ML20155H659: Difference between revisions
StriderTol (talk | contribs) (StriderTol Bot change) |
StriderTol (talk | contribs) (StriderTol Bot change) |
||
Line 47: | Line 47: | ||
UNITED S TATES NUCLEAR REGULATORY COMMISSION NORTHERN STATES POWER COMPANY MONTICELLO NUCLEAR GENERATING PLANT DOCKET NO. 50-263 l | UNITED S TATES NUCLEAR REGULATORY COMMISSION NORTHERN STATES POWER COMPANY MONTICELLO NUCLEAR GENERATING PLANT DOCKET NO. 50-263 l | ||
RESPONSE TO NRC REQUEST FOR ADDITIONAL INFORMATION ON l GENERIC LETTER 96-05 J Northern States Power Company, a Minnesota corporation, by letter dated November 4,1998, provides the requested 60 day response to NRC Request for Additional information Regarding Generic Letter 96-05, " Periodic Verification of Design-Basis Capability of Safety-Related Motor-Operated Valves." This letter contains no restricted or other defense information. | RESPONSE TO NRC REQUEST FOR ADDITIONAL INFORMATION ON l GENERIC LETTER 96-05 J Northern States Power Company, a Minnesota corporation, by {{letter dated|date=November 4, 1998|text=letter dated November 4,1998}}, provides the requested 60 day response to NRC Request for Additional information Regarding Generic Letter 96-05, " Periodic Verification of Design-Basis Capability of Safety-Related Motor-Operated Valves." This letter contains no restricted or other defense information. | ||
I NORTHERN STATES POWER COMPANY By E4 C Michael F. Hammer Plant Manager Monticello Nuclear Generating Plant On this //A day of No hbu [fl8_._ before me a notary public in and for said County, personally appeared Michael F. Ham:ncr, Plant Manager, Monticello Nuclear Generating Plant, and being first duly sworn annowledged that he is authorized to execute this document on behalf of Northern States Power company, that he knows the contents thereof, i and that to the best of his knowledge, informaion, and belief the statements made in it are true i and that it is not interposed for delay. | I NORTHERN STATES POWER COMPANY By E4 C Michael F. Hammer Plant Manager Monticello Nuclear Generating Plant On this //A day of No hbu [fl8_._ before me a notary public in and for said County, personally appeared Michael F. Ham:ncr, Plant Manager, Monticello Nuclear Generating Plant, and being first duly sworn annowledged that he is authorized to execute this document on behalf of Northern States Power company, that he knows the contents thereof, i and that to the best of his knowledge, informaion, and belief the statements made in it are true i and that it is not interposed for delay. | ||
, p MARVINIWCHARD ENGEN GMAny Putus*MMMA ot Pub c - t nnesota - - | , p MARVINIWCHARD ENGEN GMAny Putus*MMMA ot Pub c - t nnesota - - | ||
Line 54: | Line 54: | ||
Attachment A Monticello Nuclear Generating Plant Response to Request for Additional Information Regarding Generic Letter 96-05 ltem 1 In NRC Inspection Report No. 50-263/95003, the NRC staff closed its review of the l | Attachment A Monticello Nuclear Generating Plant Response to Request for Additional Information Regarding Generic Letter 96-05 ltem 1 In NRC Inspection Report No. 50-263/95003, the NRC staff closed its review of the l | ||
motor-operated valve (MOV) program implemented at the Monticello Nuclear i Generating Plant in response to Generic Letter (GL) 89-10, " Safety-Related Motor- l Operated Valve Testing and Surveillance." In the inspection report, the NRC staff noted certain aspects of the licensee's MOV program that would be addressed over the long term. For example, Northern States Power Company (NSP) indicated that it would (1) confirm the valve friction coefficients for MOVs required to close under blowdown conditions using the Electric Power Research Institute MOV Performance Prediction \ | motor-operated valve (MOV) program implemented at the Monticello Nuclear i Generating Plant in response to Generic Letter (GL) 89-10, " Safety-Related Motor- l Operated Valve Testing and Surveillance." In the inspection report, the NRC staff noted certain aspects of the licensee's MOV program that would be addressed over the long term. For example, Northern States Power Company (NSP) indicated that it would (1) confirm the valve friction coefficients for MOVs required to close under blowdown conditions using the Electric Power Research Institute MOV Performance Prediction \ | ||
