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| number = ML062230440
| number = ML062230440
| issue date = 08/11/2006
| issue date = 08/11/2006
| title = 2006/08/11-Summary of Telephone Conference Held on Feb. 8, 2006, Between the NRC and Amergen
| title = Summary of Telephone Conference Held on Feb. 8, 2006, Between the NRC and Amergen
| author name = Ashley D
| author name = Ashley D
| author affiliation = NRC/NRR/ADRO/DLR/RLRA
| author affiliation = NRC/NRR/ADRO/DLR/RLRA
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As stated cc w/encls: See next page
As stated cc w/encls: See next page


ML062230440 DOCUMENT NAME: E:\Filenet\ML062230440.wpd OFFICE    PM:RLRA                LA:DLR                    BC:RLRA NAME      DAshley                YEdmonds                  LLund DATE      08/  9    /06          08/ 11 /06                08/  11    /06
ML062230440 DOCUMENT NAME: E:\Filenet\ML062230440.wpd OFFICE    PM:RLRA                LA:DLR                    BC:RLRA NAME      DAshley                YEdmonds                  LLund DATE      08/  9    /06          08/ 11 /06                08/  11    /06 LIST OF PARTICIPANTS FOR TELEPHONE CONFERENCE CALL TO DISCUSS THE OYSTER CREEK NUCLEAR GENERATING STATION LICENSE RENEWAL APPLICATION February 8, 2006 Participants                  Affiliations Donnie J. Ashley              U.S. Nuclear Regulatory Commission (NRC)
 
