ML072390006: Difference between revisions

From kanterella
Jump to navigation Jump to search
(Created page by program invented by StriderTol)
 
(Created page by program invented by StriderTol)
 
(2 intermediate revisions by the same user not shown)
Line 2: Line 2:
| number = ML072390006
| number = ML072390006
| issue date = 09/11/2007
| issue date = 09/11/2007
| title = Kansas State University - Request for Additional Information License R-88 Renewal (TAC No. MC9031)
| title = Kansas State University - Request for Additional Information License R-88 Renewal
| author name = Hughes D E
| author name = Hughes D
| author affiliation = NRC/NRR/ADRA/DPR/PRTA
| author affiliation = NRC/NRR/ADRA/DPR/PRTA
| addressee name = Whaley M
| addressee name = Whaley M
Line 19: Line 19:


=Text=
=Text=
{{#Wiki_filter:September 11, 2007Mr. Michael Whaley, ManagerNuclear Reactor FacilityDepartment of Mechanical and Nuclear Engineering112 Ward HallKansas State UniversityManhattan, KS 66506-5204
{{#Wiki_filter:September 11, 2007 Mr. Michael Whaley, Manager Nuclear Reactor Facility Department of Mechanical and Nuclear Engineering 112 Ward Hall Kansas State University Manhattan, KS 66506-5204


==SUBJECT:==
==SUBJECT:==
KANSAS STATE UNIVERSITY - REQUEST FOR ADDITIONAL INFORMATIONAND ASSURANCE OF DECOMMISSIONING FUNDING RE: LICENSE R-88RENEWAL (TAC NO. MC9031)
KANSAS STATE UNIVERSITY - REQUEST FOR ADDITIONAL INFORMATION AND ASSURANCE OF DECOMMISSIONING FUNDING RE: LICENSE R-88 RENEWAL (TAC NO. MC9031)


==Dear Mr. Whaley:==
==Dear Mr. Whaley:==


We are continuing our review of your September 12, 2002, request for license renewal for theKansas State University research reactor and associated supplements. During our review ofyour license renewal request, questions have arisen for which we require additional informationand clarification. Please provide responses to the enclosed request for additional information(RAI) within 30 days of the date of this letter. In accordance with 10 CFR 50.30(b), your responses and the statement of intent must beexecuted in a signed original under oath or affirmation.If you have any questions regarding this review, please contact me at 301-415-1631.Sincerely,
We are continuing our review of your September 12, 2002, request for license renewal for the Kansas State University research reactor and associated supplements. During our review of your license renewal request, questions have arisen for which we require additional information and clarification. Please provide responses to the enclosed request for additional information (RAI) within 30 days of the date of this letter.
/RA/
In accordance with 10 CFR 50.30(b), your responses and the statement of intent must be executed in a signed original under oath or affirmation.
Daniel E. Hughes, Project ManagerResearch and Test Reactors Branch ADivision of Policy and RulemakingOffice of Nuclear Reactor RegulationDocket No. 50-188
If you have any questions regarding this review, please contact me at 301-415-1631.
Sincerely,
                                      /RA/
Daniel E. Hughes, Project Manager Research and Test Reactors Branch A Division of Policy and Rulemaking Office of Nuclear Reactor Regulation Docket No. 50-188


==Enclosure:==
==Enclosure:==
As stated cc w/ enclosure: Please see next page Kansas State UniversityDocket No. 50-188 cc:Office of the GovernorState of KansasTopeka, KS 66612 Mayor of ManhattanP.O. Box 748Manhattan, KS 66502Thomas A. Conley, RRPJ, CHP, Section Chief Radiation and Asbestos Control KS Dept of Health & Environment 1000 SW Jackson, Suite 320Topeka, KS 66612-1366 Test, Research, and Training Reactor NewsletterUniversity of Florida202 Nuclear Sciences CenterGainesville, FL 32611 September 11, 2007Mr. Michael Whaley, ManagerNuclear Reactor FacilityDepartment of Mechanical and Nuclear Engineering112 Ward HallKansas State UniversityManhattan, KS 66506-5204
As stated cc w/ enclosure: Please see next page
 
