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January 16, 2015  
January 16, 2015  


U.S. Nuclear Regulatory Commission Attn: Document Control Desk Washington, DC  20555-0001  
U.S. Nuclear Regulatory Commission  
 
Attn: Document Control Desk  
 
Washington, DC  20555-0001  


==SUBJECT:==
==SUBJECT:==
Commitment Change Notification for NRC Order EA-12-049 Arkansas Nuclear One - Unit 1 Docket No. 50-313 License No. DPR-51
Commitment Change Notification for NRC Order EA-12-049 Arkansas Nuclear One - Unit 1  
 
Docket No. 50-313  
 
License No. DPR-51  


==REFERENCES:==
==REFERENCES:==
: 1. NRC Letter to Entergy, Arkansas Nuclear One, Unit 1 - Relaxation of the Schedule Requirements for Order EA-12-049 "Issuance of Order to Modify Licenses with Regard to Requirements for Mitigation Strategies for Beyond-Design-Basis External Events (BDBEEs)" (TAC No. MF0942), dated May 20, 2014 (1CNA051402) (ML14114A697)
: 1. NRC Letter to Entergy, Arkansas Nuclear One, Unit 1 - Relaxation of the Schedule Requirements for Order EA-12-049 "Issuance of Order to Modify Licenses with Regard to Requirements for Mitigation Strategies for  
: 2. Entergy letter to NRC, Request for Implementation Date Relief in Response to March 12, 2012, Commission Order Modifying Licenses with Regard to Requirements for Mitigation Strategies for BDBEEs (NRC Order EA-12-049), dated April 7, 2014 (1CAN041401) (ML14098A114)
 
Beyond-Design-Basis External Events (
BDBEEs)" (TAC No. MF0942),
dated May 20, 2014 (1CNA051402) (ML14114A697)  
: 2. Entergy letter to NRC, Request for Implementation Date Relief in Response to March 12, 2012, Commission Order Modifying Licenses with Regard to Requirements for Mitigation Strategies for BDBEEs (NRC  
 
Order EA-12-049),
dated April 7, 2014 (1CAN041401) (ML14098A114)  


==Dear Sir or Madam:==
==Dear Sir or Madam:==


On March 12, 2012, the NRC issued order EA-12-049 to Entergy Operations, Inc. (Entergy).
On March 12, 2012, the NRC issued order EA-12-049 to Entergy Operations, Inc. (Entergy).
The order was immediately effective and directed Entergy to develop, implement, and maintain guidance and strategies to maintain or restore core cooling, containment, and spent fuel pool cooling capabilities in the event of a BDBEE.  
 
The order was immediately effective and directed Entergy to develop, implement, and maintain  
 
guidance and strategies to maintain or restore core cooling, containment, and spent fuel pool  
 
cooling capabilities in the event of a BDBEE.
 
In response to order EA-12-049 Entergy requested a relaxation of the order due date for
 
Arkansas Nuclear One, Unit 1 (ANO-1) as documented in Reference 2, and it was subsequently
 
granted by the NRC as documented in Reference 1. As part of the request, (Reference 2)
 
Entergy made two specific commitments and is withdrawing these commitments as discussed
 
with the NRC Staff on January 14, 2015, and justified in the attachment to this letter.
 
There are no new regulatory commitments in this letter. If you have any questions regarding
 
this request, please contact Stephenie Pyle at 479.858.4704.
 
I declare under penalty of perjury that the foregoing is true and correct; executed on
 
January 16 2015.  