LIST OF PARTICIPANTS FOR TELEPHONE CONFERENCE CALL TO DISCUSS THE OYSTER CREEK NUCLEAR GENERATING STATION LICENSE RENEWAL APPLICATION February 8, 2006 Participants                  Affiliations Donnie J. Ashley              U.S. Nuclear Regulatory Commission (NRC)
John Ma                        NRC Hans Ashar                    NRC Don Warfel                    AmerGen Energy Company, LLC (AmerGen)
John Ma                        NRC Hans Ashar                    NRC Don Warfel                    AmerGen Energy Company, LLC (AmerGen)
George Beck                    AmerGen Ahmed Ouaou                    AmerGen ENCLOSURE 1
George Beck                    AmerGen Ahmed Ouaou                    AmerGen ENCLOSURE 1
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D-RAI 3.5-2 Table 3.5.2.1.1 credits 10 CFR 50, Appendix J (AMP B.1.29) for management of downcomers Loss of Material. It is not apparent, how the leak testing requirement of Appendix J will detect loss of material of downcomers. The staff requests the applicant to discuss the use of Appendix J in managing loss of material in downcomers.
D-RAI 3.5-2 Table 3.5.2.1.1 credits 10 CFR 50, Appendix J (AMP B.1.29) for management of downcomers Loss of Material. It is not apparent, how the leak testing requirement of Appendix J will detect loss of material of downcomers. The staff requests the applicant to discuss the use of Appendix J in managing loss of material in downcomers.
Discussion: The applicant indicated that the question is clear. This D-RAI will be sent as a formal RAI.
Discussion: The applicant indicated that the question is clear. This D-RAI will be sent as a formal RAI.
D-RAI 3.5-3 Under component types Reactor Pedestal and R.C. Floor Slab, a reference is made to Table 1 Item 3.5.1-29. The discussion in Item 3.5.1-29 indicates that the concrete temperatures in the upper part of the drywell could be as high as 259EF. As a result, the reactor building drywell shield concrete had significant cracking. However, the cause of the high temperature is not indicated. In light of the above discussion, the staff requests the applicant to provide the following information:
D-RAI 3.5-3 Under component types Reactor Pedestal and R.C. Floor Slab, a reference is made to Table 1 Item 3.5.1-29. The discussion in Item 3.5.1-29 indicates that the concrete temperatures in the upper part of the drywell could be as high as 259EF. As a result, the reactor building drywell shield concrete had significant cracking. However, the cause of the high temperature is not indicated. In light of the above discussion, the staff requests the applicant to provide the following information:
: a. Type and adequacy of the cooling system used to control the temperatures in drywell.
: a. Type and adequacy of the cooling system used to control the temperatures in drywell.
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Discussion: The applicant indicated that the question is clear. This D-RAI will be sent as a formal RAI.
Discussion: The applicant indicated that the question is clear. This D-RAI will be sent as a formal RAI.
D-RAI 3.5-6 The through-wall cracking of Fitzpatrick torus indicates a need for closer examination of the highly restrained and structurally discontinuous areas subjected to operational cyclic loads. The prime aging management program used for managing degradation of the primary containment structure is Subsection IWE (AMP B.1.27). The program is focused towards detecting loss of material. The staff requests the applicant to discuss how the program would detect initiation of such cracking in the Oyster Creek primary containment.
D-RAI 3.5-6 The through-wall cracking of Fitzpatrick torus indicates a need for closer examination of the highly restrained and structurally discontinuous areas subjected to operational cyclic loads. The prime aging management program used for managing degradation of the primary containment structure is Subsection IWE (AMP B.1.27). The program is focused towards detecting loss of material. The staff requests the applicant to discuss how the program would detect initiation of such cracking in the Oyster Creek primary containment.
Discussion: The applicant indicated that the question is clear. This D-RAI will be sent as a formal RAI.
Discussion: The applicant indicated that the question is clear. This D-RAI will be sent as a formal RAI.
D-RAI 3.5-7 Table 3.5.3.1.18 indicates that the aging of Class MC component supports is managed by ASME Section XI, Subsection IWF during the CLB. However, a review of the Enhancement in AMP B.1.28 (ASME Section XI, Subsection IWF) indicates that the program will be enhanced during the period of extended operation to include additional MC supports and underwater structures in the torus. The staff requests the applicant to provide clarifications regarding the inspection of Class MC supports during the CLB and during the PEO.
D-RAI 3.5-7 Table 3.5.3.1.18 indicates that the aging of Class MC component supports is managed by ASME Section XI, Subsection IWF during the CLB. However, a review of the Enhancement in AMP B.1.28 (ASME Section XI, Subsection IWF) indicates that the program will be enhanced during the period of extended operation to include additional MC supports and underwater structures in the torus. The staff requests the applicant to provide clarifications regarding the inspection of Class MC supports during the CLB and during the PEO.
