-factor issue [] the later cycle pressurization transient analysis results are not significantly affected by this K-factor issue. This was verified with analyses using the modified version of the ACE correlation.
The primary results of this off-rated evaluation include:
Pressurization transient analyses are also performed
I I
[] The results of these analyses show that in all cases (including the equipment out of service scenarios) the change in ACPR was such that there remains sufficient margin to the MCPRp limits. The margin is also large enough to account for the MCPR monitoring concern discussed above.CRWE Impacts. CRWE analyses have been performed using both the as-approved version of the ACE correlation
Figure 3 Change in ATRIUM 1OXM CPR at Rated and Off-Rated Conditions The off-rated evaluation described above was performed for power levels at and above [
[For the 108% HTSP selected for Cycle 19 operation, MCPRP curve meets or exceeds the [as shown below:]the minimum margin to the ATRIUM 1OXM] at all power levels, 100%P 85%P 65%P 40%P ATRIUM 1OXM MCPRP OLMCPRCRWE
Ref: 1707-01                                                                                         Page 5 of 10 ADO\A KID In,"
[Margin to MCPRP [1.39 1.425*1.64 1.951* Table 8.1, Ref. 2] [] [IL Jr)I[I IL[I* Values obtained by interpolation The RBM operability requirements specified in Table 5.11 of Reference 2 are valid for both the as-approved and modified version of the ACE correlation.
 
LFWH Impacts. The LFWH event is non-limiting with significant margin to the Cycle 19 MCPRP limits.This was confirmed for Cycle 19 with the performance of cycle-specific calculations using the modified ACE correlation.
1707-01 -F03 (Rev. 003, 09/08/2011)
This calculation verified that the generic LFWH methodology continues to bound the cycle specific results including the impact of the ACE K-factor [ ] .Adequate margin Ref: 1707-01 AD=\IA MKD I.,,-Page 7 of 10 1707-01-F03 (Rev. 003, 09/08/2011) exists at all power levels to offset the potential monitoring impact of the K-factor [Summary of MCPRp impacts: The Reference 2 MCPRf and MCPRp limits have sufficient margin to account for the K-factor [ ] on the Cycle 19 quasi-steady-state and pressurization transient analysis results and the POWERPLEX-III core monitoring system used to verify compliance to these limits.Impact on Instrumentation Setpoints The licensing analyses for Cycle 19 support CPR-based instrumentation setpoints for both the Rod Block Monitor (RBM) and for the Oscillation Power Range Monitor (OPRM).The RBM setpoints are based upon the CRWE event which in turn has been analyzed based on the analytical high power trip setpoints listed in Table 5.10 of Reference
I I
: 2. Since it was confirmed that the MCPRP limits continue to bound the CRWE ACPR results, the use of the Table 5.10 setpoints continues to be supported for Cycle 19 operation.
Impact on the Safety Limit MCPR (SLMCPR)
The OPRM setpoints are based upon a combination of the cycle-specific DIVOM (Delta over Initial CPR Versus Oscillation Magnitude), the plant-specific HCOM (Hot Channel Oscillation Magnitude), and cycle-specific 2PT (2 recirculation pump trip) results. The cycle-specific DIVOM and 2PT results are the two components of this calculation that are potentially impacted by a CPR correlation error. Two sets of operating limits are reported for each OPRM setpoint, OLMCPR(SS) and OLMCPR(2PT).
For Cycle 19, the limiting conditions for SLMCPR are [
The DIVOM can impact both OLMCPRs and the 2PT results can only impact the OLMCPR(2PT) results.DIVOM Impacts: The discussion in the DIVOM approved topical report (BAW-10255PA Revision 2)indicates that the DIVOM analysis is [] Therefore, there is no DIVOM impact on the OLMCPR(SS) and OLMCPR(2PT) results.2PT Impacts: The recirculation pump trip cases provide a ratio of the CPR before and after the 2PT trip. An increase in this ratio will result in an increase in the required MCPR prior to the pump trip, that is OLMCPR(2PT).
A As mentioned previously, the K-factor issue only affects Cycle 19 exposures [
This evaluation considers both the impact on the selection of the OPRM setpoint and on whether operation with the selected setpoint retains adequate CPR margin to compensate for monitoring the core with the unmodified ACE correlation.
                        ] Therefore, these margins are expected to more than compensate for the change in the K-factor [                    ] in the SLMCPR analysis.
The OLMCPR(SS) and OLMCPR(2PT) values provided in Table 4.3 of Reference 2 []. The use of these setpoints remains supported with the unmodified ACE correlation in the POWERPLEX-Ill core monitoring system.Impact on Fuel Loadinq Error (FLE)The FLE (misorientation and mislocation) is an infrequent event that is analyzed to assure the off-site dose criteria defined in Section 15.4.7 of NUREG-0800 is not exceeded.
It should be noted MCPR is monitored relative to the OLMCPR and not directly to the SLMCPR. Therefore, there is no need in this SLMCPR evaluation to [
[Ref: 1707-01 Page 8 of 10 ADIIIA KID I-1707-01 -F03 (Rev. 003, 09/08/2011)
                                                                      ]
Impact on Loss-of-Coolant Accident (LOCA)The MCPR of [ ] associated with the Brunswick ATRIUM 1OXM LOCA analysis is based [1. The lowest rated power MCPR operating limit for Cycle 19 is 1.39, which is [ ] higher than the MCPR used in the Brunswick ATRIUM 1OXM LOCA analysis.
Impact on CPR Operatingq Limits (OLMCPR)
The impact on the monitored MCPR due to the K-factor I ] is less than [ ] .Therefore, the results of the Brunswick ATRIUM 1 OXM LOCA analysis remain applicable for Brunswick Unit 1 Cycle 19.Conclusion This evaluation used a combination of calculations and first principal arguments to address the impacts of the ACE correlation concern on planned Brunswick Unit 1 Cycle 19 licensing and operation.
The licensing analyses result in OLMCPRs that are a combination of power-dependent (MCPRp) and flow-dependent (MCPRf) limits. These are calculated from a series of quasi-steady-state and transient pressurization analyses. The quasi-steady-state events that have the potential to contribute to the MCPRP limits are the Control Rod Withdrawal Error (CRWE) and the Loss of Feedwater Heating (LFWH).
The calculations were performed using the modified version of the ACE correlation, [I.The only fuel in the Cycle 19 core that is impacted by the ACE K-factor [ ] is the fresh ATRIUM 1OXM fuel type. The co-resident ATRIUM-10 fuel design is licensed and will be monitored with the SPCB correlation and is therefore not impacted.This operability assessment has evaluated the potential impact on all CPR related limits or analyses associated with the limits reported in the Reference 2 Reload Safety Analysis report. This evaluation has determined the SLMCPR and corresponding MCPR operating limits remain applicable to Brunswick Unit 1 Cycle 19 operation.
The MCPRf limits are based on the quasi-steady-state flow run-up analysis. [
The potential impact on the core monitoring system was conservatively addressed and was also found to be bounded by available margins to both the MCPRP and MCPRf values.The MCPRP limits were set based in part upon the use of the 108% RBM setpoint and this remains supported with the current MCPRP values. The RBM operability limits were also confirmed to remain applicable for Cycle 19 operation.
Ref: 1707-01                                                                                           Page 6 of 10 APPI\A KID I-.
 
