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| number = ML12284A446
| number = ML12284A446
| issue date = 11/15/2012
| issue date = 11/15/2012
| title = Indian Point Nuclear Generating Unit No. 3 - Request for Additional Information Regarding Proposal to Align the Refueling Water Storage Tank and the Spent Fuel Pool Purification System (TAC No. ME9263)
| title = Request for Additional Information Regarding Proposal to Align the Refueling Water Storage Tank and the Spent Fuel Pool Purification System
| author name = Pickett D V
| author name = Pickett D
| author affiliation = NRC/NRR/DORL/LPLI-1
| author affiliation = NRC/NRR/DORL/LPLI-1
| addressee name =  
| addressee name =  
Line 9: Line 9:
| docket = 05000286
| docket = 05000286
| license number = DPR-064
| license number = DPR-064
| contact person = Pickett D V
| contact person = Pickett D
| case reference number = TAC ME9263
| case reference number = TAC ME9263
| document type = Letter, Request for Additional Information (RAI)
| document type = Letter, Request for Additional Information (RAI)
| page count = 4
| page count = 4
| project = TAC:ME9263
| project = TAC:ME9263
| stage = Other
| stage = RAI
}}
}}


=Text=
=Text=
{{#Wiki_filter:UNITED NUCLEAR REGULATORY WASHINGTON, D.C. 20555"()001 November 15, 2012 Vice President, Operations Entergy Nuclear Operations, Inc. Indian Point Energy Center 450 Broadway, GSB P.O. Box 249 Buchanan, NY 10511-0249 INDIAN POINT NUCLEAR GENERATING UNIT NO.3 -REQUEST FOR ADDITIONAL INFORMATION REGARDING PROPOSAL TO ALIGN THE REFUELING WATER STORAGE TANK AND THE SPENT FUEL POOL PURIFICATION SYSTEM (TAC NO. ME9263) Dear Sir or Madam: By letter dated August 14, 2012, Entergy Nuclear Operations, Inc., the licensee, submitted a license amendment application that would revise Technical Specification 3.5.4, "Refueling Water Storage Tank," such that the non-seismically qualified piping of the spent fuel pool purification system may be connected to the refueling water storage tank's seismic piping for a limited period of time under administrative controls. The Nuclear Regulatory Commission's Accident Dose Branch staff is reviewing the submittal and has determined that additional information is needed to complete its review. The specific questions are found in the enclosed request for additional information (RAI). Based on our discussions, we understand that a response to the RAI will be provided by December 10, 2012. Please contact me at (301) 415-1364 if you have any questions on this issue. Sincerely, Douglas V. Pickett, Senior Project Manager Plant Licensing Branch 1-1 Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation Docket No. Request for Additional cc w/encl: Distribution via REQUEST FOR ADDITIONAL INFORMATION ENTERGY NUCLEAR OPERATIONS, INC, INDIAN POINT NUCLEAR GENERATING UNIT NO.3 DOCKET NO. 50-286 On August 14, 2012, Entergy Nuclear Operations Incorporated submitted a proposed license amendment request (LAR) (Agencywide Documents Access and Management System (ADAMS) Accession No. ML 12234A098) to the Nuclear Regulatory Commission (NRC) to revise the Indian Point Nuclear Generating Unit NO.3 (IP3), Technical Specification 3.5.4, "Refueling Water Storage Tank (RWST)." The proposed change would allow RWST isolation valves connected to non-safety related piping to be opened under administrative control for up to 14 days per fuel cycle until the end of refuel outage 18. A single failure of these now open RWST boundary valves needs to be considered. IP3's licensing basis accident dose analysis includes consideration of Emergency Core Cooling System (ECCS) leakage. The existing analysis approved by the NRC staff in License Amendment 224, dated March 22,2005, "Indian Point Nuclear Generating Unit Issuance of Amendment Re: Full Scope Adoption of Alternative Source Term (TAC No. MC3351)" (ADAMS Accession No. ML050750431) assumed the RWST valves connected to non-safety related piping remain closed during operation. After the end of the post-Ioss-of-coolant-accident (post-LOCA) injection phase, the ECCS and containment spray systems [ESF systems that recirculate sump water] are switched to the recirculation phase. This requires that water from the containment sump replace the RWST as the ESF systems water supply by realigning several system valves that interface between these ESF systems and the RWST and the pathways leading back to the RWST. If these system valves leak by deSign or the leakage of these valves is unknown, a leakage path between the containment sump and the RWST and any interfacing piping may exist. For the design basis LOCA radiological analyses, it is assumed that 40% of the core iodine inventory is mixed homogeneously and instantaneously in the primary containment sump water at the time of release from the core. Because the ECCS takes suction from the sump, the sump water is assumed to be radioactive. Per Regulatory Guide 1.183, Regulatory Position 5.1.2, any piping downstream of the failed valve that is non-safety related or not in technical specifications would not be credited in the design basis radiological analyses. Therefore, the proposed change would create a potential release pathway for radioactivity to the environment which is not considered in the current design basis accident analyses. An active failure of the boundary valve would allow any radioactive ESF leakage to the RWST tank or in route to the RWST to drain to non-seismic piping after a design basis accident (e.g. LOCA). Please describe how the credible failure of the boundary valves, proposed to be opened, impact the assumptions for the most limiting Single active failure considered in the licensing basis accident analysis and the resulting consequences. If this proposed change Enclosure
