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{{#Wiki_filter:I 05/12/2006 U.S. Nuclear Regulatory Commission Operations Center Event Report Page I General Information or Other (PAR)Event# 42573 Rep Org: GENERAL ELECTRIC COMPANY Notification Date / Time: 05/12/2006 22:36 (EDT)Supplier:
{{#Wiki_filter:I 05/12/2006                     U.S. Nuclear Regulatory Commission OperationsCenter Event Report                     Page I General Information or Other (PAR)                                                             Event#       42573 Rep Org: GENERAL ELECTRIC COMPANY                               Notification Date / Time: 05/12/2006 22:36     (EDT)
GENERAL ELECTRIC COMPANY Event Date I Time: 04/24/2006 (EDT)Last Modification:
Supplier: GENERAL ELECTRIC COMPANY                                     Event Date I Time: 04/24/2006           (EDT)
05/12/2006 Region: 1 Docket #: City: WILMINGTON Agreement State: Yes County: License #: State: NC NRC Notified by: JASON POST Notifications:
Last Modification: 05/12/2006 Region: 1                                                     Docket #:
ANTHONY DIMITRIADIS R1 HQ Ops Officer: MIKE RIPLEY JAMES MOORMAN R2 Emergency Class: NON EMERGENCY RICHARD SKOKOWSKI R3 10 CFR Section: OMID TABATABAI-EMAIL NRR 21.21 UNSPECIFIED PARAGRAPH JACK FOSTER (EMAIL) NRR PART 21 NOTIFICATION  
City: WILMINGTON                               Agreement State: Yes County:                                                     License #:
-BWR CORE SHROUD TIE ROD UPPER SUPPORT CRACKING"Summary: GE Energy, Nuclear (GE) has provided core shroud repairs using tie rods to the US BWR plants identified in Attachment I [of the Part 21 notification].
State: NC NRC Notified by:   JASON POST                           Notifications: ANTHONY DIMITRIADIS               R1 HQ Ops Officer:   MIKE RIPLEY                                             JAMES MOORMAN                   R2 Emergency Class:     NON EMERGENCY                                           RICHARD SKOKOWSKI               R3 10 CFR Section:                                                           OMID TABATABAI-EMAIL           NRR 21.21               UNSPECIFIED PARAGRAPH                                   JACK FOSTER (EMAIL)             NRR PART 21 NOTIFICATION - BWR CORE SHROUD TIE ROD UPPER SUPPORT CRACKING "Summary:
Recently it was discovered during an in-vessel visual inspection (IWI)that tie rod upper supports at Hatch Unit 1 experienced cracking.
GE Energy, Nuclear (GE) has provided core shroud repairs using tie rods to the US BWR plants identified in Attachment I [of the Part 21 notification]. Recently it was discovered during an in-vessel visual inspection (IWI) that tie rod upper supports at Hatch Unit 1 experienced cracking. The apparent root cause is Intergranular Stress Corrosion Cracking (IGSCC) in the Alloy X-750 tie rod upper support material. Alloy X-750 material is susceptible to IGSCC if subjected to sustained, large peak stress conditions. GE opened an internal evaluation to determine if the potential IGSCC in the X-750 tie rod structural components of other BWR shroud repairs designed by GE could be a reportable condition under 10CFR21.
The apparent root cause is Intergranular Stress Corrosion Cracking (IGSCC) in the Alloy X-750 tie rod upper support material.
GE used the criterion provided In the BWR Vessels & Internals Project (BWRVIP-84) for the IGSCC susceptibility assessment of the X-750 components in the tie rod vertical load path. GE has concluded that it is not a reportable condition for the plants that were found to be within or not significantly exceed the BWRVIP-84 criterion. These US plants are identified as 'NR' in Attachment 2 [of the Part 21 notification]. GE determined that two US plants exceed the BWRVIP-84 criterion for the upper supports (in addition to the Hatch Unit 1 as-found condition). GE has not completed the evaluation for these plants to assess if a substantial safety hazard (SSH) exists. These plants have been provided a 60-Day Interim Report Notification under §21.21 (a)(2) and are identified as '60-Day' in Attachment 2 [of the Part 21 notification].
Alloy X-750 material is susceptible to IGSCC if subjected to sustained, large peak stress conditions.
  "Safety Basis:
GE opened an internal evaluation to determine if the potential IGSCC in the X-750 tie rod structural components of other BWR shroud repairs designed by GE could be a reportable condition under 1 OCFR21.GE used the criterion provided In the BWR Vessels & Internals Project (BWRVIP-84) for the IGSCC susceptibility assessment of the X-750 components in the tie rod vertical load path. GE has concluded that it is not a reportable condition for the plants that were found to be within or not significantly exceed the BWRVIP-84 criterion.
Cracking in the tie rod components made of X-750 may render the tie rod ineffective in maintaining core shroud configuration integrity during postulated accident conditions. Loss of core shroud integrity could impact the ability to maintain adequate core cooling for postulated design basis accident conditions. This condition would be reportable under 10 CFR 21 as a substantial safety hazard.
These US plants are identified as 'NR' in Attachment 2 [of the Part 21 notification].
 
