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| number = ML14112A418
| number = ML14112A418
| issue date = 05/14/2014
| issue date = 05/14/2014
| title = Summary of Telephone Conference Call Held on April 10, 2014, Between the U.S. Nuclear Regulatory Commission and Exelon Generation Company, LLC Concerning Draft Request for Additional Information, Set 22, Pertaining to the Byron Station and  
| title = Summary of Telephone Conference Call Held on April 10, 2014, Between the U.S. Nuclear Regulatory Commission and Exelon Generation Company, LLC Concerning Draft Request for Additional Information, Set 22, Pertaining to the Byron Station and
| author name = Robinson L R
| author name = Robinson L
| author affiliation = NRC/NRR/DLR/RPB2
| author affiliation = NRC/NRR/DLR/RPB2
| addressee name =  
| addressee name =  
Line 9: Line 9:
| docket = 05000454, 05000455, 05000456, 05000457
| docket = 05000454, 05000455, 05000456, 05000457
| license number =  
| license number =  
| contact person = Robinson L R
| contact person = Robinson L
| case reference number = TAC MF1879, TAC MF1880, TAC MF1881, TAC MF1882
| case reference number = TAC MF1879, TAC MF1880, TAC MF1881, TAC MF1882
| document type = Meeting Summary
| document type = Meeting Summary
Line 18: Line 18:


=Text=
=Text=
{{#Wiki_filter:May 14, 2014 LICENSEE: Exelon Generation Company, LLC  
{{#Wiki_filter:May 14, 2014 LICENSEE:       Exelon Generation Company, LLC FACILITY:       Byron Station, Units 1 and 2 Braidwood Station, Units 1 and 2
 
FACILITY: Byron Station, Units 1 and 2 Braidwood Station, Units 1 and 2  


==SUBJECT:==
==SUBJECT:==


==SUMMARY==
==SUMMARY==
OF TELEPHONE CONFERENCE CALL HELD ON APRIL 10, 2014, BETWEEN THE U.S. NUCLEAR REGULATORY COMMISSION AND EXELON GENERATION COMPANY, LLC CONCERNING DRAFT REQUEST FOR ADDITIONAL INFORMATION, SET 22, PERTAINING TO THE BYRON STATION AND BRAIDWOOD STATION, LICENSE RENEWAL APPLICATION (TAC NOS. MF1879, MF1880, MF1881, AND MF1882)  
OF TELEPHONE CONFERENCE CALL HELD ON APRIL 10, 2014, BETWEEN THE U.S. NUCLEAR REGULATORY COMMISSION AND EXELON GENERATION COMPANY, LLC CONCERNING DRAFT REQUEST FOR ADDITIONAL INFORMATION, SET 22, PERTAINING TO THE BYRON STATION AND BRAIDWOOD STATION, LICENSE RENEWAL APPLICATION (TAC NOS. MF1879, MF1880, MF1881, AND MF1882)
 
The U.S. Nuclear Regulatory Commission (NRC or the staff) and representatives of Exelon Generation Company, LLC (Exelon or the applicant), held a telephone conference call on April 10, 2014, to discuss and clarify the staffs draft request for additional information (DRAI),
The U.S. Nuclear Regulatory Commission (NRC or the staff) and representatives of Exelon Generation Company, LLC (Exelon or the applicant), held a telephone conference call on April 10, 2014, to discuss and clarify the staff's draft request for additional information (DRAI), Set 22, concerning the Byron Station, Units 1 and 2, and the Braidwood Station, Units 1 and 2, license renewal application. The telephone conference call was useful in clarifying the intent of the staff's DRAIs.  
Set 22, concerning the Byron Station, Units 1 and 2, and the Braidwood Station, Units 1 and 2, license renewal application. The telephone conference call was useful in clarifying the intent of the staffs DRAIs. provides a listing of the participants, and Enclosure 2 contains a listing of the DRAIs discussed with the applicant, including a brief description on the status of the items.
 
The applicant had an opportunity to comment on this summary.
provides a listing of the participants, and Enclosure 2 contains a listing of the DRAIs discussed with the applicant, including a brief description on the status of the items.  
                                                /RA/
 
Lindsay Robinson, Project Manager Projects Branch 1 Division of License Renewal Office of Nuclear Reactor Regulation Docket Nos. 50-454, 50-455, 50-456, and 50-457
The applicant had an opportunity to comment on this summary.  
 
/RA/ Lindsay Robinson, Project Manager Projects Branch 1 Division of License Renewal Office of Nuclear Reactor Regulation Docket Nos. 50-454, 50-455, 50-456, and 50-457  


==Enclosures:==
==Enclosures:==
: 1. List of Participants  
: 1. List of Participants
: 2. List of Draft Request for Additional Information cc w/encls: Listserv  
: 2. List of Draft Request for Additional Information cc w/encls: Listserv


ML14112A418   *concurred via email OFFICE LA:DLR* PM:RPB1:DLR BC:RPB1:DLR PM:RPB1:DLR NAME IKing LRobinson YDiazSanabria LRobinson DATE 4/29/14 5/7/14 5/13/14 5/14/14
ML14112A418                               *concurred via email OFFICE LA:DLR*             PM:RPB1:DLR BC:RPB1:DLR PM:RPB1:DLR NAME IKing                 LRobinson         YDiazSanabria LRobinson DATE 4/29/14               5/7/14             5/13/14           5/14/14