{{#Wiki_filter:UNITED STATES NUCLEAR REGULATORY COMMISSION WASHINGTON, D.C. 20555"()001 November 15, 2012 Vice President, Operations Entergy Nuclear Operations, Inc.
-2 results in a new limiting single active failure assumption, please provide the inputs, methods 1 and results for the revised accident analysis in order for the staff to conduct an independent analysis to confirm radiological doses would remain below the criteria in 10 CFR 50.67. As an alternative to the information requested above, to address NRC staff concerns, provide a justification for creditable actions2 to be taken to prevent and/or mitigate a radiological release through non-seismic piping while in the proposed configuration. Justify how these actions would not allow any increase in leakage of radioactivity to the environment which would increase the radiological consequences of any design basis accident. Any response should also include: 1) creditable actions such as additional means available to isolate flow through the non-seismic piping after a design basis accident, 2) the worst case single active failure (i.e. failure of the open boundary valve(s) to close), 3) the maximum time to isolate the flow after a design basis accident, 4) a justification for how this closure can be accomplished within this time, 5) the minimum time after a design basis accident for the plant to recirculate sump water, 6) the design leakage of any credited boundary valves at which the valve would declared inoperable by technical specifications, 7) how this leakage is confirmed by testing, and 8) the inputs and methods3 used to determine that any increased leakage (beyond the leakage in the current accident analyses), before or after closure of a credited boundary valve, does not increase the design basis accident doses used to confirm compliance with 10 CFR 50.67. Please provide any design drawings showing the valves and flow pathways described in the LAR or references to docketed material with this information. Indicate which credited valves and piping are safety related, required to be operable by technical specifications and are powered by emergency power sources. In addition, the staff believes that the proposed note to Technical Specification 3.5.4 should be modified to 1) identify the manual valves requiring operator action to close and 2) reference the administrative controls as described in the Technical Specification Bases. In this regard, an expanded discussion of the administrative controls should be included in the TS Bases. The discussion should address planned actions, use of dedicated/designated operators, procedures employed, timeliness goals, and operator shift turnover discussions. 1 Regulatory Guide 1.183 provides a method acceptable to the NRC for demonstrating compliance 10 CFR 2 Regulatory Guide 1.183, Regulatory Position 5.1.2, provides a method acceptable to the staff crediting mitigating 3 Regulatory Guide 1.183 provides a method acceptable to the NRC for demonstrating compliance 10 CFR November 15, 2012 Vice President, Operations Entergy Nuclear Operations, Inc. I ndian Point Energy Center 450 Broadway, GSB P.O. Box 249 Buchanan, NY 10511-0249 INDIAN POINT NUCLEAR GENERATING UNIT NO.3 -REQUEST FOR ADDITIONAL INFORMATION REGARDING PROPOSAL TO ALIGN THE REFUELING WATER STORAGE TANK AND THE SPENT FUEL POOL PURIFICATION SYSTEM (TAC NO. ME9263) Dear Sir or Madam: By letter dated August 14, 2012, Entergy Nuclear Operations, Inc., the licensee, submitted a license amendment application that would revise Technical Specification 3.5.4, "Refueling Water Storage Tank," such that the non-seismically qualified piping of the spent fuel pool purification system may be connected to the refueling water storage tank's seismic piping for a limited period of time under administrative controls. The Nuclear Regulatory Commission's Accident Dose Branch staff is reviewing the submittal and has determined that additional information is needed to complete its review. The specific questions are found in the enclosed request for additional information (RAI). Based on our discussions, we understand that a response to the RAI will be provided by December 10, 2012. Please contact me at (301) 415-1364 if you have any questions on this issue. Sincerely, IRA! Douglas V. Pickett, Senior Project Manager Plant licensing Branch 1-1 Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation Docket No. 50-286 Enclosure: Request for Additional Information cc w/encl: Distribution via Listserv DISTRIBUTION: PUBLIC RidsNrrDorlLpl1-1 RidsNrrPMlndianPoint RidsOGCRp LPL1-1 Reading File RidsNrrDraAadb RidsNrrLAKGoldstein RidsAcrsAcnw _MaiICTR RidsNrrDorlDpr RidsRgn 1 MailCenter MBlumberg, AADB MGray, R1 ADAMS ACCESSION NO'.. ML12284A446 OFFICE ! LPL 1-1/PM LPL1-1/LA AADB/BC(A) LPL1-1/BC NAME DPickett KGoldstein LBrown by email dated GWifson TE 11/15/12 110/11/12 11109112 11/15/12 OFFICIAL RECORD COpy
Indian Point Energy Center 450 Broadway, GSB P.O. Box 249 Buchanan, NY 10511-0249
}}
 