GE determined that two US plants exceed the BWRVIP-84 criterion for the upper supports (in addition to the Hatch Unit 1 as-found condition).
I 05/12/2006                               U.S. Nuclear Regulatory Commission OperationsCenterEvent Report               Page 2 General Information or Other (PAR)                                                             Event#     42573 "Corrective     Action:
GE has not completed the evaluation for these plants to assess if a substantial safety hazard (SSH) exists. These plants have been provided a 60-Day Interim Report Notification under §21.21 (a)(2) and are identified as '60-Day' in Attachment 2 [of the Part 21 notification]."Safety Basis: Cracking in the tie rod components made of X-750 may render the tie rod ineffective in maintaining core shroud configuration integrity during postulated accident conditions.
The corrective action which has been, is being, or will be taken; the name of the individual or organization responsible for the action; and the length of time that has been or will be taken to complete the action (note, these are actions specifically associated with the identified deviation or failure to comply):
Loss of core shroud integrity could impact the ability to maintain adequate core cooling for postulated design basis accident conditions.
: 1. A preliminary cause evaluation has been performed. The apparent cause of the cracking is Intergranular Stress Corrosion Cracking (IGSCC). A material sample is being shipped to the GE Vallecitos Nuclear Center for examination to confirm the apparent cause. GE will report the results of the examination by August 21, 2006.
This condition would be reportable under 10 CFR 21 as a substantial safety hazard.
: 2. The issue has been communicated to the industry through the BWR Owners' Group and the Electric Power Research Institute (EPRI)/BWR Vessel and Internals Project (BWRVIP). The NRC was informed in a NRC management meeting with EPRI and the BWRVIP Executive Oversight Committee at the NRC offices, Rockville, on March 15, 2006.
I 05/12/2006 U.S. Nuclear Regulatory Commission Operations Center Event Report Page 2 General Information or Other (PAR) Event# 42573"Corrective Action: The corrective action which has been, is being, or will be taken; the name of the individual or organization responsible for the action; and the length of time that has been or will be taken to complete the action (note, these are actions specifically associated with the identified deviation or failure to comply): 1. A preliminary cause evaluation has been performed.
: 3. GE has completed an evaluation of the susceptibility to IGSCC using the BWRVIP-84 criterion. Determination of whether any possible cracking could lead to a substantial safety hazard (i.e., loss of core shroud configuration integrity during a design basis accident condition) depends upon many factors, including the actual extent of cracking in the repair components. Until inspections are completed, the actual extent of cracking is not known.
The apparent cause of the cracking is Intergranular Stress Corrosion Cracking (IGSCC). A material sample is being shipped to the GE Vallecitos Nuclear Center for examination to confirm the apparent cause. GE will report the results of the examination by August 21, 2006.2. The issue has been communicated to the industry through the BWR Owners' Group and the Electric Power Research Institute (EPRI)/BWR Vessel and Internals Project (BWRVIP).
GE is developing a model to predict the postulated extent of tie rod upper support cracking for tie rods with upper supports made of Alloy X-750. For upper supports that exceed the BWRVIP-84 criteria significantly, the model will be used to postulate the extent of cracking. This prediction will be used to determine if a substantial safety hazard could exist. GE will report the results of the evaluation by October 9, 2006.
The NRC was informed in a NRC management meeting with EPRI and the BWRVIP Executive Oversight Committee at the NRC offices, Rockville, on March 15, 2006.3. GE has completed an evaluation of the susceptibility to IGSCC using the BWRVIP-84 criterion.
: 4. The original design basis stress reports will be reviewed to assess the available margin in the primary membrane + bending stress intensities of the upper supports with respect to ASME code allowable values. Where reasonable margin exists in the original design basis code evaluation (an existing margin of approximately 25 %
Determination of whether any possible cracking could lead to a substantial safety hazard (i.e., loss of core shroud configuration integrity during a design basis accident condition) depends upon many factors, including the actual extent of cracking in the repair components.
will be considered as reasonable margin), the existing margin is deemed adequate to offset any engineering assumptions or judgments used in the original analysis. Where the original margin is less than 25%, further review will be performed (including finite element analysis, if necessary) to confirm that the upper support remains qualified. This review will be completed by October 9, 2006."
Until inspections are completed, the actual extent of cracking is not known.GE is developing a model to predict the postulated extent of tie rod upper support cracking for tie rods with upper supports made of Alloy X-750. For upper supports that exceed the BWRVIP-84 criteria significantly, the model will be used to postulate the extent of cracking.
Affected US Plants per Attachment 2 of the Part 21 notification: Clinton, Nine Mile Point 1, Pilgrim, Dresden 2 & 3, Quad Cities 1 & 2, Hatch I & 2.
This prediction will be used to determine if a substantial safety hazard could exist. GE will report the results of the evaluation by October 9, 2006.4. The original design basis stress reports will be reviewed to assess the available margin in the primary membrane + bending stress intensities of the upper supports with respect to ASME code allowable values. Where reasonable margin exists in the original design basis code evaluation (an existing margin of approximately 25 %will be considered as reasonable margin), the existing margin is deemed adequate to offset any engineering assumptions or judgments used in the original analysis.
 
Where the original margin is less than 25%, further review will be performed (including finite element analysis, if necessary) to confirm that the upper support remains qualified.
GE Energy
This review will be completed by October 9, 2006." Affected US Plants per Attachment 2 of the Part 21 notification:
::   ~::       i iI:             00: Jason.S.Post Safety Evaluation Program Manager 3901 Castle Hayne Rd.,
Clinton, Nine Mile Point 1, Pilgrim, Dresden 2 & 3, Quad Cities 1 & 2, Hatch I & 2...........  
Wilmington, NC 28401 USA T 910 675-6608 F910 362 6608 Jason.post~ge.com May 12,2006 MFN 06-133 Attn: Document Control Desk U.S. Nuclear Regulatory Commission Washington, DC 20555-0001
************************************************************
GE Energy:: ~ :: i iI: 00: Jason.S.Post Safety Evaluation Program Manager 3901 Castle Hayne Rd., Wilmington, NC 28401 USA T 910 675-6608 F 910 362 6608 Jason.post~ge.com May 12,2006 MFN 06-133 Attn: Document Control Desk U.S. Nuclear Regulatory Commission Washington, DC 20555-0001


==Subject:==
==Subject:==
Part 21 60-Day Interim Report Notification:
Part 21 60-Day Interim Report Notification:
Core Shroud Repair Tie Rod Upper Support Cracking  
Core Shroud Repair Tie Rod Upper Support Cracking


==Reference:==
==Reference:==
NRC Event Notification Report 42372 (Retracted), Degraded Condition of Shroud Tie Rods, NRC Event Notification Report for April 24, 2006 This letter provides information concerning an evaluation being performed by GE Energy, Nuclear (GE) regarding the cracking discovered in the Hatch Unit 1 core shroud repair tie rod upper supports. The condition, the impact on other plants with tie rod repairs by GE, and the recommended actions were presented to NRC management in a meeting with the BWR Vessel & Internals Project (BWRVIP) Executive Oversight Committee at the NRC Rockville, MD offices on March 15, 2006. As identified herein, GE has concluded that this is not a reportable condition for Hatch Unit 1 and for several other US plants that have core shroud repairs designed by GE. GE has not completed the evaluation for two other US plants (Pilgrim and NMP-1), resulting in this 60-Day Interim Report Notification. GE will complete the evaluation and inform the NRC of the results by October 9,2006. In the interim, the tie rod upper support parameters at Hatch Unit 1 are bounding for the conditions at Pilgrim and NMP-1 and the recommendations made by the BWRVIP to inspect the tie rods at the next scheduled refueling outage are endorsed by GE.
A description of the evaluation performed by GE is provided in Attachment 1. A list of the affected US plants is provided in Attachment 2. The information required for a 60-Day Interim Report Notification per §21.21(a)(2) is provided in Attachment 3. The commitment for follow-on actions are provided in Attachment 3,item (vii).
General Electric Company