==SUBJECT:==
==SUBJECT:==


==SUMMARY==
==SUMMARY==
OF TELEPHONE CONFERENCE CALL HELD ON APRIL 10, 2014, BETWEEN THE U.S. NUCLEAR REGULATORY COMMISSION AND EXELON GENERATION COMPANY, LLC CONCERNING DRAFT REQUEST FOR ADDITIONAL INFORMATION, SET 22, PERTAINING TO THE BYRON STATION AND BRAIDWOOD STATION, LICENSE RENEWAL APPLICATION (TAC NOS. MF1879, MF1880, MF1881, MF1882)  
OF TELEPHONE CONFERENCE CALL HELD ON APRIL 10, 2014, BETWEEN THE U.S. NUCLEAR REGULATORY COMMISSION AND EXELON GENERATION COMPANY, LLC CONCERNING DRAFT REQUEST FOR ADDITIONAL INFORMATION, SET 22, PERTAINING TO THE BYRON STATION AND BRAIDWOOD STATION, LICENSE RENEWAL APPLICATION (TAC NOS. MF1879, MF1880, MF1881, MF1882)
DISTRIBUTION EMAIL:
PUBLIC RidsNrrDlr Resource RidsNrrDlrRpb1 Resource RidsNrrDlrRarb Resource RidsOgcMailCenter RidsNrrPMByron Resource RidsNrrPMBraidwood Resource LRobinson DMcIntyre, OPA EDuncan, RIII JBenjamin, RIII AGarmoe, RIII JMcGhee, RIII JRobbins, RIII VMitlyng, RIII PChandrathil, RIII


DISTRIBUTION EMAIL: PUBLIC RidsNrrDlr Resource
TELEPHONE CONFERENCE CALL BYRON STATION, UNITS 1 AND 2, AND BRAIDWOOD STATION, UNITS 1 AND 2 LICENSE RENEWAL APPLICATION LIST OF PARTICIPANTS April 10, 2014 PARTICIPANTS                            AFFILIATIONS Lindsay Robinson                        U.S. Nuclear Regulatory Commission (NRC)
Matthew Homiack                        NRC James Medoff                            NRC Seung Min                              NRC Carolyn Fairbanks                      NRC John Hufnagel                          Exelon Generating Company, LLC (Exelon)
Don Warfel                              Exelon Al Fulvio                              Exelon Albert Piha                            Exelon Gary Becknell                          Exelon Pete Tamburro                          Exelon Phil ODonnell                          Exelon Paul Thimmesch                          Exelon Don Brindle                            Exelon Ralph Wolen                            Exelon ENCLOSURE 1


RidsNrrDlrRpb1 Resource RidsNrrDlrRarb Resource RidsOgcMailCenter
DRAFT REQUEST FOR ADDITIONAL INFORMATION BYRON STATION, UNITS 1 AND 2, AND BRAIDWOOD STATION, UNITS 1 AND 2 LICENSE RENEWAL APPLICATION April 10, 2014 The U.S. Nuclear Regulatory Commission (NRC or the staff) and representatives of Exelon Generation Company, LLC (Exelon or the applicant), held a telephone conference call on April 10, 2014, to discuss and clarify the following draft request for additional information (DRAI), Set 22, concerning the Byron Station, Units 1 and 2, and the Braidwood Station, Units 1 and 2, license renewal application (LRA).
DRAI B.2.1.19-1a Applicability:
Byron Station (Byron) and Braidwood (Station), all units


RidsNrrPMByron Resource RidsNrrPMBraidwood Resource
==Background:==
----------------------------------
LRobinson DMcIntyre, OPA


EDuncan, RIII
By letter dated December 12, 2013, the staff issued a request for additional information (RAI) titled, RAI B.2.1.19-1, requesting an updated surveillance capsule withdrawal schedule for each unit including, but not limited to: identification of the capsule and associated neutron fluence value which will provide test results consistent with the [Generic Aging Lessons Learned] GALL Report recommendation of a neutron fluence exposure of between one and two times the peak reactor vessel wall neutron fluence at the end of the period of extended operation, and identification of a date for the submittal of each summary technical report. In its response dated January 13, 2014, the applicant stated that each technical summary report for the next surveillance capsule testing will be submitted to the NRC prior to entering the associated period of extended operation. Currently, each unit of Byron and Braidwood stores the untested surveillance capsules in the spent fuel pool for future use.
Per Appendix H of 10 CFR Part 50, Each capsule withdrawal and the test results must be the subject of a summary technical report to be submittedwithin one year of the date of capsule withdrawal, unless an extension is granted by the Director, Office of Nuclear Reactor Regulation. The Byron and Braidwood Pressure-Temperature Limits Reports (PTLRs) include Tables for surveillance capsule withdrawal schedules and state that surveillance capsule testing has been completed for the original operating period. Other capsules will be removed to avoid excessive fluence accumulation should they be needed to support life extension. These surveillance capsule withdrawal schedules are no longer applicable beyond the original operating period.
Issue:
In its response, the applicant did not clearly address the withdrawal dates and summary technical report submittal dates. The surveillance capsules have already received neutron fluence exposures of 1-2 times the projected neutron fluence values at the end of the period of extended operation and have been withdrawn from the reactor vessel and moved to the spent fuel pool. Since the current surveillance capsule withdrawal schedule is valid for the current operating period, the staff considers the initiation of a new surveillance capsule withdrawal schedule to be necessary for the period of extended operation. Upon receiving a renewed ENCLOSURE 2


JBenjamin, RIII
operating license, the surveillance capsules, identified in Table 1 of the applicants response dated January 13, 2014, would no longer be considered standby capsules; instead, they would be considered part of the program to meet the GALL Report and 10 CFR Part 50, Appendix H, requirements. Capsules should be tested and summary reports submitted within 1 year of receiving the renewed license, unless Byron and Braidwood submits a request for extension for approval by the Director, Office of Nuclear Reactor Regulation, within this period.
 
Request:
AGarmoe, RIII
For each surveillance capsule identified in Table 1 of the applicants response dated January 13, 2014, provide the withdrawal date and expected date of submittal of the summary technical report. A request for extension must be submitted for approval by the Director, Office of Nuclear Reactor Regulation, if the expected date for the submittal of the summary technical report exceeds 1 year from the date of capsule withdrawal.
 
Discussion: The applicant requested clarity on the staffs concern. No edits were proposed.
JMcGhee, RIII JRobbins, RIII VMitlyng, RIII
This question will be sent as part of the formal request titled: RAI B.2.1.19-1a.
 
