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| document type = Graphics incl Charts and Tables, Status Report
| document type = Graphics incl Charts and Tables, Status Report
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{{#Wiki_filter:Updated Issues List for November 15, 2016 Public Teleconference between PSEG LLC and the Nuclear Regulatory Commission Hope Creek Generating Station (HCGS)
{{#Wiki_filter:Updated Issues List for November 15, 2016 Public Teleconference between PSEG LLC and the Nuclear Regulatory Commission Hope Creek Generating Station (HCGS)
Power Range Neutron Monitoring (PRNM) System Digital Upgrade License Amendment Request HCGS NUMAC Upgrade  
Power Range Neutron Monitoring (PRNM) System Digital Upgrade License Amendment Request HCGS NUMAC Upgrade - Open Items DOC-0006-2118 R6
- Open Items DOC-0006-2118 R6 DOC-0006-2118 R6   PSEG Update 11 16   1  HCGS NUMAC Upgrade  
 
- Open Items No. Resp. Issue Description Status RAI No. PSEG Response
DOC-0006-2118 R6 PSEG Update 11-10-16 HCGS NUMAC Upgrade - Open Items No. Resp. Issue Description                         Status RAI No. PSEG Response
: 1. EICB System Description Appendix R provides responses to plant specific responses to the NUMAC LTR. The response to LTR 2.3.4 identifies the configuration for HCGS to be 4 APRM channels with one APRM chassis and one LPRM chassis. However the LTR and Appendix A system architecture do not describe this.
: 1. EICB System Description                         Close  No      LTR 5.3.1 first bullet discusses APRM chassis and (for large cores) LPRM Appendix R provides responses to plant                   chassis. NEDC-33864P Appendix A specific responses to the NUMAC LTR.                     refers to these two chassis as APRM-The response to LTR 2.3.4 identifies the                 Master and Slave.
Appendix A describes a master/slave APRM instrument, but the LTR describes a LPRM unit not clear how these two concepts relate, if they do.
configuration for HCGS to be 4 APRM channels with one APRM chassis and                        Master refers to the APRM chassis and one LPRM chassis. However the LTR                         Slave refers to the LPRM chassis. These and Appendix A system architecture do                     terms are used interchangeably.
not describe this.
Appendix A describes a master/slave                       NEDC-33864P Appendix A page A-11 APRM instrument, but the LTR describes                   shows the system level architecture.
a LPRM unit not clear how these two concepts relate, if they do.
Provide a figure showing the system architecture for the HCGS PRNMS.
Provide a figure showing the system architecture for the HCGS PRNMS.
Close No LTR 5.3.1 first bullet discusses APRM chassis and (for large cores) LPRM chassis. NEDC
: 2. EICB System Description                         Close  No     The LTR describes variants of PRNM system architecture, depending on Appendix A seems to describe the                          whether the target application (plant) has generic PRNM system architecture and                      a large or small core, and whether it is not the architecture for HCGS. What is                    BWR6 or non-BWR6. Appendix A different between this description and the                provides additional details about large one provided in the LTR?                                  core, non-BWR6, such as Hope Creek.
-33864P Appendix A refers to these two chassis as APRM
Also there are system differences, which are described in Appendix J. How do                      The differences described in Appendix J these modules work and fit in the system                  are not architectural differences.
-Master and Slave.
architecture for HCGS?
 
: 3. EICB System Description                         Close No     NRC update 03022016: NRC will identify the documents to be placed in the portal.
Master refers to the APRM chassis and Slave refers to the LPRM chassis. These terms are used interchangeably.
Appendix J identifies Hope Creek deviations from the approved generic                      a) 1
 
NEDC-33864P Appendix A page A
-11 shows the system level architecture.
: 2. EICB System Description Appendix A seems to describe the generic PRNM system architecture and not the architecture for HCGS. What is different between this description and the one provided in the LTR?
Also there are system differences, which are described in Appendix J. How do these modules work and fit in the system architecture for HCGS?
Close  No The LTR describes variants of PRNM system architecture, depending on whether the target application (plant) has a large or small core, and whether it is BWR6 or non-BWR6. Appendix A provides additional details about large core, non-BWR6, such as Hope Creek
.
The differences described in Appendix J are not architectural differences.
: 3. EICB System Description Appendix J identifies Hope Creek deviations from the approved generic Close No NRC update 03022016: NRC will identify the documents to be placed in the portal.
a)
DOC-0006-2118 R6    PSEG Update 11 16  2  No. Resp. Issue Description Status RAI No. PSEG Response NUMAC PRNM system. This is required in ISG-06 Section D.8.
a) Table 1 lists these deviations and provide justifications for such.
P lease provide additional information for the following items:  Column Reference Document


- what are these documents?
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description                            Status RAI No. PSEG Response NUMAC PRNM system. This is required
Item 2 - Why the modification for time to calculate flow
* These are GEH references pointing to in ISG-06 Section D.8.                                          where the support for the justification a) Table 1 lists these deviations and                      is stored in the GEH document provide justifications for such.                        system. The following two referenced Please provide additional                              documents can be placed in reading information for the following items:                    room upon request.
-biased trip setpoint is a clarification? It seems that the total time for the Hope Creek Design has changed.
* Column Reference Document
Item 5 - What higher level of security was applied and to what activities?
* Item 2 - 001N5637 PRNM Time to
                      - what are these documents?                         Calculate Flow-biased Trip Setpoint
* Item 2 - Why the modification
* Item 5 - 001N5640 PRNM Increased for time to calculate flow-                         Instrument Security biased trip setpoint is a clarification? It seems that the               b) total time for the Hope Creek                   Relay Logic Module and Relay Logic Design has changed.                             Card refer to the same thing. Hope
* Item 5 - What higher level of                     Creek will receive the new design.
security was applied and to what activities?
b) Section 4.2 describes the relay logic for HCGS. Please clarify how the improved relay logic module relates to the new relay logic card to be included in the Hope Creek PRNM system.
b) Section 4.2 describes the relay logic for HCGS. Please clarify how the improved relay logic module relates to the new relay logic card to be included in the Hope Creek PRNM system.
These are GEH references pointing to where the support for the justification is stored in the GEH document system. The following two referenced document s can be placed in reading room upon request
: 4. EICB  Software Development Plans                    Close  No      NRC update 03022016: NRC will identify the documents to be placed in the portal.
. Item 2 - 001N5637 PRNM Time to Calculate Flow
The plans submitted describe GEH processes, but they do not include the                       PSEG is required to create or acquire a activities to be performed by the licensee,                  number of documents from vendors such as oversight. Please describe the                       providing safety related equipment per IT-activities and processes for which PSEG                      AA-101. The purpose of many of these is responsible.                                             documents is to ensure the vendor has a 2
-biased Trip Setpoint Item 5 - 001N5640 PRNM Increased Instrument Security


b) "Relay Logic Module" and "Relay Logic Card" refer to the same thing. Hope Creek will receive the new design.
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response quality process in place for software and product design and that the process and design are accurately documented and tested. The required documents include a configuration management plan, a problem management and reporting process, a disaster recovery process, documented functional requirements, a documented technical design, a verification and validation plan, testing reports, user documentation, code review process and documentation and a traceability matrix to ensure all requirements are tested.
: 4. EICB Software Development Plans The plans submitted describe GEH processes, but they do not include the activities to be performed by the licensee, such as oversight. Please describe the activities and processes for which PSEG is responsible.
In addition, CC-AA-103-1007 responsibilities state:
Close No NRC update 03022016: NRC will identify the documents to be placed in the portal.
Lead Responsible Engineers (LREs) are responsible for ensuring DCPs with digital devices are provided to DTS Design Engineer for review. DTS Design Engineers are responsible for reviewing Design Change Packages (DCP) with digital devices ensuring an adequate Critical Digital Review (CDR) is performed and documented. The DTS Engineer determines the scope and breadth of the CDR for the particular application.
PSEG is required to create or acquire a number of documents from vendors providing safety related equipment per IT
A critical digital review is a review of a vendors software QA processes and a technical review (EMI/RFI, failure analysis) of the design, documentation, 3
-AA-101. The purpose of many of these documents is to ensure the vendor has a DOC-0006-2118 R6   PSEG Update 11 16   3  No. Resp. Issue Description Status RAI No. PSEG Response quality process in place for software and product design and that the process and design are accurately documented and tested. The required documents include a configuration management plan, a problem management and reporting process, a disaster recovery process, documented functional requirements, a documented technical design, a verification and validation plan, testing reports, user documentation, code review process and documentation and a traceability matrix to ensure all requirements are tested.
In addition, CC
-AA-103-1007 responsibilities state:
Lead Responsible Engineers (LREs) are responsible for ensuring DCPs with digital devices are provided to DTS Design Engineer for review.
DTS Design Engineers are responsible for reviewing Design Change Packages (DCP) with digital devices ensuring an adequate Critical Digital Review (CDR) is performed and documented. The DTS Engineer determines the scope and breadth of the CDR for the particular application.
A critical digital review is a review of a vendor's software QA processes and a technical review (EMI/RFI, failure analysis) of the design, documentation, DOC-0006-2118 R6    PSEG Update 11 16  4  No. Resp. Issue Description Status RAI No. PSEG Response and testing of a digital device determining the software/hardware's suitability for purchase and installation at PSEG Nuclear facilities. PSEG personnel participated in critical digital review that was led by ProDesCon on the GEH Power Range Neutron Monitoring System (also refer to LAR Attachment 1 Section


3). The CDR report pointed out that GEH has an established regulatory approved Appendix B quality program and that they're processes are suitable to ensure the quality of the design, configuration control, Part 21 reportability and the system maintenance throughout the life cycle. The CDR included a high
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response and testing of a digital device determining the software/hardwares suitability for purchase and installation at PSEG Nuclear facilities. PSEG personnel participated in critical digital review that was led by ProDesCon on the GEH Power Range Neutron Monitoring System (also refer to LAR Attachment 1 Section 3). The CDR report pointed out that GEH has an established regulatory approved Appendix B quality program and that theyre processes are suitable to ensure the quality of the design, configuration control, Part 21 reportability and the system maintenance throughout the life cycle. The CDR included a high-level review of the overall system design, focusing on the safety functions of the system and how digital design principles indicative of highly reliable digital systems were applied to the PRNM system.
-level review of the overall system design, focusing on the safety functions of the system and how digital design principles indicative of highly reliable digital systems were applied to the PRNM system.
PSEG has reviewed and commented on software lifecycle documentation produced by GEH throughout the project.
PSEG has reviewed and commented on software lifecycle documentation produced by GEH throughout the project.
In addition PSEG has performed two audits (reference Survey numbers NOV2116-014 and NOD 038) thus far on GEH to help ensure product reliability.
In addition PSEG has performed two audits (reference Survey numbers NOV2116-014 and NOD-15-038) thus far on GEH to help ensure product reliability.
These audits focused on GEH audits performed on subcontractor Gavial, the GEH actions and process to correct DOC-0006-2118 R6   PSEG Update 11 16   5  No. Resp. Issue Description Status RAI No. PSEG Response identified issues, QA hold points placed on the purchase order, overall test plans and completed testing, restrictions placed on the Gavial subcontractor, cyber security aspects of the project and the GEH engineering change process.
These audits focused on GEH audits performed on subcontractor Gavial, the GEH actions and process to correct 4
 
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description                         Status           RAI No. PSEG Response identified issues, QA hold points placed on the purchase order, overall test plans and completed testing, restrictions placed on the Gavial subcontractor, cyber security aspects of the project and the GEH engineering change process.
PSEG also plans to witness continued factory testing with the quality assurance department.
PSEG also plans to witness continued factory testing with the quality assurance department.
: 5. EICB Software Development Plans
: 5. EICB Software Development Plans               Close            No      6/21/2016 The information has been re-classified in The proprietary markings in the          6/9/2016                  Appendix B. The NEDC and NEDO appendices are inconsistent. For          Since we are not          versions of Appendix B with the re-example, information in Sections 4.2 and  asking for                classified sections will be docketed with 4.3 in Appendix B is not marked          additional                the PRNM Phase 2 Supplement in proprietary, but this same information is information, this        September 2016. If desired the two also provided in Sections 4.2 and 4.3 of  does not need            Appendix B versions can be placed in the Appendix D, where is marked as            to be an RAI.            PRNM Reading Room portal in advance proprietary.                              Just reclassify          of the September submittal.
the information already                  4/19/2016 provided.
Please provide            A complete replacement of Appendix B expected                  proprietary and non-proprietary with the completion date.          corrected pages will be provided.
2/16/2016 Appendix B Sections 4.2 and 4.3 should be marked proprietary to match Appendix D. Updated copies of Appendix B proprietary and non-proprietary can be provided.
5


The proprietary markings in the appendices are inconsistent. For example, information in Sections 4.2 and 4.3 in Appendix B is not marked proprietary, but this same information is also provided in Sections 4.2 and 4.3 of Appendix D, where is marked as proprietary.
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description                         Status         RAI No. PSEG Response
Close  6/9/2016 Since we are not asking for additional information, this does not need to be an RAI. Just reclassify the information already provided. Please provide expected completion date.
: 6. EICB Appendix E, PRNM System Management         Close           EICB RAI-1 Plan a) Section 2.3 describes how project   Close          EICB RAI-  6/21/2016 management will be performed.                       1a        The System Management Plan (SyMP),
No 6/21/20 16 The information has been re
This section refers to critical-to- 6/9/2016                   Appendix E of the Phase one submittal quality features to be part of the  Is the HCGS                NEDC-33864P, contains non-commercial management process. However,        Project Work              information, complementary to what is this plan does no define these      Plan available            contained in the Hope Creek PRNM features. Since these features are  for NRC review?            Upgrade PWP. The SyMP does not part of project oversight, please                              contain Project-specific CTQs, which are describe these features and in                                in Appendix C of the PWP. Those CTQs which document will they be                                    are:
-classified in Appendix B. The NEDC and NEDO versions of Appendix B with the re
recorded?
-classified sections will be docketed with the PRNM Phase 2 Supplement in September 2016.
* GEH (internal) CTQs:
If desired the two Appendix B versions can be placed in the PRNM Reading Room portal in advance of the September submittal.
4/19/2016  A complete replacement of Appendix B proprietary and non
-proprietary with the corrected pages will be provided.
2/16/2016 Appendix B Sections 4.2 and 4.3 should be marked proprietary to match Appendix D. Updated copies of Appendix B proprietary and non
-proprietary can be provided.
DOC-0006-2118 R6   PSEG Update 11 16   6  No. Resp. Issue Description Status RAI No. PSEG Response
: 6. EICB Appendix E, PRNM System Management Plan  Close EICB RAI-1   a) Section 2.3 describes how project management will be performed. This section refers to critical
-to-quality features to be part of the management process. However, this plan does no define these features. Since these features are part of project oversight, please describe these features and in which document will they be recorded? Close  6/9/2016 Is the HCGS Project Work Plan available for NRC review?
EICB RAI-1a 6/21/2016 The System Management Plan (SyMP), Appendix E of the Phase one submittal NEDC-33864P, contains non-commercial information, complementary to what is contained in the Hope Creek PRNM Upgrade PWP. The SyMP does not contain Project
-specific CTQ's, which are in Appendix C of the PWP. Those CTQs are: GEH (internal) CTQ's:
o No non-compliance condition report initiate on Project. Comply with GEH policies and procedures, including the requirements described in the project planning documents specified in Section 3.
o No non-compliance condition report initiate on Project. Comply with GEH policies and procedures, including the requirements described in the project planning documents specified in Section 3.
o Adhere to GEH policies of Integrity, Safety culture principles, Quality and Outputs (ISQO).
o Adhere to GEH policies of Integrity, Safety culture principles, Quality and Outputs (ISQO).
o Meet customer's expectations, achieve T-NPS score greater or equal to 8.
o Meet customers expectations, achieve T-NPS score greater or equal to 8.
o Utilize human performance (HU) tools. o Execute the project in accordance with the Project schedule and meet the established Engineering DOC-0006-2118 R6   PSEG Update 11 16   7  No. Resp. Issue Description Status RAI No. PSEG Response Deliverables (ED) and Customer Deliverables (CD) promise dates.
o Utilize human performance (HU) tools.
o Execute the project in accordance with the Project schedule and meet the established Engineering 6
 
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response Deliverables (ED) and Customer Deliverables (CD) promise dates.
o Report or escalate to the Engineering Manager and/or PM any issues related to integrity and safety using the issue resolution process (Section 4.2). Safety means both occupational safety and the requirements that will impact the safety functions and operation of the system being design and developed.
o Report or escalate to the Engineering Manager and/or PM any issues related to integrity and safety using the issue resolution process (Section 4.2). Safety means both occupational safety and the requirements that will impact the safety functions and operation of the system being design and developed.
Customer CTQ's o Meet project milestones specified in GEH-KT0-182455-005 (Reference B.2.12).
* Customer CTQs o Meet project milestones specified in GEH-KT0-182455-005 (Reference B.2.12).
o Timely escalate issues to PM using the escalation process.
o Timely escalate issues to PM using the escalation process.
2/16/2016 A Project Work Plan (PWP) is required by GEH policies and procedures. As stated in Appendix B Section 3.1.1.5, the PWP contains personnel and commercial information, including project budgetary information that is classified as GEH Proprietary Class III (confidential). The PWP is created and maintained by the Project Manager to manage the commercial aspects of the project.
2/16/2016 A Project Work Plan (PWP) is required by GEH policies and procedures. As stated in Appendix B Section 3.1.1.5, the PWP contains personnel and commercial information, including project budgetary information that is classified as GEH Proprietary Class III (confidential). The PWP is created and maintained by the Project Manager to manage the commercial aspects of the project.
Critical to quality features are project specific and are listed in the PWP. For Hope Creek, these are listed in Appendix DOC-0006-2118 R6    PSEG Update 11 16  8  No. Resp. Issue Description Status RAI No. PSEG Response C3 of the Hope Creek PRNM Upgrade P WP.      b) Section 2.4.1 describes the secure development environment. This section states the control employs in the system development should be in accordance with GEH established procedures, consistent with guidance provided in RG 1.152. Please describe the GEH procedures to be followed for secure development environment.
Critical to quality features are project specific and are listed in the PWP. For Hope Creek, these are listed in Appendix 7
Close EICB RAI-1b A collection of administrative procedures covers specific topics related to the secure development environment
:  Asset Identification Secure Development Network Physical Security Malicious Code Protection Patch Management Server and Computer Hardening Threat Analysis Software Usage Electronic Access Control Log Management Personnel Security and Segregation of Duties Production Deployment Product Handling and Delivery Incident Response Contingency Planning Security Control Review Changes to Physical, Logical, or Programmatic Controls c) Section 3.1 describes the need to establish project quality metrics. However, this section does not identify the project quality metrics.
Close EICB RAI-1c 3/15/2016 Supplemental Response NRC Clarification BTP 7-14 requires the applicant identify the metrics to track progress and determine appropriateness of its software development process. The NRC staff needs a clear description on how the DOC-0006-2118 R6    PSEG Update 11 16  9  No. Resp. Issue Description Status RAI No. PSEG Response licensee is using configuration reviews and technical reviews to measure success or failure of the software development process.
This item is identified in open items: 6c, 7g, 8a, and 11e Response The software development process includes a series of technical design reviews and baseline reviews. At the end of each of these reviews, a review report and a scorecard will be issued by the review chair. The review report summarizes the results of the review. The scorecard evaluates the content of the review material and the performance of the design team based on pre
-established criteria also known as metrics, e.g., "Did the design team resolve action items assigned at previous reviews, or are acceptable plans in place?"  A successful review will require a passing grade of 75%. However, any grade below 90% would result in action items to correct the deficiency in the design or in the compliance with the design process. Condition reports will be issued in accordance with GEH problem reporting procedure should a design fail any of the reviews.
2/16/2016 DOC-0006-2118 R6    PSEG Update 11 16  10  No. Resp. Issue Description Status RAI No. PSEG Response The Design Review Summary Report and Design Review Scorecard provide a record of quality metrics applied by the Chief Engineer's Office. A copy of a scorecard can be placed in the Reading Room upon request.
: 7. EICB Appendix B,  PRNM Systems Engineering Development Plan Close EICB RAI-2    a) Section 2.4.1 of Appendix K states the verification of the design documents is performed by the design team prior to IVV activities. But section 2.3 seems to imply that these reviews are performed by a team independent of the design team. In addition, section 4.2 of Appendix B also describes an independent review team who perform the technical design review. Please clarify what group (in the GEH organization) performs these independent reviews. Close EICB RAI-2a When the design team prepares and releases design artifacts, GEH procedures require the Design team to perform verification of documents prior to the document release. The released document is then provided to the IVV team who conducts the independent verification in accordance with the SyIVVP. Conducting the IVV activities defined in the SyIVVP (Section 3.0) constitutes the Technical Design Review, which is performed by the IVV team and is supervised by the Chief Engineers Office. b) Section 2.4.1 describes the technical design reviews. This section states the design team is responsible for resolving issues identified during these reviews. How are these issues being recorded and tracked? Section Close EICB RAI-2b 3/15/2016 Supplemental Response NRC Clarification BTP 7-14 requires the applicant identify how anomalies are identified, documented, tracked and resolved. The staff needs a clear description on how DOC-0006-2118 R6    PSEG Update 11 16  11  No. Resp. Issue Description Status RAI No. PSEG Response 4.5 of this appendix describes how deficiencies or discrepancies could be tracked, and Section 7.0 states they could use engineering change order to handle problems encountered during product development. But these statements are not specific. In addition, it seems that these options are used after delivery of the NUMAC system. Please explain what method will be used to identify and track problems identified during the technical design reviews. Also, explain the process to approve the resolution of these problems.
PSEG and GEH are performing these activities during the design and development, V&V, and testing, and then after the system is installed in HCGS. This item is identified in open items: 7b, 8a, 8b, and 11f GEH Response During design & development of the PRNM system for PSEG, the IVV Team would review and provide comments about design artifacts at each phase. The comments and resolutions are archived in the design records in accordance with GEH procedures. The comments, resolutions and any open items are also reported and tracked in Appendix A of the SyVV Task Report or SySA Task Report for each phase as discussed in Section 4.4 of the SyEDP, SyIVVP and SyQAP.
During IVV team testing, when anomalies are observed, they are recorded in the control copy of the test datasheets. The anomalies and the resolutions, which may include changes or corrections to the design, are discussed in the test reports. An independent engineer is responsible to verify that the content of test report is consistent with the test data sheets. The technical design reviews and baseline reviews will confirm that the acceptance of the resolution and the closure of the DOC-0006-2118 R6    PSEG Update 11 16  12  No. Resp. Issue Description Status RAI No. PSEG Response anomalies or open items. Resolution of all anomalies and closure of all open items are required before the system can be delivered to PSEG.
After GEH delivers the system to PSEG, if an anomaly is discovered it would be tracked in the GEH Corrective Action Program. PSEG Response As discussed in the response to Open Item (OI) #4, PSEG will continue oversight and audit activities during the design, development, V&V, and testing of the PRNM system. The processes discussed in OI#4 will disposition any anomalies identified. This will include, as appropriate, resolution in the PSEG Corrective Action Program (CAP)
-LS-AA-125 - and in the Engineer of Choice (EOC) corrective action program (for the vendor performing the design change package for the PRNM upgrade
- Sargent and Lundy).
During installation and acceptance testing, and after installation, both the PSEG CAP and EOC CAP will be used to identify, document, track and resolve anomalies.


