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| number = ML16116A002 | | number = ML16116A002 | ||
| issue date = 04/22/2016 | | issue date = 04/22/2016 | ||
| title = | | title = NRR E-mail Capture - NRC Comments on Path 3 MSA Template | ||
| author name = | | author name = Difrancesco N | ||
| author affiliation = NRC/NRR/JLD | | author affiliation = NRC/NRR/JLD | ||
| addressee name = Mauer A | | addressee name = Mauer A | ||
| addressee affiliation = Nuclear Energy Institute (NEI) | | addressee affiliation = Nuclear Energy Institute (NEI) | ||
| docket = | | docket = | ||
Line 15: | Line 15: | ||
=Text= | =Text= | ||
{{#Wiki_filter: | {{#Wiki_filter:NRR-PMDAPEm Resource From: DiFrancesco, Nicholas Sent: Friday, April 22, 2016 3:04 PM To: 'MAUER, Andrew' Cc: Shams, Mohamed; Titus, Brett | ||
==Subject:== | ==Subject:== | ||
NRC Comments on Path 3 MSA Template Attachments: | NRC Comments on Path 3 MSA Template Attachments: NRC Comments on Appendix H seismic MSA Path 3 Template.docx | ||
NRC Comments on Appendix H | : Andrew, Appreciate the opportunity to comment on the Path 3 MSA template for seismic. The attached comments identify a some editorial suggestions and minor opportunities to clarify licensee MSA plans. | ||
Please let me know if you have any questions. | |||
Please let me know if you have any questions. | Many thanks, Nick Senior Project Manager - Seismic Reevaluation Activities U.S. Nuclear Regulatory Commission Office of Nuclear Reactor Regulation Japan Lesson Learned Project Division nicholas.difrancesco@nrc.gov l Tel: (301) 415-1115 From: MAUER, Andrew [mailto:anm@nei.org] | ||
Sent: Thursday, April 07, 2016 2:34 PM To: DiFrancesco, Nicholas ; Shams, Mohamed | |||
Many thanks, Nick | |||
mailto:anm@nei.org | |||
==Subject:== | ==Subject:== | ||
[External_Sender] Path 3 MSA Template Mohamed/Nick, Attached is the proposed MSA template that the industry has developed to support Path 3 MSA submittals for seismic. | |||
We would welcome any feedback and would appreciate hearing from you by April 22. | |||
Mohamed/Nick, | : Thanks, Andrew Andrew N. Mauer Senior Project Manager Emergency Preparedness & Risk Assessment Nuclear Energy Institute 1201 F Street, NW, Suite 1100 Washington, DC 20004 www.nei.org T: 202.739.8018 M: 202.344.7137 F: 202.533.0157 1 | ||
Thanks, Andrew | |||
E: anm@nei.org T: @N_E_I TAKE THE NEI FUTURE OF ENERGY QUIZ, www.NEI.org/futureofenergy FOLLOW US ON This electronic message transmission contains information from the Nuclear Energy Institute, Inc. The information is intended solely for the use of the addressee and its use by any other person is not authorized. If you are not the intended recipient, you have received this communication in error, and any review, use, disclosure, copying or distribution of the contents of this communication is strictly prohibited. If you have received this electronic transmission in error, please notify the sender immediately by telephone or by electronic mail and permanently delete the original message. IRS Circular 230 disclosure: To ensure compliance with requirements imposed by the IRS and other taxing authorities, we inform you that any tax advice contained in this communication (including any attachments) is not intended or written to be used, and cannot be used, for the purpose of (i) avoiding penalties that may be imposed on any taxpayer or (ii) promoting, marketing or recommending to another party any transaction or matter addressed herein. | |||
Sent through www.intermedia.com 2 | |||
Hearing Identifier: | Hearing Identifier: NRR_PMDA Email Number: 2795 Mail Envelope Properties (4da92849a11a458d9da964f75d1f76c6) | ||
==Subject:== | ==Subject:== | ||
NRC Comments on Path 3 MSA Template | NRC Comments on Path 3 MSA Template Sent Date: 4/22/2016 3:03:40 PM Received Date: 4/22/2016 3:03:00 PM From: DiFrancesco, Nicholas Created By: Nicholas.DiFrancesco@nrc.gov Recipients: | ||
Tracking Status: None | "Shams, Mohamed" <Mohamed.Shams@nrc.gov> | ||
Tracking Status: None | Tracking Status: None "Titus, Brett" <Brett.Titus@nrc.gov> | ||
Tracking Status: None | |||
Post Office: | "'MAUER, Andrew'" <anm@nei.org> | ||
Tracking Status: None Post Office: HQPWMSMRS07.nrc.gov Files Size Date & Time MESSAGE 2538 4/22/2016 3:03:00 PM NRC Comments on Appendix H seismic MSA Path 3 Template.docx 46350 Options Priority: Standard Return Notification: No Reply Requested: No Sensitivity: Normal Expiration Date: | |||
Options | Recipients Received: | ||
* Yellow highlighted Red Text designate information to be filled in by Company/Licensee | * Yellow highlighted Red Text designate information to be filled in by Company/Licensee | ||
* Blue brackets designate instructions | * Blue brackets designate instructions | ||
* All bracketed text, Red text and blue text should be removed prior to submission] | * All bracketed text, Red text and blue text should be removed prior to submission] | ||
10 CFR 50.4 | |||
[DATE] | |||
Company/Licensee/Site Name Company/Licensee/Site Docket Number(s) Company/Licensee/Site Renewed License Number(s) | ATTN: Document Control Desk U.S. Nuclear Regulatory Commission Washington, DC 20555-0001 Company/Licensee/Site Name Company/Licensee/Site Docket Number(s) | ||
Company/Licensee/Site Renewed License Number(s) | |||
==Subject:== | ==Subject:== | ||
NEI 12-06, Appendix H, Revision 2, H.4.3 Path 3: GMRS > SSE but < IHS, Mitigating Strategies Assessment (MSA) report for the New Seismic Hazard Information | NEI 12-06, Appendix H, Revision 2, H.4.3 Path 3: GMRS > SSE but < IHS, Mitigating Strategies Assessment (MSA) report for the New Seismic Hazard Information | ||
==References:== | ==References:== | ||
: 1. NEI 12-06, Revision 2, Diverse and Flexible Coping Strategies (FLEX) Implementation Guide, December 2015, ADAMS Accession Number ML16005A625 2. JLD-ISG-2012-01, Revision 1, Compliance with Order EA-12-049, Order Modifying Licenses with Regard to Requirements for Mitigation Strategies for Beyond-Design-Basis External Events, February 2016, ADAMS Accession Number ML15357A163 | : 1. NEI 12-06, Revision 2, Diverse and Flexible Coping Strategies (FLEX) Implementation Guide, December 2015, ADAMS Accession Number ML16005A625 | ||
: 2. JLD-ISG-2012-01, Revision 1, Compliance with Order EA-12-049, Order Modifying Licenses with Regard to Requirements for Mitigation Strategies for Beyond-Design-Basis External Events, February 2016, ADAMS Accession Number ML15357A163 | |||
Ladies and Gentlemen, | : 3. [Company/Licensee Seismic Hazard Reevaluations submittal and any supplements, | ||
[DATE(S)], ADAMS Accession Number(s)] | |||
: 4. [NRC Letter, Company/Licensee Staff Assessment of Information provided Pursuant to Title 10 of the Code of Federal Regulations Part 50, Section 50.54(f), Seismic Hazard Reevaluations for Recommendation 2.1 of the Near-Term Task Force Review of Insights from the Fukushima DAI-ICHI Accident, dated [DATE], ADAMS Accession Number MLxxxxxxxxx] | |||
: 5. U.S. NRC, NUREG-1407: Procedural and Submittal Guidance for the Individual Plant Examination of External Events (IPEEE) for Severe Accident Vulnerabilities, ADAMS Number ML063550238, Washington, D.C., June, 1991. | |||
: 6. NEI, NEI 12-01 Revision 0: Guideline for Assessing Beyond-design-basis Accident Response Staffing and Communications Capabilities, Washington, D.C., May, 2012. | |||
: 7. EPRI, Seismic Evaluation Guidance: Screening, Prioritization and Implementation Details (SPID) for the Resolution of Fukushima Near-Term Task Force Recommendation 2.1: Seismic, Report Number 1025287, Palo Alto, CA, November, 2012. | |||