DRAI 4.7.1-1 Applicability:
PChandrathil, RIII ENCLOSURE 1 TELEPHONE CONFERENCE CALL BYRON STATION, UNITS 1 AND 2, AND BRAIDWOOD STATION, UNITS 1 AND 2 LICENSE RENEWAL APPLICATION LIST OF PARTICIPANTS April 10, 2014 PARTICIPANTS                                                AFFILIATIONS Lindsay Robinson                                              U.S. Nuclear Regulatory Commission (NRC) Matthew Homiack NRC James Medoff NRC Seung Min NRC Carolyn Fairbanks  NRC John Hufnagel Exelon Generating Company, LLC (Exelon)
Byron and Braidwood
Don Warfel Exelon Al Fulvio Exelon Albert Piha Exelon Gary Becknell Exelon Pete Tamburro Exelon Phil O'Donnell Exelon Paul Thimmesch Exelon Don Brindle Exelon Ralph Wolen Exelon


ENCLOSURE 2 DRAFT REQUEST FOR ADDITIONAL INFORMATION BYRON STATION, UNITS 1 AND 2, AND BRAIDWOOD STATION, UNITS 1 AND 2 LICENSE RENEWAL APPLICATION April 10, 2014
==Background:==


The U.S. Nuclear Regulatory Commission (NRC or the staff) and representatives of Exelon Generation Company, LLC (Exelon or the applicant), held a telephone conference call on April 10, 2014, to discuss and clarify the following draft request for additional information (DRAI), Set 22, concerning the Byron Station, Units 1 and 2, and the Braidwood Station, Units 1 and 2, license renewal application (LRA).
Per 10 CFR Part 50, Criterion 4 of Appendix A, General Design Criteria for Nuclear Power Plants (GDC-4), systems, structures, and components (SSCs) important to safety are required to be appropriately protected against dynamic effects associated with postulated pipe ruptures, unless analyses reviewed and approved by the Commission demonstrate that the probability of rupture is extremely low under conditions consistent with the design basis for the piping. An approved leak-before-break analysis permits a licensee to remove protective hardware such as pipe whip restraints and jet impingement barriers; redesign pipe connected components, their supports, and their internals; and other related changes. License renewal application (LRA)
DRAI B.2.1.19-1a
Section 4.7.1 describes the applicants time limited aging analyses (TLAA) evaluation for the Byron and Braidwood leak-before-break analyses. The LRA states that the applicant updated the existing leak-before-break analyses for the reactor coolant primary loop piping and the safety injection accumulator piping cold leg nozzles and concludes that the updated analyses meet the requirements of 10 CFR 54.21(c)(1)(ii).
 
Applicability
:
Byron Station (Byron) and Braidwood (Station), all units
 
===
Background===
:    By letter dated December 12, 2013, the staff issued a request for additional information (RAI) titled, "RAI B.2.1.19-1," requesting an updated surveillance capsule withdrawal schedule for each unit "including, but not limited to: identification of the capsule and associated neutron fluence value which will provide test results consistent with the [Generic Aging Lessons Learned] GALL Report recommendation of a neutron fluence exposure of between one and two times the peak reactor vessel wall neutron fluence at the end of the period of extended operation, and identification of a date for the submittal of each summary technical report."  In its response dated January 13, 2014, the applicant stated that each technical summary report for the next surveillance capsule testing "will be submitted to the NRC prior to entering the associated period of extended operation."  Currently, each unit of Byron and Braidwood stores the untested surveillance capsules in the spent fuel pool for future use.   
 
Per Appendix H of 10 CFR Part 50, "Each capsule withdrawal and the test results must be the subject of a summary technical report to be submitted-within one year of the date of capsule withdrawal, unless an extension is granted by the Director, Office of Nuclear Reactor Regulation."  The Byron and Braidwood Pressure-Temperature Limits Reports (PTLRs) include Tables for surveillance capsule withdrawal schedules and state that "surveillance capsule testing has been completed for the original operating period. Other capsules will be removed to avoid excessive fluence accumulation should they be needed to support life extension."  These surveillance capsule withdrawal schedules are no longer applicable beyond the original operating period.
Issue:
Issue:
In its response, the applicant did not clearly address the withdrawal dates and summary technical report submittal dates. The surveillance capsules have already received neutron fluence exposures of 1-2 times the projected neutron fluence values at the end of the period of extended operation and have been withdrawn from the reactor vessel and moved to the spent fuel pool. Since the current surveillance capsule withdrawal schedule is valid for the current operating period, the staff considers the initiation of a new surveillance capsule withdrawal schedule to be necessary for the period of extended operation. Upon receiving a renewed    operating license, the surveillance capsules, identified in Table 1 of the applicant's response dated January 13, 2014, would no longer be considered standby capsules; instead, they would be considered part of the program to meet the GALL Report and 10 CFR Part 50, Appendix H, requirements. Capsules should be tested and summary reports submitted within 1 year of receiving the renewed license, unless Byron and Braidwood submits a request for extension for approval by the Director, Office of Nuclear Reactor Regulation, within this period.       
To meet the requirements of 10 CFR 54.21(c)(1)(ii), the applicant must demonstrate that its updated leak-before-break analyses, which have been projected to the end of the period of extended operation, satisfy the requirements of GDC-4. The LRA provides a general description of how the applicant updated the leak-before-break analyses for the reactor coolant primary loop piping and the safety injection accumulator piping cold leg nozzles. However, the LRA does not clearly identify the methodology used to update these analyses, nor does it contain a sufficient level of technical detail for the NRC staff to confirm that the updated analyses comply with GDC-4.
 