Methodology, (2) evaluate the marginal capability of MOV MO-4085B, and (3) implement a method to extrapolate test data in the valve opening direction. NSP addressed its long-term plans for considering stem lubricant degradation in its letter dated March 13,1997, in response to GL 96-05. " Periodic Verification of Design-Basis l Capability of Safety-Related Motor-Operated Valves." NSP should describe the actions I taken to address the specific long-term aspects of the MOVprogram at Monticello that were noted in the NRC inspection report. | Methodology, (2) evaluate the marginal capability of MOV MO-4085B, and (3) implement a method to extrapolate test data in the valve opening direction. NSP addressed its long-term plans for considering stem lubricant degradation in its {{letter dated|date=March 13, 1997|text=letter dated March 13,1997}}, in response to GL 96-05. " Periodic Verification of Design-Basis l Capability of Safety-Related Motor-Operated Valves." NSP should describe the actions I taken to address the specific long-term aspects of the MOVprogram at Monticello that were noted in the NRC inspection report. | ||
Monticello Response l l l The status of addressing certain long term aspects of the Monticello MOV program as l identified in NRC Inspection Report No. 50-263/95003 is as follows. | Monticello Response l l l The status of addressing certain long term aspects of the Monticello MOV program as l identified in NRC Inspection Report No. 50-263/95003 is as follows. | ||
MO-2-53A and MO-2-53B (3ection 3.2 of 50-263/95-003, page 3) | MO-2-53A and MO-2-53B (3ection 3.2 of 50-263/95-003, page 3) | ||
Line 108: | Line 108: | ||
Page5 1 | Page5 1 | ||
1 Item 2 l I | 1 Item 2 l I | ||
In a letter dated March 23,1998, NSP updated its commitment to implement the Joint l Owners Group (JOG) Program on MOV Periodic Verification in response to GL 96-05. l The JOG program specifies that the methodology and discrimination criteria for ranking MOVs according to their safety significance are the responsibility of each participating licensee. In a previous letter dated March 13,1997, NSP had generally described the risk ranking of MOVs at Monticello for application of the JOG interim MOV static diagnostic testing program. Please indicate whether or not NSP is applying the Boiling l Water Reactor Owner's Group (BWROG) methodology for ranking MOVs based on their safety significance as described in BWROG Topical Repor1 NEDC-32264 and the l NRC safety evaluation dated February 27,1996. If not, please describe the i methodology used for risk ranking MOVs at Monticello in more detail. | In a {{letter dated|date=March 23, 1998|text=letter dated March 23,1998}}, NSP updated its commitment to implement the Joint l Owners Group (JOG) Program on MOV Periodic Verification in response to GL 96-05. l The JOG program specifies that the methodology and discrimination criteria for ranking MOVs according to their safety significance are the responsibility of each participating licensee. In a previous {{letter dated|date=March 13, 1997|text=letter dated March 13,1997}}, NSP had generally described the risk ranking of MOVs at Monticello for application of the JOG interim MOV static diagnostic testing program. Please indicate whether or not NSP is applying the Boiling l Water Reactor Owner's Group (BWROG) methodology for ranking MOVs based on their safety significance as described in BWROG Topical Repor1 NEDC-32264 and the l NRC safety evaluation dated February 27,1996. If not, please describe the i methodology used for risk ranking MOVs at Monticello in more detail. | ||