In response to order EA-12-049 Entergy requested a relaxation of the order due date for Arkansas Nuclear One, Unit 1 (ANO-1) as documented in Reference 2, and it was subsequently granted by the NRC as documented in Reference 1. As part of the request, (Reference 2)
Entergy Operations, Inc.
Entergy made two specific commitments and is withdrawing these commitments as discussed with the NRC Staff on January 14, 2015, and justified in the attachment to this letter.
1448 S.R. 333 Russellville, AR  72802


There are no new regulatory commitments in this letter. If you have any questions regarding this request, please contact Stephenie Pyle at 479.858.4704.
Tel  479-858-3110 Jeremy G. Browning Site Vice President Arkansas Nuclear One


I declare under penalty of perjury that the foregoing is true and correct; executed on January 16 2015.
1CAN011504 Page 2 of 2  
Entergy Operations, Inc. 1448 S.R. 333 Russellville, AR  72802 Tel  479-858-3110 Jeremy G. Browning Site Vice President Arkansas Nuclear One 1CAN011504 Page 2 of 2  


Sincerely, ORIGINAL SIGNED BY JEREMY G. BROWNING  
Sincerely, ORIGINAL SIGNED BY JEREMY G. BROWNING  


JGB/nbm  
JGB/nbm  
Line 51: Line 88:
ANO-1 Commitment Change Justification  
ANO-1 Commitment Change Justification  


cc: Mr. Marc L. Dapas Regional Administrator U. S. Nuclear Regulatory Commission, Region IV 1600 East Lamar Boulevard Arlington, TX 76011-4511  
cc: Mr. Marc L. Dapas Regional Administrator  
 
U. S. Nuclear Regulatory Commission, Region IV  
 
1600 East Lamar Boulevard Arlington, TX 76011-4511  
 
NRC Senior Resident Inspector
 
Arkansas Nuclear One
 
P.O. Box 310
 
London, AR 72847
 
U. S. Nuclear Regulatory Commission
 
Attn: Mr. Peter Bamford
 
MS O-8B3
 
One White Flint North


NRC Senior Resident Inspector Arkansas Nuclear One P.O. Box 310 London, AR 72847
11555 Rockville Pike


U. S. Nuclear Regulatory Commission Attn: Mr. Peter Bamford MS O-8B3 One White Flint North 11555 Rockville Pike Rockville, MD 20852   
Rockville, MD 20852   


Attachment to 1CAN011504 Arkansas Nuclear One, Unit 1 (ANO-1) Commitment Change Justification Attachment to 1CAN011504 Page 1 of 2
Attachment to 1CAN011504 Arkansas Nuclear One, Unit 1 (ANO-1) Commitment Change Justification Attachment to 1CAN011504  


ANO-1 Commitment Change Justification
Page 1 of 2
 
ANO-1 Commitment Change Justification  


==Background:==
==Background:==
In a letter to the NRC (Reference 2) Entergy Operations, Inc. (Entergy) made two specific commitments as part of the request for NRC order EA-12-049 "Issuance of Order to Modify Licenses with Regard to Requirements for Mitigation Strategies for Beyond-Design-Basis External Event (BDBEEs)," schedule relaxation. The two commitments were:  
 
: 1. As an interim measure, instructions will be in place by startup from the ANO-1 refueling outage 1R25 for connecting a portable diesel generator to the 2B5 load center should the ANO-2 2B6 load center not be capable of being powered for some unforeseen reason during an extended loss of alternating current power. 2. The 2B5 load center modification will be the only aspect of the ANO-1 Diverse and Flexible Coping Strategies (FLEX) that will not be in full compliance with NRC Order EA-12-049 by the ordered schedule date of February 2015. Additionally, the other aspects of compliance with NRC Order EA-12-049 will be complete by 1R25 (e.g., FLEX Support Guidelines, training, equipment staged, and modifications installed).
In a letter to the NRC (Reference 2) Entergy Operations, Inc. (Entergy) made two specific  
 
commitments as part of the request for NRC order EA-12-049 "Issuance of Order to Modify  
 
Licenses with Regard to Requirements for Mitigation Strategies for Beyond-Design-Basis  
 
External Event (BDBEEs)," schedule relaxation. The two commitments were:  
: 1. As an interim measure, instructions will be in place by startup from the ANO-1 refueling outage 1R25 for connecting a portable diesel generator to the 2B5 load center should  
 
the ANO-2 2B6 load center not be capable of being powered for some unforeseen  
 
reason during an extended loss of alternating current power.  
: 2. The 2B5 load center modification will be the only aspect of the ANO-1 Diverse and Flexible Coping Strategies (FLEX) that will not be in full compliance with NRC Order  
 
EA-12-049 by the ordered schedule date of February 2015. Additionally, the other aspects of compliance with NRC Order EA-12-049 will be complete by 1R25 (e.g., FLEX  
 
Support Guidelines, training, equipment staged, and modifications installed).  
 