Request:  For each surveillance capsule identified in Table 1 of the applicant's response dated January 13, 2014, provide the withdrawal date and expected date of submittal of the summary technical report. A request for extension must be submitted for approval by the Director, Office of Nuclear Reactor Regulation, if the expected date for the submittal of the summary technical report exceeds 1 year from the date of capsule withdrawal.
Discussion
:  The applicant requested clarity on the staff's concern. No edits were proposed. This question will be sent as part of the formal request titled:  "RAI B.2.1.19-1a."
 
DRAI 4.7.1-1 Applicability
:
Byron and Braidwood
 
===
Background===
:  Per 10 CFR Part 50, Criterion 4 of Appendix A, "General Design Criteria for Nuclear Power Plants" (GDC-4), systems, structures, and com ponents (SSCs) important to safety are required to be appropriately protected against dynamic effects associated with postulated pipe ruptures, unless analyses reviewed and approved by the Commission demonstrate that the probability of rupture is extremely low under conditions consistent with the design basis for the piping. An approved leak-before-break analysis permits a licensee to remove protective hardware such as pipe whip restraints and jet impingement barriers; redesign pipe connected components, their supports, and their internals; and other related changes. License renewal application (LRA)
Section 4.7.1 describes the applicant's time limited aging analyses (TLAA) evaluation for the Byron and Braidwood leak-before-break analyses. The LRA states that the applicant updated the existing leak-before-break analyses for the reactor coolant primary loop piping and the safety injection accumulator piping cold leg nozzles and concludes that the updated analyses meet the requirements of 10 CFR 54.21(c)(1)(ii).
 
Issue:  To meet the requirements of 10 CFR 54.21(c)(1)(ii), the applicant must demonstrate that its updated leak-before-break analyses, which have been projected to the end of the period of  
 
extended operation, satisfy the requirements of GDC-4. The LRA provides a general description of how the applicant updated the leak-before-break analyses for the reactor coolant primary loop piping and the safety injection accumulator piping cold leg nozzles. However, the LRA does not clearly identify the methodology used to update these analyses, nor does it contain a sufficient level of technical detail for the NRC staff to confirm that the updated analyses comply with GDC-4.  


Request:
Request:
Provide the full updates to the leak-before-break analyses for the reactor coolant primary loop piping and the safety injection accumulator piping cold leg nozzles for NRC staff review and approval. The submitted analyses should contain a sufficient level of technical information to demonstrate compliance with the GDC-4 requirements for extremely low probability of rupture.
Provide the full updates to the leak-before-break analyses for the reactor coolant primary loop piping and the safety injection accumulator piping cold leg nozzles for NRC staff review and approval. The submitted analyses should contain a sufficient level of technical information to demonstrate compliance with the GDC-4 requirements for extremely low probability of rupture.
A sufficient level of technical information would address items 1 through 11 from NUREG-0800, "Standard Review Plan," Section 3.6.3, "Leak-Before-Break Evaluation Procedures,"
A sufficient level of technical information would address items 1 through 11 from NUREG-0800, Standard Review Plan, Section 3.6.3, Leak-Before-Break Evaluation Procedures, Subsection III, dated March 2007.
Subsection III, dated March 2007.
Discussion: The applicant requested clarity on the staffs concern. The applicant did not agree with the staffs concern that full updates needed to be provided. The staff agreed to add the following statement as the last sentence in the Request to provide the applicant an opportunity to provide its rationale: Otherwise, provide the rationale for not submitting the full updates to these leak-before-break analyses. Also, the applicant requested that safety injection accumulator piping cold leg nozzles be removed from this question and added to DRAI 4.7.1-4 since that question relates to this component. The staff agreed to make the edit as annotated by the strikethrough. Minor edits will also be made to the final issuance of this question and will be sent as part of the formal request titled: RAI 4.7.1-1.
Discussion
DRAI 4.7.1-2 Applicability:
: The applicant requested clarity on the staff's concern. The applicant did not agree with the staff's concern that full updates needed to be provided. The staff agreed to add the following statement as the last sentence in the Request to provide the applicant an opportunity to provide its rationale: "Otherwise, provide the rationale for not submitting the full updates to these leak-before-break analyses.Also, the applicant requested that "safety injection accumulator piping cold leg nozzles" be removed from this question and added to DRAI 4.7.1-4 since that question relates to this component. The staff agreed to make the edit as annotated by the strikethrough. Minor edits will also be made to the final issuance of this question and will be sent as part of the formal request titled: "RAI 4.7.1-1."
Byron and Braidwood


DRAI 4.7.1-2 Applicability
==Background:==
:
Byron and Braidwood


===Background===
LRA Section 4.7.1 describes the applicants TLAA evaluation for the Byron and Braidwood leak-before-break analyses. The LRA states that the applicant either updated the existing leak-before-break analyses or confirmed that they remain valid for the period of extended operation.
:
Sargent and Lundy Report SL-4518, Leak Before-Break Evaluation for Stainless Steel Piping, Byron and Braidwood Nuclear Power Stations Units 1 and 2, dated May 12, 1989, documents some of the existing analyses.
LRA Section 4.7.1 describes the applicant's TLAA evaluation for the Byron and Braidwood leak-before-break analyses. The LRA states that the applicant either updated the existing leak-before-break analyses or confirmed that they remain valid for the period of extended operation. Sargent and Lundy Report SL-4518, "Leak Before-Break Evaluation for Stainless Steel Piping, Byron and Braidwood Nuclear Power Stations Units 1 and 2," dated May 12, 1989, documents  
Issue:
In accordance with 10 CFR 54.21(c)(1), the LRA must contain an evaluation of TLAAs. As defined in 10 CFR 54.3, TLAAs are those calculations and analyses that are contained or incorporated by reference in the current licensing basis. Sargent and Lundy Report SL-4518 meets this definition because it is incorporated by reference into FSAR Section 3.6.2.1.1. The scope of this report covers leak-before-break analyses for three piping systems: (1) reactor coolant bypass system, (2) residual heat removal system, and (3) safety injection system.
However, the LRA does not include a TLAA evaluation for the leak-before-break analysis for the residual heat removal system piping.
Request:
Justify why the existing leak-before-break analysis for the residual heat removal system piping does not meet the definition of a TLAA in 10 CFR 54.3. Otherwise, provide a demonstration for this analysis in accordance with the requirements of 10 CFR 54.21(c)(1).