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: c. B.1.31 states that the structural monitoring program relies on procurement controls and installation practices, defined in plant procedures, to ensure that only approved lubricants and proper torque are applied. The staff believes that bolt procurement controls and installation practices were supposedly used before, during, or immediately after the bolts were installed. Since the structural monitoring program is being used to inspect structural bolts after the bolts were installed for sometime, the staff requests the applicant to explain how could the structural monitoring program rely on bolt procurement controls and installation practices.
: c. B.1.31 states that the structural monitoring program relies on procurement controls and installation practices, defined in plant procedures, to ensure that only approved lubricants and proper torque are applied. The staff believes that bolt procurement controls and installation practices were supposedly used before, during, or immediately after the bolts were installed. Since the structural monitoring program is being used to inspect structural bolts after the bolts were installed for sometime, the staff requests the applicant to explain how could the structural monitoring program rely on bolt procurement controls and installation practices.
: d. Are there any structural bolts or fasteners, which have a yield strength equal to or greater than 150 ksi, managed by the structural monitoring program? If yes, provide justification for not using the bolting integrity program as the aging management program for structural bolts.
: d. Are there any structural bolts or fasteners, which have a yield strength equal to or greater than 150 ksi, managed by the structural monitoring program? If yes, provide justification for not using the bolting integrity program as the aging management program for structural bolts.
Discussion: The applicant indicated that the question is clear. This D-RAI will be sent as a formal RAI.
Discussion: The applicant indicated that the question is clear. This D-RAI will be sent as a formal RAI.
D-RAI 3.5-9 Table 3.5.2.1.7 lists structural monitoring program as the aging management program for penetration seals of elastomer and grout in the soil environment. The aging management program in LRA, Appendix B states that the program will require inspection of penetration seals, but does not state how the inspection should be conducted for penetration seals of elastomer and grout in the soil environment and the frequency of the inspection. The staff requests the applicant to describe the inspection method and frequency for penetration seals of elastomer and grout in the soil environment.
D-RAI 3.5-9 Table 3.5.2.1.7 lists structural monitoring program as the aging management program for penetration seals of elastomer and grout in the soil environment. The aging management program in LRA, Appendix B states that the program will require inspection of penetration seals, but does not state how the inspection should be conducted for penetration seals of elastomer and grout in the soil environment and the frequency of the inspection. The staff requests the applicant to describe the inspection method and frequency for penetration seals of elastomer and grout in the soil environment.
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D-RAI 3.5-10 Table 3.5.2.1.7 lists aluminum material embedded in concrete, and states no aging effect and requiring no aging management program. The ACI Building Code prohibits the use of aluminum in structural concrete unless it is coated or covered to prevent aluminum-concrete reaction or electrolytic action between aluminum and steel. The staff requests the applicant to provide reasons for the use of aluminum material in concrete and for stating no aging effect and requiring no aging management program.
D-RAI 3.5-10 Table 3.5.2.1.7 lists aluminum material embedded in concrete, and states no aging effect and requiring no aging management program. The ACI Building Code prohibits the use of aluminum in structural concrete unless it is coated or covered to prevent aluminum-concrete reaction or electrolytic action between aluminum and steel. The staff requests the applicant to provide reasons for the use of aluminum material in concrete and for stating no aging effect and requiring no aging management program.
Discussion: The applicant indicated that the question is clear. This D-RAI will be sent as a formal RAI.
Discussion: The applicant indicated that the question is clear. This D-RAI will be sent as a formal RAI.
Oyster Creek Nuclear Generating Station cc:
Oyster Creek Nuclear Generating Station cc:
Site Vice President - Oyster Creek Nuclear Generating Station            Director - Licensing and Regulatory Affairs AmerGen Energy Company, LLC            AmerGen Energy Company, LLC P.O. Box 388                            Correspondence Control Forked River, NJ 08731                  P.O. Box 160 Kennett Square, PA 19348 Senior Vice President of Operations                            Manager Licensing - Oyster Creek AmerGen Energy Company, LLC            Exelon Generation Company, LLC 200 Exelon Way, KSA 3-N                Correspondence Control Kennett Square, PA 19348                P.O. Box 160 Kennett Square, PA 19348 Kathryn M. Sutton, Esquire Morgan, Lewis, & Bockius LLP            Regulatory Assurance Manager 1111 Pennsylvania Avenue, NW            Oyster Creek Washington, DC 20004                    AmerGen Energy Company, LLC P.O. Box 388 Kent Tosch, Chief                      Forked River, NJ 08731 New Jersey Department of Environmental Protection              Assistant General Counsel Bureau of Nuclear Engineering          AmerGen Energy Company, LLC CN 415                                  200 Exelon Way Trenton, NJ 08625                      Kennett Square, PA 19348 Vice President - Licensing and          Ron Bellamy, Region I Regulatory Affairs                    U.S. Nuclear Regulatory Commission AmerGen Energy Company, LLC            475 Allendale Road 4300 Winfield Road                      King of Prussia, PA 19406-1415 Warrenville, IL 60555 Correspondence Control Desk Regional Administrator, Region I        AmerGen Energy Company, LLC U.S. Nuclear Regulatory Commission      200 Exelon Way, KSA 1--1 475 Allendale Road                      Kennett Square, PA 19348 King of Prussia, PA 19406-1415 Oyster Creek Nuclear Generating Station Mayor of Lacey Township                Plant Manager 818 West Lacey Road                    AmerGen Energy Company, LLC Forked River, NJ 08731                  P.O. Box 388 Forked River, NJ 08731 Senior Resident Inspector U.S. Nuclear Regulatory Commission      License Renewal Manager P.O. Box 445                            Exelon Generation Company, LLC Forked River, NJ 08731                  200 Exelon Way, Suite 230 Kennett Square, PA 19348
Site Vice President - Oyster Creek Nuclear Generating Station            Director - Licensing and Regulatory Affairs AmerGen Energy Company, LLC            AmerGen Energy Company, LLC P.O. Box 388                            Correspondence Control Forked River, NJ 08731                  P.O. Box 160 Kennett Square, PA 19348 Senior Vice President of Operations                            Manager Licensing - Oyster Creek AmerGen Energy Company, LLC            Exelon Generation Company, LLC 200 Exelon Way, KSA 3-N                Correspondence Control Kennett Square, PA 19348                P.O. Box 160 Kennett Square, PA 19348 Kathryn M. Sutton, Esquire Morgan, Lewis, & Bockius LLP            Regulatory Assurance Manager 1111 Pennsylvania Avenue, NW            Oyster Creek Washington, DC 20004                    AmerGen Energy Company, LLC P.O. Box 388 Kent Tosch, Chief                      Forked River, NJ 08731 New Jersey Department of Environmental Protection              Assistant General Counsel Bureau of Nuclear Engineering          AmerGen Energy Company, LLC CN 415                                  200 Exelon Way Trenton, NJ 08625                      Kennett Square, PA 19348 Vice President - Licensing and          Ron Bellamy, Region I Regulatory Affairs                    U.S. Nuclear Regulatory Commission AmerGen Energy Company, LLC            475 Allendale Road 4300 Winfield Road                      King of Prussia, PA 19406-1415 Warrenville, IL 60555 Correspondence Control Desk Regional Administrator, Region I        AmerGen Energy Company, LLC U.S. Nuclear Regulatory Commission      200 Exelon Way, KSA 1--1 475 Allendale Road                      Kennett Square, PA 19348 King of Prussia, PA 19406-1415 Oyster Creek Nuclear Generating Station Mayor of Lacey Township                Plant Manager 818 West Lacey Road                    AmerGen Energy Company, LLC Forked River, NJ 08731                  P.O. Box 388 Forked River, NJ 08731 Senior Resident Inspector U.S. Nuclear Regulatory Commission      License Renewal Manager P.O. Box 445                            Exelon Generation Company, LLC Forked River, NJ 08731                  200 Exelon Way, Suite 230 Kennett Square, PA 19348
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OF A TELEPHONE CONFERENCE CALL HELD ON FEBRUARY 8, 2006, BETWEEN THE U.S. NUCLEAR REGULATORY COMMISSION AND AMERGEN ENERGY COMPANY, LLC, CONCERNING DRAFT REQUESTS FOR ADDITIONAL INFORMATION PERTAINING TO THE OYSTER CREEK NUCLEAR GENERATING STATION, LICENSE RENEWAL APPLICATION HARD COPY DLR R/F E-MAIL:
OF A TELEPHONE CONFERENCE CALL HELD ON FEBRUARY 8, 2006, BETWEEN THE U.S. NUCLEAR REGULATORY COMMISSION AND AMERGEN ENERGY COMPANY, LLC, CONCERNING DRAFT REQUESTS FOR ADDITIONAL INFORMATION PERTAINING TO THE OYSTER CREEK NUCLEAR GENERATING STATION, LICENSE RENEWAL APPLICATION HARD COPY DLR R/F E-MAIL:
JFair RWeisman AMurphy RPettis GGalletti CLi GBagchi SSmith (srs3)
JFair RWeisman AMurphy RPettis GGalletti CLi GBagchi SSmith (srs3)
SDuraiswamy YL (Renee) Li RidsNrrDlr RidsNrrDlrRlra RidsNrrDlrRlrb RidsNrrDe RidsNrrDci RidsNrreEemb RidsNrrDeEeeb RidsNrrDeEqva RidsNrrDss RidsNrrDnrl RidsOgcMailCenter RidsNrrAdes DLR Staff
SDuraiswamy YL (Renee) Li RidsNrrDlr RidsNrrDlrRlra RidsNrrDlrRlrb RidsNrrDe RidsNrrDci RidsNrreEemb RidsNrrDeEeeb RidsNrrDeEqva RidsNrrDss RidsNrrDnrl RidsOgcMailCenter RidsNrrAdes DLR Staff CHolden RLaufer GMiller RBellamy, RI RCureton, RI JLilliendahl, RI MModes, RI MSykes, RI TMensah MYoung RidsOpaMail}}
---------------
CHolden RLaufer GMiller RBellamy, RI RCureton, RI JLilliendahl, RI MModes, RI MSykes, RI TMensah MYoung RidsOpaMail}}