Kansas State University                      Docket No. 50-188 cc:
Office of the Governor State of Kansas Topeka, KS 66612 Mayor of Manhattan P.O. Box 748 Manhattan, KS 66502 Thomas A. Conley, RRPJ, CHP, Section Chief Radiation and Asbestos Control KS Dept of Health & Environment 1000 SW Jackson, Suite 320 Topeka, KS 66612-1366 Test, Research, and Training Reactor Newsletter University of Florida 202 Nuclear Sciences Center Gainesville, FL 32611
 
September 11, 2007 Mr. Michael Whaley, Manager Nuclear Reactor Facility Department of Mechanical and Nuclear Engineering 112 Ward Hall Kansas State University Manhattan, KS 66506-5204


==SUBJECT:==
==SUBJECT:==
KANSAS STATE UNIVERSITY - REQUEST FOR ADDITIONAL INFORMATIONAND ASSURANCE OF DECOMMISSIONING FUNDING RE: LICENSE R-88RENEWAL (TAC NO. MC9031)
KANSAS STATE UNIVERSITY - REQUEST FOR ADDITIONAL INFORMATION AND ASSURANCE OF DECOMMISSIONING FUNDING RE: LICENSE R-88 RENEWAL (TAC NO. MC9031)


==Dear Mr. Whaley:==
==Dear Mr. Whaley:==


We are continuing our review of your September 12, 2002, request for license renewal for theKansas State University research reactor and associated supplements. During our review ofyour license renewal request, questions have arisen for which we require additional informationand clarification. Please provide responses to the enclosed request for additional information(RAI) within 30 days of the date of this letter. In accordance with 10 CFR 50.30(b), your responses and the statement of intent must beexecuted in a signed original under oath or affirmation.If you have any questions regarding this review, please contact me at 301-415-1631.Sincerely,/RA/Daniel E. Hughes, Project ManagerResearch and Test Reactors Branch ADivision of Policy and RulemakingOffice of Nuclear Reactor RegulationDocket No. 50-188
We are continuing our review of your September 12, 2002, request for license renewal for the Kansas State University research reactor and associated supplements. During our review of your license renewal request, questions have arisen for which we require additional information and clarification. Please provide responses to the enclosed request for additional information (RAI) within 30 days of the date of this letter.
In accordance with 10 CFR 50.30(b), your responses and the statement of intent must be executed in a signed original under oath or affirmation.
If you have any questions regarding this review, please contact me at 301-415-1631.
Sincerely,
                                      /RA/
Daniel E. Hughes, Project Manager Research and Test Reactors Branch A Division of Policy and Rulemaking Office of Nuclear Reactor Regulation Docket No. 50-188