DOC-0006-2118 R6   PSEG Update 11 16   13 No. Resp. Issue Description Status RAI No. PSEG Response 2/16/2016 Project specific issues that remain open across project phases are tracked in the task reports. See Section 4.4.2 of the NUMAC Systems Engineering Development Plan. Closure of open items is reviewed as part of subsequent Baseline reviews; open items are resolved and closed prior to completion of the final Baseline review.
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description                            Status RAI No. PSEG Response C3 of the Hope Creek PRNM Upgrade PWP.
c) Section 4.3 states the baseline review team would also review and approve development tools. Was this necessary for the HCGS PRNM system?
b) Section 2.4.1 describes the            Close EICB RAI- A collection of administrative procedures secure development environment.              1b        covers specific topics related to the This section states the control                        secure development environment:
Close EICB RAI-2c The SyQA Functional Configuration Audit Checklist (NUMAC System Quality Assurance Plan Section 4.4.1) lists tools that were approved for the associated baseline. A SyQA Functional Configuration Audit Checklist is developed for each Baseline.
employs in the system
* Asset Identification development should be in
* Secure Development Network accordance with GEH established
* Physical Security procedures, consistent with
* Malicious Code Protection guidance provided in RG 1.152.
* Patch Management Please describe the GEH
* Server and Computer Hardening procedures to be followed for
* Threat Analysis secure development environment.
* Software Usage
* Electronic Access Control
* Log Management
* Personnel Security and Segregation of Duties
* Production Deployment
* Product Handling and Delivery
* Incident Response
* Contingency Planning
* Security Control Review
* Changes to Physical, Logical, or Programmatic Controls c) Section 3.1 describes the need to      Close  EICB RAI- 3/15/2016 Supplemental Response establish project quality metrics.          1c However, this section does not                        NRC Clarification identify the project quality metrics.                  BTP 7-14 requires the applicant identify the metrics to track progress and determine appropriateness of its software development process. The NRC staff needs a clear description on how the 8
 
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response licensee is using configuration reviews and technical reviews to measure success or failure of the software development process.
This item is identified in open items: 6c, 7g, 8a, and 11e
 
===Response===
The software development process includes a series of technical design reviews and baseline reviews. At the end of each of these reviews, a review report and a scorecard will be issued by the review chair. The review report summarizes the results of the review.
The scorecard evaluates the content of the review material and the performance of the design team based on pre-established criteria also known as metrics, e.g., Did the design team resolve action items assigned at previous reviews, or are acceptable plans in place? A successful review will require a passing grade of 75%. However, any grade below 90% would result in action items to correct the deficiency in the design or in the compliance with the design process. Condition reports will be issued in accordance with GEH problem reporting procedure should a design fail any of the reviews.
2/16/2016 9
 
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description                        Status RAI No. PSEG Response The Design Review Summary Report and Design Review Scorecard provide a record of quality metrics applied by the Chief Engineers Office. A copy of a scorecard can be placed in the Reading Room upon request.
: 7. EICB  Appendix B, PRNM Systems                  Close  EICB RAI-2 Engineering Development Plan a) Section 2.4.1 of Appendix K        Close  EICB RAI-  When the design team prepares and states the verification of the            2a        releases design artifacts, GEH design documents is performed by                    procedures require the Design team to the design team prior to IVV                        perform verification of documents prior to activities. But section 2.3 seems                    the document release. The released to imply that these reviews are                      document is then provided to the IVV performed by a team independent                      team who conducts the independent of the design team. In addition,                    verification in accordance with the section 4.2 of Appendix B also                      SyIVVP. Conducting the IVV activities describes an independent review                      defined in the SyIVVP (Section 3.0) team who perform the technical                      constitutes the Technical Design Review, design review. Please clarify what                  which is performed by the IVV team and group (in the GEH organization)                      is supervised by the Chief Engineers performs these independent                          Office.
reviews.
b) Section 2.4.1 describes the        Close  EICB RAI-  3/15/2016 Supplemental Response technical design reviews. This            2b section states the design team is                    NRC Clarification responsible for resolving issues                    BTP 7-14 requires the applicant identify identified during these reviews.                    how anomalies are identified, How are these issues being                          documented, tracked and resolved. The recorded and tracked? Section                        staff needs a clear description on how 10
 
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description                        Status RAI No. PSEG Response 4.5 of this appendix describes                    PSEG and GEH are performing these how deficiencies or discrepancies                activities during the design and could be tracked, and Section 7.0                development, V&V, and testing, and then states they could use engineering                after the system is installed in HCGS.
change order to handle problems                  This item is identified in open items: 7b, encountered during product                        8a, 8b, and 11f development. But these statements are not specific. In                  GEH Response addition, it seems that these                    During design & development of the options are used after delivery of                PRNM system for PSEG, the IVV Team the NUMAC system. Please                          would review and provide comments explain what method will be used                  about design artifacts at each phase. The to identify and track problems                    comments and resolutions are archived in identified during the technical                  the design records in accordance with design reviews. Also, explain the                GEH procedures. The comments, process to approve the resolution                resolutions and any open items are also of these problems.                                reported and tracked in Appendix A of the SyVV Task Report or SySA Task Report for each phase as discussed in Section 4.4 of the SyEDP, SyIVVP and SyQAP.
During IVV team testing, when anomalies are observed, they are recorded in the control copy of the test datasheets. The anomalies and the resolutions, which may include changes or corrections to the design, are discussed in the test reports.
An independent engineer is responsible to verify that the content of test report is consistent with the test data sheets. The technical design reviews and baseline reviews will confirm that the acceptance of the resolution and the closure of the 11
 
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response anomalies or open items. Resolution of all anomalies and closure of all open items are required before the system can be delivered to PSEG.
After GEH delivers the system to PSEG, if an anomaly is discovered it would be tracked in the GEH Corrective Action Program.
PSEG Response As discussed in the response to Open Item (OI) #4, PSEG will continue oversight and audit activities during the design, development, V&V, and testing of the PRNM system. The processes discussed in OI#4 will disposition any anomalies identified. This will include, as appropriate, resolution in the PSEG Corrective Action Program (CAP) -LS-AA-125 - and in the Engineer of Choice (EOC) corrective action program (for the vendor performing the design change package for the PRNM upgrade -
Sargent and Lundy).
During installation and acceptance testing, and after installation, both the PSEG CAP and EOC CAP will be used to identify, document, track and resolve anomalies.
12
 
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description                        Status RAI No. PSEG Response 2/16/2016 Project specific issues that remain open across project phases are tracked in the task reports. See Section 4.4.2 of the NUMAC Systems Engineering Development Plan. Closure of open items is reviewed as part of subsequent Baseline reviews; open items are resolved and closed prior to completion of the final Baseline review.
c) Section 4.3 states the baseline   Close EICB RAI- The SyQA Functional Configuration Audit review team would also review            2c        Checklist (NUMAC System Quality and approve development tools.                    Assurance Plan Section 4.4.1) lists tools Was this necessary for the HCGS                    that were approved for the associated PRNM system?                                      baseline. A SyQA Functional Configuration Audit Checklist is developed for each Baseline.
Tools are approved for use via the Baseline review process for application to a specific project. Tools were used for the HCGS PRNM system development.
Tools are approved for use via the Baseline review process for application to a specific project. Tools were used for the HCGS PRNM system development.
d) Section 5.0 describes the use of development tools. BTP 7
d) Section 5.0 describes the use of   Close  EICB RAI- 3/15/2016 Supplemental Response development tools. BTP 7-14,             2c Section B.3.1.2.3 requires                         NRC Clarification licensee to provide a description                 BTP 7-14 requires the applicant identify of software tools to be used.                     the software tools used for the Please identify the software                       development of the system. The NRC development tools.                                staff needs a list and reference of the 13
-14, Section B.3.1.2.3 requires licensee to provide a description of software tools to be used. Please identify the software development tools.
Close EICB RAI-2c 3/15/2016 Supplemental Response NRC Clarification BTP 7-14 requires the applicant identify the software tools used for the development of the system. The NRC staff needs a list and reference of the DOC-0006-2118 R6    PSEG Update 11 16  14  No. Resp. Issue Description Status RAI No. PSEG Response software tools being used for the development of the HCS NUMAC. During the call, the licensee noted these tools were described in previous license amendments, if this is the case, then the staff needs the references or ML numbers for the documents that described the software tools. This item is identified in open items: 7d and 9b Response The Hope Creek PRNM system has similar hardware and software designs as previously approved PRNM projects, e.g., Grand Gulf and Columbia. Therefore, the software tools for the HCGS PRNM are the same as those previously described for Columbia in NEDC
-33685P Revision 2 (ML12040A074) Section 4.4.6.
2/16/2016 Tools are selected and approved for use throughout the various phases of project. The approved tools are documented in the SyQA Functional Configuration Audit Checklists (NUMAC System Quality Assurance Plan Section 4.4.1).
GEH provided details on software tools during previous (Grand Gulf and Columbia) projects. See RAI #3 in GNRO-2011/00038 (ML111370259) and Section 4.4.6 in NEDC
-33685 (ML12040A074).


DOC-0006-2118 R6   PSEG Update 11 16   15  No. Resp. Issue Description Status RAI No. PSEG Response e) Section 6.0 describes the secure development and operational environment. This section states access to the NUMAC lab is controlled and monitored. But it does not provide details on how these are perform. Please provide detail explanation.
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response software tools being used for the development of the HCS NUMAC. During the call, the licensee noted these tools were described in previous license amendments, if this is the case, then the staff needs the references or ML numbers for the documents that described the software tools. This item is identified in open items: 7d and 9b
Close EICB RAI-2d GEH has a procedure for controlling access to the NUMAC lab; see response to Open Item 6.b.
f) Section 6.0 describes the secure development and operational environment. This section states the code is maintained in the secure server. How is access granted to this server?
Close EICB RAI-2d GEH has a procedure for access control of the secure server, see response to Open Item 6.b.
g) Section B.3.1.2.2 of BTP 7-14 requires licensee to identify the indicators to determine the success or failure of the development processes. This information was not provided in the engineering development plan. In addition, Appendix A in Appendix K identifies the alignment to NUMAC documents. This table identifies that this information in SyMP (See open item 6.c). Please provide this information.
Close EICB RAI-1c 3/15/2016 Supplemental Response See open item 6.c.
2/16/2016 Success or failure is indicated by the Design Review Summary Report and Design Review Scorecard.
: 8. EICB Appendix C, NUMAC Systems Quality Assurance Plan Close  EICB RAI-3 DOC-0006-2118 R6    PSEG Update 11 16  16  No. Resp. Issue Description Status RAI No. PSEG Response a) General comment: This plan does not cover all the activities identified in section B.3.1.3 of the BTP 7-14. Specifically, this plan does not describe the corrective action program, description of QA procedures, and indicators to determine software quality.
Close EICB RAI-3a and see EICB RAI-1c 3/15/2016 Supplemental Response See open item 6.c and open item 7.b.
2/16/2016 The NUMAC plans augment and supplement the GEH QA Program. As stated in Section 1.0 of the NUMAC Systems Quality Assurance Plan, the GEH Quality Assurance Program encompasses quality assurance related activities such as audits, supplier control, and archiving of quality records. Although not explicitly mentioned, the corrective action program is a component of the GEH Quality Assurance Program.
b) Section 3.0 states unresolved configuration items is grounds for failure. How are these issues identified, recorded and tracked? Who is responsible for approving resolution of these issues? (see open item 7.b)
Close EICB RAI-3b 3/15/2016 Supplemental Response See open item 7.b.
2/16/2016 Open items are listed in the System Quality Assurance Configuration Audit Checklist and tracked in the System Configuration Management Task report (SyEDP 4.4.2). The checklist and task report are part of the Baseline Review Records. These records are approved by the baseline review team, which is chaired by the Chief Consulting Engineer.
c) Section 4.4.1 describes the oversight activity associated with Close No  As discussed in response to Question 8.a, the GEH Quality Assurance Program DOC-0006-2118 R6    PSEG Update 11 16  17  No. Resp. Issue Description Status RAI No. PSEG Response quality assurance. Is the activity described in this section the only oversight activity to be performed? (This section is marked proprietary so the specific activity is not identified in the question). What happens if problems are identified during this oversight activity? See EICB RAI-3a has other activities. Problems are tracked in accordance with GEH procedures.
: 9. EICB Software Integration Plan (SIntP)
GEH did not submit a separate plan for this. However, GEH (Appendix K) identified the NUMAC documents that cover the requirements for this plan (BTP 7-14, Section B.3.1.4). Based on this information, the staff identified the following questions:
Close EICB RAI-4    a) Section B.3.1.4.2 identifies the implementation characteristics of the SIntP. His section requires description of the software integration activities. GEH references SyEDp for this, but SyEDP does not provide enough information about the software integration process. Please provide this information.
Close  6/9/2016 This response


does not address the lack of integration activity detailed in the SyEDP.
===Response===
EICB RAI-4 6/21/20 16 As discussed in NEDC
The Hope Creek PRNM system has similar hardware and software designs as previously approved PRNM projects, e.g.,
-33864P Appendix A, the microprocessor
Grand Gulf and Columbia. Therefore, the software tools for the HCGS PRNM are the same as those previously described for Columbia in NEDC-33685P Revision 2 (ML12040A074) Section 4.4.6.
-based NUMAC instruments consist of a chassis and a complement of modules, which may include embedded software. Software integration is accomplished by compiling individual software components into executable applications that are specific to each programmable entity in the modules, integrating those modules into the instruments in which they run, and finally integrating the instruments within the system to perform the system functions. For GEH, software integration DOC-0006-2118 R6   PSEG Update 11 16   18  No. Resp. Issue Description Status RAI No. PSEG Response is performed by the design team and their activities are described in the SyEDP. At completion of design team activities, software and hardware are provided to the Independent Verification and Validation Team who perform independent integration and system testing in a phased approach as detailed in the SyIVVP.
2/16/2016 Tools are selected and approved for use throughout the various phases of project.
The approved tools are documented in the SyQA Functional Configuration Audit Checklists (NUMAC System Quality Assurance Plan Section 4.4.1).
GEH provided details on software tools during previous (Grand Gulf and Columbia) projects. See RAI #3 in GNRO-2011/00038 (ML111370259) and Section 4.4.6 in NEDC-33685 (ML12040A074).
14
 
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description                        Status RAI No. PSEG Response e) Section 6.0 describes the secure  Close  EICB RAI-  GEH has a procedure for controlling development and operational              2d        access to the NUMAC lab; see response environment. This section states                    to Open Item 6.b.
access to the NUMAC lab is controlled and monitored. But it does not provide details on how these are perform. Please provide detail explanation.
f) Section 6.0 describes the secure  Close  EICB RAI-  GEH has a procedure for access control development and operational              2d        of the secure server, see response to environment. This section states                    Open Item 6.b.
the code is maintained in the secure server. How is access granted to this server?
g) Section B.3.1.2.2 of BTP 7-14      Close  EICB RAI-  3/15/2016 Supplemental Response requires licensee to identify the        1c        See open item 6.c.
indicators to determine the success or failure of the                          2/16/2016 development processes. This                        Success or failure is indicated by the information was not provided in                    Design Review Summary Report and the engineering development                        Design Review Scorecard.
plan. In addition, Appendix A in Appendix K identifies the alignment to NUMAC documents.
This table identifies that this information in SyMP (See open item 6.c). Please provide this information.
: 8. EICB  Appendix C, NUMAC Systems Quality      Close  EICB RAI-3 Assurance Plan 15
 
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description                          Status RAI No. PSEG Response a) General comment: This plan does       Close  EICB RAI-  3/15/2016 Supplemental Response not cover all the activities                3a and see See open item 6.c and open item 7.b.
identified in section B.3.1.3 of the        EICB RAI-BTP 7-14. Specifically, this plan          1c        2/16/2016 does not describe the corrective                      The NUMAC plans augment and action program, description of QA                      supplement the GEH QA Program. As procedures, and indicators to                          stated in Section 1.0 of the NUMAC determine software quality.                            Systems Quality Assurance Plan, the GEH Quality Assurance Program encompasses quality assurance related activities such as audits, supplier control, and archiving of quality records. Although not explicitly mentioned, the corrective action program is a component of the GEH Quality Assurance Program.
b) Section 3.0 states unresolved        Close  EICB RAI-  3/15/2016 Supplemental Response configuration items is grounds for          3b        See open item 7.b.
failure. How are these issues identified, recorded and tracked?                      2/16/2016 Who is responsible for approving                      Open items are listed in the System resolution of these issues? (see                      Quality Assurance Configuration Audit open item 7.b)                                        Checklist and tracked in the System Configuration Management Task report (SyEDP 4.4.2). The checklist and task report are part of the Baseline Review Records. These records are approved by the baseline review team, which is chaired by the Chief Consulting Engineer.
c) Section 4.4.1 describes the          Close  No        As discussed in response to Question oversight activity associated with                    8.a, the GEH Quality Assurance Program 16
 
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description                            Status            RAI No. PSEG Response quality assurance. Is the activity                    See EICB  has other activities. Problems are tracked described in this section the only                    RAI-3a    in accordance with GEH procedures.
oversight activity to be performed?
(This section is marked proprietary so the specific activity is not identified in the question).
What happens if problems are identified during this oversight activity?
: 9. EICB  Software Integration Plan (SIntP)            Close            EICB RAI-4 GEH did not submit a separate plan for this. However, GEH (Appendix K) identified the NUMAC documents that cover the requirements for this plan (BTP 7-14, Section B.3.1.4). Based on this information, the staff identified the following questions:
a) Section B.3.1.4.2 identifies the      Close            EICB RAI-4 6/21/2016 implementation characteristics of                                As discussed in NEDC-33864P Appendix the SIntP. His section requires      6/9/2016                    A, the microprocessor-based NUMAC description of the software          This response                instruments consist of a chassis and a integration activities. GEH          does not                    complement of modules, which may references SyEDp for this, but      address the lack            include embedded software. Software SyEDP does not provide enough        of integration              integration is accomplished by compiling information about the software      activity detailed            individual software components into integration process. Please          in the SyEDP.                executable applications that are specific provide this information.                                        to each programmable entity in the modules, integrating those modules into the instruments in which they run, and finally integrating the instruments within the system to perform the system functions. For GEH, software integration 17
 
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response is performed by the design team and their activities are described in the SyEDP. At completion of design team activities, software and hardware are provided to the Independent Verification and Validation Team who perform independent integration and system testing in a phased approach as detailed in the SyIVVP.
Management Characteristics of the SIntP:
Management Characteristics of the SIntP:
Purpose - Objectives and scope of a software Integration plan are included within the SyEDP lifecycle process. As part of the Design Phase of the SyEDP, planning is performed and software design specifications are developed which describe major modules, their functions and how the software tasks fit together. In the Implementation Phase, code is assembled into modules and tested as described in Section 3.4.5.2.2, Software Module Testing. After module testing, software is integrated with the hardware and tested as described in Section 3.4.5.2.4, Integration Testing. Organization  
* Purpose - Objectives and scope of a software Integration plan are included within the SyEDP lifecycle process. As part of the Design Phase of the SyEDP, planning is performed and software design specifications are developed which describe major modules, their functions and how the software tasks fit together. In the Implementation Phase, code is assembled into modules and tested as described in Section 3.4.5.2.2, Software Module Testing. After module testing, software is integrated with the hardware and tested as described in Section 3.4.5.2.4, Integration Testing.
- design team organization is discussed in SyEDP  
* Organization - design team organization is discussed in SyEDP Section 2.2. Scheduling and resource allocation is described in 18
 
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response SyEDP Section 3.1.1, Project Planning.
* Responsibilities - design team responsibilities are discussed in SyEDP Section 2.1 Implementation Characteristics of the SIntP:
* Measurement - The software development process includes a series of technical design reviews and baseline reviews. At the end of each of these reviews, a review report and a scorecard will be issued by the review chair. The review report summarizes the results of the review. The scorecard evaluates the content of the review material and the performance of the design team based on pre-established criteria also known as metrics. Per SyEDP Section 3.4, integration testing is part of the Implementation Phase (Baseline 4) baseline and technical review.
* Procedures - as indicated in SyEDP Sections 3.4.5.2.2 and 3.4.5.2.4, results, methods, and extent of testing are recorded during the testing and are included in a test item transmittal report.
Resource Characteristics of the SIntP:
* Methods/tools - SyEDP Section 3.4.5.2.2 and 3.4.5.2.4 discusses the 19


Section 2.2. Scheduling and resource allocation is described in DOC-0006-2118 R6   PSEG Update 11 16   19  No. Resp. Issue Description Status RAI No. PSEG Response SyEDP Section 3.1.1, Project Planning. Responsibilities
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description                         Status RAI No. PSEG Response general methods employed for testing and types of tools used.
- design team responsibilities are discussed in SyEDP Section 2.1 Implementation Characteristics of the SIntPMeasurement
Section 5.0 of the SyEDP describes the use of tool evaluation reports and method for approval of development tools which includes tools used for module and integration testing.
- The software development process includes a series of technical design reviews and baseline reviews. At the end of each of these reviews, a review report and a scorecard will be issued by the review chair. The review report summarizes the results of the review. The scorecard evaluates the content of the review material and the performance of the design team based on pre
2/16/2016 GEH does not have a separate software integration team, rather software integration is performed by the design team. Therefore, the characteristics described in the SyEDP for design team activities apply to integration activities as well. For explanation of how measurement is performed, see response to 6.c.
-established criteria also known as metrics. Per SyEDP
b) Section B.3.1.4.3 identifies        Close  No        3/15/2016 Supplemental Response software tools. As mentioned in                    See open item 7.d.
open item 7.d, these GEH                See EICB document do not identify the             RAI-2c. 2/16/2016 software tools to be used. Please                  See response to open item 7.d.
provide this information.                Already covered in Open Item No. 7.
: 10. EICB  Software Safety Plan (SSP)                Close No        The PRNM upgrade is a retrofit system.
GEH did to submit a separate plan for                        As a retrofit system, the GEH approach to this. However, GEH (Appendix K)                              software safety planning for PRNM is to identified the NUMAC documents that                          ensure that the safety significance of the cover the requirements for this plan (BTP                    PRNM retrofit is consistent with the 20


Section 3.4, integration testing is part of the Implementation Phase (Baseline 4) baseline and technical review. Procedures
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description                           Status RAI No. PSEG Response 7-14, Section B.3.1.9). Based on this                         design basis of the replaced system and information, the staff identified the                         of the plant. GEH provided details on following question:                                           software safety approach during previous Appendix K refers to the IVVP and SyMP                       (Grand Gulf and Columbia) projects. See for the information required in BTP 7-14.                     RAI #1 and 2 in GNRO-2011/00039 However, the information identified in                        (ML111460590) and Section 4.4.1.9 in these sources seem to address the                             NEDC-33685 (ML12040A074).
- as indicated in SyEDP Sections 3.4.5.2.2 and 3.4.5.2.4, results, methods, and extent of testing are recorded during the testing and are included in a test item transmittal report.
hazard analysis required by IEEE 102, and not what is required in BTP 7-14.
Resource Characteristics of the SIntP:
The SSP should provide a general description of the software safety effort, and the intended interactions between the software safety organization and the general system safety organization.
Methods/tools
: 11.       Appendix D, NUMAC Systems                   Close EICB RAI-5 Independent Verification and Validation a) Section 2.1 describes the GEH       Close  No        The Chief Consulting Engineer reports to organization. This section states                   the Chief Engineers Office.
- SyEDP Section 3.4.5.2.2 and 3.4.5.2.4 discusses the DOC-0006-2118 R6   PSEG Update 11 16  20  No. Resp. Issue Description Status RAI No. PSEG Response general methods employed for testing and types of tools used. Section 5.0 of the SyEDP describes the use of tool evaluation reports and method for approval of development tools which includes tools used for module and integration testing.
the GEH Chief Engineers office supervises independent V&V activities. However, Appendix D, Figure 2-1 identifies the Chief Consulting Engineer as the person responsible for V&V activities.
2/16/2016 GEH does not have a separate software integration team, rather software integration is performed by the design team. Therefore, the characteristics described in the SyEDP for design team activities apply to integration activities as well. For explanation of how measurement is performed, see response to 6.c. b) Section B.3.1.4.3 identifies software tools. As mentioned in open item 7.d, these GEH document do not identify the software tools to be used. Please provide this information.
b) Section 3.1.2 describes the safety Close  No        See response to open item 10.
Close No  See EICB RAI-2c. Already covered in Open Item No. 7. 3/15/2016 Supplemental Response See open item 7.d.
analysis for the concept phase. It is not clear if this activity will include the preliminary hazard analysis, since it seems to only 21
2/16/2016 See response to open item 7.d.
 