==SUBJECT:==
INDIAN POINT NUCLEAR GENERATING UNIT NO.3 - REQUEST FOR ADDITIONAL INFORMATION REGARDING PROPOSAL TO ALIGN THE REFUELING WATER STORAGE TANK AND THE SPENT FUEL POOL PURIFICATION SYSTEM (TAC NO. ME9263)
 
==Dear Sir or Madam:==
 
By letter dated August 14, 2012, Entergy Nuclear Operations, Inc., the licensee, submitted a license amendment application that would revise Technical Specification 3.5.4, "Refueling Water Storage Tank," such that the non-seismically qualified piping of the spent fuel pool purification system may be connected to the refueling water storage tank's seismic piping for a limited period of time under administrative controls.
The Nuclear Regulatory Commission's Accident Dose Branch staff is reviewing the submittal and has determined that additional information is needed to complete its review. The specific questions are found in the enclosed request for additional information (RAI). Based on our discussions, we understand that a response to the RAI will be provided by December 10, 2012.
Please contact me at (301) 415-1364 if you have any questions on this issue.
Sincerely, Douglas V. Pickett, Senior Project Manager Plant Licensing Branch 1-1 Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation Docket No. 50-286
 
==Enclosure:==
 
Request for Additional Information cc w/encl: Distribution via Listserv
 
REQUEST FOR ADDITIONAL INFORMATION ENTERGY NUCLEAR OPERATIONS, INC, INDIAN POINT NUCLEAR GENERATING UNIT NO.3 DOCKET NO. 50-286 On August 14, 2012, Entergy Nuclear Operations Incorporated submitted a proposed license amendment request (LAR) (Agencywide Documents Access and Management System (ADAMS) Accession No. ML12234A098) to the Nuclear Regulatory Commission (NRC) to revise the Indian Point Nuclear Generating Unit NO.3 (IP3), Technical Specification 3.5.4, "Refueling Water Storage Tank (RWST)." The proposed change would allow RWST isolation valves connected to non-safety related piping to be opened under administrative control for up to 14 days per fuel cycle until the end of refuel outage 18.
A single failure of these now open RWST boundary valves needs to be considered. IP3's licensing basis accident dose analysis includes consideration of Emergency Core Cooling System (ECCS) leakage. The existing analysis approved by the NRC staff in License Amendment 224, dated March 22,2005, "Indian Point Nuclear Generating Unit NO.3 Issuance of Amendment Re: Full Scope Adoption of Alternative Source Term (TAC No.
MC3351)" (ADAMS Accession No. ML050750431) assumed the RWST valves connected to non-safety related piping remain closed during operation.
After the end of the post-Ioss-of-coolant-accident (post-LOCA) injection phase, the ECCS and containment spray systems [ESF systems that recirculate sump water] are switched to the recirculation phase. This requires that water from the containment sump replace the RWST as the ESF systems water supply by realigning several system valves that interface between these ESF systems and the RWST and the pathways leading back to the RWST. If these system valves leak by deSign or the leakage of these valves is unknown, a leakage path between the containment sump and the RWST and any interfacing piping may exist. For the design basis LOCA radiological analyses, it is assumed that 40% of the core iodine inventory is mixed homogeneously and instantaneously in the primary containment sump water at the time of release from the core. Because the ECCS takes suction from the sump, the sump water is assumed to be radioactive. Per Regulatory Guide 1.183, Regulatory Position 5.1.2, any piping downstream of the failed valve that is non-safety related or not in technical specifications would not be credited in the design basis radiological analyses. Therefore, the proposed change would create a potential release pathway for radioactivity to the environment which is not considered in the current design basis accident analyses.