1707-01-F03 (Rev. 003, 09108/2011)
The Cycle 19 flow run-up results were reviewed to determine the margin to the MCPRf limits presented in Reference 2. These results show that for MCPRf limits above 1.39 (the lowest rated power MCPR limit), the margin to the limit is more than enough to compensate for the K-factor [                           ] in setting the MCPRf limits and the steady-state CPR monitoring concern.
The MCPRp limits are a combination of the results from the pressurization analyses, CRWE, and potentially LFWH.
PressurizationTransient Impacts. This K-factor issue [
                          ] the later cycle pressurization transient analysis results are not significantly affected by this K-factor issue. This was verified with analyses using the modified version of the ACE correlation.
Pressurization transient analyses are also performed [
                                                                                                  ] The results of these analyses show that in all cases (including the equipment out of service scenarios) the change in ACPR was such that there remains sufficient margin to the MCPRp limits. The margin is also large enough to account for the MCPR monitoring concern discussed above.
CRWE Impacts. CRWE analyses have been performed using both the as-approved version of the ACE correlation [
                                                                                                                    ]
For the 108% HTSP selected for Cycle 19 operation, the minimum margin to the ATRIUM 1OXM MCPRP curve meets or exceeds the [                                                       ] at all power levels, as shown below:
100%P         85%P     65%P       40%P ATRIUM 1OXM MCPRP             1.39        1.425*       1.64     1.951*   Table 8.1, Ref. 2 OLMCPRCRWE        [       ]   [       IL                     I
                                                                          )I[
Margin to MCPRP        [      ]  [        Jr                    IL[                 I
* Values obtained by interpolation The RBM operability requirements specified in Table 5.11 of Reference 2 are valid for both the as-approved and modified version of the ACE correlation.
LFWH Impacts. The LFWH event is non-limiting with significant margin to the Cycle 19 MCPRP limits.
This was confirmed for Cycle 19 with the performance of cycle-specific calculations using the modified ACE correlation. This calculation verified that the generic LFWH methodology continues to bound the cycle specific results including the impact of the ACE K-factor [                     ] . Adequate margin Ref: 1707-01                                                                                                 Page 7 of 10 AD=\IA MKD I.,,-
 