Latest revision as of 02:44, 14 March 2020

Summary of Telephone Conference Held on Feb. 8, 2006, Between the NRC and Amergen
ML062230440
Person / Time
Site: Oyster Creek
Issue date: 08/11/2006
From: Ashley D
NRC/NRR/ADRO/DLR/RLRA
To:
Office of Nuclear Reactor Regulation
Ashley D
References
%dam200612
Download: ML062230440 (11)


Text

August 11, 2006 LICENSEE: AmerGen Energy Company, LLC FACILITY: Oyster Creek Nuclear Generating Station

SUBJECT:

SUMMARY

OF A TELEPHONE CONFERENCE CALL HELD ON FEBRUARY 8, 2006, BETWEEN THE U.S. NUCLEAR REGULATORY COMMISSION AND AMERGEN ENERGY COMPANY, LLC, CONCERNING DRAFT REQUESTS FOR ADDITIONAL INFORMATION PERTAINING TO THE OYSTER CREEK NUCLEAR GENERATING STATION, LICENSE RENEWAL APPLICATION The U.S. Nuclear Regulatory Commission staff (NRC or the staff), and representatives of AmerGen Energy Company, LLC (AmerGen), held a telephone conference call on February 8, 2006, to discuss and clarify the staffs draft requests for additional information (D-RAIs) concerning the Oyster Creek Nuclear Generating Station license renewal application (LRA).

The conference call was useful in clarifying the intent of the staffs D-RAIs. provides a listing of the conference call participants. Enclosure 2 contains a listing of the D-RAIs 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/

Donnie J. Ashley, Project Manager License Renewal Branch A Division of License Renewal Office of Nuclear Reactor Regulation Docket No. 50-219

Enclosures:

As stated cc w/encls: See next page

ML062230440 DOCUMENT NAME: E:\Filenet\ML062230440.wpd OFFICE PM:RLRA LA:DLR BC:RLRA NAME DAshley YEdmonds LLund DATE 08/ 9 /06 08/ 11 /06 08/ 11 /06 LIST OF PARTICIPANTS FOR TELEPHONE CONFERENCE CALL TO DISCUSS THE OYSTER CREEK NUCLEAR GENERATING STATION LICENSE RENEWAL APPLICATION February 8, 2006 Participants Affiliations Donnie J. Ashley U.S. Nuclear Regulatory Commission (NRC)

John Ma NRC Hans Ashar NRC Don Warfel AmerGen Energy Company, LLC (AmerGen)

George Beck AmerGen Ahmed Ouaou AmerGen ENCLOSURE 1

DRAFT REQUESTS FOR ADDITIONAL INFORMATION (D-RAIs)

OYSTER CREEK NUCLEAR GENERATING STATION LICENSE RENEWAL APPLICATION February 8, 2006 The U.S. Nuclear Regulatory Commission staff (NRC or the staff), and representatives of AmerGen Energy Company, LLC (AmerGen), held a telephone conference call on February 8, 2006, to discuss and clarify the staffs draft requests for additional information (D-RAIs) concerning the Oyster Creek Nuclear Generating Station, license renewal application (LRA).

The following D-RAIs were discussed during the telephone conference call.

D-RAI 2.4.1-1 A review of Table 2.4.1 indicates that drywell seismic support and anchorages are not within the scope of license renewal, though they are relied upon for drywell stability. A component type Biological Shield Wall - Lateral Support is in the Table. The staff requests the applicant to provide justification for not including the drywell seismic lateral supports within the scope of license renewal.

Discussion: The applicant indicated that the question is clear. This D-RAI will be sent as a formal RAI.

D-RAI 2.4.1-2 Neither Table 2.4.1 nor Table 2.4.2 incorporates refueling cavity seal components within the scope of license renewal, though the plant has experienced significant corrosion (as described in Item 4 of LRA Section 3.5.2.2) of the drywell as a result of leakage from the seal. The staff requests the applicant to include the seal in the scope of license renewal, or provide justification for not including it in the scope of license renewal.

Discussion: The applicant indicated that the question is clear. This D-RAI will be sent as a formal RAI.