NRC Event Notification Report 42372 (Retracted), Degraded Condition of Shroud Tie Rods, NRC Event Notification Report for April 24, 2006 This letter provides information concerning an evaluation being performed by GE Energy, Nuclear (GE) regarding the cracking discovered in the Hatch Unit 1 core shroud repair tie rod upper supports.
MFN 06-133 Page 2 of 8 If you have any questions, please call me at (910) 675-6608.
The condition, the impact on other plants with tie rod repairs by GE, and the recommended actions were presented to NRC management in a meeting with the BWR Vessel & Internals Project (BWRVIP) Executive Oversight Committee at the NRC Rockville, MD offices on March 15, 2006. As identified herein, GE has concluded that this is not a reportable condition for Hatch Unit 1 and for several other US plants that have core shroud repairs designed by GE. GE has not completed the evaluation for two other US plants (Pilgrim and NMP-1), resulting in this 60-Day Interim Report Notification.
Sincerely, Json. S.Post Safety Evaluation Program Manager Attachments:
GE will complete the evaluation and inform the NRC of the results by October 9, 2006. In the interim, the tie rod upper support parameters at Hatch Unit 1 are bounding for the conditions at Pilgrim and NMP-1 and the recommendations made by the BWRVIP to inspect the tie rods at the next scheduled refueling outage are endorsed by GE.A description of the evaluation performed by GE is provided in Attachment
: 1. A list of the affected US plants is provided in Attachment
: 2. The information required for a 60-Day Interim Report Notification per §21.21(a)(2) is provided in Attachment
: 3. The commitment for follow-on actions are provided in Attachment 3, item (vii).General Electric Company MFN 06-133 Page 2 of 8 If you have any questions, please call me at (910) 675-6608.Sincerely, Json. S. Post Safety Evaluation Program Manager Attachments:
: 1. Description of Evaluation
: 1. Description of Evaluation
: 2. US Plants With GE Core Shroud Repair 3. 60-Day Interim Report Notification Information per §21.21(a)(2) cc: S. B. Alexander (NRC-NRR/DISP/PSIM)
: 2. US Plants With GE Core Shroud Repair
Mail Stop 6 F2 M. C. Hincharik (NRR/DPR/PSPB)
: 3. 60-Day Interim Report Notification Information per §21.21(a)(2) cc:   S.B.Alexander (NRC-NRR/DISP/PSIM) Mail Stop 6 F2 M.C.Hincharik (NRR/DPR/PSPB) Mail Stop 0-7 D11 C.V. Hodge (NRC-NRR/DIPM/IROB) Mail Stop 12 H2 M. E.Harding (GE)
Mail Stop 0-7 D11 C. V. Hodge (NRC-NRR/DIPM/IROB)
J. F.Harrison (GE)
Mail Stop 12 H2 M. E. Harding (GE)J. F. Harrison (GE)J. F. Klapproth (GE)A. Lingenfelter (GE)L. M. Quintana (GE)K. K. Sedney (GE)G. B. Stramback (GE)R. J. Marcoot (GE)PRC File DRF No. 0000-0054-1184 MFN 06-133 Page 3 of 8 Attachment 1-Description of Evaluation Summary: GE Energy, Nuclear (GE) has provided core shroud repairs using tie rods to the US BWR plants identified in Attachment
J. F.Klapproth (GE)
: 1. Recently it was discovered during an in-vessel visual inspection (IWI) that tie rod upper supports at Hatch Unit 1 experienced cracking.
A. Lingenfelter (GE)
The apparent root cause is lntergranular Stress Corrosion Cracking (IGSCC) in the Alloy X-750 tie rod upper support material.
L. M.Quintana (GE)
Alloy X-750 material is susceptible to IGSCC if subjected to sustained, large peak stress conditions.
K. K. Sedney (GE)
GE opened an internal evaluation to determine if the potential IGSCC in the X-750 tie rod structural components of other BWR shroud repairs designed by GE could be a reportable condition under 10CFR21.GE used the criterion provided in the BWR Vessels & Internals Project (BWRVIP-84) for the IGSCC susceptibility assessment of the X-750 components in the tie rod vertical load path. GE has concluded that it is not a reportable condition for the plants that were found to be within or not significantly exceed the BWRVIP-84 criterion.
G.B. Stramback (GE)
These US plants are identified as "NR" in Attachment
R.J. Marcoot (GE)
: 2. GE determined that two US plants exceed the BWRVIP-84 criterion for the upper supports (in addition to the Hatch Unit 1 as-found condition).
PRC File DRF No. 0000-0054-1184
GE has not completed the evaluation for these plants to assess if a substantial safety hazard (SSH) exists. These plants have been provided a 60-Day Interim Report Notification under §21.21(a)(2) and are identified as "60-Day" in Attachment
 
MFN 06-133 Page 3 of 8 Attachment 1-Description of Evaluation Summary:
GE Energy, Nuclear (GE) has provided core shroud repairs using tie rods to the US BWR plants identified in Attachment 1. Recently it was discovered during an in-vessel visual inspection (IWI) that tie rod upper supports at Hatch Unit 1 experienced cracking. The apparent root cause is lntergranular Stress Corrosion Cracking (IGSCC) in the Alloy X-750 tie rod upper support material. Alloy X-750 material is susceptible to IGSCC if subjected to sustained, large peak stress conditions. GE opened an internal evaluation to determine if the potential IGSCC in the X-750 tie rod structural components of other BWR shroud repairs designed by GE could be a reportable condition under 10CFR21.
GE used the criterion provided in the BWR Vessels & Internals Project (BWRVIP-84) for the IGSCC susceptibility assessment of the X-750 components in the tie rod vertical load path. GE has concluded that it is not a reportable condition for the plants that were found to be within or not significantly exceed the BWRVIP-84 criterion. These US plants are identified as "NR" in Attachment 2. GE determined that two US plants exceed the BWRVIP-84 criterion for the upper supports (inaddition to the Hatch Unit 1 as-found condition). GE has not completed the evaluation for these plants to assess if a substantial safety hazard (SSH) exists. These plants have been provided a 60-Day Interim Report Notification under §21.21(a)(2) and are identified as "60-Day" in .
 
===Background===
During the H1R22 IWI examination of Hatch 1 shroud tie rod upper support, cracks were observed in one of the upper support brackets, each at the 1350 and 2250 tie rod locations. The cracking occurred at the 900 corner of the horizontal and vertical legs of the upper support. These upper supports were made of X-750 material. The most likely cause for the cracking is IGSCC due to large peak stress in the X-750 material as a result of sustained loading during operation. The Hatch 1 condition, apparent cause, and recommended action have been communicated to the BWR industry and the NRC by the EPRI and BWRVIP.
Evaluation There are nine US BWRs operating with a GE-designed shroud repair. All of these plants were assessed for IGSCC susceptibility of the X-750 components in the tie rod vertical load path using the BWRVIP-84 criterion to preclude IGSCC. Tie rods upper supports made of X-750 material were modeled using the ANSYS computer program in sufficient detail to capture the peak stress effects. The BWRVIP-84 criterion limits the maximum sustained stress during operation in the X-750 material to 80% of yield strength to preclude IGSCC, where