Both these commitments were scheduled "Prior to ANO-1 Startup from 1R25 (February 2015)."  
Both these commitments were scheduled "Prior to ANO-1 Startup from 1R25 (February 2015)."  


Commitment Change: Entergy has determined that ANO-1 implementation of the NRC order EA-12-049 prior to implementation at ANO-2 is a less optimal action than a coordinated ANO-1 and ANO-2 implementation. As a result, the two commitments discussed above are withdrawn. The basis for this change is discussed below.  
Commitment Change:
Entergy has determined that ANO-1 implementation of the NRC order EA-12-049 prior to  
 
implementation at ANO-2 is a less optimal action than a coordinated ANO-1 and ANO-2  
 
implementation. As a result, the two commitments discussed above are withdrawn. The basis  
 
for this change is discussed below.  
 
Basis:  NRC Order EA-12-049 requires the development, implementation, and maintenance of
 
guidance and strategies to maintain or restore core cooling, containment, and spent fuel pool
 
cooling capabilities in the event of a BDBEE. Section II of this order dictates the need to have
 
guidance and strategies available to prevent fuel damage in the reactor and spent fuel pit


Basis:  NRC Order EA-12-049 requires the development, implementation, and maintenance of guidance and strategies to maintain or restore core cooling, containment, and spent fuel pool cooling capabilities in the event of a BDBEE. Section II of this order dictates the need to have guidance and strategies available to prevent fuel damage in the reactor and spent fuel pit should the loss of power, motive force, and normal access to the ultimate heat sink affect all units at a site simultaneously.
should the loss of power, motive force, and normal access to the ultimate heat sink affect all  


ANO is a two-unit site with significant physical and procedural interdependencies. The two units share certain common structures, systems, components (such as water tanks, electrical cross connections, and station blackout diesel generator), and common operational staff resources for BDBEEs.  
units at a site simultaneously.  


Compliance with the ANO-1 commitments to the NRC requires full implementation for ANO-1 with the exception of the 2B5 load center modification. This results in an approximate six-month interim period that the two units would not be consistently configured for responding to a BDBEE at the site. A specific example is the ANO qualified condensate storage tank (QCST).
ANO is a two-unit site with significant physical and procedural interdependencies. The two units  
The QCST is a seismically qualified tank common to both units which contains a protected Attachment to 1CAN011504 Page 2 of 2


water volume sufficient for both units to utilize until time is available to transfer to alternate water sources under current licensing basis conditions. Entergy is working to qualify the QCST in order to credit a larger volume of water for both units to meet FLEX needs. Currently, with ANO-1 in a FLEX condition and ANO-2 complying with the current license basis procedures, the sharing of the volume of water available in the QCST would challenge operators to make alternate line-ups in the time required. A similar issue also exists for the ANO-1 borated water storage tank and the ANO-2 refueling water tank qualification for crediting the availability of the volume of water.
share certain common structures, systems, com ponents (such as water tanks, electrical cross connections, and station blackout diesel generator), and common operational staff resources for  


While most of the physical modifications are unit-specific, due to the interdependency of needed systems and structures, the interim period would require special procedures and training that would create operational challenges on both units with respect to BDBEE mitigation philosophy.
BDBEEs.  
Additionally the creation of a six-month interim mixed implementation would create training, procedural, and regulatory issues while attempting to establish different requirements on the same piece of equipment. An example of this is the commitment for an interim action to connect a portable diesel generator to the 2B5 load center.  


The elimination of the two ANO-1 stated commitments would allow both ANO-1 and ANO-2 to be in compliance with the NRC Order EA-12-049 requirements at the same time. The justification for this commitment withdrawal is based on implementation of a more consistent and overall site response to a BDBEE. The ANO-1 full order compliance date is startup from the 2R24 (October 2015).  
Compliance with the ANO-1 commitments to the NRC requires full implementation for ANO-1
 
with the exception of the 2B5 load center modifi cation. This results in an approximate six-month interim period that the two units would not be consistently configured for responding to a
 
BDBEE at the site. A specific example is the ANO qualified condensate storage tank (QCST). 
 