: 8. EPRI, High Frequency Program: Application Guidance for Functional Confirmation and Fragility Evaluation, Report Number 3002004396, Palo Alto, CA, July 30, 2015. | |||
: 9. [PLANT OIP/FIP Submittal Reference] | |||
Ladies and Gentlemen, Page 1 of 7 | |||
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The purpose of this letter is to provide the results of the assessment for [PLANT/SITE] to demonstrate that an Individual Plant Examination of External Events (IPEEE) based alternate mitigating strategy (AMS) can be implemented considering the impacts of the reevaluated seismic hazard. The assessment was performed in accordance with the guidance provided in Appendix H of NEI 12-06 Revision 2 (Reference 1) which was endorsed by the NRC (Reference 2). | |||
to demonstrate that an Individual Plant Examination of External Events (IPEEE) based alternate mitigating strategy (AMS) can be implemented considering the impacts of the reevaluated seismic hazard. The assessment was performed in accordance with the guidance provided in Appendix H of NEI 12-06 Revision 2 (Reference 1) which was endorsed by the NRC (Reference 2). The Mitigating Strategies Seismic Hazard Information (MSSHI) is the | The Mitigating Strategies Seismic Hazard Information (MSSHI) is the licensees reevaluated seismic hazard information at [PLANT/SITE], developed using Probabilistic Seismic Hazard Analysis (PSHA). The MSSHI for Path 3 includes the a performance-based Ground Motion Response Spectrum (GMRS) , Uniform Hazard Response Spectra (UHRS) at various annual Commented [A1]: Clarification: This paragraph should be clear probabilities of exceedance, and a family of seismic hazard curves at various frequencies and to the information needed to perform the assessment. | ||
Based upon the mitigating strategies assessment in Attachment 1, the mitigating strategies for [PLANT/SITE] considering the impacts of the reevaluated seismic hazard | fractiles developed at the [PLANT/SITE].control point elevation. [PLANT/SITE] submitted the reevaluated seismic hazard information including the UHRS, GMRS and the hazard curves to the NRC on [DATE(s)] (Reference(s) 3, [x associated with blue text]), [Reference all supplemental submittals that may have been made in response to the 10 CFR 50.54(f) request for information]. The NRC staff concluded that the MSSHI that was submitted adequately Commented [A2]: Editorial: Why isnt the RFI itself referenced characterizes the reevaluated seismic hazard for the site (Reference 4). and discussed? | ||
Consistent with Section H.4.3 of Reference 1, the [PLANT/SITE] GMRS is bounded by the high-confidence-of-low-probability-of-failure (HCLPF) spectrum developed from evaluations for the IPEEE between 1-10 Hz - referred to as the IHS. Section 6.1.2 of Reference 2 identified that Commented [A3]: Editorial: Consider saying 1 and 10 Hz in the method described in Section H.4.3 of Reference 1 is applicable to [PLANT/SITE]. order to fit in this sentence better. | |||
This letter contains no new Regulatory Commitments and no revision to existing Regulatory Commitments. Should you have any questions regarding this submittal, please contact [Company/Licensee/Site contact and phone number] I declare under penalty of perjury that the foregoing is true and correct. Executed on the [DATE]. Sincerely, | Commented [A4]: Editorial: This sentence is a bit awkward because it isnt obvious what IHS means. I understand what it is Based upon the mitigating strategies assessment in Attachment 1, the mitigating strategies for based on the usages in NEI 12-06 and in meetings, but it would be | ||
[PLANT/SITE] considering the impacts of the reevaluated seismic hazard [can be implemented helpful to define it somewhere in this template. | |||
as designed or will be modified as discussed in the attachment]. | |||
Commented [A5]: Editorial: It could be helpful to include a statement as to whether there are exceedances above 10 Hz. | |||
This letter contains no new Regulatory Commitments and no revision to existing Regulatory Commented [A6]: Editorial: Or the Attachment Commitments. | |||
Commented [A7]: Clarification: I dont see a template section on modifications planned. | |||
Should you have any questions regarding this submittal, please contact | |||
[Company/Licensee/Site contact and phone number] | |||
I declare under penalty of perjury that the foregoing is true and correct. Executed on the [DATE]. | |||
Sincerely, | |||
[Company/Licensee/Site Vice President] | |||
==Attachment:== | ==Attachment:== | ||
Mitigating Strategies Assessment for [Plant] cc: [Company/Licensee/Site specific distribution] | Mitigating Strategies Assessment for [Plant] | ||
cc: [Company/Licensee/Site specific distribution] | |||
Page 2 of 7 | |||
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ATTACHMENT 1 Commented [A8]: Editorial: Letter References Attachment 1 Company/Licensee Plant/Site Name Company/Licensee/Site Docket Number(s) | |||
[Plant] | Company/Licensee/Site Renewed License Number(s) | ||
Mitigating Strategies Assessment for [Plant] | |||
Page 3 of 7 | |||
* Yellow highlighted Red Text designate information to be filled in by Company/Licensee | * Yellow highlighted Red Text designate information to be filled in by Company/Licensee | ||
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* All bracketed text, Red text and blue text should be removed prior to submission] | * All bracketed text, Red text and blue text should be removed prior to submission] | ||
INTRODUCTION The purpose of this mitigating strategies assessment is to evaluate and demonstrate that [PLANT/SITE] | |||
can mitigate the effects of the | can mitigate the effects of the reevaluated seismic hazard information developed pursuant to the NRCs 10CFR 50.54(f) letter dated March 12, 2012. the effects of the reevaluated seismic hazard developed in response to NRC letter pursuant to 10CFR 50.54(f) dated March 12, 2012. The Commented [A9]: Editorial: Potentially redundant to the prior assessment was performed in accordance with the guidance provided in Reference 1. Reference 1 phrase appearing in this sentence, but it might be included to demonstrate a diverse and flexible way of saying this. | ||
An IPEEE-based alternate mitigating strategy (AMS) relies on the seismic evaluation of plant equipment to demonstrate robustness of structures, systems and components (SSCs) to the GMRS. The IPEEE for | discusses a method to develop an alternate mitigating strategy (AMS) to address the mitigating strategies seismic hazard information (MSSHI). This includes a modification of the general criteria and baseline assumptions included in Section 3.2.1 of Reference 1 to exclude consideration of losses such as an extended loss of AC power (ELAP), Loss of offsite power (LOOP) or loss of ultimate heat sink (LUHS) unless caused by the seismic hazard. Reference 2 provides an NRC staff position that the method described in Section H.4.3 of Reference 1 for an AMS is acceptable for mitigating a beyond design basis external event. Further, the protection of onsite power sources and normal access to the Commented [A10]: Editorial: Hyphenate as a compound UHS from the seismic hazard is an acceptable method of mitigating a simultaneous loss of all AC modifier. | ||
Seismic evaluations performed under the IPEEE included SSCs in those two safe shutdown success paths. Therefore, based on the results of the IPEEE, safe shutdown of the plant following a seismic event can be accomplished, and consequences can be mitigated, for a seismic event up to the plant capacity level (i.e., the IHS) for which the SSCs in the IPEEE were evaluated. | power and loss of normal access to the ultimate heat sink. | ||