===2.Background===
MFN 06-133 Page 4 of 8 Maximum stress = Primary membrane and bending, secondary stress, and peak stress
During the H1R22 IWI examination of Hatch 1 shroud tie rod upper support, cracks were observed in one of the upper support brackets, each at the 1350 and 2250 tie rod locations.
                    = Pm + Pb + Q + F Accordingly, the maximum stress inthe upper support during sustained, normal operation was compared against the BWRVIP-84 criterion of 80% of yield stress to determine susceptibility. Where available and beneficial to demonstrate that the BWRVIP-84 criterion ismet, the yield strength of the upper support material was based on the certified material test report (CMTR). The results of the upper support assessment are summarized inTable 1. The IGSCC criterion for the Hatch 1 upper supports that experienced cracking isalso included.
The cracking occurred at the 900 corner of the horizontal and vertical legs of the upper support. These upper supports were made of X-750 material.
The other major components made of X-750 material in the tie rod vertical load path were also assessed based on the stresses documented inthe original design basis reports of the repairs. Depending on the location of interest, stress concentration factors were applied as appropriate, and the resulting maximum sustained stress in the normal operating condition was compared to the BWRVIP-84 criterion. All other major X-750 components inthe tie rod vertical load path were found to be within the BWRVIP-84 criterion.
The most likely cause for the cracking is IGSCC due to large peak stress in the X-750 material as a result of sustained loading during operation.
The Hatch 1 condition, apparent cause, and recommended action have been communicated to the BWR industry and the NRC by the EPRI and BWRVIP.Evaluation There are nine US BWRs operating with a GE-designed shroud repair. All of these plants were assessed for IGSCC susceptibility of the X-750 components in the tie rod vertical load path using the BWRVIP-84 criterion to preclude IGSCC. Tie rods upper supports made of X-750 material were modeled using the ANSYS computer program in sufficient detail to capture the peak stress effects. The BWRVIP-84 criterion limits the maximum sustained stress during operation in the X-750 material to 80% of yield strength to preclude IGSCC, where MFN 06-133 Page 4 of 8 Maximum stress = Primary membrane and bending, secondary stress, and peak stress= Pm + Pb + Q + F Accordingly, the maximum stress in the upper support during sustained, normal operation was compared against the BWRVIP-84 criterion of 80% of yield stress to determine susceptibility.
Where available and beneficial to demonstrate that the BWRVIP-84 criterion is met, the yield strength of the upper support material was based on the certified material test report (CMTR). The results of the upper support assessment are summarized in Table 1. The IGSCC criterion for the Hatch 1 upper supports that experienced cracking is also included.The other major components made of X-750 material in the tie rod vertical load path were also assessed based on the stresses documented in the original design basis reports of the repairs. Depending on the location of interest, stress concentration factors were applied as appropriate, and the resulting maximum sustained stress in the normal operating condition was compared to the BWRVIP-84 criterion.
All other major X-750 components in the tie rod vertical load path were found to be within the BWRVIP-84 criterion.
Safety Basis Cracking in the tie rod components made of X-750 may render the tie rod ineffective in maintaining core shroud configuration integrity during postulated accident conditions.
Safety Basis Cracking in the tie rod components made of X-750 may render the tie rod ineffective in maintaining core shroud configuration integrity during postulated accident conditions.
Loss of core shroud integrity could impact the ability to maintain adequate core cooling for postulated design basis accident conditions.
Loss of core shroud integrity could impact the ability to maintain adequate core cooling for postulated design basis accident conditions. This condition would be reportable under 10 CFR 21 as a substantial safety hazard.
This condition would be reportable under 10 CFR 21 as a substantial safety hazard.Table 1. Upper Support Comparison to BWRVIP-84 IGSCC Criterion Plant Value of Maximum Sustained Conclusion Stress in Upper Support Compared to BWRVIP-84 Criterion
Table 1. Upper Support Comparison to BWRVIP-84 IGSCC Criterion Plant           Value of Maximum Sustained                     Conclusion Stress in Upper Support Compared to BWRVIP-84 Criterion (%)
(%)Hatch 1 Exceeds by -149% Upper support evaluated (original design') based on known extent of cracking NMP-1 Exceeds by -124% Upper support evaluation not Pilgrim Exceeds by -82% complete Quad Cities 1/2 Exceeds by -1% Upper support acceptable Hatch 1 Under by -7% based on being within or (replacement design 2) slightly exceeding the Hatch 2 Under by -14% BWRVIP-84 criterion 2 Dresden 2/3 Under by -14%Clinton N/A -Upper support is not X-750 Upper support material not I I susceptible to IGSCC MFN 06-133 Page 5 of 8 Table 1 Notes: 1. Hatch 1 started up based on recategorizing the shroud as an Unrepaired Category C shroud using the results of shroud horizontal weld UT exams evaluated in accordance with BWRVIP-76.
Hatch 1                 Exceeds by -149%                 Upper support evaluated (original design')                                             based on known extent of cracking NMP-1                   Exceeds by -124%               Upper support evaluation not Pilgrim                 Exceeds by -82%                         complete Quad Cities 1/2               Exceeds by -1%               Upper support acceptable Hatch 1                     Under by -7%                 based on being within or (replacement design 2)                                               slightly exceeding the Hatch 2                   Under by -14%                   BWRVIP-84 criterion2 Dresden 2/3                   Under by -14%
: 2. The upper support at the 1350 location was replaced.
Clinton         N/A - Upper support is not X-750       Upper support material not I                                     I     susceptible to IGSCC
The replacement support incorporated an elliptical stress relief radius to mitigate the peak stress effects.Conclusion The GE evaluation concluded the following:
 
: a. The conclusions for the upper support brackets are provided in Table 1 above.All other X-750 components in the tie rod vertical load path for the plants with GE designed tie rod repairs are within the BWRVIP-94 criterion for IGSCC susceptibility.
MFN 06-133 Page 5 of 8 Table 1 Notes:
: b. It is not a reportable condition for the as found Hatch 1 condition based on the known extent of tie rod upper support cracking.c. It is not a reportable condition for Clinton since the X-750 material is not used for the tie rod upper support brackets.d. It is not a reportable condition for plants that have margin to the BWRVIP-84 IGSCC criteria for the tie rod upper support brackets (or which exceed the criteria by a very small amount). These plants are Hatch 2, Quad Cities 1/2, and Dresden 2/3.e. GE has not completed the evaluation for plants that exceed the BWRVIP-84 IGSCC criterion for the upper support brackets.
: 1. Hatch 1 started up based on recategorizing the shroud as an Unrepaired Category Cshroud using the results of shroud horizontal weld UT exams evaluated inaccordance with BWRVIP-76.
These plants are NMP-1, and Pilgrim.Corrective/Preventive Actions Refer to Attachment 3, Item (vii) for corrective actions.
: 2. The upper support at the 1350 location was replaced. The replacement support incorporated an elliptical stress relief radius to mitigate the peak stress effects.
MFN 06-133 Page 6 of 8 Attachment 2 -US Plants With GE Core Shroud Repair NRI 60-Day 2 x x x x x x x utility AmerGen Energy Co.AmerGen Energy Co.Carolina Power & Light Co.Carolina Power & Light Co.Constellation Nuclear Constellation Nuclear.Detroit Edison Co.Dominion Generation Energy Northwest Entergy Nuclear Northeast Entergy Nuclear Northeast Entergy Nuclear Northeast Entergy Operations, Inc.Entergy Operations, Inc.Exelon Generation Co.Exelon Generation Co.Exelon Generation Co.Exelon Generation Co.Exelon Generation Co.Exelon Generation Co.Exelon Generation Co.Exelon Generation Co.Exelon Generation Co.Exelon Generation Co.FirstEnergy Nuclear Operating Co.Nebraska Public Power District Nuclear Management Co.Nuclear Management Co.PPL Susquehanna LLC.PPL Susquehanna LLC PSEG Nuclear Southern Nuclear Operating Co.Southern Nuclear Operating Co.Tennessee Valley Authority Tennessee Valley Authority Tennessee Valley Authority Plant Clinton Oyster Creek Brunswick 1 Brunswick 2 Nine Mile Point 1 Nine Mile Point 2 Fermi 2 Millstone 13 Columbia FitzPatrick Pilgrim Vermont Yankee Grand Gulf River Bend Dresden 2 Dresden 3 LaSalle 1 LaSalle 2 Limerick 1 Limerick 2 Peach Bottom 2 Peach Bottom 3 Quad Cities 1 Quad Cities 2 Perry 1 Cooper Duane Arnold Monticello Susquehanna 1 Susquehanna 2 Hope Creek Hatch 1 Hatch 2 Browns Ferry 14 Browns Ferry 2 Browns Ferry 3 X X Notes: 1.2.3.4.NR = Not Reportable 60-Day = 60-Day Interim Report Notification Plant has been shutdown.Plant is in an extended shutdown
Conclusion The GE evaluation concluded the following:
, I MFN 06-133 Page 7 of 8 Attachment 3 Day Interim Report Notification Information per §21.21(a)(2)(i) Name and address of the individual providing the information:
: a. The conclusions for the upper support brackets are provided inTable 1above.
J. S. Post, Safety Evaluation Program Manager, GE Energy -Nuclear, 3901 Castle Hayne Road, Wilmington, NC 28401 (ii) Identification of the facility, the activity, or the basic component supplied for such facility or such activity within the United States that contains a deviation or failure to comply: Core shroud repairs by GE using a tie rod design with components made of Alloy X-750 stainless steel.(iii) Identification of the firm constructing the facility or supplying the basic component which contains a deviation or failure to comply: Provided by GE Energy -Nuclear, Wilmington, NC.(iv) Nature of the defect or safety hazard which could be created by such a deviation or failure to comply: Cracking in the tie rod components made of X-750 may render the tie rod ineffective in maintaining core shroud configuration integrity during postulated accident conditions.
All other X-750 components inthe tie rod vertical load path for the plants with GE designed tie rod repairs are within the BWRVIP-94 criterion for IGSCC susceptibility.
Loss of core shroud integrity could impact the ability to maintain adequate core cooling for postulated design basis accident conditions.(v) The date on which the information of such a deviation or failure to comply was obtained: Cracking was discovered in a Hatch 1 tie rod upper support during the refueling outage in-vessel visual inspection, February 2006. This was initiated as a potential reportable condition evaluation in the GE Part 21 compliant program on March 13,2006.(vi) In the case of a basic component which contains a deviation or failure to comply, the locations of all such components in use or being supplied: The US plants with GE shroud tie rod repairs are identified in Attachment 2.(vii) The corrective action which has been, is being, or will be taken; the name of the individual or organization responsible for the action; and the length of time that has been or will be taken to complete the action (note, these are actions specifically associated with the identified deviation or failure to comply): 1. A preliminary cause evaluation has been performed.
: b. It is not a reportable condition for the as found Hatch 1condition based on the known extent of tie rod upper support cracking.
The apparent cause of the cracking is lntergranular Stress Corrosion Cracking (IGSCC). A material sample is being shipped to the GE Vallecitos Nuclear Center for examination to confirm the apparent cause. GE will report the results of the examination by August 21, 2006.2. The issue has been communicated to the industry through the BWR Owners'Group and the Electric Power Research Institute (EPRI)/BWR Vessel and Internals Project (BWRVIP).
: c. It is not a reportable condition for Clinton since the X-750 material is not used for the tie rod upper support brackets.
The NRC was informed in a NRC management meeting with 4.MFN 06-133 Page 8 of 8 EPRI and the BWRVIP Executive Oversight Committee at the NRC offices, Rockville, on March 15, 2006.3. GE has completed an evaluation of the susceptibility to IGSCC using the BWRVIP-84 criterion.
: d. It is not a reportable condition for plants that have margin to the BWRVIP-84 IGSCC criteria for the tie rod upper support brackets (or which exceed the criteria by a very small amount). These plants are Hatch 2,Quad Cities 1/2, and Dresden 2/3.
Determination of whether any possible cracking could lead to a substantial safety hazard (i.e., loss of core shroud configuration integrity during a design basis accident condition) depends upon many factors, including the actual extent of cracking in the repair components.
: e. GE has not completed the evaluation for plants that exceed the BWRVIP-84 IGSCC criterion for the upper support brackets. These plants are NMP-1, and Pilgrim.
Until inspections are completed, the actual extent of cracking is not known. GE is developing a model to predict the postulated extent of tie rod upper support cracking for tie rods with upper supports made of Alloy X-750. For upper supports that exceed the BWRVIP-84 criteria significantly, the model will be used to postulate the extent of cracking.
Corrective/Preventive Actions Refer to Attachment 3,Item (vii) for corrective actions.
This prediction will be used to determine if a substantial safety hazard could exist. GE will report the results of the evaluation by October 9, 2006.4. The original design basis stress reports will be reviewed to assess the available margin in the primary membrane + bending stress intensities of the upper supports with respect to ASME code allowable values. Where reasonable margin exists in the original design basis code evaluation (an existing margin of-25 % will be considered as reasonable margin), the existing margin is deemed adequate to offset any engineering assumptions orjudgments used in the original analysis.
 