Monticello Response Monticello has applied the Boiling Water Reactor Owners' Group (BWROG) methodology for ranking MOVs based on their safety significance as described in BWROG Topical Report NEDC-32264 and the NRC safety evaluation dated February 27,1996. | Monticello Response Monticello has applied the Boiling Water Reactor Owners' Group (BWROG) methodology for ranking MOVs based on their safety significance as described in BWROG Topical Report NEDC-32264 and the NRC safety evaluation dated February 27,1996. | ||
1 Item 3 The JOG program focuses on the potential age-related increase in the thrust or torque mquired to operate valves under their design-basis conditions. In the NRC safety evaluation dated October 30,1997, on the JOG program, the NRC staff specified that licensees are responsible for addressing the thrust or torque delivered by the MOV motor actuator and its potential degradation. NSP should describe the plan at Monticello for ensuring adequate MOV motor actuator output capability, including l consideration of the recent guidance in Limitorque Technical Update 98-01 and its | 1 Item 3 The JOG program focuses on the potential age-related increase in the thrust or torque mquired to operate valves under their design-basis conditions. In the NRC safety evaluation dated October 30,1997, on the JOG program, the NRC staff specified that licensees are responsible for addressing the thrust or torque delivered by the MOV motor actuator and its potential degradation. NSP should describe the plan at Monticello for ensuring adequate MOV motor actuator output capability, including l consideration of the recent guidance in Limitorque Technical Update 98-01 and its |
Latest revision as of 18:57, 9 December 2021
ML20155H659 | |
Person / Time | |
---|---|
Site: | Monticello |
Issue date: | 11/04/1998 |
From: | Hammer M NORTHERN STATES POWER CO. |
To: | NRC OFFICE OF INFORMATION RESOURCES MANAGEMENT (IRM) |
References | |
GL-96-05, GL-96-5, NUDOCS 9811100223 | |
Download: ML20155H659 (9) | |
Text
.
i r eorthern States Power Company l
Monticello Nuclear Generating Plant 2807 West County Road 75 i Monticello, MN 55362 November 4,1998
)
US Nuclear Regulatory Commission )
Attn: Document Control Desk Washington, DC 20555 MONTICELLO NUCLEAR GENERATING PLANT Docket No. 50-263 License No. DPR-22 1
NPO Generic Letter 96-05 Periodic Verification of Design-Basis Capability of Safety-Related Motor-Operated Valves Response to Request for Additional Information
References:
(1) NRC Generic Letter 96-05, " Periodic Verification of Design-Basis Capability of Safety-Related Motor-Operated Valves," September 18,1996 )
(2) NSP Letter, "180 Day Response to NRC Generic Letter 96-05 Periodic Verification of Design-Basis Capability of Safety-Related Motor-Operated l Valves," March 13,1997 / I (3) NSP Letter, "NRC Generic Letter 96-05 Periodic Verification of Design-Basis Capability of Safety-Relate,d Motor-Operated Valves," March 23,1998 7yb I
(4) NRC Letter, "Monticello Nuclear Generating Plant - Request ib Additional ;
Information Regarding Generic Letter 96-05 Program (TAC NO. M97070),"
Sept 3mber 10,1998 l
(5) NSP Lettei, " Commitments Concerning NRC Inspection Report 50-263/95003 for Closure of NRC Generic Letter 89-10; Safety-Related Motor-Operated )
l Valve Testing and Surveillance " April 26,1995 j Reference 1 was issued by the NRC to discuss the periodic verification of the design-basis j capability of safety-related motor-operated valves (MOVs). With References 2 and 3, NSP ;
provided responses to GL 96-05. By Reference 4, the N ., requested additional iniormation to i complete their review of the subject. By this letter, NSP is responding to the NRC's request.
d 11/448 MRE J MECHMcVNGL4645'.GL960$RAIGac 9811100223 981104 m PDR ADOCK 05000243 P PDR 4
USNRC NORTHERN STATES POWER COMPANY November 4,1998 Page 2 This letter contains no new commitmeris:
Please contact Sam 'Sirey, Sr. Licensing Engineer, at (612) 295-1449 if you require further !
information.
