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| number = ML15166A037
| number = ML15166A037
| issue date = 06/04/2015
| issue date = 06/04/2015
| title = Pilgrim - Request for Approval of Relief Requests (PRR)-50 and -51, Proposed Alternative in Accordance with 10 CFR 50.55a(z)(1), Implementation of Code Case N-702 (PRR-50) and Implementation of BWRVIP-05 (GL 98-05) (PRR-51)
| title = Request for Approval of Relief Requests (PRR)-50 and -51, Proposed Alternative in Accordance with 10 CFR 50.55a(z)(1), Implementation of Code Case N-702 (PRR-50) and Implementation of BWRVIP-05 (GL 98-05) (PRR-51)
| author name = Perkins E P
| author name = Perkins E
| author affiliation = Entergy Nuclear Operations, Inc
| author affiliation = Entergy Nuclear Operations, Inc
| addressee name =  
| addressee name =  
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=Text=
=Text=
{{#Wiki_filter:Entergy Nuclear Operations, Inc.v FEntergy Pilgrim Nuclear Power Station600 Rocky Hill RoadPlymouth, MA 02360June 4, 2015U.S. Nuclear Regulatory Commission Attn: Document Control DeskWashington, DC 20555-0001
{{#Wiki_filter:Entergy Nuclear Operations, Inc.
vFEntergy                                                                        Pilgrim Nuclear Power Station 600 Rocky Hill Road Plymouth, MA 02360 June 4, 2015 U.S. Nuclear Regulatory Commission Attn: Document Control Desk Washington, DC 20555-0001


==SUBJECT:==
==SUBJECT:==
Request for Approval of Pilgrim Relief Requests (PRR)-50 and -51, Proposed Alternative in Accordance with 10 CFR 50.55a(z)(1), Implementation of Code Case N-702 (PRR-50) and Implementation of BWRVIP-05 (GL 98-05) (PRR-51)
Entergy Nuclear Operations, Inc.
Pilgrim Nuclear Power Station Docket No.: 50-293 License No.: DPR-35 LETTER NUMBER: 2.15.032


Request for Approval of Pilgrim Relief Requests (PRR)-50 and -51, ProposedAlternative in Accordance with 10 CFR 50.55a(z)(1),
==Dear Sir or Madam:==
Implementation of CodeCase N-702 (PRR-50) and Implementation of BWRVIP-05 (GL 98-05) (PRR-51)Entergy Nuclear Operations, Inc.Pilgrim Nuclear Power StationDocket No.: 50-293License No.: DPR-35LETTER NUMBER: 2.15.032
 
Pursuant to 10 Code of Federal Regulations (CFR) 50.55a(z)(1), Pilgrim Nuclear Power Station (PNPS) hereby requests an alternative to specific portions of the American Society of Mechanical Engineers (ASME) Boiler and Pressure Vessel Code, Section Xl, "Rules for In-service Inspection of Nuclear Power Plant Components," on the basis that the proposed alternatives provide an acceptable level of quality and safety. The requests are summarized below. More specific details are provided in Attachments 1 and 2, respectively.
PRR-50 ASME Section XI, 2007 Edition through the 2008 Addenda, Table IWB-2500-1, Examination Category B-D, "Full Penetration Welded Nozzles in Vessels" requires a volumetric examination of all nozzles with full penetration welds to the vessel shell (or head) and integrally cast nozzles each 10-year interval. Additionally, for ultrasonic examinations, ASME Section Xl, Appendix VIII, "Performance Demonstration for Ultrasonic Examination Systems," is implemented, as required and conditioned by 10 CFR 50.55a(b)(2)(xv). The reactor pressure vessel nozzle-to-vessel welds and inner radii subject to this request are listed below in Table 1 of Attachment 1.
Code Case N-702 was incorporated into Regulatory Guide (RG) 1.147, Revision 17. As stated in the RG, applicability of the Code Case must be shown by demonstrating that the appropriate sections of the U.S. Nuclear Regulatory Commission (NRC) Safety Evaluation Reports for BWRVIP-1 08 or BWRVIP-241 are met and the evaluation demonstrating the applicability of the Code Case is reviewed and approved by the NRC prior to the application of the Code Case.
Accordingly, PNPS is submitting this request to show compliance to the conditions imposed on BWRVIP-241 and to address operating conditions not bound by BWRVIP-108 (fluence and cycles).


==Dear Sir or Madam:==
PNPS Letter 2.15.032 Page 2 of 3 Pursuant to 10 CFR 50.55a(z)(1), PNPS requests approval to implement the alternative of Code Case N-702 in lieu of the code required 100% examination of all nozzles identified in Table 1.
Pursuant to 10 Code of Federal Regulations (CFR) 50.55a(z)(1),
See Attachment 1 for additional details.
Pilgrim Nuclear Power Station(PNPS) hereby requests an alternative to specific portions of the American Society ofMechanical Engineers (ASME) Boiler and Pressure Vessel Code, Section Xl, "Rules for In-service Inspection of Nuclear Power Plant Components,"
PRR-51 ASME Section Xl, 2007 Edition through the 2008 Addenda, Table IWB-2500-1, Examination Category B-A, Item No. B1.11, requires a volumetric examination of the circumferential shell welds each interval. PNPS is requesting an alternative in accordance with 10 CFR 50.55a(z)(1) on the basis that this alternative provides an acceptable level of quality and safety. This request for alternative would provide relief from circumferential weld examinations required by the ASME Section XI Code for the extended period of operation.
on the basis that the proposedalternatives provide an acceptable level of quality and safety. The requests are summarized below. More specific details are provided in Attachments 1 and 2, respectively.
PNPS is currently in the fourth 10-year In-Service Inspection (ISI) interval which began on July 1, 2005 and ends on June 30, 2015. The ISI Code of Record for the fourth interval is ASME Section XI, 1998 edition through 2000 Addenda.
PRR-50ASME Section XI, 2007 Edition through the 2008 Addenda, Table IWB-2500-1, Examination Category B-D, "Full Penetration Welded Nozzles in Vessels" requires a volumetric examination of all nozzles with full penetration welds to the vessel shell (or head) and integrally cast nozzleseach 10-year interval.
PNPS requests NRC Staff review and approval of this Request for Alternative as soon as possible following the start of the PNPS fifth 10-year ISI interval which is scheduled to begin on July 1, 2015.
Additionally, for ultrasonic examinations, ASME Section Xl, AppendixVIII, "Performance Demonstration for Ultrasonic Examination Systems,"
There are no new commitments included in this document.
is implemented, asrequired and conditioned by 10 CFR 50.55a(b)(2)(xv).
The reactor pressure vessel nozzle-to-vessel welds and inner radii subject to this request are listed below in Table 1 of Attachment 1.Code Case N-702 was incorporated into Regulatory Guide (RG) 1.147, Revision
: 17. As statedin the RG, applicability of the Code Case must be shown by demonstrating that the appropriate sections of the U.S. Nuclear Regulatory Commission (NRC) Safety Evaluation Reports forBWRVIP-1 08 or BWRVIP-241 are met and the evaluation demonstrating the applicability of theCode Case is reviewed and approved by the NRC prior to the application of the Code Case.Accordingly, PNPS is submitting this request to show compliance to the conditions imposed onBWRVIP-241 and to address operating conditions not bound by BWRVIP-108 (fluence andcycles).
PNPS Letter 2.15.032Page 2 of 3Pursuant to 10 CFR 50.55a(z)(1),
PNPS requests approval to implement the alternative of CodeCase N-702 in lieu of the code required 100% examination of all nozzles identified in Table 1.See Attachment 1 for additional details.PRR-51ASME Section Xl, 2007 Edition through the 2008 Addenda, Table IWB-2500-1, Examination Category B-A, Item No. B1.11, requires a volumetric examination of the circumferential shellwelds each interval.
PNPS is requesting an alternative in accordance with 10 CFR 50.55a(z)(1) on the basis that this alternative provides an acceptable level of quality and safety. This requestfor alternative would provide relief from circumferential weld examinations required by theASME Section XI Code for the extended period of operation.
PNPS is currently in the fourth 10-year In-Service Inspection (ISI) interval which began on July1, 2005 and ends on June 30, 2015. The ISI Code of Record for the fourth interval is ASMESection XI, 1998 edition through 2000 Addenda.PNPS requests NRC Staff review and approval of this Request for Alternative as soon aspossible following the start of the PNPS fifth 10-year ISI interval which is scheduled to begin onJuly 1, 2015.There are no new commitments included in this document.
If you have questions concerning this letter, please contact me at 508-830-8323.
If you have questions concerning this letter, please contact me at 508-830-8323.
Sincerely, Everett (Chip) P. Perkins Jr.Manager, Regulatory Assurance EPP/pmAttachments:
Sincerely, Everett (Chip) P. Perkins Jr.
: 1. Pilgrim Nuclear Power Station 10 CFR 50.55a Request No. PRR-50, Proposed Alternative inAccordance with 10 CFR 50.55a(z)(1),
Manager, Regulatory Assurance EPP/pm Attachments:
Implementation of Code Case N-702 (7 Pages)2. Pilgrim Nuclear Power Station 10 CFR 50.55a Request No. PRR-51, Proposed Alternative inAccordance with 10 CFR 50.55a(z)(1),
: 1. Pilgrim Nuclear Power Station 10 CFR 50.55a Request No. PRR-50, Proposed Alternative in Accordance with 10 CFR 50.55a(z)(1), Implementation of Code Case N-702 (7 Pages)
Implementation of BWRVIP-05 (GL 98-05) (5 Pages)
: 2. Pilgrim Nuclear Power Station 10 CFR 50.55a Request No. PRR-51, Proposed Alternative in Accordance with 10 CFR 50.55a(z)(1), Implementation of BWRVIP-05 (GL 98-05) (5 Pages)
PNPS Letter 2.15.032Page 3 of 3cc: Mr. Daniel H. DormanRegional Administrator, Region 1U.S. Nuclear Regulatory Commission 2100 Renaissance Blvd., suite 100King of Prussia, PA 19406-2713 Mr. Richard V. Guzman, Project ManagerDivision of Operating Reactor Licensing Office of Nuclear Reactor Regulation U.S. Nuclear Regulatory Commission Mail Stop O-8-F211555 Rockville PikeRockville, MD 20852USNRC Senior Resident Inspector Pilgrim Nuclear Power Station ATTACHMENT 1TOLETTER 2.15.032Pilgrim Nuclear Power Station 10 CFR 50.55a Request No. PRR-50, Proposed Alternative in Accordance with 10 CFR 50.55a(z)(1),
 
Implementation of Code Case N-702(7 Pages)
PNPS Letter 2.15.032 Page 3 of 3 cc:   Mr. Daniel H. Dorman Regional Administrator, Region 1 U.S. Nuclear Regulatory Commission 2100 Renaissance Blvd., suite 100 King of Prussia, PA 19406-2713 Mr. Richard V. Guzman, Project Manager Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation U.S. Nuclear Regulatory Commission Mail Stop O-8-F2 11555 Rockville Pike Rockville, MD 20852 USNRC Senior Resident Inspector Pilgrim Nuclear Power Station
Attachment 1 to PNPS Letter 2.15.032Page 1 of 71. American Society of Mechanical Engineers (ASME) Code Component(s)
 
AffectedCode Class: ASME Section XI Code Class 1Component Numbers:
ATTACHMENT 1 TO LETTER 2.15.032 Pilgrim Nuclear Power Station 10 CFR 50.55a Request No. PRR-50, Proposed Alternative in Accordance with 10 CFR 50.55a(z)(1), Implementation of Code Case N-702 (7 Pages) to PNPS Letter 2.15.032 Page 1 of 7
Various (see Table 1 for detailed list of components)
: 1. American Society of Mechanical Engineers (ASME) Code Component(s) Affected Code Class:                 ASME Section XI Code Class 1 Component Numbers:         Various (see Table 1 for detailed list of components)
Code  
Code  


==References:==
==References:==
ASME Section XI, 2007 Edition with 2008 Addenda Code Case N-702 Examination Category:      B-D Item Number(s):            B3.90 and B3.100 Unit/Inspection Interval    Pilgrim Nuclear Power Station / Fifth 10-year interval July 1, 2015- June 30, 2025
: 2. Applicable ASME Code Requirements ASME Section Xl, 2007 Edition through the 2008 Addenda, Table IWB-2500-1, Examination Category B-D, "Full Penetration Welded Nozzles in Vessels" requires a volumetric examination of all nozzles with full penetration welds to the vessel shell (or head) and integrally cast nozzles each 10-year interval. Additionally, for ultrasonic examinations, ASME Section Xl, Appendix VIII, "Performance Demonstration for Ultrasonic Examination Systems," is implemented, as required and conditioned by 10 Code of Federal Regulations (CFR) 50.55a(b)(2)(xv)1 .
The reactor pressure vessel (RPV) nozzle-to-vessel welds and inner radii subject to this request are listed below in Table 1:
TABLE 1 RPV nozzle-to-vessel welds and inner radii subject to this request Identification    Description                                          Total Number Minimum Number                                                                                  Number to be examined N1                Recirculation Outlet                                        2                  1 N2                Recirculation Inlet                                        10                  3 N3                Main Steam Outlet                                          4                  1 N6                Core Spray                                                  2                  1 N7                Spare & Abandoned Head Spray                                2                  1 N8                Head Vent                                                  1                  1 N9                Jet Pump Instrumentation                                    2                  1


ASME Section XI, 2007 Edition with 2008 AddendaCode Case N-702Examination Category:
===3. Reason for Request===
B-DItem Number(s):
U.S. Nuclear Regulatory Commission (NRC) Regulatory Guide (RG) 1.147 Rev. 17 conditionally accepts the use of Code Case N-702. This code case provides an alternative to performing examination of 100% of the Nozzle-to-Vessels Welds and Inner Radii for Examination Category B-D nozzles with the exception of the Feedwater and Control Rod 1 Proposed  Alternative PRR-26 (submitted under separate cover) is requesting an alternative under the provisions of 10 CFR 50.55a(z)(1) to maintain the Non-Destructive Examination, Pressure Testing, and Repair/Replacement Programs to the 2001 Edition through the 2003 Addenda of ASME Section Xl except that Appendix VIII of the 2001 Edition with applicable NRC conditions of 10 CFR 50.55a(b)(2)(xv) will be used.
Unit/Inspection IntervalB3.90 and B3.100Pilgrim Nuclear Power Station / Fifth 10-year intervalJuly 1, 2015- June 30, 20252. Applicable ASME Code Requirements ASME Section Xl, 2007 Edition through the 2008 Addenda, Table IWB-2500-1, Examination Category B-D, "Full Penetration Welded Nozzles in Vessels" requires a volumetric examination of all nozzles with full penetration welds to the vessel shell (or head) andintegrally cast nozzles each 10-year interval.
 