Where the original margin is less than 25%, further review will be performed (including finite element analysis, if necessary) to confirm that the upper support remains qualified.
MFN 06-133 Page 6 of 8 Attachment 2 - US Plants With GE Core Shroud Repair NRI         60-Day 2         utility                          Plant x                           AmerGen Energy Co.               Clinton AmerGen Energy Co.               Oyster Creek Carolina Power & Light Co.       Brunswick 1 Carolina Power & Light Co.       Brunswick 2 x          Constellation Nuclear             Nine Mile Point 1 Constellation Nuclear.           Nine Mile Point 2 Detroit Edison Co.               Fermi 2 Dominion Generation               Millstone 13 Energy Northwest                 Columbia Entergy Nuclear Northeast         FitzPatrick x          Entergy Nuclear Northeast         Pilgrim Entergy Nuclear Northeast         Vermont Yankee Entergy Operations, Inc.         Grand Gulf Entergy Operations, Inc.         River Bend x                          Exelon Generation Co.             Dresden 2 x                          Exelon Generation Co.             Dresden 3 Exelon Generation Co.             LaSalle 1 Exelon Generation Co.             LaSalle 2 Exelon Generation Co.             Limerick 1 Exelon Generation Co.             Limerick 2 Exelon Generation Co.             Peach Bottom 2 Exelon Generation Co.             Peach Bottom 3 x                          Exelon Generation Co.             Quad Cities 1 x                          Exelon Generation Co.             Quad Cities 2 FirstEnergy Nuclear Operating Co. Perry 1 Nebraska Public Power District   Cooper Nuclear Management Co.           Duane Arnold Nuclear Management Co.           Monticello PPL Susquehanna LLC.             Susquehanna 1 PPL Susquehanna LLC               Susquehanna 2 PSEG Nuclear                     Hope Creek X                          Southern Nuclear Operating Co. Hatch 1 X                          Southern Nuclear Operating Co. Hatch 2 Tennessee Valley Authority       Browns Ferry 14 Tennessee Valley Authority       Browns Ferry 2 Tennessee Valley Authority       Browns Ferry 3 Notes:    1. NR = Not Reportable
This review will be completed by October 9, 2006.(viii) Any advice related to the deviation or failure to comply about the facility, activity, or basic component that has been, is being given to purchasers or licensees:
: 2. 60-Day = 60-Day Interim Report Notification
: 3. Plant has been shutdown.
: 4. Plant is in an extended shutdown
 
, I MFN 06-133 Page 7 of 8 Attachment 3 Day Interim Report Notification Information per §21.21(a)(2)
(i)      Name and address of the individual providing the information:
J. S.Post, Safety Evaluation Program Manager, GE Energy - Nuclear, 3901 Castle Hayne Road, Wilmington, NC 28401 (ii)      Identification of the facility, the activity, or the basic component supplied for such facility or such activity within the United States that contains a deviation or failure to comply:
Core shroud repairs by GE using a tie rod design with components made of Alloy X-750 stainless steel.
(iii)     Identification of the firm constructing the facility or supplying the basic component which contains a deviation or failure to comply:
Provided by GE Energy - Nuclear, Wilmington, NC.
(iv)     Nature of the defect or safety hazard which could be created by such a deviation or failure to comply:
Cracking in the tie rod components made of X-750 may render the tie rod ineffective in maintaining core shroud configuration integrity during postulated accident conditions. Loss of core shroud integrity could impact the ability to maintain adequate core cooling for postulated design basis accident conditions.
(v)      The date on which the information of such a deviation or failure to comply was obtained:
Cracking was discovered in a Hatch 1 tie rod upper support during the refueling outage in-vessel visual inspection, February 2006. This was initiated as a potential reportable condition evaluation in the GE Part 21 compliant program on March 13,2006.
(vi)    Inthe case of a basic component which contains a deviation or failure to comply, the locations of all such components in use or being supplied:
The US plants with GE shroud tie rod repairs are identified in Attachment 2.
(vii)    The corrective action which has been, is being, or will be taken; the name of the individual or organization responsible for the action; and the length of time that has been or will be taken to complete the action (note, these are actions specifically associated with the identified deviation or failure to comply):
: 1. A preliminary cause evaluation has been performed. The apparent cause of the cracking is lntergranular Stress Corrosion Cracking (IGSCC). A material sample is being shipped to the GE Vallecitos Nuclear Center for examination to confirm the apparent cause. GE will report the results of the examination by August 21, 2006.
: 2. The issue has been communicated to the industry through the BWR Owners' Group and the Electric Power Research Institute (EPRI)/BWR Vessel and Internals Project (BWRVIP). The NRC was informed in a NRC management meeting with
 