1707-01-F03 (Rev. 003, 09/08/2011) exists at all power levels to offset the potential monitoring impact of the K-factor [
Summary of MCPRp impacts: The Reference 2 MCPRf and MCPRp limits have sufficient margin to account for the K-factor [                         ] on the Cycle 19 quasi-steady-state and pressurization transient analysis results and the POWERPLEX-III core monitoring system used to verify compliance to these limits.
Impact on Instrumentation Setpoints The licensing analyses for Cycle 19 support CPR-based instrumentation setpoints for both the Rod Block Monitor (RBM) and for the Oscillation Power Range Monitor (OPRM).
The RBM setpoints are based upon the CRWE event which in turn has been analyzed based on the analytical high power trip setpoints listed in Table 5.10 of Reference 2. Since it was confirmed that the MCPRP limits continue to bound the CRWE ACPR results, the use of the Table 5.10 setpoints continues to be supported for Cycle 19 operation.
The OPRM setpoints are based upon a combination of the cycle-specific DIVOM (Delta over Initial CPR Versus Oscillation Magnitude), the plant-specific HCOM (Hot Channel Oscillation Magnitude), and cycle-specific 2PT (2 recirculation pump trip) results. The cycle-specific DIVOM and 2PT results are the two components of this calculation that are potentially impacted by a CPR correlation error. Two sets of operating limits are reported for each OPRM setpoint, OLMCPR(SS) and OLMCPR(2PT). The DIVOM can impact both OLMCPRs and the 2PT results can only impact the OLMCPR(2PT) results.
DIVOM Impacts: The discussion in the DIVOM approved topical report (BAW-10255PA Revision 2) indicates that the DIVOM analysis is [
                                                                      ] Therefore, there is no DIVOM impact on the OLMCPR(SS) and OLMCPR(2PT) results.
2PT Impacts: The recirculation pump trip cases provide a ratio of the CPR before and after the 2PT trip. An increase in this ratio will result in an increase in the required MCPR prior to the pump trip, that is OLMCPR(2PT). This evaluation considers both the impact on the selection of the OPRM setpoint and on whether operation with the selected setpoint retains adequate CPR margin to compensate for monitoring the core with the unmodified ACE correlation.
The OLMCPR(SS) and OLMCPR(2PT) values provided in Table 4.3 of Reference 2 [
                                                                                                      ]. The use of these setpoints remains supported with the unmodified ACE correlation in the POWERPLEX-Ill core monitoring system.
Impact on Fuel Loadinq Error (FLE)
The FLE (misorientation and mislocation) is an infrequent event that is analyzed to assure the off-site dose criteria defined in Section 15.4.7 of NUREG-0800 is not exceeded. [
Ref: 1707-01                                                                                                 Page 8 of 10 ADIIIA KID I-
 
1707-01 -F03 (Rev. 003, 09/08/2011)
Impact on Loss-of-Coolant Accident (LOCA)
The MCPR of [             ] associated with the Brunswick ATRIUM 1OXM LOCA analysis is based [
: 1. The lowest rated power MCPR operating limit for Cycle 19 is 1.39, which is [             ] higher than the MCPR used in the Brunswick ATRIUM 1OXM LOCA analysis. The impact on the monitored MCPR due to the K-factor I                       ] is less than [   ] . Therefore, the results of the Brunswick ATRIUM 1OXM LOCA   analysis   remain   applicable for Brunswick Unit 1 Cycle 19.
Conclusion This evaluation used a combination of calculations and first principal arguments to address the impacts of the ACE correlation concern on planned Brunswick Unit 1 Cycle 19 licensing and operation. The calculations were performed using the modified version of the ACE correlation, [
I.
The only fuel in the Cycle 19 core that is impacted by the ACE K-factor [                             ] is the fresh ATRIUM 1OXM fuel type. The co-resident ATRIUM-10 fuel design is licensed and will be monitored with the SPCB correlation and is therefore not impacted.
This operability assessment has evaluated the potential impact on all CPR related limits or analyses associated with the limits reported in the Reference 2 Reload Safety Analysis report. This evaluation has determined the SLMCPR and corresponding MCPR operating limits remain applicable to Brunswick Unit 1 Cycle 19 operation. The potential impact on the core monitoring system was conservatively addressed and was also found to be bounded by available margins to both the MCPRP and MCPRf values.
The MCPRP limits were set based in part upon the use of the 108% RBM setpoint and this remains supported with the current MCPRP values. The RBM operability limits were also confirmed to remain applicable for Cycle 19 operation.
The OPRM setpoints were evaluated using the modified ACE correlation and confirmed to remain applicable for Cycle 19 operation.
The OPRM setpoints were evaluated using the modified ACE correlation and confirmed to remain applicable for Cycle 19 operation.
The fuel loading error infrequent event was evaluated and it was confirmed that the required offsite dose criteria continues to be met.There is no impact on the LOCA analysis.In conclusion, no changes are required in the operating limits or instrument setpoints supplied in the Reference 2 Reload Safety Analysis report. These limits may continue to be used to support operation and monitoring with the current POWERPLEX-III core monitoring system.Ref: 1707-01 Page 9 of 10 ADMI\A Kd InD,'
The fuel loading error infrequent event was evaluated and it was confirmed that the required offsite dose criteria continues to be met.
There is no impact on the LOCA analysis.
In conclusion, no changes are required in the operating limits or instrument setpoints supplied in the Reference 2 Reload Safety Analysis report. These limits may continue to be used to support operation and monitoring with the current POWERPLEX-III core monitoring system.
Ref: 1707-01                                                                                                     Page 9 of 10 ADMI\A   Kd InD,'
 
