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| document type = OPERATING LICENSES-APPLIATION TO AMEND-RENEW EXISTING, TEXT-LICENSE APPLICATIONS & PERMITS
| document type = OPERATING LICENSES-APPLIATION TO AMEND-RENEW EXISTING, TEXT-LICENSE APPLICATIONS & PERMITS
| page count = 18
| page count = 18
| project =
| stage = Request
}}
}}


=Text=
=Text=
{{#Wiki_filter:P H.IC3R.lWY (ACCELERATED RIDS PROCESSING~)
{{#Wiki_filter:P     H.IC3R.lWY (ACCELERATED     RIDS PROCESSING~)
REGULATORY INFORMATION DISTRIBUTION SYSTEM (RIDS)ACCESSION NBR:9408250029 DOC.DATE: 94/08/19 NOTARIZED:
REGULATORY INFORMATION DISTRIBUTION SYSTEM (RIDS)
YES DOCKET FACIL:50-400 Shearon Harris Nuclear Power Plant, Unit 1, Carolina 05000400 AUTH.NAME AUTHOR AFFILIATION ROBINSON,W.R.
ACCESSION NBR:9408250029               DOC.DATE:   94/08/19     NOTARIZED: YES       DOCKET FACIL:50-400 Shearon Harris Nuclear Power Plant, Unit 1, Carolina                     05000400 AUTH. NAME             AUTHOR AFFILIATION ROBINSON,W.R.         Carolina Power 6 Light Co.
Carolina Power 6 Light Co.RECIP.NAME RECXPXENT AFFILIATION Document Control Branch (Document Control Desk)
RECIP.NAME             RECXPXENT AFFILIATION Document Control Branch (Document Control Desk)


==SUBJECT:==
==SUBJECT:==
Application for amend, to license NPF-63,incorporating programmatic controls for radioactive effluents,radiological envl.ron monitoring 6 solid wastes in administrative controls section of TS 6 relocating RETS to ODCM or PCP,per GL 89-01.DISTRIBUTION CODE: AOOSD COPIES RECEIVED:LTR j ENCL J SIZE: l TITLE: OR/Licensing Submittal:
Application for amend, to license NPF-63,incorporating programmatic controls for radioactive effluents,radiological envl.ron monitoring 6 solid wastes in administrative controls DISTRIBUTION CODE: AOOSD             COPIES RECEIVED:LTR TITLE: OR/Licensing Submittal: Appendix I (ODCM)
Appendix I (ODCM)NOTES:Application for permit renewal filed.05000400 RECIPIENT ID CODE/NAME PD2-1 LA LE,N INTERNAL: ACRS NRR/PDV OGC/HDS2 RGN...DRSS/RPB EXTERNAL EGGG AKERS i D NUDOCS-ABSTRACT COPIES LTTR ENCL 1 1 2 2 3 3 1 1 1 0 1 1 1 1 1 1 RECXPIENT XD CODE/NAME PD2-1 PD NRR/DRSS/PRPB R G 01 NRC/PDR PNL BAKER i D A COPIES LTTR ENCL 1 1 1 1 1 0 1 1 1 1 1 1 NOTE TO ALL"RIDS" RECIPIENTS:
NOTES:Application for permit renewal filed.
PLEASE HELP US TO REDUCE WASTE!CONTACT THE DOCUMENT CONTROL DESK, ROOM Pl-37 (EXT.504-2083)TO ELIMINATE YOUR NAME FROM DISTRIBUTION LISTS I'OR DOCUMENTS YOU DON'T NEED!TOTAL NUMBER OF COPIES REQUIRED: LTTR 17 ENCL 15 Carolina Power&Light Company PO Box 165 New Hill NC 27562 William R.Robinson Vice President Harris Nuclear Plant AUG f 9 199'etter Number: HO-940281 SERIAL: HNP-94-025 10 CFR 50.90 United States Nuclear Regulatory Commission ATTENTION:
j section of TS 6 relocating RETS to ODCM or PCP,per GL 89-01.
Document Control Desk Washingt:on, DC 20555 SHEARON HARRIS NUCLEAR POWER PLANT DOCKET NO.50-400/LICENSE NO.NPF-63 REQUEST FOR LICENSE AMENDMENT RADIOLOGICAL EFFLUENT TECHNICAL SPECIFICATIONS Gentlemen:
ENCL  J  SIZE: l 05000400 RECIPIENT                 COPIES              RECXPIENT        COPIES ID CODE/NAME               LTTR ENCL        XD CODE/NAME      LTTR ENCL PD2-1 LA                       1    1      PD2-1 PD              1    1 LE,N                           2    2 INTERNAL: ACRS                             3    3      NRR/DRSS/PRPB          1    1 NRR/PDV                         1    1                            1    0 OGC/HDS2                       1    0      R G            01    1    1 RGN... DRSS/RPB                 1    1 EXTERNAL   EGGG AKERS i D                 1     1     NRC/PDR                1     1 NUDOCS-ABSTRACT                1     1     PNL BAKER i D A       1     1 NOTE TO ALL"RIDS" RECIPIENTS:
In accordance with the Code of'ederal Regulations, Title 10, Parts 50.90 and 2.101, Carolina Power&Light Company (CP&L)hereby requests a revision to the Technical Specifications (TS)for the Shearon Harris Nuclear Power Plant (SHNPP).This license amendment requests a line-item improvement to the SHNPP Radiological Effluent Technical Specifications (RETS)pursuant to the guidance of Generic Letter 89-01.The proposed amendment will incorporate programmatic controls for radioactive effluents, radiological environmental monitoring and solid radioactive wastes in the Administrative Controls Section of the TS, and relocate the current procedural details of the current RETS into the Offsite Dose Calculation Manual or Process Control Program, as appropriate.
PLEASE HELP US TO REDUCE WASTE! CONTACT THE DOCUMENT CONTROL DESK, ROOM Pl-37 (EXT. 504-2083 ) TO ELIMINATEYOUR NAME FROM DISTRIBUTIONLISTS I'OR DOCUMENTS YOU DON'T NEED!
This amendment will also incorporate 1)changes to the reporting requirements for Effluent Release Reports, 2)references to the new 10 CFR 20 for those sections of Technical Specifications included in the RETS TSCR, and 3)revised terminology for the gaseous effluent release rate limits.This license amendment request supercedes and replaces in its entirety our July 21, 1992 RETS TSCR and its supplement on September 3, 1992.Enclosure 1 provides a detailed description of the proposed changes and the basis for the changes.Enclosure 2 details, in accordance with 10 CFR 50.91(a), the basis for the Company's determination that the proposed changes do not involve a significant hazards consideration. provides an environmental evaluation which demonstrates that the proposed amendment meets the eligibility criteria for categorical exclusion set forth in 10 CFR 51.22(c)(9).
TOTAL NUMBER OF COPIES REQUIRED: LTTR                   17   ENCL   15
Therefore, pursuant to 10 CFR 51.22(b), no environmental assessment needs to be prepared in connection with the issuance of the amendment.
 
'740825002'P 9'40819 ,PDR,''ADOCK 05000400 P-'.PDR State Road1134 NewHill NC Tel 919362-2502 Fax 919362-6950 Document Control Desk HNP-94-025
Carolina Power & Light Company                                                         William R. Robinson PO Box 165                                                                             Vice President New Hill NC 27562                                                                       Harris Nuclear Plant AUG   f 9 199'etter Number: HO-940281                                                     SERIAL: HNP-94-025 10 CFR 50.90 United States Nuclear Regulatory Commission ATTENTION:                 Document Control Desk Washingt:on,               DC     20555 SHEARON HARRIS NUCLEAR POWER PLANT DOCKET NO. 50-400/LICENSE NO. NPF-63 REQUEST FOR LICENSE AMENDMENT RADIOLOGICAL EFFLUENT TECHNICAL SPECIFICATIONS Gentlemen:
/Page 2 Enclosure 4 provides page change instructions for incorporating the proposed revisions. provides the proposed Technical Specification pages.In accordance with 10 CFR 50.91(b), CPSL is providing the State of North Carolina with a copy of the proposed license amendment.
In accordance with the                     Code of'ederal Regulations, Title 10, Parts 50.90 and 2.101, Carolina Power & Light Company (CP&L) hereby requests a revision to the Technical Specifications (TS) for the Shearon Harris Nuclear Power Plant (SHNPP).
This license amendment requests a line-item improvement to the SHNPP Radiological Effluent Technical Specifications (RETS) pursuant to the guidance of Generic Letter 89-01. The proposed amendment will incorporate programmatic controls for radioactive effluents, radiological environmental monitoring and solid radioactive wastes in the Administrative Controls Section of the TS, and relocate the current procedural details of the current RETS into the Offsite Dose Calculation Manual or Process Control Program, as appropriate. This amendment will also incorporate 1) changes to the reporting requirements for Effluent Release Reports, 2) references to the new 10 CFR 20 for those sections of Technical Specifications included in the RETS TSCR, and 3) revised terminology for the gaseous effluent release rate limits.
This license amendment request supercedes                         and replaces   in its entirety our July   21, 1992 RETS TSCR and                   its supplement on September 3, 1992. provides a detailed description of the proposed changes and the basis for the changes. details, in       accordance   with   10 CFR   50.91(a), the basis for the Company's               determination that the proposed changes             do not involve a significant hazards consideration. provides an environmental evaluation which demonstrates that the proposed amendment meets the eligibility criteria for categorical exclusion set forth in               10   CFR   51.22(c)(9).       Therefore,     pursuant to 10 CFR 51.22(b), no environmental assessment                     needs to be prepared     in connection with the issuance of the amendment.
            '740825002'P               9'40819
            ,PDR,'
P-'            'ADOCK     05000400
                                      .     PDR State Road1134 NewHill NC   Tel 919362-2502   Fax 919362-6950
 
Document Control Desk HNP-94-025   / Page 2 provides page change instructions       for incorporating the     proposed revisions. provides the proposed Technical Specification pages.
In accordance with 10 CFR 50.91(b), CPSL is providing the State of North Carolina with a copy of the proposed license amendment.
In order to allow time for procedure revision and orderly incorporation into copies of the Technical Specifications, CP&L requests that the proposed amendments, once approved by the NRC, be issued such that implementation will occur within 120 days of issuance of the amendment.
In order to allow time for procedure revision and orderly incorporation into copies of the Technical Specifications, CP&L requests that the proposed amendments, once approved by the NRC, be issued such that implementation will occur within 120 days of issuance of the amendment.
Please refer any questions regarding this submittal to Mr.D.C.McCarthy at (919)362-2100.Yours very truly, W.R.Robinson SDC/sdc  
Please refer any questions     regarding this submittal to Mr. D. C. McCarthy     at (919) 362-2100.
Yours very truly, W. R. Robinson SDC/sdc