==Enclosure:==
==Enclosure:==
As statedcc w/ enclosure: Please see next pageDISTRIBUTION
As stated cc w/ enclosure: Please see next page DISTRIBUTION:
:PUBLICPRTA r/fDHughesOGCJEadsMVothMCaseRUleckDCollinsEHyltonADAMS ACCESSION NO: ML072390006                                           TEMPLATE #: NRR-088*See previous concurrence OFFICEPRTA:PMPRTA:LAPRTA:BCPRTA:PMNAMEDHughes dehEHylton eghDCollins dscDHughes dehDATE8/27/20078/27/20079/11/20079/11/2007OFFICIAL RECORD COPY REQUEST FOR ADDITIONAL INFORMATIONKANSAS STATE UNIVERSITY RESEARCH REACTORDOCKET NO. 50-1881.TS 2.2.3 - Your safety analyses has shown that under the proposed TechnicalSpecifications (TSs) the request of a licensed power of 1250 kW thermal (kW(t)) isappropriate. In addition, the accident analyses would allow a Limiting Safety SystemSetting (LSSS) of 1250 kW(t) and it would meet the requirements of 10 CFR 50.36. It isappropriate that the TSs provide the limits of operation and allow the licensee toadministratively determine the actual setpoint and operation power, based on theaccuracy and precision of the instrumentation, to assure that the limits are notexceeded. TS 2.2.3, as written, establishes a "no operation zone" between the licensedpower and the LSSS and causes unnecessary confusion. Please propose a change inthis TS to remove this confusion. 2.TS 5.1.3 (3) - In a previous RAI most TSs related to the use of aluminum clad TRIGAfuel were eliminated. TS 5.1.3 (3) is not adequately supported in the SAR and TSs. Please remove this TS if that was the intention, otherwise provide proper bases in theSAR and supporting TSs. The next eight RAIs correct typos or improve clarity of the specification.
PUBLIC                        PRTA r/f DHughes                      OGC                        JEads MVoth                        MCase                      RUleck DCollins                      EHylton ADAMS ACCESSION NO: ML072390006                               TEMPLATE #: NRR-088
3.TS 3.4.3 - The description of the (standard) control rod interlock in the basis does notmatch the function as described in Table 2. Clarify the TS.4.TS 3.8.4 - Action C uses "ASAP" as a completion time. This is not defined. Define theterm or change it to a defined term.5.TS 3.5.4 - Operable is misspelled in Required Action A.2.d. Please correct.
*See previous concurrence OFFICE    PRTA:PM        PRTA:LA            PRTA:BC          PRTA:PM NAME      DHughes deh    EHylton egh        DCollins dsc    DHughes deh DATE        8/27/2007      8/27/2007          9/11/2007        9/11/2007 OFFICIAL RECORD COPY
6.TS 6.2 - This TS contains 2 subsections listed as "e.Please correct.
 