4.
MFN 06-133 Page 8 of 8 EPRI and the BWRVIP Executive Oversight Committee at the NRC offices, Rockville, on March 15, 2006.
: 3. GE has completed an evaluation of the susceptibility to IGSCC using the BWRVIP-84 criterion. Determination of whether any possible cracking could lead to a substantial safety hazard (i.e., loss of core shroud configuration integrity during a design basis accident condition) depends upon many factors, including the actual extent of cracking inthe repair components. Until inspections are completed, the actual extent of cracking is not known. GE is developing a model to predict the postulated extent of tie rod upper support cracking for tie rods with upper supports made of Alloy X-750. For upper supports that exceed the BWRVIP-84 criteria significantly, the model will be used to postulate the extent of cracking. This prediction will be used to determine if a substantial safety hazard could exist. GE will report the results of the evaluation by October 9,2006.
: 4. The original design basis stress reports will be reviewed to assess the available margin inthe primary membrane + bending stress intensities of the upper supports with respect to ASME code allowable values. Where reasonable margin exists inthe original design basis code evaluation (an existing margin of
            -25 % will be considered as reasonable margin), the existing margin isdeemed adequate to offset any engineering assumptions orjudgments used inthe original analysis. Where the original margin is less than 25%, further review will be performed (including finite element analysis, if necessary) to confirm that the upper support remains qualified. This review will be completed by October 9, 2006.
(viii) Any advice related to the deviation or failure to comply about the facility, activity, or basic component that has been, isbeing given to purchasers or licensees:
Inspect the tie rods at the next scheduled refuel outage per the BWRVIP recommendations:
Inspect the tie rods at the next scheduled refuel outage per the BWRVIP recommendations:
All plants with core shroud repairs using tie rods should inspect their tie rods at their next scheduled refueling outage. This should include inspections in the same or similar locations where the Hatch 1 indications were observed.
All plants with core shroud repairs using tie rods should inspect their tie rods at their next scheduled refueling outage. This should include inspections in the same or similar locations where the Hatch 1 indications were observed. Consideration should also be given to other locations in the tie rod using Alloy X-750 that may experience high sustained loads, thus increasing the possibility of IGSCC (see BWRVIP-84, Section B.3.1 for additional information).}}
Consideration should also be given to other locations in the tie rod using Alloy X-750 that may experience high sustained loads, thus increasing the possibility of IGSCC (see BWRVIP-84, Section B.3.1 for additional information).}}

Latest revision as of 05:03, 14 March 2020

Part 21 60-Day Interim Report Notification: BWR Core Shroud Tie Rod Upper Support Cracking
ML061360465
Person / Time
Site: Hatch, Dresden, Nine Mile Point, Pilgrim, Clinton, Quad Cities  Constellation icon.png
Issue date: 05/12/2006
From: Post J
General Electric Co
To:
Document Control Desk, Office of Nuclear Reactor Regulation
References
+kBR1SISP20060517, Event #42573, MFN 06-133
Download: ML061360465 (10)


Text

I 05/12/2006 U.S. Nuclear Regulatory Commission OperationsCenter Event Report Page I General Information or Other (PAR) Event# 42573 Rep Org: GENERAL ELECTRIC COMPANY Notification Date / Time: 05/12/2006 22:36 (EDT)

Supplier: GENERAL ELECTRIC COMPANY Event Date I Time: 04/24/2006 (EDT)

Last Modification: 05/12/2006 Region: 1 Docket #:

City: WILMINGTON Agreement State: Yes County: License #:

State: NC NRC Notified by: JASON POST Notifications: ANTHONY DIMITRIADIS R1 HQ Ops Officer: MIKE RIPLEY JAMES MOORMAN R2 Emergency Class: NON EMERGENCY RICHARD SKOKOWSKI R3 10 CFR Section: OMID TABATABAI-EMAIL NRR 21.21 UNSPECIFIED PARAGRAPH JACK FOSTER (EMAIL) NRR PART 21 NOTIFICATION - BWR CORE SHROUD TIE ROD UPPER SUPPORT CRACKING "Summary:

GE Energy, Nuclear (GE) has provided core shroud repairs using tie rods to the US BWR plants identified in Attachment I [of the Part 21 notification]. Recently it was discovered during an in-vessel visual inspection (IWI) that tie rod upper supports at Hatch Unit 1 experienced cracking. The apparent root cause is Intergranular Stress Corrosion Cracking (IGSCC) in the Alloy X-750 tie rod upper support material. Alloy X-750 material is susceptible to IGSCC if subjected to sustained, large peak stress conditions. GE opened an internal evaluation to determine if the potential IGSCC in the X-750 tie rod structural components of other BWR shroud repairs designed by GE could be a reportable condition under 10CFR21.

GE used the criterion provided In the BWR Vessels & Internals Project (BWRVIP-84) for the IGSCC susceptibility assessment of the X-750 components in the tie rod vertical load path. GE has concluded that it is not a reportable condition for the plants that were found to be within or not significantly exceed the BWRVIP-84 criterion. These US plants are identified as 'NR' in Attachment 2 [of the Part 21 notification]. GE determined that two US plants exceed the BWRVIP-84 criterion for the upper supports (in addition to the Hatch Unit 1 as-found condition). GE has not completed the evaluation for these plants to assess if a substantial safety hazard (SSH) exists. These plants have been provided a 60-Day Interim Report Notification under §21.21 (a)(2) and are identified as '60-Day' in Attachment 2 [of the Part 21 notification].

"Safety Basis:

Cracking in the tie rod components made of X-750 may render the tie rod ineffective in maintaining core shroud configuration integrity during postulated accident conditions. Loss of core shroud integrity could impact the ability to maintain adequate core cooling for postulated design basis accident conditions. This condition would be reportable under 10 CFR 21 as a substantial safety hazard.

I 05/12/2006 U.S. Nuclear Regulatory Commission OperationsCenterEvent Report Page 2 General Information or Other (PAR) Event# 42573 "Corrective Action:

The corrective action which has been, is being, or will be taken; the name of the individual or organization responsible for the action; and the length of time that has been or will be taken to complete the action (note, these are actions specifically associated with the identified deviation or failure to comply):

1. A preliminary cause evaluation has been performed. The apparent cause of the cracking is Intergranular Stress Corrosion Cracking (IGSCC). A material sample is being shipped to the GE Vallecitos Nuclear Center for examination to confirm the apparent cause. GE will report the results of the examination by August 21, 2006.
2. The issue has been communicated to the industry through the BWR Owners' Group and the Electric Power Research Institute (EPRI)/BWR Vessel and Internals Project (BWRVIP). The NRC was informed in a NRC management meeting with EPRI and the BWRVIP Executive Oversight Committee at the NRC offices, Rockville, on March 15, 2006.
3. GE has completed an evaluation of the susceptibility to IGSCC using the BWRVIP-84 criterion. Determination of whether any possible cracking could lead to a substantial safety hazard (i.e., loss of core shroud configuration integrity during a design basis accident condition) depends upon many factors, including the actual extent of cracking in the repair components. Until inspections are completed, the actual extent of cracking is not known.

GE is developing a model to predict the postulated extent of tie rod upper support cracking for tie rods with upper supports made of Alloy X-750. For upper supports that exceed the BWRVIP-84 criteria significantly, the model will be used to postulate the extent of cracking. This prediction will be used to determine if a substantial safety hazard could exist. GE will report the results of the evaluation by October 9, 2006.