Additionally, for ultrasonic examinations, ASME Section Xl, Appendix VIII, "Performance Demonstration for Ultrasonic Examination Systems,"
Attachment I to PNPS Letter 2.15.032 Page 2 of 7 Drive Return Line (CRDRL) Nozzles. The alternative is to perform examination of a minimum of 25% of the nozzle inner radii and nozzle-to-shell welds, including at least one nozzle from each system and nominal pipe size, excluding the Feedwater and CRDRL Nozzles. As stated in the RG, the evaluation demonstrating the applicability of the Code Case must be reviewed and approved by the NRC prior to the application of the Code Case.
is implemented, as required and conditioned by 10 Code of Federal Regulations (CFR) 50.55a(b)(2)(xv) 1.The reactor pressure vessel (RPV) nozzle-to-vessel welds and inner radii subject to thisrequest are listed below in Table 1:TABLE 1RPV nozzle-to-vessel welds and inner radii subject to this requestIdentification Description Total Number MinimumNumber Number to beexaminedN1 Recirculation Outlet 2 1N2 Recirculation Inlet 10 3N3 Main Steam Outlet 4 1N6 Core Spray 2 1N7 Spare & Abandoned Head Spray 2 1N8 Head Vent 1 1N9 Jet Pump Instrumentation 2 13. Reason for RequestU.S. Nuclear Regulatory Commission (NRC) Regulatory Guide (RG) 1.147 Rev. 17conditionally accepts the use of Code Case N-702. This code case provides an alternative to performing examination of 100% of the Nozzle-to-Vessels Welds and Inner Radii forExamination Category B-D nozzles with the exception of the Feedwater and Control Rod1 Proposed Alternative PRR-26 (submitted under separate cover) is requesting an alternative under theprovisions of 10 CFR 50.55a(z)(1) to maintain the Non-Destructive Examination, Pressure
: 4. Proposed Alternative and Basis for Use Proposed Alternative Pursuant to 10 CFR 50.55a(z)(1), Pilgrim Nuclear Power Station (PNPS) requests approval to implement the alternative of Code Case N-702 in lieu of the code required 100%
: Testing, andRepair/Replacement Programs to the 2001 Edition through the 2003 Addenda of ASME Section Xl exceptthat Appendix VIII of the 2001 Edition with applicable NRC conditions of 10 CFR 50.55a(b)(2)(xv) will beused.
examination of all nozzles identified in Table 1. As an alternative, for the nozzle-to-shell welds and inner radii identified in Table 1, PNPS proposes to examine a minimum of 25% of the nozzle-to-vessel welds and inner radius sections, including at least one nozzle from each system and nominal pipe size, in accordance with Code Case N-702.
Attachment I to PNPS Letter 2.15.032Page 2 of 7Drive Return Line (CRDRL) Nozzles.
Basis for Use Boiling Water Reactor (BWR) Vessel Internals Project (BWRVIP) has issued two topical reports:
The alternative is to perform examination of aminimum of 25% of the nozzle inner radii and nozzle-to-shell welds, including at least onenozzle from each system and nominal pipe size, excluding the Feedwater and CRDRLNozzles.
* BWRVIP-108NP "Technical Basis for the Reduction of Inspection Requirements for the Boiling Water Reactor Nozzle-to-Vessel Shell Welds and Nozzle Blend Radii," EPRI Technical Report 1003557, October 2002 (ML-023330203) and
As stated in the RG, the evaluation demonstrating the applicability of the CodeCase must be reviewed and approved by the NRC prior to the application of the Code Case.4. Proposed Alternative and Basis for UseProposed Alternative Pursuant to 10 CFR 50.55a(z)(1),
    "    BWRVIP-241 "Probabilistic Fracture Mechanics Evaluation for the Boling Water Reactor Nozzle-to-Vessel Shell Welds and Nozzle Blend Radii," EPRI Technical Report 1021005, October 2010 (ML11119A041)
Pilgrim Nuclear Power Station (PNPS) requests approvalto implement the alternative of Code Case N-702 in lieu of the code required 100%examination of all nozzles identified in Table 1. As an alternative, for the nozzle-to-shell welds and inner radii identified in Table 1, PNPS proposes to examine a minimum of 25% ofthe nozzle-to-vessel welds and inner radius sections, including at least one nozzle fromeach system and nominal pipe size, in accordance with Code Case N-702.Basis for UseBoiling Water Reactor (BWR) Vessel Internals Project (BWRVIP) has issued two topicalreports:* BWRVIP-108NP "Technical Basis for the Reduction of Inspection Requirements for theBoiling Water Reactor Nozzle-to-Vessel Shell Welds and Nozzle Blend Radii," EPRITechnical Report 1003557, October 2002 (ML-023330203) and" BWRVIP-241 "Probabilistic Fracture Mechanics Evaluation for the Boling Water ReactorNozzle-to-Vessel Shell Welds and Nozzle Blend Radii," EPRI Technical Report1021005, October 2010 (ML1 1119A041)
The BWRVIP-108NP report contains the technical basis supporting ASME Boiler and Pressure Vessel Code Case N-702 "Alternative Requirements for Boiling Water Reactor (BWR) Nozzle Inner Radius and Nozzle-to-Shell Welds" for reducing the inspection of RPV nozzle-to-vessel shell welds and nozzle inner radius areas from 100 percent to 25 percent of the nozzles for each nozzle type during each 10-year interval.
The BWRVIP-108NP report contains the technical basis supporting ASME Boiler andPressure Vessel Code Case N-702 "Alternative Requirements for Boiling Water Reactor(BWR) Nozzle Inner Radius and Nozzle-to-Shell Welds" for reducing the inspection of RPVnozzle-to-vessel shell welds and nozzle inner radius areas from 100 percent to 25 percent ofthe nozzles for each nozzle type during each 10-year interval.
BWRVIP-241 provides supplemental analyses for BWR RPV recirculation inlet and outlet nozzle-to-shell welds and nozzle inner radii. BWRVIP-241 was submitted to address the limitations and conditions specified in the December 19, 2007, Safety Evaluation Reportfor the BWRVIP-108NP report, "BWR Vessel and Internals Project, Technical Basis for the Reduction of Inspection Requirements for the Nozzle-to-Vessel Shell Welds and Nozzle Inner Radii."
BWRVIP-241 provides supplemental analyses for BWR RPV recirculation inlet and outletnozzle-to-shell welds and nozzle inner radii. BWRVIP-241 was submitted to address thelimitations and conditions specified in the December 19, 2007, Safety Evaluation Reportfor the BWRVIP-108NP report, "BWR Vessel and Internals
Based on the two evaluations (BWRVIP-241 and BWRVIP-108NP), the failure probabilities due to a low temperature over pressure (LTOP) event at the nozzle blend radius region and the nozzle-to-vessel shell weld for PNPS recirculation inlet and outlet nozzles are very low and meet the NRC safety goal.
: Project, Technical Basis for theReduction of Inspection Requirements for the Nozzle-to-Vessel Shell Welds and NozzleInner Radii."Based on the two evaluations (BWRVIP-241 and BWRVIP-108NP),
RG 1.147, Revision 17 conditionally accepts the use of Code Case N-702 with the following condition "The applicability of Code Case N-702 must be shown by demonstrating that the criteria in Section 5.0 of NRC Safety Evaluation Report regarding BWRVIP-108 dated
the failure probabilities due to a low temperature over pressure (LTOP) event at the nozzle blend radius region andthe nozzle-to-vessel shell weld for PNPS recirculation inlet and outlet nozzles are very lowand meet the NRC safety goal.RG 1.147, Revision 17 conditionally accepts the use of Code Case N-702 with the following condition "The applicability of Code Case N-702 must be shown by demonstrating that thecriteria in Section 5.0 of NRC Safety Evaluation Report regarding BWRVIP-108 dated Attachment I to PNPS Letter 2.15.032Page 3 of 7December 18, 2007 (ML073600374) or Section 5.0 of NRC Safety Evaluation regarding BWRVIP-241 dated April 19, 2013 (ML13071A240) are met."Section 5.0 of the NRC Safety Evaluation for BWRVIP-241 states:"Licensees who plan to request relief from the ASME Code Section XI requirements for RPVnozzle-to-vessel shell welds and nozzle inner radius sections may reference the BWRVIP-241 report as the technical basis for use of ASME Code Case N-702 as an alternative.
 
: However, each licensee should demonstrate the plant-specific applicability of the BWRVIP-241 report to their units in the relief request by demonstrating all of the following:
Attachment I to PNPS Letter 2.15.032 Page 3 of 7 December 18, 2007 (ML073600374) or Section 5.0 of NRC Safety Evaluation regarding BWRVIP-241 dated April 19, 2013 (ML13071A240) are met."
(1) The maximum RPV heatup/cooldown rate is limited to less than 1150F/hour"PNPS Technical Specification 3.6.A.2, Reactor Coolant System heatup and cooldownrates are limited to a maximum of 1 00°F when averaged over any one hour period andthus meets the requirement of condition 1.Note: Inputs used in 2 through 5 representing the PNPS configuration are in bold text.Recirculation inlet nozzles (N2)2(2) (pr/t)/CRPV
Section 5.0 of the NRC Safety Evaluation for BWRVIP-241 states:
< 1.15p = RPV normal operating pressure (psi) (1035)r = RPV inner radius (inch) (113.4063) t = RPV wall thickness (inch), (6.5) andCRPV- 19332;PNPS specific calculations for Condition 2 above:(1035 x 113.4063)/6.5)/19332
    "Licensees who plan to request relief from the ASME Code Section XI requirements for RPV nozzle-to-vessel shell welds and nozzle inner radius sections may reference the BWRVIP-241 report as the technical basis for use of ASME Code Case N-702 as an alternative.
= 0.93 < 1.15The PNPS result is 0.93 and thus meets the requirement of condition 2 to be <1.15.(3) [p(ro2 + ri2) / (ro2 -ri2)]/CNOZZLE
However, each licensee should demonstrate the plant-specific applicability of the BWRVIP-241 report to their units in the relief request by demonstrating all of the following:
<_ 1.47P = RPV normal operating pressure (psi) (1035)r, = nozzle outer radius (inch) (9.125)ri = nozzle inner radius (inch), (5.750) andCNOZZLE = 1637;PNPS specific calculations for Condition 3 above:[1035(9.1252
(1) The maximum RPV heatup/cooldown rate is limited to less than 115 0 F/hour" PNPS Technical Specification 3.6.A.2, Reactor Coolant System heatup and cooldown rates are limited to a maximum of 100&deg;F when averaged over any one hour period and thus meets the requirement of condition 1.
+ 5.752)/(
Note:        Inputs used in 2 through 5 representing the PNPS configuration are in bold text.
9.1252 -5.752)]11637
Recirculation inlet nozzles (N2)2 (2) (pr/t)/CRPV < 1.15 p = RPV normal operating pressure (psi) (1035) r = RPV inner radius (inch) (113.4063) t = RPV wall thickness (inch), (6.5) and CRPV-   19332; PNPS specific calculations for Condition 2 above:
= 1.465 < 1.472 There is an inconsistency in reported values for the PNPS RPV dimensions in industry documents.
(1035 x 113.4063)/6.5)/19332 = 0.93 < 1.15 The PNPS result is 0.93 and thus meets the requirement of condition 2 to be <
ReportBWRVIP-241, page 4-1 Section 4.1 and Figure 4-1, on page 4/12 lists the wall thickness as 7 inches which is atypographical error. The value provided in BWRVIP-108 of 5.531 inches was taken from the upper and lowerintermediate shell course values, when it should have been the lower shell course. The values used in the BWRVIP-241 calculations and in this document are based on the correct dimensional information of 6.5 inches for RPV wallthickness and 113.4063 inches for RPV inner radius.
1.15.
Attachment I to PNPS Letter 2.15.032Page 4 of 7The PNPS result is 1.465 and thus meets the requirement of condition 3 to be <1.47Recirculation outlet nozzles (Ni)(4) (pr/t)/CRPV
(3) [p(ro2 + ri2 ) / (ro 2     2
< 1.15p = RPV normal operating pressure (psi) (1035)r = RPV inner radius (inch) (113.4063) t = RPV wall thickness (inch), (6.5) andCRPV = 16171; andPNPS specific calculations for Condition 4 above:(1035 x 113.40625)/6.5)/16171
                                - ri )]/CNOZZLE <_ 1.47 P = RPV normal operating pressure (psi) (1035) r, = nozzle outer radius (inch) (9.125) ri = nozzle inner radius (inch), (5.750) and CNOZZLE = 1637; PNPS specific calculations for Condition 3 above:
= 1.12 < 1.15The PNPS result is 1.12 and thus meets the requirements of condition 4 to be <1.15(5) [p(ro2 + ri2) / (r02 -ri2)]/CNozZLE
[1035(9.1252 +        5.752)/(  9.1252 - 5.752)]11637 = 1.465 < 1.47 2 There is an inconsistency in reported values for the PNPS RPV dimensions in industry documents. Report BWRVIP-241, page 4-1 Section 4.1 and Figure 4-1, on page 4/12 lists the wall thickness as 7 inches which is a typographical error. The value provided in BWRVIP-108 of 5.531 inches was taken from the upper and lower intermediate shell course values, when it should have been the lower shell course. The values used in the BWRVIP-241 calculations and in this document are based on the correct dimensional information of 6.5 inches for RPV wall thickness and 113.4063 inches for RPV inner radius.
< 1.59P = RPV normal operating pressure (psi) (1035)ro = nozzle outer radius (inch) (22.3125) ri = nozzle inner radius (inch), (13.031) andCNOZZLE = 1977.PNPS specific calculation for Condition 5 above:[1035(22.31252
 