D-RAI 2.4.2-1 LRA Section 2.4.8 states that structural seals are within the boundary of evaluation, but without explaining what they are. The staff requests the applicant to identify all the structural seals in the reactor building.

Discussion: The applicant indicated that the question is clear. This D-RAI will be sent as a formal RAI.

D-RAI 2.4.8-1 LRA Section 2.4.8, Fire Pond dam, states that the dam is classified as Safety Class III. Provide the location in the LRA or updated final safety analysis report (UFSAR) where the definition of ENCLOSURE 2

Safety Class III was provided. If the definition was not provided in the LRA or UFSAR, the staff requests the applicant to provide a definition for Safety Class III.

Discussion: The applicant indicated that the question is clear. This D-RAI will be sent as a formal RAI.

D-RAI 2.4.9-1 LRA Section 2.4.9, Fire Pumphouses, states that the pumphouse and the tank foundations are classified non-safety related, Seismic Class II. Provide the location in the LRA or UFSAR where the definition of Safety Class II was provided. If the definition was not provided in the LRA or UFSAR, the staff requests the applicant to provide a definition for Safety Class II.

Discussion: The question will be revised to read as follows. This D-RAI will be sent as a formal RAI.

LRA Section 2.4.9, Fire Pumphouses, states that the pumphouse and the tank foundations are classified non-safety related, Seismic Class II. Provide the location in the LRA or UFSAR where the definition of Seismic Class II was provided. If the definition was not provided in the LRA or UFSAR, the staff requests the applicant to provide a definition for Seismic Class II.

D-RAI 3.5-1 Table 3.5.2.1.1 indicates that fretting and lockup of suppression pool downcomers will be managed by ASME Section XI, Subsection IWE, (AMP B.1.27). Directly, the downcomers are not part of the pressure boundary. Subsection IWE does not provide examination requirements and acceptance criteria for downcomers. However, as a convenience, the examinations of downcomers can be included in Subsection IWE requirements, with special provisions for examining the downcomers for fretting or lockups in the plant-specific procedures. The staff requests the applicant to provide (1) a discussion of operating experience related to downcomers fretting or lockups, and (2) the ISI provisions incorporated in the plant-specific IWE program.

Discussion: The applicant indicated that the question is clear. This D-RAI will be sent as a formal RAI.

D-RAI 3.5-2 Table 3.5.2.1.1 credits 10 CFR 50, Appendix J (AMP B.1.29) for management of downcomers Loss of Material. It is not apparent, how the leak testing requirement of Appendix J will detect loss of material of downcomers. The staff requests the applicant to discuss the use of Appendix J in managing loss of material in downcomers.

Discussion: The applicant indicated that the question is clear. This D-RAI will be sent as a formal RAI.

D-RAI 3.5-3 Under component types Reactor Pedestal and R.C. Floor Slab, a reference is made to Table 1 Item 3.5.1-29. The discussion in Item 3.5.1-29 indicates that the concrete temperatures in the upper part of the drywell could be as high as 259EF. As a result, the reactor building drywell shield concrete had significant cracking. However, the cause of the high temperature is not indicated. In light of the above discussion, the staff requests the applicant to provide the following information:

a. Type and adequacy of the cooling system used to control the temperatures in drywell.
b. Operating experience related to the reliability of the cooling system.
c. Actions taken to reduce the high temperatures in the upper part of the drywell.
d. A summary of the results of the last inspection of reactor pedestal, R.C. floor slabs, drywell lateral supports, and sacrificial shield wall, including the date of the inspection, and frequencies of inspection during the period of extended operation.

Discussion: The applicant indicated that the question is clear. This D-RAI will be sent as a formal RAI.

D-RAI 3.5-4 Component type Shielding Blocks and Plates, uses patented material Permall, for which no aging effects are indicated in Table 3.5.2.1.1. The staff requests the applicant to provide a brief description of the material, and the AMR results that justified that it does not need aging management during the period of extended operation.

Discussion: Permall should be changed to Permali. This D-RAI will be sent as a formal RAI following this change.