7.TS 6.8 - This TS contains the title "Director, Division of Reactor Licensing, NRC."  Theuse of "NRC" would be more generic and appropriate.8.TS 6.11.a) - Add Region IV to this 24 hr notification TS to meet the requirements of 10CFR 50.36(c)(7)(ii). 9.TS 6.11.b) - Remove "to the NRC Operations Center." The first sentence in the TS 6.11already provides the appropriate addressee for written reports.10.TS 6.11.c) - Remove "to the USNRC, Region IV, 611 Ryan Drive, Suite 400, Arlington,TX 76011-4005." The first sentence in the TS 6.11 already provides the appropriateaddressee for written reports.
REQUEST FOR ADDITIONAL INFORMATION KANSAS STATE UNIVERSITY RESEARCH REACTOR DOCKET NO. 50-188
ENCLOSURE-2-The next six RAIs concern clarification of your TSs as derived from the SAR according to10 CFR 50.36(b). 11.SAR Section 7.3.1 - First Channel In a previous version of the SAR the power levelsetting of the described interlock was 1 kW and not 10 kW? Discuss the reason for thischange. Propose a TS for this interlock, otherwise provide justification for not makingthis interlock a TS.12.SAR Section 7.3.1 - Third Channel The description in this section of the scrams that arebypassed or not when in pulse mode is not clear. In particular if this instrument is beingused during pulse mode, is the high voltage scram bypassed? Please discuss. 13.Propose a safety channel specification in section 3 of the TSs and an appropriatesurveillance specification in section 4 of the TSs for the high voltage scrams on thepower level instruments, or provide justification for not doing so.14.SAR Section 7.3.4.b - This section describes the pulse preset timer scram. Justify whyincluding this scram as a TS is not necessary, otherwise propose a TS. 15.SAR Section 7.3.4.c - The interlocks described in this section are in the surveillancesection TS 4.4.2 but they are not specified in section 3 of the TSs. Specify the interlocksin section 3 of the TSs so it is clear what functionality is surveilled in TS 4.4.2. 16.SAR Section 12.5.3 and TS 6.11.c) - This section of the SAR states that a 30 daynotification shall be made of any permanent changes in Facility Manager or head of theDepartment of Mechanical and Nuclear Engineering. This is consistent with ANS/ANSI15.1. Propose an addition to TS 6.11.c) to require this report, or justify not doing so.
: 1. TS 2.2.3 - Your safety analyses has shown that under the proposed Technical Specifications (TSs) the request of a licensed power of 1250 kW thermal (kW(t)) is appropriate. In addition, the accident analyses would allow a Limiting Safety System Setting (LSSS) of 1250 kW(t) and it would meet the requirements of 10 CFR 50.36. It is appropriate that the TSs provide the limits of operation and allow the licensee to administratively determine the actual setpoint and operation power, based on the accuracy and precision of the instrumentation, to assure that the limits are not exceeded. TS 2.2.3, as written, establishes a no operation zone between the licensed power and the LSSS and causes unnecessary confusion. Please propose a change in this TS to remove this confusion.
: 2. TS 5.1.3 (3) - In a previous RAI most TSs related to the use of aluminum clad TRIGA fuel were eliminated. TS 5.1.3 (3) is not adequately supported in the SAR and TSs.
Please remove this TS if that was the intention, otherwise provide proper bases in the SAR and supporting TSs.
The next eight RAIs correct typos or improve clarity of the specification.
: 3. TS 3.4.3 - The description of the (standard) control rod interlock in the basis does not match the function as described in Table 2. Clarify the TS.
: 4. TS 3.8.4 - Action C uses ASAP as a completion time. This is not defined. Define the term or change it to a defined term.
: 5. TS 3.5.4 - Operable is misspelled in Required Action A.2.d. Please correct.
: 6. TS 6.2 - This TS contains 2 subsections listed as e. Please correct.
: 7. TS 6.8 - This TS contains the title Director, Division of Reactor Licensing, NRC. The use of NRC would be more generic and appropriate.
: 8. TS 6.11.a) - Add Region IV to this 24 hr notification TS to meet the requirements of 10 CFR 50.36(c)(7)(ii).
: 9. TS 6.11.b) - Remove to the NRC Operations Center. The first sentence in the TS 6.11 already provides the appropriate addressee for written reports.
: 10. TS 6.11.c) - Remove to the USNRC, Region IV, 611 Ryan Drive, Suite 400, Arlington, TX 76011-4005." The first sentence in the TS 6.11 already provides the appropriate addressee for written reports.
 
ENCLOSURE The next six RAIs concern clarification of your TSs as derived from the SAR according to 10 CFR 50.36(b).
: 11. SAR Section 7.3.1 - First Channel In a previous version of the SAR the power level setting of the described interlock was 1 kW and not 10 kW? Discuss the reason for this change. Propose a TS for this interlock, otherwise provide justification for not making this interlock a TS.
: 12. SAR Section 7.3.1 - Third Channel The description in this section of the scrams that are bypassed or not when in pulse mode is not clear. In particular if this instrument is being used during pulse mode, is the high voltage scram bypassed? Please discuss.
: 13. Propose a safety channel specification in section 3 of the TSs and an appropriate surveillance specification in section 4 of the TSs for the high voltage scrams on the power level instruments, or provide justification for not doing so.
: 14. SAR Section 7.3.4.b - This section describes the pulse preset timer scram. Justify why including this scram as a TS is not necessary, otherwise propose a TS.
: 15. SAR Section 7.3.4.c - The interlocks described in this section are in the surveillance section TS 4.4.2 but they are not specified in section 3 of the TSs. Specify the interlocks in section 3 of the TSs so it is clear what functionality is surveilled in TS 4.4.2.
: 16. SAR Section 12.5.3 and TS 6.11.c) - This section of the SAR states that a 30 day notification shall be made of any permanent changes in Facility Manager or head of the Department of Mechanical and Nuclear Engineering. This is consistent with ANS/ANSI 15.1. Propose an addition to TS 6.11.c) to require this report, or justify not doing so.
ENCLOSURE}}
ENCLOSURE}}