: 10. EICB Software Safety Plan (SSP)
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description                          Status RAI No. PSEG Response cover evaluation of the documentation.
GEH did to submit a separate plan for this. However, GEH (Appendix K) identified the NUMAC documents that cover the requirements for this plan (BTP Close No The PRNM upgrade is a retrofit system. As a retrofit system, the GEH approach to software safety planning for PRNM is to ensure that the safety significance of the PRNM retrofit is consistent with the DOC-0006-2118 R6    PSEG Update 11 16   21  No. Resp. Issue Description Status RAI No. PSEG Response 7-14, Section B.3.1.9). Based on this information, the staff identified the following question:
c) Is the safety analyses described in Close   No         Hazard analysis is performed during each lifecycle phase considered                        various lifecycle phases as indicated in to be the hazard analysis                              Appendix K, Table 5 for cross-reference identified in IEEE Std. 1012? If so,                  of IEEE Std 1012 to NUMAC process.
Appendix K refers to the IVVP and SyMP for the information required in BTP 7
will this also include the risk                        Project risk management is performed analysis identified in IEEE Std.                      during all system life cycle development 1012?                                                  phases in accordance with the GEH Quality Assurance Program d) Appendix K refers to the IVVP        Close  EICB RAI-5 Project risk management is performed Section 4.0 to confirm item                            during all system life cycle development B.3.1.10.1, risks. Section 4.0                        phases in accordance with the GEH describes the baseline process.                        Quality Assurance Program. SyIVVP So it is not clear how the baseline                    Section 4.2 describes Technical Reviews.
-14. However, the information identified in these sources seem to address the hazard analysis required by IEEE 102, and not what is required in BTP 7
process will be used to identify                      Although not stated in the SyIVVP, the and manage risks associated with                      GEH procedure for Technical Design the V&V process.                                      Reviews requires risks management.
-14. The SSP should provide a general description of the software safety effort, and the intended interactions between the software safety organization and the general system safety organization.
SyIVVP Section 4.3 describes Baseline Reviews, which are a process check to ensure the project plans are being followed.
design basis of the replaced system and of the plant. GEH provided details on software safety approach during previous (Grand Gulf and Columbia) projects. See RAI #1 and 2 in GNRO
e) Appendix K refers to several          Close  No        3/15/2016 Supplemental Response sections in the IVVP to confirm                        See open item 6.c.
-2011/00039 (ML111460590) and Section 4.4.1.9 in NEDC-33685 (ML12040A074).
item B.3.1.10.2, measurement.              See However, the information provided          EICB RAI-  2/16/2016 does not clearly define the                1c        See response to open item 6.c.
: 11. Appendix D, NUMAC Systems Independent Verification and Validation Close EICB RAI-5   a) Section 2.1 describes the GEH organization. This section states the GEH Chief Engineer's office supervises independent V&V activities. However, Appendix D, Figure 2-1 identifies the Chief Consulting Engineer as the person responsible for V&V activities.
indicators that will be used.
Close No The Chief Consulting Engineer reports to the Chief Engineer's Office.
f) Section B.3.1.10.2, procedures        Close  No        3/15/2016 Supplemental Response requires applicants to describe                        See open item 7.b.
b) Section 3.1.2 describes the safety analysis for the concept phase. It is not clear if this activity will include the preliminary hazard analysis, since it seems to only Close No See response to open item 10.
how anomalies are identified and            See reported. This information is not          EICB RAI-  2/16/2016 2b 22


DOC-0006-2118 R6   PSEG Update 11 16  22  No. Resp. Issue Description Status RAI No. PSEG Response cover evaluation of the documentation. c) Is the safety analyses described in each lifecycle phase considered to be the hazard analysis identified in IEEE Std. 1012? If so, will this also include the risk analysis identified in IEEE Std.
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description                           Status RAI No. PSEG Response provide in the plan (See item 11.b                   Per section 2.2.2 and 2.2.3 of the SyIVV, above)                                              the System Verification Engineer and System Safety Analysis Engineer are responsible for documenting results of reviews including anomalies in their respective tasks reports. The task reports are discussed in sections 4.4.1 and 4.4.2.
1012? Close No Hazard analysis is performed during various lifecycle phases as indicated in Appendix K, Table 5 for cross
: 12. EICB Software Configuration Management           Close  EICB RAI-6 SyEDP - section 3.4 specifies Plan (SCMP)                                                   configuration management of source code and section 5 specifies configuration GEH did to submit a separate plan for                         management of firmware. Tools are this. However, GEH (Appendix K)                               controlled at the baseline in which they identified the NUMAC documents that                           are introduced. Configuration Status cover the requirements for this plan (BTP                     Accounting includes all the configurable 7-14, Section B.3.1.11). Based on this                       items.
-reference of IEEE Std 1012 to NUMAC process.
information, the staff identified the following question:
Project risk management is performed during all system life cycle development phases in accordance with the GEH Quality Assurance Program d) Appendix K refers to the IVVP Section 4.0 to confirm item B.3.1.10.1, risks. Section 4.0 describes the baseline process. So it is not clear how the baseline process will be used to identify and manage risks associated with the V&V process.
Close EICB RAI-5 Project risk management is performed during all system life cycle development phases in accordance with the GEH Quality Assurance Program. SyIVVP Section 4.2 describes Technical Reviews. Although not stated in the SyIVVP, the GEH procedure for Technical Design Reviews requires risks management. SyIVVP Section 4.3 describes Baseline Reviews, which are a process check to ensure the project plans are being followed. e) Appendix K refers to several sections in the IVVP to confirm item B.3.1.10.2, measurement. However, the information provided does not clearly define the indicators that will be used.
Close No  See EICB RAI-1c 3/15/2016 Supplemental Response See open item 6.c.
2/16/2016 See response to open item 6.c.
f) Section B.3.1.10.2, procedures requires applicants to describe how anomalies are identified and reported. This information is not Close No  See EICB RAI-2b 3/15/2016 Supplemental Response See open item 7.b.
2/16/2016 DOC-0006-2118 R6    PSEG Update 11 16  23  No. Resp. Issue Description Status RAI No. PSEG Response provide in the plan (See item 11.b above) Per section 2.2.2 and 2.2.3 of the SyIVV, the System Verification Engineer and System Safety Analysis Engineer are responsible for documenting results of reviews including anomalies in their respective tasks reports. The task reports are discussed in sections 4.4.1 and 4.4.2.
: 12. EICB Software Configuration Management Plan (SCMP)
GEH did to submit a separate plan for this. However, GEH (Appendix K) identified the NUMAC documents that cover the requirements for this plan (BTP 7-14, Section B.3.1.11). Based on this information, the staff identified the following question:
Appendix K refers to the SyEDP for the information required in section B.3.1.11.2, procedures. However, the information identified in these sources seem to address only configuration of documents, and not all configuration items (e.g.,
Appendix K refers to the SyEDP for the information required in section B.3.1.11.2, procedures. However, the information identified in these sources seem to address only configuration of documents, and not all configuration items (e.g.,
software tools, source code, etc.). How will GEH control these items?
software tools, source code, etc.). How will GEH control these items?
Close EICB RAI-6 SyEDP - section 3.4 specifies configuration management of source code and section 5 specifies configuration management of firmware. Tools are controlled at the baseline in which they are introduced. Configuration Status Accounting includes all the configurabl e items. 13. EICB EQ Testing The system equipment qualification (EQ) test plan was not submitted with the LAR. Instead the licensee submitted an EQ program in Appendix H. This program states the EQ plans will provide the Close No 4/19/2016 The Qualification Summary Report has been uploaded to the PRNM Reading Room portal (Phase 2 folder):
: 13. EICB EQ Testing                                 Close  No        4/19/2016 The Qualification Summary Report has The system equipment qualification (EQ)                       been uploaded to the PRNM Reading test plan was not submitted with the LAR.                     Room portal (Phase 2 folder):
"002N9894-PRNM System Qualification Summary Report_Rev0.pdf"
Instead the licensee submitted an EQ                         002N9894-PRNM System Qualification program in Appendix H. This program                           Summary Report_Rev0.pdf states the EQ plans will provide the 23
 
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description                          Status RAI No. PSEG Response details on the system to be qualified.                    NRC update 03022016: The qualification Also, that the EQ program provides                        summary report will provide the guidance to prepare EQ plans, if they are                  information requested.
necessary. For this amendment, GEH described design changes for the HVPS,                    These items are encompassed by Relay Logic Card, and UFP Display.                        Appendix H. They are specifically Therefore, a qualification plan for these                  identified in Section 3.3 and qualification components should be submitted. ISG-                      approach is discussed in Section 5.
06, Section D.5.2 describes the information to be provided for the staff to evaluate EQ of I&C systems. Section D.5.2 requires submittal of the EQ plan.
: 14. EICB  EQ Testing Requirements                    Close No     The EQ requirements are based on plant conditions:
Are the EQ requirements based on the plant conditions?                                          From NEDC-33864P Appendix H Section 1.1:
The replacement NUMAC PRNM system is designed to maintain functional operability under conditions specified in the PSEG Hope Creek Generating Station Power Range Neutron Monitoring System (PRNM) Upgrade Project H-1-SE-KDS-0494 [Reference 7.1]. The qualification requirements, the subject of this system qualification program, are further delineated in the NUMAC PRNM System Requirements Specification
[Reference 7.2].
24


DOC-0006-2118 R6   PSEG Update 11 16   24  No. Resp. Issue Description Status RAI No. PSEG Response details on the system to be qualified. Also, that the EQ program provides guidance to prepare EQ plans, if they are necessary. For this amendment, GEH described design changes for the HVPS, Relay Logic Card, and UFP Display. Therefore, a qualification plan for these components should be submitted. ISG
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description                             Status RAI No. PSEG Response Reference 7.2 is provided as NEDC-33864P Appendix F Part 1 (NUMAC PRNM System Requirements Specification). Section 2.5 references Hope Creek specification H-1-SE-KDS-0494; the qualification requirements in Appendix F Part 1 Section 9 are obtained directly from the Hope Creek specification.
-06, Section D.5.2 describes the information to be provided for the staff to evaluate EQ of I&C systems. Section D.5.2 requires submittal of the EQ plan.
: 15. APHB  Section D.9.4, Technical Evaluation, of    Open  No      6/21/2016 DI&C-ISG-06, Subsection D.9.4.2.14,                          The PRNM HFE Assessment (Revision 0)
NRC update 03022016: The qualification summary report will provide the information requested.
IEEE Std. 603, Clause 5.14, Human                          and the PRNM 18-A Assessment Factors Considerations, states, in part,                    (Revision 0) were placed in the PRNM that the information provided should be                      Reading Room portal (Phase 2 folder) sufficient to demonstrate that the                          June 8, 2016, for NRC review and guidance contained in Standard Review                        feedback prior to docketing with the Plan, Appendix 18-A, has been met.                           Phase 2 supplement in September 2016:
NUREG-0800, Standard Review Plan,
* PRNM Human Factors Assessment Appendix 18-A, Crediting Manual                                  Rev 0.pdf Operator Actions in Diversity and
* PRNM Appendix 18-A Assessment Defense-in-Depth (D3) Analyses,                                 Rev 0.pdf Revision 0, states, in part, that a diversity and defense-in-depth analysis should                        2/16/2016 include the justification of any operator                    An analysis, consistent with NUREG-actions that are credited for response to                   0800, Appendix 18-A, will be provided an Anticipated Operational                                  demonstrating that the manual operator Occurrence/Postulated Accident                              actions remain both feasible and reliable, concurrent with software Common Cause                        and the ability to perform the actions Failure (CCF). It further states that                        reliably within the time available is credited manual operator actions and                        maintained.
their associated interfaces (controls, displays, and alarms) should be 25


These items are encompassed by Appendix H. They are specifically identified in Section 3.3 and qualification approach is discussed in Section 5.
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description                            Status RAI No. PSEG Response specifically addressed in the                              The analysis will be provided in the vendor/licensee/applicants Human                          HCGS PRNM Electronic Reading Room Factors Engineering (HFE)                                  portal, in the second quarter of 2016.
: 14. EICB EQ Testing Requirements Are the EQ requirements based on the plant conditions?
Program. The vendor/licensee/applicant should commit, in the defense-in-depth                      PSEG would like to discuss some submittal, to include the proposed                          clarifications concerning Appendix 18-A:
Close No The EQ requirements are based on plant conditions:
defense-in-depth coping actions in an HFE Program consistent with that described in NUREG-0711 and to provide                      a. Phase 3 vs Phase 1 required time: If the results of the HFE Program to the                      the required time (and margin to time staff prior to implementation of the                        available) has been verified via Phase 3 proposed action(s).                                        ISV, is it still necessary to perform the Phase 1 time required estimate?
From NEDC-33864P Appendix H Section 1.1: The replacement NUMAC PRNM system is designed to maintain functional operability under conditions specified in the PSEG Hope Creek Generating Station Power Range Neutron Monitoring System (PRNM) Upgrade Project H SE-KDS-0494 [Reference 7.1]. The qualification requirements, the subject of this system qualification program, are further delineated in the NUMAC PRNM System Requirements Specification [Reference 7.2].
As stated in NUREG-0800, Appendix 18-A, to credit operator actions, an                          b. For the two manual operator action acceptable method would be to                              items from the D3 report the HCGS demonstrate that the manual actions in                      Operators have multiple existing response to a BTP 7-19 software CCF                        indications available. Consequently, are both feasible and reliable, given the                  PSEG does not need the simulator PRNM time available, and that the ability of                    digital modification to support the18-A operators to perform credited actions                      Phase 3 ISV; the existing plant/simulator reliably will be maintained for as long as                  configuration supports the ISV. The ISV the manual actions are necessary to                        is scheduled to be completed in satisfy the defense-in-depth                                March/April 2016. (Note: if simulator analysis. Changes in plant design,                          modifications were required before timing including those that do not add, change,                   operator actions that could not be done or delete the credited manual operator                      until couple of months before modification actions, may affect the ability of operators                implementation, ie 2018) to correctly and reliably perform manual actions due to performance shaping factors (e.g., workload, time pressure) or other causes.
26


DOC-0006-2118 R6   PSEG Update 11 16   25  No. Resp. Issue Description Status RAI No. PSEG Response Reference 7.2 is provided as NEDC
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description                           Status RAI No. PSEG Response Provide information regarding the analysis, consistent with NUREG-0800, Appendix A, that was used to demonstrate that the manual actions remain both feasible and reliable, and the ability to perform the actions reliably within the time available is maintained. The analysis should demonstrate that (1) the time available to perform the required manual actions is greater than the time required for the operator(s) to perform the actions, and (2) the operator(s) can perform the actions correctly and reliably in the time available. PSEG should provide sufficient information to demonstrate that the conclusions reached in the previously performed analysis regarding the feasibility and reliability of credited manual operator actions will remain valid in the post-modification environment (i.e.,
-33864P Appendix F Part 1 (NUMAC PRNM System Requirements Specification). Section 2.5 references Hope Creek specification H SE-KDS-0494; the qualification requirements in Appendix F Part 1 Section 9 are obtained directly from the Hope Creek specification.
that the time available to perform the required manual actions and the time required to perform such actions will not be adversely affected by the proposed modification).
: 15. APHB Section D.9.4, "Technical Evaluation," of DI&C-ISG-06, Subsection D.9.4.2.14, "IEEE Std. 603, Clause 5.14, Human Factors Considerations," states, in part, that the information provided should be sufficient to demonstrate that the guidance contained in Standard Review Plan, Appendix 18
: 16. EICB  System Requirements                        Close  EICB RAI-7 3/15/2016 The Hope Creek System Requirements Appendix F defines the system                                Specification (Appendix F) is plant requirements for the NUMAC PRNM                              specific. The following discussion system. It is not clear if these                              elaborates on how the topics from requirements reflect the system to be 27
-A, has been met.
NUREG-0800, Standard Review Plan, Appendix 18
-A, "Crediting Manual Operator Actions in Diversity and Defense-in-Depth (D3) Analyses," Revision 0, states, in part, that a diversity and defense
-in-depth analysis should include the justification of any operator actions that are credited for response to an Anticipated Operational Occurrence/Postulated Accident concurrent with software Common Cause Failure (CCF).
It further states that credited manual operator actions and their associated interfaces (controls, displays, and alarms) should be Open No 6/21/20 16 The PRNM HFE Assessment (Revision 0) and the PRNM 18
-A Assessment (Revision 0) we re placed in the PRNM Reading Room portal (Phase 2 folder) June 8, 2016, for NRC review and feedback prior to docketing with the Phase 2 supplement in September 2016
:  PRNM Human Factors Assessment Rev 0.pdf  PRNM Appendix 18
-A Assessment Rev 0.pdf  2/16/2016 An analysis, consistent with NUR EG-0800, Appendix 18
-A, will be provided demonstrating that the manual operator actions remain both feasible and reliable, and the ability to perform the actions reliably within the time available is maintained.


DOC-0006-2118 R6   PSEG Update 11 16   26  No. Resp. Issue Description Status RAI No. PSEG Response specifically addressed in the vendor/licensee/applicant's Human Factors Engineering (HFE) Program. The vendor/licensee/applicant should commit, in the defense-in-depth submittal, to include the proposed defense-in-depth coping actions in an HFE Program consistent with that described in NUREG
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description                       Status RAI No. PSEG Response installed in HCGS. Specifically, does                  Appendix J are addressed in the Hope appendix F include the requirements for                Creek specifications.
-0711 and to provide the results of the HFE Program to the staff prior to implementation of the proposed action(s).
the modified components described in Appendix J?                                            LTR Deviations
As stated in NUREG
: 1. APRM Upscale / OPRM Upscale /
-0800, Appendix 18
APRM Inop. Appendix F1, Section 6.1 reflects this LTR deviation.
-A, to credit operator actions, an acceptable method would be to demonstrate that the manual actions in response to a BTP 7
NOTE: Appendix J Reference document 001N5636 can be provided in the reading room portal, if desired. This topic was discussed during previous PRNM projects. Please see, Enclosure 1 (Section 1.5 and Appendix A) of ML12040A073, submitted for Columbia.
-19 software CCF are both feasible and reliable, given the time available, and that the ability of operators to perform credited actions reliably will be maintained for as long as the manual actions are necessary to satisfy the defense
: 2. Time to Calculate Flow-biased Trip Setpoint. This clarifies a statement in the LTR but does not affect the NUMAC PRNM design.
-in-depth analysis. Changes in plant design, including those that do not add, change, or delete the credited manual operator actions, may affect the ability of operators to correctly and reliably perform manual actions due to performance shaping factors (e.g., workload, time pressure) or other causes.
NOTE: Appendix J Reference document 001N5637 can be provided in the reading room portal, if desired. This topic was discussed during a previous PRNM project. Please see, Enclosure 1 of ML12040A073, submitted for Columbia.
The analysis will be provided in the HCGS PRNM Electronic Reading Room portal, in the second quarter of 2016.
: 3. Abnormal Conditions Leading to Inoperative Status. Appendix F2, Section 4.3.4.9 reflects this LTR deviation.
PSEG would like to discuss some clarifications concerning Appendix 18
NOTE: Appendix J Reference document 001N5635 can be provided in the reading room portal, if desired. This topic was 28
-A:
: a. Phase 3 vs Phase 1 required time:  If the required time (and margin to time available) has been verified via Phase 3 ISV, is it still necessary to perform the Phase 1 time required estimate?
: b. For the two manual operator action items from the D3 report the HCGS Operators have multiple existing indications available. Consequently, PSEG does not need the simulator PRNM digital modification to support the18
-A Phase 3 ISV; the existing plant/simulator configuration supports the ISV. The ISV is scheduled to be completed in March/April 2016. (Note: if simulator modifications were required before timing operator actions that could not be done until couple of months before modification implementation, ie 2018) 


DOC-0006-2118 R6   PSEG Update 11 16   27  No. Resp. Issue Description Status RAI No. PSEG Response Provide information regarding the analysis, consistent with NUREG
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response discussed during a previous PRNM project. Please see Enclosure 1 of ML12040A073, submitted for Columbia.
-0800, Appendix A, that was used to demonstrate that the manual actions remain both feasible and reliable, and the ability to perform the actions reliably within the time available is maintained.
: 4. OPRM Pre-Trip Alarms. Appendix F1, Section 4.3.1.2 reflects this LTR deviation.
The analysis should demonstrate that (1) the time available to perform the required manual actions is greater than the time required for the operator(s) to perform the actions, and (2) the operator(s) can perform the actions correctly and reliably in the time available.
NOTE: Appendix J Reference document 001N5641 can be provided in the reading room portal, if desired. This topic was discussed during a previous PRNM project. Please see Appendix A (page A-
PSEG should provide sufficient information to demonstrate that
: 5) of ML101790437, submitted for Grand Gulf (DSS-CD Plant like HCGS).
: 5. Increased Instrument Security.
Appendix F1 Section 4.1 (traceable item 436R) provides the higher level requirement that the system provides a means to adjust user-configurable parameters, and Appendix F2 Section 4.4.14 (traceable item 2345R) incorporates the same feature at the instrument level. That the Hope Creek design implements increased security relative to previous applications may be seen by comparing it to a previous application. Please see Section 4.4.8 of 25A5916, APRM Performance Specification for CGS (Reference 64 and included in Appendix A) - ML12040A074 submitted for Columbia. That design includes an OPER-SET function, a 29


the conclusions reached in the previously performed analysis regarding the feasibility and reliability of credited manual operator actions will remain valid in the post-modification environment (i.e., that the time available to perform the required manual actions and the time required to perform such actions will not be adversely affected by the proposed modification).
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response function that enables the user to adjust a small number of select parameters after entering a password but without placing the instrument in INOP. PSEG elected to not include this feature at Hope Creek.
: 16. EICB System Requirements Appendix F defines the system requirements for the NUMAC PRNM system. It is not clear if these requirements reflect the system to be Close EICB RAI-7 3/15/2016 The Hope Creek System Requirements Specification (Appendix F) is plant specific. The following discussion elaborates on how the topics from DOC-0006-2118 R6   PSEG Update 11 16  28  No. Resp. Issue Description Status RAI No. PSEG Response installed in HCGS. Specifically, does appendix F include the requirements for the modified components described in Appendix J?
NOTE: Appendix J Reference document 001N5640 can be provided in the reading room portal, if desired.
Appendix J are addressed in the Hope Creek specifications.
: 6. PRNM System Input Power Source.
LTR Deviations
The deviation does not affect the PRNM design. Appendix F1 Section 7.5 reflects the type of input power as described in the Hope Creek LAR Attachment 1 Section 4.1.1 page 28 of 46, which deviates from what is described in the LTR.
: 1. APRM Upscale / OPRM Upscale / APRM Inop. Appendix F1, Section 6.1 reflects this LTR deviation.
NOTE: Appendix J Reference document 002N3909 can be provided in the reading room portal, if desired.
NOTE:  Appendix J Reference document 001N5636 can be provided in the reading room portal, if desired. This topic was discussed during previous PRNM projects. Please see, Enclosure 1 (Section 1.5 and Appendix A) of ML12040A073, submitted for Columbia.
: 2. Time to Calculate Flow
-biased Trip Setpoint. This clarifies a statement in the LTR but does not affect the NUMAC PRNM design.
NOTE:  Appendix J Reference document 001N5637 can be provided in the reading room portal, if desired. This topic was discussed during a previous PRNM project. Please see, Enclosure 1 of ML12040A073, submitted for Columbia.
: 3. Abnormal Conditions Leading to Inoperative Status. Appendix F2, Section 4.3.4.9 reflects this LTR deviation
. NOTE: Appendix J Reference document 001N5635 can be provided in the reading room portal, if desired. This topic was DOC-0006-2118 R6    PSEG Update 11 16  29  No. Resp. Issue Description Status RAI No. PSEG Response discussed during a previous PRNM project. Please see Enclosure 1 of ML12040A073, submitted for Columbia.
: 4. OPRM Pre
-Trip Alarms. Appendix F1, Section 4.3.1.2 reflects this LTR deviation.
NOTE:  Appendix J Reference document 001N5641 can be provided in the reading room portal, if desired. This topic was discussed during a previous PRNM project. Please see Appendix A (page A
-5) of ML101790437, submitted for Grand Gulf (DSS-CD Plant like HCGS).
: 5. Increased Instrument Security. Appendix F1 Section 4.1 (traceable item 436R) provides the higher level requirement that the system provides a means to adjust user
-configurable parameters, and Appendix F2 Section 4.4.14 (traceable item 2345R) incorporates the same feature at the instrument level. That the Hope Creek design implements increased security relative to previous applications may be seen by comparing it to a previous application. Please see Section 4.4.8 of 25A5916, APRM Performance Specification for CGS (Reference 64 and included in Appendix A)
- ML12040A074 submitted for Columbia. That design includes an "OPER
-SET" function, a DOC-0006-2118 R6    PSEG Update 11 16   30  No. Resp. Issue Description Status RAI No. PSEG Response function that enables the user to adjust a small number of select parameters after entering a password but without placing the instrument in INOP. PSEG elected to not include this feature at Hope Creek.
NOTE: Appendix J Reference document 001N5640 can be provided in the reading room portal, if desired.
: 6. PRNM System Input Power Source. The deviation does not affect the PRNM design. Appendix F1 Section 7.5 reflects the type of input power as described in the Hope Creek LAR Attachment 1 Section 4.1.1 page 28 of 46, which deviates from what is described in the LTR. NOTE: Appendix J Reference document 002N3909 can be provided in the reading room portal, if desired.
Differences from Columbia Generating Station PRNM
Differences from Columbia Generating Station PRNM
: 1. OPRM Solution. Appendix F1 Section 4.1 (traceable item 225) and 4.3 reflect this difference. 2. Relay Logic Module. The new part is incorporated in schematics and bills of material, which may be placed in the reading room portal if desired. The DOC-0006-2118 R6   PSEG Update 11 16   31  No. Resp. Issue Description Status RAI No. PSEG Response design function is not changed and therefore does not affect Appendix F.
: 1. OPRM Solution. Appendix F1 Section 4.1 (traceable item 225) and 4.3 reflect this difference.
: 3. APRM High voltage Power Supply. Appendix F2 Section 4.4.2 (traceable item 2322) reflects this difference (note that Appendix F2 Table 4.3
: 2. Relay Logic Module. The new part is incorporated in schematics and bills of material, which may be placed in the reading room portal if desired. The 30
-1 erroneously points to Section 3.3.1 vs 4.4.2 for  
 