+ 13.0312)/(22.31252
Attachment I to PNPS Letter 2.15.032 Page 4 of 7 The PNPS result is 1.465 and thus meets the requirement of condition 3 to be <
-13.0312)]/1977
1.47 Recirculation outlet nozzles (Ni)
= 1.06 < 1.59The PNPS result is 1.06 and thus meets the requirements of condition 5 to be <1.59The analyses for the N2 nozzles in BWRVIP-1 08NP and BWRVIP-241 are based on theassumption that fluence at the nozzles is negligible because the analysis is for the initial 40years of plant operation and do not address the extended operating period. Based onanalysis described in PNPS letter 2.10.005, Kevin Bronson, Pilgrim Site Vice President toNRC Document Control Desk, January 24, 2010, peak fluence for 54 effective full poweryears (EFPY) at the N2 nozzles is calculated to be 2.81 x 1017 n/cm2 (which exceeds thefluence limit of 1.0 x 1017 n/cm2 as contained in 10 CFR 50, Appendix H. Therefore, a plantspecific probabilistic fracture mechanics evaluation 3 was performed to supplement thecriteria of Code Case N-702 and BWRVIP-241 in order to demonstrate that the probability offailure remains acceptable over this period of extended operation (to 60 years). Thisanalysis was performed using the same methods as were used in BWRVIP-241, with PNPSspecific fracture mechanics analyses.
(4) (pr/t)/CRPV < 1.15 p = RPV normal operating pressure (psi) (1035) r = RPV inner radius (inch) (113.4063) t = RPV wall thickness (inch), (6.5) and CRPV =    16171; and PNPS specific calculations for Condition 4 above:
The results demonstrate that for the N2 nozzles at3 Structural Integrity Associates, "Evaluation of Probability of Failure for Recirculation Inlet (N2) in theNozzle-to-Shell Welds and Nozzle Blend Radii Regions at Pilgrim Nuclear Station",
(1035 x 113.40625)/6.5)/16171 = 1.12 < 1.15 The PNPS result is 1.12 and thus meets the requirements of condition 4 to be <
1400071.301 Revision 0, February 2014 Attachment I to PNPS Letter 2.15.032Page 5 of 7PNPS, the probability of failure was less than the NRC safety goal4 of 5.0 x 10-6 per year.Therefore, the probabilistic fracture mechanics criteria of BWRVIP-241 remain applicable tothe PNPS N2 nozzles.The analyses in BWRVIP-108NP and BWRVIP-241 were based on predicted fatigue crackgrowth over the initial licensed operating period and assumed additional fatigue cycles inevaluating fatigue crack growth. PNPS is projected to exceed the total number of thermalcycles used in the BWRVIP analysis during the extended operating period. However, theusage factor for the N2 nozzles remains below 1.0. Previous BWRVIP documents havedemonstrated that stress corrosion crack (SCC) growth represents the majority of the crackgrowth and that crack growth due to additional mechanical/thermal fatigue cycles introduced by the extended operation time is insignificant compared to hypothetical SCC growth. Thus,the amount of thermal cycle driven fatigue crack growth due to the extended operation to 60years is not a controlling factor in the probability of failure of the BWR reactor vesselnozzles.The average Probability of Failure is 9.67x1 07 per year for the nozzle blend radius, and1.67x1 08 per year for the nozzle-to-shell weld, both of which are less than the 5.0 x 10-6 peryear criteria.
1.15 (5) [p(ro2 + ri2) / (r0 2 - ri2)]/CNozZLE < 1.59 P = RPV normal operating pressure (psi) (1035) ro = nozzle outer radius (inch) (22.3125) ri = nozzle inner radius (inch), (13.031) and CNOZZLE =     1977.
The examination history of the subject nozzles, excluding the N2 nozzles, was previously provided to the staff by Entergy letter dated July 13, 2010, from Stephen J. Bethay, DirectorNuclear Safety Assurance to NRC Document Control Desk (Reference ADAMS Accession No. ML102020257).
PNPS specific calculation for Condition 5 above:
The N2 nozzle-to-vessel welds and associated inner radii were volumetrically examined inthe first, second and third intervals.
[1035(22.31252      + 13.0312)/(22.31252  - 13.0312)]/1977 = 1.06 < 1.59 The PNPS result is 1.06 and thus meets the requirements of condition 5 to be <
Examination history for the fourth interval is dependent on request for alternative, PNPS PRR-024, which at the writing of this request is underreview by the staff (Reference PNPS letter dated March 12, 2014 from Joseph R. Lynch,Regulatory Assurance Manager to NRC Document Control Desk (Reference ADAMSAccession No. ML1 4077A1 75). Table 2 provides the detailed examination history for theN-2 nozzles.5. Duration of Proposed Alternative The duration of this request is for the fifth 10-year In-Service Inspection interval ending June30, 2025.6. Precedents Relief PNPS PRR-20 was approved for the fourth 10-year interval as documented in NRCSafety Evaluation Report dated August 25, 2010 (Accession No. ML102290163).
1.59 The analyses for the N2 nozzles in BWRVIP-1 08NP and BWRVIP-241 are based on the assumption that fluence at the nozzles is negligible because the analysis is for the initial 40 years of plant operation and do not address the extended operating period. Based on analysis described in PNPS letter 2.10.005, Kevin Bronson, Pilgrim Site Vice President to NRC Document Control Desk, January 24, 2010, peak fluence for 54 effective full power years (EFPY) at the N2 nozzles is calculated to be 2.81 x 1017 n/cm 2 (which exceeds the fluence limit of 1.0 x 1017 n/cm 2 as contained in 10 CFR 50, Appendix H. Therefore, a plant specific probabilistic fracture mechanics evaluation 3 was performed to supplement the criteria of Code Case N-702 and BWRVIP-241 in order to demonstrate that the probability of failure remains acceptable over this period of extended operation (to 60 years). This analysis was performed using the same methods as were used in BWRVIP-241, with PNPS specific fracture mechanics analyses. The results demonstrate that for the N2 nozzles at 3 Structural  Integrity Associates, "Evaluation of Probability of Failure for Recirculation Inlet (N2) in the Nozzle-to-Shell Welds and Nozzle Blend Radii Regions at Pilgrim Nuclear Station", 1400071.301 Revision 0, February 2014
This reliefexcluded the N2 nozzles which have been subsequently addressed by relief PNPS PRR-24and Safety Evaluation Report dated April 21, 2015 (Accession No. ML15103A069).
 
4 Technical Basis for Revision of Pressurized Thermal Shock (PTS) Screening Limit in the PTS Rule (10CFR 50.61), NUREG-1806, Vol. 1, August 2007 Attachment I to PNPS Letter 2.15.032Page 6 of 7TABLE 2Inspection History for the Recirculation Inlet NozzlesComponent Description Code Code Inspections Indications ID Category ItemRPV-N2A-12" Recirc Inlet Nozzle B-D B3.90 1977, 1984, 1977 (note 1)NV to Vessel Weld 1999, 2009 1984 (note 6)RPV-N2A-12" Recirc Inlet Nozzle B-D B3.100 1977, 1984, NRINIR to Inner Radius 1999, 2009RPV-N2B-12" Recirc Inlet Nozzle B-D B3.90 1980, 1984, 1984 (note 7)NV to Vessel Weld 1999, 2009RPV-N2B-12" Recirc Inlet Nozzle B-D B3.100 1980, 1984, NRINIR to Inner Radius 1999, 2009RPV-N2C-12" Recirc Inlet Nozzle B-D B3.90 1974, 1984, NRINV to Vessel Weld 1999, 2009RPV-N2C-12" Recirc Inlet Nozzle B-D B3.100 1974, 1984, NRINIR to Inner Radius 1999, 2009RPV-N2D-12" Recirc Inlet Nozzle B-D B3.90 1974, 1995, NRINV to Vessel Weld 2003RPV-N2D-12" Recirc Inlet Nozzle B-D B3.100 1974, 1995, NRINIR to Inner Radius 2003RPV-N2E-12" Recirc Inlet Nozzle B-D B3.90 1980, 1985, 1980 (note 3)NV to Vessel Weld 2003RPV-N2E-12" Recirc Inlet Nozzle B-D B3.100 1980, 1985, NRINIR to Inner Radius 2003RPV-N2F-12" Recirc Inlet Nozzle B-D B3.90 1977, 1982, 1977 (note 2)NV to Vessel Weld 1995, 2003RPV-N2F-12" Recirc Inlet Nozzle B-D B3.100 1977, 1982, NRINIR to Inner Radius 1995, 2003RPV-N2G-12" Recirc Inlet Nozzle B-D B3.90 1977, 1993, 2005 (note 8)NV to Vessel Weld 2005RPV-N2G-12" Recirc Inlet Nozzle B-D B3.100 1977, 1993, NRINIR to Inner Radius 2005RPV-N2H-12" Recirc Inlet Nozzle B-D B3.90 1980, 1993, 1980 (note 4)NV to Vessel Weld 2005 2005 (note 9)RPV-N2H-12" Recirc Inlet Nozzle B-D B3.100 1980, 1993, NRINIR to Inner Radius 2005RPV-N2K-12" Recirc Inlet Nozzle B-D B3.90 1981, 1993, 2005 (note 10)NV to Vessel Weld 2005 Attachment I to PNPS Letter 2.15.032Page 7 of 7TABLE 2 (Continued)
Attachment I to PNPS Letter 2.15.032 Page 5 of 7 PNPS, the probability of failure was less than the NRC safety goal4 of 5.0 x 10-6 per year.
Inspection History for the Recirculation Inlet NozzlesComponent Description Code Code Inspections Indications ID Category ItemRPV-N2K-12" Recirc Inlet Nozzle B-D B3.100 1981, 1993, NRINIR to Inner Radius 2005RPV-N2J-12" Recirc Inlet Nozzle B-D B3.90 1980, 1995, 1980 (note 5)NV to Vessel Weld 2003RPV-N2J-12" Recirc Inlet Nozzle B-D B3.100 1980, 1995, NRINIR to Inner Radius 2003Notes:1. N2A (NV) -1977, Code acceptable slag inclusions
Therefore, the probabilistic fracture mechanics criteria of BWRVIP-241 remain applicable to the PNPS N2 nozzles.
-acceptable
The analyses in BWRVIP-108NP and BWRVIP-241 were based on predicted fatigue crack growth over the initial licensed operating period and assumed additional fatigue cycles in evaluating fatigue crack growth. PNPS is projected to exceed the total number of thermal cycles used in the BWRVIP analysis during the extended operating period. However, the usage factor for the N2 nozzles remains below 1.0. Previous BWRVIP documents have demonstrated that stress corrosion crack (SCC) growth represents the majority of the crack growth and that crack growth due to additional mechanical/thermal fatigue cycles introduced by the extended operation time is insignificant compared to hypothetical SCC growth. Thus, the amount of thermal cycle driven fatigue crack growth due to the extended operation to 60 years is not a controlling factor in the probability of failure of the BWR reactor vessel nozzles.
: 2. N2F (NV) -1977, Code acceptable reflectors were observed
The average Probability of Failure is 9.67x1 07 per year for the nozzle blend radius, and 1.67x1 08 per year for the nozzle-to-shell weld, both of which are less than the 5.0 x 10-6 per year criteria.
-acceptable
The examination history of the subject nozzles, excluding the N2 nozzles, was previously provided to the staff by Entergy letter dated July 13, 2010, from Stephen J. Bethay, Director Nuclear Safety Assurance to NRC Document Control Desk (Reference ADAMS Accession No. ML102020257).
: 3. N2E (NV) -1980, Geometric reflectors
The N2 nozzle-to-vessel welds and associated inner radii were volumetrically examined in the first, second and third intervals. Examination history for the fourth interval is dependent on request for alternative, PNPS PRR-024, which at the writing of this request is under review by the staff (Reference PNPS letter dated March 12, 2014 from Joseph R. Lynch, Regulatory Assurance Manager to NRC Document Control Desk (Reference ADAMS Accession No. ML14077A175). Table 2 provides the detailed examination history for the N-2 nozzles.
-acceptable
: 5. Duration of Proposed Alternative The duration of this request is for the fifth 10-year In-Service Inspection interval ending June 30, 2025.
: 4. N2H (NV) -1980, Indications are geometric reflectors from the nozzle ID surface -acceptable
: 6. Precedents Relief PNPS PRR-20 was approved for the fourth 10-year interval as documented in NRC Safety Evaluation Report dated August 25, 2010 (Accession No. ML102290163). This relief excluded the N2 nozzles which have been subsequently addressed by relief PNPS PRR-24 and Safety Evaluation Report dated April 21, 2015 (Accession No. ML15103A069).
: 5. N2J (NV) -1980, Indications are geometric reflectors from the nozzle ID surface -acceptable
4 Technical Basis for Revision of Pressurized Thermal Shock (PTS) Screening Limit in the PTS Rule (10 CFR 50.61), NUREG-1806, Vol. 1, August 2007
: 6. N2A (NV) -1984, Reflectors were seen, same inclusion as 1977 no change in size -acceptable
 
