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Category:CORRESPONDENCE-LETTERS
MONTHYEARML20217H4661999-10-18018 October 1999 Forwards Changes to EPIPs IAW 10CFR50.54(q) & 10CFR50,App E, Section V.Details of Changes Encl ML20217H6341999-10-15015 October 1999 Requests Renewal of Operator Licenses for Listed Personnel. Current Licenses for Kh Curran,Lm Gerlach,Rc Weber & Bt Rhodes Will Expire in Nov 1999.Proprietary NRC Form 398 & NRC Form 396 Encl.Proprietary Info Withheld ML20217H6251999-10-15015 October 1999 Requests Renewal of Operator Licenses for Listed Personnel. Current Licenses for MR Kahn,Aj Mclaughlin,De Montgomery & Kr Murphy Will Expire in Nov 1999.Proprietary NRC Form 398 & NRC from 396 Encl.Proprietary Info Withheld ML20217F4301999-10-14014 October 1999 Responds to 991012 Rai,Based on 991001 Telcon Re Suppl to Request for TS Change to Revise MCPR Safety Limit & Add Approved Siemens Topical Rept for LaSalle County Station, Unit 1 ML20217D3191999-10-12012 October 1999 Submits Request for Addl Info Re Licensee 990707 Proposed License Amend to Revise Min Critical Power Ratio.Listed Questions Were Discussed with Util in 991001 Telcon ML20217C1671999-10-0808 October 1999 Provides Suppl to RAI for Approval of Unreviewed Safety Question Re Assessment of Certain safety-related Concrete Block Walls at LaSalle County Station,Units 1 & 2 ML20217A7601999-10-0606 October 1999 Forwards Insp Repts 50-373/99-15 & 50-374/99-15 on 990729-0916.One Violation of NRC Requirements Occurred & Being Treated as Ncv,Consistent with App C of Enforcement Policy ML20212M0931999-10-0404 October 1999 Refers to 990922-23 Meeting Conducted by Region II at LaSalle Nuclear Power Station.Purpose of Visit,To Meet with Licensee Risk Mgt Staff to Discuss Util Initiatives in Risk Area & to Establish Dialog Between SRAs & Risk Mgt Staff 05000373/LER-1999-003, Forwards LER 99-003-00 IAW 10CFR50.73(a)(2)(iv).Commitments for Submittal Also Encl1999-10-0404 October 1999 Forwards LER 99-003-00 IAW 10CFR50.73(a)(2)(iv).Commitments for Submittal Also Encl ML20216J8241999-09-30030 September 1999 Notifies of Removal of NRC Headquarters & Region III Offices from Controlled Copy Distribution of Certain CE Documents. Specific Documents,Associated Controlled Copy Numbers & NRC Location Affected Are Shown on Attachment to Ltr ML20217A6201999-09-30030 September 1999 Advises of NRC Plans for Future Insp Activities at Facility for Licensee to Have Opportunity to Prepare for Insps & to Provide NRC Feedback on Any Planned Insps Which May Conflict with Plant Activities.Plant Issue Matrix & Insp Plan Encl ML20212E7171999-09-22022 September 1999 Forwards RAI Re Requesting Approval of License Amend to Use Different Methodology & Acceptance Criteria for Reassessment of Certain Masonry Walls Subjected to Transient HELB Pressurization Loads 05000374/LER-1999-002, Forwards LER 99-002-00,IAW 10CFR50.73(a)(2)(iv).Commitments Made by Util Are Encl1999-09-20020 September 1999 Forwards LER 99-002-00,IAW 10CFR50.73(a)(2)(iv).Commitments Made by Util Are Encl ML20212C0591999-09-17017 September 1999 Informs That NRC Reviewed Licensee Justifications for Deviations from NEDO-31558 & Determined That Justifications acceptable.Post-accident Neutron Flux Monitoring Instrumentation Acceptable Alternative to Reg Guide 1.97 ML20212A3581999-09-13013 September 1999 Confirms That Fuel MCPR Data for LaSalle County Station,Unit 1,Cyle 9,sent by Ltr Meets Condition 2,as Stated in 970509 NRC Ltr ML20211Q9911999-09-10010 September 1999 Informs That License SOP-4048-4,for Wp Sly May Be Terminated Due to Individual Retiring ML20212A1141999-09-10010 September 1999 Forwards RAI Re Licensee 990519 Amend Request,Which Proposed to Relocate Chemistry TSs from TS to licensee-controlled Documents.Response Requested by 990930,so That Amend May Be Issued to Support Upcoming Unit 1 Refueling Outage ML20211P2211999-09-0808 September 1999 Forwards Insp Repts 50-373/99-14 & 50-374/99-14 on 990809- 13.No Violations Noted.Insp Concluded That Emergency Preparedness Program Maintained in Good State of Operational Readiness ML20212A8571999-09-0707 September 1999 Informs That Proprietary Document, Power Uprate SAR for LaSalle County Station,Units 1 & 2, Rev 2,Class III, NEDC-32701P,submitted in ,Marked Proprietary,Will Be Withheld from Public Disclosure,Per 10CFR2.790(b)(5) ML20211Q6861999-09-0606 September 1999 Informs That NRC Tentatively Scheduled Initial Licensing Exam for Plant License Applicants During Wks of 001113 & 20. Validation of Exam Will Occur at Station During Wk of 001023 05000374/LER-1999-001, Forwards LER 99-001-00,IAW 10CFR50.73(a)(2)(i).Commitments Made by Util Are Encl1999-09-0303 September 1999 Forwards LER 99-001-00,IAW 10CFR50.73(a)(2)(i).Commitments Made by Util Are Encl ML20211M1151999-08-31031 August 1999 Requests That Following Eleven Individuals Take BWR Gfes of Written Operator Licensing Exam to Be Administered on 991006 ML20211G1831999-08-27027 August 1999 Provides Addl Clarification of Proposed Refueling Practices Under Proposed Core Alterations Definition Re 990813 Application for Amend to TS ML20211G1221999-08-27027 August 1999 Forwards fitness-for-duty Program Performance Data for Each of Comm Ed Nuclear Power Stations & Corporate Support Employees within Scope of Rule for six-month Period Ending 990630,IAW 10CFR26.71(d) ML20211F8731999-08-25025 August 1999 