1707-01-F03 (Rev. 003, 09/08/2011)
1707-01-F03 (Rev. 003, 09/08/2011)
APPROVALS:
APPROVALS:
Approved:                                                                Date:
Issue Evaluator - E. E. Riley (Neutronic Design and Analysis)
Approved:
Approved:
Date: Issue Evaluator
* c,,,A       br,               -                         Date:
-E. E. Riley (Neutronic Design and Analysis)Approved: c,,,A br, -Date: Issue Evaluator  
Issue Evaluator - D. G. Carr (T/H Applications)
-D. G. Carr (T/H Applications)
Approved:                                                                 Date:
Approved:
Peer Review - S. W. Evans (Neutronic Design and Analysis)
Date: Peer Review -S. W. Evans (Neutronic Design and Analysis)Approved:
Approved:                                                                 Date:   /
Date: /Peer Review -D. R. Tinkler (T/H Applications)
Peer Review - D. R. Tinkler (T/H Applications)
Approved:  
Approved:     ,<       7  1z       4
,< 7  1z _9&#xfd;-- 4 Date: j-.-6 /, Peer Review -M. T. Bunker (T/H Codes and Methods)Approved:
_9&#xfd;--                                     Date:   j-.-6         /,
Date: Issue Owner -E. E. Riley (Neutronic Design and Analysis)Ref: 1707-01 AREVA NP Inc.Page 10 of 10}}
Peer Review - M. T. Bunker (T/H Codes and Methods)
Approved:                                                                 Date:
Issue Owner - E. E. Riley (Neutronic Design and Analysis)
Ref: 1707-01                                                                                           Page 10 of 10 AREVA NP Inc.}}

Latest revision as of 09:38, 12 November 2019

Submittal of Confirmatory Evaluation for Cycle 19
ML12039A150
Person / Time
Site: Brunswick Duke Energy icon.png
Issue date: 01/26/2012
From: Pope A
Progress Energy Carolinas
To:
Document Control Desk, Office of Nuclear Reactor Regulation
References
BSEP 12-0018, TAC ME3856, TAC ME3857
Download: ML12039A150 (18)


Text

Letter Enclosure Contains Proprietary Information Withhold in Accordance with 10 CFR 2.390 SProgress Energy JANW2 6 2012 SERIAL: BSEP 12-0018 U. S. Nuclear Regulatory Commission ATTN: Document Control Desk Washington, DC 20555-0001

Subject:

Brunswick Steam Electric Plant, Unit No. 1 Renewed Facility Operating License No. DPR-71 Docket No. 50-325 Submittal of Confirmatory Evaluation for Unit 1 Cycle 19

Reference:

Letter from Farideh E. Saba (NRC) to Michael J. Annacone (CP&L),

"Brunswick Steam Electric Plant, Units 1 and 2 - Issuance of Amendments Regarding Addition of Analytical Methodology Topical Report to Technical Specification 5.6.5 (TAC Nos. ME3856 and ME3857)," dated April 8,2011, ADAMS Accession Number ML111010234 Ladies and Gentlemen:

On April 8, 2011, the U.S. Nuclear Regulatory Commission issued Amendment Nos. 257 and 285 to the Renewed Facility Operating Licenses for the Brunswick Steam Electric Plant (BSEP), Units 1 and 2, respectively. The amendments changed the BSEP, Unit I and 2 Technical Specifications to support transition to ATRIUM I OXM fuel and associated core design methodologies. In conjunction with issuance of these amendments, the following license condition was included in Appendix B, "Additional Conditions," of the Operating Licenses for BSEP, Units 1 and 2:

Safety Limit Minimum Critical Power Ratio (SLMCPR), setpoint, and core operating limit values determined using the ANP-10298PA, ACE/ATRIUM 1OXM Critical Power Correlation (i.e., TS 5.6.5.b.21), shall be evaluated with methods described in AREVA Operability Assessment CR 2011-2274, Revision I to verify the values determined using the NRC-approved method remain applicable and the core operating limits include margin sufficient to bound the effects of the K-factor calculation issue described in AREVA Operability Assessment CR 2011-2274, Revision 1. The results of the evaluation shall be documented and submitted to the NRC, for review, at least 60 days prior to startup of each operating cycle.