: 7. N2B (NV) -1984, Indications found but are allowable and not recordable
Attachment I to PNPS Letter 2.15.032 Page 6 of 7 TABLE 2 Inspection History for the Recirculation Inlet Nozzles Component          Description            Code          Code          Inspections  Indications ID                                    Category        Item RPV-N2A-     12" Recirc Inlet Nozzle        B-D          B3.90        1977, 1984, 1977 (note 1)
-acceptable
NV            to Vessel Weld                                        1999, 2009  1984 (note 6)
: 8. N2G (NV) -2005, (3) indications, were acceptable per requirements of ASME Section Xl9. N2H (NV) -2005, (4) indications were acceptable per requirements of ASME Section Xl10. N2K (NV) -2005, (3) indications were acceptable per requirements of ASME Section XI ATTACHMENT 2TOLETTER 2.15.032Pilgrim Nuclear Power Station 10 CFR 50.55a Request No. PRR-51, Proposed Alternative in Accordance with 10 CFR 50.55a(z)(1),
RPV-N2A-      12" Recirc Inlet Nozzle        B-D        B3.100        1977, 1984,       NRI NIR            to Inner Radius                                      1999, 2009 RPV-N2B-     12" Recirc Inlet Nozzle       B-D         B3.90         1980, 1984, 1984 (note 7)
Implementation of BWRVIP-05 (GL 98-05)(5 Pages)
NV             to Vessel Weld                                       1999, 2009 RPV-N2B-     12" Recirc Inlet Nozzle       B-D         B3.100         1980, 1984,       NRI NIR            to Inner Radius                                       1999, 2009 RPV-N2C-     12" Recirc Inlet Nozzle       B-D         B3.90         1974, 1984,       NRI NV             to Vessel Weld                                         1999, 2009 RPV-N2C-     12" Recirc Inlet Nozzle       B-D         B3.100         1974, 1984,       NRI NIR            to Inner Radius                                       1999, 2009 RPV-N2D-     12" Recirc Inlet Nozzle       B-D         B3.90         1974, 1995,       NRI NV            to Vessel Weld                                           2003 RPV-N2D-     12" Recirc Inlet Nozzle       B-D         B3.100         1974, 1995,       NRI NIR            to Inner Radius                                           2003 RPV-N2E-     12" Recirc Inlet Nozzle       B-D         B3.90         1980, 1985, 1980 (note 3)
Attachment 2 to PNPS Letter 2.15.032Page 1 of 51. American Society of Mechanical Engineers (ASME) Code Component(s)
NV            to Vessel Weld                                           2003 RPV-N2E-     12" Recirc Inlet Nozzle       B-D         B3.100         1980, 1985,       NRI NIR            to Inner Radius                                           2003 RPV-N2F-     12" Recirc Inlet Nozzle       B-D         B3.90         1977, 1982, 1977 (note 2)
AffectedCode Class: ASME Section XI Code Class 1Component Numbers:
NV             to Vessel Weld                                       1995, 2003 RPV-N2F-     12" Recirc Inlet Nozzle       B-D         B3.100         1977, 1982,       NRI NIR            to Inner Radius                                       1995, 2003 RPV-N2G-     12" Recirc Inlet Nozzle       B-D         B3.90         1977, 1993, 2005 (note 8)
RPV Circumferential Shell Welds (RPV-C-1-344, RPV-C-9-338, RPV-C-3-339A, and RPV-C-3-339B)
NV             to Vessel Weld                                           2005 RPV-N2G-     12" Recirc Inlet Nozzle       B-D         B3.100         1977, 1993,       NRI NIR            to Inner Radius                                           2005 RPV-N2H-     12" Recirc Inlet Nozzle       B-D         B3.90         1980, 1993, 1980 (note 4)
NV             to Vessel Weld                                           2005    2005 (note 9)
RPV-N2H-     12" Recirc Inlet Nozzle       B-D         B3.100         1980, 1993,       NRI NIR            to Inner Radius                                           2005 RPV-N2K-     12" Recirc Inlet Nozzle       B-D         B3.90         1981, 1993, 2005 (note 10)
NV             to Vessel Weld                                           2005
 
Attachment I to PNPS Letter 2.15.032 Page 7 of 7 TABLE 2 (Continued)
Inspection History for the Recirculation Inlet Nozzles Component            Description            Code          Code          Inspections      Indications ID                                      Category        Item RPV-N2K-       12" Recirc Inlet Nozzle         B-D         B3.100       1981, 1993,           NRI NIR            to Inner Radius                                           2005 RPV-N2J-       12" Recirc Inlet Nozzle         B-D         B3.90       1980, 1995,       1980 (note 5)
NV             to Vessel Weld                                           2003 RPV-N2J-      12" Recirc Inlet Nozzle        B-D        B3.100        1980, 1995,            NRI NIR            to Inner Radius                                          2003 Notes:
: 1. N2A (NV) -  1977, Code acceptable slag inclusions - acceptable
: 2. N2F (NV) -   1977, Code acceptable reflectors were observed - acceptable
: 3. N2E (NV) -   1980, Geometric reflectors - acceptable
: 4. N2H (NV) -   1980,  Indications are geometric reflectors from the nozzle ID surface -
acceptable
: 5. N2J (NV) -   1980, Indications are geometric reflectors from the nozzle ID surface -
acceptable
: 6. N2A (NV) -   1984, Reflectors were seen, same inclusion as 1977 no change in size -
acceptable
: 7. N2B (NV) -   1984, Indications found but are allowable and not recordable - acceptable
: 8. N2G (NV) -   2005, (3) indications, were acceptable per requirements of ASME Section Xl
: 9. N2H (NV) -   2005, (4) indications were acceptable per requirements of ASME Section Xl
: 10. N2K (NV) -   2005, (3) indications were acceptable per requirements of ASME Section XI
 
ATTACHMENT 2 TO LETTER 2.15.032 Pilgrim Nuclear Power Station 10 CFR 50.55a Request No. PRR-51, Proposed Alternative in Accordance with 10 CFR 50.55a(z)(1), Implementation of BWRVIP-05 (GL 98-05)
(5 Pages) to PNPS Letter 2.15.032 Page 1 of 5
: 1. American Society of Mechanical Engineers (ASME) Code Component(s) Affected Code Class:                ASME Section XI Code Class 1 Component Numbers:         RPV Circumferential Shell Welds (RPV-C-1-344, RPV-C-9-338, RPV-C-3-339A, and RPV-C-3-339B)
Code  
Code  


==References:==
==References:==
ASME Section XI, 2007 Edition with 2008 Addenda Examination Category:      B-A Item Number(s):            B1.11 Unit/Inspection Interval:  Pilgrim Nuclear Power Station / Fifth 10-year interval July 1, 2015- June 30, 2025
: 2. Applicable ASME Code Requirements ASME Section XI, 2007 Edition through the 2008 Addenda, Table IWB-2500-1, Examination Category B-A, Item No. B1.11, requires a volumetric examination of the circumferential shell welds each interval.
===3. Reason for Request===
During the U.S. Nuclear Regulatory Commission (NRC) staff's review of the Pilgrim Nuclear Power Station (PNPS) License Renewal Application (LRA), Request for Additional Information (RAI) 4.2.5-2 dated September 8, 2006 asked PNPS whether it intended to apply for relief from the ASME Code reactor vessel (RV) circumferential weld examination requirements for the extended licensed period.
The PNPS response dated October 8, 2006 indicated that a request for alternative under the provisions of 10 Code of Federal Regulations (CFR) 50.55a would be submitted to exclude the reactor pressure vessel (RPV) shell circumferential welds from examination. Based on PNPS' response, the RAI was considered resolved.
As such, PNPS is requesting an alternative in accordance with 10 CFR 50.55a(z)(1) on the basis that this alternative provides an acceptable level of quality and safety. This request for alternative would provide relief from circumferential weld examinations required by the ASME Section XI Code for the extended period of operation.
PNPS was previously granted this relief for the remainder of the original 40-year license term (Reference TAC No. MB6074, Accession No. ML030640204).
: 4. Proposed Alternative and Basis for Use Proposed Alternative PNPS requests to use BWRVIP-05, with supporting information described herein as the bases for excluding the RPV shell circumferential welds from the examination required by ASME Section XI, Examination Category B-A, Item No. B1.11 for the extended license period ending on June 8, 2032.
to PNPS Letter 2.15.032 Page 2 of 5 The axial weld seams (Examination Category B-A, Item No. B1.12) and their intersection with the associated circumferential weld seams will be examined in accordance with ASME Section XI except where specific relief is granted when essentially 100% (>90%) coverage cannot be obtained.
Basis for Use The technical basis supporting the requested alternative is provided by BWRVIP-05, (EPRI TR-105697) "BWR Vessel and Internals Project, BWR Reactor Pressure Vessel Shell Weld Inspection Recommendations" as accepted in the staff's final safety evaluation report enclosed in a July 28, 1998, letter from Mr. G.C. Lanais, NRC, to Mr. C. Terry, the BWRVIP Chairman. In this letter, the staff concluded that because the failure frequency for circumferential welds in Boiling Water Reactor (BWR) plants is significantly below the criterion specified in Regulatory Guide (RG) 1.154, "Format and Content of Plant-Specific Pressurized Thermal Shock Safety Analysis Reports for Pressurized Water Reactors," and below the core damage frequency of any BWR plant, continued inspection would result in a negligible decrease in an already acceptably low RV failure probability and justify elimination of the In-Service Inspection requirements for RV circumferential welds. The staff's letter indicated that BWR applicants may request relief from ASME Code Section Xl requirements for volumetric examination of circumferential RV welds by demonstrating that (1) at the expiration of the license the circumferential welds will satisfy the staff's July 28, 1998, evaluation of the limiting conditional failure probability for circumferential welds and (2) the applicants have implemented operator training and established procedures that limit the cold over-pressure event frequency to that specified in the staff's Safety Evaluation Report. The letter also indicated that the requirements for inspection of RV circumferential welds during an additional 20-year license renewal period would need plant-specific reassessment as part of any BWR LRA. The applicant also must request relief from the ASME Code Section Xl requirements for volumetric examination of circumferential welds for the extended license term in accordance with 10 CFR 50.55a(g).
Additional information to support the proposed alternative for the license renewal period is contained in the PNPS LRA and its amendments as accepted by the staff in its Safety Evaluation Report dated June 28, 2007. The one exception requiring further action by PNPS affecting the RV Fluence Time-Limited Aging Analyses (TLAAs) was License Renewal Condition (LRC) 4.2.6 which has been closed, as described below.
During the staff's review of the PNPS LRA, the staff found that the RV Fluence TLAA evaluation in Section 4.2.1 of the original LRA unacceptable due to lack of benchmarking data in support of the plant-specific fluence calculations. This was identified as Open Item (01) 4.2 which became Commitment 47.
To close the 01, PNPS proposed an alternative analysis to address all fluence related TLAAs for the extended operating period.
The alternative analysis assumed increasing fluence levels until an ASME Code or regulatory limit is reached based on the projected changes in material properties. Changes in the vessel (ferritic) steel material properties are measured by an increase in adjusted reference temperature or a decrease in Charpy upper-shelf energy. The effects of increasing fluence on the austenitic stainless steel core shroud and internals was also considered. By assuming increasing fluence levels, the analysis identifies the maximum fluence that can be experienced while meeting the Code and regulatory criteria. This to PNPS Letter 2.15.032 Page 3 of 5 analysis also shows that there is a large margin available to this limiting fluence at the end of the period of extended operation.
The analysis determined that the limiting fluence value was set by a maximum mean RTNDT value for the axial weld failure probability of 114 EF, in order for the axial weld failure frequency to remain below 5 x 10-6 per reactor operating year. The corresponding maximum allowable inner diameter (ID) fluence for the RV axial welds was determined to be 3.37 x 1018 n/cm 2. If the fluence remains below this limiting value during the period of extended operation, the fluence will result in acceptable results for all fluence-related TLAAs. To confirm that the limiting fluence will not be reached during the period of extended operation and consequently that all of the fluence-related TLAAs remain valid, Commitment 48, was added, but subsequently superseded by LRC 4.2.6.
    "The staff issued License Condition 4.2.6: On or before June 8, 2010, the applicant (Entergy) will submit to the NRC correctlybenchmarked RV neutron fluence calculations, consistent with RG 1.190, that will confirm that the neutron fluence for the lower intermediate shell axial welds, at the inner surface of the RV, will not reach the limiting value of 3.37 x 10la n/cm 2 (E>1.0 Me V) by the end of the period of extended operation(54 EFPY). "
LRC 4.2.6 was addressed by PNPS letter dated January 24, 2010 "Proposed License Amendment to Technical Specifications: P-T Limit Curves and Relocation of Pressure-Temperatures (P-T) Curves to the Pressure and Temperature Limits Report (PTLR)." In part, information provided to the staff in response to LRC 4.2.6 stated:
Pilgrim has been a participantin the NRC approved BWRVIP Integrated Surveillance Programas authorized by License Amendment No. 209. As such, Pilgrim opted to use the Monticello Nuclear Power Plant, a BWR/3 class plant, benchmarking evaluation to produce benchmarked Pilgrim-specificfluence and ART values, and revised P-T curve. Entergy has determined that Monticello reactorpressure vessel fluence calculation for a BWRI3 provides an acceptable benchmark for Pilgrim fluence data to support revised P-T Curves for Pilgrim OperatingCycle 18 and beyond. This information was discussed with the NRC Staff on or about October 17, 2008. The NRC staff concurred with the Entergy approach to use Monticello fluence for benchmarking Pilgrim RAMA fluence calculation (as documented in NRC ADAMS Accession Number ML090370920) and to submit Pilgrim revised P-T curves for NRC approval.
In an NRC Inspection Report dated June 13, 2012, an inspection was performed to review license renewal activities under Temporary Instruction (TI) 2516/001, "Review of License Renewal Activities." The inspection reviewed the completion of commitments made during the renewed license application and compliance with the Commission's rules and regulations and the conditions of PNPS operating license. For LRC 4.2.6 (Commitment 48) the following was documented in the Inspection Report:
Commitment 48 provides that on or before June 8, 2010, Entergy will submit to the NRC calculationsconsistent with Regulatory Guide 1.190 that will demonstrate limiting fluence values will not be reached during the period of extended operation.
By way of Entergy's January 24, 2010,"ProposedLicense Amendment to Technical Specifications: Revised P-T Limit Curves and Relocation of Pressure-Temperature to PNPS Letter 2.15.032 Page 4 of 5 (P-T) Curve to the Pressureand Temperature Limits Report (PTLR), "Entergy submitted calculationsconsistent with Regulatory Guide 1.190 that demonstrated limiting fluence values will not be reached during the period of extended operation.
The inspectors determined that Entergy had implemented Commitment 47.
Note that Commitment 47 stated, "On or before September 15, 2007, submit to the NRC an action plan to improve benchmarking data to support approval of new P-T curves for Pilgrim." Accordingly, the Commitment referenced in the quoted sentence above should have been Commitment 48.
PNPS considers LRC 4.2.6 closed, thus allowing use of the fluence values calculated by the methods described in the LRA and the staff's Safety Evaluation Report.
In accordance with the guidance of Generic Letter 98-05, "Boiling Water Reactor Licensees Use of BWRVIP-05 Report to Request Relief from Augmented Examination Requirements on Reactor Pressure Vessel Circumferential Shell Welds," applicants requesting relief from examination of the subject welds are to demonstrate that: (1) at the expiration of their license, the circumferential welds will continue to satisfy the limiting conditional failure probability for circumferential welds in the staff's July 30, 1998 safety evaluation, and (2) licensees have implemented operator training and established procedures that limit the frequency of cold over-pressure events to the amount specified in the staff's July 30, 1998 safety evaluation.
(1) Satisfying the Limiting Conditional Failure Probability for Circumferential Welds Section 4.2.5.2 of the Safety Evaluation Report for the LRA states in part:
        "...the staff found that the applicant correctly applied the 64 EFPY mean RTNDT value of 128.5 OF from Table 2.6-5 of the staff SER on the BWRVIP-05 Report in the back-calculation of the maximum allowable 54 EFPY fluence on this TLAA. The staff used this mean RTNDT value in its evaluation of the BWRVIP-05 Report for determining an acceptable circumferential weld conditional failure probability. The 128.5 OF 64 EFPY mean RTNDT value from the staff SER on the BWRVIP-05 Report is characteristic of welds by Combustion Engineering, which fabricated the circumferential welds in the RV."
The staff found the TLAA for the RV circumferential weld examination relief acceptable in accordance with 10 CFR 54.21(c)(1 )(ii). As reported in SER 4.2, the staff has reviewed and accepted Commitment 48 (replaced by License Condition 4.2.6) and the alternative fluence analysis for resolving 01 4.2 and confirming the results of the TLAAs.
Even though the initial PNPS fluence calculations were performed prior to the Monticello benchmarking, there have been no material changes in the RAMA code and methodology that would have impacted the results of fluence and Adjusted Reference Temperature (ART) calculations. Therefore the unbiased fluence and ART values included in TransWare Report ENT-FLU-001-R-001, Rev. 0 provides predictable PNPS reactor vessel fluence values using RAMA methodology.
The PNPS fluence calculation predicts a peak fluence for 54 effective full power years (EFPY) of 1.14x10 18 n/cm 2 at axial welds 1-338A, B, and C in the intermediate shell and 1.28x1 018 n/cm 2 at the lower intermediate shell location. The peak fluence at the