Indefinite Coping | An IPEEE-based alternate mitigating strategy (AMS) relies on the seismic evaluation of plant equipment to demonstrate robustness of structures, systems and components (SSCs) to the GMRS. | ||
Example | The IPEEE for [PLANT/SITE] relied on the results of an [chose one: SPRA, an EPRI seismic margins Commented [A11]: Editorial: This would be redundant to the assessment (SMA) methodology, or an NRC SMA methodology] to demonstrate the capability to bring an outside of the square brackets. | ||
the plant to a safe shutdown condition following a review level earthquake (RLE) as described in Commented [A12]: Editorial: Id. | |||
NUREG-1407 (Reference 5). The [chose one: SPRA, an EPRI seismic margins assessment (SMA) Commented [A13]: Editorial: This would just sound silly methodology, or an NRC SMA methodology] approach evaluated two safe shutdown success paths. because it would be a use of an indefinite article immediately after The safe shutdown success paths provide independent means of achieving a safe shutdown condition the definite article. | |||
following a severe seismic event (e.g., core cooling by heat removal from the steam generators and Commented [A14]: Editorial: Id. | |||
core cooling by RCS feed and bleed). | |||
Seismic evaluations performed under the IPEEE included SSCs in those two safe shutdown success paths. Therefore, based on the results of the IPEEE, safe shutdown of the plant following a seismic event can be accomplished, and consequences can be mitigated, for a seismic event up to the plant capacity level (i.e., the IHS) for which the SSCs in the IPEEE were evaluated. Commented [A15]: Editorial: Please define IHS. | |||
Commented [A16]: Clarification: This logic chain omits a Indefinite Coping comparison of the RLE or the IHS to the GMRS. That should be A plant-specific evaluation was performed and concluded that SSCs that limit the SMA-based IPEEE included for completeness. | |||
coping duration to 72 hours are available for an indefinite period following a beyond design-basis seismic event at the reevaluated seismic hazard level to support continued maintenance of the safe shutdown condition. Commented [A17]: Clarification: Is this portion supposed to be included in submittals from non-SMA based IPEEE submittals? | |||
Example The [PLANT/SITE] IPEEE was based on the EPRI SMA method. This approach defined the Seismic Equipment List (SEL) for evaluation of safe shutdown success paths to be comprised of those SSCs required to bring the plant to a stable condition (either hot or cold shutdown) and maintain that condition for at least 72 hours. Therefore, the IPEEE results have been evaluated for limitations that are based Page 4 of 7 | |||
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on the 72 hour coping duration. Generally, the conclusions of the SMA are not sensitive to coping duration. However, certain consumable items, such as water and fuel oil inventories, have been evaluated based on a limited onsite supply. The ability to continue coping would potentially require re-supply of consumables. | |||
Site access is restored to a near-normal status and/or augmented transportation resources are available within a few days as determined by NEI 12-01 (Reference 6), to allow for additional supplies to be brought in and allow for continuation of coping strategies and maintain the plant in a stable condition. A plant-specific evaluation has been performed to identify consumables and/or SSCs that are Commented [A18]: Clarification: This is not really true; NEI 12-limiting for the 72 hour coping duration assumed in the development of the IPEEE. 01 did not determine anything. Consider modifying this to read something like Site access is assumed to be restored as discussed in NEI 12-01. | |||
Site access is restored to a near-normal status and/or augmented transportation resources are available within a few days as determined by NEI 12-01 (Reference 6), to allow for additional supplies to be brought in and allow for continuation of coping strategies and maintain the plant in a stable condition. A plant-specific evaluation has been performed to identify consumables and/or SSCs that are limiting for the 72 hour coping duration assumed in the development of the IPEEE. | The coping evaluation concluded that only cooling water supply to the steam generators (auxiliary Commented [A19]: Clarification: This is somewhat incomplete feedwater) was considered limiting in the IPEEE for an extended coping period. Several alternative because it only documents that the licensee looked for problems, water supplies are available to [PLANT/SITE] to support coping for an extended period following the not solutions. Consider modifying this to state that A plant-beyond design-basis seismic event to support continued maintenance of the safe shutdown condition. specific evaluation has been performed to identify consumables and/or SSCs that are limiting for the 72 hour coping duration Additional seismically robust water sources include the 100,000 gallon primary water storage tank, site assumed in the development of the IPEEE and to identify methods fire water system with two 245,000 gallon fire water tanks, and the condenser hotwell. The high- of addressing any shortfalls. | ||
volume city water supply, if available following a seismic event, is an additional water source with Commented [A20]: Clarification: Should be clear on sources essentially indefinite supply capability. Portable pumps are available from the National SAFER that should be available following a seismic event. | |||
The coping evaluation concluded that only cooling water supply to the steam generators (auxiliary feedwater) was considered limiting in the IPEEE for an extended coping period. Several alternative water supplies are available to [PLANT/SITE] to support coping for an extended period following the beyond design-basis seismic event to support continued maintenance of the safe shutdown condition. Additional seismically robust water sources include the 100,000 gallon primary water storage tank, site fire water system with two 245,000 gallon fire water tanks, and the condenser hotwell. The high-volume city water supply, if available following a seismic event, is an additional water source with essentially indefinite supply capability. Portable pumps are available from the National SAFER Response Centers (NSRC) to support water transfer from the alternate supplies. | Response Centers (NSRC) to support water transfer from the alternate supplies. | ||
Although not determined to be limiting, fuel oil supplies supporting diesel generator operation were also evaluated for extended coping. [PLANT/SITE] has established standing contracts with fuel providers to replenish diesel fuel supplies. The on-site supplies have been evaluated to last approximately [xxxx] | |||
Although not determined to be limiting, fuel oil supplies supporting diesel generator operation were also evaluated for extended coping. | days to continue the strategies evaluated under the IPEEE and/or on-site FLEX strategies. | ||
Additionally, the National SAFER Response Centers (NSRC) has the ability to air lift fuel bladders for Commented [A21]: Editorial: One word use in the limited cases prior to roadways being made available for site access. | |||
End of Example | End of Example IPEEE Upgrade to Full Scope [only applies to plants that conducted focused-scope assessment, any reviews conducted below that have been performed and submitted in response to the 50.54(f) letter should be referenced below instead of restating the review/results.] | ||