The results of the evaluation specified by the license condition are documented in an AREVA Operability Assessment Report 2011-8616, titled "Operability Assessment (CR #2011-8616)," acopy of which is provided in Enclosure 1. Based on a currently scheduled startup date of April 6, 2012, for the upcoming Unit 1 Cycle 19 refueling outage, submittal of these Unit 1 evaluation results is required by February 6, 2012.

Progress Energy Carolinas, Inc.

Brunswick Nuclear Plant P.O. Box 10429 Southport, NC 28461

Document Control Desk BSEP 12-0018 / Page 2 This Operability Assessment Report contains information that AREVA considers proprietary, as defined by 10 CFR 2.390. AREVA, as the owner of that proprietary information, has executed the affidavit provided in Enclosure 2 and stated that the identified proprietary information has been handled and classified as proprietary, is customarily held in confidence, and has been withheld from public disclosure. AREVA requests that the identified proprietary information be withheld from public disclosure in accordance with the provisions of 10 CFR 2.390. A non-proprietary version of the AREVA Operability Assessment Report CR #2011-8616 is provided in Enclosure 3.

No regulatory commitments are contained in this letter. Please refer any questions regarding this submittal to Mr. Lee Grzeck, Acting Supervisor - Licensing/Regulatory Programs, at (910) 457-2487.

Sincerely, A ette H.Pope Manager - Support Services Brunswick Steam Electric Plant WRM/wrm

Enclosures:

1. AREVA Operability Assessment Report 2011-8616, titled "Operability Assessment (CR #2011-8616)" (Proprietary Information - Withhold from Public Disclosure in Accordance With 10 CFR 2.390)
2. AREVA Affidavit Regarding Withholding "Operability Assessment (CR #2011-8616)"
3. Non-Proprietary Version of AREVA Operability Assessment Report 2011-8616, titled "Operability Assessment (CR #2011-8616)"

Document Control Desk BSEP 12-0018 / Page 3 cc (with Enclosures 1, 2, and 3):

U. S. Nuclear Regulatory Commission, Region II ATTN: Mr. Victor M. McCree, Regional Administrator 245 Peachtree Center Ave, NE, Suite 1200 Atlanta, GA 30303-1257 U. S. Nuclear Regulatory Commission ATTN: Mr. Philip B. O'Bryan, NRC Senior Resident Inspector 8470 River Road Southport, NC 28461-8869 U. S. Nuclear Regulatory Commission (Electronic Copy Only)

ATTN: Mrs. Farideh E. Saba (Mail Stop OWFN 8G9A) 11555 Rockville Pike Rockville, MD 20852-2738 cc (with Enclosures 2 and 3):

Chair - North Carolina Utilities Commission P.O. Box 29510 Raleigh, NC 27626-0510

BSEP 12-0018 Enclosure 2 AREVA Affidavit Regarding Withholding "Operability Assessment (CR #2011-8616)"

AFFIDAVIT STATE OF WASHINGTON )

) ss.

COUNTY OF BENTON )

1. My name is Alan B. Meginnis. I am Manager, Product Licensing, for AREVA NP Inc. and as such I am authorized to execute this Affidavit.
2. I am familiar with the criteria applied by AREVA NP to determine whether certain AREVA NP information is proprietary. I am familiar with the policies established by AREVA NP to ensure the proper application of these criteria.
3. I am familiar with the AREVA NP information contained in the Operability Assessment for Condition Report 2011-8616, entitled, "Operability Assessment (CR #2011-8616)," and referred to herein as "Document." Information contained in this Document has been classified by AREVA NP as proprietary in accordance with the policies established by AREVA NP for the control and protection of proprietary and confidential information.
4. This Document contains information of a proprietary and confidential nature and is of the type customarily held in confidence by AREVA NP and not made available to the public. Based on my experience, I am aware that other companies regard information of the kind contained in this Document as proprietary and confidential.,
5. This Document has been made available to the U.S. Nuclear Regulatory Commission in confidence with the request that the information contained in this Document be withheld from public disclosure. The request for withholding of proprietary information is made in accordance with 10 CFR 2.390. The information for which withholding from disclosure is

requested qualifies under 10 CFR 2.390(a)(4) "Trade secrets and commercial or financial information."

6. The following criteria are customarily applied by AREVA NP to determine whether information should be classified as proprietary:

(a) The information reveals details of AREVA NP's research and development plans and programs or their results.

(b) Use of the information by a competitor would permit the competitor to significantly reduce its expenditures, in time or resources, to design, produce, or market a similar product or service.

(c) The information includes test data or analytical techniques concerning a process, methodology, or component, the application of which results in a competitive advantage for AREVA NP.

(d) The information reveals certain distinguishing aspects of a process, methodology, or component, the exclusive use of which provides a competitive advantage for AREVA NP in product optimization or marketability.

(e) The information is vital to a competitive advantage held by AREVA NP, would be helpful to competitors to AREVA NP, and would likely cause substantial harm to the competitive position of AREVA NP.

The information in the Document is considered proprietary for the reasons set forth in paragraphs 6(b), 6(d) and 6(e) above.