Forwards Insp Repts 50-373/99-13 & 50-374/99-13 on 990804-06 & 09-11.No Violations Noted.Fire Protection Program Strengths Includes Low Number of Fire Protection Impairments & Excellent Control of Transient Combustibles ML20210U3201999-08-17017 August 1999 Forwards Insp Repts 50-373/99-12 & 50-374/99-12 on 990623-0728.No Violations Noted ML20210N5651999-08-0606 August 1999 Forwards Rev 8 to Nuclear Generating Stations Emergency Plan, for Plants.With Summary of Changes ML20210M9131999-08-0202 August 1999 Forwards Response to NRC AL 99-02, Operating Reactor Licensing Action Estimates, for Fys 2000 & 2001 for Comed 05000373/LER-1999-002, Forwards LER 99-002-00,IAW 10CFR50.73(a)(2)(i).Commitments Made by Util Are Listed1999-07-23023 July 1999 Forwards LER 99-002-00,IAW 10CFR50.73(a)(2)(i).Commitments Made by Util Are Listed ML20210E0501999-07-22022 July 1999 Submits Summary of 990630 Management Meeting Re Licensee Performance Activities Since Start Up of Unit 2.List of Attendees & Matl Used in Presentation Enclosed ML20210B7071999-07-16016 July 1999 Responds to Requesting Review & Approval of Three Proposed Changes to Ceco QA TR,CE-1A Per 10CFR50.54(a)(3) & 10CFR50.4(b)(7) ML20209H5171999-07-15015 July 1999 Discusses 990701 Telcon Re Arrangements for NRC to Inspect Licensed Operator Requalification Program at LaSalle County Nuclear Generating Station for Weeks of 990913,1018 & 1129 ML20209G4031999-07-14014 July 1999 Forwards Insp Repts 50-373/99-11 & 50-374/99-11 on 990614-18.No Violations Noted ML20209E1211999-07-14014 July 1999 Submits mid-cycle Rev of COLR IAW LaSalle County Tech Spec 6.6.A.6.d.Rev to COLR Was Necessary Due to Implementation of TS Change Approved by Ltr Dtd 990212,which Changed Turbine Stop Valve & Turbine Control Valve Scram ML20209F6931999-07-13013 July 1999 Forwards Insp Repts 50-373/99-04 & 50-374/99-04 on 990513-0622.No Violations Noted.Determined That Multiple Challenges to Main Control Room Operators Occurred During Insp Period Due to Human Performance Weaknesses ML20210C1521999-07-0909 July 1999 Forwards Post-Outage (90 Day) Summary Rept for ISI Examinations & Repair/Replacement Activities Conducted from Beginning of First Insp Period of Second ten-yr Insp Interval Through L2R07 Refueling Outage ML20209G3901999-07-0909 July 1999 Informs NRC of Status of Commitments & Requests NRC Concurrence for Use of ASME Section III App F Acceptance Criteria to Permanently Qualify Units 1 & 2 Penetrations M-49 & M-50 ML20209E0341999-07-0909 July 1999 Provides NRC with Siemens Power Corp (SPC) Fuel & GE Fuel MCPR Data for LaSalle Unit 1 Cycle 9.LaSalle Unit 1 Is Currently Scheduled to Start Cycle 9 in 991101 ML20209E0361999-07-0808 July 1999 Forwards LaSalle County Station Unit 2 Cycle 8 Startup Test Rept Summary,Iaw TS NPF-18,Section 6.6.A.1.Startup Test Program Was Satisfactorily Completed on 990501 ML20196J9131999-07-0101 July 1999 Submits Status of Nuclear Property Insurance Currently Maintained for Braidwood,Byron,Dresden,Lasalle County,Quad Cities & Zion Nuclear Power Stations,Per 10CFR50.54(w)(3) ML20196J9061999-07-0101 July 1999 Provides Evidence That Util Maintains Guarantee of Payment of Deferred Premiums in Amount of $10 Million for Each of Thirteen Reactors,Per 10CFR140.21 ML20209B8241999-06-30030 June 1999 Forwards Five 3.5 Inch Computer Diskettes Containing Revised Annual Dose Repts for 1994 Through 1998 for Individuals Receiving Neutron Dose Not Previously Included in Reported Total Effective Dose Equivalent Values.Without Diskettes ML20196J4711999-06-30030 June 1999 Discusses Closure of GL 92-01,Rev 1,Suppl 1, Rv Structural Integrity, Issued on 950519 to Plant,Units 1 & 2 ML20212J0311999-06-21021 June 1999 Informs of Actions Taken to Close Remaining Open Items in .Attachment Provides Detailed Justification for Closure of Open Items in Sections 5.2.2 & 5.2.8 ML20196B1951999-06-18018 June 1999 Informs NRC That Do Werts,License OP-30373-2,no Longer Requires Use of NRC License for LaSalle County Station. License May Be Terminated ML20195J7761999-06-15015 June 1999 Submits Request Relief CR-23,requesting Relief from Code Required Selection & Examinations of Noted Integral Attachments & Proposes to Utilize Alternative Selection & Examination Requirements Similar to Code Case N-509 ML20196G8021999-06-15015 June 1999 Requests Renewal of SRO License for Vv Masterson.Current License for Vv Masterson Will Expire Jul 1999.NRC Forms 398 & 396,encl.Without Encls ML20195G7101999-06-11011 June 1999 Informs That Effective 990514,GH Mccallum,License SOP-31412, No Longer Requires Use of NRC License for LaSalle Station. License Should Be Terminated ML20195D6351999-06-0404 June 1999 Notifies NRC of Actions That Has Been Taken in Accordance with 10CFR26, Fitness for Duty Programs ML20207D2821999-05-27027 May 1999 Requests That Implementation Date for Unit 1 Be Changed Prior to Startup for L1C10 to Allow Best Allocation of Resources to Implement Unit 1 Amend Prior to Startup for Either L1C9 or L1C10.Unit 2 Will Implement Mod IAW Request 1999-09-08
[Table view] Category:INCOMING CORRESPONDENCE