==Enclosures:==
==Enclosures:==
: 1. Basis  for Change Request
: 2. 10 CFR 50.92 Evaluation
: 3. Environmental Considerations
: 4. Page Change  Instructions
: 5. Technical Specification Pages W. R. Robinson,    having been first    duly sworn, did depose and say that the information contained herein is true    and correct to the be'st of his information, knowledge and belief; and the sources    of his information are officers, employees, contractors, and agents of Carolina      Power 6 Light  Company.
4anau+
Notary  Seal)                J 4
S. Y'Ieao My commission expires:
O NOTARY c;    Mr. Dayne  H. Brown Mr. S. D. Ebneter                                              PUOLlC Mr. N. B. Le Mr. J. E. Tedrow                                            ~ni    coe+'
Document Control Desk HNP-94-025 / Page 3 bc:  T. A. Baxter, Esq.        Mr. R. D. Martin Ms. P. Brannan            Admiral K. R. McKee Mr. R. K. Buckles (LIS)  Mr. J. W. Moyer Mr. W. R. Campbell        Mr. W. S. Orser Mr. J. W. Donahue        Mr. H. A. Pollock Mr. H. W. Habermeyer, Jr. Mr. G. A. Rolfson Mr. E. M. Harris          Mr. L. S. Rowell Ms. T. A. Head (GLS File) Mr. R. S. Stencil Mr. J. D. Heidt          Honorable H. Wells Mr. W. J. Hindman        Nuclear Records Mr. G. Honma (BNP)        File: HI/A-2D Mr. R. M. Krich (RNP)    File:  H-X-0511
ENCLOSURE TO  SERIAL'NP-94-025 ENCLOSURE 1 SHEARON HARRIS NUCLEAR POWER PLANT NRC DOCKET NO. 50-400/LICENSE NO. NPF-63 REQUEST FOR LICENSE AMENDMENT RADIOLOGICAL EFFLUENT TECHNICAL SPECIFICATIONS BASIS FOR CHANGE RE UEST
~Back round The Shearon  Harris Nuclear Power Plant (SHNPP) Technical Specifications include detailed requirements for controlling radiological effluents, solid radioactive wastes and radiological environmental monitoring. These requirements, located in Specifications 3/4.3, 3/4.11 and 3/4.12, are collectively referred to as the Radiological Effluent Technical Specifications (RETS). On July 21, 1992 (NLS 132), Carolina Power & Light Company (CP&L) submitted a Technical Specification Change Request (TSCR) that would have implemented the guidance of Generic Letter 89-01 relative to the RETS.      The July 1992 TSCR proposed the relocation of procedural details of the current RETS into the Offsite Dose Calculation Manual (ODCM) or Process Control Program (PCP), as appropriate.      It also proposed the incorporation of programmatic controls for    radioactive effluents,  radiological environmental monitoring and solid radioactive wastes into the Administrative Controls Section of t'e Technical Specifications (TS).
Since  CP&L submitted the RETS TSCR in July 1992, a number of changes have occurred. Part 20 of the Code of Federal Regulations has undergone a major revamping, reporting requirements in Part 50 have also been revised, and subsequent technical specification changes have been approved for SHNPP, all of which have some effect on the RETS TSCR as submitted in 1992. Therefore, CP&L has updated the RETS TSCR to account for these changes and herein resubmits the updated TSCR. This resubmittal supersedes and replaces the July 21, 1992 submittal.
Pro osed Chan e This license amendment requests a line-item improvement to the RETS portion of the SHNPP TS pursuant to the guidance of Generic Letter 89-01. The proposed amendment will incorporate programmatic controls for radioactive effluents, radiological environmental monitoring and solid radioactive wastes in the Administrative Controls Section of the TS, and relocate the procedural details of the current RETS into the Offsite Dose Calculation Manual (ODCM) or Process Control Program (PCP), as appropriate.      This amendment will also incorporate changes to the reporting requirements for Effluent Release Reports, references to the new 10 CFR 20 for those sections of Technical Specifications included in the RETS TSCR, and revised terminology for the gaseous effluent release rate limits.
Page El-1
ENCLOSURE TO  SERIAL:  HNP-94-025 Basis A. Radiological Effluent Technical Specifications As  discussed in NRC Generic Letter 89-01, the NRC staff has examined on a generic basis the contents of the RETS 'in relation to the Commission's Interim Policy Statement on Technical Specification Improvements. The staff has determined that programmatic controls can be implemented in the Administrative Controls Section of the TS to satisfy existing regulatory requirements for RETS. At the same time, the procedural details of the current TS on radioactive effluents and radiological environmental monitoring can be relocated to the ODCM. Likewise, the procedural details of the current TS on solid radioactive wastes can be relocated to the PCP.
These actions simplify the RETS, meet the regulatory requirements for radioactive effluents and radiological environmental monitoring, and are provided as a line-item improvement to the TS, consistent with the goals of the Policy Statement.
Pursuant to the guidance provided in Generic Letter 89-01, this amendment will provide    programmatic controls for RETS consistent with regulatory requirements and allow relocation of the procedural details of current RETS to the ODCM or PCP.
The    proposed programmatic controls for radioactive effluents and radiological environmental monitoring conform to the recommendations of the Generic Letter with two exceptions, both of which deal with the manner in which specific limits are referenced in the new Administrative Controls Section.      First, the proposed liquid effluent limits in Paragraph 6.8.4.h.2, reflect the recently approved limits expressed in terms of the revised    10 CFR 20  requirements (see TS Amendment 40).      The GL 89-01 wording references    the old 10 CFR 20 requirements. Second, the proposed gaseous effluent limits in Paragraph 6.8.4.h.7 maintains the current TS use of specific numerical limits. Generic Letter 89-01 would replace the specific numerical limits with references to the limits in 10 CFR 20 (see Section D below).          In both cases, the wording of the proposed Administrative Controls reflect the effluent limits of the current TS which they are replacing, and are in accordance with subsequent NRC guidance.
Future changes      to the procedural details will be controlled by the controls for changes to the ODCM or PCP included in the Administrative Controls Section of the TS.
The change    to each Technical Specification is outlined in the attached table, Page El-2
ENCLOSURE TO      SERIAL:      HNP-94-025 SUB4ARY OF PROPOSED C  GES TO THE RETS  ADHINISTRATIVE CONTROLS SPECIFICATION            TITLE            DISPOSITION OF EXISTING SPECIFICATION 1.20          OFFSITE DOSE CALCULATION    Definition is updated to reflect the MANUAL                      change in scope of the ODCH.
1.25          PROCESS  CONTROL PROGRAM    Definition is updated to reflect the change in scope of the PCP.
1.34          SOLIDIFICATION              Definition is relocated to the  PCP.
3/4.3.3.10    RADIOACTIVE LIQUID          Pzogranmatic controls are included    in EFPLUENT HONZTORING        6.8.4 h. Item 1). Existing specifi.-
INSTRUMENTATION            oation procedural details aro relocated to tho ODCH.
3/4 ' '. 11  RADIOACTIVE GASEOUS EFPLUENT MONITORING Pzogranmatic controls are included 6.8.4 h. Item 1). Existing specifi-in INSTRUMENTATION            cation procedural details are relocated to tho ODCH. Existing requirements for explosive gas monitoring instrumentation aro retainod.
3/4.11.1.1    LIQUID EFFLUENTS:          Pzogranmatic controls are included in CONCENTRATION              6.8.4 h. Item 2) and 3). Existing specification procedural details are relocated to the    ODCH.
3/4.11. 1.2  LIQUID EFFLUENTS:          Progranmatic controls are included in DOSE                        6.8.4 h. Item 4) and 5). Existing specification pzoceduzal details are relocated to the ODCH.
3/4.11.1.3    LIQUID EFFLUENTS            Pzogranxnatic controls are includod in LIQUID RADWASTE            6.8.4 h. Item 6) Existing
                                                            ~
TREATHENT SYSTEH            specification procedural details axe zelocated to the    ODCH.
3/4.11.2.1    GASEOUS EFFLUENTS:          Pzogranxnatic controls are includod  in DOSE RATE                  6.8 ~ 4 h. Item 3) and 7). Existing specification procedural details are relocated to the ODCH.
3/4.11.2.2    GASEOUS EFFLUENTSx          Pzogranmatic controls are included in DOSE-NOBLE GASES            6.8.4 h. Ztom 5) and 8). Existing specification procedural dotails are relocated to the    ODCH.
3/4. 11.2. 3  GASEOUS EFFLUENTS:          Pzogranxnatic controls are includod  in DOSE--ZODINE 131,          6.8.4 h. Item 5) and 9). Existing TRITIUH, AND RADIOACTIVE    specification procedural details are HATERZAL IN PARTICULATE    relocated to the ODCH.
FORM 3/4.11.2.4    GASEOUS EFFLUENTS:          Progranxnatic controls are included  in GASEOUS RADWASTE            6.8.4 h. Iten 6). Existing specifi-TREATHENT or VENTILATION    cation procedural details are EXHAUST TREATMENT SYSTEM    relocated to the ODCH.
3/4.11.3      SOLID RADIOACTIVE WASTES    Existing specifications procedural dotails are relocated to tho PCP.
Page E1-3
ENCLOSURE TO SERIAL:          HNP-94-025 SENARY OF PROPOSED CHANGES To THE RETS ADMINISTRATIVE CONTROLS (Cont.)
SPECIFICATION            TITLE          DISPOSITION OF EXISTING SPECIFICATION 3/4. 11. 4  RADIOACTIVE EFFLUENTS:      Prograsmatic controls are included in TOTAL DOSE                  6.8.4 h. Item 10). Existing specifi-cation procedural details are relocated to the ODCH.
3/4.12.1    RADIOLOGICAL ENVIRON-      Prograanatic controls are included in MENTAL MONITORING:          6.8.4 i. Item 1). Existing specifi-HONITORING PROGRAH          cation procedural details are relocated to the ODCH.
3/4.12.2    RADIOLOGICAL ENVIRON-      Prograsmatic controls are included in MENTAL HONITORING:          6.8.4 i. Item 2). Existing specifi-LAND USE CENSUS            cation procedural details are zelocated to the ODCH.
3/4.12.3    RADIOLOGICAL ENVIRON-      Pzogzenxnatic controls aze included in HENTAL MONITORING:          6.8.4 i. Item 3). Existing specifi-INTERLABORATORY            cation procedural details are COMPARISON PROGRAM        relocated to the ODCH.
6.8.4.h      PROCEDURES AND PROGRAHS    Added  Radioactive Effluent Control Program.
6.8.4.i      PROCEDURES AND PROGRAMS    Added Radiological Environmental Honitoring Program.
6.9.1.3      REPORTING REQUIREMENTS:    Specification simplified and existing ANNUAL RADIOLOGICAL        reporting details are relocated to ENVIRONMENTAL OPERATING    the ODCH.
REPORT 6.9.1.4      REPORTING REQUIREMENTS:    Specification simplified and existing ANNUAL RADIOACTIVE        reporting details are relocated to EFFLUENTS RELEASE REPORT  the ODCH or PCP, as appropriate.
6.13          PROCESS CONTROL PROGRAM    Specification requirements are simplified.
6.14          OFFSITE DOSE CALCULATION  Specification requirements are HANUAL                    simpliiied.
6.15          MAJOR CHANGES TO LIQUID,  Existing procedural details are GASEOUS, AND SOLID        relocated to the ODCH or PCP, as RADWASTE TREATMENT        appropriate.
SYSTEMS Effluent Release Report In accordance with Technical Specifications and prior 10 CFR 50.36a(a)(2) requirements, the Effluent Release Report for the SHNPP has been submitted to the NRC every six months (within 60 days after January 1 and July 1 of
'each year). As published in the Federal Register (57FR39353, August 31, 1992), the NRC revised the 10 CFR 50.36a required Effluent Release Report frequency from once every six months to annually and revised the required report submission date to May 1. The Rule became effective on October 1, 1992,        This TSCR supplement proposes                    to revise the Technical Specifications such that they are consistent with the revised 10 CFR 50.36a reporting requirements.
Page    El-4