An active failure of the boundary valve would allow any radioactive ESF leakage to the RWST tank or in route to the RWST to drain to non-seismic piping after a design basis accident (e.g.
LOCA). Please describe how the credible failure of the boundary valves, proposed to be opened, impact the assumptions for the most limiting Single active failure considered in the licensing basis accident analysis and the resulting consequences. If this proposed change Enclosure
 
                                                  -2 results in a new limiting single active failure assumption, please provide the inputs, methods 1 and results for the revised accident analysis in order for the staff to conduct an independent analysis to confirm radiological doses would remain below the criteria in 10 CFR 50.67.
As an alternative to the information requested above, to address NRC staff concerns, provide a justification for creditable actions2 to be taken to prevent and/or mitigate a radiological release through non-seismic piping while in the proposed configuration. Justify how these actions would not allow any increase in leakage of radioactivity to the environment which would increase the radiological consequences of any design basis accident. Any response should also include: 1) creditable actions such as additional means available to isolate flow through the non-seismic piping after a design basis accident, 2) the worst case single active failure (i.e. failure of the open boundary valve(s) to close), 3) the maximum time to isolate the flow after a design basis accident, 4) a justification for how this closure can be accomplished within this time, 5) the minimum time after a design basis accident for the plant to recirculate sump water, 6) the design leakage of any credited boundary valves at which the valve would declared inoperable by technical specifications, 7) how this leakage is confirmed by testing, and 8) the inputs and methods 3 used to determine that any increased leakage (beyond the leakage in the current accident analyses), before or after closure of a credited boundary valve, does not increase the design basis accident doses used to confirm compliance with 10 CFR 50.67.
Please provide any design drawings showing the valves and flow pathways described in the LAR or references to docketed material with this information. Indicate which credited valves and piping are safety related, required to be operable by technical specifications and are powered by emergency power sources.
In addition, the staff believes that the proposed note to Technical Specification 3.5.4 should be modified to 1) identify the manual valves requiring operator action to close and 2) reference the administrative controls as described in the Technical Specification Bases. In this regard, an expanded discussion of the administrative controls should be included in the TS Bases. The discussion should address planned actions, use of dedicated/designated operators, procedures employed, timeliness goals, and operator shift turnover discussions.
1 Regulatory Guide 1.183 provides a method acceptable to the NRC for demonstrating compliance with 10 CFR 50.67.
2 Regulatory Guide 1.183, Regulatory Position 5.1.2, provides a method acceptable to the staff for crediting mitigating systems.
3 Regulatory Guide 1.183 provides a method acceptable to the NRC for demonstrating compliance with 10 CFR 50.67.
 
