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| issue date = 03/31/2010
| issue date = 03/31/2010
| title = Staff Responses to Public Comment Resolution on Regulatory Guide 1.11
| title = Staff Responses to Public Comment Resolution on Regulatory Guide 1.11
| author name = Bayssie M M
| author name = Bayssie M
| author affiliation = NRC/RES/DE/RGDB
| author affiliation = NRC/RES/DE/RGDB
| addressee name =  
| addressee name =  
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{{#Wiki_filter:3/26/2010      Page 1 of 4        Staff Responses to Public Comments on Draft Regulatory Guide DG-1225 INSTRUMENT LINES PENETRATING THE PRIMARY REACTOR CONTAINMENT (Proposed Revision 1 of Regulatory Guide 1.11) (Public comments have been edited for clarity)
{{#Wiki_filter:Staff Responses to Public Comments on Draft Regulatory Guide DG-1225 INSTRUMENT LINES PENETRATING THE PRIMARY REACTOR CONTAINMENT (Proposed Revision 1 of Regulatory Guide 1.11)
(Public comments have been edited for clarity)
Strategic Teaming and Resource Sharing (STARS) Alliance Integrated Regulatory Affairs Group PO Box 1002 Glen Rose TX 76043 (ML093441087)
Strategic Teaming and Resource Sharing (STARS) Alliance Integrated Regulatory Affairs Group PO Box 1002 Glen Rose TX 76043 (ML093441087)
Comments NRC Comment Resolution Originator DG-1225 Section Specific Comment NRC Staff Response STARS-1 B & C.1 The following statement is contained on page 3 and is repeated in Regulatory Position C. 1 on page 4:  
Comments                                                     NRC Comment Resolution DG-1225 Originator                                    Specific Comment                                         NRC Staff Response Section STARS-1     B & C.1     The following statement is contained on page 3 and is           The wording was carried forward essentially repeated in Regulatory Position C. 1 on page 4:                 unchanged from the initial issue of the "Lines connected to instruments that are part of the           guidance in 1971. The wording has been protection or safety systems are extensions of those           changed to more clearly and affirmatively systems and should satisfy the requirements for                 convey that the instrument lines, as part of the redundancy, independence, and testability for those             system to which the instruments belong, are systems to ensure that they accomplish their functions."       required to support the systems achieving the This statement implies that instrument lines should             design goals of redundancy, independence, satisfy requirements for redundancy, independence, and         and testability. Lines connected to testability. However, designs of sensing lines to               instruments that are part of the protection or instruments do not normally have redundant lines going         safety systems are extensions of those to the same instrument, and if they did, they would not         systems and should support those systems likely be independent. Similarly, testability does not         achieving their requirements for redundancy, appear to apply to the line connected to the instrument,       independence, and testability to ensure the but rather to the instrument itself or the systems that the     systems safety functions are accomplished.
"Lines connected to instruments that are part of the protection or safety systems are extensions of those systems and should satisfy the requirements for redundancy, independence, and testability for those systems to ensure that they accomplish their functions." This statement implies that instrument lines should satisfy requirements for redundancy, independence, and testability. However, designs of sensing lines to instruments do not normally have redundant lines going to the same instrument, and if they did, they would not likely be independent. Similarly, testability does not appear to apply to the line connected to the instrument, but rather to the instrument itself or the systems that the instrument supports. The paragraph on page 3 following the above statement discusses providing a higher degree of isolation capability for lines connected only to instruments that are not part of the protection or safety systems. The intent of the guidance appears to be focused on the The wording was carried forward essentially unchanged from the initial issue of the guidance in 1971. The wording has been changed to more clearly and affirmatively convey that the instrument lines, as part of the system to which the instruments belong, are required to support the systems achieving the design goals of redundancy, independence, and testability.  "Lines connected to instruments that are part of the protection or safety systems are extensions of those systems and should support those systems achieving their requirements for redundancy, independence, and testability to ensure the systems safety functions are accomplished."
instrument supports.
The paragraph on page 3 following the above statement discusses providing a higher degree of isolation capability for lines connected only to instruments that are not part of the protection or safety systems. The intent of the guidance appears to be focused on the 3/26/2010                                                                                                                    Page 1 of 4