1.Basis for Change Request 2.10 CFR 50.92 Evaluation 3.Environmental Considerations 4.Page Change Instructions 5.Technical Specification Pages W.R.Robinson, having been first duly sworn, did depose and say that the information contained herein is true and correct to the be'st of his information, knowledge and belief;and the sources of his information are officers, employees, contractors, and agents of Carolina Power 6 Light Company.c;Mr.Dayne H.Brown Mr.S.D.Ebneter Mr.N.B.Le Mr.J.E.Tedrow My commission expires: 4anau+Notary Seal)J 4 S.Y'Ieao O NOTARY PUOLlC~ni coe+'
0      l
Document Control Desk HNP-94-025
  'I I
/Page 3 bc: T.A.Ms.P.Mr.R.Mr.W.Mr.J.Mr.H.Mr.E.Ms.T.Mr.J.Mr.W.Mr.G.Mr.R.Baxter, Esq.Brannan K.Buckles (LIS)R.Campbell W.Donahue W.Habermeyer, Jr.M.Harris A.Head (GLS File)D.Heidt J.Hindman Honma (BNP)M.Krich (RNP)Mr.R.D.Martin Admiral K.R.McKee Mr.J.W.Moyer Mr.W.S.Orser Mr.H.A.Pollock Mr.G.A.Rolfson Mr.L.S.Rowell Mr.R.S.Stencil Honorable H.Wells Nuclear Records File: HI/A-2D File: H-X-0511 ENCLOSURE TO SERIAL'NP-94-025 ENCLOSURE 1 SHEARON HARRIS NUCLEAR POWER PLANT NRC DOCKET NO.50-400/LICENSE NO.NPF-63 REQUEST FOR LICENSE AMENDMENT RADIOLOGICAL EFFLUENT TECHNICAL SPECIFICATIONS BASIS FOR CHANGE RE UEST~Back round The Shearon Harris Nuclear Power Plant (SHNPP)Technical Specifications include detailed requirements for controlling radiological effluents, solid radioactive wastes and radiological environmental monitoring.
 
These requirements, located in Specifications 3/4.3, 3/4.11 and 3/4.12, are collectively referred to as the Radiological Effluent Technical Specifications (RETS).On July 21, 1992 (NLS-92-132), Carolina Power&Light Company (CP&L)submitted a Technical Specification Change Request (TSCR)that would have implemented the guidance of Generic Letter 89-01 relative to the RETS.The July 1992 TSCR proposed the relocation of procedural details of the current RETS into the Offsite Dose Calculation Manual (ODCM)or Process Control Program (PCP), as appropriate.
ENCLOSURE TO  SERIAL:    HNP-94;025 Revised 10   CFR 20  References Effective  June 20, 1991, the NRC published a revised 10 CFR Part 20, which among other changes, affected the arrangement of requirements within the Regulation.     SHNPP implemented the new Part 20 requirements            effective January 1, 1993. This      administrative    change  is being made  to reflect  that the requirements in    the  old  10  CFR  20.106  are  now located  in  the new  10 CFR  20.1302.
It also proposed the incorporation of programmatic controls for radioactive effluents, radiological environmental monitoring and solid radioactive wastes into the Administrative Controls Section of t'e Technical Specifications (TS).Since CP&L submitted the RETS TSCR in July 1992, a number of changes have occurred.Part 20 of the Code of Federal Regulations has undergone a major revamping, reporting requirements in Part 50 have also been revised, and subsequent technical specification changes have been approved for SHNPP, all of which have some effect on the RETS TSCR as submitted in 1992.Therefore, CP&L has updated the RETS TSCR to account for these changes and herein resubmits the updated TSCR.This resubmittal supersedes and replaces the July 21, 1992 submittal.
This  TS  change request deals only with those Technical Specifications within the    scope of the RETS (Generic Letter 89-01). Updating the SHNPP TS  to incorporate the remainder of the          10 CFR 20 references    is awaiting NRC  staff  guidance  in a  forthcoming Generic Letter.
Pro osed Chan e This license amendment requests a line-item improvement to the RETS portion of the SHNPP TS pursuant to the guidance of Generic Letter 89-01.The proposed amendment will incorporate programmatic controls for radioactive effluents, radiological environmental monitoring and solid radioactive wastes in the Administrative Controls Section of the TS, and relocate the procedural details of the current RETS into the Offsite Dose Calculation Manual (ODCM)or Process Control Program (PCP), as appropriate.
Gaseous  Effluent Release Limit This submittal also revises the terminology for the gaseous effluent release rate limits in a manner which differs from the proposed wording of GL 89-01.     This proposal maintains the gaseous effluent release rate limits as currently specified in the SHNPP Technical Specifications. A similar change for the Liquid Effluent Concentration Technical Specification 3/4.11.1.1 has already been approved by the NRC on December 14, 1993 as Amendment 40 to the SHNPP Operating License, Technical Specification 3/4.11.2.1, Gaseous Effluents - Dose Rate, ensures that the dose rate at any time at and beyond the site boundary from gaseous effluents will be less than the effective dose rate limits of (the old) 10 CFR Part 20. The annual dose rate limits of 10 CFR 20, Appendix B, Table II, Column 1 Maximum. Permissible Concentrations                  (MPC), are expressed in terms of concentrations, which          if not exceeded, ensure that the annual exposure to any member of the public will be less than 500 mrem dose in a year.       The current SHNPP Technical Specification 3/4.11.2.1 implements the Part 20 limits by directly stating the specific dose rate limits  (500 mrem/year whole body,      etc).
This amendment will also incorporate changes to the reporting requirements for Effluent Release Reports, references to the new 10 CFR 20 for those sections of Technical Specifications included in the RETS TSCR, and revised terminology for the gaseous effluent release rate limits.Page El-1 ENCLOSURE TO SERIAL: HNP-94-025 Basis A.Radiological Effluent Technical Specifications As discussed in NRC Generic Letter 89-01, the NRC staff has examined on a generic basis the contents of the RETS'in relation to the Commission's Interim Policy Statement on Technical Specification Improvements.
Generic    Letter 89-01 proposed changes to be made to the Technical Specifications that would remove the procedural details in the TS Limiting Conditions of Operation that control radioactive effluents and replace them with programmatic controls in the Administrative Controls Section of the Technical Specifications. Part of the proposed programmatic controls included a reference to the limitations on dose rates associated with 10 CFR 20, Appendix B, Table II, Column 1        ~  Given the Part 20 in effect at the time, implementation of the RETS TSCR would have had no effect on the level of effluent controls. The change would simply have replaced the numerical limits in the SHNPP Technical Specification's with a reference to Part 20 limits. However, the new Part 20 reduced the annual dose permitted for a member of the public from the previous MPC-based 500 mrem/year to an Effluent Concentration (EC) based 100 mrem/yr. The net effect of implementing the new 10 CFR              20  and the   GL  89-01 proposed verbiage would have been an unnecessary            forced reduction in effluent release rates by a factor of 5.
The staff has determined that programmatic controls can be implemented in the Administrative Controls Section of the TS to satisfy existing regulatory requirements for RETS.At the same time, the procedural details of the current" TS on radioactive effluents and radiological environmental monitoring can be relocated to the ODCM.Likewise, the procedural details of the current TS on solid radioactive wastes can be relocated to the PCP.These actions simplify the RETS, meet the regulatory requirements for radioactive effluents and radiological environmental monitoring, and are provided as a line-item improvement to the TS, consistent with the goals of the Policy Statement.
Page  El-5
Pursuant to the guidance provided in Generic Letter 89-01, this amendment will provide programmatic controls for RETS consistent with regulatory requirements and allow relocation of the procedural details of current RETS to the ODCM or PCP.The proposed programmatic controls for radioactive effluents and radiological environmental monitoring conform to the recommendations of the Generic Letter with two exceptions, both of which deal with the manner in which specific limits are referenced in the new Administrative Controls Section.First, the proposed liquid effluent limits in Paragraph 6.8.4.h.2, reflect the recently approved limits expressed in terms of the revised 10 CFR 20 requirements (see TS Amendment 40).The GL 89-01 wording references the old 10 CFR 20 requirements.
 
Second, the proposed gaseous effluent limits in Paragraph 6.8.4.h.7 maintains the current TS use of specific numerical limits.Generic Letter 89-01 would replace the specific numerical limits with references to the limits in 10 CFR 20 (see Section D below).In both cases, the wording of the proposed Administrative Controls reflect the effluent limits of the current TS which they are replacing, and are in accordance with subsequent NRC guidance.Future changes to the procedural details will be controlled by the controls for changes to the ODCM or PCP included in the Administrative Controls Section of the TS.The change to each Technical Specification is outlined in the attached table, Page El-2 ENCLOSURE TO SERIAL: HNP-94-025 SUB4ARY OF PROPOSED C GES TO THE RETS ADHINISTRATIVE CONTROLS SPECIFICATION TITLE DISPOSITION OF EXISTING SPECIFICATION 1.20 1.25 OFFSITE DOSE CALCULATION Definition is updated to reflect the MANUAL change in scope of the ODCH.PROCESS CONTROL PROGRAM Definition is updated to reflect the change in scope of the PCP.1.34 SOLIDIFICATION Definition is relocated to the PCP.3/4.3.3.10 RADIOACTIVE LIQUID EFPLUENT HONZTORING INSTRUMENTATION Pzogranmatic controls are included in 6.8.4 h.Item 1).Existing specifi.-oation procedural details aro relocated to tho ODCH.3/4''.11 RADIOACTIVE GASEOUS EFPLUENT MONITORING INSTRUMENTATION Pzogranmatic controls are included in 6.8.4 h.Item 1).Existing specifi-cation procedural details are relocated to tho ODCH.Existing requirements for explosive gas monitoring instrumentation aro retainod.3/4.11.1.1 LIQUID EFFLUENTS:
ENCLOSURE TO SERIAL:  HNP-94-025 This forced reduction applies to the entire nuclear industry. The revised release rate limits would effectively force releases at levels comparable to instrument background. Subsequent NUMARC (NEI) discussions with the NRC resulted in draft NRC guidance to modify the new limits.
CONCENTRATION 3/4.11.1.2 LIQUID EFFLUENTS:
I This supplemental Technical Specification change request revises the GL 89-01 proposed wording such that    it maintains operational flexibility while retaining the same overall level of effluent control required to meet the design objectives of Appendix I to 10 CFR 50.         The revised wording is consistent with draft guidance issued by NRC for comment regarding the modification of Technical Specifications to reflect revisions to 10 CFR Part 20 and   it provides the same level of protection to the public that currently exists in the license.
DOSE 3/4.11.1.3 LIQUID EFFLUENTS LIQUID RADWASTE TREATHENT SYSTEH 3/4.11.2.1 GASEOUS EFFLUENTS:
Page  El-6
DOSE RATE Pzogranmatic controls are included in 6.8.4 h.Item 2)and 3).Existing specification procedural details are relocated to the ODCH.Progranmatic controls are included in 6.8.4 h.Item 4)and 5).Existing specification pzoceduzal details are relocated to the ODCH.Pzogranxnatic controls are includod in 6.8.4 h.Item 6)~Existing specification procedural details axe zelocated to the ODCH.Pzogranxnatic controls are includod in 6.8~4 h.Item 3)and 7).Existing specification procedural details are relocated to the ODCH.3/4.11.2.2 GASEOUS EFFLUENTSx DOSE-NOBLE GASES Pzogranmatic controls are included in 6.8.4 h.Ztom 5)and 8).Existing specification procedural dotails are relocated to the ODCH.3/4.11.2.3 GASEOUS EFFLUENTS:
 