The [PLANT/SITE] IPEEE was included in the focused scope bin, and an upgrade to a full scope assessment is required as described in EPRI 1025287 (Reference 7). | |||
IPEEE Upgrade to Full Scope | [PLANT/SITE] was binned as a 0.3g Focused Scope plant in NUREG-1407. As stated in Section 3.3.1 of the SPID, focused-scope IPEEE submittals may be used for screening against the GMRS provided they are enhanced to bring them in line with full scope assessments. The enhancements include (1) a full scope detailed review of relay chatter and (2) a full evaluation of soil failures. | ||
Full Scope Relay Chatter Review | |||
The [PLANT/SITE] IPEEE was included in the focused scope bin, and an upgrade to a full scope assessment is required as described in EPRI 1025287 (Reference 7). | [PLANT/SITE] performed an assessment of relay chatter effects in accordance with the scope and procedures described in NUREG-1407 [Reference 5]. [PLANT/SITE] was an A-46 plant and the relay chatter review was conducted consistent with staff recommendations outlined in NUREG-1407, Appendix D, Table 7.17.2, which includes expansion of the A-46 relay scope to include IPEEE systems and evaluation of the entire expanded scope at the IPEEE Review Level Earthquake. | ||
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Full Scope Relay Chatter Review [PLANT/SITE] performed an assessment of relay chatter effects in accordance with the scope and procedures described in NUREG-1407 [Reference 5]. | |||
* Yellow highlighted Red Text designate information to be filled in by Company/Licensee | * Yellow highlighted Red Text designate information to be filled in by Company/Licensee | ||
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Include conclusions from relay chatter review, including any modifications - reference submittal template for 2.1 relay chatter review for level of detail. | |||
Soil Failure Analysis [PLANT/SITE] has completed a soil failure analysis in accordance with the procedures described in NUREG-1407, which defers to the guidance provided in EPRI NP-6041-SL. Soil failure modes include soil liquefaction, foundation settlement, and slope instability (failure). The soil failure evaluation was conducted In accordance with Section 7 of EPRI NP-6041-SL. | Soil Failure Analysis | ||
Include conclusions from soil failure analysis review, including any modifications. | [PLANT/SITE] has completed a soil failure analysis in accordance with the procedures described in NUREG-1407, which defers to the guidance provided in EPRI NP-6041-SL. Soil failure modes include soil liquefaction, foundation settlement, and slope instability (failure). The soil failure evaluation was conducted In accordance with Section 7 of EPRI NP-6041-SL. Commented [A22]: Editorial: Is this intended to be example text similar to the previous section? If so, use the same formatting. | ||
Spent Fuel Pool Cooling Evaluation The evaluation of spent fuel pool cooling for [PLANT/SITE] was performed based on the initial conditions established in NEI 12-06 for spent fuel cooling coping in the event of an ELAP/LUHS. The evaluation also used the results of pool heatup analyses from the ELAP evaluation as input. Example Spent Fuel Pool Cooling The FLEX strategy for spent fuel pool (SFP) cooling utilizes SFP level monitoring and make-up capability as described in Plant X OIP/ FIP (Reference 9). The SFP level is monitored using installed level monitoring instrumentation with remote monitoring capability [or other method described in the OIP/FIP]. SFP make-up capability is provided using the portable FLEX [SFP makeup] pump taking suction though a portable flexible hose and discharging through a permanently installed FLEX makeup connection tie-in to the SFP emergency make-up piping [through a flexible hose directly to the SFP]. The source of make-up water is the plant ultimate heat sink [pond, river, reservoir, lake, sound, as applicable] | Include conclusions from soil failure analysis review, including any modifications. Commented [A23]: Clarification: Should this be blue bracketed text? | ||
Spent Fuel Pool Cooling Evaluation The evaluation of spent fuel pool cooling for [PLANT/SITE] was performed based on the initial Commented [A24]: Clarification: We are not considering ISFSIs. | |||
conditions established in NEI 12-06 for spent fuel cooling coping in the event of an ELAP/LUHS. The evaluation also used the results of pool heatup analyses from the ELAP evaluation as input. | |||
Example Spent Fuel Pool Cooling Commented [A25]: Editorial: Is this heading necessary? It seems duplicative of the Spent Fuel Pool Cooling Evaluation heading. | |||
The FLEX strategy for spent fuel pool (SFP) cooling utilizes SFP level monitoring and make-up capability as described in Plant X OIP/ FIP (Reference 9). The SFP level is monitored using installed level monitoring instrumentation with remote monitoring capability [or other method described in the OIP/FIP]. SFP make-up capability is provided using the portable FLEX [SFP makeup] pump taking Commented [A26]: Clarification: This could cause issues regarding the question of seismic capacity of the SFPI installed suction though a portable flexible hose and discharging through a permanently installed FLEX makeup under EA-12-051, which is not being upgraded to the MSSHI. We connection tie-in to the SFP emergency make-up piping [through a flexible hose directly to the SFP]. should be transparent as to what we expect here and not attempt to impose requirements to evaluate that instrument to a higher The source of make-up water is the plant ultimate heat sink [pond, river, reservoir, lake, sound, as level by means of a template. | |||
applicable] [or - is the plant XXX tank]. | |||
The permanently installed plant equipment relied on for the implementation of the SFP Cooling FLEX strategy has been designed and installed, or evaluated to remain functional, in accordance with the plant design basis to the SSE loading conditions. The spent fuel pool integrity evaluations demonstrated inherent margins of the spent fuel pool structure and interfacings plant equipment above the SSE to a peak spectral acceleration of 0.8g [Reference(s) X] .The portable FLEX equipment Commented [A27]: Clarification: Consider amplifying the safety basis for SPF integrity evaluation insights. | |||
availability, including its storage and deployment pathways, and the permanently installed plant equipment needed to accomplish SFP cooling have subsequently been evaluated considering the GMRS-consistent loading conditions. [This can be accomplished in accordance with the guidance in Commented [A28]: Clarification: Both the approach used for this evaluation and the conclusion should be included in the NEI 12-06, Appendix H, Section H.4.4, Steps 2 and 3 since the GMRS to SSE ratio [PLANT/SITE] is submittal. | |||
2 xSSE.] | |||
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[Note 1: If the plants FLEX strategy for SFP cooling includes an option to run a flexible hose directly from the discharge of the portable pump to the pool, then no additional evaluation of the permanently installed FLEX makeup connection and the SFP emergency make-up piping is required. Modify the 3rd paragraph to align with this SFP cooling strategy] | |||