MONTHYEARML20217H4661999-10-18018 October 1999 Forwards Changes to EPIPs IAW 10CFR50.54(q) & 10CFR50,App E, Section V.Details of Changes Encl ML20217H6251999-10-15015 October 1999 Requests Renewal of Operator Licenses for Listed Personnel. Current Licenses for MR Kahn,Aj Mclaughlin,De Montgomery & Kr Murphy Will Expire in Nov 1999.Proprietary NRC Form 398 & NRC from 396 Encl.Proprietary Info Withheld ML20217H6341999-10-15015 October 1999 Requests Renewal of Operator Licenses for Listed Personnel. Current Licenses for Kh Curran,Lm Gerlach,Rc Weber & Bt Rhodes Will Expire in Nov 1999.Proprietary NRC Form 398 & NRC Form 396 Encl.Proprietary Info Withheld ML20217F4301999-10-14014 October 1999 Responds to 991012 Rai,Based on 991001 Telcon Re Suppl to Request for TS Change to Revise MCPR Safety Limit & Add Approved Siemens Topical Rept for LaSalle County Station, Unit 1 ML20217C1671999-10-0808 October 1999 Provides Suppl to RAI for Approval of Unreviewed Safety Question Re Assessment of Certain safety-related Concrete Block Walls at LaSalle County Station,Units 1 & 2 05000373/LER-1999-003, Forwards LER 99-003-00 IAW 10CFR50.73(a)(2)(iv).Commitments for Submittal Also Encl1999-10-0404 October 1999 Forwards LER 99-003-00 IAW 10CFR50.73(a)(2)(iv).Commitments for Submittal Also Encl ML20216J8241999-09-30030 September 1999 Notifies of Removal of NRC Headquarters & Region III Offices from Controlled Copy Distribution of Certain CE Documents. Specific Documents,Associated Controlled Copy Numbers & NRC Location Affected Are Shown on Attachment to Ltr 05000374/LER-1999-002, Forwards LER 99-002-00,IAW 10CFR50.73(a)(2)(iv).Commitments Made by Util Are Encl1999-09-20020 September 1999 Forwards LER 99-002-00,IAW 10CFR50.73(a)(2)(iv).Commitments Made by Util Are Encl ML20211Q9911999-09-10010 September 1999 Informs That License SOP-4048-4,for Wp Sly May Be Terminated Due to Individual Retiring 05000374/LER-1999-001, Forwards LER 99-001-00,IAW 10CFR50.73(a)(2)(i).Commitments Made by Util Are Encl1999-09-0303 September 1999 Forwards LER 99-001-00,IAW 10CFR50.73(a)(2)(i).Commitments Made by Util Are Encl ML20211M1151999-08-31031 August 1999 Requests That Following Eleven Individuals Take BWR Gfes of Written Operator Licensing Exam to Be Administered on 991006 ML20211G1831999-08-27027 August 1999 Provides Addl Clarification of Proposed Refueling Practices Under Proposed Core Alterations Definition Re 990813 Application for Amend to TS ML20211G1221999-08-27027 August 1999 Forwards fitness-for-duty Program Performance Data for Each of Comm Ed Nuclear Power Stations & Corporate Support Employees within Scope of Rule for six-month Period Ending 990630,IAW 10CFR26.71(d) ML20210N5651999-08-0606 August 1999 Forwards Rev 8 to Nuclear Generating Stations Emergency Plan, for Plants.With Summary of Changes ML20210M9131999-08-0202 August 1999 Forwards Response to NRC AL 99-02, Operating Reactor Licensing Action Estimates, for Fys 2000 & 2001 for Comed 05000373/LER-1999-002, Forwards LER 99-002-00,IAW 10CFR50.73(a)(2)(i).Commitments Made by Util Are Listed1999-07-23023 July 1999 Forwards LER 99-002-00,IAW 10CFR50.73(a)(2)(i).Commitments Made by Util Are Listed ML20209E1211999-07-14014 July 1999 Submits mid-cycle Rev of COLR IAW LaSalle County Tech Spec 6.6.A.6.d.Rev to COLR Was Necessary Due to Implementation of TS Change Approved by Ltr Dtd 990212,which Changed Turbine Stop Valve & Turbine Control Valve Scram ML20210C1521999-07-0909 July 1999 Forwards Post-Outage (90 Day) Summary Rept for ISI Examinations & Repair/Replacement Activities Conducted from Beginning of First Insp Period of Second ten-yr Insp Interval Through L2R07 Refueling Outage ML20209E0341999-07-0909 July 1999 Provides NRC with Siemens Power Corp (SPC) Fuel & GE Fuel MCPR Data for LaSalle Unit 1 Cycle 9.LaSalle Unit 1 Is Currently Scheduled to Start Cycle 9 in 991101 ML20209G3901999-07-0909 July 1999 Informs NRC of Status of Commitments & Requests NRC Concurrence for Use of ASME Section III App F Acceptance Criteria to Permanently Qualify Units 1 & 2 Penetrations M-49 & M-50 ML20209E0361999-07-0808 July 1999 Forwards LaSalle County Station Unit 2 Cycle 8 Startup Test Rept Summary,Iaw TS NPF-18,Section 6.6.A.1.Startup Test Program Was Satisfactorily Completed on 990501 ML20196J9131999-07-0101 July 1999 Submits Status of Nuclear Property Insurance Currently Maintained for Braidwood,Byron,Dresden,Lasalle County,Quad Cities & Zion Nuclear Power Stations,Per 10CFR50.54(w)(3) ML20196J9061999-07-0101 July 1999 Provides Evidence That Util Maintains Guarantee of Payment of Deferred Premiums in Amount of $10 Million for Each of Thirteen Reactors,Per 10CFR140.21 ML20209B8241999-06-30030 June 1999 Forwards Five 3.5 Inch Computer Diskettes Containing Revised Annual Dose Repts for 1994 Through 1998 for Individuals Receiving Neutron Dose Not Previously Included in Reported Total Effective Dose Equivalent Values.Without Diskettes ML20212J0311999-06-21021 June 1999 Informs of Actions Taken to Close Remaining Open Items in .Attachment Provides Detailed Justification for Closure of Open Items in Sections 5.2.2 & 5.2.8 ML20196B1951999-06-18018 June 1999 Informs NRC That Do Werts,License OP-30373-2,no Longer Requires Use of NRC License for LaSalle County Station. License May Be Terminated ML20196G8021999-06-15015 June 1999 Requests Renewal of SRO License for Vv Masterson.Current License for Vv Masterson Will Expire Jul 1999.NRC Forms 398 & 396,encl.Without Encls ML20195J7761999-06-15015 June 1999 Submits Request Relief CR-23,requesting Relief from Code Required Selection & Examinations of Noted Integral Attachments & Proposes to Utilize Alternative Selection & Examination Requirements Similar