7. In accordance with AREVA NP's policies governing the protection and control of information, proprietary information contained in this Document have been made available, on a limited basis, to others outside AREVA NP only as required and under suitable agreement providing for nondisclosure and limited use of the information.
8. AREVA NP policy requires that proprietary information be kept in a secured file or area and distributed on a need-to-know basis.
9. The foregoing statements are true and correct to the best of my knowledge, information, and belief.

7 SUBSCRIBED before me this __

day of "2012. K.

.- ,-NOTA

¶~PUB L Susan K. McCoy ,,O,,,,0 NOTARY PUBLIC, STATE OF W INGTON MY COMMISSION EXPIRES: 1/10/12

BSEP 12-0018 Enclosure 3 Non-Proprietary AREVA Operability Version of titled "Operability Assessment Report Assessment 2011-8616, (CR #2011-8616)"

1707-01-F03 (Rev. 003, 09/08/2011)

OPERABILITY ASSESSMENT (CR #2011-8616)

AREVA Issue

Description:

CR2011-2274 identifies an issue with the approved ACE correlation for the ATRIUM TM 10XM* fuel design with regard to the calculation of K-factor within the ACE correlation. [

I This issue was discussed with the USNRC during the review of a licensing amendment request to add the ATRIUM 1 0XM version of the ACE correlation to the list of approved COLR references in the Brunswick Technical Specifications. As part of the approval of the licensing amendment (Reference 1), the USNRC imposed the following license condition:

Safety Limit Minimum CriticalPower Ratio (SLMCPR), setpoint, and core operatinglimit values determined using the ANP-10298PA, ACE/ATRIUM IOXM Critical Power Correlation(i.e., TS 5.6.5.b.21), shall be evaluated with methods describedin AREVA OperabilityAssessment CR 2011-2274, Revision I to verify the values determined using the NRC-approved method remain applicable and the core operating limits include margin sufficient to bound the effects of the K-factor calculation issue describedin AREVA OperabilityAssessment CR 2011-2274, Revision

1. The results of the evaluation shall be documented and submitted to the NRC, for review, at least 60 days priorto startup of each operating cycle.

This is the operability assessment for Brunswick Unit 1 Cycle 19 and as such addresses impacts on information provided in Reference 2.

References:

1. Brunswick Steam Electric Plant, Units I and 2 - Issuance of Amendments regardingAddition of Analytical Methodology Topical Report to Technical Specification 5.6.5 (TAC Nos. ME3856 and ME3857), MLS No. 111010234, April 8, 2011.
2. ANP-3061 (P) Revision 0, Brunswick Unit I Cycle 19 Reload Safety Analysis, AREVA NP, December 2011.

Affected Projects Customer, Reload or Customer Reactor (if applicable)

Project Identifier BRK1-19 Progress Energy Brunswick Unit 1 I I

  • I I I
  • ATRIUM is a trademark of AREVA NP.

Ref: 1707-01 Page 1 of 10 AREVA NP Inc.

1707-01-F03 (Rev. 003, 09/08/2011)

Assessment:

The USNRC approved ACE correlation was used in Cycle 19 core design and licensing analyses and will be used in the POWERPLEX-Ill core monitoring system to ensure Technical Specifications compliance of the fuel operating limits during operation. This assessment addresses the licensing and subsequent monitoring of the Cycle 19 core in regard to the potential impacts of the ACE correlation issue described above.

[]

These are the same methods previously utilized in the Operability Assessment CR2011-2274 Revision 1 and their use is therefore consistent with the license condition imposed by Reference 1.

Methods Used for Operability Evaluation In the licensed methodology, a K-factor is determined by [

I An evaluation version of the ACE correlation was constructed in which the K-factor [

I Justification of the Evaluation Tool

[

Ref: 1707-01 Page 2 of 10 Ap-I\/A MD In,-

1707-01-F03 (Rev. 003, 09/08/2011)

Monitoring During Cycle 19 Operation The Brunswick Unit 1 Cycle 19 core is composed of the following fuel types:

Fuel Design No. Bundles CPR Correlation Fresh ATRIUM 1OXM 234 ACE (10XM)

Once-Burnt ATRIUM-10 242 SPCB Twice-Burnt ATRIUM-10 84 SPCB As noted earlier, the concern identified in the condition reports affects the K-factor calculation within the ACE correlation. This only affects the ATRIUM 1OXM fuel in the Cycle 19 core since the co-resident ATRIUM-10 fuel utilizes a different CPR correlation.

Once Cycle 19 begins operation, compliance to the operating limits will be performed using the POWERPLEX-Ill core monitoring system which contains the approved version of the ACE correlation.

The nominal design step-thcough depletion was recalculated with the modified version [

] of the ACE correlation in order to evaluate potential non-conservatisms in monitoring during Cycle 19 operation.