AVAILABILITY OF FLEX EQUIPMENT With the exception of SFP cooling, the AMS described in H.4.3 does not rely upon availability of FLEX equipment. | End of Example High Frequency Evaluation To address high frequency exceedance above the IHS, [PLANT/SITE] has conducted an evaluation of high frequency motion sensitive components (relays) in accordance with the guidance in EPRI 3002004396 (Reference 8) and found no adverse impact from the GMRS level seismic demands for the Commented [A29]: Clarification: Limited conclusion. The two shutdown trains. Furthermore, the high frequency evaluation confirmed that reactor protective conclusion should be more specific to the licensees ability to maintain the plant in a safe status. Something along the lines of the functions will maintain the plant in a safe condition following GMRS level seismic demands.. following sentence is a good start. | ||
Commented [A30]: Clarification: Suggest dispositioning HF AVAILABILITY OF FLEX EQUIPMENT exceedances above the IHS in a logical manner. Suggested sentence With the exception of SFP cooling, the AMS described in H.4.3 does not rely upon availability of FLEX for example. | |||
equipment. | |||
On-site FLEX equipment may be available for deployment to support the maintenance of core cooling, containment, and spent fuel cooling functions. In order to provide additional potential mitigating capability, portable FLEX equipment not being used for the AMS is stored and reasonably protected in accordance with Section 5.3.1 of NEI 12-06. | On-site FLEX equipment may be available for deployment to support the maintenance of core cooling, containment, and spent fuel cooling functions. In order to provide additional potential mitigating capability, portable FLEX equipment not being used for the AMS is stored and reasonably protected in accordance with Section 5.3.1 of NEI 12-06. | ||
Additionally, [PLANT/SITE] maintains the capability to obtain additional portable FLEX equipment from offsite sources. No strategies are need to be preplanned for the use of the offsite equipment. since this equipment would augment onsite equipment and plans. | Additionally, [PLANT/SITE] maintains the capability to obtain additional portable FLEX equipment from offsite sources. No strategies are need to be preplanned for the use of the offsite equipment. since this Commented [A31]: Clarification: Suggest providing additional equipment would augment onsite equipment and plans. clarity on the use of offsite equipment. | ||
Portable equipment is also available from offsite. The industry has established two (2) National SAFER Response Centers (NSRCs) to support utilities during beyond design basis events. [PLANT/SITE] has established contracts with the Pooled Equipment Inventory Company (PEICo) to participate in the process for support of the NSRCs as required. Each NSRC will hold five (5) sets of equipment, four (4) of which will be able to be fully deployed when requested, the fifth set will have equipment in a maintenance cycle. In the event of a BDB seismic event, equipment can be moved from an NSRC to a local assembly area established by the Strategic Alliance for FLEX Emergency Response (SAFER) team. From there, equipment can be taken to the site and staged at the SAFER onsite Staging Area by helicopter, if ground transportation is unavailable. Communications will be established between the site and the SAFER team via satellite phones and required equipment moved to the site as needed. First arriving equipment will be delivered to the site within 24 hours from the initial request. The order in which equipment is delivered is identified in the [PLANT/SITE] SAFER Response Plan and no modifications to the sequence are necessary following a seismic event.. | Portable equipment is also available from offsite. The industry has established two (2) National SAFER Response Centers (NSRCs) to support utilities during beyond design basis events. [PLANT/SITE] has established contracts with the Pooled Equipment Inventory Company (PEICo) to participate in the process for support of the NSRCs as required. Each NSRC will hold five (5) sets of equipment, four (4) of which will be able to be fully deployed when requested, the fifth set will have equipment in a maintenance cycle. In the event of a BDB seismic event, equipment can be moved from an NSRC to a local assembly area established by the Strategic Alliance for FLEX Emergency Response (SAFER) team. From there, equipment can be taken to the site and staged at the SAFER onsite Staging Area by helicopter, if ground transportation is unavailable. Communications will be established between the site and the SAFER team via satellite phones and required equipment moved to the site as needed. First arriving equipment will be delivered to the site within 24 hours from the initial request. The order in which equipment is delivered is identified in the [PLANT/SITE] SAFER Response Plan and no Commented [A32]: Clarification: Suggest providing clarity that modifications to the sequence are necessary following a seismic event.. no modifications to the plan for a seismic event are needed. | ||
Page 7 of 7}} |
Latest revision as of 16:40, 4 December 2019
ML16116A002 | |
Person / Time | |
---|---|
Issue date: | 04/22/2016 |
From: | Nicholas Difrancesco Japan Lessons-Learned Division |
To: | Mauer A Nuclear Energy Institute |
References | |
Download: ML16116A002 (10) | |
Text
NRR-PMDAPEm Resource From: DiFrancesco, Nicholas Sent: Friday, April 22, 2016 3:04 PM To: 'MAUER, Andrew' Cc: Shams, Mohamed; Titus, Brett
Subject:
NRC Comments on Path 3 MSA Template Attachments: NRC Comments on Appendix H seismic MSA Path 3 Template.docx
- Andrew, Appreciate the opportunity to comment on the Path 3 MSA template for seismic. The attached comments identify a some editorial suggestions and minor opportunities to clarify licensee MSA plans.
Please let me know if you have any questions.
Many thanks, Nick Senior Project Manager - Seismic Reevaluation Activities U.S. Nuclear Regulatory Commission Office of Nuclear Reactor Regulation Japan Lesson Learned Project Division nicholas.difrancesco@nrc.gov l Tel: (301) 415-1115 From: MAUER, Andrew [1]
Sent: Thursday, April 07, 2016 2:34 PM To: DiFrancesco, Nicholas ; Shams, Mohamed
Subject:
[External_Sender] Path 3 MSA Template Mohamed/Nick, Attached is the proposed MSA template that the industry has developed to support Path 3 MSA submittals for seismic.
We would welcome any feedback and would appreciate hearing from you by April 22.
- Thanks, Andrew Andrew N. Mauer Senior Project Manager Emergency Preparedness & Risk Assessment Nuclear Energy Institute 1201 F Street, NW, Suite 1100 Washington, DC 20004 www.nei.org T: 202.739.8018 M: 202.344.7137 F: 202.533.0157 1
E: anm@nei.org T: @N_E_I TAKE THE NEI FUTURE OF ENERGY QUIZ, www.NEI.org/futureofenergy FOLLOW US ON This electronic message transmission contains information from the Nuclear Energy Institute, Inc. The information is intended solely for the use of the addressee and its use by any other person is not authorized. If you are not the intended recipient, you have received this communication in error, and any review, use, disclosure, copying or distribution of the contents of this communication is strictly prohibited. If you have received this electronic transmission in error, please notify the sender immediately by telephone or by electronic mail and permanently delete the original message. IRS Circular 230 disclosure: To ensure compliance with requirements imposed by the IRS and other taxing authorities, we inform you that any tax advice contained in this communication (including any attachments) is not intended or written to be used, and cannot be used, for the purpose of (i) avoiding penalties that may be imposed on any taxpayer or (ii) promoting, marketing or recommending to another party any transaction or matter addressed herein.