D-RAI 3.5-5 For all component types described in Table 3.5.2.1.1 (Primary Containment), water chemistry program is vital for the components fully or partially submerged in water, in addition to the programs noted in the individual component types. The staff requests the applicant to provide reasons for not including water chemistry program to manage the aging degradation of these components.

Discussion: The applicant indicated that the question is clear. This D-RAI will be sent as a formal RAI.

D-RAI 3.5-6 The through-wall cracking of Fitzpatrick torus indicates a need for closer examination of the highly restrained and structurally discontinuous areas subjected to operational cyclic loads. The prime aging management program used for managing degradation of the primary containment structure is Subsection IWE (AMP B.1.27). The program is focused towards detecting loss of material. The staff requests the applicant to discuss how the program would detect initiation of such cracking in the Oyster Creek primary containment.

Discussion: The applicant indicated that the question is clear. This D-RAI will be sent as a formal RAI.

D-RAI 3.5-7 Table 3.5.3.1.18 indicates that the aging of Class MC component supports is managed by ASME Section XI, Subsection IWF during the CLB. However, a review of the Enhancement in AMP B.1.28 (ASME Section XI, Subsection IWF) indicates that the program will be enhanced during the period of extended operation to include additional MC supports and underwater structures in the torus. The staff requests the applicant to provide clarifications regarding the inspection of Class MC supports during the CLB and during the PEO.

Discussion: The applicant indicated that the question is clear. This D-RAI will be sent as a formal RAI.

D-RAI 3.5-8 Tables 3.5.2.1.6, 3.5.2.1.15, 3.5.2.1.16, and 3.5.2.1.17 identify loss of preload as the aging effect requiring management for structural bolts, and the structural monitoring program (B.1.31) as its aging management program. The structural monitoring program (B.1.31) states that exposed surfaces of bolting are monitored for indications of loss of preload, and that the program relies on procurement controls and installation practices, defined in plant procedures, to ensure that only approved lubricants and proper torque are applied consistent with the NUREG-1801 bolting integrity program. LRA B.1.12 bolting integrity program states that the bolting integrity program takes exception to NUREG-1801 and that the aging management of structural bolting is addressed by structural monitoring program (B.1.31). The staffs questions are as follows:

a. The applicant needs to resolve the apparent inconsistence that the structural monitoring program states that the proper torque for bolts is applied consistent with the NUREG-1801 bolting integrity program while the bolting integrity program takes exception to NUREG-1801 and refer the aging management of structural bolting back to the structural monitoring program.
b. Does the identification of the loss of preload of structural bolts by visual inspection or by applying a torque wrench? If it is by visual inspection, explain how the loss of preload can be estimated by visual inspection.
c. B.1.31 states that the structural monitoring program relies on procurement controls and installation practices, defined in plant procedures, to ensure that only approved lubricants and proper torque are applied. The staff believes that bolt procurement controls and installation practices were supposedly used before, during, or immediately after the bolts were installed. Since the structural monitoring program is being used to inspect structural bolts after the bolts were installed for sometime, the staff requests the applicant to explain how could the structural monitoring program rely on bolt procurement controls and installation practices.
d. Are there any structural bolts or fasteners, which have a yield strength equal to or greater than 150 ksi, managed by the structural monitoring program? If yes, provide justification for not using the bolting integrity program as the aging management program for structural bolts.

Discussion: The applicant indicated that the question is clear. This D-RAI will be sent as a formal RAI.

D-RAI 3.5-9 Table 3.5.2.1.7 lists structural monitoring program as the aging management program for penetration seals of elastomer and grout in the soil environment. The aging management program in LRA, Appendix B states that the program will require inspection of penetration seals, but does not state how the inspection should be conducted for penetration seals of elastomer and grout in the soil environment and the frequency of the inspection. The staff requests the applicant to describe the inspection method and frequency for penetration seals of elastomer and grout in the soil environment.

Discussion: The applicant indicated that the question is clear. This D-RAI will be sent as a formal RAI.

D-RAI 3.5-10 Table 3.5.2.1.7 lists aluminum material embedded in concrete, and states no aging effect and requiring no aging management program. The ACI Building Code prohibits the use of aluminum in structural concrete unless it is coated or covered to prevent aluminum-concrete reaction or electrolytic action between aluminum and steel. The staff requests the applicant to provide reasons for the use of aluminum material in concrete and for stating no aging effect and requiring no aging management program.