to Code Case N-509 ML20195G7101999-06-11011 June 1999 Informs That Effective 990514,GH Mccallum,License SOP-31412, No Longer Requires Use of NRC License for LaSalle Station. License Should Be Terminated ML20195D6351999-06-0404 June 1999 Notifies NRC of Actions That Has Been Taken in Accordance with 10CFR26, Fitness for Duty Programs ML20207D2821999-05-27027 May 1999 Requests That Implementation Date for Unit 1 Be Changed Prior to Startup for L1C10 to Allow Best Allocation of Resources to Implement Unit 1 Amend Prior to Startup for Either L1C9 or L1C10.Unit 2 Will Implement Mod IAW Request ML20195B2301999-05-19019 May 1999 Requests Approval of Proposed Changes to QA Topical Rept CE-1-A,rev 66a.Attachment a Describes Changes,Reason for Change & Basis for Concluding That Revised QAP Incorporating Proposed Changes Continues to Satisfy 10CFR50AppB ML20206R4561999-05-12012 May 1999 Provides Notification That Ws Jakielski,License SOP-30168-3, Is Being Reassigned & No Longer Requires Use of NRC License, IAW 10CFR50.74 05000373/LER-1999-001, Forwards LER 99-001-00,IAW 10CFR50.73(a)(2)(ii).Attachment a Provides Commitments for Submittal1999-05-0707 May 1999 Forwards LER 99-001-00,IAW 10CFR50.73(a)(2)(ii).Attachment a Provides Commitments for Submittal ML20206K7081999-05-0707 May 1999 Forwards 10CFR50.46(a)(3) Rept Re Significant Change in Calculated Pct.Loca Analyses for Both GE Fuel & Siemens Power Corp Fuel Demonstrates Results within All of Acceptance Criteria Set Forth in 10CFR50.46 ML20206K1861999-04-30030 April 1999 Informs That in Comed Submitted Annual Exposure Rept for Personnel Receiving Greater than 0 Mrem/Yr Rather than 100 Mrem/Yr.Updated Rept Limiting Data to Personnel Receiving Greater than 100 Mrem/Yr,Attached ML20206R0751999-04-30030 April 1999 Forwards License Renewal Applications & Certification of Medical Examinations for LaSalle County Station Personnel Whose Licenses Expire in Nov.Personnel Listed.Without Encls ML20206F0931999-04-30030 April 1999 Forwards LaSalle County Nuclear Power Station,Units 1 & 2 Effluent & Waste Disposal Semi-Annual Rept for 1998. LaSalle County Station Tech Specs Recently Revised to Reduce Periodicity of 10CFR50.36a ML20206D5921999-04-28028 April 1999 Forwards Annual Environ Operating Rept for 1998 for Environ Protection Plan, for LaSalle County Station,Units 1 & 2. Rept Includes Info Required by Listed Subsections of App B to Licenses NPF-11 & NPF-18 ML20206B2471999-04-20020 April 1999 Informs That SE Kuczynski Has Been Transferred to Position No Longer Requiring SRO License.Cancel License SOP-31030-1, Effective 990412 ML20205L8161999-04-0808 April 1999 Advises NRC of Util Review & Approval of Cycle 8 Reload Under Provisions of 10CFR50.59 & Transmit COLR for Upcoming Cycle Consistent with GL 88-16.Reload Licensing Analyses Performed for Cycle 8 Utilize NRC-approved Methodologies ML20205J9451999-04-0505 April 1999 Submits Petition Per 10CFR2.206 Requesting That LaSalle County Nuclear Plant Be Immediately Shut Down & OL Suspended or Modified Until Such Time That Facility Design & Licensing Bases Are Properly Updated ML20205K5841999-03-31031 March 1999 Submits Rept on Status of Decommissioning Funding for Reactors Owned by Comm Ed.Attachment 1 Contains Amount of Decommissioning Funds Estimated to Be Required Pursuant to 10CFR50.75(b) & (C) ML20205B4241999-03-23023 March 1999 Provides Results of drive-in Drill Conducted on 990208,as Well as Augmentation Phone Drills Conducted Since 981015,as Committed to in Util ML20207J9841999-03-0505 March 1999 Informs That Effective 990212,KC Dorwick Has Resigned & No Longer Requires Use of NRC License for LaSalle County Station ML20207F9581999-03-0101 March 1999 Requests That Initial License Examination Currently Scheduled for Weeks of May 15 & 22,2000 Be Changed to Weeks of Nov 13 & 20,2000.Class Size Is Projected to Be Twelve RO & SRO Candidates ML20207C7251999-03-0101 March 1999 Forwards Annual Rept for LaSalle County Station, for Period of 980101-981231.App E to Rept Provides Info on All Personnel Receiving Exposures of More than 0 Mrem/Yr Rather than 100 Mrem/Yr Requirement of TS 6.6.A.2 ML20207D6831999-03-0101 March 1999 Forwards fitness-for-duty Program Performance Data for Each Comed Nuclear Power Station & Corporate Support Employees for Six Month Period Ending 981231,per 10CFR26.71(d) ML20207C8401999-02-25025 February 1999 Forwards Rev 60 of Comed LSCS Security Plan,Iaw 10CFR50.4(b) (4).Rev Eliminates Requirement for Annual change-out of Vital & PA Keys & Locks & re-configuration of PA Fence Around North Access Facility.Rev Withheld ML20207A9361999-02-24024 February 1999 Forwards Rev 4 to Restart Plan,To Reflect Review,Oversight & Approval Process Necessary to Restart Unit 2.Review & Affirmation Process Will Focus on Station Capability to Support Safe Dual Unit Operations 1999-09-30
[Table view] Category:UTILITY TO NRC