3/26/2010      Page 2 of 4        capability of the systems supported by the instrument to perform their intended functions, instead of the requirements of the instrument sensing lines.
capability of the systems supported by the instrument to perform their intended functions, instead of the requirements of the instrument sensing lines.
STARS recommends changing the wording to clarify the application of the guidance to the system function supported by the instrument, as follows: "Lines connected to instruments that are part of the protection or safety systems are extensions of those systems and should satisfy not adversely impact the systems' requirements for redundancy, independence, and testability for those systems to ensure that they the systems supported by the instruments can accomplish their functions." STARS-2 B & C.2.b. DG-1225, Section B. Discussion, states (also included in Section C. Regulatory Position, item 2b):  
STARS recommends changing the wording to clarify the application of the guidance to the system function supported by the instrument, as follows:
"For those instrument lines that are part of the reactor coolant boundary, it is also important to ensure that the rate and the extent of coolant loss from the ruptured component are within the capability of the normal reactor coolant makeup system."
                    "Lines connected to instruments that are part of the protection or safety systems are extensions of those systems and should satisfy not adversely impact the systems' requirements for redundancy, independence, and testability for those systems to ensure that they the systems supported by the instruments can accomplish their functions."
STARS recommends adding underlined words as follows: "For those instrument lines that are part of the reactor coolant boundary, it is also important to ensure that the rate and the extent of coolant loss from the ruptured component at power are within the capability of the normal reactor coolant makeup system such that reactor trip would be avoided
STARS-2 B & C.2.b. DG-1225, Section B. Discussion, states (also included     NUREG-0800 Standard Review Plant (SRP) in Section C. Regulatory Position, item 2b):             Sections 3.6.1, 3.6.2, 3.6.3 and associated "For those instrument lines that are part of the reactor Branch Technical Positions BTP 3-3 and BTP coolant boundary, it is also important to ensure that the 3-4 do not indicate that the normal reactor rate and the extent of coolant loss from the ruptured     coolant makeup system capability is component are within the capability of the normal         considered only during Modes 1 and 2. The reactor coolant makeup system."                           NUREG guidance does define normal plant STARS recommends adding underlined words as               operating conditions as those that exist during follows:                                                 reactor startup, operation at power, hot "For those instrument lines that are part of the reactor standby, or reactor cooldown to cold coolant boundary, it is also important to ensure that the shutdown condition. The wording is the same rate and the extent of coolant loss from the ruptured     as that of the initial issue of the RG 1.11 component at power are within the capability of the       guidance in 1971 except that the term reactor normal reactor coolant makeup system such that reactor   coolant makeup system was changed to trip would be avoided."                                   normal reactor coolant makeup system.
." Flow though a ruptured instrument line could vary considerably depending on the state of the RCS system fluid. Standard Review Plan 3.6 considers the capability of the normal reactor coolant makeup system only during MODES I and 2. During non-power modes, methods other than normal reactor coolant makeup are allowed. Limiting the design of instrumentation tubing to conditions at power is also acceptable since the length of time at power is much longer than time at non-power (i.e., greatest probability of rupture). NUREG-0800 Standard Review Plant (SRP) Sections 3.6.1, 3.6.2, 3.6.3 and associated Branch Technical Positions BTP 3-3 and BTP 3-4 do not indicate that the normal reactor coolant makeup system capability is considered only during Modes 1 and 2. The NUREG guidance does define normal plant operating conditions as those that exist during reactor startup, operation at power, hot standby, or reactor cooldown to cold shutdown condition. The wording is the same as that of the initial issue of the RG 1.11 guidance in 1971 except that the term "reactor coolant makeup system" was changed to "normal reactor coolant makeup system."  This change was made to clarify that instrument line rupture was not to require ECCS operation to maintain coolant inventory.  (Staff recognizes that pumps used for normal charging at some plants may also have a safety related ECCS function.)  Similarly, the instrument line rupture should not cause a reactor trip as a result of the loss of coolant inventory, but the recommended wording might be inferred as Staff guidance 3/26/2010     Page 3 of 4         that operators avoid tripping the reactor when responding to an instrument line rupture event. The recommended change was not incorporated. STARS-3 B & C.2.d. DG-1225, Section B. Discussion, states (also similarly included in Section C. Regulatory Position, item 2d): "Because the likelihood of such a rupture is assumed to be high, the system is designed to result in calculated radiation doses from just such an instrument line failure during normal operation being substantially below the guidelines of 10 CFR Part 100, "Reactor Site Criteria" (Ref. 2) and GDC 19, "Control Room."
Flow though a ruptured instrument line could vary         This change was made to clarify that considerably depending on the state of the RCS system     instrument line rupture was not to require fluid. Standard Review Plan 3.6 considers the capability ECCS operation to maintain coolant of the normal reactor coolant makeup system only         inventory. (Staff recognizes that pumps used during MODES I and 2. During non-power modes,             for normal charging at some plants may also methods other than normal reactor coolant makeup are     have a safety related ECCS function.)
allowed. Limiting the design of instrumentation tubing to Similarly, the instrument line rupture should conditions at power is also acceptable since the length   not cause a reactor trip as a result of the loss of time at power is much longer than time at non-power   of coolant inventory, but the recommended (i.e., greatest probability of rupture).                 wording might be inferred as Staff guidance 3/26/2010                                                                                                           Page 2 of 4