Sent through www.intermedia.com 2
Hearing Identifier: NRR_PMDA Email Number: 2795 Mail Envelope Properties (4da92849a11a458d9da964f75d1f76c6)
Subject:
NRC Comments on Path 3 MSA Template Sent Date: 4/22/2016 3:03:40 PM Received Date: 4/22/2016 3:03:00 PM From: DiFrancesco, Nicholas Created By: Nicholas.DiFrancesco@nrc.gov Recipients:
"Shams, Mohamed" <Mohamed.Shams@nrc.gov>
Tracking Status: None "Titus, Brett" <Brett.Titus@nrc.gov>
Tracking Status: None
"'MAUER, Andrew'" <anm@nei.org>
Tracking Status: None Post Office: HQPWMSMRS07.nrc.gov Files Size Date & Time MESSAGE 2538 4/22/2016 3:03:00 PM NRC Comments on Appendix H seismic MSA Path 3 Template.docx 46350 Options Priority: Standard Return Notification: No Reply Requested: No Sensitivity: Normal Expiration Date:
Recipients Received:
- Yellow highlighted Red Text designate information to be filled in by Company/Licensee
- Blue brackets designate instructions
- All bracketed text, Red text and blue text should be removed prior to submission]
[DATE]
ATTN: Document Control Desk U.S. Nuclear Regulatory Commission Washington, DC 20555-0001 Company/Licensee/Site Name Company/Licensee/Site Docket Number(s)
Company/Licensee/Site Renewed License Number(s)
Subject:
NEI 12-06, Appendix H, Revision 2, H.4.3 Path 3: GMRS > SSE but < IHS, Mitigating Strategies Assessment (MSA) report for the New Seismic Hazard Information
References:
- 1. NEI 12-06, Revision 2, Diverse and Flexible Coping Strategies (FLEX) Implementation Guide, December 2015, ADAMS Accession Number ML16005A625
- 2. JLD-ISG-2012-01, Revision 1, Compliance with Order EA-12-049, Order Modifying Licenses with Regard to Requirements for Mitigation Strategies for Beyond-Design-Basis External Events, February 2016, ADAMS Accession Number ML15357A163
- 3. [Company/Licensee Seismic Hazard Reevaluations submittal and any supplements,
[DATE(S)], ADAMS Accession Number(s)]
- 4. [NRC Letter, Company/Licensee Staff Assessment of Information provided Pursuant to Title 10 of the Code of Federal Regulations Part 50, Section 50.54(f), Seismic Hazard Reevaluations for Recommendation 2.1 of the Near-Term Task Force Review of Insights from the Fukushima DAI-ICHI Accident, dated [DATE], ADAMS Accession Number MLxxxxxxxxx]
- 5. U.S. NRC, NUREG-1407: Procedural and Submittal Guidance for the Individual Plant Examination of External Events (IPEEE) for Severe Accident Vulnerabilities, ADAMS Number ML063550238, Washington, D.C., June, 1991.
- 6. NEI, NEI 12-01 Revision 0: Guideline for Assessing Beyond-design-basis Accident Response Staffing and Communications Capabilities, Washington, D.C., May, 2012.
- 7. EPRI, Seismic Evaluation Guidance: Screening, Prioritization and Implementation Details (SPID) for the Resolution of Fukushima Near-Term Task Force Recommendation 2.1: Seismic, Report Number 1025287, Palo Alto, CA, November, 2012.
- 8. EPRI, High Frequency Program: Application Guidance for Functional Confirmation and Fragility Evaluation, Report Number 3002004396, Palo Alto, CA, July 30, 2015.
- 9. [PLANT OIP/FIP Submittal Reference]
Ladies and Gentlemen, Page 1 of 7
- Yellow highlighted Red Text designate information to be filled in by Company/Licensee
- Blue brackets designate instructions
- All bracketed text, Red text and blue text should be removed prior to submission]
The purpose of this letter is to provide the results of the assessment for [PLANT/SITE] to demonstrate that an Individual Plant Examination of External Events (IPEEE) based alternate mitigating strategy (AMS) can be implemented considering the impacts of the reevaluated seismic hazard. The assessment was performed in accordance with the guidance provided in Appendix H of NEI 12-06 Revision 2 (Reference 1) which was endorsed by the NRC (Reference 2).
The Mitigating Strategies Seismic Hazard Information (MSSHI) is the licensees reevaluated seismic hazard information at [PLANT/SITE], developed using Probabilistic Seismic Hazard Analysis (PSHA). The MSSHI for Path 3 includes the a performance-based Ground Motion Response Spectrum (GMRS) , Uniform Hazard Response Spectra (UHRS) at various annual Commented [A1]: Clarification: This paragraph should be clear probabilities of exceedance, and a family of seismic hazard curves at various frequencies and to the information needed to perform the assessment.
fractiles developed at the [PLANT/SITE].control point elevation. [PLANT/SITE] submitted the reevaluated seismic hazard information including the UHRS, GMRS and the hazard curves to the NRC on [DATE(s)] (Reference(s) 3, [x associated with blue text]), [Reference all supplemental submittals that may have been made in response to the 10 CFR 50.54(f) request for information]. The NRC staff concluded that the MSSHI that was submitted adequately Commented [A2]: Editorial: Why isnt the RFI itself referenced characterizes the reevaluated seismic hazard for the site (Reference 4). and discussed?
Consistent with Section H.4.3 of Reference 1, the [PLANT/SITE] GMRS is bounded by the high-confidence-of-low-probability-of-failure (HCLPF) spectrum developed from evaluations for the IPEEE between 1-10 Hz - referred to as the IHS. Section 6.1.2 of Reference 2 identified that Commented [A3]: Editorial: Consider saying 1 and 10 Hz in the method described in Section H.4.3 of Reference 1 is applicable to [PLANT/SITE]. order to fit in this sentence better.
Commented [A4]: Editorial: This sentence is a bit awkward because it isnt obvious what IHS means. I understand what it is Based upon the mitigating strategies assessment in Attachment 1, the mitigating strategies for based on the usages in NEI 12-06 and in meetings, but it would be
[PLANT/SITE] considering the impacts of the reevaluated seismic hazard [can be implemented helpful to define it somewhere in this template.
as designed or will be modified as discussed in the attachment].
Commented [A5]: Editorial: It could be helpful to include a statement as to whether there are exceedances above 10 Hz.
This letter contains no new Regulatory Commitments and no revision to existing Regulatory Commented [A6]: Editorial: Or the Attachment Commitments.
Commented [A7]: Clarification: I dont see a template section on modifications planned.
Should you have any questions regarding this submittal, please contact
[Company/Licensee/Site contact and phone number]
I declare under penalty of perjury that the foregoing is true and correct. Executed on the [DATE].
Sincerely,
[Company/Licensee/Site Vice President]
Attachment:
Mitigating Strategies Assessment for [Plant]
cc: [Company/Licensee/Site specific distribution]
Page 2 of 7
- Yellow highlighted Red Text designate information to be filled in by Company/Licensee
- Blue brackets designate instructions
- All bracketed text, Red text and blue text should be removed prior to submission]
ATTACHMENT 1 Commented [A8]: Editorial: Letter References Attachment 1 Company/Licensee Plant/Site Name Company/Licensee/Site Docket Number(s)
Company/Licensee/Site Renewed License Number(s)
Mitigating Strategies Assessment for [Plant]
Page 3 of 7
- Yellow highlighted Red Text designate information to be filled in by Company/Licensee
- Blue brackets designate instructions
- All bracketed text, Red text and blue text should be removed prior to submission]
INTRODUCTION The purpose of this mitigating strategies assessment is to evaluate and demonstrate that [PLANT/SITE]
can mitigate the effects of the reevaluated seismic hazard information developed pursuant to the NRCs 10CFR 50.54(f) letter dated March 12, 2012. the effects of the reevaluated seismic hazard developed in response to NRC letter pursuant to 10CFR 50.54(f) dated March 12, 2012. The Commented [A9]: Editorial: Potentially redundant to the prior assessment was performed in accordance with the guidance provided in Reference 1. Reference 1 phrase appearing in this sentence, but it might be included to demonstrate a diverse and flexible way of saying this.