ASME Section XI, 2007 Edition with 2008 AddendaExamination Category:
Attachment 2 to PNPS Letter 2.15.032 Page 5 of 5 bounding circumferential weld is 8.69 x 1017 n/cm 2 . See Table 1 below. Table 2 shows the most limiting weld which bounds the circumferential weld at 54 EFPY.
B-AItem Number(s):
TABLE 1 Bounding      Circumferential Weld Location'           Wall Thickness (inches)         Fluence at   Attenuation,   Fluence at     Fluence Factor, ID           1/4t           1/4t                 FF (n/cm2             24                          f(O..28-o.l1ogf)
B1.11Unit/Inspection Interval:
Full2          1/4t                          e      x      (n/cm2)
Pilgrim Nuclear Power Station / Fifth 10-year intervalJuly 1, 2015- June 30, 20252. Applicable ASME Code Requirements ASME Section XI, 2007 Edition through the 2008 Addenda, Table IWB-2500-1, Examination Category B-A, Item No. B1.11, requires a volumetric examination of the circumferential shellwelds each interval.
L. int Shell Girth         5.531         1.383         8.69 x 107       0.718       6.24 x 101             0.329 Weld 1-344                       L_
: 3. Reason for RequestDuring the U.S. Nuclear Regulatory Commission (NRC) staff's review of the Pilgrim NuclearPower Station (PNPS) License Renewal Application (LRA), Request for Additional Information (RAI) 4.2.5-2 dated September 8, 2006 asked PNPS whether it intended toapply for relief from the ASME Code reactor vessel (RV) circumferential weld examination requirements for the extended licensed period.The PNPS response dated October 8, 2006 indicated that a request for alternative under theprovisions of 10 Code of Federal Regulations (CFR) 50.55a would be submitted to excludethe reactor pressure vessel (RPV) shell circumferential welds from examination.
Note 1:     Fluence values are from TransWare Report No. ENT-FLU-R-001, Rev. 0, "Pilgrim Nuclear Power Station Reactor Pressure Vessel Fluence Evaluation",
Based onPNPS' response, the RAI was considered resolved.
Tables 7-3 and 7-4.
As such, PNPS is requesting an alternative in accordance with 10 CFR 50.55a(z)(1) on thebasis that this alternative provides an acceptable level of quality and safety. This request foralternative would provide relief from circumferential weld examinations required by theASME Section XI Code for the extended period of operation.
Note 2:     RPV minimum thickness is 5 17/32 inches per Section 3.3.2 of SIR-00-082, Revision 0.
PNPS was previously granted this relief for the remainder of the original 40-year licenseterm (Reference TAC No. MB6074, Accession No. ML030640204).
TABLE 2 Structural Integrity Report No. PNPS-22Q-301, "RTNDT and ART Evaluation"             information for the bounding circumferential weld at 54 EFPY Description      Seam       Heat       Flux       Est.         Chemistry     Chem.           Adjustments for 1/4t No.       No.       Type       Initial       Cu     Ni     Factor   DI)%     Margin             ARTNDT
: 4. Proposed Alternative and Basis for UseProposed Alternative PNPS requests to use BWRVIP-05, with supporting information described herein as thebases for excluding the RPV shell circumferential welds from the examination required byASME Section XI, Examination Category B-A, Item No. B1.11 for the extended licenseperiod ending on June 8, 2032.
                                        & Lot   RTNDT         (wt%) (wt%)         (F)   NDT     Terms                 (OF)
Attachment 2 to PNPS Letter 2.15.032Page 2 of 5The axial weld seams (Examination Category B-A, Item No. B1.12) and their intersection with the associated circumferential weld seams will be examined in accordance with ASMESection XI except where specific relief is granted when essentially 100% (>90%) coveragecannot be obtained.
No.       (0 F)                               (0F)       c]u   E[
Basis for UseThe technical basis supporting the requested alternative is provided by BWRVIP-05, (EPRITR-105697)
II I     I             I               1(&deg;F)                     (OF)
"BWR Vessel and Internals
L. int Shell     1-344     21935       Linde       -50       0.183 0.704       172.2 56.7     28.0   0.0             62.7 Girth Weld                             1092
: Project, BWR Reactor Pressure Vessel Shell WeldInspection Recommendations" as accepted in the staff's final safety evaluation reportenclosed in a July 28, 1998, letter from Mr. G.C. Lanais, NRC, to Mr. C. Terry, the BWRVIPChairman.
                                      #3869 Based on the information presented in this request and the referenced License Amendment Request with the corresponding NRC Safety Evaluation Report, the circumferential welds will continue to satisfy the limiting conditional failure probability for circumferential welds in the NRC staff's July 30, 1998 Safety Evaluation Report.
In this letter, the staff concluded that because the failure frequency forcircumferential welds in Boiling Water Reactor (BWR) plants is significantly below thecriterion specified in Regulatory Guide (RG) 1.154, "Format and Content of Plant-Specific Pressurized Thermal Shock Safety Analysis Reports for Pressurized Water Reactors,"
(2) Operator Training and Established Procedures that Limit the Frequency of Cold Over-Pressure Events The procedures and training used to limit cold over-pressure events are still in use and are materially unchanged from those approved by the NRC in the Safety Evaluation Report for PNPS Relief Request PRR-28 (Reference TAC No. MB6074, Accession No. ML030640204).
andbelow the core damage frequency of any BWR plant, continued inspection would result in anegligible decrease in an already acceptably low RV failure probability and justify elimination of the In-Service Inspection requirements for RV circumferential welds. The staff's letterindicated that BWR applicants may request relief from ASME Code Section Xl requirements for volumetric examination of circumferential RV welds by demonstrating that (1) at theexpiration of the license the circumferential welds will satisfy the staff's July 28, 1998,evaluation of the limiting conditional failure probability for circumferential welds and (2) theapplicants have implemented operator training and established procedures that limit the coldover-pressure event frequency to that specified in the staff's Safety Evaluation Report. Theletter also indicated that the requirements for inspection of RV circumferential welds duringan additional 20-year license renewal period would need plant-specific reassessment aspart of any BWR LRA. The applicant also must request relief from the ASME Code SectionXl requirements for volumetric examination of circumferential welds for the extended licenseterm in accordance with 10 CFR 50.55a(g).
: 5. Duration of Proposed Alternative The duration of this request is for the extended license period ending June 8, 2032.
Additional information to support the proposed alternative for the license renewal period iscontained in the PNPS LRA and its amendments as accepted by the staff in its SafetyEvaluation Report dated June 28, 2007. The one exception requiring further action byPNPS affecting the RV Fluence Time-Limited Aging Analyses (TLAAs) was LicenseRenewal Condition (LRC) 4.2.6 which has been closed, as described below.During the staff's review of the PNPS LRA, the staff found that the RV Fluence TLAAevaluation in Section 4.2.1 of the original LRA unacceptable due to lack of benchmarking data in support of the plant-specific fluence calculations.
: 6. Precedents A similar request has been approved for the Peach Bottom Atomic Power Station, Units 1 and 2 (Reference Accession No. ML112770217).}}
This was identified as Open Item(01) 4.2 which became Commitment 47.To close the 01, PNPS proposed an alternative analysis to address all fluence relatedTLAAs for the extended operating period.The alternative analysis assumed increasing fluence levels until an ASME Code orregulatory limit is reached based on the projected changes in material properties.
Changesin the vessel (ferritic) steel material properties are measured by an increase in adjustedreference temperature or a decrease in Charpy upper-shelf energy. The effects ofincreasing fluence on the austenitic stainless steel core shroud and internals was alsoconsidered.
By assuming increasing fluence levels, the analysis identifies the maximumfluence that can be experienced while meeting the Code and regulatory criteria.
This Attachment 2 to PNPS Letter 2.15.032Page 3 of 5analysis also shows that there is a large margin available to this limiting fluence at the endof the period of extended operation.
The analysis determined that the limiting fluence value was set by a maximum mean RTNDTvalue for the axial weld failure probability of 114 EF, in order for the axial weld failurefrequency to remain below 5 x 10-6 per reactor operating year. The corresponding maximumallowable inner diameter (ID) fluence for the RV axial welds was determined to be 3.37 x1018 n/cm2.If the fluence remains below this limiting value during the period of extendedoperation, the fluence will result in acceptable results for all fluence-related TLAAs. Toconfirm that the limiting fluence will not be reached during the period of extended operation and consequently that all of the fluence-related TLAAs remain valid, Commitment 48, wasadded, but subsequently superseded by LRC 4.2.6."The staff issued License Condition 4.2.6: On or before June 8, 2010, the applicant (Entergy) will submit to the NRC correctly benchmarked RV neutron fluence calculations, consistent with RG 1.190, that will confirm that the neutron fluence for the lowerintermediate shell axial welds, at the inner surface of the RV, will not reach the limiting valueof 3.37 x 10la n/cm2 (E>1.0 Me V) by the end of the period of extended operation (54EFPY). "LRC 4.2.6 was addressed by PNPS letter dated January 24, 2010 "Proposed LicenseAmendment to Technical Specifications:
P-T Limit Curves and Relocation of Pressure-Temperatures (P-T) Curves to the Pressure and Temperature Limits Report (PTLR)."
Inpart, information provided to the staff in response to LRC 4.2.6 stated:Pilgrim has been a participant in the NRC approved BWRVIP Integrated Surveillance Program as authorized by License Amendment No. 209. As such, Pilgrim opted to usethe Monticello Nuclear Power Plant, a BWR/3 class plant, benchmarking evaluation toproduce benchmarked Pilgrim-specific fluence and ART values, and revised P-Tcurve. Entergy has determined that Monticello reactor pressure vessel fluencecalculation for a BWRI3 provides an acceptable benchmark for Pilgrim fluence data tosupport revised P-T Curves for Pilgrim Operating Cycle 18 and beyond. Thisinformation was discussed with the NRC Staff on or about October 17, 2008. TheNRC staff concurred with the Entergy approach to use Monticello fluence forbenchmarking Pilgrim RAMA fluence calculation (as documented in NRC ADAMSAccession Number ML0903 70920) and to submit Pilgrim revised P-T curves for NRCapproval.
In an NRC Inspection Report dated June 13, 2012, an inspection was performed to reviewlicense renewal activities under Temporary Instruction (TI) 2516/001, "Review of LicenseRenewal Activities."
The inspection reviewed the completion of commitments made duringthe renewed license application and compliance with the Commission's rules andregulations and the conditions of PNPS operating license.
For LRC 4.2.6 (Commitment 48)the following was documented in the Inspection Report:Commitment 48 provides that on or before June 8, 2010, Entergy will submit to theNRC calculations consistent with Regulatory Guide 1.190 that will demonstrate limitingfluence values will not be reached during the period of extended operation.
By way of Entergy's January 24, 2010, "Proposed License Amendment to Technical Specifications:
Revised P-T Limit Curves and Relocation of Pressure-Temperature Attachment 2 to PNPS Letter 2.15.032Page 4 of 5(P-T) Curve to the Pressure and Temperature Limits Report (PTLR), "Entergysubmitted calculations consistent with Regulatory Guide 1.190 that demonstrated limiting fluence values will not be reached during the period of extended operation.
The inspectors determined that Entergy had implemented Commitment 47.Note that Commitment 47 stated, "On or before September 15, 2007, submit to the NRC anaction plan to improve benchmarking data to support approval of new P-T curves forPilgrim."
Accordingly, the Commitment referenced in the quoted sentence above shouldhave been Commitment 48.PNPS considers LRC 4.2.6 closed, thus allowing use of the fluence values calculated by themethods described in the LRA and the staff's Safety Evaluation Report.In accordance with the guidance of Generic Letter 98-05, "Boiling Water Reactor Licensees Use of BWRVIP-05 Report to Request Relief from Augmented Examination Requirements on Reactor Pressure Vessel Circumferential Shell Welds," applicants requesting relief fromexamination of the subject welds are to demonstrate that: (1) at the expiration of theirlicense, the circumferential welds will continue to satisfy the limiting conditional failureprobability for circumferential welds in the staff's July 30, 1998 safety evaluation, and (2)licensees have implemented operator training and established procedures that limit thefrequency of cold over-pressure events to the amount specified in the staff's July 30, 1998safety evaluation.
(1) Satisfying the Limiting Conditional Failure Probability for Circumferential WeldsSection 4.2.5.2 of the Safety Evaluation Report for the LRA states in part:"...the staff found that the applicant correctly applied the 64 EFPY mean RTNDT value of128.5 OF from Table 2.6-5 of the staff SER on the BWRVIP-05 Report in the back-calculation of the maximum allowable 54 EFPY fluence on this TLAA. The staff usedthis mean RTNDT value in its evaluation of the BWRVIP-05 Report for determining anacceptable circumferential weld conditional failure probability.
The 128.5 OF 64 EFPYmean RTNDT value from the staff SER on the BWRVIP-05 Report is characteristic ofwelds by Combustion Engineering, which fabricated the circumferential welds in the RV."The staff found the TLAA for the RV circumferential weld examination relief acceptable in accordance with 10 CFR 54.21(c)(1
)(ii). As reported in SER 4.2, the staff hasreviewed and accepted Commitment 48 (replaced by License Condition 4.2.6) and thealternative fluence analysis for resolving 01 4.2 and confirming the results of the TLAAs.Even though the initial PNPS fluence calculations were performed prior to the Monticello benchmarking, there have been no material changes in the RAMA code andmethodology that would have impacted the results of fluence and Adjusted Reference Temperature (ART) calculations.
Therefore the unbiased fluence and ART valuesincluded in TransWare Report ENT-FLU-001-R-001, Rev. 0 provides predictable PNPSreactor vessel fluence values using RAMA methodology.
The PNPS fluence calculation predicts a peak fluence for 54 effective full power years(EFPY) of 1.14x1018 n/cm2 at axial welds 1-338A, B, and C in the intermediate shell and1.28x1 018 n/cm2at the lower intermediate shell location.
The peak fluence at the Attachment 2 to PNPS Letter 2.15.032Page 5 of 5bounding circumferential weld is 8.69 x 1017 n/cm2.See Table 1 below. Table 2 showsthe most limiting weld which bounds the circumferential weld at 54 EFPY.TABLE 1Bounding Circumferential WeldLocation' Wall Thickness (inches)
Fluence at Attenuation, Fluence at Fluence Factor,ID 1/4t 1/4t FFFull2 1/4t (n/cm2 e24x (n/cm2) f(O..28-o.l1ogf)
L. int Shell Girth 5.531 1.383 8.69 x 107 0.718 6.24 x 101 0.329Weld 1-344 L_Note 1: Fluence values are from TransWare Report No. ENT-FLU-R-001, Rev. 0,"Pilgrim Nuclear Power Station Reactor Pressure Vessel Fluence Evaluation",
Tables 7-3 and 7-4.Note 2: RPV minimum thickness is 5 17/32 inches per Section 3.3.2 of SIR-00-082, Revision 0.TABLE 2Structural Integrity Report No. PNPS-22Q-301, "RTNDT and ART Evaluation" information for the boundingcircumferential weld at 54 EFPYDescription Seam Heat Flux Est. Chemistry Chem. Adjustments for 1/4tNo. No. Type Initial Cu Ni Factor DI)% Margin ARTNDT& Lot RTNDT (wt%) (wt%) (F) NDT Terms (OF)No. (0F) (0F) c]u E [I I I I I 1(&deg;F) (OF)L. int Shell 1-344 21935 Linde -50 0.183 0.704 172.2 56.7 28.0 0.0 62.7Girth Weld 1092#3869Based on the information presented in this request and the referenced LicenseAmendment Request with the corresponding NRC Safety Evaluation Report, thecircumferential welds will continue to satisfy the limiting conditional failure probability forcircumferential welds in the NRC staff's July 30, 1998 Safety Evaluation Report.(2) Operator Training and Established Procedures that Limit the Frequency of ColdOver-Pressure EventsThe procedures and training used to limit cold over-pressure events are still in use andare materially unchanged from those approved by the NRC in the Safety Evaluation Report for PNPS Relief Request PRR-28 (Reference TAC No. MB6074, Accession No.ML030640204).
: 5. Duration of Proposed Alternative The duration of this request is for the extended license period ending June 8, 2032.6. Precedents A similar request has been approved for the Peach Bottom Atomic Power Station, Units 1and 2 (Reference Accession No. ML 112770217).}}