STARS recommends making the following changes: "Because the likelihood of such a rupture is assumed to be high, the system is designed to result in calculated radiation doses from just such an instrument line failure during normal operation being substantially below less than the guidelines of 10 CFR Part 100 50 Appendix I , "Reactor Site Criteria" (Ref. 2) and GDC 19, "Control Room. Numerical Guides for Design Objectives and Limiting Conditions for Operation to Meet the Criterion "As Low as is Reasonably Achievable" for Radioactive Material in Light-Water-Cooled Nuclear Power Reactor Effluents."
that operators avoid tripping the reactor when responding to an instrument line rupture event. The recommended change was not incorporated.
The probability of a rupture is high and is consistent with the frequency of events categorized as PC-1 and PC-2 (ANSI / ANS 18.2) and is similar to the limits of 10 CFR 50 Appendix I. The limits of 10 CFR Part 100 are much higher than 10 CFR 50 Appendix I since they consider events of low probability with much greater consequence. These evaluations should use nominal plant and site parameters. Dose assessment should be based on realistic estimates. ANSI/ANS-51.1-83, "Nuclear Safety Criteria for the Design of Stationary Pressurized Water Reactor Plants", (and similarly for ANSI/ANS-52.1 for boiling water plants) were incorporated into ANSI/ANS-18.2-74. These standards identify plant conditions (PC) corresponding to best estimate frequency of occurrence. PC-1 corresponds to normal operation (expect to occur each year) and PC-2 corresponds to a frequency of once in 10 years or more often. The appendix B of these standards discusses the basis for the plant condition criteria. In section B2, dose limits are discussed and indicate PC-1 and PC-2 dose criteria are addressed by 10 CFR 50 Appendix I with doses from all events in these plant condition categories summed and best-estimate dose models and meterology used. Also stated is that the other plant condition categories have the dose limit applied to individual events and dose consequences calculated using conservative dose models and meterology. No specific failure probability is assumed for instrument lines, but more than once in 10 years appears higher than originally contemplated. An instrument line failure event is at the border of PC-2 and PC-3. Changing the approach to determining dose consequences was not contemplated and the likely impact of a guidance change to the different methodology 3/26/2010     Page 4 of 4         was not evaluated. The existing guidance results in calculated values that are compared to that which would be allowable in case of PC-3, -4, or -5 event. Although no specific numerical acceptance value has been provided, calculated dose values of less than or near ten percent of the 10 CFR 100 guidelines have generally been found acceptable. The recommended change was not incorporated. STARS-4 B. DG-1225, Section B. Discussion, page 3 contains a list of four actions to provide assurance that, for instrument lines without an isolation valve inside containment, the lines from the containment out to and including the outside valve retains its integrity during normal reactor operation and under accident conditions.
STARS-3  B & C.2.d. DG-1225, Section B. Discussion, states (also similarly      ANSI/ANS-51.1-83, Nuclear Safety Criteria included in Section C. Regulatory Position, item 2d):      for the Design of Stationary Pressurized Because the likelihood of such a rupture is assumed to    Water Reactor Plants, (and similarly for be high, the system is designed to result in calculated    ANSI/ANS-52.1 for boiling water plants) were radiation doses from just such an instrument line failure  incorporated into ANSI/ANS-18.2-74. These during normal operation being substantially below the      standards identify plant conditions (PC) guidelines of 10 CFR Part 100, Reactor Site Criteria      corresponding to best estimate frequency of (Ref. 2) and GDC 19, Control Room.                        occurrence. PC-1 corresponds to normal operation (expect to occur each year) and STARS recommends making the following changes:              PC-2 corresponds to a frequency of once in Because the likelihood of such a rupture is assumed to    10 years or more often. The appendix B of be high, the system is designed to result in calculated    these standards discusses the basis for the radiation doses from just such an instrument line failure  plant condition criteria. In section B2, dose during normal operation being substantially below less      limits are discussed and indicate PC-1 and than the guidelines of 10 CFR Part 100 50 Appendix I,      PC-2 dose criteria are addressed by 10 CFR Reactor Site Criteria (Ref. 2) and GDC 19, Control      50 Appendix I with doses from all events in Room. Numerical Guides for Design Objectives and            these plant condition categories summed and Limiting Conditions for Operation to Meet the Criterion    best-estimate dose models and meterology As Low as is Reasonably Achievable for Radioactive        used. Also stated is that the other plant Material in Light-Water-Cooled Nuclear Power Reactor        condition categories have the dose limit Effluents.                                                applied to individual events and dose The probability of a rupture is high and is consistent with consequences calculated using conservative the frequency of events categorized as PC-1 and PC-2        dose models and meterology. No specific (ANSI / ANS 18.2) and is similar to the limits of 10 CFR    failure probability is assumed for instrument 50 Appendix I. The limits of 10 CFR Part 100 are much      lines, but more than once in 10 years appears higher than 10 CFR 50 Appendix I since they consider        higher than originally contemplated. An events of low probability with much greater                instrument line failure event is at the border of consequence. These evaluations should use nominal          PC-2 and PC-3. Changing the approach to plant and site parameters. Dose assessment should be        determining dose consequences was not based on realistic estimates.                              contemplated and the likely impact of a guidance change to the different methodology 3/26/2010                                                                                                             Page 3 of 4
STARS recommends adding a fifth action to this list to provide additional emphasis to component level design for post accident environmental conditions, as follows:
 