DOSE--ZODINE 131, TRITIUH, AND RADIOACTIVE HATERZAL IN PARTICULATE FORM Pzogranxnatic controls are includod in 6.8.4 h.Item 5)and 9).Existing specification procedural details are relocated to the ODCH.3/4.11.2.4 GASEOUS EFFLUENTS:
ENCLOSURE TO SERIAL:    HNP-94-025 ENCLOSURE 2 SHEARON HARRIS NUCLEAR POWER PLANT NRC DOCKET NO. 50-400/LICENSE NO. NPF-63 REQUEST FOR LICENSE AMENDMENT RADIOLOGICAL EFFLUENT TECHNICAL SPECIFICATIONS 10 CFR 50.92 EVALUATION The Commission has provided standards in 10 CFR 50.92(c) for determining whether a significant hazards consideration exists. A proposed amendment to an operating license for a facility  involves no significant hazards consideration    if operation of the facility  in accordance with the proposed amendment would not: (1) involve a significant increase in the probability or consequences              of an accident previously evaluated, (2) create the possibility of a new or different kind of accident from any accident previously evaluated, or (3) involve a significant reduction in a margin of safety. Carolina Power & Light Company has reviewed this proposed license amendment request and determined that        its  adoption would not involve a significant hazards determination.                The bases    for this determination are as follows:
GASEOUS RADWASTE TREATHENT or VENTILATION EXHAUST TREATMENT SYSTEM Progranxnatic controls are included in 6.8.4 h.Iten 6).Existing specifi-cation procedural details are relocated to the ODCH.3/4.11.3 SOLID RADIOACTIVE WASTES Existing specifications procedural dotails are relocated to tho PCP.Page E1-3 ENCLOSURE TO SERIAL: HNP-94-025 SENARY OF PROPOSED CHANGES To THE RETS ADMINISTRATIVE CONTROLS (Cont.)SPECIFICATION 3/4.11.4 3/4.12.1 3/4.12.2 3/4.12.3 TITLE RADIOACTIVE EFFLUENTS:
Pro osed Chan e This license amendment requests a line-item improvement to the RETS portion of the SHNPP TS pursuant to the guidance of Generic Letter 89-01. The proposed amendment will incorp'orate programmatic controls for radioactive effluents, radiological environmental monitoring and solid radioactive wastes in the Administrative Controls Section of the TS, and relocate the current procedural details of the current RETS into the Offsite Dose Calculation Manual (ODCM) or Process Control Program (PCP), as appropriate.             This amendment will also incorporate changes to the reporting requirements for Effluent Release Reports, references to the new 10 CFR 20 for those sections of Technical Specifications included in the RETS TSCR, and revised terminology for the gaseous effluent release rate limits.
TOTAL DOSE RADIOLOGICAL ENVIRON-MENTAL MONITORING:
Basis This change does not involve a significant hazards            consideration  for the following reasons:
HONITORING PROGRAH RADIOLOGICAL ENVIRON-MENTAL HONITORING:
II
LAND USE CENSUS RADIOLOGICAL ENVIRON-HENTAL MONITORING:
: 1. The proposed    amendment  does  not involve a significant increase      in the probability  or consequences  of an accident previously evaluated.
INTERLABORATORY COMPARISON PROGRAM DISPOSITION OF EXISTING SPECIFICATION Prograsmatic controls are included in 6.8.4 h.Item 10).Existing specifi-cation procedural details are relocated to the ODCH.Prograanatic controls are included in 6.8.4 i.Item 1).Existing specifi-cation procedural details are relocated to the ODCH.Prograsmatic controls are included in 6.8.4 i.Item 2).Existing specifi-cation procedural details are zelocated to the ODCH.Pzogzenxnatic controls aze included in 6.8.4 i.Item 3).Existing specifi-cation procedural details are relocated to the ODCH.6.8.4.h 6.8.4.i 6.9.1.3 PROCEDURES AND PROGRAHS PROCEDURES AND PROGRAMS REPORTING REQUIREMENTS:
Transferring the procedural details from the TS to the ODCM and PCP and their replacement with programmatic controls have no impact on plant operation or safety. No safety-related equipment, safety function, or plant operation will be altered as a result of this proposed change. The changes are unrelated to the initiation and mitigation of accidents and equipment malfunctions addressed in the Final Safety Analysis Report.
ANNUAL RADIOLOGICAL ENVIRONMENTAL OPERATING REPORT Added Radioactive Effluent Control Program.Added Radiological Environmental Honitoring Program.Specification simplified and existing reporting details are relocated to the ODCH.6.9.1.4 6.13 6.14 6.15 REPORTING REQUIREMENTS:
The proposed  revisions to the reporting requirements for Effluent Release Reports, the gaseous effluent release rate limit and the relocation of the old 10 CFR 20.106 requirements to the new 10 CFR 20.1302 have no impact on plant systems, plant operations or accident precursors. The changes to Page E2-1
ANNUAL RADIOACTIVE EFFLUENTS RELEASE REPORT PROCESS CONTROL PROGRAM OFFSITE DOSE CALCULATION HANUAL MAJOR CHANGES TO LIQUID, GASEOUS, AND SOLID RADWASTE TREATMENT SYSTEMS Specification simplified and existing reporting details are relocated to the ODCH or PCP, as appropriate.
 