Latest revision as of 11:06, 5 February 2020

Request for Approval of Relief Requests (PRR)-50 and -51, Proposed Alternative in Accordance with 10 CFR 50.55a(z)(1), Implementation of Code Case N-702 (PRR-50) and Implementation of BWRVIP-05 (GL 98-05) (PRR-51)
ML15166A037
Person / Time
Site: Pilgrim
Issue date: 06/04/2015
From: Perkins E
Entergy Nuclear Operations
To:
Document Control Desk, Office of Nuclear Reactor Regulation
References
2.15.032
Download: ML15166A037 (17)


Text

Entergy Nuclear Operations, Inc.

vFEntergy Pilgrim Nuclear Power Station 600 Rocky Hill Road Plymouth, MA 02360 June 4, 2015 U.S. Nuclear Regulatory Commission Attn: Document Control Desk Washington, DC 20555-0001

SUBJECT:

Request for Approval of Pilgrim Relief Requests (PRR)-50 and -51, Proposed Alternative in Accordance with 10 CFR 50.55a(z)(1), Implementation of Code Case N-702 (PRR-50) and Implementation of BWRVIP-05 (GL 98-05) (PRR-51)

Entergy Nuclear Operations, Inc.

Pilgrim Nuclear Power Station Docket No.: 50-293 License No.: DPR-35 LETTER NUMBER: 2.15.032

Dear Sir or Madam:

Pursuant to 10 Code of Federal Regulations (CFR) 50.55a(z)(1), Pilgrim Nuclear Power Station (PNPS) hereby requests an alternative to specific portions of the American Society of Mechanical Engineers (ASME) Boiler and Pressure Vessel Code, Section Xl, "Rules for In-service Inspection of Nuclear Power Plant Components," on the basis that the proposed alternatives provide an acceptable level of quality and safety. The requests are summarized below. More specific details are provided in Attachments 1 and 2, respectively.

PRR-50 ASME Section XI, 2007 Edition through the 2008 Addenda, Table IWB-2500-1, Examination Category B-D, "Full Penetration Welded Nozzles in Vessels" requires a volumetric examination of all nozzles with full penetration welds to the vessel shell (or head) and integrally cast nozzles each 10-year interval. Additionally, for ultrasonic examinations, ASME Section Xl, Appendix VIII, "Performance Demonstration for Ultrasonic Examination Systems," is implemented, as required and conditioned by 10 CFR 50.55a(b)(2)(xv). The reactor pressure vessel nozzle-to-vessel welds and inner radii subject to this request are listed below in Table 1 of Attachment 1.

Code Case N-702 was incorporated into Regulatory Guide (RG) 1.147, Revision 17. As stated in the RG, applicability of the Code Case must be shown by demonstrating that the appropriate sections of the U.S. Nuclear Regulatory Commission (NRC) Safety Evaluation Reports for BWRVIP-1 08 or BWRVIP-241 are met and the evaluation demonstrating the applicability of the Code Case is reviewed and approved by the NRC prior to the application of the Code Case.

Accordingly, PNPS is submitting this request to show compliance to the conditions imposed on BWRVIP-241 and to address operating conditions not bound by BWRVIP-108 (fluence and cycles).

PNPS Letter 2.15.032 Page 2 of 3 Pursuant to 10 CFR 50.55a(z)(1), PNPS requests approval to implement the alternative of Code Case N-702 in lieu of the code required 100% examination of all nozzles identified in Table 1.

See Attachment 1 for additional details.

PRR-51 ASME Section Xl, 2007 Edition through the 2008 Addenda, Table IWB-2500-1, Examination Category B-A, Item No. B1.11, requires a volumetric examination of the circumferential shell welds each interval. PNPS is requesting an alternative in accordance with 10 CFR 50.55a(z)(1) on the basis that this alternative provides an acceptable level of quality and safety. This request for alternative would provide relief from circumferential weld examinations required by the ASME Section XI Code for the extended period of operation.

PNPS is currently in the fourth 10-year In-Service Inspection (ISI) interval which began on July 1, 2005 and ends on June 30, 2015. The ISI Code of Record for the fourth interval is ASME Section XI, 1998 edition through 2000 Addenda.

PNPS requests NRC Staff review and approval of this Request for Alternative as soon as possible following the start of the PNPS fifth 10-year ISI interval which is scheduled to begin on July 1, 2015.

There are no new commitments included in this document.

If you have questions concerning this letter, please contact me at 508-830-8323.

Sincerely, Everett (Chip) P. Perkins Jr.

Manager, Regulatory Assurance EPP/pm Attachments:

1. Pilgrim Nuclear Power Station 10 CFR 50.55a Request No. PRR-50, Proposed Alternative in Accordance with 10 CFR 50.55a(z)(1), Implementation of Code Case N-702 (7 Pages)
2. Pilgrim Nuclear Power Station 10 CFR 50.55a Request No. PRR-51, Proposed Alternative in Accordance with 10 CFR 50.55a(z)(1), Implementation of BWRVIP-05 (GL 98-05) (5 Pages)

PNPS Letter 2.15.032 Page 3 of 3 cc: Mr. Daniel H. Dorman Regional Administrator, Region 1 U.S. Nuclear Regulatory Commission 2100 Renaissance Blvd., suite 100 King of Prussia, PA 19406-2713 Mr. Richard V. Guzman, Project Manager Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation U.S. Nuclear Regulatory Commission Mail Stop O-8-F2 11555 Rockville Pike Rockville, MD 20852 USNRC Senior Resident Inspector Pilgrim Nuclear Power Station

ATTACHMENT 1 TO LETTER 2.15.032 Pilgrim Nuclear Power Station 10 CFR 50.55a Request No. PRR-50, Proposed Alternative in Accordance with 10 CFR 50.55a(z)(1), Implementation of Code Case N-702 (7 Pages) to PNPS Letter 2.15.032 Page 1 of 7

1. American Society of Mechanical Engineers (ASME) Code Component(s) Affected Code Class: ASME Section XI Code Class 1 Component Numbers: Various (see Table 1 for detailed list of components)

Code

References:

ASME Section XI, 2007 Edition with 2008 Addenda Code Case N-702 Examination Category: B-D Item Number(s): B3.90 and B3.100 Unit/Inspection Interval Pilgrim Nuclear Power Station / Fifth 10-year interval July 1, 2015- June 30, 2025

2. Applicable ASME Code Requirements ASME Section Xl, 2007 Edition through the 2008 Addenda, Table IWB-2500-1, Examination Category B-D, "Full Penetration Welded Nozzles in Vessels" requires a volumetric examination of all nozzles with full penetration welds to the vessel shell (or head) and integrally cast nozzles each 10-year interval. Additionally, for ultrasonic examinations, ASME Section Xl, Appendix VIII, "Performance Demonstration for Ultrasonic Examination Systems," is implemented, as required and conditioned by 10 Code of Federal Regulations (CFR) 50.55a(b)(2)(xv)1 .

The reactor pressure vessel (RPV) nozzle-to-vessel welds and inner radii subject to this request are listed below in Table 1:

TABLE 1 RPV nozzle-to-vessel welds and inner radii subject to this request Identification Description Total Number Minimum Number Number to be examined N1 Recirculation Outlet 2 1 N2 Recirculation Inlet 10 3 N3 Main Steam Outlet 4 1 N6 Core Spray 2 1 N7 Spare & Abandoned Head Spray 2 1 N8 Head Vent 1 1 N9 Jet Pump Instrumentation 2 1

3. Reason for Request

U.S. Nuclear Regulatory Commission (NRC) Regulatory Guide (RG) 1.147 Rev. 17 conditionally accepts the use of Code Case N-702. This code case provides an alternative to performing examination of 100% of the Nozzle-to-Vessels Welds and Inner Radii for Examination Category B-D nozzles with the exception of the Feedwater and Control Rod 1 Proposed Alternative PRR-26 (submitted under separate cover) is requesting an alternative under the provisions of 10 CFR 50.55a(z)(1) to maintain the Non-Destructive Examination, Pressure Testing, and Repair/Replacement Programs to the 2001 Edition through the 2003 Addenda of ASME Section Xl except that Appendix VIII of the 2001 Edition with applicable NRC conditions of 10 CFR 50.55a(b)(2)(xv) will be used.

Attachment I to PNPS Letter 2.15.032 Page 2 of 7 Drive Return Line (CRDRL) Nozzles. The alternative is to perform examination of a minimum of 25% of the nozzle inner radii and nozzle-to-shell welds, including at least one nozzle from each system and nominal pipe size, excluding the Feedwater and CRDRL Nozzles. As stated in the RG, the evaluation demonstrating the applicability of the Code Case must be reviewed and approved by the NRC prior to the application of the Code Case.

4. Proposed Alternative and Basis for Use Proposed Alternative Pursuant to 10 CFR 50.55a(z)(1), Pilgrim Nuclear Power Station (PNPS) requests approval to implement the alternative of Code Case N-702 in lieu of the code required 100%

examination of all nozzles identified in Table 1. As an alternative, for the nozzle-to-shell welds and inner radii identified in Table 1, PNPS proposes to examine a minimum of 25% of the nozzle-to-vessel welds and inner radius sections, including at least one nozzle from each system and nominal pipe size, in accordance with Code Case N-702.