discusses a method to develop an alternate mitigating strategy (AMS) to address the mitigating strategies seismic hazard information (MSSHI). This includes a modification of the general criteria and baseline assumptions included in Section 3.2.1 of Reference 1 to exclude consideration of losses such as an extended loss of AC power (ELAP), Loss of offsite power (LOOP) or loss of ultimate heat sink (LUHS) unless caused by the seismic hazard. Reference 2 provides an NRC staff position that the method described in Section H.4.3 of Reference 1 for an AMS is acceptable for mitigating a beyond design basis external event. Further, the protection of onsite power sources and normal access to the Commented [A10]: Editorial: Hyphenate as a compound UHS from the seismic hazard is an acceptable method of mitigating a simultaneous loss of all AC modifier.
power and loss of normal access to the ultimate heat sink.
An IPEEE-based alternate mitigating strategy (AMS) relies on the seismic evaluation of plant equipment to demonstrate robustness of structures, systems and components (SSCs) to the GMRS.
The IPEEE for [PLANT/SITE] relied on the results of an [chose one: SPRA, an EPRI seismic margins Commented [A11]: Editorial: This would be redundant to the assessment (SMA) methodology, or an NRC SMA methodology] to demonstrate the capability to bring an outside of the square brackets.
the plant to a safe shutdown condition following a review level earthquake (RLE) as described in Commented [A12]: Editorial: Id.
NUREG-1407 (Reference 5). The [chose one: SPRA, an EPRI seismic margins assessment (SMA) Commented [A13]: Editorial: This would just sound silly methodology, or an NRC SMA methodology] approach evaluated two safe shutdown success paths. because it would be a use of an indefinite article immediately after The safe shutdown success paths provide independent means of achieving a safe shutdown condition the definite article.
following a severe seismic event (e.g., core cooling by heat removal from the steam generators and Commented [A14]: Editorial: Id.
core cooling by RCS feed and bleed).
Seismic evaluations performed under the IPEEE included SSCs in those two safe shutdown success paths. Therefore, based on the results of the IPEEE, safe shutdown of the plant following a seismic event can be accomplished, and consequences can be mitigated, for a seismic event up to the plant capacity level (i.e., the IHS) for which the SSCs in the IPEEE were evaluated. Commented [A15]: Editorial: Please define IHS.
Commented [A16]: Clarification: This logic chain omits a Indefinite Coping comparison of the RLE or the IHS to the GMRS. That should be A plant-specific evaluation was performed and concluded that SSCs that limit the SMA-based IPEEE included for completeness.
coping duration to 72 hours8.333333e-4 days <br />0.02 hours <br />1.190476e-4 weeks <br />2.7396e-5 months <br /> are available for an indefinite period following a beyond design-basis seismic event at the reevaluated seismic hazard level to support continued maintenance of the safe shutdown condition. Commented [A17]: Clarification: Is this portion supposed to be included in submittals from non-SMA based IPEEE submittals?
Example The [PLANT/SITE] IPEEE was based on the EPRI SMA method. This approach defined the Seismic Equipment List (SEL) for evaluation of safe shutdown success paths to be comprised of those SSCs required to bring the plant to a stable condition (either hot or cold shutdown) and maintain that condition for at least 72 hours8.333333e-4 days <br />0.02 hours <br />1.190476e-4 weeks <br />2.7396e-5 months <br />. Therefore, the IPEEE results have been evaluated for limitations that are based Page 4 of 7
- Yellow highlighted Red Text designate information to be filled in by Company/Licensee
- Blue brackets designate instructions
- All bracketed text, Red text and blue text should be removed prior to submission]
on the 72 hour8.333333e-4 days <br />0.02 hours <br />1.190476e-4 weeks <br />2.7396e-5 months <br /> coping duration. Generally, the conclusions of the SMA are not sensitive to coping duration. However, certain consumable items, such as water and fuel oil inventories, have been evaluated based on a limited onsite supply. The ability to continue coping would potentially require re-supply of consumables.
Site access is restored to a near-normal status and/or augmented transportation resources are available within a few days as determined by NEI 12-01 (Reference 6), to allow for additional supplies to be brought in and allow for continuation of coping strategies and maintain the plant in a stable condition. A plant-specific evaluation has been performed to identify consumables and/or SSCs that are Commented [A18]: Clarification: This is not really true; NEI 12-limiting for the 72 hour8.333333e-4 days <br />0.02 hours <br />1.190476e-4 weeks <br />2.7396e-5 months <br /> coping duration assumed in the development of the IPEEE. 01 did not determine anything. Consider modifying this to read something like Site access is assumed to be restored as discussed in NEI 12-01.
The coping evaluation concluded that only cooling water supply to the steam generators (auxiliary Commented [A19]: Clarification: This is somewhat incomplete feedwater) was considered limiting in the IPEEE for an extended coping period. Several alternative because it only documents that the licensee looked for problems, water supplies are available to [PLANT/SITE] to support coping for an extended period following the not solutions. Consider modifying this to state that A plant-beyond design-basis seismic event to support continued maintenance of the safe shutdown condition. specific evaluation has been performed to identify consumables and/or SSCs that are limiting for the 72 hour8.333333e-4 days <br />0.02 hours <br />1.190476e-4 weeks <br />2.7396e-5 months <br /> coping duration Additional seismically robust water sources include the 100,000 gallon primary water storage tank, site assumed in the development of the IPEEE and to identify methods fire water system with two 245,000 gallon fire water tanks, and the condenser hotwell. The high- of addressing any shortfalls.
volume city water supply, if available following a seismic event, is an additional water source with Commented [A20]: Clarification: Should be clear on sources essentially indefinite supply capability. Portable pumps are available from the National SAFER that should be available following a seismic event.
Response Centers (NSRC) to support water transfer from the alternate supplies.
Although not determined to be limiting, fuel oil supplies supporting diesel generator operation were also evaluated for extended coping. [PLANT/SITE] has established standing contracts with fuel providers to replenish diesel fuel supplies. The on-site supplies have been evaluated to last approximately [xxxx]
days to continue the strategies evaluated under the IPEEE and/or on-site FLEX strategies.
Additionally, the National SAFER Response Centers (NSRC) has the ability to air lift fuel bladders for Commented [A21]: Editorial: One word use in the limited cases prior to roadways being made available for site access.
End of Example IPEEE Upgrade to Full Scope [only applies to plants that conducted focused-scope assessment, any reviews conducted below that have been performed and submitted in response to the 50.54(f) letter should be referenced below instead of restating the review/results.]
The [PLANT/SITE] IPEEE was included in the focused scope bin, and an upgrade to a full scope assessment is required as described in EPRI 1025287 (Reference 7).
[PLANT/SITE] was binned as a 0.3g Focused Scope plant in NUREG-1407. As stated in Section 3.3.1 of the SPID, focused-scope IPEEE submittals may be used for screening against the GMRS provided they are enhanced to bring them in line with full scope assessments. The enhancements include (1) a full scope detailed review of relay chatter and (2) a full evaluation of soil failures.