Specification requirements are simplified.
ENCLOSURE TO SERIAL: HNP-94-025 the Effluent Report requirements         and the updated reference to 10 CFR 20.1302 are administrative     in nature. The change to the gaseous effluent release limit is also administrative in nature in that         it will allow the continued operation of the facility with the same release rate limits as are currently implemented by the Technical Specifications.
Specification requirements are simpliiied.
Existing procedural details are relocated to the ODCH or PCP, as appropriate.
Effluent Release Report In accordance with Technical Specifications and prior 10 CFR 50.36a(a)(2) requirements, the Effluent Release Report for the SHNPP has been submitted to the NRC every six months (within 60 days after January 1 and July 1 of'each year).As published in the Federal Register (57FR39353, August 31, 1992), the NRC revised the 10 CFR 50.36a required Effluent Release Report frequency from once every six months to annually and revised the required report submission date to May 1.The Rule became effective on October 1, 1992, This TSCR supplement proposes to revise the Technical Specifications such that they are consistent with the revised 10 CFR 50.36a reporting requirements.
Page El-4 0 l'I I ENCLOSURE TO SERIAL: HNP-94;025 Revised 10 CFR 20 References Effective June 20, 1991, the NRC published a revised 10 CFR Part 20, which among other changes, affected the arrangement of requirements within the Regulation.
SHNPP implemented the new Part 20 requirements effective January 1, 1993.This administrative change is being made to reflect that the requirements in the old 10 CFR 20.106 are now located in the new 10 CFR 20.1302.This TS change request deals only with those Technical Specifications within the scope of the RETS (Generic Letter 89-01).Updating the SHNPP TS to incorporate the remainder of the 10 CFR 20 references is awaiting NRC staff guidance in a forthcoming Generic Letter.Gaseous Effluent Release Limit This submittal also revises the terminology for the gaseous effluent release rate limits in a manner which differs from the proposed wording of GL 89-01.This proposal maintains the gaseous effluent release rate limits as currently specified in the SHNPP Technical Specifications.
A similar change for the Liquid Effluent Concentration Technical Specification 3/4.11.1.1 has already been approved by the NRC on December 14, 1993 as Amendment 40 to the SHNPP Operating License, Technical Specification 3/4.11.2.1, Gaseous Effluents-Dose Rate, ensures that the dose rate at any time at and beyond the site boundary from gaseous effluents will be less than the effective dose rate limits of (the old)10 CFR Part 20.The annual dose rate limits of 10 CFR 20, Appendix B, Table II, Column 1 Maximum.Permissible Concentrations (MPC), are expressed in terms of concentrations, which if not exceeded, ensure that the annual exposure to any member of the public will be less than 500 mrem dose in a year.The current SHNPP Technical Specification 3/4.11.2.1 implements the Part 20 limits by directly stating the specific dose rate limits (500 mrem/year whole body, etc).Generic Letter 89-01 proposed changes to be made to the Technical Specifications that would remove the procedural details in the TS Limiting Conditions of Operation that control radioactive effluents and replace them with programmatic controls in the Administrative Controls Section of the Technical Specifications.
Part of the proposed programmatic controls included a reference to the limitations on dose rates associated with 10 CFR 20, Appendix B, Table II, Column 1~Given the Part 20 in effect at the time, implementation of the RETS TSCR would have had no effect on the level of effluent controls.The change would simply have replaced the numerical limits in the SHNPP Technical Specification's with a reference to Part 20 limits.However, the new Part 20 reduced the annual dose permitted for a member of the public from the previous MPC-based 500 mrem/year to an Effluent Concentration (EC)based 100 mrem/yr.The net effect of implementing the new 10 CFR 20 and the GL 89-01 proposed verbiage would have been an unnecessary forced reduction in effluent release rates by a factor of 5.Page El-5 ENCLOSURE TO SERIAL: HNP-94-025 This forced reduction applies to the entire nuclear industry.The revised release rate limits would effectively force releases at levels comparable to instrument background.
Subsequent NUMARC (NEI)discussions with the NRC resulted in draft NRC guidance to modify the new limits.I This supplemental Technical Specification change request revises the GL 89-01 proposed wording such that it maintains operational flexibility while retaining the same overall level of effluent control required to meet the design objectives of Appendix I to 10 CFR 50.The revised wording is consistent with draft guidance issued by NRC for comment regarding the modification of Technical Specifications to reflect revisions to 10 CFR Part 20 and it provides the same level of protection to the public that currently exists in the license.Page El-6 ENCLOSURE TO SERIAL: HNP-94-025 ENCLOSURE 2 SHEARON HARRIS NUCLEAR POWER PLANT NRC DOCKET NO.50-400/LICENSE NO.NPF-63 REQUEST FOR LICENSE AMENDMENT RADIOLOGICAL EFFLUENT TECHNICAL SPECIFICATIONS 10 CFR 50.92 EVALUATION The Commission has provided standards in 10 CFR 50.92(c)for determining whether a significant hazards consideration exists.A proposed amendment to an operating license for a facility involves no significant hazards consideration if operation of the facility in accordance with the proposed amendment would not: (1)involve a significant increase in the probability or consequences of an accident previously evaluated, (2)create the possibility of a new or different kind of accident from any accident previously evaluated, or (3)involve a significant reduction in a margin of safety.Carolina Power&Light Company has reviewed this proposed license amendment request and determined that its adoption would not involve a significant hazards determination.
The bases for this determination are as follows: Pro osed Chan e This license amendment requests a line-item improvement to the RETS portion of the SHNPP TS pursuant to the guidance of Generic Letter 89-01.The proposed amendment will incorp'orate programmatic controls for radioactive effluents, radiological environmental monitoring and solid radioactive wastes in the Administrative Controls Section of the TS, and relocate the current procedural details of the current RETS into the Offsite Dose Calculation Manual (ODCM)or Process Control Program (PCP), as appropriate.
This amendment will also incorporate changes to the reporting requirements for Effluent Release Reports, references to the new 10 CFR 20 for those sections of Technical Specifications included in the RETS TSCR, and revised terminology for the gaseous effluent release rate limits.Basis This change does not involve a significant hazards consideration for the following reasons: II 1.The proposed amendment does not involve a significant increase in the probability or consequences of an accident previously evaluated.
Transferring the procedural details from the TS to the ODCM and PCP and their replacement with programmatic controls have no impact on plant operation or safety.No safety-related equipment, safety function, or plant operation will be altered as a result of this proposed change.The changes are unrelated to the initiation and mitigation of accidents and equipment malfunctions addressed in the Final Safety Analysis Report.The proposed revisions to the reporting requirements for Effluent Release Reports, the gaseous effluent release rate limit and the relocation of the old 10 CFR 20.106 requirements to the new 10 CFR 20.1302 have no impact on plant systems, plant operations or accident precursors.
The changes to Page E2-1 ENCLOSURE TO SERIAL: HNP-94-025 the Effluent Report requirements and the updated reference to 10 CFR 20.1302 are administrative in nature.The change to the gaseous effluent release limit is also administrative in nature in that it will allow the continued operation of the facility with the same release rate limits as are currently implemented by the Technical Specifications.
Therefore, there would be no increase in the probability or consequences of an accident previously evaluated.
Therefore, there would be no increase in the probability or consequences of an accident previously evaluated.
The proposed amendment" does not create the possibility of a new or different kind of accident from any accident previously evaluated.
The   proposed amendment" does     not create the possibility of a new or different kind of accident     from any accident previously evaluated.
Transferring the procedural details from the TS to the ODCM and PCP and their replacement with programmatic controls have no impact on plant operation or safety.No safety-related equipment, safety function, or plant operation will be altered as a result of this proposed change.No changes to plant components or structures are introduced which could create new accidents or malfunctions not previously evaluated.
Transferring the procedural details from the TS to the ODCM and PCP and their replacement with programmatic controls have no impact on plant operation or safety. No safety-related equipment, safety function, or plant operation will be altered as a result of this proposed change. No changes to plant components or structures are introduced which could create new accidents or malfunctions not previously evaluated.
The proposed revisions to the reporting requirements for Effluent Release Reports, the gaseous effluent release rate limit and the relocation of the old 10 CFR 20.106 requirements to the new 10 CFR 20.1302 have no impact on plant systems, plant operations or accident precursors.
The proposed revisions to the reporting requirements for Effluent Release Reports, the gaseous effluent release rate limit and the relocation of the old 10 CFR 20.106 requirements to the new 10 CFR 20.1302 have no impact on plant systems, plant operations or accident precursors. The changes to the Effluent Report requirements and the updated reference to 10 CFR 20.1302 are administrative in nature. The change to the gaseous effluent release limits is also administrative in nature in that       it will allow the continued operation of the facility with the same release rate limits as are currently implemented by the Technical Specifications.
The changes to the Effluent Report requirements and the updated reference to 10 CFR 20.1302 are administrative in nature.The change to the gaseous effluent release limits is also administrative in nature in that it will allow the continued operation of the facility with the same release rate limits as are currently implemented by the Technical Specifications.
Therefore, the proposed changes do not create the possibility of a new or different kind of accident from any accident previously evaluated.
Therefore, the proposed changes do not create the possibility of a new or different kind of accident from any accident previously evaluated.
The proposed amendment does not involve a significant reduction in the margin of safety.The procedural details of the current RETS will be transferred to the ODCM and PCP and replaced with programmatic controls consistent with regulatory requirements, including controls on revisions to the ODCM and PCP.Thus, no requirements or controls will be reduced.The changes to the Effluent Report requirements and the updated reference to 10 CFR 20.1302 are administrative in nature and therefore have no effect on the margin of safety.The proposed revisions to the gaseous effluent release limits will maintain the release rate limits at the same level as currently implemented by, the Technical Specifications.
The proposed   amendment   does   not involve a significant reduction in the margin of safety.
Therefore, there will be no change in the types and amounts of effluents that will be released, nor will there be an increase in individual or cumulative radiation exposures to any member of the public.Therefore, the proposed changes do not involve a significant reduction in a margin of safety.Page E2-2 ENCLOSURE TO SERIAL: HNP-94-025 ENCLOSURE 3 SHEARON HARRIS NUCLEAR POWER PLANT NRC DOCKET NO.50-400/LICENSE NO.NPF-63 REQUEST FOR LICENSE AMENDMENT RADIOLOGICAL EFFLUENT TECHNICAL SPECIFICATIONS ENVIRONMENTAL CONSIDERATIONS 10 CFR 51.22(c)(9) provides criterion for and identification of licensing and regulatory actions eligible for categorical exclusion from performing an environmental assessment.
The procedural details of the current     RETS will be transferred to the ODCM and PCP and replaced   with programmatic controls consistent with regulatory requirements, including controls on revisions to the ODCM and PCP. Thus, no requirements or controls will be reduced.
A proposed amendment to an operating license for a facility requires no environmental assessment if operation of the facility in accordance with the proposed amendment would not: (1)involve a significant hazards consideration; (2)result in a significant change in the types or significant increase in the amounts of any effluents that may be released offsite;(3)result in an increase in individual or cumulative occupational radiation exposure.Carolina Power 6 Light Company has reviewed this request and determined that the proposed amendment meets the eligibility criteria for categorical exclusion set forth in 10 CFR 51.22(c)(9).
The changes to the   Effluent Report requirements and the updated reference to 10 CFR 20.1302     are administrative in nature and therefore have no effect on the margin of safety. The proposed revisions to the gaseous effluent release limits will maintain the release rate limits at the same level as currently implemented by, the Technical Specifications.
Pursuant to 10 CFR 51.22(b), no environmental impact statement or environmental assessment needs to be prepared in connection with the issuance of the amendment.
Therefore, there will be no change in the types and amounts of effluents that will be released, nor will there be an increase in individual or cumulative radiation exposures to any member of the public.
The basis for this determination follows: Pro osed Chan e This license amendment requests a line-item improvement to the RETS portion of the SHNPP TS pursuant to the guidance of Generic Letter 89-01.The proposed amendment will incorporate programmatic controls for radioactive effluents, radiological environmental monitoring and solid radioactive wastes in the Administrative Controls Section of the TS, and relocate the current procedural details of the current RETS into the Offsite Dose Calculation Manual (ODCM)or Process Control Program (PCP), as appropriate.
Therefore, the proposed changes       do not involve a significant reduction in a margin of safety.
This amendment will also incorporate changes to the reporting requirements for Effluent Release Reports, references to the new 10 CFR 20 for those sections of Technical Specifications included in the RETS TSCR, and revised terminology for the gaseous effluent release rate limits.Basis The change meets the eligibility criteria for categorical exclusion set forth in 10 CFR 51.22(c)(9) for the following reasons: As demonstrated in Enclosure 2, the proposed amendment does not involve a significant hazards consideration.
Page E2-2
2.The proposed amendment does not result in a significant change in the types or significant increase in the amounts of any effluents that may be released offsite.The proposed change does not reduce the level of radiological effluent control.This change is administrative in nature and is requested in Page E3-1 ENCLOSURE TO SERIAL: HNP-94-025 conformance with Generic Letter 89-01 as part of the line-item improvement program.It will provide programmatic controls for RETS consistent with regulatory requirements and allow relocation of the procedural details of the current RETS to the ODCM or PCP.Relocating the procedural details of the current RETS to the ODCM and PCP will not reduce the level of radiological effluent control.The proposed revisions to the reporting requirements for Effluent Release Reports and the relocation of the old 10 CFR 20.106 requirements to the new 10 CFR 20.1302 have no impact on plant systems or plant operations that would influence the type or quantity of effluents released from SHNPP.The change to the gaseous effluent release limits allow the continued operation of the facility with the same release rate limits as are currently implemented by the Technical Specifications.
 
This change has no impact on the type of effluent.As such, the change can not affect the types or amounts of any effluents that may be released offsite.The proposed amendment does not result in an increase in individual or cumulative occupational radiation exposure.This change is administrative in nature and is requested in accordance with Generic Letter 89-01 as part of the line-item improvement program.Relocating the procedural details of the current RETS to the ODCM and PCP will not reduce the level of radiological effluent control.This change provides programmatic controls for RETS consistent with regulatory requirements.
ENCLOSURE TO   SERIAL:   HNP-94-025 ENCLOSURE 3 SHEARON HARRIS NUCLEAR POWER PLANT NRC DOCKET NO. 50-400/LICENSE NO. NPF-63 REQUEST FOR LICENSE AMENDMENT RADIOLOGICAL EFFLUENT TECHNICAL SPECIFICATIONS ENVIRONMENTAL CONSIDERATIONS 10 CFR   51.22(c)(9) provides criterion for and identification of licensing and regulatory actions eligible for categorical exclusion from performing an environmental assessment.       A proposed amendment to an operating license for a facility requires no environmental assessment       if operation of the facility in accordance with the proposed amendment would not: (1) involve a significant hazards consideration; (2) result in a significant change in the types or significant increase in the amounts of any effluents that may be released offsite; (3) result in an increase in individual or cumulative occupational radiation exposure. Carolina Power 6 Light Company has reviewed this request and determined   that the proposed     amendment meets   the eligibility criteria for categorical exclusion set forth in 10 CFR 51.22(c)(9).             Pursuant to 10 CFR 51.22(b), no environmental impact statement or environmental assessment needs to be prepared in connection with the issuance of the amendment. The basis for this determination follows:
The removal of procedural details from the TS has no impact on plant operation or occupational radiation exposure.The changes to the Effluent Report requirements and the updated reference to 10 CFR 20.1302 are administrative in nature and therefore have no effect on individual or cumulative occupational radiation exposure.The change to the gaseous effluent release limits would allow the continued operation of the facility with the same release rate limits as are currently implemented by the Technical Specifications, there should be no affect on either individual or cumulative occupational radiation exposure.Therefore, the amendment has no affect on either individual or cumulative occupational radiation exposure.Page E3-2 ENCLOSURE 4 SHEARON HARRIS NUCLEAR POWER PLANT NRC DOCKET NO.50-400/LICENSE NO.NPF-63 REQUEST FOR LICENSE AMENDMENT RADIOLOGICAL EFFLUENT TECHNICAL SPECIFICATIONS PAGE CHANGE INSTRUCTIONS Removed Pa e Inserted Pa e xii xvi xix xx 1-4 thru 1-6 3/4 3-75 thru 3/4 3-81 3/4 3-82 and 3/4 3-83 3/4 3-84 3/4 3-85 and 3/4 3-86 3/4 3-87 3/4 3-88 3/4 11-1 thru 3/4 11-6 3/4 11-7 3/4 11-8 thru 3/4 11-14.3/4 11-16 3/4 11-17 and 3/4 11-18 3/4 11-19 3/4 12-1 thru 3/4 12-14 vi xii Xix XX 1-4 1-5 1-6 3/4 3-75 3/4 3-82 3/4 3-83 3/4 3-85 3/4 3-86 3/4 3-88 3/4 11-1 3/4 11-7 3/4 11-8 3/4 11-16 3/4 11-17 3/4 11-19 3/4 12-1 l~
Pro osed Chan e This license amendment requests a line-item improvement to the RETS portion of the SHNPP TS pursuant to the guidance of Generic Letter 89-01. The proposed amendment will incorporate programmatic controls for radioactive effluents, radiological environmental monitoring and solid radioactive wastes in the Administrative Controls Section of the TS, and relocate the current procedural details of the current RETS into the Offsite Dose Calculation Manual (ODCM) or Process Control Program (PCP), as appropriate.             This amendment will also incorporate changes to the reporting requirements for Effluent Release Reports, references to the new 10 CFR 20 for those sections of Technical Specifications included in the RETS TSCR, and revised terminology for the gaseous effluent release rate limits.
Removed Pa e B 3/4 3-5 and B 3/4 3-6 B 3/4 11-1 thru B 3/4 11-6 B 3/4 12-1 and B 3/4 12-2 6-21 thru 6-23 6-26 thru 6-29 Inserted Pa e B 3/4 3-5 B 3/4 3-6 B 3/4 11-1 B 3/4 11-2.B 3/4 12-1 6-19a 6-19b 6-21 6-22 6-23 6-26 6-27 6-28}}
Basis The change meets the   eligibility criteria for categorical     exclusion set forth in 10 CFR 51.22(c)(9) for the     following reasons:
As demonstrated in Enclosure 2, the proposed amendment does not involve a significant   hazards consideration.
: 2. The proposed   amendment does not result in a significant change in the types or significant increase in the amounts of any effluents that may be released   offsite.
The proposed   change does not reduce the level of radiological effluent control. This change is administrative in nature and is requested in Page E3-1
 