4. The original design basis stress reports will be reviewed to assess the available margin in the primary membrane + bending stress intensities of the upper supports with respect to ASME code allowable values. Where reasonable margin exists in the original design basis code evaluation (an existing margin of approximately 25 %

will be considered as reasonable margin), the existing margin is deemed adequate to offset any engineering assumptions or judgments used in the original analysis. Where the original margin is less than 25%, further review will be performed (including finite element analysis, if necessary) to confirm that the upper support remains qualified. This review will be completed by October 9, 2006."

Affected US Plants per Attachment 2 of the Part 21 notification: Clinton, Nine Mile Point 1, Pilgrim, Dresden 2 & 3, Quad Cities 1 & 2, Hatch I & 2.

GE Energy

~:: i iI: 00: Jason.S.Post Safety Evaluation Program Manager 3901 Castle Hayne Rd.,

Wilmington, NC 28401 USA T 910 675-6608 F910 362 6608 Jason.post~ge.com May 12,2006 MFN 06-133 Attn: Document Control Desk U.S. Nuclear Regulatory Commission Washington, DC 20555-0001

Subject:

Part 21 60-Day Interim Report Notification:

Core Shroud Repair Tie Rod Upper Support Cracking

Reference:

NRC Event Notification 42372 (Retracted), Degraded Condition of Shroud Tie Rods, NRC Event Notification Report for April 24, 2006 This letter provides information concerning an evaluation being performed by GE Energy, Nuclear (GE) regarding the cracking discovered in the Hatch Unit 1 core shroud repair tie rod upper supports. The condition, the impact on other plants with tie rod repairs by GE, and the recommended actions were presented to NRC management in a meeting with the BWR Vessel & Internals Project (BWRVIP) Executive Oversight Committee at the NRC Rockville, MD offices on March 15, 2006. As identified herein, GE has concluded that this is not a reportable condition for Hatch Unit 1 and for several other US plants that have core shroud repairs designed by GE. GE has not completed the evaluation for two other US plants (Pilgrim and NMP-1), resulting in this 60-Day Interim Report Notification. GE will complete the evaluation and inform the NRC of the results by October 9,2006. In the interim, the tie rod upper support parameters at Hatch Unit 1 are bounding for the conditions at Pilgrim and NMP-1 and the recommendations made by the BWRVIP to inspect the tie rods at the next scheduled refueling outage are endorsed by GE.

A description of the evaluation performed by GE is provided in Attachment 1. A list of the affected US plants is provided in Attachment 2. The information required for a 60-Day Interim Report Notification per §21.21(a)(2) is provided in Attachment 3. The commitment for follow-on actions are provided in Attachment 3,item (vii).

General Electric Company

MFN 06-133 Page 2 of 8 If you have any questions, please call me at (910) 675-6608.

Sincerely, Json. S.Post Safety Evaluation Program Manager Attachments:

1. Description of Evaluation
2. US Plants With GE Core Shroud Repair
3. 60-Day Interim Report Notification Information per §21.21(a)(2) cc: S.B.Alexander (NRC-NRR/DISP/PSIM) Mail Stop 6 F2 M.C.Hincharik (NRR/DPR/PSPB) Mail Stop 0-7 D11 C.V. Hodge (NRC-NRR/DIPM/IROB) Mail Stop 12 H2 M. E.Harding (GE)

J. F.Harrison (GE)

J. F.Klapproth (GE)

A. Lingenfelter (GE)

L. M.Quintana (GE)

K. K. Sedney (GE)

G.B. Stramback (GE)

R.J. Marcoot (GE)

PRC File DRF No. 0000-0054-1184

MFN 06-133 Page 3 of 8 Attachment 1-Description of Evaluation Summary:

GE Energy, Nuclear (GE) has provided core shroud repairs using tie rods to the US BWR plants identified in Attachment 1. Recently it was discovered during an in-vessel visual inspection (IWI) that tie rod upper supports at Hatch Unit 1 experienced cracking. The apparent root cause is lntergranular Stress Corrosion Cracking (IGSCC) in the Alloy X-750 tie rod upper support material. Alloy X-750 material is susceptible to IGSCC if subjected to sustained, large peak stress conditions. GE opened an internal evaluation to determine if the potential IGSCC in the X-750 tie rod structural components of other BWR shroud repairs designed by GE could be a reportable condition under 10CFR21.

GE used the criterion provided in the BWR Vessels & Internals Project (BWRVIP-84) for the IGSCC susceptibility assessment of the X-750 components in the tie rod vertical load path. GE has concluded that it is not a reportable condition for the plants that were found to be within or not significantly exceed the BWRVIP-84 criterion. These US plants are identified as "NR" in Attachment 2. GE determined that two US plants exceed the BWRVIP-84 criterion for the upper supports (inaddition to the Hatch Unit 1 as-found condition). GE has not completed the evaluation for these plants to assess if a substantial safety hazard (SSH) exists. These plants have been provided a 60-Day Interim Report Notification under §21.21(a)(2) and are identified as "60-Day" in .

Background

During the H1R22 IWI examination of Hatch 1 shroud tie rod upper support, cracks were observed in one of the upper support brackets, each at the 1350 and 2250 tie rod locations. The cracking occurred at the 900 corner of the horizontal and vertical legs of the upper support. These upper supports were made of X-750 material. The most likely cause for the cracking is IGSCC due to large peak stress in the X-750 material as a result of sustained loading during operation. The Hatch 1 condition, apparent cause, and recommended action have been communicated to the BWR industry and the NRC by the EPRI and BWRVIP.

Evaluation There are nine US BWRs operating with a GE-designed shroud repair. All of these plants were assessed for IGSCC susceptibility of the X-750 components in the tie rod vertical load path using the BWRVIP-84 criterion to preclude IGSCC. Tie rods upper supports made of X-750 material were modeled using the ANSYS computer program in sufficient detail to capture the peak stress effects. The BWRVIP-84 criterion limits the maximum sustained stress during operation in the X-750 material to 80% of yield strength to preclude IGSCC, where

MFN 06-133 Page 4 of 8 Maximum stress = Primary membrane and bending, secondary stress, and peak stress

= Pm + Pb + Q + F Accordingly, the maximum stress inthe upper support during sustained, normal operation was compared against the BWRVIP-84 criterion of 80% of yield stress to determine susceptibility. Where available and beneficial to demonstrate that the BWRVIP-84 criterion ismet, the yield strength of the upper support material was based on the certified material test report (CMTR). The results of the upper support assessment are summarized inTable 1. The IGSCC criterion for the Hatch 1 upper supports that experienced cracking isalso included.

The other major components made of X-750 material in the tie rod vertical load path were also assessed based on the stresses documented inthe original design basis reports of the repairs. Depending on the location of interest, stress concentration factors were applied as appropriate, and the resulting maximum sustained stress in the normal operating condition was compared to the BWRVIP-84 criterion. All other major X-750 components inthe tie rod vertical load path were found to be within the BWRVIP-84 criterion.

Safety Basis Cracking in the tie rod components made of X-750 may render the tie rod ineffective in maintaining core shroud configuration integrity during postulated accident conditions.

Loss of core shroud integrity could impact the ability to maintain adequate core cooling for postulated design basis accident conditions. This condition would be reportable under 10 CFR 21 as a substantial safety hazard.

Table 1. Upper Support Comparison to BWRVIP-84 IGSCC Criterion Plant Value of Maximum Sustained Conclusion Stress in Upper Support Compared to BWRVIP-84 Criterion (%)

Hatch 1 Exceeds by -149% Upper support evaluated (original design') based on known extent of cracking NMP-1 Exceeds by -124% Upper support evaluation not Pilgrim Exceeds by -82% complete Quad Cities 1/2 Exceeds by -1% Upper support acceptable Hatch 1 Under by -7% based on being within or (replacement design 2) slightly exceeding the Hatch 2 Under by -14% BWRVIP-84 criterion2 Dresden 2/3 Under by -14%

Clinton N/A - Upper support is not X-750 Upper support material not I I susceptible to IGSCC

MFN 06-133 Page 5 of 8 Table 1 Notes:

1. Hatch 1 started up based on recategorizing the shroud as an Unrepaired Category Cshroud using the results of shroud horizontal weld UT exams evaluated inaccordance with BWRVIP-76.
2. The upper support at the 1350 location was replaced. The replacement support incorporated an elliptical stress relief radius to mitigate the peak stress effects.