MONTHYEARML20059H5321990-09-11011 September 1990 Requests Withdrawal of Application for Amend to Licenses NPF-11 & NPF-18,per 891215 & s.Amend Would Have Removed Applicability of Tech Spec (TS) 3.0.4 to TS 3.6.5.2, Secondary Containment Automatic Isolation Dampers ML20059H4271990-09-0707 September 1990 Provides Supplemental Response to NRC Bulletin 90-001.Plant Initial Review of Calibr Records Completed on 900831 ML20059G0941990-09-0505 September 1990 Forwards LaSalle County Station Unit 2 Third Refueling Outage,Asme Section XI Summary Rept for Spring 1990 Insp ML20059C6891990-08-30030 August 1990 Forwards LaSalle County Nuclear Power Station Unit 2,Cycle 4 Startup Test Rept & Test Rept Summary ML20056B4061990-08-21021 August 1990 Submits Supplemental Response to Generic Ltr 88-14 Re Design & Verification of Instrument Air Sys.Mfg Purchase Specs & Vendor Manuals Reviewed for Air Quality Requirements ML20059B8961990-08-14014 August 1990 Documents Approval of Schedular Extension & Accepts Human Engineering Discrepancies Discussed ML20059D1731990-08-10010 August 1990 Responds to NRC Re Exercise Weaknesses Noted in Insp Repts 50-373/90-05 & 50-374/90-06.Corrective Actions: LOA-FP-01, Fire Alarm Response Will Be Revised to Alert Control Room Operators to Refer to Emergency Action Levels ML20058N2971990-08-0606 August 1990 Forwards Rev 34 to Security Plan.Rev Details Addl Gate Position for Security Testing & Maint.Rev Withheld (Ref 10CFR73.21) ML20064A5491990-07-27027 July 1990 Responds to NRC Re Violations Noted in Insp Repts 50-373/90-12 & 50-374/90-13.Corrective Actions:Program Implemented Identifying & Correcting Repetitive Local Leak Rate Failures Through Testing & LER Investigation ML20056A7031990-07-27027 July 1990 Responds to NRC Re Violations Noted in Insp Repts 50-373/90-13 & 50-374/90-14.Corrective actions:LRP-1250-3 Revised to Include Addl Requirement for Extremity Monitoring ML20055H7631990-07-25025 July 1990 Forwards Financial Info Re Decommissioning of Plants ML20055H7661990-07-24024 July 1990 Forwards Supplemental Response to Generic Ltr 90-04, Status of Licensee Implementation of Generic Safety Issues Resolved W/Imposition of Requirements or Corrective Actions ML20055G2011990-07-13013 July 1990 Forwards Corrected Monthly Operating Rept for June 1990 for LaSalle County Unit 1.Outage/Reduction 16 Corrected ML20055F1831990-07-0909 July 1990 Provides Status Rept on Breaker Replacements in Response to NRC Bulletin 88-010.Breaker Replacements for Plants Scheduled to Be Completed by 901031 ML20044B1751990-07-0909 July 1990 Responds to NRC Request for Addl Info Re Util 890726 Proposed Amend to Tech Specs to Allow Continued Operation for Period of 12 H W/Main Steam Tunnel High Ambient Temp & High Ventilation Sys Differential Trips Bypassed ML17202L2861990-07-0202 July 1990 Forwards Dresden II Upper Vessel Contract Variation Review, La Salle II Upper Vessel Fabrication Summary & Quad-Cities II Upper Vessel Fabrication Summary. ML20055D1921990-06-29029 June 1990 Responds to Generic Ltr 90-04 Re Status of Licensee Implementation of Generic Safety Issues ML20055J2021990-06-26026 June 1990 Responds to NRC Re Violations Noted in Insp Repts 50-373/90-06 & 50-374/90-06.Corrective Actions:Perimeter Zone Repairs Commenced on Schedule & Completely Functional & Out of Compensatory Measures on 900614 ML20044A5071990-06-22022 June 1990 Forwards Revised Response to Station Blackout Rule for Plant.During Blackout Event,Plant Can Utilize RCIC Sys or HPCS to Provide Required Reactor Vessel Inventory Makeup ML20043E8651990-06-0707 June 1990 Forwards Relief Request RV-57 for Emergency Fuel Pool Makeup Crosstive Vent Valve 1(2)E12-F097.Expedious Review of Request Requested Because Valve 1(2)E12-F097 Inoperable & Will Remain So Until NRC Approval Received ML20043D3221990-06-0101 June 1990 Forwards Rev 33 to Security Plan.Rev Withheld (Ref 10CFR73.21) ML20043C8241990-06-0101 June 1990 Advises of Intentions to Review & Approve Cycle 4 Reload,Per 10CFR50.59 & Forwards Rev 1 to LAP-1200-16, Core Operating Limits Repts for LaSalle County Station Unit 2,Reload 3, Cycle 4, Per Generic Ltr 88-16 ML20043B6581990-05-25025 May 1990 Requests Schedular Extension of Two Human Engineering Deficiencies Re CRT Displays W/Current Ramtek Sys & Approval to Leave Seven Human Engineering Discrepancies Accepted as Is. ML20043B7921990-05-23023 May 1990 Forwards Endorsements 14 to Nelia Policy N-71 & Maelu Policy M-71 & Endorsements 12 to Nelia & Maelu Policies N-83 & M-83,respectively ML20042E8841990-04-30030 April 1990 Responds to Generic Ltr 89-04 Re Weaknesses of Inservice Testing Programs.Plant Has Implemented Rev 2 of Inservice Testing Program Submitted by Util 891002 & 24 Ltrs.No Equipment Mods Required as Result of Generic Ltr ML20042F3591990-04-29029 April 1990 Provides Suppl Response to NRC Bulletin 88-004, Potential Safety-Related Pump Loss. Precaution Added to Operating Procedures Which Allows ECCS Pump to Be Secured & Restarted as Necessary to Preclude Running Pumps at Min Flow ML20042F0341990-04-23023 April 1990 Forwards Part 3 to 1989 Operating Rept,Containing Results of Radiological Environ & Meteorological Monitoring Programs. W/O Encl ML20064A6281990-03-30030 March 1990 Submits Supplemental Response to Insp Repts 50-373/86-04 & 50-374/86-04 Re Fire Detection Concerns,Per NRC 900214 Request.Proposed Administrative Controls & Training Will Eliminate Concerns That Assure Protection of Personnel ML20055E1461990-03-29029 March 1990 Provides Supplemental Response to Re Violations Noted in Insp Repts 50-373/89-18 & 50-374/89-18 on 890724- 0825.Corrective Actions:Plant Performs Safety Evaluation for Mods Not Designed by Corporate Nuclear Engineering Dept ML20012C6991990-03-15015 March 1990 Forwards Corrected Tech Spec Page to 881129 Application for Amend to Licenses NPF-11 & NPF-18,removing Specific Load Profiles for Each Dc