'Manual LPRM I/V curve request').
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description                         Status RAI No. PSEG Response design function is not changed and therefore does not affect Appendix F.
: 4. Display of Calibration Constants for LPRM Detector and Flow Signals. Appendix F2 Section 4.4.5 (traceable item 2287) reflects this difference.
: 3. APRM High voltage Power Supply.
Appendix F2 Section 4.4.2 (traceable item 2322) reflects this difference (note that Appendix F2 Table 4.3-1 erroneously points to Section 3.3.1 vs 4.4.2 for Manual LPRM I/V curve request).
: 4. Display of Calibration Constants for LPRM Detector and Flow Signals.
Appendix F2 Section 4.4.5 (traceable item 2287) reflects this difference.
: 5. Instrument Front Panel Display. The new part is incorporated in schematics and bills of material, which may be placed in the reading room portal if desired. The design function is not changed and therefore does not affect Appendix F.
: 5. Instrument Front Panel Display. The new part is incorporated in schematics and bills of material, which may be placed in the reading room portal if desired. The design function is not changed and therefore does not affect Appendix F.
: 17. EICB System Requirements
: 17. EICB System Requirements                       Close  No      3/15/2016 The requirements marked with brackets in Appendix F defines the system                            Appendix F are identified for traceability requirements for the NUMAC PRNM                          purposes. Appendix F also includes system. There are requirements identified                several sections that are written in (use of the word SHALL) that do not                      support of the requirements marked with include identifiers in brackets (e.g.,                    brackets for traceability. Section 4 of Section 5.6). Then there are statements                  Appendix F1 states The primary system that seems more description than                          functions of the integrated NUMAC requirements (e.g., Sections 5.4 and 5.5).                PRNM replacement system are summarized below, followed by a specific 31
 
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description                            Status        RAI No. PSEG Response Clarify if all sections are requirements for                        identification of the safety functions of the the system.                                                        system. See Sections 5 and 6 for more details on the input and output requirements discussed in this section.
Therefore, Sections 5 and 6 are also considered as requirements although these requirements would not be explicitly traced in downstream documents. For example, it would be cumbersome to establish traceability for the LPRM assignments in Section 5.1. However, each LPRM assignment will be verified and validated in the V&V activities. The bases for the V&V would be Section 5.1 of Appendix F.
: 18. SRXB  HCGS is changing the existing ABB            Close          No      6/21/2016 OPRM with the BWROG Option III                                      A representative power/flow map was stability solution to the GEH-OPRM with      7/6/2016              placed in the PRNM Reading Room portal the Detect and Suppress Solution-                                  May 18, 2016:
Confirmation Density (DSS-CD) stability      SRXB reviewed solution.                                    the
* 003N5661r0_HCGS_OI18_PF representative              Map.pdf Submit the HCGS power/flow map              power/flow map identifying Scram (Region I) and            in the reading        4/19/2016 Controlled Entry (Region II). A plant-      portal.                PSEG can supply a representative specific power/flow map is required for                            power/flow map with BSP regions the review of DSS-CD setpoint evaluation    6/9/2016              identified. However, PSEG would like given in Appendix T, HCGS Thermal          NRC staff will        clarification on the purpose/value of Hydraulic Stability, DSS-CD Evaluation      review the            providing such a map. The Amplitude of NEDC-33864P.                              representative        Discriminator Setpoint (SAD) and power/flow map        minimum time period limit (Tmin) are not dependent on the BSP regions as 32


Appendix F defines the system requirements for the NUMAC PRNM system. There are requirements identified (use of the word SHALL) that do not include identifiers in brackets (e.g., Section 5.6). Then there are statements that seems more description than requirements (e.g., Sections 5.4 and 5.5). Close No 3/15/2016 The requirements marked with brackets in Appendix F are identified for traceability purposes. Appendix F also includes several sections that are written in support of the requirements marked with brackets for traceability. Section 4 of Appendix F1 states "The primary system functions of the integrated NUMAC PRNM replacement system are summarized below, followed by a specific DOC-0006-2118 R6   PSEG Update 11 16  32  No. Resp. Issue Description Status RAI No. PSEG Response Clarify if all sections are requirements for the system.
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description                         Status         RAI No. PSEG Response in the reading         described in Section 2.1 of NEDC-room portal.          33864P, Appendix T. The ABSP setpoints are developed based on the BSP Region I; however, the methodology described in the DSS-CD LTR is applied to establish or validate the ABSP setpoints (NEDC-33075P, Section 7.4 details ABSP region generation, Section 7.5.4 details ABSP implementation). This methodology will be applied on a cycle specific basis as required by Section 7.5.3 of the DSS-CD LTR. Section 7.2 of the DSS-CD LTR describes the methodology for the generation of the manual BSP regions. With the implementation of DSS-CD there are no changes to the process to determine the cycle-specific manual BSP regions and the existing BSP methodology.
identification of the safety functions of the system. See Sections 5 and 6 for more details on the input and output requirements discussed in this section."  Therefore, Sections 5 and 6 are also considered as requirements although these requirements would not be explicitly traced in downstream documents. For example, it would be cumbersome to establish traceability for the LPRM assignments in Section 5.1.
: 19. SRXB TS Change 8a, Table 3.3.6-2, Page 3/4     Close          No      4/19/2016 3-59, Control Rod Block Instrumentation                           The values provided in TS 3.1.4.3 are for set points:                                                       determination of the operating region where the RBM is required to be The proposed new notes a, b, c, and d                             operable. The 30% and 90% values are identify a low power set point of 28%                             not associated with the power setpoints.
However, each LPRM assignment will be verified and validated in the V&V activities. The bases for the V&V would be Section 5.1 of Appendix F.
rated thermal power and a high power                             The RBM is required to be operable set point of 83% rated thermal power. In                         above 30% RTP if the MCPR value is the proposed addition to the Applicability                       below the MCPR value provided in the section for Rod Block Monitor in TS                               COLR. There will be two MCPR values 3.1.4.3 (Page 3/4 1-18), 30% and 90%                             provided in the COLR; one that is are proposed. Provide a justification for                        applicable with power less than 90% RTP and one applicable at or above 90% RTP.
: 18. SRXB HCGS is changing the existing ABB OPRM with the BWROG Option III stability solution to the GEH
33
-OPRM with the Detect and Suppress Solution
-Confirmation Density (DSS
-CD) stability solution.
Submit the HCGS power/flow map identifying Scram (Region I) and Controlled Entry (Region II). A plant
-specific power/flow map is required for the review of DSS
-CD setpoint evaluation given in Appendix T, "HCGS Thermal Hydraulic Stability, DSS
-CD Evaluation" of NEDC-33864P. Close  7/6/2016  SRXB reviewed the representative power/flow map in the reading portal. 6/9/20 16 NRC staff will review the representative power/flow map No 6/21/20 16 A representative power/flow map was placed in the PRNM Reading Room portal May 18, 2016:
003N5661r0_HCGS_OI18_PF Map.pdf  4/19/2016 PSEG can supply a representative power/flow map with BSP regions identified. However, PSEG would like clarification on the purpose/value of providing such a map. The Amplitude Discriminator Setpoint (SAD) and minimum time period limit (Tmin) are not dependent on the BSP regions as DOC-0006-2118 R6    PSEG Update 11 16   33  No. Resp. Issue Description Status RAI No. PSEG Response in the reading r oom portal. described in Section 2.1 of NEDC
-33864P, Appendix T. The ABSP setpoints are developed based on the BSP Region I; however, the methodology described in the DSS
-CD LTR is applied to establish or validate the ABSP setpoints (NEDC
-33075P, Section 7.4 details ABSP region generation, Section 7.5.4 details ABSP implementation). This methodology will be applied on a cycle specific basis as required by Section 7.5.3 of the DSS
-CD LTR. Section 7.2 of the DSS-CD LTR describes the methodology for the generation of the manual BSP regions. With the implementation of DSS
-CD there are no changes to the process to determine the cycle-specific manual BSP regions and the existing BSP methodology.
: 19. SRXB TS Change 8a, Table 3.3.6
-2, Page 3/4 3-59, Control Rod Block Instrumentation set points:
The proposed new notes a, b, c, and d identify a low power set point of 28% rated thermal power and a high power set point of 83% rated thermal power. In the proposed addition to the Applicability section for Rod Block Monitor in TS 3.1.4.3 (Page 3/4 1
-18), 30% and 90% are proposed. Provide a justification for Close  No 4/19/2016 The values provided in TS 3.1.4.3 are for determination of the operating region where the RBM is required to be operable. The 30% and 90% values are not associated with the power setpoints. The RBM is required to be operable above 30% RTP if the MCPR value is below the MCPR value provided in the COLR. There will be two MCPR values provided in the COLR; one that is applicable with power less than 90% RTP and one applicable at or above 90% RTP.
DOC-0006-2118 R6    PSEG Update 11 16  34  No. Resp. Issue Description Status RAI No. PSEG Response the margins of 2% for the low set point and 7% for the high set point.
Unlike the power setpoints described below, the operability requirements are administrative. The operability requirements were determined by the analysis detailed in Section 3.5 of NEDC
-33864P, Appendix S.
TS Table 3.3.6
-2 has the added notes a, b, c, and d which identify the LPSP, IPSP, and HPSP. These setpoints are used to distinguish rated thermal power ranges that apply to the power trip setpoints. Section 3.3.1 of NEDC-33864P, Appendix S details the analysis completed for the determination of these values. Analytical Limits for the LPSP, IPSP, and HPSP are provided in Tables 5 and 6 of Appendix S while the Allowable Values and Nominal Trip Setpoints are provided in Section 3 of Appendix P2. Allowable Values are used in TS for the power setpoints; the analytical limit for the LPSP is 30%.
The RBM is automatically bypassed below the LPSP in accordance with the 30% operability criteria described above. The HPSP does not represent an automatic bypass and is not associated with the 90% operability criteria.
: 20. SRXB (a)  TS 6.9.1.9, Page 6
-20, Core Operating Limits Report:
(a) Close  (b) Close  6/9/2016 No 6/21/20 16 (b) The proposed revisions to TS 6.9.1.9 are consistent and appropriate for the existing HCGS (non
-improved standard) TS.
DOC-0006-2118 R6    PSEG Update 11 16  35  No. Resp. Issue Description Status RAI No. PSEG Response Add or provide justification for not including the following staff
-approved LTRs as references:
NEDC-33075P-A, Revision 8, "GE Hitachi Boiling Water Reactor Detect and Suppress Solution
-Confirmation Density," November 2013.
NEDC-32410P-A, Supplement 1, "Nuclear Measurement Analysis and Control Power Range Neutron Monitor (NUMAC PRNM) Retrofit Plus Option Ill Stability Trip Function," November 1997.
NEDC-32410P-A, "Nuclear Measurement Analysis and Control Power Range Neutron Monitor (NUMAC PRNM) Retrofit Plus Option Ill Stability Trip Function," October 1995.  (b)  TS 6.9.1.9, Page 6
-20, Core Operating Limits Report:
The following is provided in the DSS
-CD LTR NEDC-33075P-A, Revision 8, Appendix A, Example of Changes to BWR/4 Standard Technical Specifications, TS Section 5.6.3, which is not included in the proposed Administrative Controls section of the The Columbia LAR is no t exactly like the Hope Creek LAR - Columbia was not putting in DSS-CD. It is not clear how the proposed addition of 3/4.3.1 and 3/4.3.6 will satisfy Item 1 of Appendix A, 5.6.3(a). DSS
-CD LTR NEDC
-
33075P-A, Appendix A states that "For DSS-CD, the following is required in addition to the normal list of limits." 
- As noted in the previous response, Appendix A of NEDC
-33075P-A provides DSS-CD changes to the GE improved standard TS and Bases. PSEG does not have improved standard TS/Bases; the language in TS 6.9.1.9 is different tha n the language in improved standard TS 5.6.3. Specifically, Hope Creek's language is: "Core operating limits shall be established and documented in the PSEG Nuclear LLC generated Core Operating Limits Report before each reload cycle, or any remaining part of a reload cycle for the following Technical Specifications:." The difference is Hope Creek's language points to the specific Technical Specifications; whereas, the improved TS 5.6.3 (and CGS and NMP) language uses the phrase "- for the following:"; i.e., it is not pointing to the specific Technical Specifications but leaving it open to what is described 'in the following.'  Therefore, consistent with the HCGS language and the current listing of TS in TS 6.9.1.9, the specific TS affected by the PRNM/DSS
-CD upgrade have been added to the list.
4/19/2016  (a) NEDC-33075P-A, Revision 8 (DSS
-CD LTR) is incorporated by reference:  Section 3.2 of Appendix T (NEDC
-
DOC-0006-2118 R6    PSEG Update 11 16  36  No. Resp. Issue Description Status RAI No. PSEG Response technical specifications, Page 6
-20, 6.9.1.9, Core Operating Limit Report:


"[For DSS-CD, the following is required in addition to the normal list of limits.]"
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description                      Status    RAI No. PSEG Response the margins of 2% for the low set point                   Unlike the power setpoints described and 7% for the high set point.                           below, the operability requirements are administrative. The operability requirements were determined by the analysis detailed in Section 3.5 of NEDC-33864P, Appendix S.
  "1. The Manual Backup Stability Protection (BSP) Scram Region (Region I), the Manual BSP Controlled Entry Region (Region II), the modified APRM flow-biased set point used in the OPRM, Automatic BSP Scram Region, and the BSP Boundary) for Specification 3.3.1.1."
TS Table 3.3.6-2 has the added notes a, b, c, and d which identify the LPSP, IPSP, and HPSP. These setpoints are used to distinguish rated thermal power ranges that apply to the power trip setpoints.
Explain in detail why the above requirements given in the DSS
Section 3.3.1 of NEDC-33864P, Appendix S details the analysis completed for the determination of these values. Analytical Limits for the LPSP, IPSP, and HPSP are provided in Tables 5 and 6 of Appendix S while the Allowable Values and Nominal Trip Setpoints are provided in Section 3 of Appendix P2. Allowable Values are used in TS for the power setpoints; the analytical limit for the LPSP is 30%.
-CD LTR are not in the proposed TSs. The NRC staff acknowledges that HCGS is not using "BSP Boundary," but justification is needed as to why the other regions are not applicable.
The RBM is automatically bypassed below the LPSP in accordance with the 30% operability criteria described above.
33864P) includes the disposition of Limitation and Condition 5.2 which indicates that GESTAR (Global Nuclear Fuel, "General Electric Standard Application for Reactor Fuel," NEDE
The HPSP does not represent an automatic bypass and is not associated with the 90% operability criteria.
-24011-P-A-22 and NEDE
: 20. SRXB  (a) TS 6.9.1.9, Page 6-20, Core        (a) Close No      6/21/2016 Operating Limits Report:                                  (b) The proposed revisions to TS 6.9.1.9 (b) Close        are consistent and appropriate for the existing HCGS (non-improved standard) 6/9/2016         TS.
-24011-P-A-22-US.), which includes reference to the DSS-CD LTR, is referenced in TS 6.9.1.9.
34
NEDC-32410P-A (PRNM LTR) is not required, or appropriate, to include in the COLR list of references. The PRNM LTR does not provide any analytical methodology for determining operating limits contained in the COLR. The PRNM LTR references were also not included in the approved changes to TS 5.6.3 (COLR) for the Columbia Generating Station PRNM upgrade (ADAMS ML13317B623). (b) Appendix A of NEDC
-33075P-A provides DSS
-CD changes to the GE improved standard TS and Bases; PSEG has included appropriate language for the HCGS TS Bases. The limits in question are applicable to HCGS and are provided in the proposed changes to TS 6.9.1.9. This is indicated in mark
-up of TS 6.9.1.9 by the addition of TS 2.2 (Reactor Protection System Instrumentation Setpoints) and TS 3/4.3.1 (Reactor Protection System Instrumentation) to the list of applicable TS. The proposed DOC-0006-2118 R6    PSEG Update 11 16  37  No. Resp. Issue Description Status RAI No. PSEG Response changes to TS 2.2 and 3/4 3.1 indicate COLR provided values for the indicated limits. The proposed changes to HCGS TS 6.9.1.9 are similar to the approved changes to TS 5.6.3 (COLR) for the Columbia Generating Station PRNM upgrade. 21. SRXB TS Bases Insert 1, Page 3 of 5, 2.f. OPRM Upscale:
(a)  Add GDCs 10 and 12 and revise the first sentence as follows to be consistent with Appendix A of NEDC
-33075P-A:  The OPRM Upscale Function provides compliance with GDC 10 and 12, thereby providing protection from exceeding the fuel safety limit (SL) MCPR due to anticipated thermal
-hydraulic oscillations.
(b) Add the following to be consistent with Appendix A (page A
-20) of NEDC
-33075P-A:  Note (m) in TS page 3/4 3
-5 reflects the need for plant need for data collection in order to test the DSS
-CD equipment. Testing the DSS
-CD equipment ensures its proper operation and prevents spurious reactor trips. Entry into the DSS-CD Armed Region without automatic arming of DSS
-CD during this initial testing phase allows for changes in (a) Close  (b) Close No  No  4/19/2016 (a) The TS Bases will be revised in accordance with the Open Item.  


(b) Note (m) does not reflect a 'need', rather it describes an option (to prevent spurious scrams) that that plant may or may not choose to implement, consistent with NEDC-33075P-A, Section 3.2.6. Information on Note (m) is included in the TS Bases consistent with the level of detail in the existing HCGS TS Bases, and consistent for a 'one
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description                          Status            RAI No. PSEG Response Add or provide justification for not        The Columbia              As noted in the previous response, including the following staff-approved      LAR is not                Appendix A of NEDC-33075P-A provides LTRs as references:                        exactly like the          DSS-CD changes to the GE improved Hope Creek                standard TS and Bases. PSEG does not
-time' note. Also refer to the response to OI#23.
* NEDC-33075P-A, Revision 8, GE        LAR - Columbia            have improved standard TS/Bases; the Hitachi Boiling Water Reactor Detect  was not putting          language in TS 6.9.1.9 is different than and Suppress Solution-Confirmation    in DSS-CD. It is          the language in improved standard TS Density, November 2013.              not clear how            5.6.3. Specifically, Hope Creeks the proposed              language is: Core operating limits shall
* NEDC-32410P-A, Supplement 1,          addition of              be established and documented in the Nuclear Measurement Analysis and      3/4.3.1 and              PSEG Nuclear LLC generated Core Control Power Range Neutron            3/4.3.6 will              Operating Limits Report before each Monitor (NUMAC PRNM) Retrofit Plus    satisfy Item 1 of        reload cycle, or any remaining part of a Option Ill Stability Trip Function,  Appendix A,               reload cycle for the following Technical November 1997.                        5.6.3(a). DSS-            Specifications:. The difference is Hope CD LTR NEDC-              Creeks language points to the specific
* NEDC-32410P-A, Nuclear                33075P-A,                 Technical Specifications; whereas, the Measurement Analysis and Control      Appendix A                improved TS 5.6.3 (and CGS and NMP)
Power Range Neutron Monitor            states that For          language uses the phrase  for the (NUMAC PRNM) Retrofit Plus Option      DSS-CD, the              following:; i.e., it is not pointing to the Ill Stability Trip Function, October  following is             specific Technical Specifications but 1995.                                  required in              leaving it open to what is described in the addition to the          following. Therefore, consistent with the (b) TS 6.9.1.9, Page 6-20, Core            normal list of            HCGS language and the current listing of Operating Limits Report:                  limits.                  TS in TS 6.9.1.9, the specific TS affected by the PRNM/DSS-CD upgrade have The following is provided in the DSS-CD                            been added to the list.
LTR NEDC-33075P-A, Revision 8, Appendix A, Example of Changes to                                    4/19/2016 BWR/4 Standard Technical Specifications, TS Section 5.6.3, which is                          (a) NEDC-33075P-A, Revision 8 (DSS-not included in the proposed                                        CD LTR) is incorporated by reference:
Administrative Controls section of the                               Section 3.2 of Appendix T (NEDC-35


DOC-0006-2118 R6   PSEG Update 11 16   38  No. Resp. Issue Description Status RAI No. PSEG Response plant operations to address maintenance or other operational needs.
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description                         Status RAI No. PSEG Response technical specifications, Page 6-20,                      33864P) includes the disposition of 6.9.1.9, Core Operating Limit Report:                     Limitation and Condition 5.2 which indicates that GESTAR (Global Nuclear
: 22. SRXB Enclosure 3, NEDC
[For DSS-CD, the following is required in                Fuel, General Electric Standard addition to the normal list of limits.]                  Application for Reactor Fuel, NEDE-24011-P-A-22 and NEDE-24011-P-A          1. The Manual Backup Stability                          US.), which includes reference to the Protection (BSP) Scram Region (Region                    DSS-CD LTR, is referenced in TS 6.9.1.9.
-33864P, Appendix I, Diversity and Defense in Depth (D3) Analysis:
I), the Manual BSP Controlled Entry                      NEDC-32410P-A (PRNM LTR) is not Region (Region II), the modified APRM                    required, or appropriate, to include in the flow-biased set point used in the OPRM,                   COLR list of references. The PRNM LTR Automatic BSP Scram Region, and the                      does not provide any analytical BSP Boundary) for Specification 3.3.1.1.                methodology for determining operating limits contained in the COLR. The PRNM Explain in detail why the above                          LTR references were also not included in requirements given in the DSS-CD LTR                      the approved changes to TS 5.6.3 are not in the proposed TSs. The NRC                     (COLR) for the Columbia Generating staff acknowledges that HCGS is not                      Station PRNM upgrade (ADAMS using BSP Boundary, but justification is               ML13317B623).
(a)  Section 1.2, Background PRNM LTR NEDC
needed as to why the other regions are not applicable.                                          (b) Appendix A of NEDC-33075P-A provides DSS-CD changes to the GE improved standard TS and Bases; PSEG has included appropriate language for the HCGS TS Bases. The limits in question are applicable to HCGS and are provided in the proposed changes to TS 6.9.1.9.
-32410P, Section 6.4, provides a D3 assessment using EPRI Report No. NP
This is indicated in mark-up of TS 6.9.1.9 by the addition of TS 2.2 (Reactor Protection System Instrumentation Setpoints) and TS 3/4.3.1 (Reactor Protection System Instrumentation) to the list of applicable TS. The proposed 36
-2230, Part 3, "ATWS Frequency of Anticipated Transients."
Section 6.4.1 refers to Table F
-1. NRC staff review of this table is required to verify that for each event for which the PRNM may be called upon to initiate scram, there is at least one other parameter processed by a different type of I&C equipment that provides a diverse means of detecting the event and initiating a scram. This table is required for the review of Table 4.1, "Assessment of HCGS AOOs."  Please submit the EPRI report.
(b)  Section 4.1.2, Instability, page I
-9, states: "The postulated CCF in the PRNM system results in the system providing valid indications of plant conditions until the stability transient occurs -"  Assuming the failure of PRNM due to 6/9/2016  (a) Close  6/9/2016 The NRC staff requests PSEG to place EPRI Report NP-2230 in the reading room for review.  