some of the existing analyses.  
Discussion: The applicant discussed with the staff that the leak-before-break analysis for the residual heat removal system piping had not been approved by the NRC (see NRC correspondence to applicant for additional information: ADAMS Accession Number 9104290046); therefore, there is no basis for this question. This question will be deleted from Set 22.
DRAI 4.7.1-4 Applicability:
Byron and Braidwood


Issue:  In accordance with 10 CFR 54.21(c)(1), the LRA must contain an evaluation of TLAAs. As defined in 10 CFR 54.3, TLAAs are those calculations and analyses that are contained or incorporated by reference in the current licensing basis. Sargent and Lundy Report SL-4518 meets this definition because it is incorporated by reference into FSAR Section 3.6.2.1.1. The scope of this report covers leak-before-break analyses for three piping systems:  (1) reactor coolant bypass system, (2) residual heat removal system, and (3) safety injection system. However, the LRA does not include a TLAA evaluation for the leak-before-break analysis for the residual heat removal system piping.
==Background:==
 
Request:  Justify why the existing leak-before-break analysis for the residual heat removal system piping does not meet the definition of a TLAA in 10 CFR 54.3. Otherwise, provide a demonstration for this analysis in accordance with the requirements of 10 CFR 54.21(c)(1).      Discussion
:  The applicant discussed with the staff that the leak-before-break analysis for the residual heat removal system piping had not been approved by the NRC (see NRC correspondence to applicant for additional information:  ADAMS Accession Number 9104290046); therefore, there is no basis for this question. This question will be deleted from
 
Set 22. DRAI 4.7.1-4
 
Applicability
:
Byron and Braidwood
 
===
Background===
:  GDC-4 requires SSCs important to safety to be appropriately protected against dynamic effects associated with postulated pipe ruptures, unless analyses reviewed and approved by the Commission demonstrate that the probability of rupture is extremely low under conditions consistent with the design basis for the piping. An approved leak-before-break analysis permits a licensee to remove protective hardware such as pipe whip restraints and jet impingement barriers, redesign pipe connected components, their supports and their internals, and other related changes. LRA Section 4.7.1 describes the applicant's TLAA evaluation for the Byron and Braidwood leak-before-break analysis for the safety injection accumulator piping cold leg nozzles, which are made of cast austenitic stainl ess steel (CASS). Because this material is susceptible to the effects of thermal aging, the LRA states that the applicant determined the fracture toughness properties for the materials at the fully aged condition applicable to the period of extended operation, and it used these properties to update the existing leak-before-break analysis. The LRA concludes that the updated analysis meets the requirements of 10 CFR 54.21(c)(1)(ii).


GDC-4 requires SSCs important to safety to be appropriately protected against dynamic effects associated with postulated pipe ruptures, unless analyses reviewed and approved by the Commission demonstrate that the probability of rupture is extremely low under conditions consistent with the design basis for the piping. An approved leak-before-break analysis permits a licensee to remove protective hardware such as pipe whip restraints and jet impingement barriers, redesign pipe connected components, their supports and their internals, and other related changes. LRA Section 4.7.1 describes the applicants TLAA evaluation for the Byron and Braidwood leak-before-break analysis for the safety injection accumulator piping cold leg nozzles, which are made of cast austenitic stainless steel (CASS). Because this material is susceptible to the effects of thermal aging, the LRA states that the applicant determined the fracture toughness properties for the materials at the fully aged condition applicable to the period of extended operation, and it used these properties to update the existing leak-before-break analysis. The LRA concludes that the updated analysis meets the requirements of 10 CFR 54.21(c)(1)(ii).
Issue:
Issue:
To meet the requirements of 10 CFR 54.21(c)(1)(ii), the applicant must demonstrate that its updated leak-before-break analysis, which has been projected to the end of the period of extended operation, satisfies the requirements of GDC-4. The LRA does not clearly identify the methodology used for the updated leak-before-break analysis for the safety injection accumulator piping cold leg nozzles, nor does it contain a sufficient level of technical detail for the NRC staff to confirm that the updated analysis complies with GDC-4. To fulfill the requirem ents of 10 CFR 54.21(c)(1)(ii), the applicant must demonstrate the adequacy of its projected analysis. LRA Section 4.7.1 does not demonstrate that the projected analysis for the safety injection accumulator piping cold leg nozzles is adequate because the LRA does not identify and justify the specific methodology used to determine the CASS material properties at the end of the period of extended operation.
To meet the requirements of 10 CFR 54.21(c)(1)(ii), the applicant must demonstrate that its updated leak-before-break analysis, which has been projected to the end of the period of extended operation, satisfies the requirements of GDC-4. The LRA does not clearly identify the methodology used for the updated leak-before-break analysis for the safety injection accumulator piping cold leg nozzles, nor does it contain a sufficient level of technical detail for the NRC staff to confirm that the updated analysis complies with GDC-4. To fulfill the requirements of 10 CFR 54.21(c)(1)(ii), the applicant must demonstrate the adequacy of its projected analysis. LRA Section 4.7.1 does not demonstrate that the projected analysis for the safety injection accumulator piping cold leg nozzles is adequate because the LRA does not identify and justify the specific methodology used to determine the CASS material properties at the end of the period of extended operation.
Request:
: 1. Provide for NRC staff review and approval the full update to the leak-before-break analysis for the safety injection accumulator piping cold leg nozzles. The submitted analysis should contain a sufficient level of technical information to demonstrate compliance with the GDC-4 requirements for extremely low probability of rupture. A sufficient level of technical information would address items 1 through 11 from