Battery ML20012B6541990-02-26026 February 1990 Forwards LaSalle County Station Unit 1 Third Refueling Outage ASME Section XI Summary Rept, for Fall 1989 Inservice Insps Performed.Conditions Observed & Corrective Measures Taken Also Contained in Rept ML20006E7421990-02-0909 February 1990 Responds to NRC 900110 Ltr Re Violations Noted in Insp Repts 50-373/89-23 & 50-374/89-22.Corrective Actions:Ltr from Station Manager to All Dept Heads Was Issued on 891218, Discussing Personnel Performance Issues ML20005F5771990-01-0808 January 1990 Documents Guidance Given by P Shemanski Re Typos in Earlier Approved Amend to License NPF-11.Guidance Should Adhere to Wording of Unit 2 Tech Specs.Guidance Given on 900105 & Will Be Followed Until Correction Made at NRR Ofcs ML20011D9661989-12-22022 December 1989 Forwards Core Operating Limits Rept for LaSalle County Station Unit 1,Reload 3 (Cycle 4). Intention to Review & Approve Cycle 4 Reload Under Provisions of 10CFR50.59 Stated ML20005E1661989-12-22022 December 1989 Forwards Rev 32 to Security Plan,Reflecting Administrative Changes in Mgt Structure at Facilities.Rev Withheld (Ref 10CFR73.21) ML19332E4531989-11-29029 November 1989 Responds to Generic Ltr 89-21, Status of Implementation of USI Requirements. Response to USI A-48 Expected by 900319 ML19332C2461989-11-0808 November 1989 Provides Supplemental Response to Insp Repts 50-373/88-05 & 50-374/88-05 on 890302-10.Scheduled Completion Dates for Sample Panel Mods Changed from Third to Fourth Refueling Outages of Each Unit ML19325E5191989-10-31031 October 1989 Forwards Qualification Test Rept QTR87-018, Max Credible Fault Tests CM249-Q2 Carrier Modulator for Fermi 2 SPDS, in Response to NRC 890304 Request for Addl Info Re Facility Validyne Isolator CM-249 ML19325E3601989-10-26026 October 1989 Forwards Addl Info Re Application for Amend to Licenses NPF-11 & NPF-18,revising Tech Specs to Conform W/Diesel Generator Test Schedule Recommendations,Per Generic Ltr 84-15 ML19325E7921989-10-24024 October 1989 Submits Response to SALP 8 Board Repts 50-373/89-01 & 50-374/89-01.Expresses Appreciation for NRC Recognition of High Level of Performance in Area of Plant Operations, Emergency Preparedness & Security ML19325E0941989-10-24024 October 1989 Forwards Clarification to Summary of Changes Made in Rev 2 to Plant Inservice Testing Program ML19353A9051989-10-23023 October 1989 Responds to NRC 890921 Ltr Re Violations Noted in Insp Repts 50-373/89-19 & 50-374/89-19.Corrective Actions:Hose Connection That cross-connected Svc Air Sys W/Clean Condensate Sys Uncoupled & Secured ML17285A8081989-10-18018 October 1989 Responds to Request for Info on Environ Qualification of Taped Electrical Splices.Scotch Tapes Allowed by Electrical Test Guide Included Scotch 33,23 & 70 ML19325D1931989-10-13013 October 1989 Forwards Quarterly Rept on Static-O-Ring Failures Third Quarter 1989,per IE Bulletin 86-002.Stated Switches Replaced ML19327B0431989-10-0505 October 1989 Responds to NRC 890821 Ltr Re Violations Noted in Insp Repts 50-373/89-15 & 50-374/89-15.Corrective actions:post-order for Assembly Revised to Provide Specific Guidance on Use of Siren & Loudspeaker on Mobile Vehicles During Assemblies ML19327A7491989-10-0202 October 1989 Forwards Rev 2 to Combined Units 1 & 2 Inservice Testing Program for Pumps & Valves. Implementation of Program Will Require Procedure Revs Expected to Be Completed by 900228 ML19325D3271989-10-0202 October 1989 Forwards Rept Re Findings & Conclusions of Investigation Re 890826 Scram ML20248D0881989-09-21021 September 1989 Forwards Rev 56 to QA Program Topical Rept CE-1-A ML20247Q6431989-09-21021 September 1989 Documents Relaxation of Commitment Re Disassembling & Insp of Sor Switches ML19327A7681989-09-18018 September 1989 Forwards Response to Allegations Re Potential Employment Discrimination.Encl Withheld (Ref 10CFR2.790(a)(7)) 1990-09-07
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Text
,
.- N Commonwealth Edison
) one First National Plaza. Chicago. Ill.nois
( CM Address Reply to: Post Offer,e Box 767 (j/ Chicago. Illinois 60690 January 27, 1984 Mr. Harold R. Denton, Director Office of Nuclear Reactor Regulation U.S. Nuclear Regulatory Commission Washington, DC 20555
Subject:
LaSalle County Station Units 1 and 2 Appeal of Certain Fire Protection Positions NRC Docket-Nos. 50-373 and 50-374 References (a): LaSalle County Station Unit 2 License NPF-18, dated December 16, 1983.
(b): NRC Inspection Report Nos. 50-373/83-44 and 50-374/83-38 dated December 12, 1983.
Dear Mr. Denton:
The purpose of this letter is to request that we meet with your staff promptly to discuss certain positions recently taken by the Offices of Nuclear Reactor Regulation and Inspection and Enforcement in their fire protection reviews and inspections regarding Fire Protection at LaSalle County Station. It is noted that these positions which are documented in References (a) and (b), are also being applied, to varying degrees, to other Commonwealth Edison Company facilities.
Our request is directed to the Office of Nuclear Reactor Regulation (NRR), although the pasitions with which exception is noted have been taken, in part, by both NRR and the Office of Inspection and En forcement (I&E) .
The imposed requirements that Commonwealth Edison Company desires to discuss are:
- 1) Application of GDC 1 to Fire Protection systems and equipment.