November 15, 2012 Vice President, Operations Entergy Nuclear Operations, Inc.
Indian Point Energy Center 450 Broadway, GSB P.O. Box 249 Buchanan, NY 10511-0249
 
==SUBJECT:==
INDIAN POINT NUCLEAR GENERATING UNIT NO.3 - REQUEST FOR ADDITIONAL INFORMATION REGARDING PROPOSAL TO ALIGN THE REFUELING WATER STORAGE TANK AND THE SPENT FUEL POOL PURIFICATION SYSTEM (TAC NO. ME9263)
 
==Dear Sir or Madam:==
 
By letter dated August 14, 2012, Entergy Nuclear Operations, Inc., the licensee, submitted a license amendment application that would revise Technical Specification 3.5.4, "Refueling Water Storage Tank," such that the non-seismically qualified piping of the spent fuel pool purification system may be connected to the refueling water storage tank's seismic piping for a limited period of time under administrative controls.
The Nuclear Regulatory Commission's Accident Dose Branch staff is reviewing the submittal and has determined that additional information is needed to complete its review. The specific questions are found in the enclosed request for additional information (RAI). Based on our discussions, we understand that a response to the RAI will be provided by December 10, 2012.
Please contact me at (301) 415-1364 if you have any questions on this issue.
Sincerely, IRA!
Douglas V. Pickett, Senior Project Manager Plant licensing Branch 1-1 Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation Docket No. 50-286
 
==Enclosure:==
 
Request for Additional Information cc w/encl: Distribution via Listserv DISTRIBUTION:
PUBLIC                               RidsNrrDorlLpl1-1                 RidsNrrPMlndianPoint RidsOGCRp                           LPL1-1 Reading File               RidsNrrDraAadb RidsNrrLAKGoldstein                 RidsAcrsAcnw_MaiICTR              RidsNrrDorlDpr RidsRgn 1MailCenter                  MBlumberg, AADB                   MGray, R1 ADAMS ACCESSION NO' ML12284A446 OFFICE           LPL 1-1/PM         LPL 1-1/LA         AADB/BC(A)         LPL 1-1/BC NAME             DPickett           KGoldstein         LBrown by email   GWifson dated TE             11/15/12         110/11/12           11109112           11/15/12 OFFICIAL RECORD COpy}}

Latest revision as of 11:33, 6 February 2020

Request for Additional Information Regarding Proposal to Align the Refueling Water Storage Tank and the Spent Fuel Pool Purification System
ML12284A446
Person / Time
Site: Indian Point Entergy icon.png
Issue date: 11/15/2012
From: Pickett D
Plant Licensing Branch 1
To:
Entergy Nuclear Operations
Pickett D
References
TAC ME9263
Download: ML12284A446 (4)


Text

UNITED STATES NUCLEAR REGULATORY COMMISSION WASHINGTON, D.C. 20555"()001 November 15, 2012 Vice President, Operations Entergy Nuclear Operations, Inc.

Indian Point Energy Center 450 Broadway, GSB P.O. Box 249 Buchanan, NY 10511-0249

SUBJECT:

INDIAN POINT NUCLEAR GENERATING UNIT NO.3 - REQUEST FOR ADDITIONAL INFORMATION REGARDING PROPOSAL TO ALIGN THE REFUELING WATER STORAGE TANK AND THE SPENT FUEL POOL PURIFICATION SYSTEM (TAC NO. ME9263)

Dear Sir or Madam:

By letter dated August 14, 2012, Entergy Nuclear Operations, Inc., the licensee, submitted a license amendment application that would revise Technical Specification 3.5.4, "Refueling Water Storage Tank," such that the non-seismically qualified piping of the spent fuel pool purification system may be connected to the refueling water storage tank's seismic piping for a limited period of time under administrative controls.