The QCST is a seismically qualified tank common to both units which contains a protected Attachment to 1CAN011504
 
Page 2 of 2
 
water volume sufficient for both units to utilize until time is available to transfer to alternate water sources under current licensing basis conditions. Entergy is working to qualify the QCST in order to credit a larger volume of water for both units to meet FLEX needs. Currently, with ANO-1 in a FLEX condition and ANO-2 complying with the current license basis procedures, the
 
sharing of the volume of water available in the QCST would challenge operators to make
 
alternate line-ups in the time required. A similar issue also exists for the ANO-1 borated water
 
storage tank and the ANO-2 refueling water tank qualification for crediting the availability of the
 
volume of water.
 
While most of the physical modifications are unit-specific, due to the interdependency of needed
 
systems and structures, the interim period would require special procedures and training that
 
would create operational challenges on both units with respect to BDBEE mitigation philosophy. 
 
Additionally the creation of a six-month interi m mixed implementation would create training, procedural, and regulatory issues while attempting to establish different requirements on the
 
same piece of equipment. An example of this is the commitment for an interim action to
 
connect a portable diesel generator to the 2B5 load center.
 
The elimination of the two ANO-1 stated commitments would allow both ANO-1 and ANO-2 to  
 
be in compliance with the NRC Order EA-12-049 requirements at the same time. The  
 
justification for this commitment withdrawal is based on implementation of a more consistent  
 
and overall site response to a BDBEE. The ANO-1 full order compliance date is startup from  
 
the 2R24 (October 2015).  


== Conclusion:==
== Conclusion:==
As described above, compliance with the previous commitments results in undue burden to the operators by creating two separate operating environments, ANO-1 implementing FLEX while ANO-2 is using normal emergency operating procedures. Entergy has determined that withdrawal of the commitments is a better approach by allowing implementation of a more consistent and overall site response to a BDBEE. Accordingly, Entergy is withdrawing the commitments to the NRC identified above.  
 
As described above, compliance with the previous commitments results in undue burden to the  
 
operators by creating two separate operating environments, ANO-1 implementing FLEX while ANO-2 is using normal emergency operating procedures. Entergy has determined that  
 
withdrawal of the commitments is a better approach by allowing implementation of a more  
 
consistent and overall site response to a BDBEE. Accordingly, Entergy is withdrawing the  
 
commitments to the NRC identified above.


==References:==
==References:==
: 1. NRC Letter to Entergy, Arkansas Nuclear One, Unit 1 - Relaxation of the Schedule Requirements for Order EA-12-049 "Issuance of Order to Modify Licenses with Regard to Requirements for Mitigation Strategies for BDBEEs" (TAC No. MF0942), dated May 20, 2014 (1CNA051402) (ML14114A697)
: 1. NRC Letter to Entergy, Arkansas Nuclear One, Unit 1 - Relaxation of the Schedule Requirements for Order EA-12-049 "Issuance of Order to Modify Licenses with Regard to Requirements for Mitigation Strategies for BDBEEs" (TAC No. MF0942), dated May 20, 2014 (1CNA051402) (ML14114A697)  
: 2. Entergy letter to NRC, Request for Implementation Date Relief in Response to March 12, 2012, Commission Order Modifying Licenses with Regard to Requirements for Mitigation Strategies for BDBEEs (NRC Order EA-12-049), dated April 7, 2014 (1CAN041401) (ML14098A114)}}
: 2. Entergy letter to NRC, Request for Implementation Date Relief in Response to March 12, 2012, Commission Order Modifying Licenses with Regard to Requirements for Mitigation Strategies for BDBEEs (NRC Order EA-12-049),
dated April 7, 2014 (1CAN041401) (ML14098A114)}}