Ref: 1707-01 Page 3 of 10 ADMIA KD ID ,-

1707-01-F03 (Rev. 003, 09/08/2011) throughout CPR margin the limiting impact to non-conservative no significant that there is shows Figure 1 I

Figure 1 Impact on Core Limiting MFLCPR during Cycle 19 Figure 1 shows that there is no significant non-conservative impact to the limiting CPR margin throughout most of the cycle. [

Figure 2 Change in ATRIUM 1OXM CPR at Rated Conditions It is also useful to quantify the impact of the modified correlation on the calculated CPR for the ATRIUM 1OXM fuel design (on an absolute AMCPR basis). For the same rated power cases, the maximum change in the calculated CPR was determined to be [ ], as shown in Figure 2. [

I This evaluation was then expanded to look at a number of off-rated cases to determine if the rated power AMCPR results are representative for operation at reduced power conditions. The off-rated cases were performed for a subset of the cycle exposure points presented in Figure 2. The results of this evaluation are Ref: 1707-01 Page 4 of 10 ADrI-\A kID It-

1707-01 -F03 (Rev. 003, 09/08/2011) summarized in Figure 3.

The primary results of this off-rated evaluation include:

I I

Figure 3 Change in ATRIUM 1OXM CPR at Rated and Off-Rated Conditions The off-rated evaluation described above was performed for power levels at and above [

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I I

Impact on the Safety Limit MCPR (SLMCPR)

For Cycle 19, the limiting conditions for SLMCPR are [

A As mentioned previously, the K-factor issue only affects Cycle 19 exposures [

] Therefore, these margins are expected to more than compensate for the change in the K-factor [ ] in the SLMCPR analysis.

It should be noted MCPR is monitored relative to the OLMCPR and not directly to the SLMCPR. Therefore, there is no need in this SLMCPR evaluation to [

]

Impact on CPR Operatingq Limits (OLMCPR)

The licensing analyses result in OLMCPRs that are a combination of power-dependent (MCPRp) and flow-dependent (MCPRf) limits. These are calculated from a series of quasi-steady-state and transient pressurization analyses. The quasi-steady-state events that have the potential to contribute to the MCPRP limits are the Control Rod Withdrawal Error (CRWE) and the Loss of Feedwater Heating (LFWH).

The MCPRf limits are based on the quasi-steady-state flow run-up analysis. [

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1707-01-F03 (Rev. 003, 09108/2011)

The Cycle 19 flow run-up results were reviewed to determine the margin to the MCPRf limits presented in Reference 2. These results show that for MCPRf limits above 1.39 (the lowest rated power MCPR limit), the margin to the limit is more than enough to compensate for the K-factor [ ] in setting the MCPRf limits and the steady-state CPR monitoring concern.

The MCPRp limits are a combination of the results from the pressurization analyses, CRWE, and potentially LFWH.

PressurizationTransient Impacts. This K-factor issue [

] the later cycle pressurization transient analysis results are not significantly affected by this K-factor issue. This was verified with analyses using the modified version of the ACE correlation.

Pressurization transient analyses are also performed [

] The results of these analyses show that in all cases (including the equipment out of service scenarios) the change in ACPR was such that there remains sufficient margin to the MCPRp limits. The margin is also large enough to account for the MCPR monitoring concern discussed above.

CRWE Impacts. CRWE analyses have been performed using both the as-approved version of the ACE correlation [

]

For the 108% HTSP selected for Cycle 19 operation, the minimum margin to the ATRIUM 1OXM MCPRP curve meets or exceeds the [ ] at all power levels, as shown below:

100%P 85%P 65%P 40%P ATRIUM 1OXM MCPRP 1.39 1.425* 1.64 1.951* Table 8.1, Ref. 2 OLMCPRCRWE [ ] [ IL I

)I[

Margin to MCPRP [ ] [ Jr IL[ I

  • Values obtained by interpolation The RBM operability requirements specified in Table 5.11 of Reference 2 are valid for both the as-approved and modified version of the ACE correlation.

LFWH Impacts. The LFWH event is non-limiting with significant margin to the Cycle 19 MCPRP limits.

This was confirmed for Cycle 19 with the performance of cycle-specific calculations using the modified ACE correlation. This calculation verified that the generic LFWH methodology continues to bound the cycle specific results including the impact of the ACE K-factor [ ] . Adequate margin Ref: 1707-01 Page 7 of 10 AD=\IA MKD I.,,-

1707-01-F03 (Rev. 003, 09/08/2011) exists at all power levels to offset the potential monitoring impact of the K-factor [

Summary of MCPRp impacts: The Reference 2 MCPRf and MCPRp limits have sufficient margin to account for the K-factor [ ] on the Cycle 19 quasi-steady-state and pressurization transient analysis results and the POWERPLEX-III core monitoring system used to verify compliance to these limits.

Impact on Instrumentation Setpoints The licensing analyses for Cycle 19 support CPR-based instrumentation setpoints for both the Rod Block Monitor (RBM) and for the Oscillation Power Range Monitor (OPRM).