Request:  1. Provide for NRC staff review and approval the full update to the leak-before-break analysis for the safety injection accumulator piping cold leg nozzles. The submitted analysis should contain a sufficient level of technical information to demonstrate compliance with the GDC-4 requirements for extremely low probability of rupture. A sufficient level of technical information would address items 1 through 11 from    NUREG-0800, "Standard Review Plan," Section 3.6.3, "Leak-Before-Break Evaluation Procedures," Subsection III, dated March 2007. Otherwise, provide the rationale for not submitting a full update to the leak-before-break analysis.
NUREG-0800, Standard Review Plan, Section 3.6.3, Leak-Before-Break Evaluation Procedures, Subsection III, dated March 2007. Otherwise, provide the rationale for not submitting a full update to the leak-before-break analysis.
: 2. Identify and provide justification for the methodology used to determine the CASS fracture toughness properties at the end of the period of extended operation.
: 2. Identify and provide justification for the methodology used to determine the CASS fracture toughness properties at the end of the period of extended operation.
 
Identify the methodology that was used to determine the material properties of the CASS safety injection accumulator piping cold leg nozzle components at the end of the period of extended operation. Provide justification if this methodology has not been approved by the NRC.
Identify the methodology that was used to determine the material properties of the CASS safety injection accumulator piping cold leg nozzle components at the end of the period of extended operation. Provide justific ation if this methodology has not been approved by the NRC.
Discussion: The applicant requested clarity on the staffs concern. Based on the applicants request to remove safety injection accumulator cold leg nozzles from DRAI 4.7.1-1, the staff rewrote DRAI 4.7.1-4 to address both the methodology and updated leak-before-break analysis.
 
The staffs additions to the original request are annotated by the underlined portions and the deletions are annotated by the strikethroughs. This question will be sent as part of the formal request titled: RAI 4.7.1-3.}}
Discussion
: The applicant requested clarity on the staff's concern. Based on the applicant's request to remove "safety injection accumulator cold leg nozzles" from DRAI 4.7.1-1, the staff rewrote DRAI 4.7.1-4 to address both the methodology and updated leak-before-break analysis. The staff's additions to the original request are annotated by the underlined portions and the deletions are annotated by the strikethroughs. This question will be sent as part of the formal request titled: "RAI 4.7.1-3."}}

Latest revision as of 21:52, 5 February 2020

Summary of Telephone Conference Call Held on April 10, 2014, Between the U.S. Nuclear Regulatory Commission and Exelon Generation Company, LLC Concerning Draft Request for Additional Information, Set 22, Pertaining to the Byron Station and
ML14112A418
Person / Time
Site: Byron, Braidwood  Constellation icon.png
Issue date: 05/14/2014
From: Robinson L
License Renewal Projects Branch 2
To:
Exelon Generation Co
Robinson L
References
TAC MF1879, TAC MF1880, TAC MF1881, TAC MF1882
Download: ML14112A418 (9)


Text

May 14, 2014 LICENSEE: Exelon Generation Company, LLC FACILITY: Byron Station, Units 1 and 2 Braidwood Station, Units 1 and 2

SUBJECT:

SUMMARY

OF TELEPHONE CONFERENCE CALL HELD ON APRIL 10, 2014, BETWEEN THE U.S. NUCLEAR REGULATORY COMMISSION AND EXELON GENERATION COMPANY, LLC CONCERNING DRAFT REQUEST FOR ADDITIONAL INFORMATION, SET 22, PERTAINING TO THE BYRON STATION AND BRAIDWOOD STATION, LICENSE RENEWAL APPLICATION (TAC NOS. MF1879, MF1880, MF1881, AND MF1882)

The U.S. Nuclear Regulatory Commission (NRC or the staff) and representatives of Exelon Generation Company, LLC (Exelon or the applicant), held a telephone conference call on April 10, 2014, to discuss and clarify the staffs draft request for additional information (DRAI),

Set 22, concerning the Byron Station, Units 1 and 2, and the Braidwood Station, Units 1 and 2, license renewal application. The telephone conference call was useful in clarifying the intent of the staffs DRAIs. provides a listing of the participants, and Enclosure 2 contains a listing of the DRAIs discussed with the applicant, including a brief description on the status of the items.

The applicant had an opportunity to comment on this summary.

/RA/

Lindsay Robinson, Project Manager Projects Branch 1 Division of License Renewal Office of Nuclear Reactor Regulation Docket Nos. 50-454, 50-455, 50-456, and 50-457

Enclosures:

1. List of Participants
2. List of Draft Request for Additional Information cc w/encls: Listserv

ML14112A418 *concurred via email OFFICE LA:DLR* PM:RPB1:DLR BC:RPB1:DLR PM:RPB1:DLR NAME IKing LRobinson YDiazSanabria LRobinson DATE 4/29/14 5/7/14 5/13/14 5/14/14

SUBJECT:

SUMMARY

OF TELEPHONE CONFERENCE CALL HELD ON APRIL 10, 2014, BETWEEN THE U.S. NUCLEAR REGULATORY COMMISSION AND EXELON GENERATION COMPANY, LLC CONCERNING DRAFT REQUEST FOR ADDITIONAL INFORMATION, SET 22, PERTAINING TO THE BYRON STATION AND BRAIDWOOD STATION, LICENSE RENEWAL APPLICATION (TAC NOS. MF1879, MF1880, MF1881, MF1882)

DISTRIBUTION EMAIL:

PUBLIC RidsNrrDlr Resource RidsNrrDlrRpb1 Resource RidsNrrDlrRarb Resource RidsOgcMailCenter RidsNrrPMByron Resource RidsNrrPMBraidwood Resource LRobinson DMcIntyre, OPA EDuncan, RIII JBenjamin, RIII AGarmoe, RIII JMcGhee, RIII JRobbins, RIII VMitlyng, RIII PChandrathil, RIII