Conclusion The GE evaluation concluded the following:

a. The conclusions for the upper support brackets are provided inTable 1above.

All other X-750 components inthe tie rod vertical load path for the plants with GE designed tie rod repairs are within the BWRVIP-94 criterion for IGSCC susceptibility.

b. It is not a reportable condition for the as found Hatch 1condition based on the known extent of tie rod upper support cracking.
c. It is not a reportable condition for Clinton since the X-750 material is not used for the tie rod upper support brackets.
d. It is not a reportable condition for plants that have margin to the BWRVIP-84 IGSCC criteria for the tie rod upper support brackets (or which exceed the criteria by a very small amount). These plants are Hatch 2,Quad Cities 1/2, and Dresden 2/3.
e. GE has not completed the evaluation for plants that exceed the BWRVIP-84 IGSCC criterion for the upper support brackets. These plants are NMP-1, and Pilgrim.

Corrective/Preventive Actions Refer to Attachment 3,Item (vii) for corrective actions.

MFN 06-133 Page 6 of 8 Attachment 2 - US Plants With GE Core Shroud Repair NRI 60-Day 2 utility Plant x AmerGen Energy Co. Clinton AmerGen Energy Co. Oyster Creek Carolina Power & Light Co. Brunswick 1 Carolina Power & Light Co. Brunswick 2 x Constellation Nuclear Nine Mile Point 1 Constellation Nuclear. Nine Mile Point 2 Detroit Edison Co. Fermi 2 Dominion Generation Millstone 13 Energy Northwest Columbia Entergy Nuclear Northeast FitzPatrick x Entergy Nuclear Northeast Pilgrim Entergy Nuclear Northeast Vermont Yankee Entergy Operations, Inc. Grand Gulf Entergy Operations, Inc. River Bend x Exelon Generation Co. Dresden 2 x Exelon Generation Co. Dresden 3 Exelon Generation Co. LaSalle 1 Exelon Generation Co. LaSalle 2 Exelon Generation Co. Limerick 1 Exelon Generation Co. Limerick 2 Exelon Generation Co. Peach Bottom 2 Exelon Generation Co. Peach Bottom 3 x Exelon Generation Co. Quad Cities 1 x Exelon Generation Co. Quad Cities 2 FirstEnergy Nuclear Operating Co. Perry 1 Nebraska Public Power District Cooper Nuclear Management Co. Duane Arnold Nuclear Management Co. Monticello PPL Susquehanna LLC. Susquehanna 1 PPL Susquehanna LLC Susquehanna 2 PSEG Nuclear Hope Creek X Southern Nuclear Operating Co. Hatch 1 X Southern Nuclear Operating Co. Hatch 2 Tennessee Valley Authority Browns Ferry 14 Tennessee Valley Authority Browns Ferry 2 Tennessee Valley Authority Browns Ferry 3 Notes: 1. NR = Not Reportable

2. 60-Day = 60-Day Interim Report Notification
3. Plant has been shutdown.
4. Plant is in an extended shutdown

, I MFN 06-133 Page 7 of 8 Attachment 3 Day Interim Report Notification Information per §21.21(a)(2)

(i) Name and address of the individual providing the information:

J. S.Post, Safety Evaluation Program Manager, GE Energy - Nuclear, 3901 Castle Hayne Road, Wilmington, NC 28401 (ii) Identification of the facility, the activity, or the basic component supplied for such facility or such activity within the United States that contains a deviation or failure to comply:

Core shroud repairs by GE using a tie rod design with components made of Alloy X-750 stainless steel.

(iii) Identification of the firm constructing the facility or supplying the basic component which contains a deviation or failure to comply:

Provided by GE Energy - Nuclear, Wilmington, NC.

(iv) Nature of the defect or safety hazard which could be created by such a deviation or failure to comply:

Cracking in the tie rod components made of X-750 may render the tie rod ineffective in maintaining core shroud configuration integrity during postulated accident conditions. Loss of core shroud integrity could impact the ability to maintain adequate core cooling for postulated design basis accident conditions.

(v) The date on which the information of such a deviation or failure to comply was obtained:

Cracking was discovered in a Hatch 1 tie rod upper support during the refueling outage in-vessel visual inspection, February 2006. This was initiated as a potential reportable condition evaluation in the GE Part 21 compliant program on March 13,2006.

(vi) Inthe case of a basic component which contains a deviation or failure to comply, the locations of all such components in use or being supplied:

The US plants with GE shroud tie rod repairs are identified in Attachment 2.

(vii) The corrective action which has been, is being, or will be taken; the name of the individual or organization responsible for the action; and the length of time that has been or will be taken to complete the action (note, these are actions specifically associated with the identified deviation or failure to comply):

1. A preliminary cause evaluation has been performed. The apparent cause of the cracking is lntergranular Stress Corrosion Cracking (IGSCC). A material sample is being shipped to the GE Vallecitos Nuclear Center for examination to confirm the apparent cause. GE will report the results of the examination by August 21, 2006.
2. The issue has been communicated to the industry through the BWR Owners' Group and the Electric Power Research Institute (EPRI)/BWR Vessel and Internals Project (BWRVIP). The NRC was informed in a NRC management meeting with

4.

MFN 06-133 Page 8 of 8 EPRI and the BWRVIP Executive Oversight Committee at the NRC offices, Rockville, on March 15, 2006.

3. GE has completed an evaluation of the susceptibility to IGSCC using the BWRVIP-84 criterion. Determination of whether any possible cracking could lead to a substantial safety hazard (i.e., loss of core shroud configuration integrity during a design basis accident condition) depends upon many factors, including the actual extent of cracking inthe repair components. Until inspections are completed, the actual extent of cracking is not known. GE is developing a model to predict the postulated extent of tie rod upper support cracking for tie rods with upper supports made of Alloy X-750. For upper supports that exceed the BWRVIP-84 criteria significantly, the model will be used to postulate the extent of cracking. This prediction will be used to determine if a substantial safety hazard could exist. GE will report the results of the evaluation by October 9,2006.
4. The original design basis stress reports will be reviewed to assess the available margin inthe primary membrane + bending stress intensities of the upper supports with respect to ASME code allowable values. Where reasonable margin exists inthe original design basis code evaluation (an existing margin of

-25 % will be considered as reasonable margin), the existing margin isdeemed adequate to offset any engineering assumptions orjudgments used inthe original analysis. Where the original margin is less than 25%, further review will be performed (including finite element analysis, if necessary) to confirm that the upper support remains qualified. This review will be completed by October 9, 2006.

(viii) Any advice related to the deviation or failure to comply about the facility, activity, or basic component that has been, isbeing given to purchasers or licensees:

Inspect the tie rods at the next scheduled refuel outage per the BWRVIP recommendations:

All plants with core shroud repairs using tie rods should inspect their tie rods at their next scheduled refueling outage. This should include inspections in the same or similar locations where the Hatch 1 indications were observed. Consideration should also be given to other locations in the tie rod using Alloy X-750 that may experience high sustained loads, thus increasing the possibility of IGSCC (see BWRVIP-84, Section B.3.1 for additional information).