Basis for Use Boiling Water Reactor (BWR) Vessel Internals Project (BWRVIP) has issued two topical reports:

  • BWRVIP-108NP "Technical Basis for the Reduction of Inspection Requirements for the Boiling Water Reactor Nozzle-to-Vessel Shell Welds and Nozzle Blend Radii," EPRI Technical Report 1003557, October 2002 (ML-023330203) and

" BWRVIP-241 "Probabilistic Fracture Mechanics Evaluation for the Boling Water Reactor Nozzle-to-Vessel Shell Welds and Nozzle Blend Radii," EPRI Technical Report 1021005, October 2010 (ML11119A041)

The BWRVIP-108NP report contains the technical basis supporting ASME Boiler and Pressure Vessel Code Case N-702 "Alternative Requirements for Boiling Water Reactor (BWR) Nozzle Inner Radius and Nozzle-to-Shell Welds" for reducing the inspection of RPV nozzle-to-vessel shell welds and nozzle inner radius areas from 100 percent to 25 percent of the nozzles for each nozzle type during each 10-year interval.

BWRVIP-241 provides supplemental analyses for BWR RPV recirculation inlet and outlet nozzle-to-shell welds and nozzle inner radii. BWRVIP-241 was submitted to address the limitations and conditions specified in the December 19, 2007, Safety Evaluation Reportfor the BWRVIP-108NP report, "BWR Vessel and Internals Project, Technical Basis for the Reduction of Inspection Requirements for the Nozzle-to-Vessel Shell Welds and Nozzle Inner Radii."

Based on the two evaluations (BWRVIP-241 and BWRVIP-108NP), the failure probabilities due to a low temperature over pressure (LTOP) event at the nozzle blend radius region and the nozzle-to-vessel shell weld for PNPS recirculation inlet and outlet nozzles are very low and meet the NRC safety goal.

RG 1.147, Revision 17 conditionally accepts the use of Code Case N-702 with the following condition "The applicability of Code Case N-702 must be shown by demonstrating that the criteria in Section 5.0 of NRC Safety Evaluation Report regarding BWRVIP-108 dated

Attachment I to PNPS Letter 2.15.032 Page 3 of 7 December 18, 2007 (ML073600374) or Section 5.0 of NRC Safety Evaluation regarding BWRVIP-241 dated April 19, 2013 (ML13071A240) are met."

Section 5.0 of the NRC Safety Evaluation for BWRVIP-241 states:

"Licensees who plan to request relief from the ASME Code Section XI requirements for RPV nozzle-to-vessel shell welds and nozzle inner radius sections may reference the BWRVIP-241 report as the technical basis for use of ASME Code Case N-702 as an alternative.

However, each licensee should demonstrate the plant-specific applicability of the BWRVIP-241 report to their units in the relief request by demonstrating all of the following:

(1) The maximum RPV heatup/cooldown rate is limited to less than 115 0 F/hour" PNPS Technical Specification 3.6.A.2, Reactor Coolant System heatup and cooldown rates are limited to a maximum of 100°F when averaged over any one hour period and thus meets the requirement of condition 1.

Note: Inputs used in 2 through 5 representing the PNPS configuration are in bold text.

Recirculation inlet nozzles (N2)2 (2) (pr/t)/CRPV < 1.15 p = RPV normal operating pressure (psi) (1035) r = RPV inner radius (inch) (113.4063) t = RPV wall thickness (inch), (6.5) and CRPV- 19332; PNPS specific calculations for Condition 2 above:

(1035 x 113.4063)/6.5)/19332 = 0.93 < 1.15 The PNPS result is 0.93 and thus meets the requirement of condition 2 to be <

1.15.

(3) [p(ro2 + ri2 ) / (ro 2 2

- ri )]/CNOZZLE <_ 1.47 P = RPV normal operating pressure (psi) (1035) r, = nozzle outer radius (inch) (9.125) ri = nozzle inner radius (inch), (5.750) and CNOZZLE = 1637; PNPS specific calculations for Condition 3 above:

[1035(9.1252 + 5.752)/( 9.1252 - 5.752)]11637 = 1.465 < 1.47 2 There is an inconsistency in reported values for the PNPS RPV dimensions in industry documents. Report BWRVIP-241, page 4-1 Section 4.1 and Figure 4-1, on page 4/12 lists the wall thickness as 7 inches which is a typographical error. The value provided in BWRVIP-108 of 5.531 inches was taken from the upper and lower intermediate shell course values, when it should have been the lower shell course. The values used in the BWRVIP-241 calculations and in this document are based on the correct dimensional information of 6.5 inches for RPV wall thickness and 113.4063 inches for RPV inner radius.

Attachment I to PNPS Letter 2.15.032 Page 4 of 7 The PNPS result is 1.465 and thus meets the requirement of condition 3 to be <

1.47 Recirculation outlet nozzles (Ni)

(4) (pr/t)/CRPV < 1.15 p = RPV normal operating pressure (psi) (1035) r = RPV inner radius (inch) (113.4063) t = RPV wall thickness (inch), (6.5) and CRPV = 16171; and PNPS specific calculations for Condition 4 above:

(1035 x 113.40625)/6.5)/16171 = 1.12 < 1.15 The PNPS result is 1.12 and thus meets the requirements of condition 4 to be <

1.15 (5) [p(ro2 + ri2) / (r0 2 - ri2)]/CNozZLE < 1.59 P = RPV normal operating pressure (psi) (1035) ro = nozzle outer radius (inch) (22.3125) ri = nozzle inner radius (inch), (13.031) and CNOZZLE = 1977.

PNPS specific calculation for Condition 5 above:

[1035(22.31252 + 13.0312)/(22.31252 - 13.0312)]/1977 = 1.06 < 1.59 The PNPS result is 1.06 and thus meets the requirements of condition 5 to be <

1.59 The analyses for the N2 nozzles in BWRVIP-1 08NP and BWRVIP-241 are based on the assumption that fluence at the nozzles is negligible because the analysis is for the initial 40 years of plant operation and do not address the extended operating period. Based on analysis described in PNPS letter 2.10.005, Kevin Bronson, Pilgrim Site Vice President to NRC Document Control Desk, January 24, 2010, peak fluence for 54 effective full power years (EFPY) at the N2 nozzles is calculated to be 2.81 x 1017 n/cm 2 (which exceeds the fluence limit of 1.0 x 1017 n/cm 2 as contained in 10 CFR 50, Appendix H. Therefore, a plant specific probabilistic fracture mechanics evaluation 3 was performed to supplement the criteria of Code Case N-702 and BWRVIP-241 in order to demonstrate that the probability of failure remains acceptable over this period of extended operation (to 60 years). This analysis was performed using the same methods as were used in BWRVIP-241, with PNPS specific fracture mechanics analyses. The results demonstrate that for the N2 nozzles at 3 Structural Integrity Associates, "Evaluation of Probability of Failure for Recirculation Inlet (N2) in the Nozzle-to-Shell Welds and Nozzle Blend Radii Regions at Pilgrim Nuclear Station", 1400071.301 Revision 0, February 2014

Attachment I to PNPS Letter 2.15.032 Page 5 of 7 PNPS, the probability of failure was less than the NRC safety goal4 of 5.0 x 10-6 per year.

Therefore, the probabilistic fracture mechanics criteria of BWRVIP-241 remain applicable to the PNPS N2 nozzles.

The analyses in BWRVIP-108NP and BWRVIP-241 were based on predicted fatigue crack growth over the initial licensed operating period and assumed additional fatigue cycles in evaluating fatigue crack growth. PNPS is projected to exceed the total number of thermal cycles used in the BWRVIP analysis during the extended operating period. However, the usage factor for the N2 nozzles remains below 1.0. Previous BWRVIP documents have demonstrated that stress corrosion crack (SCC) growth represents the majority of the crack growth and that crack growth due to additional mechanical/thermal fatigue cycles introduced by the extended operation time is insignificant compared to hypothetical SCC growth. Thus, the amount of thermal cycle driven fatigue crack growth due to the extended operation to 60 years is not a controlling factor in the probability of failure of the BWR reactor vessel nozzles.

The average Probability of Failure is 9.67x1 07 per year for the nozzle blend radius, and 1.67x1 08 per year for the nozzle-to-shell weld, both of which are less than the 5.0 x 10-6 per year criteria.

The examination history of the subject nozzles, excluding the N2 nozzles, was previously provided to the staff by Entergy letter dated July 13, 2010, from Stephen J. Bethay, Director Nuclear Safety Assurance to NRC Document Control Desk (Reference ADAMS Accession No. ML102020257).

The N2 nozzle-to-vessel welds and associated inner radii were volumetrically examined in the first, second and third intervals. Examination history for the fourth interval is dependent on request for alternative, PNPS PRR-024, which at the writing of this request is under review by the staff (Reference PNPS letter dated March 12, 2014 from Joseph R. Lynch, Regulatory Assurance Manager to NRC Document Control Desk (Reference ADAMS Accession No. ML14077A175). Table 2 provides the detailed examination history for the N-2 nozzles.

5. Duration of Proposed Alternative The duration of this request is for the fifth 10-year In-Service Inspection interval ending June 30, 2025.
6. Precedents Relief PNPS PRR-20 was approved for the fourth 10-year interval as documented in NRC Safety Evaluation Report dated August 25, 2010 (Accession No. ML102290163). This relief excluded the N2 nozzles which have been subsequently addressed by relief PNPS PRR-24 and Safety Evaluation Report dated April 21, 2015 (Accession No. ML15103A069).

4 Technical Basis for Revision of Pressurized Thermal Shock (PTS) Screening Limit in the PTS Rule (10 CFR 50.61), NUREG-1806, Vol. 1, August 2007

Attachment I to PNPS Letter 2.15.032 Page 6 of 7 TABLE 2 Inspection History for the Recirculation Inlet Nozzles Component Description Code Code Inspections Indications ID Category Item RPV-N2A- 12" Recirc Inlet Nozzle B-D B3.90 1977, 1984, 1977 (note 1)

NV to Vessel Weld 1999, 2009 1984 (note 6)

RPV-N2A- 12" Recirc Inlet Nozzle B-D B3.100 1977, 1984, NRI NIR to Inner Radius 1999, 2009 RPV-N2B- 12" Recirc Inlet Nozzle B-D B3.90 1980, 1984, 1984 (note 7)

NV to Vessel Weld 1999, 2009 RPV-N2B- 12" Recirc Inlet Nozzle B-D B3.100 1980, 1984, NRI NIR to Inner Radius 1999, 2009 RPV-N2C- 12" Recirc Inlet Nozzle B-D B3.90 1974, 1984, NRI NV to Vessel Weld 1999, 2009 RPV-N2C- 12" Recirc Inlet Nozzle B-D B3.100 1974, 1984, NRI NIR to Inner Radius 1999, 2009 RPV-N2D- 12" Recirc Inlet Nozzle B-D B3.90 1974, 1995, NRI NV to Vessel Weld 2003 RPV-N2D- 12" Recirc Inlet Nozzle B-D B3.100 1974, 1995, NRI NIR to Inner Radius 2003 RPV-N2E- 12" Recirc Inlet Nozzle B-D B3.90 1980, 1985, 1980 (note 3)

NV to Vessel Weld 2003 RPV-N2E- 12" Recirc Inlet Nozzle B-D B3.100 1980, 1985, NRI NIR to Inner Radius 2003 RPV-N2F- 12" Recirc Inlet Nozzle B-D B3.90 1977, 1982, 1977 (note 2)

NV to Vessel Weld 1995, 2003 RPV-N2F- 12" Recirc Inlet Nozzle B-D B3.100 1977, 1982, NRI NIR to Inner Radius 1995, 2003 RPV-N2G- 12" Recirc Inlet Nozzle B-D B3.90 1977, 1993, 2005 (note 8)

NV to Vessel Weld 2005 RPV-N2G- 12" Recirc Inlet Nozzle B-D B3.100 1977, 1993, NRI NIR to Inner Radius 2005 RPV-N2H- 12" Recirc Inlet Nozzle B-D B3.90 1980, 1993, 1980 (note 4)

NV to Vessel Weld 2005 2005 (note 9)

RPV-N2H- 12" Recirc Inlet Nozzle B-D B3.100 1980, 1993, NRI NIR to Inner Radius 2005 RPV-N2K- 12" Recirc Inlet Nozzle B-D B3.90 1981, 1993, 2005 (note 10)

NV to Vessel Weld 2005

Attachment I to PNPS Letter 2.15.032 Page 7 of 7 TABLE 2 (Continued)

Inspection History for the Recirculation Inlet Nozzles Component Description Code Code Inspections Indications ID Category Item RPV-N2K- 12" Recirc Inlet Nozzle B-D B3.100 1981, 1993, NRI NIR to Inner Radius 2005 RPV-N2J- 12" Recirc Inlet Nozzle B-D B3.90 1980, 1995, 1980 (note 5)

NV to Vessel Weld 2003 RPV-N2J- 12" Recirc Inlet Nozzle B-D B3.100 1980, 1995, NRI NIR to Inner Radius 2003 Notes:

1. N2A (NV) - 1977, Code acceptable slag inclusions - acceptable
2. N2F (NV) - 1977, Code acceptable reflectors were observed - acceptable
3. N2E (NV) - 1980, Geometric reflectors - acceptable
4. N2H (NV) - 1980, Indications are geometric reflectors from the nozzle ID surface -

acceptable

5. N2J (NV) - 1980, Indications are geometric reflectors from the nozzle ID surface -

acceptable

6. N2A (NV) - 1984, Reflectors were seen, same inclusion as 1977 no change in size -

acceptable

7. N2B (NV) - 1984, Indications found but are allowable and not recordable - acceptable
8. N2G (NV) - 2005, (3) indications, were acceptable per requirements of ASME Section Xl
9. N2H (NV) - 2005, (4) indications were acceptable per requirements of ASME Section Xl
10. N2K (NV) - 2005, (3) indications were acceptable per requirements of ASME Section XI

ATTACHMENT 2 TO LETTER 2.15.032 Pilgrim Nuclear Power Station 10 CFR 50.55a Request No. PRR-51, Proposed Alternative in Accordance with 10 CFR 50.55a(z)(1), Implementation of BWRVIP-05 (GL 98-05)

(5 Pages) to PNPS Letter 2.15.032 Page 1 of 5

1. American Society of Mechanical Engineers (ASME) Code Component(s) Affected Code Class: ASME Section XI Code Class 1 Component Numbers: RPV Circumferential Shell Welds (RPV-C-1-344, RPV-C-9-338, RPV-C-3-339A, and RPV-C-3-339B)

Code

References:

ASME Section XI, 2007 Edition with 2008 Addenda Examination Category: B-A Item Number(s): B1.11 Unit/Inspection Interval: Pilgrim Nuclear Power Station / Fifth 10-year interval July 1, 2015- June 30, 2025

2. Applicable ASME Code Requirements ASME Section XI, 2007 Edition through the 2008 Addenda, Table IWB-2500-1, Examination Category B-A, Item No. B1.11, requires a volumetric examination of the circumferential shell welds each interval.