The Nuclear Regulatory Commission's Accident Dose Branch staff is reviewing the submittal and has determined that additional information is needed to complete its review. The specific questions are found in the enclosed request for additional information (RAI). Based on our discussions, we understand that a response to the RAI will be provided by December 10, 2012.

Please contact me at (301) 415-1364 if you have any questions on this issue.

Sincerely, Douglas V. Pickett, Senior Project Manager Plant Licensing Branch 1-1 Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation Docket No. 50-286

Enclosure:

Request for Additional Information cc w/encl: Distribution via Listserv

REQUEST FOR ADDITIONAL INFORMATION ENTERGY NUCLEAR OPERATIONS, INC, INDIAN POINT NUCLEAR GENERATING UNIT NO.3 DOCKET NO. 50-286 On August 14, 2012, Entergy Nuclear Operations Incorporated submitted a proposed license amendment request (LAR) (Agencywide Documents Access and Management System (ADAMS) Accession No. ML12234A098) to the Nuclear Regulatory Commission (NRC) to revise the Indian Point Nuclear Generating Unit NO.3 (IP3), Technical Specification 3.5.4, "Refueling Water Storage Tank (RWST)." The proposed change would allow RWST isolation valves connected to non-safety related piping to be opened under administrative control for up to 14 days per fuel cycle until the end of refuel outage 18.

A single failure of these now open RWST boundary valves needs to be considered. IP3's licensing basis accident dose analysis includes consideration of Emergency Core Cooling System (ECCS) leakage. The existing analysis approved by the NRC staff in License Amendment 224, dated March 22,2005, "Indian Point Nuclear Generating Unit NO.3 Issuance of Amendment Re: Full Scope Adoption of Alternative Source Term (TAC No.

MC3351)" (ADAMS Accession No. ML050750431) assumed the RWST valves connected to non-safety related piping remain closed during operation.

After the end of the post-Ioss-of-coolant-accident (post-LOCA) injection phase, the ECCS and containment spray systems [ESF systems that recirculate sump water] are switched to the recirculation phase. This requires that water from the containment sump replace the RWST as the ESF systems water supply by realigning several system valves that interface between these ESF systems and the RWST and the pathways leading back to the RWST. If these system valves leak by deSign or the leakage of these valves is unknown, a leakage path between the containment sump and the RWST and any interfacing piping may exist. For the design basis LOCA radiological analyses, it is assumed that 40% of the core iodine inventory is mixed homogeneously and instantaneously in the primary containment sump water at the time of release from the core. Because the ECCS takes suction from the sump, the sump water is assumed to be radioactive. Per Regulatory Guide 1.183, Regulatory Position 5.1.2, any piping downstream of the failed valve that is non-safety related or not in technical specifications would not be credited in the design basis radiological analyses. Therefore, the proposed change would create a potential release pathway for radioactivity to the environment which is not considered in the current design basis accident analyses.

An active failure of the boundary valve would allow any radioactive ESF leakage to the RWST tank or in route to the RWST to drain to non-seismic piping after a design basis accident (e.g.

LOCA). Please describe how the credible failure of the boundary valves, proposed to be opened, impact the assumptions for the most limiting Single active failure considered in the licensing basis accident analysis and the resulting consequences. If this proposed change Enclosure

-2 results in a new limiting single active failure assumption, please provide the inputs, methods 1 and results for the revised accident analysis in order for the staff to conduct an independent analysis to confirm radiological doses would remain below the criteria in 10 CFR 50.67.