Latest revision as of 04:15, 23 November 2019

Kansas State University - Request for Additional Information License R-88 Renewal
ML072390006
Person / Time
Site: Kansas State University
Issue date: 09/11/2007
From: Hughes D
NRC/NRR/ADRA/DPR/PRTA
To: Whaley M
Kansas State University
Hughes D, NRR/DPR/PRT, 301-415-1631
References
TAC MC9031 05000088
Download: ML072390006 (5)


Text

September 11, 2007 Mr. Michael Whaley, Manager Nuclear Reactor Facility Department of Mechanical and Nuclear Engineering 112 Ward Hall Kansas State University Manhattan, KS 66506-5204

SUBJECT:

KANSAS STATE UNIVERSITY - REQUEST FOR ADDITIONAL INFORMATION AND ASSURANCE OF DECOMMISSIONING FUNDING RE: LICENSE R-88 RENEWAL (TAC NO. MC9031)

Dear Mr. Whaley:

We are continuing our review of your September 12, 2002, request for license renewal for the Kansas State University research reactor and associated supplements. During our review of your license renewal request, questions have arisen for which we require additional information and clarification. Please provide responses to the enclosed request for additional information (RAI) within 30 days of the date of this letter.

In accordance with 10 CFR 50.30(b), your responses and the statement of intent must be executed in a signed original under oath or affirmation.

If you have any questions regarding this review, please contact me at 301-415-1631.

Sincerely,

/RA/

Daniel E. Hughes, Project Manager Research and Test Reactors Branch A Division of Policy and Rulemaking Office of Nuclear Reactor Regulation Docket No. 50-188

Enclosure:

As stated cc w/ enclosure: Please see next page

Kansas State University Docket No. 50-188 cc:

Office of the Governor State of Kansas Topeka, KS 66612 Mayor of Manhattan P.O. Box 748 Manhattan, KS 66502 Thomas A. Conley, RRPJ, CHP, Section Chief Radiation and Asbestos Control KS Dept of Health & Environment 1000 SW Jackson, Suite 320 Topeka, KS 66612-1366 Test, Research, and Training Reactor Newsletter University of Florida 202 Nuclear Sciences Center Gainesville, FL 32611

September 11, 2007 Mr. Michael Whaley, Manager Nuclear Reactor Facility Department of Mechanical and Nuclear Engineering 112 Ward Hall Kansas State University Manhattan, KS 66506-5204

SUBJECT:

KANSAS STATE UNIVERSITY - REQUEST FOR ADDITIONAL INFORMATION AND ASSURANCE OF DECOMMISSIONING FUNDING RE: LICENSE R-88 RENEWAL (TAC NO. MC9031)

Dear Mr. Whaley:

We are continuing our review of your September 12, 2002, request for license renewal for the Kansas State University research reactor and associated supplements. During our review of your license renewal request, questions have arisen for which we require additional information and clarification. Please provide responses to the enclosed request for additional information (RAI) within 30 days of the date of this letter.

In accordance with 10 CFR 50.30(b), your responses and the statement of intent must be executed in a signed original under oath or affirmation.

If you have any questions regarding this review, please contact me at 301-415-1631.

Sincerely,

/RA/

Daniel E. Hughes, Project Manager Research and Test Reactors Branch A Division of Policy and Rulemaking Office of Nuclear Reactor Regulation Docket No. 50-188

Enclosure:

As stated cc w/ enclosure: Please see next page DISTRIBUTION:

PUBLIC PRTA r/f DHughes OGC JEads MVoth MCase RUleck DCollins EHylton ADAMS ACCESSION NO: ML072390006 TEMPLATE #: NRR-088

  • See previous concurrence OFFICE PRTA:PM PRTA:LA PRTA:BC PRTA:PM NAME DHughes deh EHylton egh DCollins dsc DHughes deh DATE 8/27/2007 8/27/2007 9/11/2007 9/11/2007 OFFICIAL RECORD COPY