TELEPHONE CONFERENCE CALL BYRON STATION, UNITS 1 AND 2, AND BRAIDWOOD STATION, UNITS 1 AND 2 LICENSE RENEWAL APPLICATION LIST OF PARTICIPANTS April 10, 2014 PARTICIPANTS AFFILIATIONS Lindsay Robinson U.S. Nuclear Regulatory Commission (NRC)

Matthew Homiack NRC James Medoff NRC Seung Min NRC Carolyn Fairbanks NRC John Hufnagel Exelon Generating Company, LLC (Exelon)

Don Warfel Exelon Al Fulvio Exelon Albert Piha Exelon Gary Becknell Exelon Pete Tamburro Exelon Phil ODonnell Exelon Paul Thimmesch Exelon Don Brindle Exelon Ralph Wolen Exelon ENCLOSURE 1

DRAFT REQUEST FOR ADDITIONAL INFORMATION BYRON STATION, UNITS 1 AND 2, AND BRAIDWOOD STATION, UNITS 1 AND 2 LICENSE RENEWAL APPLICATION April 10, 2014 The U.S. Nuclear Regulatory Commission (NRC or the staff) and representatives of Exelon Generation Company, LLC (Exelon or the applicant), held a telephone conference call on April 10, 2014, to discuss and clarify the following draft request for additional information (DRAI), Set 22, concerning the Byron Station, Units 1 and 2, and the Braidwood Station, Units 1 and 2, license renewal application (LRA).

DRAI B.2.1.19-1a Applicability:

Byron Station (Byron) and Braidwood (Station), all units

Background:

By letter dated December 12, 2013, the staff issued a request for additional information (RAI) titled, RAI B.2.1.19-1, requesting an updated surveillance capsule withdrawal schedule for each unit including, but not limited to: identification of the capsule and associated neutron fluence value which will provide test results consistent with the [Generic Aging Lessons Learned] GALL Report recommendation of a neutron fluence exposure of between one and two times the peak reactor vessel wall neutron fluence at the end of the period of extended operation, and identification of a date for the submittal of each summary technical report. In its response dated January 13, 2014, the applicant stated that each technical summary report for the next surveillance capsule testing will be submitted to the NRC prior to entering the associated period of extended operation. Currently, each unit of Byron and Braidwood stores the untested surveillance capsules in the spent fuel pool for future use.

Per Appendix H of 10 CFR Part 50, Each capsule withdrawal and the test results must be the subject of a summary technical report to be submittedwithin one year of the date of capsule withdrawal, unless an extension is granted by the Director, Office of Nuclear Reactor Regulation. The Byron and Braidwood Pressure-Temperature Limits Reports (PTLRs) include Tables for surveillance capsule withdrawal schedules and state that surveillance capsule testing has been completed for the original operating period. Other capsules will be removed to avoid excessive fluence accumulation should they be needed to support life extension. These surveillance capsule withdrawal schedules are no longer applicable beyond the original operating period.

Issue:

In its response, the applicant did not clearly address the withdrawal dates and summary technical report submittal dates. The surveillance capsules have already received neutron fluence exposures of 1-2 times the projected neutron fluence values at the end of the period of extended operation and have been withdrawn from the reactor vessel and moved to the spent fuel pool. Since the current surveillance capsule withdrawal schedule is valid for the current operating period, the staff considers the initiation of a new surveillance capsule withdrawal schedule to be necessary for the period of extended operation. Upon receiving a renewed ENCLOSURE 2

operating license, the surveillance capsules, identified in Table 1 of the applicants response dated January 13, 2014, would no longer be considered standby capsules; instead, they would be considered part of the program to meet the GALL Report and 10 CFR Part 50, Appendix H, requirements. Capsules should be tested and summary reports submitted within 1 year of receiving the renewed license, unless Byron and Braidwood submits a request for extension for approval by the Director, Office of Nuclear Reactor Regulation, within this period.

Request:

For each surveillance capsule identified in Table 1 of the applicants response dated January 13, 2014, provide the withdrawal date and expected date of submittal of the summary technical report. A request for extension must be submitted for approval by the Director, Office of Nuclear Reactor Regulation, if the expected date for the submittal of the summary technical report exceeds 1 year from the date of capsule withdrawal.

Discussion: The applicant requested clarity on the staffs concern. No edits were proposed.

This question will be sent as part of the formal request titled: RAI B.2.1.19-1a.

DRAI 4.7.1-1 Applicability:

Byron and Braidwood

Background:

Per 10 CFR Part 50, Criterion 4 of Appendix A, General Design Criteria for Nuclear Power Plants (GDC-4), systems, structures, and components (SSCs) important to safety are required to be appropriately protected against dynamic effects associated with postulated pipe ruptures, unless analyses reviewed and approved by the Commission demonstrate that the probability of rupture is extremely low under conditions consistent with the design basis for the piping. An approved leak-before-break analysis permits a licensee to remove protective hardware such as pipe whip restraints and jet impingement barriers; redesign pipe connected components, their supports, and their internals; and other related changes. License renewal application (LRA)

Section 4.7.1 describes the applicants time limited aging analyses (TLAA) evaluation for the Byron and Braidwood leak-before-break analyses. The LRA states that the applicant updated the existing leak-before-break analyses for the reactor coolant primary loop piping and the safety injection accumulator piping cold leg nozzles and concludes that the updated analyses meet the requirements of 10 CFR 54.21(c)(1)(ii).

Issue:

To meet the requirements of 10 CFR 54.21(c)(1)(ii), the applicant must demonstrate that its updated leak-before-break analyses, which have been projected to the end of the period of extended operation, satisfy the requirements of GDC-4. The LRA provides a general description of how the applicant updated the leak-before-break analyses for the reactor coolant primary loop piping and the safety injection accumulator piping cold leg nozzles. However, the LRA does not clearly identify the methodology used to update these analyses, nor does it contain a sufficient level of technical detail for the NRC staff to confirm that the updated analyses comply with GDC-4.