ENCLOSURE TO   SERIAL: HNP-94-025 conformance   with Generic Letter 89-01     as part of the line-item improvement program. It will provide programmatic       controls of for RETS consistent with procedural details of regulatory requirements     and allow relocation       the the current RETS to   the ODCM or PCP. Relocating   the procedural details of the current RETS to       the   ODCM and   PCP will   not   reduce the level of radiological effluent   control.
The proposed   revisions to the reporting requirements for Effluent Release Reports and the relocation of the old 10 CFR 20.106 requirements to the new 10 CFR 20.1302 have no impact on plant systems or plant operations that would influence the type or quantity of effluents released from SHNPP. The change to the gaseous effluent release limits allow the continued operation of the facility with the same release rate limits as are currently implemented by the Technical Specifications.             This change has no impact on the type     of effluent.
As such, the change can not affect       the types or amounts of any effluents that may be released offsite.
The proposed   amendment does not result in an increase           in individual or cumulative occupational radiation exposure.
This change is administrative in nature and is requested in accordance with Generic Letter 89-01 as part of the line-item improvement program.
Relocating the procedural details of the current RETS to the ODCM and PCP will not reduce the level of radiological effluent control. This change provides programmatic controls for RETS consistent with regulatory requirements. The removal of procedural details from the TS has no impact on plant operation or occupational radiation exposure.
The changes to the Effluent Report requirements and the updated           reference to 10 CFR 20.1302 are administrative in nature and therefore               have no effect on individual or cumulative occupational radiation exposure. The change to the gaseous effluent release limits would allow the continued operation of the facility with the same release rate limits as are currently implemented by the Technical Specifications, there should be no affect on either individual or cumulative occupational radiation exposure.
Therefore, the amendment has no affect on either individual or cumulative occupational radiation exposure.
Page E3-2
 
ENCLOSURE 4 SHEARON HARRIS NUCLEAR POWER PLANT NRC DOCKET NO. 50-400/LICENSE NO. NPF-63 REQUEST FOR LICENSE AMENDMENT RADIOLOGICAL EFFLUENT TECHNICAL SPECIFICATIONS PAGE CHANGE INSTRUCTIONS Removed Pa e                       Inserted Pa e vi xii                                xii xvi xix                               Xix xx                                 XX 1-4 thru                             1-4 1-6                                1-5 1-6 3/4 3-75 thru                         3/4 3-75 3/4 3-81 3/4 3-82 and                         3/4 3-82 3/4 3-83                          3/4 3-83 3/4 3-84 3/4 3-85 and                         3/4 3-85 3/4 3-86                          3/4 3-86 3/4 3-87 3/4 3-88                          3/4 3-88 3/4 11-1 thru                           3/4 11-1 3/4 11-6 3/4 11-7                          3/4 11-7 3/4 11-8 thru                          3/4 11-8 3/4 11-14.
3/4 11-16                          3/4 11-16 3/4 11-17 and                          3/4 11-17 3/4 11-18 3/4 11-19                          3/4 11-19 3/4 12-1 thru                          3/4 12-1 3/4 12-14
 
l ~
Removed Pa e  Inserted    Pa e B  3/4 3-5 and    B 3/4 3-5 B 3/4 3-6      B 3/4 3-6 B   3/4 11-1 thru   B 3/4 11-1 B 3/4 11-6    B 3/4 11-2.
B 3/4 12-1 and  B 3/4 12-1 B 3/4 12-2 6-19a 6-19b 6-21 thru        6-21 6-23          6-22 6-23 6-26 thru        6-26 6-29          6-27 6-28}}

Latest revision as of 20:57, 3 February 2020

Application for Amend to License NPF-63,incorporating Programmatic Controls for Radioactive Effluents,Radiological Environ Monitoring & Solid Wastes in Administrative Controls Section of TS & Relocating RETS to ODCM or Pcp,Per GL 89-01
ML18011A549
Person / Time
Site: Harris Duke Energy icon.png
Issue date: 08/19/1994
From: Robinson W
CAROLINA POWER & LIGHT CO.
To:
NRC OFFICE OF INFORMATION RESOURCES MANAGEMENT (IRM)
Shared Package
ML18011A550 List:
References
GL-89-01, GL-89-1, HNP-94-025, HNP-94-25, HO-940281, NUDOCS 9408250029
Download: ML18011A549 (18)


Text

P H.IC3R.lWY (ACCELERATED RIDS PROCESSING~)

REGULATORY INFORMATION DISTRIBUTION SYSTEM (RIDS)

ACCESSION NBR:9408250029 DOC.DATE: 94/08/19 NOTARIZED: YES DOCKET FACIL:50-400 Shearon Harris Nuclear Power Plant, Unit 1, Carolina 05000400 AUTH. NAME AUTHOR AFFILIATION ROBINSON,W.R. Carolina Power 6 Light Co.

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

SUBJECT:

Application for amend, to license NPF-63,incorporating programmatic controls for radioactive effluents,radiological envl.ron monitoring 6 solid wastes in administrative controls DISTRIBUTION CODE: AOOSD COPIES RECEIVED:LTR TITLE: OR/Licensing Submittal: Appendix I (ODCM)

NOTES:Application for permit renewal filed.

j section of TS 6 relocating RETS to ODCM or PCP,per GL 89-01.

ENCL J SIZE: l 05000400 RECIPIENT COPIES RECXPIENT COPIES ID CODE/NAME LTTR ENCL XD CODE/NAME LTTR ENCL PD2-1 LA 1 1 PD2-1 PD 1 1 LE,N 2 2 INTERNAL: ACRS 3 3 NRR/DRSS/PRPB 1 1 NRR/PDV 1 1 1 0 OGC/HDS2 1 0 R G 01 1 1 RGN... DRSS/RPB 1 1 EXTERNAL EGGG AKERS i D 1 1 NRC/PDR 1 1 NUDOCS-ABSTRACT 1 1 PNL BAKER i D A 1 1 NOTE TO ALL"RIDS" RECIPIENTS:

PLEASE HELP US TO REDUCE WASTE! CONTACT THE DOCUMENT CONTROL DESK, ROOM Pl-37 (EXT. 504-2083 ) TO ELIMINATEYOUR NAME FROM DISTRIBUTIONLISTS I'OR DOCUMENTS YOU DON'T NEED!

TOTAL NUMBER OF COPIES REQUIRED: LTTR 17 ENCL 15

Carolina Power & Light Company William R. Robinson PO Box 165 Vice President New Hill NC 27562 Harris Nuclear Plant AUG f 9 199'etter Number: HO-940281 SERIAL: HNP-94-025 10 CFR 50.90 United States Nuclear Regulatory Commission ATTENTION: Document Control Desk Washingt:on, DC 20555 SHEARON HARRIS NUCLEAR POWER PLANT DOCKET NO. 50-400/LICENSE NO. NPF-63 REQUEST FOR LICENSE AMENDMENT RADIOLOGICAL EFFLUENT TECHNICAL SPECIFICATIONS Gentlemen:

In accordance with the Code of'ederal Regulations, Title 10, Parts 50.90 and 2.101, Carolina Power & Light Company (CP&L) hereby requests a revision to the Technical Specifications (TS) for the Shearon Harris Nuclear Power Plant (SHNPP).

This license amendment requests a line-item improvement to the SHNPP Radiological Effluent Technical Specifications (RETS) pursuant to the guidance of Generic Letter 89-01. The proposed amendment will incorporate programmatic controls for radioactive effluents, radiological environmental monitoring and solid radioactive wastes in the Administrative Controls Section of the TS, and relocate the current procedural details of the current RETS into the Offsite Dose Calculation Manual or Process Control Program, as appropriate. This amendment will also incorporate 1) changes to the reporting requirements for Effluent Release Reports, 2) references to the new 10 CFR 20 for those sections of Technical Specifications included in the RETS TSCR, and 3) revised terminology for the gaseous effluent release rate limits.

This license amendment request supercedes and replaces in its entirety our July 21, 1992 RETS TSCR and its supplement on September 3, 1992. provides a detailed description of the proposed changes and the basis for the changes. details, in accordance with 10 CFR 50.91(a), the basis for the Company's determination that the proposed changes do not involve a significant hazards consideration. provides an environmental evaluation which demonstrates that the proposed amendment meets the eligibility criteria for categorical exclusion set forth in 10 CFR 51.22(c)(9). Therefore, pursuant to 10 CFR 51.22(b), no environmental assessment needs to be prepared in connection with the issuance of the amendment.

'740825002'P 9'40819

,PDR,'

P-' 'ADOCK 05000400

. PDR State Road1134 NewHill NC Tel 919362-2502 Fax 919362-6950

Document Control Desk HNP-94-025 / Page 2 provides page change instructions for incorporating the proposed revisions. provides the proposed Technical Specification pages.

In accordance with 10 CFR 50.91(b), CPSL is providing the State of North Carolina with a copy of the proposed license amendment.

In order to allow time for procedure revision and orderly incorporation into copies of the Technical Specifications, CP&L requests that the proposed amendments, once approved by the NRC, be issued such that implementation will occur within 120 days of issuance of the amendment.

Please refer any questions regarding this submittal to Mr. D. C. McCarthy at (919) 362-2100.

Yours very truly, W. R. Robinson SDC/sdc

Enclosures:

1. Basis for Change Request
2. 10 CFR 50.92 Evaluation
3. Environmental Considerations
4. Page Change Instructions
5. Technical Specification Pages W. R. Robinson, having been first duly sworn, did depose and say that the information contained herein is true and correct to the be'st of his information, knowledge and belief; and the sources of his information are officers, employees, contractors, and agents of Carolina Power 6 Light Company.

4anau+

Notary Seal) J 4

S. Y'Ieao My commission expires:

O NOTARY c; Mr. Dayne H. Brown Mr. S. D. Ebneter PUOLlC Mr. N. B. Le Mr. J. E. Tedrow ~ni coe+'

Document Control Desk HNP-94-025 / Page 3 bc: T. A. Baxter, Esq. Mr. R. D. Martin Ms. P. Brannan Admiral K. R. McKee Mr. R. K. Buckles (LIS) Mr. J. W. Moyer Mr. W. R. Campbell Mr. W. S. Orser Mr. J. W. Donahue Mr. H. A. Pollock Mr. H. W. Habermeyer, Jr. Mr. G. A. Rolfson Mr. E. M. Harris Mr. L. S. Rowell Ms. T. A. Head (GLS File) Mr. R. S. Stencil Mr. J. D. Heidt Honorable H. Wells Mr. W. J. Hindman Nuclear Records Mr. G. Honma (BNP) File: HI/A-2D Mr. R. M. Krich (RNP) File: H-X-0511

ENCLOSURE TO SERIAL'NP-94-025 ENCLOSURE 1 SHEARON HARRIS NUCLEAR POWER PLANT NRC DOCKET NO. 50-400/LICENSE NO. NPF-63 REQUEST FOR LICENSE AMENDMENT RADIOLOGICAL EFFLUENT TECHNICAL SPECIFICATIONS BASIS FOR CHANGE RE UEST

~Back round The Shearon Harris Nuclear Power Plant (SHNPP) Technical Specifications include detailed requirements for controlling radiological effluents, solid radioactive wastes and radiological environmental monitoring. These requirements, located in Specifications 3/4.3, 3/4.11 and 3/4.12, are collectively referred to as the Radiological Effluent Technical Specifications (RETS). On July 21, 1992 (NLS 132), Carolina Power & Light Company (CP&L) submitted a Technical Specification Change Request (TSCR) that would have implemented the guidance of Generic Letter 89-01 relative to the RETS. The July 1992 TSCR proposed the relocation of procedural details of the current RETS into the Offsite Dose Calculation Manual (ODCM) or Process Control Program (PCP), as appropriate. It also proposed the incorporation of programmatic controls for radioactive effluents, radiological environmental monitoring and solid radioactive wastes into the Administrative Controls Section of t'e Technical Specifications (TS).