(MilA,
- Michael F. Hammer Plant Manager Monticello Nuclear Generating Plant ,
c: Regional Administrator-lli, NRC :
NRR Project Manager, NRC Sr. Resident inspector, NRC State of Minnesota, Attn: Kris Sanda Attachments: Affidavit to the US Nuclear Regulatory Commission A- Monticello Nuclear Generating Plant Response to Request for Addiuonal Information Regarding Generic Letter 96-05 L
l
-.4
UNITED S TATES NUCLEAR REGULATORY COMMISSION NORTHERN STATES POWER COMPANY MONTICELLO NUCLEAR GENERATING PLANT DOCKET NO. 50-263 l
RESPONSE TO NRC REQUEST FOR ADDITIONAL INFORMATION ON l GENERIC LETTER 96-05 J Northern States Power Company, a Minnesota corporation, by letter dated November 4,1998, provides the requested 60 day response to NRC Request for Additional information Regarding Generic Letter 96-05, " Periodic Verification of Design-Basis Capability of Safety-Related Motor-Operated Valves." This letter contains no restricted or other defense information.
I NORTHERN STATES POWER COMPANY By E4 C Michael F. Hammer Plant Manager Monticello Nuclear Generating Plant On this //A day of No hbu [fl8_._ before me a notary public in and for said County, personally appeared Michael F. Ham:ncr, Plant Manager, Monticello Nuclear Generating Plant, and being first duly sworn annowledged that he is authorized to execute this document on behalf of Northern States Power company, that he knows the contents thereof, i and that to the best of his knowledge, informaion, and belief the statements made in it are true i and that it is not interposed for delay.
, p MARVINIWCHARD ENGEN GMAny Putus*MMMA ot Pub c - t nnesota - -
Shurburne County My Commission Expires January 31,2000 4
Attachment A Monticello Nuclear Generating Plant Response to Request for Additional Information Regarding Generic Letter 96-05 ltem 1 In NRC Inspection Report No. 50-263/95003, the NRC staff closed its review of the l
motor-operated valve (MOV) program implemented at the Monticello Nuclear i Generating Plant in response to Generic Letter (GL) 89-10, " Safety-Related Motor- l Operated Valve Testing and Surveillance." In the inspection report, the NRC staff noted certain aspects of the licensee's MOV program that would be addressed over the long term. For example, Northern States Power Company (NSP) indicated that it would (1) confirm the valve friction coefficients for MOVs required to close under blowdown conditions using the Electric Power Research Institute MOV Performance Prediction \
Methodology, (2) evaluate the marginal capability of MOV MO-4085B, and (3) implement a method to extrapolate test data in the valve opening direction. NSP addressed its long-term plans for considering stem lubricant degradation in its letter dated March 13,1997, in response to GL 96-05. " Periodic Verification of Design-Basis l Capability of Safety-Related Motor-Operated Valves." NSP should describe the actions I taken to address the specific long-term aspects of the MOVprogram at Monticello that were noted in the NRC inspection report.
Monticello Response l l l The status of addressing certain long term aspects of the Monticello MOV program as l identified in NRC Inspection Report No. 50-263/95003 is as follows.
MO-2-53A and MO-2-53B (3ection 3.2 of 50-263/95-003, page 3)
Concerning MO-2-53A and MO-2-53B, actions were to be taken to reduce the design-basis condition for these motor operated valves, reduce the packing load for MO-2-53B, obtain a more accurate measure of stem friction coefficient (as feasible), and perform static testing of MO-2-53B once per cycle until thrust margin can be improved above j 25%.
! MO-2-53A and MO-2-53B (Recirculation Pump Discharge Valves) receive an automatic l' close signal for the valve ('A' or 'B') in the unbroken recirculation loop as selectec by the Low-Pressure Coolant Injection (LPCI) loop selection logic. This function supports
- the performance of the Emergency Core Coolant System (ECCS)in mitigating the i con.,equences of a Loss of Coolant Accident (LOCA). A plant specific evaluation was i
i - .
l .
Attachment A November 4,1998 Page 2 l
performed to determine the maximum differential pressure against which the l recirculation discharge valves must close. This evaluation showed that a maximum
- differential pressure of 80 psid is the design-basis condition versus the 200 psid used for previous performance analysis for these valves. The revised design-basis value of 80 psid has been incorporated into the performance analyses performed for these valves per the Monticello Motor Operated Valve Program.