Revision as of 05:21, 1 July 2018

Arkansas Nuclear One, Unit 1 - Commitment Change Notification for NRC Order EA-12-049
ML15016A433
Person / Time
Site: Arkansas Nuclear Entergy icon.png
Issue date: 01/16/2015
From: Browning J G
Entergy Operations
To:
Document Control Desk, Office of Nuclear Reactor Regulation
References
EA-12-049
Download: ML15016A433 (5)


Text

1CAN011504

January 16, 2015

U.S. Nuclear Regulatory Commission

Attn: Document Control Desk

Washington, DC 20555-0001

SUBJECT:

Commitment Change Notification for NRC Order EA-12-049 Arkansas Nuclear One - Unit 1

Docket No. 50-313

License No. DPR-51

REFERENCES:

1. NRC Letter to Entergy, Arkansas Nuclear One, Unit 1 - Relaxation of the Schedule Requirements for Order EA-12-049 "Issuance of Order to Modify Licenses with Regard to Requirements for Mitigation Strategies for

Beyond-Design-Basis External Events (

BDBEEs)" (TAC No. MF0942),

dated May 20, 2014 (1CNA051402) (ML14114A697)

2. Entergy letter to NRC, Request for Implementation Date Relief in Response to March 12, 2012, Commission Order Modifying Licenses with Regard to Requirements for Mitigation Strategies for BDBEEs (NRC

Order EA-12-049),

dated April 7, 2014 (1CAN041401) (ML14098A114)

Dear Sir or Madam:

On March 12, 2012, the NRC issued order EA-12-049 to Entergy Operations, Inc. (Entergy).

The order was immediately effective and directed Entergy to develop, implement, and maintain

guidance and strategies to maintain or restore core cooling, containment, and spent fuel pool

cooling capabilities in the event of a BDBEE.

In response to order EA-12-049 Entergy requested a relaxation of the order due date for

Arkansas Nuclear One, Unit 1 (ANO-1) as documented in Reference 2, and it was subsequently

granted by the NRC as documented in Reference 1. As part of the request, (Reference 2)

Entergy made two specific commitments and is withdrawing these commitments as discussed

with the NRC Staff on January 14, 2015, and justified in the attachment to this letter.

There are no new regulatory commitments in this letter. If you have any questions regarding

this request, please contact Stephenie Pyle at 479.858.4704.

I declare under penalty of perjury that the foregoing is true and correct; executed on

January 16 2015.

Entergy Operations, Inc.

1448 S.R. 333 Russellville, AR 72802

Tel 479-858-3110 Jeremy G. Browning Site Vice President Arkansas Nuclear One

1CAN011504 Page 2 of 2

Sincerely, ORIGINAL SIGNED BY JEREMY G. BROWNING

JGB/nbm

Attachment:

ANO-1 Commitment Change Justification

cc: Mr. Marc L. Dapas Regional Administrator

U. S. Nuclear Regulatory Commission, Region IV

1600 East Lamar Boulevard Arlington, TX 76011-4511

NRC Senior Resident Inspector

Arkansas Nuclear One

P.O. Box 310

London, AR 72847

U. S. Nuclear Regulatory Commission

Attn: Mr. Peter Bamford

MS O-8B3

One White Flint North

11555 Rockville Pike

Rockville, MD 20852

Attachment to 1CAN011504 Arkansas Nuclear One, Unit 1 (ANO-1) Commitment Change Justification Attachment to 1CAN011504

Page 1 of 2

ANO-1 Commitment Change Justification

Background:

In a letter to the NRC (Reference 2) Entergy Operations, Inc. (Entergy) made two specific

commitments as part of the request for NRC order EA-12-049 "Issuance of Order to Modify

Licenses with Regard to Requirements for Mitigation Strategies for Beyond-Design-Basis

External Event (BDBEEs)," schedule relaxation. The two commitments were:

1. As an interim measure, instructions will be in place by startup from the ANO-1 refueling outage 1R25 for connecting a portable diesel generator to the 2B5 load center should

the ANO-2 2B6 load center not be capable of being powered for some unforeseen

reason during an extended loss of alternating current power.