Commonwealth Edison Company believes that GDC 1 does not apply i
to Fire Protection Systems and equipment. SRP 9.5.1 supports our position.
- 2) Impor.ition of all aspects of all NFPA codes. As to provisions of NFPA codes which have not been adopted by the NRC in its regulations, Commonwealth Edison Company believes that compliance is only required in those cases where we have made specific commitments, and that the codes allow for engineering judgement to be utilized in application of the NFPA guidance.
8402020162 840127 M PDR ADOCK 05000373
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H. R. Denton January 27, 1984 3)' Imposition of surveillance tests in excess of those currently prescribed by the NRC BWR Standard Technical Specifications.
This specifically includes:
a) Requirements that periodic fire pump tests be in accordance with NFPA-20.
b) Requirements that fire damper surveillances include a periodic operability test of a sample population of accessible dampers.
Commonwealth Edison Company believes that new, previously unimposed requirements should be processed through the normal regulatory channels. We think it is inappropriate and unfair to impose these requirements during the inspection process.
- 4) Imposition of NFPA 51b training requirements for fire watches.
Commonwealth Edison Comany believes that the mere reference,
"(see NFPA 51b)" in the guidance document to which we have committed, does not represent a formal requirement for line by line compliance to all aspects of NFPA 51b and is not a basis for enforcement action.
Each of the above positions is addressed in detail in the
' enclosures. As previously discussed with Mr. D. Eisenhut, et al, of your staff on November 29, 1983, it is requested that these issues be expedi-tiously resolved. Specifically, resolution of these issues no later than February 10, 1984 the extended would due date forallow conclusion response of this to(b)pic to Reference concurrent
, prior with to full power license issue for LaSalle County Station Unit 2, and prior to initial license issue for Byron Station Unit 1.
l Finally, it-is noted that substantial effort is currently l
underway on several fronts regarding the issues of Safety-Related and l Important to Safety. There is no need to resolve that issue in L
connection with the four appealed positions. Similarly, we are not disputing the NRC's authority to regulate nuclear power plant fire protection. Rather, as addressed in the enclosures, we believe that regulation by the NRC should proceed in an orderly manner with appropriate reviews as new generic issues are identified.
,w s -e --y- <c-e
a H. 'R . Denton - 3- January 27, . 984 If there are any questicns in this matter, please contact the Commonwealth Edison Company Nuclear Licensing Department.
Enclosed for your use are one (1) signed original and forty (40) copies of.this letter and the enclosures.
Very truly yours, Cordell Reed Vice President CWS/lm Enclosures cc: Mr.-T. Novak (Federal Express) ,
-Mr. V. Stello (Federal Express)
Mr. J. G. Keppler, Region III NRC Resident Inspector - LSCS Mr. P. P. Steptoe, IL&B 7995N s - - - - - , --wrr ,* , , , , - ~ . ~ - . ~ . -=--,,-~r- *--,--,--,~v- ---- , , - .- . - -
Enclosure 1 Position:
Application equipment. of GDC 1 to Fire Protection systems and 4
In Inspection Report Nos._50-373/83-44 and 50-374/83-38, philosophy applied noncompliance by the NRC in support of four of the itemsthe is that: of Criterion 1 of Appendix A to 10 CFR 50 is applicable to fire protection systems, structures and components such as those required by 10 CFR 50.48, requires compliance with quality standards, and requires records commensurate with the safety functions to be performed.
In some esses this interpretation appears to be essential to the NRC Staf f's finding that there has been an item of noncompliance.
Commonwealth applies Edisonsystems.
to fire protection disagrees that Criterion 1 of 10 CFR Pa;t 50 makes clear, As Criterion 3 of 10 CFR Part 50 fire protection systems are provided to protect " structures themselves safety."
are not " structures,' systems and components importa Moreover, Nos. 50-373/83-44 and 50-374/83-48the interpretation suggested in Inspection Report
-prntection systems are " structures, leads to absurd results: if fire safety" then firesystems.
fire protection protection systems would be required to protect thesystems and com A review of 10 CFR 50, Appendix R, Section I reveals a definition of Shutdown, or Design Basis Accidents. Safety Function as systems which are req Fire protection systems and equipment perform does not apply. none of these functions and, therefore, again GDC-1 4
l' Finally, we note that the suggestion that GDC-1 applies to fire protection is inconsistent with the Standard Review Plan, Section 9.5.1 and the CLI-78-6, Action, Commission's decision in Petition For Emergency and Remedial 7 NRC 400, 406-407, 421, 427-428 (1978), both or which identify legal requirements, not including GDC-1, applicable to fire protection.
With respect to the SRP, it is noted that the NRC has freely and uldely listed compliance SRP. Thewith GDC-1 as acceptance criteria for various sections of the NRC, however apply GDC-1 to fire protection, as repr,esented has made a clear decision in Section 9.5.1. We to not concur with this published position of the NRC.
' 7995N
= -
)
Enclosure 2 s
Position: Imposition of'all aspects of'all NFPA codes
, -There is a second, independent problem with the application of GDC-1 in' Inspect' ion' Report Nos. 50-373/83-44 and 50-374/83-48. The Inspection Report apparently takes the position that GDC-1 makes all provisions of all NFPA Codes legally binding on Commonwealth Edison (even though individual paragraphs of the FSAR list which parts of the NPFA codes that Commonwealth ddison considers applicable and has committed to implement). But GDC-1 does not state that licensees and applicants must follow all " generally recognized codes and standards." It merely states that:
Where generally recognized codes and standards are used, they snall be identified and evaluated to determine their applicability, adequacy, and sufficiency and shall be supplemented or modified as necessary to assure a quality productinkeepIng/with (emphasis added)._
the required safety function.
The use of GDC-1 to require unreferenced codes and standards on the nuclear industry is legally unsupportable. This seems to be a clear violation of due process of law and a violation of the provisions of the Administration Procedure Act governing publication of rules, rulemaking, and sanctions, 5 U.S.C.A. SS 552, 553, and 558. It would also be inconsistent with the Commission's own backfit rule, 10 CFR 50.135, the Commission's recent policy statement on proposed backfits, 48 Fed. Reg.
44173 (September 28, 1983) and its backfitting directions to the Staff referred to in the Policy Statement.