: 1. locating the valve as close to containment as practical, 2. adopting a conservative approach in the design of this section of the line, 3. implementing suitable quality assurance provisions, and 4. performing suitable visual inservice inspections.
was not evaluated. The existing guidance results in calculated values that are compared to that which would be allowable in case of PC-3, -4, or -5 event. Although no specific numerical acceptance value has been provided, calculated dose values of less than or near ten percent of the 10 CFR 100 guidelines have generally been found acceptable. The recommended change was not incorporated.
: 5. consider issues associated with environmental qualification, jet impingement and missile generation.
STARS-4 B. DG-1225, Section B. Discussion, page 3 contains a list   The four provisions listed from the Discussion of four actions to provide assurance that, for instrument Section B are incorporated into the regulatory lines without an isolation valve inside containment, the positions. The discussion section is provided lines from the containment out to and including the       for explanation and regulatory positions are outside valve retains its integrity during normal reactor contained in a separate section. The operation and under accident conditions.                 proposed additional discussion section list action 5 is not directly replicated in a STARS recommends adding a fifth action to this list to   regulatory position. However, Regulatory provide additional emphasis to component level design     Position #5 does address consideration of the for post accident environmental conditions, as follows:   jet impingement and missile generation
The four provisions listed from the Discussion Section B are incorporated into the regulatory positions. The discussion section is provided for explanation and regulatory positions are contained in a separate section. The proposed additional discussion section list action "5" is not directly replicated in a regulatory position. However, Regulatory Position #5 does address consideration of the jet impingement and missile generation concerns in a more general manner regarding the instrument lines potential effect on one another. Also, this regulatory guide does not override the guidance of Reg Guide 1.89, "Environmental Qualification of Certain Electric Equipment Important to Safety for Nuclear Power Plants", Reg Guide 1.151, "Instrument Sensing Lines", and requirements of 10 CFR 50.49, "Environmental Qualification of Electric Equipment Important to Safety for Nuclear Power Plants", regarding environmental qualification. The recommended change was not incorporated.}}
: 1. locating the valve as close to containment as         concerns in a more general manner regarding practical,                                                the instrument lines potential effect on one
: 2. adopting a conservative approach in the design of      another. Also, this regulatory guide does not this section of the line,                                override the guidance of Reg Guide 1.89,
: 3. implementing suitable quality assurance provisions,    Environmental Qualification of Certain and                                                      Electric Equipment Important to Safety for
: 4. performing suitable visual inservice inspections.      Nuclear Power Plants, Reg Guide 1.151,
: 5. consider issues associated with environmental          Instrument Sensing Lines, and requirements qualification, jet impingement and missile generation. of 10 CFR 50.49, Environmental Qualification of Electric Equipment Important to Safety for Nuclear Power Plants, regarding environmental qualification. The recommended change was not incorporated.
3/26/2010                                                                                                  Page 4 of 4}}