3. Reason for Request

During the U.S. Nuclear Regulatory Commission (NRC) staff's review of the Pilgrim Nuclear Power Station (PNPS) License Renewal Application (LRA), Request for Additional Information (RAI) 4.2.5-2 dated September 8, 2006 asked PNPS whether it intended to apply for relief from the ASME Code reactor vessel (RV) circumferential weld examination requirements for the extended licensed period.

The PNPS response dated October 8, 2006 indicated that a request for alternative under the provisions of 10 Code of Federal Regulations (CFR) 50.55a would be submitted to exclude the reactor pressure vessel (RPV) shell circumferential welds from examination. Based on PNPS' response, the RAI was considered resolved.

As such, PNPS is requesting an alternative in accordance with 10 CFR 50.55a(z)(1) on the basis that this alternative provides an acceptable level of quality and safety. This request for alternative would provide relief from circumferential weld examinations required by the ASME Section XI Code for the extended period of operation.

PNPS was previously granted this relief for the remainder of the original 40-year license term (Reference TAC No. MB6074, Accession No. ML030640204).

4. Proposed Alternative and Basis for Use Proposed Alternative PNPS requests to use BWRVIP-05, with supporting information described herein as the bases for excluding the RPV shell circumferential welds from the examination required by ASME Section XI, Examination Category B-A, Item No. B1.11 for the extended license period ending on June 8, 2032.

to PNPS Letter 2.15.032 Page 2 of 5 The axial weld seams (Examination Category B-A, Item No. B1.12) and their intersection with the associated circumferential weld seams will be examined in accordance with ASME Section XI except where specific relief is granted when essentially 100% (>90%) coverage cannot be obtained.

Basis for Use The technical basis supporting the requested alternative is provided by BWRVIP-05, (EPRI TR-105697) "BWR Vessel and Internals Project, BWR Reactor Pressure Vessel Shell Weld Inspection Recommendations" as accepted in the staff's final safety evaluation report enclosed in a July 28, 1998, letter from Mr. G.C. Lanais, NRC, to Mr. C. Terry, the BWRVIP Chairman. In this letter, the staff concluded that because the failure frequency for circumferential welds in Boiling Water Reactor (BWR) plants is significantly below the criterion specified in Regulatory Guide (RG) 1.154, "Format and Content of Plant-Specific Pressurized Thermal Shock Safety Analysis Reports for Pressurized Water Reactors," and below the core damage frequency of any BWR plant, continued inspection would result in a negligible decrease in an already acceptably low RV failure probability and justify elimination of the In-Service Inspection requirements for RV circumferential welds. The staff's letter indicated that BWR applicants may request relief from ASME Code Section Xl requirements for volumetric examination of circumferential RV welds by demonstrating that (1) at the expiration of the license the circumferential welds will satisfy the staff's July 28, 1998, evaluation of the limiting conditional failure probability for circumferential welds and (2) the applicants have implemented operator training and established procedures that limit the cold over-pressure event frequency to that specified in the staff's Safety Evaluation Report. The letter also indicated that the requirements for inspection of RV circumferential welds during an additional 20-year license renewal period would need plant-specific reassessment as part of any BWR LRA. The applicant also must request relief from the ASME Code Section Xl requirements for volumetric examination of circumferential welds for the extended license term in accordance with 10 CFR 50.55a(g).

Additional information to support the proposed alternative for the license renewal period is contained in the PNPS LRA and its amendments as accepted by the staff in its Safety Evaluation Report dated June 28, 2007. The one exception requiring further action by PNPS affecting the RV Fluence Time-Limited Aging Analyses (TLAAs) was License Renewal Condition (LRC) 4.2.6 which has been closed, as described below.

During the staff's review of the PNPS LRA, the staff found that the RV Fluence TLAA evaluation in Section 4.2.1 of the original LRA unacceptable due to lack of benchmarking data in support of the plant-specific fluence calculations. This was identified as Open Item (01) 4.2 which became Commitment 47.

To close the 01, PNPS proposed an alternative analysis to address all fluence related TLAAs for the extended operating period.

The alternative analysis assumed increasing fluence levels until an ASME Code or regulatory limit is reached based on the projected changes in material properties. Changes in the vessel (ferritic) steel material properties are measured by an increase in adjusted reference temperature or a decrease in Charpy upper-shelf energy. The effects of increasing fluence on the austenitic stainless steel core shroud and internals was also considered. By assuming increasing fluence levels, the analysis identifies the maximum fluence that can be experienced while meeting the Code and regulatory criteria. This to PNPS Letter 2.15.032 Page 3 of 5 analysis also shows that there is a large margin available to this limiting fluence at the end of the period of extended operation.

The analysis determined that the limiting fluence value was set by a maximum mean RTNDT value for the axial weld failure probability of 114 EF, in order for the axial weld failure frequency to remain below 5 x 10-6 per reactor operating year. The corresponding maximum allowable inner diameter (ID) fluence for the RV axial welds was determined to be 3.37 x 1018 n/cm 2. If the fluence remains below this limiting value during the period of extended operation, the fluence will result in acceptable results for all fluence-related TLAAs. To confirm that the limiting fluence will not be reached during the period of extended operation and consequently that all of the fluence-related TLAAs remain valid, Commitment 48, was added, but subsequently superseded by LRC 4.2.6.

"The staff issued License Condition 4.2.6: On or before June 8, 2010, the applicant (Entergy) will submit to the NRC correctlybenchmarked RV neutron fluence calculations, consistent with RG 1.190, that will confirm that the neutron fluence for the lower intermediate shell axial welds, at the inner surface of the RV, will not reach the limiting value of 3.37 x 10la n/cm 2 (E>1.0 Me V) by the end of the period of extended operation(54 EFPY). "

LRC 4.2.6 was addressed by PNPS letter dated January 24, 2010 "Proposed License Amendment to Technical Specifications: P-T Limit Curves and Relocation of Pressure-Temperatures (P-T) Curves to the Pressure and Temperature Limits Report (PTLR)." In part, information provided to the staff in response to LRC 4.2.6 stated:

Pilgrim has been a participantin the NRC approved BWRVIP Integrated Surveillance Programas authorized by License Amendment No. 209. As such, Pilgrim opted to use the Monticello Nuclear Power Plant, a BWR/3 class plant, benchmarking evaluation to produce benchmarked Pilgrim-specificfluence and ART values, and revised P-T curve. Entergy has determined that Monticello reactorpressure vessel fluence calculation for a BWRI3 provides an acceptable benchmark for Pilgrim fluence data to support revised P-T Curves for Pilgrim OperatingCycle 18 and beyond. This information was discussed with the NRC Staff on or about October 17, 2008. The NRC staff concurred with the Entergy approach to use Monticello fluence for benchmarking Pilgrim RAMA fluence calculation (as documented in NRC ADAMS Accession Number ML090370920) and to submit Pilgrim revised P-T curves for NRC approval.

In an NRC Inspection Report dated June 13, 2012, an inspection was performed to review license renewal activities under Temporary Instruction (TI) 2516/001, "Review of License Renewal Activities." The inspection reviewed the completion of commitments made during the renewed license application and compliance with the Commission's rules and regulations and the conditions of PNPS operating license. For LRC 4.2.6 (Commitment 48) the following was documented in the Inspection Report:

Commitment 48 provides that on or before June 8, 2010, Entergy will submit to the NRC calculationsconsistent with Regulatory Guide 1.190 that will demonstrate limiting fluence values will not be reached during the period of extended operation.

By way of Entergy's January 24, 2010,"ProposedLicense Amendment to Technical Specifications: Revised P-T Limit Curves and Relocation of Pressure-Temperature to PNPS Letter 2.15.032 Page 4 of 5 (P-T) Curve to the Pressureand Temperature Limits Report (PTLR), "Entergy submitted calculationsconsistent with Regulatory Guide 1.190 that demonstrated limiting fluence values will not be reached during the period of extended operation.

The inspectors determined that Entergy had implemented Commitment 47.

Note that Commitment 47 stated, "On or before September 15, 2007, submit to the NRC an action plan to improve benchmarking data to support approval of new P-T curves for Pilgrim." Accordingly, the Commitment referenced in the quoted sentence above should have been Commitment 48.

PNPS considers LRC 4.2.6 closed, thus allowing use of the fluence values calculated by the methods described in the LRA and the staff's Safety Evaluation Report.

In accordance with the guidance of Generic Letter 98-05, "Boiling Water Reactor Licensees Use of BWRVIP-05 Report to Request Relief from Augmented Examination Requirements on Reactor Pressure Vessel Circumferential Shell Welds," applicants requesting relief from examination of the subject welds are to demonstrate that: (1) at the expiration of their license, the circumferential welds will continue to satisfy the limiting conditional failure probability for circumferential welds in the staff's July 30, 1998 safety evaluation, and (2) licensees have implemented operator training and established procedures that limit the frequency of cold over-pressure events to the amount specified in the staff's July 30, 1998 safety evaluation.

(1) Satisfying the Limiting Conditional Failure Probability for Circumferential Welds Section 4.2.5.2 of the Safety Evaluation Report for the LRA states in part:

"...the staff found that the applicant correctly applied the 64 EFPY mean RTNDT value of 128.5 OF from Table 2.6-5 of the staff SER on the BWRVIP-05 Report in the back-calculation of the maximum allowable 54 EFPY fluence on this TLAA. The staff used this mean RTNDT value in its evaluation of the BWRVIP-05 Report for determining an acceptable circumferential weld conditional failure probability. The 128.5 OF 64 EFPY mean RTNDT value from the staff SER on the BWRVIP-05 Report is characteristic of welds by Combustion Engineering, which fabricated the circumferential welds in the RV."

The staff found the TLAA for the RV circumferential weld examination relief acceptable in accordance with 10 CFR 54.21(c)(1 )(ii). As reported in SER 4.2, the staff has reviewed and accepted Commitment 48 (replaced by License Condition 4.2.6) and the alternative fluence analysis for resolving 01 4.2 and confirming the results of the TLAAs.

Even though the initial PNPS fluence calculations were performed prior to the Monticello benchmarking, there have been no material changes in the RAMA code and methodology that would have impacted the results of fluence and Adjusted Reference Temperature (ART) calculations. Therefore the unbiased fluence and ART values included in TransWare Report ENT-FLU-001-R-001, Rev. 0 provides predictable PNPS reactor vessel fluence values using RAMA methodology.

The PNPS fluence calculation predicts a peak fluence for 54 effective full power years (EFPY) of 1.14x10 18 n/cm 2 at axial welds 1-338A, B, and C in the intermediate shell and 1.28x1 018 n/cm 2 at the lower intermediate shell location. The peak fluence at the

Attachment 2 to PNPS Letter 2.15.032 Page 5 of 5 bounding circumferential weld is 8.69 x 1017 n/cm 2 . See Table 1 below. Table 2 shows the most limiting weld which bounds the circumferential weld at 54 EFPY.

TABLE 1 Bounding Circumferential Weld Location' Wall Thickness (inches) Fluence at Attenuation, Fluence at Fluence Factor, ID 1/4t 1/4t FF (n/cm2 24 f(O..28-o.l1ogf)

Full2 1/4t e x (n/cm2)

L. int Shell Girth 5.531 1.383 8.69 x 107 0.718 6.24 x 101 0.329 Weld 1-344 L_

Note 1: Fluence values are from TransWare Report No. ENT-FLU-R-001, Rev. 0, "Pilgrim Nuclear Power Station Reactor Pressure Vessel Fluence Evaluation",

Tables 7-3 and 7-4.

Note 2: RPV minimum thickness is 5 17/32 inches per Section 3.3.2 of SIR-00-082, Revision 0.

TABLE 2 Structural Integrity Report No. PNPS-22Q-301, "RTNDT and ART Evaluation" information for the bounding circumferential weld at 54 EFPY Description Seam Heat Flux Est. Chemistry Chem. Adjustments for 1/4t No. No. Type Initial Cu Ni Factor DI)% Margin ARTNDT

& Lot RTNDT (wt%) (wt%) (F) NDT Terms (OF)

No. (0 F) (0F) c]u E[

II I I I 1(°F) (OF)

L. int Shell 1-344 21935 Linde -50 0.183 0.704 172.2 56.7 28.0 0.0 62.7 Girth Weld 1092

  1. 3869 Based on the information presented in this request and the referenced License Amendment Request with the corresponding NRC Safety Evaluation Report, the circumferential welds will continue to satisfy the limiting conditional failure probability for circumferential welds in the NRC staff's July 30, 1998 Safety Evaluation Report.

(2) Operator Training and Established Procedures that Limit the Frequency of Cold Over-Pressure Events The procedures and training used to limit cold over-pressure events are still in use and are materially unchanged from those approved by the NRC in the Safety Evaluation Report for PNPS Relief Request PRR-28 (Reference TAC No. MB6074, Accession No. ML030640204).

5. Duration of Proposed Alternative The duration of this request is for the extended license period ending June 8, 2032.
6. Precedents A similar request has been approved for the Peach Bottom Atomic Power Station, Units 1 and 2 (Reference Accession No. ML112770217).