An example of the I&E application of GDC-1 to require compliance with all portions of all NFPA codes, even though there is no commitment to all portions of all NFPA codes,_ is found on page 30 of the inspection report:
1/ See also December 19, 1983 letter from H. R. Denton to T. S. Ellis, III, Esq. of Hunton and Williams, which states, in pertinent part:
...GDC-1 mandates the-application of quality standards and programs " commensurate with the importance of the safety functions to be performed" and expressly allows the use of
" generally recognized codes and standards" where applicable and sufficient." .(emphasis added)
Note the distinction Mr. Denton makes between what GDC-1 mandates and what it allows.
S- . _ _
l "NFPA Standards specify requirements for surveillance testing of fire (protection) systems, equipment, and components._ The licensee committed to develop and implement the' fire protection program in accordance with NFPA codes and standards throughout the FSAR.
The licensee failed to establish adequate quality assurance acceptance / rejection criteria as required by NFPA codes and standards for the following surveillance tests:
(1) LES FP03, Hydrogen seal oil deluge initiation circuit functional test. Does not incorporate NFPA 13 requirements.
(2) LOS FPAl, fire protection flow path valve cycling. Does not incorporate NFPA 24 requirements.
'(3) LOS FPA2, fire protection. system function test. Does not incorporate NFPA 20 requirements in that it only requires verification of flowing 2500 gpm at 108 psi.
(4) LMS FD06, fire protection hose station valve operability and flow verification. Does not incorporate NFPA 14 requirements.
(5)- LMS FP09, yearly maintenance of AFFF fire extinguisher. Does
-not incorporate NFPA 10 requirements.
(6) LOS FPA3, fire protection sprinkler and deluge system drain flow and. cycling test. Does not incorporate NFPA 13A requirements.
This is considered a violation of 10 CFR 50, Appendix A, General Design' Criterion 1, and an example of a noncompliance (50-373/83-44-03h) and open item (50-374/83-48-24)."
Commonwealth Edison Company must disagree with the NRC positions:
- 1. That GDC-1 applies-to fire protection. See Enclosure 1.
- 2. That commitments to use the guidance of a few specific portions of NFPA codes in the FSAR is interpreted that we have committed to all NFPA codes. 'Our commitments are not to all NFPA codes and engineering judgement is utilized in application of the guidance.
.3. That compliance is required to a set of codes and standards for which, to our knowledge, the NRC has not published endorsements or reauirements. It has been our experience that, in those cases that the NRC expects or desires or requires compliance with codes and standards, the NRC publishes official guidance (i.e., Regulatory Guides) which specifically endorse in entirety cr endorse with exceptions and additions.
7995N
i Enclosure 3
~
s Position': '
IAposition of surveillance. tests in excess of those currently prescribed by the NRC BWR Standard Technical Specifications.
During final review' of fire protection issues, the NRC staff required that surveillance testing be imposed on LaSalle County Station in excess of the requirements provided in the published NRC BWR Standard Technical Specifications. This mahdate of additional requirements is in violation of the guidance in H. R. Denton's Office' Letter No. 38 and is inconsistent alth the Commission's' published positions, guidance, and rulemaking on backfitting. These are'withcut question generic issues. The Staff has circumvented the preceribed methods for imposing new requirements, including cost / benefit' Af'erminations and a'pproval by CRGR. We think thct it is inappropriate and-unfair to impose these requirements during the inspection process withoue benefit. of the prescribed rigorous review process required internally, within the tGC.
The specific examples of additional surdeillance requirements being imposed are:
a) Requirements that periodic fire pump tests be in accordance with NFPA-20. Technical Specification 4.'7.5.1.1 lists the survell-lance requirement- for' the fire pumps. ~
Commonwealth Edison Company belihves that theiappropriate requirements for the technical specifications are-those necessary to verify adequate
, system operation. Tnis is consistent with the NRC's application of other Standard' Technical Specifications. The NRC staff, however, required and im' posed NFPA-20 150% requirements. It is ?
noted that we never committed to all aspects of NFPA-20, but rather that the fire pumps sould be installed per NFPA-20.
Commonwealth" Edison Company disagrees ~with imposition of this position, especially in view of the apparent lack of any NRC p}ublishedendorsementcofallaspectsofN'FPA-20.
b) Requirements that fire dampeh surveillances include a periodic operability _. test of a sample population of accessible dampers.
The original Unit 1 techutcal specifications and the Commonwealth Edison Company proposed Unit 2 technical specifications were exactly the-same as the NRC BWR Standard Technical Specifica-tions. The inclusion of this item as NPF-18 License Condition 2.C.15.(h) is a clear example of a ratchet that circumvented the prescribed NRC procedure for imposition of new generic require-ments, including cost / benefit determinations and approval by CRGR.
1
\ \
e 7995N
- b..
Enclosure 4 Position: Imposition of NFPA 51b training requirements for fire
, watches.
LaSalle County Station is committed to the 1977 " Fire Protection Functional Responsibilities" document per Amendment 63 of the FSAR. A review of how the 1977 guidance incorporates NFPA guidance reveals:
Section 1.0.b.(2) . ." . Using the following NFPA publications for guidance to develop the fire protection program:
No. 4..."
Section 1.0. f. (5) ..." The recommendations for organization, training, and equipment of " Private Fire Brigades as specified in NFPA No. 27-1975 ...are considered an appropriate criteria...".
In this case, however, we note that nowhere does the 1977 guidance docunient state that NFPA Slb recommendations are to be used as guidance nor that NFPA 51b is considered appropriate acceptance criteria. Rather, Sections 2.0.(b).(1), (2), and (3) are followed simply by "(See NFPA
-51b)". There is no requirement fnr compliance. There seems to be no legal' basis for requiring compliance with a vague reference in a guidance document. We further note that the Standard Review Plan (SRP 9.5.1) clearly states the NRC's acceptance criteria for a fire protection program. SRP 9.5.1 is silent on the issue of fire watches. Thus, the
! NRC staff and management have formally not required compliance to NFPA 51b fire watch criteria.
This is without question a generic issue. The staf f has circumvented the prescribed methods for imposing new requirements, including cost /
benefit determinations and approval by CRGR. We think that it is inappropriate and unfair to impose this requirement during the last moments prior to license issue without benefit of the prescribed rigorous review process required internally within the NRC.
I 7995N
_ . _