Latest revision as of 23:27, 13 November 2019

Staff Responses to Public Comment Resolution on Regulatory Guide 1.11
ML100250972
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Issue date: 03/31/2010
From: Bayssie M
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Text

Staff Responses to Public Comments on Draft Regulatory Guide DG-1225 INSTRUMENT LINES PENETRATING THE PRIMARY REACTOR CONTAINMENT (Proposed Revision 1 of Regulatory Guide 1.11)

(Public comments have been edited for clarity)

Strategic Teaming and Resource Sharing (STARS) Alliance Integrated Regulatory Affairs Group PO Box 1002 Glen Rose TX 76043 (ML093441087)

Comments NRC Comment Resolution DG-1225 Originator Specific Comment NRC Staff Response Section STARS-1 B & C.1 The following statement is contained on page 3 and is The wording was carried forward essentially repeated in Regulatory Position C. 1 on page 4: unchanged from the initial issue of the "Lines connected to instruments that are part of the guidance in 1971. The wording has been protection or safety systems are extensions of those changed to more clearly and affirmatively systems and should satisfy the requirements for convey that the instrument lines, as part of the redundancy, independence, and testability for those system to which the instruments belong, are systems to ensure that they accomplish their functions." required to support the systems achieving the This statement implies that instrument lines should design goals of redundancy, independence, satisfy requirements for redundancy, independence, and and testability. Lines connected to testability. However, designs of sensing lines to instruments that are part of the protection or instruments do not normally have redundant lines going safety systems are extensions of those to the same instrument, and if they did, they would not systems and should support those systems likely be independent. Similarly, testability does not achieving their requirements for redundancy, appear to apply to the line connected to the instrument, independence, and testability to ensure the but rather to the instrument itself or the systems that the systems safety functions are accomplished.

instrument supports.

The paragraph on page 3 following the above statement discusses providing a higher degree of isolation capability for lines connected only to instruments that are not part of the protection or safety systems. The intent of the guidance appears to be focused on the 3/26/2010 Page 1 of 4

capability of the systems supported by the instrument to perform their intended functions, instead of the requirements of the instrument sensing lines.

STARS recommends changing the wording to clarify the application of the guidance to the system function supported by the instrument, as follows:

"Lines connected to instruments that are part of the protection or safety systems are extensions of those systems and should satisfy not adversely impact the systems' requirements for redundancy, independence, and testability for those systems to ensure that they the systems supported by the instruments can accomplish their functions."

STARS-2 B & C.2.b. DG-1225, Section B. Discussion, states (also included NUREG-0800 Standard Review Plant (SRP) in Section C. Regulatory Position, item 2b): Sections 3.6.1, 3.6.2, 3.6.3 and associated "For those instrument lines that are part of the reactor Branch Technical Positions BTP 3-3 and BTP coolant boundary, it is also important to ensure that the 3-4 do not indicate that the normal reactor rate and the extent of coolant loss from the ruptured coolant makeup system capability is component are within the capability of the normal considered only during Modes 1 and 2. The reactor coolant makeup system." NUREG guidance does define normal plant STARS recommends adding underlined words as operating conditions as those that exist during follows: reactor startup, operation at power, hot "For those instrument lines that are part of the reactor standby, or reactor cooldown to cold coolant boundary, it is also important to ensure that the shutdown condition. The wording is the same rate and the extent of coolant loss from the ruptured as that of the initial issue of the RG 1.11 component at power are within the capability of the guidance in 1971 except that the term reactor normal reactor coolant makeup system such that reactor coolant makeup system was changed to trip would be avoided." normal reactor coolant makeup system.

Flow though a ruptured instrument line could vary This change was made to clarify that considerably depending on the state of the RCS system instrument line rupture was not to require fluid. Standard Review Plan 3.6 considers the capability ECCS operation to maintain coolant of the normal reactor coolant makeup system only inventory. (Staff recognizes that pumps used during MODES I and 2. During non-power modes, for normal charging at some plants may also methods other than normal reactor coolant makeup are have a safety related ECCS function.)

allowed. Limiting the design of instrumentation tubing to Similarly, the instrument line rupture should conditions at power is also acceptable since the length not cause a reactor trip as a result of the loss of time at power is much longer than time at non-power of coolant inventory, but the recommended (i.e., greatest probability of rupture). wording might be inferred as Staff guidance 3/26/2010 Page 2 of 4

that operators avoid tripping the reactor when responding to an instrument line rupture event. The recommended change was not incorporated.