The RBM setpoints are based upon the CRWE event which in turn has been analyzed based on the analytical high power trip setpoints listed in Table 5.10 of Reference 2. Since it was confirmed that the MCPRP limits continue to bound the CRWE ACPR results, the use of the Table 5.10 setpoints continues to be supported for Cycle 19 operation.

The OPRM setpoints are based upon a combination of the cycle-specific DIVOM (Delta over Initial CPR Versus Oscillation Magnitude), the plant-specific HCOM (Hot Channel Oscillation Magnitude), and cycle-specific 2PT (2 recirculation pump trip) results. The cycle-specific DIVOM and 2PT results are the two components of this calculation that are potentially impacted by a CPR correlation error. Two sets of operating limits are reported for each OPRM setpoint, OLMCPR(SS) and OLMCPR(2PT). The DIVOM can impact both OLMCPRs and the 2PT results can only impact the OLMCPR(2PT) results.

DIVOM Impacts: The discussion in the DIVOM approved topical report (BAW-10255PA Revision 2) indicates that the DIVOM analysis is [

] Therefore, there is no DIVOM impact on the OLMCPR(SS) and OLMCPR(2PT) results.

2PT Impacts: The recirculation pump trip cases provide a ratio of the CPR before and after the 2PT trip. An increase in this ratio will result in an increase in the required MCPR prior to the pump trip, that is OLMCPR(2PT). This evaluation considers both the impact on the selection of the OPRM setpoint and on whether operation with the selected setpoint retains adequate CPR margin to compensate for monitoring the core with the unmodified ACE correlation.

The OLMCPR(SS) and OLMCPR(2PT) values provided in Table 4.3 of Reference 2 [

]. The use of these setpoints remains supported with the unmodified ACE correlation in the POWERPLEX-Ill core monitoring system.

Impact on Fuel Loadinq Error (FLE)

The FLE (misorientation and mislocation) is an infrequent event that is analyzed to assure the off-site dose criteria defined in Section 15.4.7 of NUREG-0800 is not exceeded. [

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Impact on Loss-of-Coolant Accident (LOCA)

The MCPR of [ ] associated with the Brunswick ATRIUM 1OXM LOCA analysis is based [

1. The lowest rated power MCPR operating limit for Cycle 19 is 1.39, which is [ ] higher than the MCPR used in the Brunswick ATRIUM 1OXM LOCA analysis. The impact on the monitored MCPR due to the K-factor I ] is less than [ ] . Therefore, the results of the Brunswick ATRIUM 1OXM LOCA analysis remain applicable for Brunswick Unit 1 Cycle 19.

Conclusion This evaluation used a combination of calculations and first principal arguments to address the impacts of the ACE correlation concern on planned Brunswick Unit 1 Cycle 19 licensing and operation. The calculations were performed using the modified version of the ACE correlation, [

I.

The only fuel in the Cycle 19 core that is impacted by the ACE K-factor [ ] is the fresh ATRIUM 1OXM fuel type. The co-resident ATRIUM-10 fuel design is licensed and will be monitored with the SPCB correlation and is therefore not impacted.

This operability assessment has evaluated the potential impact on all CPR related limits or analyses associated with the limits reported in the Reference 2 Reload Safety Analysis report. This evaluation has determined the SLMCPR and corresponding MCPR operating limits remain applicable to Brunswick Unit 1 Cycle 19 operation. The potential impact on the core monitoring system was conservatively addressed and was also found to be bounded by available margins to both the MCPRP and MCPRf values.

The MCPRP limits were set based in part upon the use of the 108% RBM setpoint and this remains supported with the current MCPRP values. The RBM operability limits were also confirmed to remain applicable for Cycle 19 operation.

The OPRM setpoints were evaluated using the modified ACE correlation and confirmed to remain applicable for Cycle 19 operation.

The fuel loading error infrequent event was evaluated and it was confirmed that the required offsite dose criteria continues to be met.

There is no impact on the LOCA analysis.

In conclusion, no changes are required in the operating limits or instrument setpoints supplied in the Reference 2 Reload Safety Analysis report. These limits may continue to be used to support operation and monitoring with the current POWERPLEX-III core monitoring system.

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APPROVALS:

Approved: Date:

Issue Evaluator - E. E. Riley (Neutronic Design and Analysis)

Approved:

  • c,,,A br, - Date:

Issue Evaluator - D. G. Carr (T/H Applications)

Approved: Date:

Peer Review - S. W. Evans (Neutronic Design and Analysis)

Approved: Date: /

Peer Review - D. R. Tinkler (T/H Applications)

Approved: ,< 7 1z 4

_9ý-- Date: j-.-6 /,

Peer Review - M. T. Bunker (T/H Codes and Methods)

Approved: Date:

Issue Owner - E. E. Riley (Neutronic Design and Analysis)

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