(b) Close  (c) Close  6/9/2016 Staff will review the document in the reading room.
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description                          Status    RAI No. PSEG Response changes to TS 2.2 and 3/4 3.1 indicate COLR provided values for the indicated limits. The proposed changes to HCGS TS 6.9.1.9 are similar to the approved changes to TS 5.6.3 (COLR) for the Columbia Generating Station PRNM upgrade.
(d)  Close  6/9/2016 Table 4.1 does not provide sufficient information. The staff will review the EPRI No        No  SRXB RAI-1    No 6/21/20 16 (a), (d) As discussed during the April 19 th call: PSEG stated that it could not place the EPRI report in the project reading room (PSEG does not own the report, it must be obtained directly from EPRI). However the NRC could view Table F
: 21. SRXB  TS Bases Insert 1, Page 3 of 5, 2.f.        (a) Close No      4/19/2016 OPRM Upscale:
-1 in the CGS PRNM submittal
(b) Close No      (a) The TS Bases will be revised in (a) Add GDCs 10 and 12 and revise the                        accordance with the Open Item.
- it was understood that the NRC staff would look at the CGS document.
first sentence as follows to be consistent with Appendix A of NEDC-33075P-A:                            (b) Note (m) does not reflect a need, rather it describes an option (to prevent The OPRM Upscale Function provides                            spurious scrams) that that plant may or compliance with GDC 10 and 12, thereby                        may not choose to implement, consistent providing protection from exceeding the                       with NEDC-33075P-A, Section 3.2.6.
This was further discussed and agreed to in the response to OI#26. To further facilitate the review , a copy of the table has been placed in the PRNM Reading Room portal (refer to updated OI#26 response)
fuel safety limit (SL) MCPR due to                            Information on Note (m) is included in the anticipated thermal-hydraulic oscillations.                   TS Bases consistent with the level of (b) Add the following to be consistent                        detail in the existing HCGS TS Bases, with Appendix A (page A-20) of NEDC-                         and consistent for a one-time note. Also 33075P-A:                                                     refer to the response to OI#23.
. 4/19/2016 (a) The table NEDC-32410P-A Section 6.4 refers to is in NEDC
Note (m) in TS page 3/4 3-5 reflects the need for plant need for data collection in order to test the DSS-CD equipment.
-30851P-A, which references the EPRI report. NEDC
Testing the DSS-CD equipment ensures its proper operation and prevents spurious reactor trips. Entry into the DSS-CD Armed Region without automatic arming of DSS-CD during this initial testing phase allows for changes in 37
-30851P-A was reviewed and approved previously, so it does not seem necessary to submit the EPRI report.
The table from NEDC
-30851P-A was also reproduced in the Columbia PRNM LAR.
See NEDO-33694 (ML12040A076), containing the D3 analysis for the Columbia PRNM. The Hope Creek LAR supplemented this analysis with NEDC
-33864 Appendix I, which includes an DOC-0006-2118 R6    PSEG Update 11 16  39  No. Resp. Issue Description Status RAI No. PSEG Response CCF, which system will provide the valid indications during instability events?
(c) Section 4.1.2, Instability, pages I
-9 and I-10: Provide the TRACG transient results plots for the limiting cases to demonstrate that the SLMCPR is not exceeded for these events.
(d) On page I
-14, the response to BTP 7
-19 Criterion 7 states:
"- instability is the only AOO requiring a diverse protection method."  Please provide justification for this conclusion. Revise Table 4-2 to show that this conclusion is valid.
Report in an effort to resolve the issue.
evaluation of each event in the Hope Creek UFSAR against the criteria in BTP 7-19.
(b) The diverse systems that provide valid indications are described in Appendix I Section 4.1.2, starting with the last paragraph on page I
-9 (2RPT scenario) and the last paragraph on page I
-10 (LFWH scenario).
(c) The requested plots for the limiting cases are provided in GEH Document 003N5152, Revision 0. This document has been placed in the PRNM Reading Room portal.


(d) The quoted section refers to Section 4.1, which includes Table 4.1 (not Table 4.2). Generic and plant
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description                          Status            RAI No. PSEG Response plant operations to address maintenance or other operational needs.
-specific discussions are provided in Table 4.1 for each event except instability justifying that there is no threat to the applicable limits (BTP 7-19 Criterion (1)) posed by a CCF in PRNM in conjunction with the event.
: 22. SRXB  Enclosure 3, NEDC-33864P, Appendix I,      6/9/2016                    6/21/2016 Diversity and Defense in Depth (D3)                                    (a), (d) As discussed during the April 19th Analysis:                                  (a) Close        No        call: PSEG stated that it could not place the EPRI report in the project reading (a) Section 1.2, Background                6/9/2016                    room (PSEG does not own the report, it The NRC staff              must be obtained directly from EPRI).
: 23. SRXB Enclosure 3, NEDC
PRNM LTR NEDC-32410P, Section 6.4,          requests PSEG              However the NRC could view Table F-1 in provides a D3 assessment using EPRI        to place EPRI              the CGS PRNM submittal - it was Report No. NP-2230, Part 3, ATWS          Report NP-2230              understood that the NRC staff would look Frequency of Anticipated Transients.      in the reading              at the CGS document. This was further Section 6.4.1 refers to Table F-1. NRC      room for review.           discussed and agreed to in the response staff review of this table is required to                              to OI#26. To further facilitate the review, No verify that for each event for which the    (b) Close                  a copy of the table has been placed in the PRNM may be called upon to initiate                                    PRNM Reading Room portal (refer to SRXB RAI-scram, there is at least one other          (c) Close                  updated OI#26 response).
-33864P, Appendix R, Plant Responses Required by PRNM LTR:  On page R-21, the licensee provided the following response:
1 parameter processed by a different type of I&C equipment that provides a diverse    6/9/2016                    4/19/2016 means of detecting the event and            Staff will review initiating a scram. This table is required  the document in             (a) The table NEDC-32410P-A Section for the review of Table 4.1, Assessment    the reading                6.4 refers to is in NEDC-30851P-A, which of HCGS AOOs. Please submit the           room.             No        references the EPRI report. NEDC-EPRI report.                                                            30851P-A was reviewed and approved (b) Section 4.1.2, Instability, page I-9,  (d) Close                  previously, so it does not seem necessary states:                                                                to submit the EPRI report.
Close  6/9/2016 The NRC staff will review the document in the reading room.
6/9/2016                   The table from NEDC-30851P-A was also The postulated CCF in the PRNM            Table 4.1 does              reproduced in the Columbia PRNM LAR.
No 4/19/2016 The response is provided in GEH Document 003N5152, Revision 0, which has been placed in the PRNM Reading Room portal.
system results in the system providing      not provide                See NEDO-33694 (ML12040A076),
valid indications of plant conditions until sufficient                  containing the D3 analysis for the the stability transient occurs            information.                Columbia PRNM. The Hope Creek LAR Assuming the failure of PRNM due to        The staff will              supplemented this analysis with NEDC-review the EPRI            33864 Appendix I, which includes an 38


DOC-0006-2118 R6   PSEG Update 11 16   40  No. Resp. Issue Description Status RAI No. PSEG Response "Regarding the initial monitoring period, the GEH NUMAC OPRM system can be installed and activated immediately without an initial monitoring period because: 1) The operating experience of the GEH NUMAC OPRM system in general is sufficient, 2) The GEH NUMAC OPRM system is replacing the current Option III OPRM system, 3)
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description                           Status           RAI No. PSEG Response CCF, which system will provide the valid    Report in an             evaluation of each event in the Hope indications during instability events?      effort to resolve        Creek UFSAR against the criteria in BTP the issue.               7-19.
[[ - ]]. The DSS-CD LTR does not require an additional monitoring period."
(c) Section 4.1.2, Instability, pages I-9 and I-10:                                                            (b) The diverse systems that provide valid indications are described in Appendix I Provide the TRACG transient results                                  Section 4.1.2, starting with the last plots for the limiting cases to demonstrate                          paragraph on page I-9 (2RPT scenario) that the SLMCPR is not exceeded for                                  and the last paragraph on page I-10 these events.                                                        (LFWH scenario).
Every plant PRNMS is unique and, therefore, a monitoring period is required. Because only a few BWRs have implemented DSS
(d) On page I-14, the response to BTP 7-19 Criterion 7 states:                                                (c) The requested plots for the limiting cases are provided in GEH Document instability is the only AOO requiring a                            003N5152, Revision 0. This document diverse protection method. Please                                    has been placed in the PRNM Reading provide justification for this conclusion.                            Room portal.
-CD, there is insufficient operating data to justify a deviation from the staff position discussed in the approved LTR (SER Section 3.2.6, First Cycle Implementation). Please provide justification for not requiring an additional monitoring period.
Revise Table 4-2 to show that this conclusion is valid.                                                  (d) The quoted section refers to Section 4.1, which includes Table 4.1 (not Table 4.2). Generic and plant-specific discussions are provided in Table 4.1 for each event except instability justifying that there is no threat to the applicable limits (BTP 7-19 Criterion (1)) posed by a CCF in PRNM in conjunction with the event.
: 24. SRXB Enclosure 3, NEDC
: 23. SRXB Enclosure 3, NEDC-33864P, Appendix         Close            No      4/19/2016 R, Plant Responses Required by PRNM                                  The response is provided in GEH LTR:                                        6/9/2016                  Document 003N5152, Revision 0, which The NRC staff            has been placed in the PRNM Reading On page R-21, the licensee provided the    will review the          Room portal.
-33864P, Appendix S, Supplemental Information for ARTS for HCGS. The Section 3.3.1 analyses refer to a generic statistical analysis for application to all BWRs, including HCGS. Identify the staff-approved LTR section that approved the generic statistical analyses.
following response:                         document in the reading room.
Close  6/9/2016 The generic statistical analyses refer to GESTAR NEDE-24011-P-A. During the No 6/21/20 16 As stated below, there is no approved ARTS LTR; also note that Appendix S Section 3.3.1 does not refer to GESTAR for the generic statistical analysis. The information provided in Appendix S is consistent with the level of information that was provided for Columbia which DOC-0006-2118 R6    PSEG Update 11 16  41  No. Resp. Issue Description Status RAI No. PSEG Response staff's review of this document, it was unable to identify the source for Table 2 of Appendix S and the applicability of Table 2 to Hope Creek. Typically, there will be a generic LTR approved by the staff for the approval of the statistical analyses. The staff needs to see this generic analyses for rod withdrawal error (RWE). implemented full ARTS (NRC SE: ADAMS ML13317B623).
39
4/19/2016 There is no NRC approved ARTS LTR; ARTS are individually analyzed and approved for each plant. ARTS (concurrent with MELLLA) for HCGS was approved by Amendment 163 (ADAMS ML060620500). A HCGS
-specific ARTS/MELLLA safety analysis report (A/MSAR), NEDC
-33066P, was submitted to support the change. As discussed in NEDC-33864P Appendix S, the implementation of the NUMAC PRNM allows for the hardware portion of ARTS to be installed thus allowing the transition to full ARTS.
: 25. SRXB Enclosure 3, NEDC
-33864P, Appendix T, HCGS Thermal Hydraulic Stability, DSS
-CD Evaluation:
(a)  Section 2.1 DSS
-CD Set points:
"As a part of DSS
-CD implementation, the applicability checklist is incorporated into the reload evaluation process and is documented in the Supplemental Reload Licensing Report (SRLR)."  Submit the SRLR for GNF2 fuel to verify the DSS
-CD (a)  Close (b)  Close (c)  Close


(d)  Close (e)  Close No  No  No No  No 6/21/2016 (e) Hope Creek has never experienced feedwater temperature reduction greater than 102 °F.
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description                             Status           RAI No. PSEG Response Regarding the initial monitoring period, the GEH NUMAC OPRM system can be installed and activated immediately without an initial monitoring period because: 1) The operating experience of the GEH NUMAC OPRM system in general is sufficient, 2) The GEH NUMAC OPRM system is replacing the current Option III OPRM system, 3) (( )). The DSS-CD LTR does not require an additional monitoring period.
4/19/2016  (a) The DSS
Every plant PRNMS is unique and, therefore, a monitoring period is required.
-CD implementation at HCGS is based on GE14 fuel and is done per the DSS
Because only a few BWRs have implemented DSS-CD, there is insufficient operating data to justify a deviation from the staff position discussed in the approved LTR (SER Section 3.2.6, First Cycle Implementation). Please provide justification for not requiring an additional monitoring period.
-CD LTR (NEDC
: 24. SRXB  Enclosure 3, NEDC-33864P, Appendix S,       Close            No      6/21/2016 Supplemental Information for ARTS for                                 As stated below, there is no approved HCGS.                                       6/9/2016                  ARTS LTR; also note that Appendix S The generic              Section 3.3.1 does not refer to GESTAR The Section 3.3.1 analyses refer to a         statistical              for the generic statistical analysis. The generic statistical analysis for application analyses refer to        information provided in Appendix S is to all BWRs, including HCGS. Identify        GESTAR                    consistent with the level of information the staff-approved LTR section that          NEDE-24011-P-            that was provided for Columbia which approved the generic statistical analyses. A. During the 40
-33075P-A, Revision 8).
DOC-0006-2118 R6   PSEG Update 11 16   42  No. Resp. Issue Description Status RAI No. PSEG Response implementation process. (Confirmatory item) (b) HCGS plans to transition from GE
-14 to GNF2 during the implementation of PRNMS. Resubmit Appendix T, HCGS Thermal Hydraulic Stability DSS
-CD Evaluation and Appendix S, Supplemental Information for ARTS for HCGS, for the GNF2. RWE analysis was done for Cycle 13. RWE analyses are required with the GNF2 fuel. (Confirmatory item)
(c)  HCGS plant
-specific LPRM/APRM data was gathered during Cycle 18 and Cycle 19 at lower power/flow conditions, rather than at full power/flow conditions. Please justify why it was not necessary to collect data at full power/flow conditions.
(d)  In Table 2
-1, a Checklist Confirmation is provided. The NRC staff may perform an audit to verify the confirmations done for all the parameters.
(e) The rated feedwater temperature reduction is provided in Table 2
-1. Historically, what has been the maximum feedwater heater temperature reduction experienced at HCGS?
6/9/2016 Some plants have experienced larger feedwater temperature reduction than the reduction value assumed in the analyses. Have there been any instances at Hope Creek when the feedwater temperature decreased more than 102 degrees F?
(f) Close  6/9/2016  The staff will review the information in the reading room portal.


(g)  Close
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description                          Status            RAI No. PSEG Response staffs review of        implemented full ARTS (NRC SE:
this document, it        ADAMS ML13317B623).
was unable to identify the              4/19/2016 source for Table          There is no NRC approved ARTS LTR; 2 of Appendix S          ARTS are individually analyzed and and the                  approved for each plant. ARTS applicability of          (concurrent with MELLLA) for HCGS was Table 2 to Hope          approved by Amendment 163 (ADAMS Creek.                    ML060620500). A HCGS-specific Typically, there          ARTS/MELLLA safety analysis report will be a generic        (A/MSAR), NEDC-33066P, was submitted LTR approved              to support the change. As discussed in by the staff for          NEDC-33864P Appendix S, the the approval of          implementation of the NUMAC PRNM the statistical          allows for the hardware portion of ARTS analyses. The            to be installed thus allowing the transition staff needs to            to full ARTS.
see this generic analyses for rod withdrawal error (RWE).
: 25. SRXB Enclosure 3, NEDC-33864P, Appendix T,      (a) Close        No      6/21/2016 HCGS Thermal Hydraulic Stability, DSS-                                (e) Hope Creek has never experienced CD Evaluation:                              (b) Close        No      feedwater temperature reduction greater than 102 °F.
(a) Section 2.1 DSS-CD Set points:
(c) Close        No As a part of DSS-CD implementation,                                  4/19/2016 the applicability checklist is incorporated into the reload evaluation process and is                            (a) The DSS-CD implementation at documented in the Supplemental Reload (d) Close              No      HCGS is based on GE14 fuel and is done Licensing Report (SRLR). Submit the                                  per the DSS-CD LTR (NEDC-33075P-A, SRLR for GNF2 fuel to verify the DSS-CD (e) Close             No      Revision 8).
41


SRXB RAI-2
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description                          Status          RAI No. PSEG Response implementation process. (Confirmatory                                  The DSS-CD stability section of the SRLR item)                                      6/9/2016                  is of a standard format, which includes Some plants                the confirmation checklist. If required, (b) HCGS plans to transition from GE-14 have                          GEH can provide the reference of a to GNF2 during the implementation of        experienced                representative DSS-CD SRLR already PRNMS. Resubmit Appendix T, HCGS            larger feedwater          issued for another plant.
Thermal Hydraulic Stability DSS-CD          temperature Evaluation and Appendix S,                  reduction than            (b) The PRNM license amendment Supplemental Information for ARTS for      the reduction              request is based on the GE14 fuel design HCGS, for the GNF2. RWE analysis was value assumed                    that is currently in operation at Hope done for Cycle 13. RWE analyses are        in the analyses.          Creek.
required with the GNF2 fuel.                Have there been            The DSS-CD implementation at HCGS is (Confirmatory item)                        any instances at          per the DSS-CD LTR (NEDC-33075P-A, Hope Creek                Revision 8). Any future implementation of (c) HCGS plant-specific LPRM/APRM          when the                  a new fuel design at HCGS, such as data was gathered during Cycle 18 and      feedwater                  GNF2, will be addressed through the Cycle 19 at lower power/flow conditions,    temperature                approved DSS-CD process described in rather than at full power/flow conditions. decreased more            Section 6.1of the LTR. Plant-specific Please justify why it was not necessary to than 102                    review and approval is not required for collect data at full power/flow conditions. degrees F?                fuel transition as stated in Items 7 and 9 (d) In Table 2-1, a Checklist                                          in Section 6.0 of the Safety Evaluation of Confirmation is provided. The NRC staff    (f) Close        SRXB RAI- the DSS-CD LTR (NEDC-33075P-A, may perform an audit to verify the                          2         Revision 8).
confirmations done for all the              6/9/2016                  As stated in the first paragraph of Section parameters.                                                            3.3.1 of Appendix S, A generic statistical The staff will            analysis for application to all BWRs (e) The rated feedwater temperature        review the                including HCGS has been performed and reduction is provided in Table 2-1.        information in            is summarized in Table 2. The Historically, what has been the maximum    the reading                application of these results is validated for feedwater heater temperature reduction      room portal.              GE and GNF fuel and core design for experienced at HCGS?                                                  each reload analysis in accordance with (g) Close        No        Reference 2. (Reference 2 being GESTAR-II). Consequently, the 42


No  The DSS-CD stability section of the SRLR is of a standard format, which includes the confirmation checklist. If required, GEH can provide the reference of a representative DSS
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description                         Status RAI No. PSEG Response (f) The TRACG confirmatory best-                         application of the generic statistical estimate MCPR margins to the SLMCPR                     analysis is not dependent on plant type, were calculated and are summarized in                    specific core design, or specific GE / GNF Table 2-2. Submit the detailed plots that                fuel design. The application of these include the important parameters for the                results will be validated on a cycle most limiting case.                                      specific bases including consideration of any future new fuel designs, such as (g) Table 3-1, Disposition of Limitations                GNF2, as described in Section 1.2.6 B of and Conditions:                                          GESTAR-II.
-CD SRLR already issued for another plant.
In the table, only Condition 9.18 is                    (c) Thermal-Hydraulic instabilities are not addressed. Please address all (except                    of concern at rated conditions and the for MELLLA+ items) conditions and                        DSS-CD system is not armed at rated limitations identified in the SER for                    conditions. Therefore, data collected at NEDC-33173P, Applicability of GE                        rated conditions is not of interest for DSS-Methods to Expanded Operating                            CD applications.
(b) The PRNM license amendment request is based on the GE14 fuel design that is currently in operation at Hope Creek. The DSS-CD implementation at HCGS is per the DSS-CD LTR (NEDC
Domains.
-33075P-A, Revision 8). Any future implementation of a new fuel design at HCGS, such as GNF2, will be addressed through the approved DSS
-CD process described in Section 6.1of the LTR. Plant
-specific review and approval is not required for fuel transition as stated in Items 7 and 9 in Section 6.0 of the Safety Evaluation of the DSS-CD LTR (NEDC
-33075P-A, Revision 8).
As stated in the first paragraph of Section 3.3.1 of Appendix S, "A generic statistical analysis for application to all BWRs including HCGS has been performed and is summarized in Table 2. The application of these results is validated for GE and GNF fuel and core design for each reload analysis in accordance with Reference 2." (Reference 2 being GESTAR-II). Consequently, the DOC-0006-2118 R6   PSEG Update 11 16   43  No. Resp. Issue Description Status RAI No. PSEG Response (f) The TRACG confirmatory best
-estimate MCPR margins to the SLMCPR were calculated and are summarized i n Table 2-2. Submit the detailed plots that include the important parameters for the most limiting case.
(g)  Table 3
-1, Disposition of Limitations and Conditions:
In the table, only Condition 9.18 is addressed. Please address all (except for MELLLA+ items) conditions and limitations identified in the SER for NEDC-33173P, "Applicability of GE Methods to Expanded Operating Domains." application of the generic statistical analysis is not dependent on plant type, specific core design, or specific GE / GNF fuel design. The application of these results will be validated on a cycle specific bases including consideration of any future new fuel designs, such as GNF2, as described in Section 1.2.6 B of GESTAR-II.   (c) Thermal
-Hydraulic instabilities are not of concern at rated conditions and the DSS-CD system is not armed at rated conditions. Therefore, data collected at rated conditions is not of interest for DSS
-CD applications.
(d) No response required.
(d) No response required.
(e) Hope Creek is licensed to operate at rated thermal power with feedwater at a minimum temperature of 329.6 °F (HCGS FOL 2.C.11). This corresponds to a 102 °F reduction from the rated feedwater temperature of 431.6 °F. PSEG would like clarification on why the maximum historical feedwater temperature reduction value is required in support of the value indicated in Table 2
(e) Hope Creek is licensed to operate at rated thermal power with feedwater at a minimum temperature of 329.6 °F (HCGS FOL 2.C.11). This corresponds to a 102
-1. (f) The requested plot for the cases listed in Table 2
                                                                  °F reduction from the rated feedwater temperature of 431.6 °F. PSEG would like clarification on why the maximum historical feedwater temperature reduction value is required in support of the value indicated in Table 2-1.
-2 is provided in GEH Document 003N5152, Revision 0, which DOC-0006-2118 R6   PSEG Update 11 16   44  No. Resp. Issue Description Status RAI No. PSEG Response has been placed in the PSEG Reading Room portal.
(f) The requested plot for the cases listed in Table 2-2 is provided in GEH Document 003N5152, Revision 0, which 43
(g) The DSS
 
-CD methodology is used for the detection and suppression of thermal
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description                         Status         RAI No. PSEG Response has been placed in the PSEG Reading Room portal.
-hydraulic instability. Only NEDC
(g) The DSS-CD methodology is used for the detection and suppression of thermal-hydraulic instability. Only NEDC-33173P limitation and condition 9.18 is associated with stability and therefore is the only limitation and condition discussed in Section 2.1(Page T-5) and addressed in Table 3-1 of Appendix T.
-33173P limitation and condition 9.18 is associated with stability and therefore is the only limitation and condition discussed in Section 2.1(Page T
: 26. EICB Appendix R, Section 6.6 of Reference 1,   Close          No      6/21/2016 System failure Analysis, item 1, states a                         A copy of the table has been placed in the similar Table to F-1 provided in           6/9/2016                PRNM Reading Room portal:
-5) and addressed in Table 3-1 of Appendix T.
Reference 11 (NEDC-30851P-A) of the       The table from PRNM LTR is included in the HCGS           NEDC-30851P-
: 26. EICB Appendix R, Section 6.6 of Reference 1, System failure Analysis, item 1, states "a similar Table to F
* NEDC-30851P-A_Table F-1.pdf defense-in-depth and diversity analysis. A was also However, Appendix I of the LAR does not   reproduced in          Also see OI#22a response.
-1 provided in Reference 11 (NEDC
include this table. PRNM LTR Section       the Columbia 6.4.1 requires identification the diverse  PRNM LAR.               4/19/2016 parameter monitored to detect symptoms    See NEDO-              The reference to Appendix I Table F-1 is of each event. This table should include  33694                  an editorial error. During the preparation each event in Chapter 15 of HCGSs SAR    (ML12040A076),          and review of the content that became where an APRM-based scram trip is          containing the          Appendix I, it was decided to not credited in the analysis.                  D3 analysis for        reproduce Table F-1 from NEDC-30851P-the Columbia            A, as was done during a previous LAR.
-30851P-A) of the PRNM LTR is included in the HCGS defense-in-depth and diversity analysis. However, Appendix I of the LAR does not include this table. PRNM LTR Section 6.4.1 requires identification the diverse parameter monitored to detect symptoms of each event. This table should include each event in Chapter 15 of HCGS's SAR where an APRM
PRNM.                  (See response to Open Item #22a.)
-based scram trip is credited in the analysis.
If a copy of the table is necessary to complete the Hope Creek PRNM review, the table was provided previously, as discussed in response to Open Item 44
Close 6/9/2016 The table from NEDC-30851P-A was also reproduced in the Columbi a PRNM LAR. See NEDO-33694 (ML12040A076), containing the D3 analysis for the Columbia PRNM. No 6/21/20 16 A copy of the table has been placed in the PRNM Reading Room portal:
 