REQUEST FOR ADDITIONAL INFORMATION KANSAS STATE UNIVERSITY RESEARCH REACTOR DOCKET NO. 50-188

1. TS 2.2.3 - Your safety analyses has shown that under the proposed Technical Specifications (TSs) the request of a licensed power of 1250 kW thermal (kW(t)) is appropriate. In addition, the accident analyses would allow a Limiting Safety System Setting (LSSS) of 1250 kW(t) and it would meet the requirements of 10 CFR 50.36. It is appropriate that the TSs provide the limits of operation and allow the licensee to administratively determine the actual setpoint and operation power, based on the accuracy and precision of the instrumentation, to assure that the limits are not exceeded. TS 2.2.3, as written, establishes a no operation zone between the licensed power and the LSSS and causes unnecessary confusion. Please propose a change in this TS to remove this confusion.
2. TS 5.1.3 (3) - In a previous RAI most TSs related to the use of aluminum clad TRIGA fuel were eliminated. TS 5.1.3 (3) is not adequately supported in the SAR and TSs.

Please remove this TS if that was the intention, otherwise provide proper bases in the SAR and supporting TSs.

The next eight RAIs correct typos or improve clarity of the specification.

3. TS 3.4.3 - The description of the (standard) control rod interlock in the basis does not match the function as described in Table 2. Clarify the TS.
4. TS 3.8.4 - Action C uses ASAP as a completion time. This is not defined. Define the term or change it to a defined term.
5. TS 3.5.4 - Operable is misspelled in Required Action A.2.d. Please correct.
6. TS 6.2 - This TS contains 2 subsections listed as e. Please correct.
7. TS 6.8 - This TS contains the title Director, Division of Reactor Licensing, NRC. The use of NRC would be more generic and appropriate.
8. TS 6.11.a) - Add Region IV to this 24 hr notification TS to meet the requirements of 10 CFR 50.36(c)(7)(ii).
9. TS 6.11.b) - Remove to the NRC Operations Center. The first sentence in the TS 6.11 already provides the appropriate addressee for written reports.
10. TS 6.11.c) - Remove to the USNRC, Region IV, 611 Ryan Drive, Suite 400, Arlington, TX 76011-4005." The first sentence in the TS 6.11 already provides the appropriate addressee for written reports.

ENCLOSURE The next six RAIs concern clarification of your TSs as derived from the SAR according to 10 CFR 50.36(b).

11. SAR Section 7.3.1 - First Channel In a previous version of the SAR the power level setting of the described interlock was 1 kW and not 10 kW? Discuss the reason for this change. Propose a TS for this interlock, otherwise provide justification for not making this interlock a TS.
12. SAR Section 7.3.1 - Third Channel The description in this section of the scrams that are bypassed or not when in pulse mode is not clear. In particular if this instrument is being used during pulse mode, is the high voltage scram bypassed? Please discuss.
13. Propose a safety channel specification in section 3 of the TSs and an appropriate surveillance specification in section 4 of the TSs for the high voltage scrams on the power level instruments, or provide justification for not doing so.
14. SAR Section 7.3.4.b - This section describes the pulse preset timer scram. Justify why including this scram as a TS is not necessary, otherwise propose a TS.
15. SAR Section 7.3.4.c - The interlocks described in this section are in the surveillance section TS 4.4.2 but they are not specified in section 3 of the TSs. Specify the interlocks in section 3 of the TSs so it is clear what functionality is surveilled in TS 4.4.2.
16. SAR Section 12.5.3 and TS 6.11.c) - This section of the SAR states that a 30 day notification shall be made of any permanent changes in Facility Manager or head of the Department of Mechanical and Nuclear Engineering. This is consistent with ANS/ANSI 15.1. Propose an addition to TS 6.11.c) to require this report, or justify not doing so.

ENCLOSURE