Request:

Provide the full updates to the leak-before-break analyses for the reactor coolant primary loop piping and the safety injection accumulator piping cold leg nozzles for NRC staff review and approval. The submitted analyses should contain a sufficient level of technical information to demonstrate compliance with the GDC-4 requirements for extremely low probability of rupture.

A sufficient level of technical information would address items 1 through 11 from NUREG-0800, Standard Review Plan, Section 3.6.3, Leak-Before-Break Evaluation Procedures, Subsection III, dated March 2007.

Discussion: The applicant requested clarity on the staffs concern. The applicant did not agree with the staffs concern that full updates needed to be provided. The staff agreed to add the following statement as the last sentence in the Request to provide the applicant an opportunity to provide its rationale: Otherwise, provide the rationale for not submitting the full updates to these leak-before-break analyses. Also, the applicant requested that safety injection accumulator piping cold leg nozzles be removed from this question and added to DRAI 4.7.1-4 since that question relates to this component. The staff agreed to make the edit as annotated by the strikethrough. Minor edits will also be made to the final issuance of this question and will be sent as part of the formal request titled: RAI 4.7.1-1.

DRAI 4.7.1-2 Applicability:

Byron and Braidwood

Background:

LRA Section 4.7.1 describes the applicants TLAA evaluation for the Byron and Braidwood leak-before-break analyses. The LRA states that the applicant either updated the existing leak-before-break analyses or confirmed that they remain valid for the period of extended operation.

Sargent and Lundy Report SL-4518, Leak Before-Break Evaluation for Stainless Steel Piping, Byron and Braidwood Nuclear Power Stations Units 1 and 2, dated May 12, 1989, documents some of the existing analyses.

Issue:

In accordance with 10 CFR 54.21(c)(1), the LRA must contain an evaluation of TLAAs. As defined in 10 CFR 54.3, TLAAs are those calculations and analyses that are contained or incorporated by reference in the current licensing basis. Sargent and Lundy Report SL-4518 meets this definition because it is incorporated by reference into FSAR Section 3.6.2.1.1. The scope of this report covers leak-before-break analyses for three piping systems: (1) reactor coolant bypass system, (2) residual heat removal system, and (3) safety injection system.

However, the LRA does not include a TLAA evaluation for the leak-before-break analysis for the residual heat removal system piping.

Request:

Justify why the existing leak-before-break analysis for the residual heat removal system piping does not meet the definition of a TLAA in 10 CFR 54.3. Otherwise, provide a demonstration for this analysis in accordance with the requirements of 10 CFR 54.21(c)(1).

Discussion: The applicant discussed with the staff that the leak-before-break analysis for the residual heat removal system piping had not been approved by the NRC (see NRC correspondence to applicant for additional information: ADAMS Accession Number 9104290046); therefore, there is no basis for this question. This question will be deleted from Set 22.

DRAI 4.7.1-4 Applicability:

Byron and Braidwood

Background:

GDC-4 requires SSCs important to safety to be appropriately protected against dynamic effects associated with postulated pipe ruptures, unless analyses reviewed and approved by the Commission demonstrate that the probability of rupture is extremely low under conditions consistent with the design basis for the piping. An approved leak-before-break analysis permits a licensee to remove protective hardware such as pipe whip restraints and jet impingement barriers, redesign pipe connected components, their supports and their internals, and other related changes. LRA Section 4.7.1 describes the applicants TLAA evaluation for the Byron and Braidwood leak-before-break analysis for the safety injection accumulator piping cold leg nozzles, which are made of cast austenitic stainless steel (CASS). Because this material is susceptible to the effects of thermal aging, the LRA states that the applicant determined the fracture toughness properties for the materials at the fully aged condition applicable to the period of extended operation, and it used these properties to update the existing leak-before-break analysis. The LRA concludes that the updated analysis meets the requirements of 10 CFR 54.21(c)(1)(ii).

Issue:

To meet the requirements of 10 CFR 54.21(c)(1)(ii), the applicant must demonstrate that its updated leak-before-break analysis, which has been projected to the end of the period of extended operation, satisfies the requirements of GDC-4. The LRA does not clearly identify the methodology used for the updated leak-before-break analysis for the safety injection accumulator piping cold leg nozzles, nor does it contain a sufficient level of technical detail for the NRC staff to confirm that the updated analysis complies with GDC-4. To fulfill the requirements of 10 CFR 54.21(c)(1)(ii), the applicant must demonstrate the adequacy of its projected analysis. LRA Section 4.7.1 does not demonstrate that the projected analysis for the safety injection accumulator piping cold leg nozzles is adequate because the LRA does not identify and justify the specific methodology used to determine the CASS material properties at the end of the period of extended operation.

Request:

1. Provide for NRC staff review and approval the full update to the leak-before-break analysis for the safety injection accumulator piping cold leg nozzles. The submitted analysis should contain a sufficient level of technical information to demonstrate compliance with the GDC-4 requirements for extremely low probability of rupture. A sufficient level of technical information would address items 1 through 11 from

NUREG-0800, Standard Review Plan, Section 3.6.3, Leak-Before-Break Evaluation Procedures, Subsection III, dated March 2007. Otherwise, provide the rationale for not submitting a full update to the leak-before-break analysis.

2. Identify and provide justification for the methodology used to determine the CASS fracture toughness properties at the end of the period of extended operation.

Identify the methodology that was used to determine the material properties of the CASS safety injection accumulator piping cold leg nozzle components at the end of the period of extended operation. Provide justification if this methodology has not been approved by the NRC.

Discussion: The applicant requested clarity on the staffs concern. Based on the applicants request to remove safety injection accumulator cold leg nozzles from DRAI 4.7.1-1, the staff rewrote DRAI 4.7.1-4 to address both the methodology and updated leak-before-break analysis.

The staffs additions to the original request are annotated by the underlined portions and the deletions are annotated by the strikethroughs. This question will be sent as part of the formal request titled: RAI 4.7.1-3.