Since CP&L submitted the RETS TSCR in July 1992, a number of changes have occurred. Part 20 of the Code of Federal Regulations has undergone a major revamping, reporting requirements in Part 50 have also been revised, and subsequent technical specification changes have been approved for SHNPP, all of which have some effect on the RETS TSCR as submitted in 1992. Therefore, CP&L has updated the RETS TSCR to account for these changes and herein resubmits the updated TSCR. This resubmittal supersedes and replaces the July 21, 1992 submittal.

Pro osed Chan e This license amendment requests a line-item improvement to the RETS portion of the SHNPP TS pursuant to the guidance of Generic Letter 89-01. The proposed amendment will incorporate programmatic controls for radioactive effluents, radiological environmental monitoring and solid radioactive wastes in the Administrative Controls Section of the TS, and relocate the procedural details of the current RETS into the Offsite Dose Calculation Manual (ODCM) or Process Control Program (PCP), as appropriate. This amendment will also incorporate changes to the reporting requirements for Effluent Release Reports, references to the new 10 CFR 20 for those sections of Technical Specifications included in the RETS TSCR, and revised terminology for the gaseous effluent release rate limits.

Page El-1

ENCLOSURE TO SERIAL: HNP-94-025 Basis A. Radiological Effluent Technical Specifications As discussed in NRC Generic Letter 89-01, the NRC staff has examined on a generic basis the contents of the RETS 'in relation to the Commission's Interim Policy Statement on Technical Specification Improvements. The staff has determined that programmatic controls can be implemented in the Administrative Controls Section of the TS to satisfy existing regulatory requirements for RETS. At the same time, the procedural details of the current TS on radioactive effluents and radiological environmental monitoring can be relocated to the ODCM. Likewise, the procedural details of the current TS on solid radioactive wastes can be relocated to the PCP.

These actions simplify the RETS, meet the regulatory requirements for radioactive effluents and radiological environmental monitoring, and are provided as a line-item improvement to the TS, consistent with the goals of the Policy Statement.

Pursuant to the guidance provided in Generic Letter 89-01, this amendment will provide programmatic controls for RETS consistent with regulatory requirements and allow relocation of the procedural details of current RETS to the ODCM or PCP.

The proposed programmatic controls for radioactive effluents and radiological environmental monitoring conform to the recommendations of the Generic Letter with two exceptions, both of which deal with the manner in which specific limits are referenced in the new Administrative Controls Section. First, the proposed liquid effluent limits in Paragraph 6.8.4.h.2, reflect the recently approved limits expressed in terms of the revised 10 CFR 20 requirements (see TS Amendment 40). The GL 89-01 wording references the old 10 CFR 20 requirements. Second, the proposed gaseous effluent limits in Paragraph 6.8.4.h.7 maintains the current TS use of specific numerical limits. Generic Letter 89-01 would replace the specific numerical limits with references to the limits in 10 CFR 20 (see Section D below). In both cases, the wording of the proposed Administrative Controls reflect the effluent limits of the current TS which they are replacing, and are in accordance with subsequent NRC guidance.

Future changes to the procedural details will be controlled by the controls for changes to the ODCM or PCP included in the Administrative Controls Section of the TS.

The change to each Technical Specification is outlined in the attached table, Page El-2

ENCLOSURE TO SERIAL: HNP-94-025 SUB4ARY OF PROPOSED C GES TO THE RETS ADHINISTRATIVE CONTROLS SPECIFICATION TITLE DISPOSITION OF EXISTING SPECIFICATION 1.20 OFFSITE DOSE CALCULATION Definition is updated to reflect the MANUAL change in scope of the ODCH.

1.25 PROCESS CONTROL PROGRAM Definition is updated to reflect the change in scope of the PCP.

1.34 SOLIDIFICATION Definition is relocated to the PCP.

3/4.3.3.10 RADIOACTIVE LIQUID Pzogranmatic controls are included in EFPLUENT HONZTORING 6.8.4 h. Item 1). Existing specifi.-

INSTRUMENTATION oation procedural details aro relocated to tho ODCH.

3/4 ' '. 11 RADIOACTIVE GASEOUS EFPLUENT MONITORING Pzogranmatic controls are included 6.8.4 h. Item 1). Existing specifi-in INSTRUMENTATION cation procedural details are relocated to tho ODCH. Existing requirements for explosive gas monitoring instrumentation aro retainod.

3/4.11.1.1 LIQUID EFFLUENTS: Pzogranmatic controls are included in CONCENTRATION 6.8.4 h. Item 2) and 3). Existing specification procedural details are relocated to the ODCH.

3/4.11. 1.2 LIQUID EFFLUENTS: Progranmatic controls are included in DOSE 6.8.4 h. Item 4) and 5). Existing specification pzoceduzal details are relocated to the ODCH.

3/4.11.1.3 LIQUID EFFLUENTS Pzogranxnatic controls are includod in LIQUID RADWASTE 6.8.4 h. Item 6) Existing

~

TREATHENT SYSTEH specification procedural details axe zelocated to the ODCH.

3/4.11.2.1 GASEOUS EFFLUENTS: Pzogranxnatic controls are includod in DOSE RATE 6.8 ~ 4 h. Item 3) and 7). Existing specification procedural details are relocated to the ODCH.

3/4.11.2.2 GASEOUS EFFLUENTSx Pzogranmatic controls are included in DOSE-NOBLE GASES 6.8.4 h. Ztom 5) and 8). Existing specification procedural dotails are relocated to the ODCH.

3/4. 11.2. 3 GASEOUS EFFLUENTS: Pzogranxnatic controls are includod in DOSE--ZODINE 131, 6.8.4 h. Item 5) and 9). Existing TRITIUH, AND RADIOACTIVE specification procedural details are HATERZAL IN PARTICULATE relocated to the ODCH.

FORM 3/4.11.2.4 GASEOUS EFFLUENTS: Progranxnatic controls are included in GASEOUS RADWASTE 6.8.4 h. Iten 6). Existing specifi-TREATHENT or VENTILATION cation procedural details are EXHAUST TREATMENT SYSTEM relocated to the ODCH.

3/4.11.3 SOLID RADIOACTIVE WASTES Existing specifications procedural dotails are relocated to tho PCP.

Page E1-3

ENCLOSURE TO SERIAL: HNP-94-025 SENARY OF PROPOSED CHANGES To THE RETS ADMINISTRATIVE CONTROLS (Cont.)

SPECIFICATION TITLE DISPOSITION OF EXISTING SPECIFICATION 3/4. 11. 4 RADIOACTIVE EFFLUENTS: Prograsmatic controls are included in TOTAL DOSE 6.8.4 h. Item 10). Existing specifi-cation procedural details are relocated to the ODCH.

3/4.12.1 RADIOLOGICAL ENVIRON- Prograanatic controls are included in MENTAL MONITORING: 6.8.4 i. Item 1). Existing specifi-HONITORING PROGRAH cation procedural details are relocated to the ODCH.

3/4.12.2 RADIOLOGICAL ENVIRON- Prograsmatic controls are included in MENTAL HONITORING: 6.8.4 i. Item 2). Existing specifi-LAND USE CENSUS cation procedural details are zelocated to the ODCH.

3/4.12.3 RADIOLOGICAL ENVIRON- Pzogzenxnatic controls aze included in HENTAL MONITORING: 6.8.4 i. Item 3). Existing specifi-INTERLABORATORY cation procedural details are COMPARISON PROGRAM relocated to the ODCH.

6.8.4.h PROCEDURES AND PROGRAHS Added Radioactive Effluent Control Program.

6.8.4.i PROCEDURES AND PROGRAMS Added Radiological Environmental Honitoring Program.

6.9.1.3 REPORTING REQUIREMENTS: Specification simplified and existing ANNUAL RADIOLOGICAL reporting details are relocated to ENVIRONMENTAL OPERATING the ODCH.

REPORT 6.9.1.4 REPORTING REQUIREMENTS: Specification simplified and existing ANNUAL RADIOACTIVE reporting details are relocated to EFFLUENTS RELEASE REPORT the ODCH or PCP, as appropriate.

6.13 PROCESS CONTROL PROGRAM Specification requirements are simplified.

6.14 OFFSITE DOSE CALCULATION Specification requirements are HANUAL simpliiied.

6.15 MAJOR CHANGES TO LIQUID, Existing procedural details are GASEOUS, AND SOLID relocated to the ODCH or PCP, as RADWASTE TREATMENT appropriate.

SYSTEMS Effluent Release Report In accordance with Technical Specifications and prior 10 CFR 50.36a(a)(2) requirements, the Effluent Release Report for the SHNPP has been submitted to the NRC every six months (within 60 days after January 1 and July 1 of

'each year). As published in the Federal Register (57FR39353, August 31, 1992), the NRC revised the 10 CFR 50.36a required Effluent Release Report frequency from once every six months to annually and revised the required report submission date to May 1. The Rule became effective on October 1, 1992, This TSCR supplement proposes to revise the Technical Specifications such that they are consistent with the revised 10 CFR 50.36a reporting requirements.

Page El-4

0 l

'I I

ENCLOSURE TO SERIAL: HNP-94;025 Revised 10 CFR 20 References Effective June 20, 1991, the NRC published a revised 10 CFR Part 20, which among other changes, affected the arrangement of requirements within the Regulation. SHNPP implemented the new Part 20 requirements effective January 1, 1993. This administrative change is being made to reflect that the requirements in the old 10 CFR 20.106 are now located in the new 10 CFR 20.1302.

This TS change request deals only with those Technical Specifications within the scope of the RETS (Generic Letter 89-01). Updating the SHNPP TS to incorporate the remainder of the 10 CFR 20 references is awaiting NRC staff guidance in a forthcoming Generic Letter.

Gaseous Effluent Release Limit This submittal also revises the terminology for the gaseous effluent release rate limits in a manner which differs from the proposed wording of GL 89-01. This proposal maintains the gaseous effluent release rate limits as currently specified in the SHNPP Technical Specifications. A similar change for the Liquid Effluent Concentration Technical Specification 3/4.11.1.1 has already been approved by the NRC on December 14, 1993 as Amendment 40 to the SHNPP Operating License, Technical Specification 3/4.11.2.1, Gaseous Effluents - Dose Rate, ensures that the dose rate at any time at and beyond the site boundary from gaseous effluents will be less than the effective dose rate limits of (the old) 10 CFR Part 20. The annual dose rate limits of 10 CFR 20, Appendix B, Table II, Column 1 Maximum. Permissible Concentrations (MPC), are expressed in terms of concentrations, which if not exceeded, ensure that the annual exposure to any member of the public will be less than 500 mrem dose in a year. The current SHNPP Technical Specification 3/4.11.2.1 implements the Part 20 limits by directly stating the specific dose rate limits (500 mrem/year whole body, etc).