Full Scope Relay Chatter Review
[PLANT/SITE] performed an assessment of relay chatter effects in accordance with the scope and procedures described in NUREG-1407 [Reference 5]. [PLANT/SITE] was an A-46 plant and the relay chatter review was conducted consistent with staff recommendations outlined in NUREG-1407, Appendix D, Table 7.17.2, which includes expansion of the A-46 relay scope to include IPEEE systems and evaluation of the entire expanded scope at the IPEEE Review Level Earthquake.
Page 5 of 7
- Yellow highlighted Red Text designate information to be filled in by Company/Licensee
- Blue brackets designate instructions
- All bracketed text, Red text and blue text should be removed prior to submission]
Include conclusions from relay chatter review, including any modifications - reference submittal template for 2.1 relay chatter review for level of detail.
Soil Failure Analysis
[PLANT/SITE] has completed a soil failure analysis in accordance with the procedures described in NUREG-1407, which defers to the guidance provided in EPRI NP-6041-SL. Soil failure modes include soil liquefaction, foundation settlement, and slope instability (failure). The soil failure evaluation was conducted In accordance with Section 7 of EPRI NP-6041-SL. Commented [A22]: Editorial: Is this intended to be example text similar to the previous section? If so, use the same formatting.
Include conclusions from soil failure analysis review, including any modifications. Commented [A23]: Clarification: Should this be blue bracketed text?
Spent Fuel Pool Cooling Evaluation The evaluation of spent fuel pool cooling for [PLANT/SITE] was performed based on the initial Commented [A24]: Clarification: We are not considering ISFSIs.
conditions established in NEI 12-06 for spent fuel cooling coping in the event of an ELAP/LUHS. The evaluation also used the results of pool heatup analyses from the ELAP evaluation as input.
Example Spent Fuel Pool Cooling Commented [A25]: Editorial: Is this heading necessary? It seems duplicative of the Spent Fuel Pool Cooling Evaluation heading.
The FLEX strategy for spent fuel pool (SFP) cooling utilizes SFP level monitoring and make-up capability as described in Plant X OIP/ FIP (Reference 9). The SFP level is monitored using installed level monitoring instrumentation with remote monitoring capability [or other method described in the OIP/FIP]. SFP make-up capability is provided using the portable FLEX [SFP makeup] pump taking Commented [A26]: Clarification: This could cause issues regarding the question of seismic capacity of the SFPI installed suction though a portable flexible hose and discharging through a permanently installed FLEX makeup under EA-12-051, which is not being upgraded to the MSSHI. We connection tie-in to the SFP emergency make-up piping [through a flexible hose directly to the SFP]. should be transparent as to what we expect here and not attempt to impose requirements to evaluate that instrument to a higher The source of make-up water is the plant ultimate heat sink [pond, river, reservoir, lake, sound, as level by means of a template.
applicable] [or - is the plant XXX tank].
The permanently installed plant equipment relied on for the implementation of the SFP Cooling FLEX strategy has been designed and installed, or evaluated to remain functional, in accordance with the plant design basis to the SSE loading conditions. The spent fuel pool integrity evaluations demonstrated inherent margins of the spent fuel pool structure and interfacings plant equipment above the SSE to a peak spectral acceleration of 0.8g [Reference(s) X] .The portable FLEX equipment Commented [A27]: Clarification: Consider amplifying the safety basis for SPF integrity evaluation insights.
availability, including its storage and deployment pathways, and the permanently installed plant equipment needed to accomplish SFP cooling have subsequently been evaluated considering the GMRS-consistent loading conditions. [This can be accomplished in accordance with the guidance in Commented [A28]: Clarification: Both the approach used for this evaluation and the conclusion should be included in the NEI 12-06, Appendix H, Section H.4.4, Steps 2 and 3 since the GMRS to SSE ratio [PLANT/SITE] is submittal.
2 xSSE.]
Page 6 of 7
- Yellow highlighted Red Text designate information to be filled in by Company/Licensee
- Blue brackets designate instructions
- All bracketed text, Red text and blue text should be removed prior to submission]
[Note 1: If the plants FLEX strategy for SFP cooling includes an option to run a flexible hose directly from the discharge of the portable pump to the pool, then no additional evaluation of the permanently installed FLEX makeup connection and the SFP emergency make-up piping is required. Modify the 3rd paragraph to align with this SFP cooling strategy]
End of Example High Frequency Evaluation To address high frequency exceedance above the IHS, [PLANT/SITE] has conducted an evaluation of high frequency motion sensitive components (relays) in accordance with the guidance in EPRI 3002004396 (Reference 8) and found no adverse impact from the GMRS level seismic demands for the Commented [A29]: Clarification: Limited conclusion. The two shutdown trains. Furthermore, the high frequency evaluation confirmed that reactor protective conclusion should be more specific to the licensees ability to maintain the plant in a safe status. Something along the lines of the functions will maintain the plant in a safe condition following GMRS level seismic demands.. following sentence is a good start.
Commented [A30]: Clarification: Suggest dispositioning HF AVAILABILITY OF FLEX EQUIPMENT exceedances above the IHS in a logical manner. Suggested sentence With the exception of SFP cooling, the AMS described in H.4.3 does not rely upon availability of FLEX for example.
equipment.
On-site FLEX equipment may be available for deployment to support the maintenance of core cooling, containment, and spent fuel cooling functions. In order to provide additional potential mitigating capability, portable FLEX equipment not being used for the AMS is stored and reasonably protected in accordance with Section 5.3.1 of NEI 12-06.
Additionally, [PLANT/SITE] maintains the capability to obtain additional portable FLEX equipment from offsite sources. No strategies are need to be preplanned for the use of the offsite equipment. since this Commented [A31]: Clarification: Suggest providing additional equipment would augment onsite equipment and plans. clarity on the use of offsite equipment.
Portable equipment is also available from offsite. The industry has established two (2) National SAFER Response Centers (NSRCs) to support utilities during beyond design basis events. [PLANT/SITE] has established contracts with the Pooled Equipment Inventory Company (PEICo) to participate in the process for support of the NSRCs as required. Each NSRC will hold five (5) sets of equipment, four (4) of which will be able to be fully deployed when requested, the fifth set will have equipment in a maintenance cycle. In the event of a BDB seismic event, equipment can be moved from an NSRC to a local assembly area established by the Strategic Alliance for FLEX Emergency Response (SAFER) team. From there, equipment can be taken to the site and staged at the SAFER onsite Staging Area by helicopter, if ground transportation is unavailable. Communications will be established between the site and the SAFER team via satellite phones and required equipment moved to the site as needed. First arriving equipment will be delivered to the site within 24 hours2.777778e-4 days <br />0.00667 hours <br />3.968254e-5 weeks <br />9.132e-6 months <br /> from the initial request. The order in which equipment is delivered is identified in the [PLANT/SITE] SAFER Response Plan and no Commented [A32]: Clarification: Suggest providing clarity that modifications to the sequence are necessary following a seismic event.. no modifications to the plan for a seismic event are needed.
Page 7 of 7