NEDC-30851P-A_Table F-1.pdf  Also see OI#22a response
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description                         Status RAI No. PSEG Response
. 4/19/2016 The reference to Appendix I Table F
                                                                        #22a. It can be provided again in the reading room portal.
-1 is an editorial error. During the preparation and review of the content that became Appendix I, it was decided to not reproduce Table F
-1 from NEDC
-30851P-A, as was done during a previous LAR. (See response to Open Item #22a.)
If a copy of the table is necessary to complete the Hope Creek PRNM review, the table was provided previously, as discussed in response to Open Item DOC-0006-2118 R6   PSEG Update 11 16   45  No. Resp. Issue Description Status RAI No. PSEG Response
#22a. It can be provided again in the reading room portal.
Note that each event from Hope Creek UFSAR Chapter 15 was evaluated, and those that could be affected by a CCF in PRNM are discussed in Appendix I Section 4.1 and 4.2.
Note that each event from Hope Creek UFSAR Chapter 15 was evaluated, and those that could be affected by a CCF in PRNM are discussed in Appendix I Section 4.1 and 4.2.
: 27. EICB Appendix I provides the defense
: 27. EICB Appendix I provides the defense-in-depth   Close  No        4/19/2016 and diversity analysis for HCGS. This                       Each of the BTP 7-19 criteria are appendix does not include analysis for                       addressed in Appendix I. The criteria that the potential of the PRNMS to adversely                     directly address the potential of the affect other echelons of defense (e.g. the                   PRNMS to adversely affect other control echelon). Please describe how                       echelons of defense may be found in other echelons of defense could not be                       Table 4.2. For example, The discussion adversely influenced by interfaces with                      about the potential for PRNMS to the PRNMS.                                                  adversely affect the control echelon is addressed in Criterion (3).
-in-depth and diversity analysis for HCGS. This appendix does not include analysis for the potential of the PRNMS to adversely affect other echelons of defense (e.g. the control echelon). Please describe how other echelons of defense could not be adversely influenced by interfaces with the PRNMS.
Close N o 4/19/2016 Each of the BTP 7
-19 criteria are addressed in Appendix I. The criteria that directly address the potential of the PRNMS to adversely affect other echelons of defense may be found in Table 4.2. For example, The discussion about the potential for PRNMS to adversely affect the control echelon is addressed in Criterion (3).
A similar discussion has been provided in previous submittals:
A similar discussion has been provided in previous submittals:
Refer to RAI #9 in GNRO
Refer to RAI #9 in GNRO-2011/00039 (ML111460590) for GGNS, NEDC-33694P (ML12040A076) for Columbia.
-2011/00039 (ML111460590) for GGNS, NEDC
: 28. EICB LAR Section 4.1.1 states, in part, that:   Close EICB RAI-8 6/21/2016 The statement was not meant to imply All interfaces with external systems are                    that any of the PRNM system interfaces maintained electrically equivalent using                    do not maintain electrical compatibility.
-33694P (ML12040A076) for Columbia.
interface subassemblies with exception of                    This statement indicates that all interfaces the interface to the plant computer and                      other than those mentioned are plant operator's panel.                                    electrically equivalent to the existing system, as discussed in the PRNM LTR Section 2.1.2.
: 28. EICB LAR Section 4.1.1 states, in part, that:
45
 
"All interfaces with external systems are maintained electrically equivalent using interface subassemblies with exception of the interface to the plant computer and plant operator's panel."
Close EICB RAI-8 6/21/20 16 The statement was not meant to imply that any of the PRNM system interfaces do not maintain electrical compatibility. This statement indicates that all interfaces other than those mentioned are electrically equivalent to the existing system, as discussed in the PRNM LTR Section 2.1.2.
DOC-0006-2118 R6    PSEG Update 11 16  46  No. Resp. Issue Description Status RAI No. PSEG Response As written, this statement implies that plant computer and operator's panel interfaces do not maintain electrical compatibility between the PRNMS and these systems. The NRC staff needs to understand the nature of this exception in order to determine if these interfaces are compliant with independence criteria of IEEE 603. Please provide additional information describing this exception as well as a justification for why this exception is acceptable from a functional and system independence perspective.
The plant computer interface is modified by deleting the existing physical I/O and implementing a data link.


The plant operator's panel interface is modified by the addition of Operator Display Assemblies.  
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description                            Status RAI No. PSEG Response As written, this statement implies that plant computer and operators panel                        The plant computer interface is modified interfaces do not maintain electrical                      by deleting the existing physical I/O and compatibility between the PRNMS and                        implementing a data link.
these systems. The NRC staff needs to understand the nature of this exception in                  The plant operators panel interface is order to determine if these interfaces are                  modified by the addition of Operator compliant with independence criteria of                    Display Assemblies.
IEEE 603. Please provide additional information describing this exception as                    Hope Creeks proposed design conforms well as a justification for why this                        to descriptions of these interfaces in the exception is acceptable from a functional                  PRNM LTR. The system compliance with and system independence perspective.                        electrical independence is addressed in Appendix L of NEDC-33864P.
: 29. EICB  The NUMAC Systems Independent                Close  No      7/19/2016 Verification and Validation Plan                            As stated in the SyIVVP (NEDC-33864P, (Appendix D) identifies two members of                      Appendix D, Section 2.2.1), the the NUMAC IVV team as; the System                          responsibilities of the IVV team include:
Verification and Validation Engineer and the System Safety Analysis Engineer and
* Prepare equipment qualification defines roles and responsibilities for                              test plans and procedures these positions in Sections 2.2.2 & 2.2.3
* Perform equipment qualification respectively. The Hope Creek NUMAC                                  testing/analysis and document the System Management Plan however,                                    results identifies a third position of System Test
* Summarize equipment and Qualification Engineer as a member                              qualification results in a of the IVV team (See Figure 2-1 and                                qualification summary report Section 2.2.4 of Appendix E). The responsibilities for this third position are                The SyIVVP also states that the IVV team not defined in either Appendix D or                        reports to the Chief Engineers Office E. The NRC staff requests information of                    (CEO) and that the CEO may draw upon the roles and responsibilities for the Test                subject matter experts from anywhere 46


Hope Creek's proposed design conforms to descriptions of these interfaces in the PRNM LTR. The system compliance with electrical independence is addressed in Appendix L of NEDC
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description                           Status           RAI No. PSEG Response and Qualification Engineer be provided to                             within the GEH engineering support the staffs determination of                                 population. GEH Engineering has a team NUMAC V&V effectiveness.                                              of Test and Qualification Engineers who are responsible for the testing and qualification of all types of equipment, including mechanical and analog devices. Members of this team are logical candidates for performing the test and qualification of the PRNM equipment for Hope Creek. However, the candidate must be approved by the CEO. Therefore, the role and responsibilities of the Test and Qualification Engineer are as stated in the three bullets above from the SyIVVP.
-33864P. 29. EICB The NUMAC Systems Independent Verification and Validation Pla n
: 30. EICB Regulatory Audit Request for Documents       New                      11/10/2016 to be put on Portal. The following                                   The requested documents were placed in documents were requested:                   11/02/2016 - rjs        the electronic portal.
(Appendix D) identifies two members of the NUMAC IVV team as; the System Verification and Validation Engineer and the System Safety Analysis Engineer and defines roles and responsibilities for these positions in Sections 2.2.2 & 2.2.3 respectively.
Confirmed
The Hope Creek NUMAC System Management Plan however, identifies a third position of System Test and Qualification Engineer as a member of the IVV team (See Figure 2
* PRNM System Validation Test           requested Procedure 002N5897                   documents are
-1 and Section 2.2.4 of Appendix E).
* APRM IVV Module Test                 on portal and Procedure 002N7588                   are accessible.
The responsibilities for this third position are not defined in either Appendix D or E. The NRC staff requests information of the roles and responsibilities for the Test Close No 7/19/2016 As stated in the SyIVVP (NEDC-33864P, Appendix D, Section 2.2.1), the responsibilities of the IVV team include:
* APRM Integration Test Cases and Procedures (ITCP) 002N5941
Prepare equipment qualification test plans and procedures Perform equipment qualification testing/analysis and document the results  Summarize equipment qualification results in a qualification summary report The SyIVVP also states that the IVV team reports to the Chief Engineer's Office (CEO) and that the CEO may "draw upon subject matter experts from anywhere DOC-0006-2118 R6   PSEG Update 11 16   47  No. Resp. Issue Description Status RAI No. PSEG Response and Qualification Engineer be provided to support the staff's determination of NUMAC V&V effectiveness.
* Licensing Oversight Audit Reports (2); Gavial, and FAT.
within the GEH engineering population".
* Condition Report 13702 (Self Identification of Traceability Issue)
GEH Engineering has a team of Test and Qualification Engineers who are responsible for the testing and qualification of all types of equipment, including mechanical and analog devices. Members of this team are logical candidates for performing the test and qualification of the PRNM equipment for Hope Creek.
* Functional Software Code Review Report 002N6392 47
However, the candidate must be approved by the CEO. Therefore, the role and responsibilities of the Test and Qualification Engineer are as stated in the three bullets above from the SyIVVP. 30. EICB Regulatory Audit Request for Documents to be put on Portal.
The following documents were requested:
PRNM System Validation Test Procedure 002N5897 APRM IVV Module Test Procedure 002N7588 APRM Integration Test Cases and Procedures (ITCP) 002N5941 Licensing Oversight Audit Reports (2); Gavial, and FAT.
Condition Report 13702 (Self Identification of Traceability Issue)
Functional Software Code Review Report 002N6392 New  11/02/2016
- rjs Confirmed requested documents are on portal and are accessible.
11/10/2016 The requested documents were placed in the electronic portal.


DOC-0006-2118 R6   PSEG Update 11 16   48  No. Resp. Issue Description Status RAI No. PSEG Response Hope Creek APRM Functional Test Item Transmittal Report 002N6397 Engineering Change Order 00219 02  DBR 0013981 Quality Control Work Instructions:
DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description                         Status RAI No. PSEG Response
o 23-303-10 o 23-310-11 23-310-11(G01) 31. EICB Traceability of Design Constraints.
* Hope Creek APRM Functional Test Item Transmittal Report 002N6397
The NRC staff notes that Traceability Guidance requires objects identified to be design constraints (DC) to be out
* Engineering Change Order 0021902
-linked to IPS requirements.
* DBR 0013981
During the audit however, the NRC was unable to follow such a thread for a selected DC.
* Quality Control Work Instructions:
We would like to understand how this procedural requirement is being met if not through the imbedded requirements tables of the SDS and IPS documents.
o 23-303-10 o 23-310-11 23-310-11(G01)
New  11/10/2016 Design constraints for the HC PRNM project were linked using DOORs. The guide (procedure) was developed very early in the project. Actual implementation was to link from design constraints to lower level documents but not the other way around. Also, design constraints were not included in the embedded tables to limit the size of the tables. The design team review scope of the SDSs included specific direction to confirm that IPS design constraints and requirements were implemented in the SDS. Additionally, both requirements and design constraints were part of the IVV scope for independent verification and validation activities.}}
: 31. EICB Traceability of Design Constraints. The   New            11/10/2016 NRC staff notes that Traceability                         Design constraints for the HC PRNM Guidance requires objects identified to be               project were linked using DOORs. The design constraints (DC) to be out-linked                 guide (procedure) was developed very to IPS requirements. During the audit                     early in the project. Actual implementation however, the NRC was unable to follow                     was to link from design constraints to such a thread for a selected DC. We                       lower level documents but not the other would like to understand how this                        way around. Also, design constraints procedural requirement is being met if not                were not included in the embedded tables through the imbedded requirements                        to limit the size of the tables. The design tables of the SDS and IPS documents.                      team review scope of the SDSs included specific direction to confirm that IPS design constraints and requirements were implemented in the SDS. Additionally, both requirements and design constraints were part of the IVV scope for independent verification and validation activities.
48}}

Latest revision as of 23:02, 18 March 2020

Public Telecon Regarding LAR to Upgrade Power Range Neutron Monitoring System (Meeting Handout)
ML16320A484
Person / Time
Site: Hope Creek PSEG icon.png
Issue date: 11/15/2016
From:
Office of Nuclear Reactor Regulation
To:
Parker C
References
DOC-0006-2118 R6
Download: ML16320A484 (49)


Text

Updated Issues List for November 15, 2016 Public Teleconference between PSEG LLC and the Nuclear Regulatory Commission Hope Creek Generating Station (HCGS)

Power Range Neutron Monitoring (PRNM) System Digital Upgrade License Amendment Request HCGS NUMAC Upgrade - Open Items DOC-0006-2118 R6

DOC-0006-2118 R6 PSEG Update 11-10-16 HCGS NUMAC Upgrade - Open Items No. Resp. Issue Description Status RAI No. PSEG Response

1. EICB System Description Close No LTR 5.3.1 first bullet discusses APRM chassis and (for large cores) LPRM Appendix R provides responses to plant chassis. NEDC-33864P Appendix A specific responses to the NUMAC LTR. refers to these two chassis as APRM-The response to LTR 2.3.4 identifies the Master and Slave.

configuration for HCGS to be 4 APRM channels with one APRM chassis and Master refers to the APRM chassis and one LPRM chassis. However the LTR Slave refers to the LPRM chassis. These and Appendix A system architecture do terms are used interchangeably.

not describe this.

Appendix A describes a master/slave NEDC-33864P Appendix A page A-11 APRM instrument, but the LTR describes shows the system level architecture.

a LPRM unit not clear how these two concepts relate, if they do.

Provide a figure showing the system architecture for the HCGS PRNMS.

2. EICB System Description Close No The LTR describes variants of PRNM system architecture, depending on Appendix A seems to describe the whether the target application (plant) has generic PRNM system architecture and a large or small core, and whether it is not the architecture for HCGS. What is BWR6 or non-BWR6. Appendix A different between this description and the provides additional details about large one provided in the LTR? core, non-BWR6, such as Hope Creek.

Also there are system differences, which are described in Appendix J. How do The differences described in Appendix J these modules work and fit in the system are not architectural differences.

architecture for HCGS?

3. EICB System Description Close No NRC update 03022016: NRC will identify the documents to be placed in the portal.

Appendix J identifies Hope Creek deviations from the approved generic a) 1

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response NUMAC PRNM system. This is required

  • These are GEH references pointing to in ISG-06 Section D.8. where the support for the justification a) Table 1 lists these deviations and is stored in the GEH document provide justifications for such. system. The following two referenced Please provide additional documents can be placed in reading information for the following items: room upon request.
  • Column Reference Document
  • Item 2 - 001N5637 PRNM Time to

- what are these documents? Calculate Flow-biased Trip Setpoint

  • Item 2 - Why the modification
  • Item 5 - 001N5640 PRNM Increased for time to calculate flow- Instrument Security biased trip setpoint is a clarification? It seems that the b) total time for the Hope Creek Relay Logic Module and Relay Logic Design has changed. Card refer to the same thing. Hope
  • Item 5 - What higher level of Creek will receive the new design.

security was applied and to what activities?

b) Section 4.2 describes the relay logic for HCGS. Please clarify how the improved relay logic module relates to the new relay logic card to be included in the Hope Creek PRNM system.

4. EICB Software Development Plans Close No NRC update 03022016: NRC will identify the documents to be placed in the portal.

The plans submitted describe GEH processes, but they do not include the PSEG is required to create or acquire a activities to be performed by the licensee, number of documents from vendors such as oversight. Please describe the providing safety related equipment per IT-activities and processes for which PSEG AA-101. The purpose of many of these is responsible. documents is to ensure the vendor has a 2

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response quality process in place for software and product design and that the process and design are accurately documented and tested. The required documents include a configuration management plan, a problem management and reporting process, a disaster recovery process, documented functional requirements, a documented technical design, a verification and validation plan, testing reports, user documentation, code review process and documentation and a traceability matrix to ensure all requirements are tested.

In addition, CC-AA-103-1007 responsibilities state:

Lead Responsible Engineers (LREs) are responsible for ensuring DCPs with digital devices are provided to DTS Design Engineer for review. DTS Design Engineers are responsible for reviewing Design Change Packages (DCP) with digital devices ensuring an adequate Critical Digital Review (CDR) is performed and documented. The DTS Engineer determines the scope and breadth of the CDR for the particular application.

A critical digital review is a review of a vendors software QA processes and a technical review (EMI/RFI, failure analysis) of the design, documentation, 3

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response and testing of a digital device determining the software/hardwares suitability for purchase and installation at PSEG Nuclear facilities. PSEG personnel participated in critical digital review that was led by ProDesCon on the GEH Power Range Neutron Monitoring System (also refer to LAR Attachment 1 Section 3). The CDR report pointed out that GEH has an established regulatory approved Appendix B quality program and that theyre processes are suitable to ensure the quality of the design, configuration control, Part 21 reportability and the system maintenance throughout the life cycle. The CDR included a high-level review of the overall system design, focusing on the safety functions of the system and how digital design principles indicative of highly reliable digital systems were applied to the PRNM system.

PSEG has reviewed and commented on software lifecycle documentation produced by GEH throughout the project.

In addition PSEG has performed two audits (reference Survey numbers NOV2116-014 and NOD-15-038) thus far on GEH to help ensure product reliability.

These audits focused on GEH audits performed on subcontractor Gavial, the GEH actions and process to correct 4

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response identified issues, QA hold points placed on the purchase order, overall test plans and completed testing, restrictions placed on the Gavial subcontractor, cyber security aspects of the project and the GEH engineering change process.

PSEG also plans to witness continued factory testing with the quality assurance department.

5. EICB Software Development Plans Close No 6/21/2016 The information has been re-classified in The proprietary markings in the 6/9/2016 Appendix B. The NEDC and NEDO appendices are inconsistent. For Since we are not versions of Appendix B with the re-example, information in Sections 4.2 and asking for classified sections will be docketed with 4.3 in Appendix B is not marked additional the PRNM Phase 2 Supplement in proprietary, but this same information is information, this September 2016. If desired the two also provided in Sections 4.2 and 4.3 of does not need Appendix B versions can be placed in the Appendix D, where is marked as to be an RAI. PRNM Reading Room portal in advance proprietary. Just reclassify of the September submittal.

the information already 4/19/2016 provided.

Please provide A complete replacement of Appendix B expected proprietary and non-proprietary with the completion date. corrected pages will be provided.

2/16/2016 Appendix B Sections 4.2 and 4.3 should be marked proprietary to match Appendix D. Updated copies of Appendix B proprietary and non-proprietary can be provided.

5

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response

6. EICB Appendix E, PRNM System Management Close EICB RAI-1 Plan a) Section 2.3 describes how project Close EICB RAI- 6/21/2016 management will be performed. 1a The System Management Plan (SyMP),

This section refers to critical-to- 6/9/2016 Appendix E of the Phase one submittal quality features to be part of the Is the HCGS NEDC-33864P, contains non-commercial management process. However, Project Work information, complementary to what is this plan does no define these Plan available contained in the Hope Creek PRNM features. Since these features are for NRC review? Upgrade PWP. The SyMP does not part of project oversight, please contain Project-specific CTQs, which are describe these features and in in Appendix C of the PWP. Those CTQs which document will they be are:

recorded?

  • GEH (internal) CTQs:

o No non-compliance condition report initiate on Project. Comply with GEH policies and procedures, including the requirements described in the project planning documents specified in Section 3.

o Adhere to GEH policies of Integrity, Safety culture principles, Quality and Outputs (ISQO).

o Meet customers expectations, achieve T-NPS score greater or equal to 8.

o Utilize human performance (HU) tools.

o Execute the project in accordance with the Project schedule and meet the established Engineering 6

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response Deliverables (ED) and Customer Deliverables (CD) promise dates.

o Report or escalate to the Engineering Manager and/or PM any issues related to integrity and safety using the issue resolution process (Section 4.2). Safety means both occupational safety and the requirements that will impact the safety functions and operation of the system being design and developed.

  • Customer CTQs o Meet project milestones specified in GEH-KT0-182455-005 (Reference B.2.12).

o Timely escalate issues to PM using the escalation process.

2/16/2016 A Project Work Plan (PWP) is required by GEH policies and procedures. As stated in Appendix B Section 3.1.1.5, the PWP contains personnel and commercial information, including project budgetary information that is classified as GEH Proprietary Class III (confidential). The PWP is created and maintained by the Project Manager to manage the commercial aspects of the project.

Critical to quality features are project specific and are listed in the PWP. For Hope Creek, these are listed in Appendix 7

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response C3 of the Hope Creek PRNM Upgrade PWP.

b) Section 2.4.1 describes the Close EICB RAI- A collection of administrative procedures secure development environment. 1b covers specific topics related to the This section states the control secure development environment:

employs in the system

  • Asset Identification development should be in
  • Secure Development Network accordance with GEH established
  • Physical Security procedures, consistent with
  • Malicious Code Protection guidance provided in RG 1.152.
  • Patch Management Please describe the GEH
  • Server and Computer Hardening procedures to be followed for
  • Threat Analysis secure development environment.
  • Software Usage
  • Electronic Access Control
  • Log Management
  • Personnel Security and Segregation of Duties
  • Production Deployment
  • Product Handling and Delivery
  • Incident Response
  • Contingency Planning
  • Security Control Review
  • Changes to Physical, Logical, or Programmatic Controls c) Section 3.1 describes the need to Close EICB RAI- 3/15/2016 Supplemental Response establish project quality metrics. 1c However, this section does not NRC Clarification identify the project quality metrics. BTP 7-14 requires the applicant identify the metrics to track progress and determine appropriateness of its software development process. The NRC staff needs a clear description on how the 8

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response licensee is using configuration reviews and technical reviews to measure success or failure of the software development process.

This item is identified in open items: 6c, 7g, 8a, and 11e

Response

The software development process includes a series of technical design reviews and baseline reviews. At the end of each of these reviews, a review report and a scorecard will be issued by the review chair. The review report summarizes the results of the review.

The scorecard evaluates the content of the review material and the performance of the design team based on pre-established criteria also known as metrics, e.g., Did the design team resolve action items assigned at previous reviews, or are acceptable plans in place? A successful review will require a passing grade of 75%. However, any grade below 90% would result in action items to correct the deficiency in the design or in the compliance with the design process. Condition reports will be issued in accordance with GEH problem reporting procedure should a design fail any of the reviews.

2/16/2016 9

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response The Design Review Summary Report and Design Review Scorecard provide a record of quality metrics applied by the Chief Engineers Office. A copy of a scorecard can be placed in the Reading Room upon request.

7. EICB Appendix B, PRNM Systems Close EICB RAI-2 Engineering Development Plan a) Section 2.4.1 of Appendix K Close EICB RAI- When the design team prepares and states the verification of the 2a releases design artifacts, GEH design documents is performed by procedures require the Design team to the design team prior to IVV perform verification of documents prior to activities. But section 2.3 seems the document release. The released to imply that these reviews are document is then provided to the IVV performed by a team independent team who conducts the independent of the design team. In addition, verification in accordance with the section 4.2 of Appendix B also SyIVVP. Conducting the IVV activities describes an independent review defined in the SyIVVP (Section 3.0) team who perform the technical constitutes the Technical Design Review, design review. Please clarify what which is performed by the IVV team and group (in the GEH organization) is supervised by the Chief Engineers performs these independent Office.

reviews.

b) Section 2.4.1 describes the Close EICB RAI- 3/15/2016 Supplemental Response technical design reviews. This 2b section states the design team is NRC Clarification responsible for resolving issues BTP 7-14 requires the applicant identify identified during these reviews. how anomalies are identified, How are these issues being documented, tracked and resolved. The recorded and tracked? Section staff needs a clear description on how 10

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response 4.5 of this appendix describes PSEG and GEH are performing these how deficiencies or discrepancies activities during the design and could be tracked, and Section 7.0 development, V&V, and testing, and then states they could use engineering after the system is installed in HCGS.

change order to handle problems This item is identified in open items: 7b, encountered during product 8a, 8b, and 11f development. But these statements are not specific. In GEH Response addition, it seems that these During design & development of the options are used after delivery of PRNM system for PSEG, the IVV Team the NUMAC system. Please would review and provide comments explain what method will be used about design artifacts at each phase. The to identify and track problems comments and resolutions are archived in identified during the technical the design records in accordance with design reviews. Also, explain the GEH procedures. The comments, process to approve the resolution resolutions and any open items are also of these problems. reported and tracked in Appendix A of the SyVV Task Report or SySA Task Report for each phase as discussed in Section 4.4 of the SyEDP, SyIVVP and SyQAP.

During IVV team testing, when anomalies are observed, they are recorded in the control copy of the test datasheets. The anomalies and the resolutions, which may include changes or corrections to the design, are discussed in the test reports.

An independent engineer is responsible to verify that the content of test report is consistent with the test data sheets. The technical design reviews and baseline reviews will confirm that the acceptance of the resolution and the closure of the 11

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response anomalies or open items. Resolution of all anomalies and closure of all open items are required before the system can be delivered to PSEG.

After GEH delivers the system to PSEG, if an anomaly is discovered it would be tracked in the GEH Corrective Action Program.