The actuator for MO-2-53B was refurbished during the Monticello 1996 refueling outage and alignment of the packing glands was performed for the triple gland valve stem packing stuffing box. This action reduced the average closed packing load for MO l 53B from approximately 10,000 lbs. to approximately 3,300 lbs. Measurement of a more accurate value of stem coefficient of friction was not feasible during this work activity.
The thrust margins for MO-2-53A and MO-2-53B were improved above 25%, after l accounting for all necessary uncertainties, with the change in the design basis l maximum differential pressure to 80 psid. Static testing on a once per cycle frequency l is not being performed since demonstrating this thrust margin improvement. Periodic
. static testing is performed for these motor operated valves at the frequency specified by the MOV Joint Owner's Group (JOG) periodic verification program based on MOV margin and risk.
l Actions concerning this issue have been completed.
MO-4085A and MO-4085B (Section 3.2 of 50-263/95-003, page 3)
Concerning MO-4085A and MO-4085B, actions were to be taken to reevaluate the design-basis function of these valves for potential removal from the program.
MO-4085A and MO-4085B (RHR Intertie Isolation Valves) are required to be closed per plant Technical Specifications while the mode switch in is RUN. An evaluation was performed which demonstrated that for plant conditions when the mode switch is not in RUN, if these valves were to be open, they are not required to close to mitigate the consequences of the desicn-basis Loss of Coolant Accident (LOCA). MO-4085A and MO-4085B have been excbded from the Monticello Motor Operated Valve Program based on the va'ves being no:mally in the required safety position and repositioning of the valves is not required during or after a design basis event.
I Actions con:erning this issue have been completed.
l e
~
Attachment A November 4,1998 Page 3 Confirmation of Disc Coefficients using EPRI PPM (Section 3.2 of 50-263/95-003, page 3)
Concerning motor operated valves required to close under blowdown conditions, actions were to be taken to confirm the disc coefficients derived from in-plant testing using the Electric Power Research Institute's (EPRl's) MOV Performance Prediction i Methodology (PPM). !
The Monticello MOV program contains eight (8) motor operated valves which are l required to be capable of closing under blowdown conditions. The following is the l status of completing the PPM for these eight valves:
l The EPRI MOV PPM has been completed for two valves with the PPM demonstrating capability to perform required valve function under blowdown conditions.
For one of these eight valves, the valve has been confirmed to be capable of being l modeled by the PPM and the EPRI MOV PPM calculation is in preparation.
For five valves, the screening criteria contained in EPRI TR-103244-R1, "EPRI MOV Performance Prediction Program implementation Guide," Section 5.0, indicates that
! these valves would be unpredictable as modeled by the PPM. EPRI TR-103244-R1, l "EPRI MOV Performance Prediction Program implementation Guide," Section 7.0, states, "...a prediction of unpredictability for valves in blowdown service does not j indicate that substantial valve damage and high required stem thrusts will occur, but l that they might occur." To address this issue for these five valves, an evaluation is l being r dormed to identify the necessary inspections, maintenance and/or
! modifiudons to these valves to establish a configuration which is predictable as
! modeled by the PFM. It is Monticello's intention to implement the necessary action I
during future refueling outages.
Action to ado Sss this issue remains in progress.
I Lack of Load Sensitive Behavior (LSB) Margin in Open Direction (Section 3.2.1.1 of 50-263/95-003, page 4)
Concerning load sensitive behavior, actions were to be taken to gather additional data to support an assumed stem friction coefficient of 0.18 in tb9 open direction.
Monticello has obtained limited additional dynamic test data for the open stroke direction with adequate torque and thrust information to provide further data concerning stem to stem nut coefficient of friction in the open direction. Thus, as a conservative
l l Attachment A November 4,1998
! Page 4 1
measure to address this issue, a margin has been applied to GL 89-10 valves with open safety related scenarios. The margin is provided to account for potential load sensitive behavior in the open direction and is consistent with that applied to address load sensitive behavior in the closed direction as discussed in section 3.2.1 of NRC Inspection Report 50-263/95003.
Actions concerning this issue have been completed.
Lack of Extrapolation for Open Stroke (Section 3.2.1.3 of 50-263/95-003, page 5)
Conceming MOVs with an open direction design basis function for which actuator torque is not measured during dynamic testing, action was to be taken to provide
- appropriate extrapolation of measured thrust to ensure an adequate assessment of open design basis capability.