As an alternative to the information requested above, to address NRC staff concerns, provide a justification for creditable actions2 to be taken to prevent and/or mitigate a radiological release through non-seismic piping while in the proposed configuration. Justify how these actions would not allow any increase in leakage of radioactivity to the environment which would increase the radiological consequences of any design basis accident. Any response should also include: 1) creditable actions such as additional means available to isolate flow through the non-seismic piping after a design basis accident, 2) the worst case single active failure (i.e. failure of the open boundary valve(s) to close), 3) the maximum time to isolate the flow after a design basis accident, 4) a justification for how this closure can be accomplished within this time, 5) the minimum time after a design basis accident for the plant to recirculate sump water, 6) the design leakage of any credited boundary valves at which the valve would declared inoperable by technical specifications, 7) how this leakage is confirmed by testing, and 8) the inputs and methods 3 used to determine that any increased leakage (beyond the leakage in the current accident analyses), before or after closure of a credited boundary valve, does not increase the design basis accident doses used to confirm compliance with 10 CFR 50.67.

Please provide any design drawings showing the valves and flow pathways described in the LAR or references to docketed material with this information. Indicate which credited valves and piping are safety related, required to be operable by technical specifications and are powered by emergency power sources.

In addition, the staff believes that the proposed note to Technical Specification 3.5.4 should be modified to 1) identify the manual valves requiring operator action to close and 2) reference the administrative controls as described in the Technical Specification Bases. In this regard, an expanded discussion of the administrative controls should be included in the TS Bases. The discussion should address planned actions, use of dedicated/designated operators, procedures employed, timeliness goals, and operator shift turnover discussions.

1 Regulatory Guide 1.183 provides a method acceptable to the NRC for demonstrating compliance with 10 CFR 50.67.

2 Regulatory Guide 1.183, Regulatory Position 5.1.2, provides a method acceptable to the staff for crediting mitigating systems.

3 Regulatory Guide 1.183 provides a method acceptable to the NRC for demonstrating compliance with 10 CFR 50.67.

November 15, 2012 Vice President, Operations Entergy Nuclear Operations, Inc.

Indian Point Energy Center 450 Broadway, GSB P.O. Box 249 Buchanan, NY 10511-0249

SUBJECT:

INDIAN POINT NUCLEAR GENERATING UNIT NO.3 - REQUEST FOR ADDITIONAL INFORMATION REGARDING PROPOSAL TO ALIGN THE REFUELING WATER STORAGE TANK AND THE SPENT FUEL POOL PURIFICATION SYSTEM (TAC NO. ME9263)

Dear Sir or Madam:

By letter dated August 14, 2012, Entergy Nuclear Operations, Inc., the licensee, submitted a license amendment application that would revise Technical Specification 3.5.4, "Refueling Water Storage Tank," such that the non-seismically qualified piping of the spent fuel pool purification system may be connected to the refueling water storage tank's seismic piping for a limited period of time under administrative controls.

The Nuclear Regulatory Commission's Accident Dose Branch staff is reviewing the submittal and has determined that additional information is needed to complete its review. The specific questions are found in the enclosed request for additional information (RAI). Based on our discussions, we understand that a response to the RAI will be provided by December 10, 2012.

Please contact me at (301) 415-1364 if you have any questions on this issue.

Sincerely, IRA!

Douglas V. Pickett, Senior Project Manager Plant licensing Branch 1-1 Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation Docket No. 50-286

Enclosure:

Request for Additional Information cc w/encl: Distribution via Listserv DISTRIBUTION:

PUBLIC RidsNrrDorlLpl1-1 RidsNrrPMlndianPoint RidsOGCRp LPL1-1 Reading File RidsNrrDraAadb RidsNrrLAKGoldstein RidsAcrsAcnw_MaiICTR RidsNrrDorlDpr RidsRgn 1MailCenter MBlumberg, AADB MGray, R1 ADAMS ACCESSION NO' ML12284A446 OFFICE LPL 1-1/PM LPL 1-1/LA AADB/BC(A) LPL 1-1/BC NAME DPickett KGoldstein LBrown by email GWifson dated TE 11/15/12 110/11/12 11109112 11/15/12 OFFICIAL RECORD COpy