Discussion: The applicant indicated that the question is clear. This D-RAI will be sent as a formal RAI.

Oyster Creek Nuclear Generating Station cc:

Site Vice President - Oyster Creek Nuclear Generating Station Director - Licensing and Regulatory Affairs AmerGen Energy Company, LLC AmerGen Energy Company, LLC P.O. Box 388 Correspondence Control Forked River, NJ 08731 P.O. Box 160 Kennett Square, PA 19348 Senior Vice President of Operations Manager Licensing - Oyster Creek AmerGen Energy Company, LLC Exelon Generation Company, LLC 200 Exelon Way, KSA 3-N Correspondence Control Kennett Square, PA 19348 P.O. Box 160 Kennett Square, PA 19348 Kathryn M. Sutton, Esquire Morgan, Lewis, & Bockius LLP Regulatory Assurance Manager 1111 Pennsylvania Avenue, NW Oyster Creek Washington, DC 20004 AmerGen Energy Company, LLC P.O. Box 388 Kent Tosch, Chief Forked River, NJ 08731 New Jersey Department of Environmental Protection Assistant General Counsel Bureau of Nuclear Engineering AmerGen Energy Company, LLC CN 415 200 Exelon Way Trenton, NJ 08625 Kennett Square, PA 19348 Vice President - Licensing and Ron Bellamy, Region I Regulatory Affairs U.S. Nuclear Regulatory Commission AmerGen Energy Company, LLC 475 Allendale Road 4300 Winfield Road King of Prussia, PA 19406-1415 Warrenville, IL 60555 Correspondence Control Desk Regional Administrator, Region I AmerGen Energy Company, LLC U.S. Nuclear Regulatory Commission 200 Exelon Way, KSA 1--1 475 Allendale Road Kennett Square, PA 19348 King of Prussia, PA 19406-1415 Oyster Creek Nuclear Generating Station Mayor of Lacey Township Plant Manager 818 West Lacey Road AmerGen Energy Company, LLC Forked River, NJ 08731 P.O. Box 388 Forked River, NJ 08731 Senior Resident Inspector U.S. Nuclear Regulatory Commission License Renewal Manager P.O. Box 445 Exelon Generation Company, LLC Forked River, NJ 08731 200 Exelon Way, Suite 230 Kennett Square, PA 19348

Oyster Creek Nuclear Generating Station cc:

Mr. James Ross Nuclear Energy Institute 1776 I Street, NW, Suite 400 Washington, DC 20006-3708 Mr. Michael P. Gallagher Vice President License Renewal Exelon Generation Company, LLC 200 Exelon Way, Suite 230 Kennett Square, PA 19348 Mr. Christopher M. Crane President and Chief Nuclear Officer AmerGen Energy Company, LLC 4300 Winfield Road Warrenville, IL 60555

Note to AmerGen Energy Company, LLC, from Donnie Ashley dated August 11, 2006

SUBJECT:

SUMMARY

OF A TELEPHONE CONFERENCE CALL HELD ON FEBRUARY 8, 2006, BETWEEN THE U.S. NUCLEAR REGULATORY COMMISSION AND AMERGEN ENERGY COMPANY, LLC, CONCERNING DRAFT REQUESTS FOR ADDITIONAL INFORMATION PERTAINING TO THE OYSTER CREEK NUCLEAR GENERATING STATION, LICENSE RENEWAL APPLICATION HARD COPY DLR R/F E-MAIL:

JFair RWeisman AMurphy RPettis GGalletti CLi GBagchi SSmith (srs3)

SDuraiswamy YL (Renee) Li RidsNrrDlr RidsNrrDlrRlra RidsNrrDlrRlrb RidsNrrDe RidsNrrDci RidsNrreEemb RidsNrrDeEeeb RidsNrrDeEqva RidsNrrDss RidsNrrDnrl RidsOgcMailCenter RidsNrrAdes DLR Staff CHolden RLaufer GMiller RBellamy, RI RCureton, RI JLilliendahl, RI MModes, RI MSykes, RI TMensah MYoung RidsOpaMail