The MOV program engineering standard document and the MOV program data base software have been revised to provide an extrapolation of thrust measured under dynamic conditions to design basis conditions (when necessary). This feature provides a tool for evaluating positive margin between actuator available thrust and actuator required thrust under design basis conditions to assure valve operability.
! Actions concerning this issue have been completed.
Stem Lube Degradation (Section 3.2.4 of 50-263/95-003, page 6) l Concerning test data obtained to support justification for the lubrication degradation assumption of 3%, actions were to be taken to test four additional valves to enhance the accuracy of the data collected and would include testing of MO-2035 (if possible) and performance of several valve strokes both prior to and after the stem lubrication.
i Monticello has acquired data for three of the four additional valve tests to be performed to enhance the accuracy of the data collected to support the stem lubrication degradation assumption. The additional data collected to date confirms that the l assumption of 3% to account for stem lubrication degradation is valid. It was not
! feasible to include MO-2035 in this data set due to failure of the stem-mounted strain gaugc. Monticello intends to complete data collection in support of resolution of this issue during the next scheduled refueling outage as originally committed to in Reference 5.
Attachment A November 4,1998 '
Page5 1
1 Item 2 l I
In a letter dated March 23,1998, NSP updated its commitment to implement the Joint l Owners Group (JOG) Program on MOV Periodic Verification in response to GL 96-05. l The JOG program specifies that the methodology and discrimination criteria for ranking MOVs according to their safety significance are the responsibility of each participating licensee. In a previous letter dated March 13,1997, NSP had generally described the risk ranking of MOVs at Monticello for application of the JOG interim MOV static diagnostic testing program. Please indicate whether or not NSP is applying the Boiling l Water Reactor Owner's Group (BWROG) methodology for ranking MOVs based on their safety significance as described in BWROG Topical Repor1 NEDC-32264 and the l NRC safety evaluation dated February 27,1996. If not, please describe the i methodology used for risk ranking MOVs at Monticello in more detail.
Monticello Response Monticello has applied the Boiling Water Reactor Owners' Group (BWROG) methodology for ranking MOVs based on their safety significance as described in BWROG Topical Report NEDC-32264 and the NRC safety evaluation dated February 27,1996.
1 Item 3 The JOG program focuses on the potential age-related increase in the thrust or torque mquired to operate valves under their design-basis conditions. In the NRC safety evaluation dated October 30,1997, on the JOG program, the NRC staff specified that licensees are responsible for addressing the thrust or torque delivered by the MOV motor actuator and its potential degradation. NSP should describe the plan at Monticello for ensuring adequate MOV motor actuator output capability, including l consideration of the recent guidance in Limitorque Technical Update 98-01 and its
! Supplement 1.
Monticello Response Conceming Limitorque Technical Update 98-01 and its Supplement 1, regarding output torque capability of ac-powered motor actuators, Monticello has revised the methodology used in the Monticello Motor Operated Valve Program for predicting the
4 Attachment A November 4,1998 Page 6 torque capability of ac-powered Limitorque actuators. Using this methodology, which was developed by the Commonwealth Edison Company, NSP has confirmed that these MOVs remain capable of performing their design basis functions.
i Conceming addressing the potential degradation of MOV actuator delivered thrust or l torque, Monticello will continue to: 1) perform periodic static diagnostic testing of MOVs to confirm MOV capability and proper control switch settings consistent with previous commitments; 2) perform appropriate preventative maintenance activities su.,h as periodic stem lubrication, actuator gear case grease inspection, and actuator l refurbishment to provide reasonable confidence of proper actuator performance; and 3) l apply appropriate margins to account for actuator degradations such as stem l i
l lubrication degradation, spring pack relaxation, and rate of loading. J Monticello is involved in various industry organizations to keep apprised of the latest available information concerning MOV performance. Monticello will continue to incorporate necessary enhancements to the Motor Operated Valve program based upon our evaluation of the most current information.
l l
I i
l l
l 1
2 4
1 i
. _ . .