STARS-3 B & C.2.d. DG-1225, Section B. Discussion, states (also similarly ANSI/ANS-51.1-83, Nuclear Safety Criteria included in Section C. Regulatory Position, item 2d): for the Design of Stationary Pressurized Because the likelihood of such a rupture is assumed to Water Reactor Plants, (and similarly for be high, the system is designed to result in calculated ANSI/ANS-52.1 for boiling water plants) were radiation doses from just such an instrument line failure incorporated into ANSI/ANS-18.2-74. These during normal operation being substantially below the standards identify plant conditions (PC) guidelines of 10 CFR Part 100, Reactor Site Criteria corresponding to best estimate frequency of (Ref. 2) and GDC 19, Control Room. occurrence. PC-1 corresponds to normal operation (expect to occur each year) and STARS recommends making the following changes: PC-2 corresponds to a frequency of once in Because the likelihood of such a rupture is assumed to 10 years or more often. The appendix B of be high, the system is designed to result in calculated these standards discusses the basis for the radiation doses from just such an instrument line failure plant condition criteria. In section B2, dose during normal operation being substantially below less limits are discussed and indicate PC-1 and than the guidelines of 10 CFR Part 100 50 Appendix I, PC-2 dose criteria are addressed by 10 CFR Reactor Site Criteria (Ref. 2) and GDC 19, Control 50 Appendix I with doses from all events in Room. Numerical Guides for Design Objectives and these plant condition categories summed and Limiting Conditions for Operation to Meet the Criterion best-estimate dose models and meterology As Low as is Reasonably Achievable for Radioactive used. Also stated is that the other plant Material in Light-Water-Cooled Nuclear Power Reactor condition categories have the dose limit Effluents. applied to individual events and dose The probability of a rupture is high and is consistent with consequences calculated using conservative the frequency of events categorized as PC-1 and PC-2 dose models and meterology. No specific (ANSI / ANS 18.2) and is similar to the limits of 10 CFR failure probability is assumed for instrument 50 Appendix I. The limits of 10 CFR Part 100 are much lines, but more than once in 10 years appears higher than 10 CFR 50 Appendix I since they consider higher than originally contemplated. An events of low probability with much greater instrument line failure event is at the border of consequence. These evaluations should use nominal PC-2 and PC-3. Changing the approach to plant and site parameters. Dose assessment should be determining dose consequences was not based on realistic estimates. contemplated and the likely impact of a guidance change to the different methodology 3/26/2010 Page 3 of 4

was not evaluated. The existing guidance results in calculated values that are compared to that which would be allowable in case of PC-3, -4, or -5 event. Although no specific numerical acceptance value has been provided, calculated dose values of less than or near ten percent of the 10 CFR 100 guidelines have generally been found acceptable. The recommended change was not incorporated.

STARS-4 B. DG-1225, Section B. Discussion, page 3 contains a list The four provisions listed from the Discussion of four actions to provide assurance that, for instrument Section B are incorporated into the regulatory lines without an isolation valve inside containment, the positions. The discussion section is provided lines from the containment out to and including the for explanation and regulatory positions are outside valve retains its integrity during normal reactor contained in a separate section. The operation and under accident conditions. proposed additional discussion section list action 5 is not directly replicated in a STARS recommends adding a fifth action to this list to regulatory position. However, Regulatory provide additional emphasis to component level design Position #5 does address consideration of the for post accident environmental conditions, as follows: jet impingement and missile generation

1. locating the valve as close to containment as concerns in a more general manner regarding practical, the instrument lines potential effect on one
2. adopting a conservative approach in the design of another. Also, this regulatory guide does not this section of the line, override the guidance of Reg Guide 1.89,
3. implementing suitable quality assurance provisions, Environmental Qualification of Certain and Electric Equipment Important to Safety for
4. performing suitable visual inservice inspections. Nuclear Power Plants, Reg Guide 1.151,
5. consider issues associated with environmental Instrument Sensing Lines, and requirements qualification, jet impingement and missile generation. of 10 CFR 50.49, Environmental Qualification of Electric Equipment Important to Safety for Nuclear Power Plants, regarding environmental qualification. The recommended change was not incorporated.

3/26/2010 Page 4 of 4