2. The 2B5 load center modification will be the only aspect of the ANO-1 Diverse and Flexible Coping Strategies (FLEX) that will not be in full compliance with NRC Order

EA-12-049 by the ordered schedule date of February 2015. Additionally, the other aspects of compliance with NRC Order EA-12-049 will be complete by 1R25 (e.g., FLEX

Support Guidelines, training, equipment staged, and modifications installed).

Both these commitments were scheduled "Prior to ANO-1 Startup from 1R25 (February 2015)."

Commitment Change:

Entergy has determined that ANO-1 implementation of the NRC order EA-12-049 prior to

implementation at ANO-2 is a less optimal action than a coordinated ANO-1 and ANO-2

implementation. As a result, the two commitments discussed above are withdrawn. The basis

for this change is discussed below.

Basis: NRC Order EA-12-049 requires the development, implementation, and maintenance of

guidance and strategies to maintain or restore core cooling, containment, and spent fuel pool

cooling capabilities in the event of a BDBEE.Section II of this order dictates the need to have

guidance and strategies available to prevent fuel damage in the reactor and spent fuel pit

should the loss of power, motive force, and normal access to the ultimate heat sink affect all

units at a site simultaneously.

ANO is a two-unit site with significant physical and procedural interdependencies. The two units

share certain common structures, systems, com ponents (such as water tanks, electrical cross connections, and station blackout diesel generator), and common operational staff resources for

BDBEEs.

Compliance with the ANO-1 commitments to the NRC requires full implementation for ANO-1

with the exception of the 2B5 load center modifi cation. This results in an approximate six-month interim period that the two units would not be consistently configured for responding to a

BDBEE at the site. A specific example is the ANO qualified condensate storage tank (QCST).

The QCST is a seismically qualified tank common to both units which contains a protected Attachment to 1CAN011504

Page 2 of 2

water volume sufficient for both units to utilize until time is available to transfer to alternate water sources under current licensing basis conditions. Entergy is working to qualify the QCST in order to credit a larger volume of water for both units to meet FLEX needs. Currently, with ANO-1 in a FLEX condition and ANO-2 complying with the current license basis procedures, the

sharing of the volume of water available in the QCST would challenge operators to make

alternate line-ups in the time required. A similar issue also exists for the ANO-1 borated water

storage tank and the ANO-2 refueling water tank qualification for crediting the availability of the

volume of water.

While most of the physical modifications are unit-specific, due to the interdependency of needed

systems and structures, the interim period would require special procedures and training that

would create operational challenges on both units with respect to BDBEE mitigation philosophy.

Additionally the creation of a six-month interi m mixed implementation would create training, procedural, and regulatory issues while attempting to establish different requirements on the

same piece of equipment. An example of this is the commitment for an interim action to

connect a portable diesel generator to the 2B5 load center.

The elimination of the two ANO-1 stated commitments would allow both ANO-1 and ANO-2 to

be in compliance with the NRC Order EA-12-049 requirements at the same time. The

justification for this commitment withdrawal is based on implementation of a more consistent

and overall site response to a BDBEE. The ANO-1 full order compliance date is startup from

the 2R24 (October 2015).

Conclusion:

As described above, compliance with the previous commitments results in undue burden to the

operators by creating two separate operating environments, ANO-1 implementing FLEX while ANO-2 is using normal emergency operating procedures. Entergy has determined that

withdrawal of the commitments is a better approach by allowing implementation of a more

consistent and overall site response to a BDBEE. Accordingly, Entergy is withdrawing the

commitments to the NRC identified above.

References:

1. NRC Letter to Entergy, Arkansas Nuclear One, Unit 1 - Relaxation of the Schedule Requirements for Order EA-12-049 "Issuance of Order to Modify Licenses with Regard to Requirements for Mitigation Strategies for BDBEEs" (TAC No. MF0942), dated May 20, 2014 (1CNA051402) (ML14114A697)
2. Entergy letter to NRC, Request for Implementation Date Relief in Response to March 12, 2012, Commission Order Modifying Licenses with Regard to Requirements for Mitigation Strategies for BDBEEs (NRC Order EA-12-049),

dated April 7, 2014 (1CAN041401) (ML14098A114)