Generic Letter 89-01 proposed changes to be made to the Technical Specifications that would remove the procedural details in the TS Limiting Conditions of Operation that control radioactive effluents and replace them with programmatic controls in the Administrative Controls Section of the Technical Specifications. Part of the proposed programmatic controls included a reference to the limitations on dose rates associated with 10 CFR 20, Appendix B, Table II, Column 1 ~ Given the Part 20 in effect at the time, implementation of the RETS TSCR would have had no effect on the level of effluent controls. The change would simply have replaced the numerical limits in the SHNPP Technical Specification's with a reference to Part 20 limits. However, the new Part 20 reduced the annual dose permitted for a member of the public from the previous MPC-based 500 mrem/year to an Effluent Concentration (EC) based 100 mrem/yr. The net effect of implementing the new 10 CFR 20 and the GL 89-01 proposed verbiage would have been an unnecessary forced reduction in effluent release rates by a factor of 5.

Page El-5

ENCLOSURE TO SERIAL: HNP-94-025 This forced reduction applies to the entire nuclear industry. The revised release rate limits would effectively force releases at levels comparable to instrument background. Subsequent NUMARC (NEI) discussions with the NRC resulted in draft NRC guidance to modify the new limits.

I This supplemental Technical Specification change request revises the GL 89-01 proposed wording such that it maintains operational flexibility while retaining the same overall level of effluent control required to meet the design objectives of Appendix I to 10 CFR 50. The revised wording is consistent with draft guidance issued by NRC for comment regarding the modification of Technical Specifications to reflect revisions to 10 CFR Part 20 and it provides the same level of protection to the public that currently exists in the license.

Page El-6

ENCLOSURE TO SERIAL: HNP-94-025 ENCLOSURE 2 SHEARON HARRIS NUCLEAR POWER PLANT NRC DOCKET NO. 50-400/LICENSE NO. NPF-63 REQUEST FOR LICENSE AMENDMENT RADIOLOGICAL EFFLUENT TECHNICAL SPECIFICATIONS 10 CFR 50.92 EVALUATION The Commission has provided standards in 10 CFR 50.92(c) for determining whether a significant hazards consideration exists. A proposed amendment to an operating license for a facility involves no significant hazards consideration if operation of the facility in accordance with the proposed amendment would not: (1) involve a significant increase in the probability or consequences of an accident previously evaluated, (2) create the possibility of a new or different kind of accident from any accident previously evaluated, or (3) involve a significant reduction in a margin of safety. Carolina Power & Light Company has reviewed this proposed license amendment request and determined that its adoption would not involve a significant hazards determination. The bases for this determination are as follows:

Pro osed Chan e This license amendment requests a line-item improvement to the RETS portion of the SHNPP TS pursuant to the guidance of Generic Letter 89-01. The proposed amendment will incorp'orate programmatic controls for radioactive effluents, radiological environmental monitoring and solid radioactive wastes in the Administrative Controls Section of the TS, and relocate the current procedural details of the current RETS into the Offsite Dose Calculation Manual (ODCM) or Process Control Program (PCP), as appropriate. This amendment will also incorporate changes to the reporting requirements for Effluent Release Reports, references to the new 10 CFR 20 for those sections of Technical Specifications included in the RETS TSCR, and revised terminology for the gaseous effluent release rate limits.

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

II

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

Transferring the procedural details from the TS to the ODCM and PCP and their replacement with programmatic controls have no impact on plant operation or safety. No safety-related equipment, safety function, or plant operation will be altered as a result of this proposed change. The changes are unrelated to the initiation and mitigation of accidents and equipment malfunctions addressed in the Final Safety Analysis Report.

The proposed revisions to the reporting requirements for Effluent Release Reports, the gaseous effluent release rate limit and the relocation of the old 10 CFR 20.106 requirements to the new 10 CFR 20.1302 have no impact on plant systems, plant operations or accident precursors. The changes to Page E2-1

ENCLOSURE TO SERIAL: HNP-94-025 the Effluent Report requirements and the updated reference to 10 CFR 20.1302 are administrative in nature. The change to the gaseous effluent release limit is also administrative in nature in that it will allow the continued operation of the facility with the same release rate limits as are currently implemented by the Technical Specifications.

Therefore, there would be no increase in the probability or consequences of an accident previously evaluated.

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

Transferring the procedural details from the TS to the ODCM and PCP and their replacement with programmatic controls have no impact on plant operation or safety. No safety-related equipment, safety function, or plant operation will be altered as a result of this proposed change. No changes to plant components or structures are introduced which could create new accidents or malfunctions not previously evaluated.

The proposed revisions to the reporting requirements for Effluent Release Reports, the gaseous effluent release rate limit and the relocation of the old 10 CFR 20.106 requirements to the new 10 CFR 20.1302 have no impact on plant systems, plant operations or accident precursors. The changes to the Effluent Report requirements and the updated reference to 10 CFR 20.1302 are administrative in nature. The change to the gaseous effluent release limits is also administrative in nature in that it will allow the continued operation of the facility with the same release rate limits as are currently implemented by the Technical Specifications.

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

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

The procedural details of the current RETS will be transferred to the ODCM and PCP and replaced with programmatic controls consistent with regulatory requirements, including controls on revisions to the ODCM and PCP. Thus, no requirements or controls will be reduced.

The changes to the Effluent Report requirements and the updated reference to 10 CFR 20.1302 are administrative in nature and therefore have no effect on the margin of safety. The proposed revisions to the gaseous effluent release limits will maintain the release rate limits at the same level as currently implemented by, the Technical Specifications.

Therefore, there will be no change in the types and amounts of effluents that will be released, nor will there be an increase in individual or cumulative radiation exposures to any member of the public.

Therefore, the proposed changes do not involve a significant reduction in a margin of safety.

Page E2-2

ENCLOSURE TO SERIAL: HNP-94-025 ENCLOSURE 3 SHEARON HARRIS NUCLEAR POWER PLANT NRC DOCKET NO. 50-400/LICENSE NO. NPF-63 REQUEST FOR LICENSE AMENDMENT RADIOLOGICAL EFFLUENT TECHNICAL SPECIFICATIONS ENVIRONMENTAL CONSIDERATIONS 10 CFR 51.22(c)(9) provides criterion for and identification of licensing and regulatory actions eligible for categorical exclusion from performing an environmental assessment. A proposed amendment to an operating license for a facility requires no environmental assessment if operation of the facility in accordance with the proposed amendment would not: (1) involve a significant hazards consideration; (2) result in a significant change in the types or significant increase in the amounts of any effluents that may be released offsite; (3) result in an increase in individual or cumulative occupational radiation exposure. Carolina Power 6 Light Company has reviewed this request and determined that the proposed amendment meets the eligibility criteria for categorical exclusion set forth in 10 CFR 51.22(c)(9). Pursuant to 10 CFR 51.22(b), no environmental impact statement or environmental assessment needs to be prepared in connection with the issuance of the amendment. The basis for this determination follows:

Pro osed Chan e This license amendment requests a line-item improvement to the RETS portion of the SHNPP TS pursuant to the guidance of Generic Letter 89-01. The proposed amendment will incorporate programmatic controls for radioactive effluents, radiological environmental monitoring and solid radioactive wastes in the Administrative Controls Section of the TS, and relocate the current procedural details of the current RETS into the Offsite Dose Calculation Manual (ODCM) or Process Control Program (PCP), as appropriate. This amendment will also incorporate changes to the reporting requirements for Effluent Release Reports, references to the new 10 CFR 20 for those sections of Technical Specifications included in the RETS TSCR, and revised terminology for the gaseous effluent release rate limits.

Basis The change meets the eligibility criteria for categorical exclusion set forth in 10 CFR 51.22(c)(9) for the following reasons:

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

2. The proposed amendment does not result in a significant change in the types or significant increase in the amounts of any effluents that may be released offsite.

The proposed change does not reduce the level of radiological effluent control. This change is administrative in nature and is requested in Page E3-1

ENCLOSURE TO SERIAL: HNP-94-025 conformance with Generic Letter 89-01 as part of the line-item improvement program. It will provide programmatic controls of for RETS consistent with procedural details of regulatory requirements and allow relocation the the current RETS to the ODCM or PCP. Relocating the procedural details of the current RETS to the ODCM and PCP will not reduce the level of radiological effluent control.

The proposed revisions to the reporting requirements for Effluent Release Reports and the relocation of the old 10 CFR 20.106 requirements to the new 10 CFR 20.1302 have no impact on plant systems or plant operations that would influence the type or quantity of effluents released from SHNPP. The change to the gaseous effluent release limits allow the continued operation of the facility with the same release rate limits as are currently implemented by the Technical Specifications. This change has no impact on the type of effluent.

As such, the change can not affect the types or amounts of any effluents that may be released offsite.

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

This change is administrative in nature and is requested in accordance with Generic Letter 89-01 as part of the line-item improvement program.

Relocating the procedural details of the current RETS to the ODCM and PCP will not reduce the level of radiological effluent control. This change provides programmatic controls for RETS consistent with regulatory requirements. The removal of procedural details from the TS has no impact on plant operation or occupational radiation exposure.

The changes to the Effluent Report requirements and the updated reference to 10 CFR 20.1302 are administrative in nature and therefore have no effect on individual or cumulative occupational radiation exposure. The change to the gaseous effluent release limits would allow the continued operation of the facility with the same release rate limits as are currently implemented by the Technical Specifications, there should be no affect on either individual or cumulative occupational radiation exposure.

Therefore, the amendment has no affect on either individual or cumulative occupational radiation exposure.

Page E3-2

ENCLOSURE 4 SHEARON HARRIS NUCLEAR POWER PLANT NRC DOCKET NO. 50-400/LICENSE NO. NPF-63 REQUEST FOR LICENSE AMENDMENT RADIOLOGICAL EFFLUENT TECHNICAL SPECIFICATIONS PAGE CHANGE INSTRUCTIONS Removed Pa e Inserted Pa e vi xii xii xvi xix Xix xx XX 1-4 thru 1-4 1-6 1-5 1-6 3/4 3-75 thru 3/4 3-75 3/4 3-81 3/4 3-82 and 3/4 3-82 3/4 3-83 3/4 3-83 3/4 3-84 3/4 3-85 and 3/4 3-85 3/4 3-86 3/4 3-86 3/4 3-87 3/4 3-88 3/4 3-88 3/4 11-1 thru 3/4 11-1 3/4 11-6 3/4 11-7 3/4 11-7 3/4 11-8 thru 3/4 11-8 3/4 11-14.

3/4 11-16 3/4 11-16 3/4 11-17 and 3/4 11-17 3/4 11-18 3/4 11-19 3/4 11-19 3/4 12-1 thru 3/4 12-1 3/4 12-14

l ~

Removed Pa e Inserted Pa e B 3/4 3-5 and B 3/4 3-5 B 3/4 3-6 B 3/4 3-6 B 3/4 11-1 thru B 3/4 11-1 B 3/4 11-6 B 3/4 11-2.

B 3/4 12-1 and B 3/4 12-1 B 3/4 12-2 6-19a 6-19b 6-21 thru 6-21 6-23 6-22 6-23 6-26 thru 6-26 6-29 6-27 6-28