PSEG Response As discussed in the response to Open Item (OI) #4, PSEG will continue oversight and audit activities during the design, development, V&V, and testing of the PRNM system. The processes discussed in OI#4 will disposition any anomalies identified. This will include, as appropriate, resolution in the PSEG Corrective Action Program (CAP) -LS-AA-125 - and in the Engineer of Choice (EOC) corrective action program (for the vendor performing the design change package for the PRNM upgrade -

Sargent and Lundy).

During installation and acceptance testing, and after installation, both the PSEG CAP and EOC CAP will be used to identify, document, track and resolve anomalies.

12

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response 2/16/2016 Project specific issues that remain open across project phases are tracked in the task reports. See Section 4.4.2 of the NUMAC Systems Engineering Development Plan. Closure of open items is reviewed as part of subsequent Baseline reviews; open items are resolved and closed prior to completion of the final Baseline review.

c) Section 4.3 states the baseline Close EICB RAI- The SyQA Functional Configuration Audit review team would also review 2c Checklist (NUMAC System Quality and approve development tools. Assurance Plan Section 4.4.1) lists tools Was this necessary for the HCGS that were approved for the associated PRNM system? baseline. A SyQA Functional Configuration Audit Checklist is developed for each Baseline.

Tools are approved for use via the Baseline review process for application to a specific project. Tools were used for the HCGS PRNM system development.

d) Section 5.0 describes the use of Close EICB RAI- 3/15/2016 Supplemental Response development tools. BTP 7-14, 2c Section B.3.1.2.3 requires NRC Clarification licensee to provide a description BTP 7-14 requires the applicant identify of software tools to be used. the software tools used for the Please identify the software development of the system. The NRC development tools. staff needs a list and reference of the 13

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response software tools being used for the development of the HCS NUMAC. During the call, the licensee noted these tools were described in previous license amendments, if this is the case, then the staff needs the references or ML numbers for the documents that described the software tools. This item is identified in open items: 7d and 9b

Response

The Hope Creek PRNM system has similar hardware and software designs as previously approved PRNM projects, e.g.,

Grand Gulf and Columbia. Therefore, the software tools for the HCGS PRNM are the same as those previously described for Columbia in NEDC-33685P Revision 2 (ML12040A074) Section 4.4.6.

2/16/2016 Tools are selected and approved for use throughout the various phases of project.

The approved tools are documented in the SyQA Functional Configuration Audit Checklists (NUMAC System Quality Assurance Plan Section 4.4.1).

GEH provided details on software tools during previous (Grand Gulf and Columbia) projects. See RAI #3 in GNRO-2011/00038 (ML111370259) and Section 4.4.6 in NEDC-33685 (ML12040A074).

14

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response e) Section 6.0 describes the secure Close EICB RAI- GEH has a procedure for controlling development and operational 2d access to the NUMAC lab; see response environment. This section states to Open Item 6.b.

access to the NUMAC lab is controlled and monitored. But it does not provide details on how these are perform. Please provide detail explanation.

f) Section 6.0 describes the secure Close EICB RAI- GEH has a procedure for access control development and operational 2d of the secure server, see response to environment. This section states Open Item 6.b.

the code is maintained in the secure server. How is access granted to this server?

g) Section B.3.1.2.2 of BTP 7-14 Close EICB RAI- 3/15/2016 Supplemental Response requires licensee to identify the 1c See open item 6.c.

indicators to determine the success or failure of the 2/16/2016 development processes. This Success or failure is indicated by the information was not provided in Design Review Summary Report and the engineering development Design Review Scorecard.

plan. In addition, Appendix A in Appendix K identifies the alignment to NUMAC documents.

This table identifies that this information in SyMP (See open item 6.c). Please provide this information.

8. EICB Appendix C, NUMAC Systems Quality Close EICB RAI-3 Assurance Plan 15

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response a) General comment: This plan does Close EICB RAI- 3/15/2016 Supplemental Response not cover all the activities 3a and see See open item 6.c and open item 7.b.

identified in section B.3.1.3 of the EICB RAI-BTP 7-14. Specifically, this plan 1c 2/16/2016 does not describe the corrective The NUMAC plans augment and action program, description of QA supplement the GEH QA Program. As procedures, and indicators to stated in Section 1.0 of the NUMAC determine software quality. Systems Quality Assurance Plan, the GEH Quality Assurance Program encompasses quality assurance related activities such as audits, supplier control, and archiving of quality records. Although not explicitly mentioned, the corrective action program is a component of the GEH Quality Assurance Program.

b) Section 3.0 states unresolved Close EICB RAI- 3/15/2016 Supplemental Response configuration items is grounds for 3b See open item 7.b.

failure. How are these issues identified, recorded and tracked? 2/16/2016 Who is responsible for approving Open items are listed in the System resolution of these issues? (see Quality Assurance Configuration Audit open item 7.b) Checklist and tracked in the System Configuration Management Task report (SyEDP 4.4.2). The checklist and task report are part of the Baseline Review Records. These records are approved by the baseline review team, which is chaired by the Chief Consulting Engineer.

c) Section 4.4.1 describes the Close No As discussed in response to Question oversight activity associated with 8.a, the GEH Quality Assurance Program 16

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response quality assurance. Is the activity See EICB has other activities. Problems are tracked described in this section the only RAI-3a in accordance with GEH procedures.

oversight activity to be performed?

(This section is marked proprietary so the specific activity is not identified in the question).

What happens if problems are identified during this oversight activity?

9. EICB Software Integration Plan (SIntP) Close EICB RAI-4 GEH did not submit a separate plan for this. However, GEH (Appendix K) identified the NUMAC documents that cover the requirements for this plan (BTP 7-14, Section B.3.1.4). Based on this information, the staff identified the following questions:

a) Section B.3.1.4.2 identifies the Close EICB RAI-4 6/21/2016 implementation characteristics of As discussed in NEDC-33864P Appendix the SIntP. His section requires 6/9/2016 A, the microprocessor-based NUMAC description of the software This response instruments consist of a chassis and a integration activities. GEH does not complement of modules, which may references SyEDp for this, but address the lack include embedded software. Software SyEDP does not provide enough of integration integration is accomplished by compiling information about the software activity detailed individual software components into integration process. Please in the SyEDP. executable applications that are specific provide this information. to each programmable entity in the modules, integrating those modules into the instruments in which they run, and finally integrating the instruments within the system to perform the system functions. For GEH, software integration 17

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response is performed by the design team and their activities are described in the SyEDP. At completion of design team activities, software and hardware are provided to the Independent Verification and Validation Team who perform independent integration and system testing in a phased approach as detailed in the SyIVVP.

Management Characteristics of the SIntP:

  • Purpose - Objectives and scope of a software Integration plan are included within the SyEDP lifecycle process. As part of the Design Phase of the SyEDP, planning is performed and software design specifications are developed which describe major modules, their functions and how the software tasks fit together. In the Implementation Phase, code is assembled into modules and tested as described in Section 3.4.5.2.2, Software Module Testing. After module testing, software is integrated with the hardware and tested as described in Section 3.4.5.2.4, Integration Testing.
  • Organization - design team organization is discussed in SyEDP Section 2.2. Scheduling and resource allocation is described in 18

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response SyEDP Section 3.1.1, Project Planning.

  • Responsibilities - design team responsibilities are discussed in SyEDP Section 2.1 Implementation Characteristics of the SIntP:
  • Measurement - The software development process includes a series of technical design reviews and baseline reviews. At the end of each of these reviews, a review report and a scorecard will be issued by the review chair. The review report summarizes the results of the review. The scorecard evaluates the content of the review material and the performance of the design team based on pre-established criteria also known as metrics. Per SyEDP Section 3.4, integration testing is part of the Implementation Phase (Baseline 4) baseline and technical review.
  • Procedures - as indicated in SyEDP Sections 3.4.5.2.2 and 3.4.5.2.4, results, methods, and extent of testing are recorded during the testing and are included in a test item transmittal report.

Resource Characteristics of the SIntP:

  • Methods/tools - SyEDP Section 3.4.5.2.2 and 3.4.5.2.4 discusses the 19

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response general methods employed for testing and types of tools used.

Section 5.0 of the SyEDP describes the use of tool evaluation reports and method for approval of development tools which includes tools used for module and integration testing.

2/16/2016 GEH does not have a separate software integration team, rather software integration is performed by the design team. Therefore, the characteristics described in the SyEDP for design team activities apply to integration activities as well. For explanation of how measurement is performed, see response to 6.c.

b) Section B.3.1.4.3 identifies Close No 3/15/2016 Supplemental Response software tools. As mentioned in See open item 7.d.

open item 7.d, these GEH See EICB document do not identify the RAI-2c. 2/16/2016 software tools to be used. Please See response to open item 7.d.

provide this information. Already covered in Open Item No. 7.

10. EICB Software Safety Plan (SSP) Close No The PRNM upgrade is a retrofit system.

GEH did to submit a separate plan for As a retrofit system, the GEH approach to this. However, GEH (Appendix K) software safety planning for PRNM is to identified the NUMAC documents that ensure that the safety significance of the cover the requirements for this plan (BTP PRNM retrofit is consistent with the 20

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response 7-14, Section B.3.1.9). Based on this design basis of the replaced system and information, the staff identified the of the plant. GEH provided details on following question: software safety approach during previous Appendix K refers to the IVVP and SyMP (Grand Gulf and Columbia) projects. See for the information required in BTP 7-14. RAI #1 and 2 in GNRO-2011/00039 However, the information identified in (ML111460590) and Section 4.4.1.9 in these sources seem to address the NEDC-33685 (ML12040A074).

hazard analysis required by IEEE 102, and not what is required in BTP 7-14.

The SSP should provide a general description of the software safety effort, and the intended interactions between the software safety organization and the general system safety organization.

11. Appendix D, NUMAC Systems Close EICB RAI-5 Independent Verification and Validation a) Section 2.1 describes the GEH Close No The Chief Consulting Engineer reports to organization. This section states the Chief Engineers Office.

the GEH Chief Engineers office supervises independent V&V activities. However, Appendix D, Figure 2-1 identifies the Chief Consulting Engineer as the person responsible for V&V activities.

b) Section 3.1.2 describes the safety Close No See response to open item 10.

analysis for the concept phase. It is not clear if this activity will include the preliminary hazard analysis, since it seems to only 21

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response cover evaluation of the documentation.

c) Is the safety analyses described in Close No Hazard analysis is performed during each lifecycle phase considered various lifecycle phases as indicated in to be the hazard analysis Appendix K, Table 5 for cross-reference identified in IEEE Std. 1012? If so, of IEEE Std 1012 to NUMAC process.

will this also include the risk Project risk management is performed analysis identified in IEEE Std. during all system life cycle development 1012? phases in accordance with the GEH Quality Assurance Program d) Appendix K refers to the IVVP Close EICB RAI-5 Project risk management is performed Section 4.0 to confirm item during all system life cycle development B.3.1.10.1, risks. Section 4.0 phases in accordance with the GEH describes the baseline process. Quality Assurance Program. SyIVVP So it is not clear how the baseline Section 4.2 describes Technical Reviews.

process will be used to identify Although not stated in the SyIVVP, the and manage risks associated with GEH procedure for Technical Design the V&V process. Reviews requires risks management.

SyIVVP Section 4.3 describes Baseline Reviews, which are a process check to ensure the project plans are being followed.

e) Appendix K refers to several Close No 3/15/2016 Supplemental Response sections in the IVVP to confirm See open item 6.c.

item B.3.1.10.2, measurement. See However, the information provided EICB RAI- 2/16/2016 does not clearly define the 1c See response to open item 6.c.

indicators that will be used.

f) Section B.3.1.10.2, procedures Close No 3/15/2016 Supplemental Response requires applicants to describe See open item 7.b.

how anomalies are identified and See reported. This information is not EICB RAI- 2/16/2016 2b 22

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response provide in the plan (See item 11.b Per section 2.2.2 and 2.2.3 of the SyIVV, above) the System Verification Engineer and System Safety Analysis Engineer are responsible for documenting results of reviews including anomalies in their respective tasks reports. The task reports are discussed in sections 4.4.1 and 4.4.2.

12. EICB Software Configuration Management Close EICB RAI-6 SyEDP - section 3.4 specifies Plan (SCMP) configuration management of source code and section 5 specifies configuration GEH did to submit a separate plan for management of firmware. Tools are this. However, GEH (Appendix K) controlled at the baseline in which they identified the NUMAC documents that are introduced. Configuration Status cover the requirements for this plan (BTP Accounting includes all the configurable 7-14, Section B.3.1.11). Based on this items.

information, the staff identified the following question:

Appendix K refers to the SyEDP for the information required in section B.3.1.11.2, procedures. However, the information identified in these sources seem to address only configuration of documents, and not all configuration items (e.g.,

software tools, source code, etc.). How will GEH control these items?

13. EICB EQ Testing Close No 4/19/2016 The Qualification Summary Report has The system equipment qualification (EQ) been uploaded to the PRNM Reading test plan was not submitted with the LAR. Room portal (Phase 2 folder):

Instead the licensee submitted an EQ 002N9894-PRNM System Qualification program in Appendix H. This program Summary Report_Rev0.pdf states the EQ plans will provide the 23

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response details on the system to be qualified. NRC update 03022016: The qualification Also, that the EQ program provides summary report will provide the guidance to prepare EQ plans, if they are information requested.

necessary. For this amendment, GEH described design changes for the HVPS, These items are encompassed by Relay Logic Card, and UFP Display. Appendix H. They are specifically Therefore, a qualification plan for these identified in Section 3.3 and qualification components should be submitted. ISG- approach is discussed in Section 5.

06, Section D.5.2 describes the information to be provided for the staff to evaluate EQ of I&C systems. Section D.5.2 requires submittal of the EQ plan.

14. EICB EQ Testing Requirements Close No The EQ requirements are based on plant conditions:

Are the EQ requirements based on the plant conditions? From NEDC-33864P Appendix H Section 1.1:

The replacement NUMAC PRNM system is designed to maintain functional operability under conditions specified in the PSEG Hope Creek Generating Station Power Range Neutron Monitoring System (PRNM) Upgrade Project H-1-SE-KDS-0494 [Reference 7.1]. The qualification requirements, the subject of this system qualification program, are further delineated in the NUMAC PRNM System Requirements Specification

[Reference 7.2].

24

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response Reference 7.2 is provided as NEDC-33864P Appendix F Part 1 (NUMAC PRNM System Requirements Specification). Section 2.5 references Hope Creek specification H-1-SE-KDS-0494; the qualification requirements in Appendix F Part 1 Section 9 are obtained directly from the Hope Creek specification.

15. APHB Section D.9.4, Technical Evaluation, of Open No 6/21/2016 DI&C-ISG-06, Subsection D.9.4.2.14, The PRNM HFE Assessment (Revision 0)

IEEE Std. 603, Clause 5.14, Human and the PRNM 18-A Assessment Factors Considerations, states, in part, (Revision 0) were placed in the PRNM that the information provided should be Reading Room portal (Phase 2 folder) sufficient to demonstrate that the June 8, 2016, for NRC review and guidance contained in Standard Review feedback prior to docketing with the Plan, Appendix 18-A, has been met. Phase 2 supplement in September 2016:

NUREG-0800, Standard Review Plan,

  • PRNM Human Factors Assessment Appendix 18-A, Crediting Manual Rev 0.pdf Operator Actions in Diversity and
  • PRNM Appendix 18-A Assessment Defense-in-Depth (D3) Analyses, Rev 0.pdf Revision 0, states, in part, that a diversity and defense-in-depth analysis should 2/16/2016 include the justification of any operator An analysis, consistent with NUREG-actions that are credited for response to 0800, Appendix 18-A, will be provided an Anticipated Operational demonstrating that the manual operator Occurrence/Postulated Accident actions remain both feasible and reliable, concurrent with software Common Cause and the ability to perform the actions Failure (CCF). It further states that reliably within the time available is credited manual operator actions and maintained.

their associated interfaces (controls, displays, and alarms) should be 25

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response specifically addressed in the The analysis will be provided in the vendor/licensee/applicants Human HCGS PRNM Electronic Reading Room Factors Engineering (HFE) portal, in the second quarter of 2016.

Program. The vendor/licensee/applicant should commit, in the defense-in-depth PSEG would like to discuss some submittal, to include the proposed clarifications concerning Appendix 18-A:

defense-in-depth coping actions in an HFE Program consistent with that described in NUREG-0711 and to provide a. Phase 3 vs Phase 1 required time: If the results of the HFE Program to the the required time (and margin to time staff prior to implementation of the available) has been verified via Phase 3 proposed action(s). ISV, is it still necessary to perform the Phase 1 time required estimate?

As stated in NUREG-0800, Appendix 18-A, to credit operator actions, an b. For the two manual operator action acceptable method would be to items from the D3 report the HCGS demonstrate that the manual actions in Operators have multiple existing response to a BTP 7-19 software CCF indications available. Consequently, are both feasible and reliable, given the PSEG does not need the simulator PRNM time available, and that the ability of digital modification to support the18-A operators to perform credited actions Phase 3 ISV; the existing plant/simulator reliably will be maintained for as long as configuration supports the ISV. The ISV the manual actions are necessary to is scheduled to be completed in satisfy the defense-in-depth March/April 2016. (Note: if simulator analysis. Changes in plant design, modifications were required before timing including those that do not add, change, operator actions that could not be done or delete the credited manual operator until couple of months before modification actions, may affect the ability of operators implementation, ie 2018) to correctly and reliably perform manual actions due to performance shaping factors (e.g., workload, time pressure) or other causes.

26

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response Provide information regarding the analysis, consistent with NUREG-0800, Appendix A, that was used to demonstrate that the manual actions remain both feasible and reliable, and the ability to perform the actions reliably within the time available is maintained. The analysis should demonstrate that (1) the time available to perform the required manual actions is greater than the time required for the operator(s) to perform the actions, and (2) the operator(s) can perform the actions correctly and reliably in the time available. PSEG should provide sufficient information to demonstrate that the conclusions reached in the previously performed analysis regarding the feasibility and reliability of credited manual operator actions will remain valid in the post-modification environment (i.e.,

that the time available to perform the required manual actions and the time required to perform such actions will not be adversely affected by the proposed modification).

16. EICB System Requirements Close EICB RAI-7 3/15/2016 The Hope Creek System Requirements Appendix F defines the system Specification (Appendix F) is plant requirements for the NUMAC PRNM specific. The following discussion system. It is not clear if these elaborates on how the topics from requirements reflect the system to be 27

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response installed in HCGS. Specifically, does Appendix J are addressed in the Hope appendix F include the requirements for Creek specifications.

the modified components described in Appendix J? LTR Deviations

1. APRM Upscale / OPRM Upscale /

APRM Inop. Appendix F1, Section 6.1 reflects this LTR deviation.

NOTE: Appendix J Reference document 001N5636 can be provided in the reading room portal, if desired. This topic was discussed during previous PRNM projects. Please see, Enclosure 1 (Section 1.5 and Appendix A) of ML12040A073, submitted for Columbia.

2. Time to Calculate Flow-biased Trip Setpoint. This clarifies a statement in the LTR but does not affect the NUMAC PRNM design.

NOTE: Appendix J Reference document 001N5637 can be provided in the reading room portal, if desired. This topic was discussed during a previous PRNM project. Please see, Enclosure 1 of ML12040A073, submitted for Columbia.

3. Abnormal Conditions Leading to Inoperative Status. Appendix F2, Section 4.3.4.9 reflects this LTR deviation.

NOTE: Appendix J Reference document 001N5635 can be provided in the reading room portal, if desired. This topic was 28

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response discussed during a previous PRNM project. Please see Enclosure 1 of ML12040A073, submitted for Columbia.

4. OPRM Pre-Trip Alarms. Appendix F1, Section 4.3.1.2 reflects this LTR deviation.

NOTE: Appendix J Reference document 001N5641 can be provided in the reading room portal, if desired. This topic was discussed during a previous PRNM project. Please see Appendix A (page A-

5) of ML101790437, submitted for Grand Gulf (DSS-CD Plant like HCGS).
5. Increased Instrument Security.

Appendix F1 Section 4.1 (traceable item 436R) provides the higher level requirement that the system provides a means to adjust user-configurable parameters, and Appendix F2 Section 4.4.14 (traceable item 2345R) incorporates the same feature at the instrument level. That the Hope Creek design implements increased security relative to previous applications may be seen by comparing it to a previous application. Please see Section 4.4.8 of 25A5916, APRM Performance Specification for CGS (Reference 64 and included in Appendix A) - ML12040A074 submitted for Columbia. That design includes an OPER-SET function, a 29

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response function that enables the user to adjust a small number of select parameters after entering a password but without placing the instrument in INOP. PSEG elected to not include this feature at Hope Creek.

NOTE: Appendix J Reference document 001N5640 can be provided in the reading room portal, if desired.

6. PRNM System Input Power Source.

The deviation does not affect the PRNM design. Appendix F1 Section 7.5 reflects the type of input power as described in the Hope Creek LAR Attachment 1 Section 4.1.1 page 28 of 46, which deviates from what is described in the LTR.

NOTE: Appendix J Reference document 002N3909 can be provided in the reading room portal, if desired.

Differences from Columbia Generating Station PRNM

1. OPRM Solution. Appendix F1 Section 4.1 (traceable item 225) and 4.3 reflect this difference.
2. Relay Logic Module. The new part is incorporated in schematics and bills of material, which may be placed in the reading room portal if desired. The 30

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response design function is not changed and therefore does not affect Appendix F.

3. APRM High voltage Power Supply.

Appendix F2 Section 4.4.2 (traceable item 2322) reflects this difference (note that Appendix F2 Table 4.3-1 erroneously points to Section 3.3.1 vs 4.4.2 for Manual LPRM I/V curve request).

4. Display of Calibration Constants for LPRM Detector and Flow Signals.

Appendix F2 Section 4.4.5 (traceable item 2287) reflects this difference.

5. Instrument Front Panel Display. The new part is incorporated in schematics and bills of material, which may be placed in the reading room portal if desired. The design function is not changed and therefore does not affect Appendix F.
17. EICB System Requirements Close No 3/15/2016 The requirements marked with brackets in Appendix F defines the system Appendix F are identified for traceability requirements for the NUMAC PRNM purposes. Appendix F also includes system. There are requirements identified several sections that are written in (use of the word SHALL) that do not support of the requirements marked with include identifiers in brackets (e.g., brackets for traceability. Section 4 of Section 5.6). Then there are statements Appendix F1 states The primary system that seems more description than functions of the integrated NUMAC requirements (e.g., Sections 5.4 and 5.5). PRNM replacement system are summarized below, followed by a specific 31

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response Clarify if all sections are requirements for identification of the safety functions of the the system. system. See Sections 5 and 6 for more details on the input and output requirements discussed in this section.

Therefore, Sections 5 and 6 are also considered as requirements although these requirements would not be explicitly traced in downstream documents. For example, it would be cumbersome to establish traceability for the LPRM assignments in Section 5.1. However, each LPRM assignment will be verified and validated in the V&V activities. The bases for the V&V would be Section 5.1 of Appendix F.

18. SRXB HCGS is changing the existing ABB Close No 6/21/2016 OPRM with the BWROG Option III A representative power/flow map was stability solution to the GEH-OPRM with 7/6/2016 placed in the PRNM Reading Room portal the Detect and Suppress Solution- May 18, 2016:

Confirmation Density (DSS-CD) stability SRXB reviewed solution. the

  • 003N5661r0_HCGS_OI18_PF representative Map.pdf Submit the HCGS power/flow map power/flow map identifying Scram (Region I) and in the reading 4/19/2016 Controlled Entry (Region II). A plant- portal. PSEG can supply a representative specific power/flow map is required for power/flow map with BSP regions the review of DSS-CD setpoint evaluation 6/9/2016 identified. However, PSEG would like given in Appendix T, HCGS Thermal NRC staff will clarification on the purpose/value of Hydraulic Stability, DSS-CD Evaluation review the providing such a map. The Amplitude of NEDC-33864P. representative Discriminator Setpoint (SAD) and power/flow map minimum time period limit (Tmin) are not dependent on the BSP regions as 32

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response in the reading described in Section 2.1 of NEDC-room portal. 33864P, Appendix T. The ABSP setpoints are developed based on the BSP Region I; however, the methodology described in the DSS-CD LTR is applied to establish or validate the ABSP setpoints (NEDC-33075P, Section 7.4 details ABSP region generation, Section 7.5.4 details ABSP implementation). This methodology will be applied on a cycle specific basis as required by Section 7.5.3 of the DSS-CD LTR. Section 7.2 of the DSS-CD LTR describes the methodology for the generation of the manual BSP regions. With the implementation of DSS-CD there are no changes to the process to determine the cycle-specific manual BSP regions and the existing BSP methodology.

19. SRXB TS Change 8a, Table 3.3.6-2, Page 3/4 Close No 4/19/2016 3-59, Control Rod Block Instrumentation The values provided in TS 3.1.4.3 are for set points: determination of the operating region where the RBM is required to be The proposed new notes a, b, c, and d operable. The 30% and 90% values are identify a low power set point of 28% not associated with the power setpoints.

rated thermal power and a high power The RBM is required to be operable set point of 83% rated thermal power. In above 30% RTP if the MCPR value is the proposed addition to the Applicability below the MCPR value provided in the section for Rod Block Monitor in TS COLR. There will be two MCPR values 3.1.4.3 (Page 3/4 1-18), 30% and 90% provided in the COLR; one that is are proposed. Provide a justification for applicable with power less than 90% RTP and one applicable at or above 90% RTP.

33

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response the margins of 2% for the low set point Unlike the power setpoints described and 7% for the high set point. below, the operability requirements are administrative. The operability requirements were determined by the analysis detailed in Section 3.5 of NEDC-33864P, Appendix S.

TS Table 3.3.6-2 has the added notes a, b, c, and d which identify the LPSP, IPSP, and HPSP. These setpoints are used to distinguish rated thermal power ranges that apply to the power trip setpoints.

Section 3.3.1 of NEDC-33864P, Appendix S details the analysis completed for the determination of these values. Analytical Limits for the LPSP, IPSP, and HPSP are provided in Tables 5 and 6 of Appendix S while the Allowable Values and Nominal Trip Setpoints are provided in Section 3 of Appendix P2. Allowable Values are used in TS for the power setpoints; the analytical limit for the LPSP is 30%.

The RBM is automatically bypassed below the LPSP in accordance with the 30% operability criteria described above.

The HPSP does not represent an automatic bypass and is not associated with the 90% operability criteria.

20. SRXB (a) TS 6.9.1.9, Page 6-20, Core (a) Close No 6/21/2016 Operating Limits Report: (b) The proposed revisions to TS 6.9.1.9 (b) Close are consistent and appropriate for the existing HCGS (non-improved standard) 6/9/2016 TS.

34

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response Add or provide justification for not The Columbia As noted in the previous response, including the following staff-approved LAR is not Appendix A of NEDC-33075P-A provides LTRs as references: exactly like the DSS-CD changes to the GE improved Hope Creek standard TS and Bases. PSEG does not

  • NEDC-33075P-A, Revision 8, GE LAR - Columbia have improved standard TS/Bases; the Hitachi Boiling Water Reactor Detect was not putting language in TS 6.9.1.9 is different than and Suppress Solution-Confirmation in DSS-CD. It is the language in improved standard TS Density, November 2013. not clear how 5.6.3. Specifically, Hope Creeks the proposed language is: Core operating limits shall
  • NEDC-32410P-A, Supplement 1, addition of be established and documented in the Nuclear Measurement Analysis and 3/4.3.1 and PSEG Nuclear LLC generated Core Control Power Range Neutron 3/4.3.6 will Operating Limits Report before each Monitor (NUMAC PRNM) Retrofit Plus satisfy Item 1 of reload cycle, or any remaining part of a Option Ill Stability Trip Function, Appendix A, reload cycle for the following Technical November 1997. 5.6.3(a). DSS- Specifications:. The difference is Hope CD LTR NEDC- Creeks language points to the specific
  • NEDC-32410P-A, Nuclear 33075P-A, Technical Specifications; whereas, the Measurement Analysis and Control Appendix A improved TS 5.6.3 (and CGS and NMP)

Power Range Neutron Monitor states that For language uses the phrase for the (NUMAC PRNM) Retrofit Plus Option DSS-CD, the following:; i.e., it is not pointing to the Ill Stability Trip Function, October following is specific Technical Specifications but 1995. required in leaving it open to what is described in the addition to the following. Therefore, consistent with the (b) TS 6.9.1.9, Page 6-20, Core normal list of HCGS language and the current listing of Operating Limits Report: limits. TS in TS 6.9.1.9, the specific TS affected by the PRNM/DSS-CD upgrade have The following is provided in the DSS-CD been added to the list.

LTR NEDC-33075P-A, Revision 8, Appendix A, Example of Changes to 4/19/2016 BWR/4 Standard Technical Specifications, TS Section 5.6.3, which is (a) NEDC-33075P-A, Revision 8 (DSS-not included in the proposed CD LTR) is incorporated by reference:

Administrative Controls section of the Section 3.2 of Appendix T (NEDC-35

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response technical specifications, Page 6-20, 33864P) includes the disposition of 6.9.1.9, Core Operating Limit Report: Limitation and Condition 5.2 which indicates that GESTAR (Global Nuclear

[For DSS-CD, the following is required in Fuel, General Electric Standard addition to the normal list of limits.] Application for Reactor Fuel, NEDE-24011-P-A-22 and NEDE-24011-P-A 1. The Manual Backup Stability US.), which includes reference to the Protection (BSP) Scram Region (Region DSS-CD LTR, is referenced in TS 6.9.1.9.

I), the Manual BSP Controlled Entry NEDC-32410P-A (PRNM LTR) is not Region (Region II), the modified APRM required, or appropriate, to include in the flow-biased set point used in the OPRM, COLR list of references. The PRNM LTR Automatic BSP Scram Region, and the does not provide any analytical BSP Boundary) for Specification 3.3.1.1. methodology for determining operating limits contained in the COLR. The PRNM Explain in detail why the above LTR references were also not included in requirements given in the DSS-CD LTR the approved changes to TS 5.6.3 are not in the proposed TSs. The NRC (COLR) for the Columbia Generating staff acknowledges that HCGS is not Station PRNM upgrade (ADAMS using BSP Boundary, but justification is ML13317B623).

needed as to why the other regions are not applicable. (b) Appendix A of NEDC-33075P-A provides DSS-CD changes to the GE improved standard TS and Bases; PSEG has included appropriate language for the HCGS TS Bases. The limits in question are applicable to HCGS and are provided in the proposed changes to TS 6.9.1.9.

This is indicated in mark-up of TS 6.9.1.9 by the addition of TS 2.2 (Reactor Protection System Instrumentation Setpoints) and TS 3/4.3.1 (Reactor Protection System Instrumentation) to the list of applicable TS. The proposed 36

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response changes to TS 2.2 and 3/4 3.1 indicate COLR provided values for the indicated limits. The proposed changes to HCGS TS 6.9.1.9 are similar to the approved changes to TS 5.6.3 (COLR) for the Columbia Generating Station PRNM upgrade.

21. SRXB TS Bases Insert 1, Page 3 of 5, 2.f. (a) Close No 4/19/2016 OPRM Upscale:

(b) Close No (a) The TS Bases will be revised in (a) Add GDCs 10 and 12 and revise the accordance with the Open Item.

first sentence as follows to be consistent with Appendix A of NEDC-33075P-A: (b) Note (m) does not reflect a need, rather it describes an option (to prevent The OPRM Upscale Function provides spurious scrams) that that plant may or compliance with GDC 10 and 12, thereby may not choose to implement, consistent providing protection from exceeding the with NEDC-33075P-A, Section 3.2.6.

fuel safety limit (SL) MCPR due to Information on Note (m) is included in the anticipated thermal-hydraulic oscillations. TS Bases consistent with the level of (b) Add the following to be consistent detail in the existing HCGS TS Bases, with Appendix A (page A-20) of NEDC- and consistent for a one-time note. Also 33075P-A: refer to the response to OI#23.

Note (m) in TS page 3/4 3-5 reflects the need for plant need for data collection in order to test the DSS-CD equipment.

Testing the DSS-CD equipment ensures its proper operation and prevents spurious reactor trips. Entry into the DSS-CD Armed Region without automatic arming of DSS-CD during this initial testing phase allows for changes in 37

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response plant operations to address maintenance or other operational needs.

22. SRXB Enclosure 3, NEDC-33864P, Appendix I, 6/9/2016 6/21/2016 Diversity and Defense in Depth (D3) (a), (d) As discussed during the April 19th Analysis: (a) Close No call: PSEG stated that it could not place the EPRI report in the project reading (a) Section 1.2, Background 6/9/2016 room (PSEG does not own the report, it The NRC staff must be obtained directly from EPRI).

PRNM LTR NEDC-32410P, Section 6.4, requests PSEG However the NRC could view Table F-1 in provides a D3 assessment using EPRI to place EPRI the CGS PRNM submittal - it was Report No. NP-2230, Part 3, ATWS Report NP-2230 understood that the NRC staff would look Frequency of Anticipated Transients. in the reading at the CGS document. This was further Section 6.4.1 refers to Table F-1. NRC room for review. discussed and agreed to in the response staff review of this table is required to to OI#26. To further facilitate the review, No verify that for each event for which the (b) Close a copy of the table has been placed in the PRNM may be called upon to initiate PRNM Reading Room portal (refer to SRXB RAI-scram, there is at least one other (c) Close updated OI#26 response).

1 parameter processed by a different type of I&C equipment that provides a diverse 6/9/2016 4/19/2016 means of detecting the event and Staff will review initiating a scram. This table is required the document in (a) The table NEDC-32410P-A Section for the review of Table 4.1, Assessment the reading 6.4 refers to is in NEDC-30851P-A, which of HCGS AOOs. Please submit the room. No references the EPRI report. NEDC-EPRI report. 30851P-A was reviewed and approved (b) Section 4.1.2, Instability, page I-9, (d) Close previously, so it does not seem necessary states: to submit the EPRI report.

6/9/2016 The table from NEDC-30851P-A was also The postulated CCF in the PRNM Table 4.1 does reproduced in the Columbia PRNM LAR.

system results in the system providing not provide See NEDO-33694 (ML12040A076),

valid indications of plant conditions until sufficient containing the D3 analysis for the the stability transient occurs information. Columbia PRNM. The Hope Creek LAR Assuming the failure of PRNM due to The staff will supplemented this analysis with NEDC-review the EPRI 33864 Appendix I, which includes an 38

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response CCF, which system will provide the valid Report in an evaluation of each event in the Hope indications during instability events? effort to resolve Creek UFSAR against the criteria in BTP the issue. 7-19.

(c) Section 4.1.2, Instability, pages I-9 and I-10: (b) The diverse systems that provide valid indications are described in Appendix I Provide the TRACG transient results Section 4.1.2, starting with the last plots for the limiting cases to demonstrate paragraph on page I-9 (2RPT scenario) that the SLMCPR is not exceeded for and the last paragraph on page I-10 these events. (LFWH scenario).

(d) On page I-14, the response to BTP 7-19 Criterion 7 states: (c) The requested plots for the limiting cases are provided in GEH Document instability is the only AOO requiring a 003N5152, Revision 0. This document diverse protection method. Please has been placed in the PRNM Reading provide justification for this conclusion. Room portal.

Revise Table 4-2 to show that this conclusion is valid. (d) The quoted section refers to Section 4.1, which includes Table 4.1 (not Table 4.2). Generic and plant-specific discussions are provided in Table 4.1 for each event except instability justifying that there is no threat to the applicable limits (BTP 7-19 Criterion (1)) posed by a CCF in PRNM in conjunction with the event.

23. SRXB Enclosure 3, NEDC-33864P, Appendix Close No 4/19/2016 R, Plant Responses Required by PRNM The response is provided in GEH LTR: 6/9/2016 Document 003N5152, Revision 0, which The NRC staff has been placed in the PRNM Reading On page R-21, the licensee provided the will review the Room portal.

following response: document in the reading room.

39

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response Regarding the initial monitoring period, the GEH NUMAC OPRM system can be installed and activated immediately without an initial monitoring period because: 1) The operating experience of the GEH NUMAC OPRM system in general is sufficient, 2) The GEH NUMAC OPRM system is replacing the current Option III OPRM system, 3) (( )). The DSS-CD LTR does not require an additional monitoring period.

Every plant PRNMS is unique and, therefore, a monitoring period is required.

Because only a few BWRs have implemented DSS-CD, there is insufficient operating data to justify a deviation from the staff position discussed in the approved LTR (SER Section 3.2.6, First Cycle Implementation). Please provide justification for not requiring an additional monitoring period.

24. SRXB Enclosure 3, NEDC-33864P, Appendix S, Close No 6/21/2016 Supplemental Information for ARTS for As stated below, there is no approved HCGS. 6/9/2016 ARTS LTR; also note that Appendix S The generic Section 3.3.1 does not refer to GESTAR The Section 3.3.1 analyses refer to a statistical for the generic statistical analysis. The generic statistical analysis for application analyses refer to information provided in Appendix S is to all BWRs, including HCGS. Identify GESTAR consistent with the level of information the staff-approved LTR section that NEDE-24011-P- that was provided for Columbia which approved the generic statistical analyses. A. During the 40

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response staffs review of implemented full ARTS (NRC SE:

this document, it ADAMS ML13317B623).

was unable to identify the 4/19/2016 source for Table There is no NRC approved ARTS LTR; 2 of Appendix S ARTS are individually analyzed and and the approved for each plant. ARTS applicability of (concurrent with MELLLA) for HCGS was Table 2 to Hope approved by Amendment 163 (ADAMS Creek. ML060620500). A HCGS-specific Typically, there ARTS/MELLLA safety analysis report will be a generic (A/MSAR), NEDC-33066P, was submitted LTR approved to support the change. As discussed in by the staff for NEDC-33864P Appendix S, the the approval of implementation of the NUMAC PRNM the statistical allows for the hardware portion of ARTS analyses. The to be installed thus allowing the transition staff needs to to full ARTS.

see this generic analyses for rod withdrawal error (RWE).

25. SRXB Enclosure 3, NEDC-33864P, Appendix T, (a) Close No 6/21/2016 HCGS Thermal Hydraulic Stability, DSS- (e) Hope Creek has never experienced CD Evaluation: (b) Close No feedwater temperature reduction greater than 102 °F.

(a) Section 2.1 DSS-CD Set points:

(c) Close No As a part of DSS-CD implementation, 4/19/2016 the applicability checklist is incorporated into the reload evaluation process and is (a) The DSS-CD implementation at documented in the Supplemental Reload (d) Close No HCGS is based on GE14 fuel and is done Licensing Report (SRLR). Submit the per the DSS-CD LTR (NEDC-33075P-A, SRLR for GNF2 fuel to verify the DSS-CD (e) Close No Revision 8).

41

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response implementation process. (Confirmatory The DSS-CD stability section of the SRLR item) 6/9/2016 is of a standard format, which includes Some plants the confirmation checklist. If required, (b) HCGS plans to transition from GE-14 have GEH can provide the reference of a to GNF2 during the implementation of experienced representative DSS-CD SRLR already PRNMS. Resubmit Appendix T, HCGS larger feedwater issued for another plant.

Thermal Hydraulic Stability DSS-CD temperature Evaluation and Appendix S, reduction than (b) The PRNM license amendment Supplemental Information for ARTS for the reduction request is based on the GE14 fuel design HCGS, for the GNF2. RWE analysis was value assumed that is currently in operation at Hope done for Cycle 13. RWE analyses are in the analyses. Creek.

required with the GNF2 fuel. Have there been The DSS-CD implementation at HCGS is (Confirmatory item) any instances at per the DSS-CD LTR (NEDC-33075P-A, Hope Creek Revision 8). Any future implementation of (c) HCGS plant-specific LPRM/APRM when the a new fuel design at HCGS, such as data was gathered during Cycle 18 and feedwater GNF2, will be addressed through the Cycle 19 at lower power/flow conditions, temperature approved DSS-CD process described in rather than at full power/flow conditions. decreased more Section 6.1of the LTR. Plant-specific Please justify why it was not necessary to than 102 review and approval is not required for collect data at full power/flow conditions. degrees F? fuel transition as stated in Items 7 and 9 (d) In Table 2-1, a Checklist in Section 6.0 of the Safety Evaluation of Confirmation is provided. The NRC staff (f) Close SRXB RAI- the DSS-CD LTR (NEDC-33075P-A, may perform an audit to verify the 2 Revision 8).

confirmations done for all the 6/9/2016 As stated in the first paragraph of Section parameters. 3.3.1 of Appendix S, A generic statistical The staff will analysis for application to all BWRs (e) The rated feedwater temperature review the including HCGS has been performed and reduction is provided in Table 2-1. information in is summarized in Table 2. The Historically, what has been the maximum the reading application of these results is validated for feedwater heater temperature reduction room portal. GE and GNF fuel and core design for experienced at HCGS? each reload analysis in accordance with (g) Close No Reference 2. (Reference 2 being GESTAR-II). Consequently, the 42

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response (f) The TRACG confirmatory best- application of the generic statistical estimate MCPR margins to the SLMCPR analysis is not dependent on plant type, were calculated and are summarized in specific core design, or specific GE / GNF Table 2-2. Submit the detailed plots that fuel design. The application of these include the important parameters for the results will be validated on a cycle most limiting case. specific bases including consideration of any future new fuel designs, such as (g) Table 3-1, Disposition of Limitations GNF2, as described in Section 1.2.6 B of and Conditions: GESTAR-II.

In the table, only Condition 9.18 is (c) Thermal-Hydraulic instabilities are not addressed. Please address all (except of concern at rated conditions and the for MELLLA+ items) conditions and DSS-CD system is not armed at rated limitations identified in the SER for conditions. Therefore, data collected at NEDC-33173P, Applicability of GE rated conditions is not of interest for DSS-Methods to Expanded Operating CD applications.

Domains.

(d) No response required.

(e) Hope Creek is licensed to operate at rated thermal power with feedwater at a minimum temperature of 329.6 °F (HCGS FOL 2.C.11). This corresponds to a 102

°F reduction from the rated feedwater temperature of 431.6 °F. PSEG would like clarification on why the maximum historical feedwater temperature reduction value is required in support of the value indicated in Table 2-1.

(f) The requested plot for the cases listed in Table 2-2 is provided in GEH Document 003N5152, Revision 0, which 43

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response has been placed in the PSEG Reading Room portal.

(g) The DSS-CD methodology is used for the detection and suppression of thermal-hydraulic instability. Only NEDC-33173P limitation and condition 9.18 is associated with stability and therefore is the only limitation and condition discussed in Section 2.1(Page T-5) and addressed in Table 3-1 of Appendix T.

26. EICB Appendix R, Section 6.6 of Reference 1, Close No 6/21/2016 System failure Analysis, item 1, states a A copy of the table has been placed in the similar Table to F-1 provided in 6/9/2016 PRNM Reading Room portal:

Reference 11 (NEDC-30851P-A) of the The table from PRNM LTR is included in the HCGS NEDC-30851P-

  • NEDC-30851P-A_Table F-1.pdf defense-in-depth and diversity analysis. A was also However, Appendix I of the LAR does not reproduced in Also see OI#22a response.

include this table. PRNM LTR Section the Columbia 6.4.1 requires identification the diverse PRNM LAR. 4/19/2016 parameter monitored to detect symptoms See NEDO- The reference to Appendix I Table F-1 is of each event. This table should include 33694 an editorial error. During the preparation each event in Chapter 15 of HCGSs SAR (ML12040A076), and review of the content that became where an APRM-based scram trip is containing the Appendix I, it was decided to not credited in the analysis. D3 analysis for reproduce Table F-1 from NEDC-30851P-the Columbia A, as was done during a previous LAR.

PRNM. (See response to Open Item #22a.)

If a copy of the table is necessary to complete the Hope Creek PRNM review, the table was provided previously, as discussed in response to Open Item 44

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response

  1. 22a. It can be provided again in the reading room portal.

Note that each event from Hope Creek UFSAR Chapter 15 was evaluated, and those that could be affected by a CCF in PRNM are discussed in Appendix I Section 4.1 and 4.2.

27. EICB Appendix I provides the defense-in-depth Close No 4/19/2016 and diversity analysis for HCGS. This Each of the BTP 7-19 criteria are appendix does not include analysis for addressed in Appendix I. The criteria that the potential of the PRNMS to adversely directly address the potential of the affect other echelons of defense (e.g. the PRNMS to adversely affect other control echelon). Please describe how echelons of defense may be found in other echelons of defense could not be Table 4.2. For example, The discussion adversely influenced by interfaces with about the potential for PRNMS to the PRNMS. adversely affect the control echelon is addressed in Criterion (3).

A similar discussion has been provided in previous submittals:

Refer to RAI #9 in GNRO-2011/00039 (ML111460590) for GGNS, NEDC-33694P (ML12040A076) for Columbia.

28. EICB LAR Section 4.1.1 states, in part, that: Close EICB RAI-8 6/21/2016 The statement was not meant to imply All interfaces with external systems are that any of the PRNM system interfaces maintained electrically equivalent using do not maintain electrical compatibility.

interface subassemblies with exception of This statement indicates that all interfaces the interface to the plant computer and other than those mentioned are plant operator's panel. electrically equivalent to the existing system, as discussed in the PRNM LTR Section 2.1.2.

45

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response As written, this statement implies that plant computer and operators panel The plant computer interface is modified interfaces do not maintain electrical by deleting the existing physical I/O and compatibility between the PRNMS and implementing a data link.

these systems. The NRC staff needs to understand the nature of this exception in The plant operators panel interface is order to determine if these interfaces are modified by the addition of Operator compliant with independence criteria of Display Assemblies.

IEEE 603. Please provide additional information describing this exception as Hope Creeks proposed design conforms well as a justification for why this to descriptions of these interfaces in the exception is acceptable from a functional PRNM LTR. The system compliance with and system independence perspective. electrical independence is addressed in Appendix L of NEDC-33864P.

29. EICB The NUMAC Systems Independent Close No 7/19/2016 Verification and Validation Plan As stated in the SyIVVP (NEDC-33864P, (Appendix D) identifies two members of Appendix D, Section 2.2.1), the the NUMAC IVV team as; the System responsibilities of the IVV team include:

Verification and Validation Engineer and the System Safety Analysis Engineer and

  • Prepare equipment qualification defines roles and responsibilities for test plans and procedures these positions in Sections 2.2.2 & 2.2.3
  • Perform equipment qualification respectively. The Hope Creek NUMAC testing/analysis and document the System Management Plan however, results identifies a third position of System Test
  • Summarize equipment and Qualification Engineer as a member qualification results in a of the IVV team (See Figure 2-1 and qualification summary report Section 2.2.4 of Appendix E). The responsibilities for this third position are The SyIVVP also states that the IVV team not defined in either Appendix D or reports to the Chief Engineers Office E. The NRC staff requests information of (CEO) and that the CEO may draw upon the roles and responsibilities for the Test subject matter experts from anywhere 46

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response and Qualification Engineer be provided to within the GEH engineering support the staffs determination of population. GEH Engineering has a team NUMAC V&V effectiveness. of Test and Qualification Engineers who are responsible for the testing and qualification of all types of equipment, including mechanical and analog devices. Members of this team are logical candidates for performing the test and qualification of the PRNM equipment for Hope Creek. However, the candidate must be approved by the CEO. Therefore, the role and responsibilities of the Test and Qualification Engineer are as stated in the three bullets above from the SyIVVP.

30. EICB Regulatory Audit Request for Documents New 11/10/2016 to be put on Portal. The following The requested documents were placed in documents were requested: 11/02/2016 - rjs the electronic portal.

Confirmed

  • PRNM System Validation Test requested Procedure 002N5897 documents are
  • APRM IVV Module Test on portal and Procedure 002N7588 are accessible.
  • APRM Integration Test Cases and Procedures (ITCP) 002N5941
  • Licensing Oversight Audit Reports (2); Gavial, and FAT.
  • Condition Report 13702 (Self Identification of Traceability Issue)
  • Functional Software Code Review Report 002N6392 47

DOC-0006-2118 R6 PSEG Update 11-10-16 No. Resp. Issue Description Status RAI No. PSEG Response

  • Hope Creek APRM Functional Test Item Transmittal Report 002N6397
  • Engineering Change Order 0021902
  • DBR 0013981
  • Quality Control Work Instructions:

o 23-303-10 o 23-310-11 23-310-11(G01)

31. EICB Traceability of Design Constraints. The New 11/10/2016 NRC staff notes that Traceability Design constraints for the HC PRNM Guidance requires objects identified to be project were linked using DOORs. The design constraints (DC) to be out-linked guide (procedure) was developed very to IPS requirements. During the audit early in the project. Actual implementation however, the NRC was unable to follow was to link from design constraints to such a thread for a selected DC. We lower level documents but not the other would like to understand how this way around. Also, design constraints procedural requirement is being met if not were not included in the embedded tables through the imbedded requirements to limit the size of the tables. The design tables of the SDS and IPS documents. team review scope of the SDSs included specific direction to confirm that IPS design constraints and requirements were implemented in the SDS. Additionally, both requirements and design constraints were part of the IVV scope for independent verification and validation activities.

48