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| issue date = 07/29/2014
| issue date = 07/29/2014
| title = Draft Request for Additional Information (Tac Nos. MF3198 and MF3199)
| title = Draft Request for Additional Information (Tac Nos. MF3198 and MF3199)
| author name = Ennis R B
| author name = Ennis R
| author affiliation = NRC/NRR/DORL/LPLI-2
| author affiliation = NRC/NRR/DORL/LPLI-2
| addressee name = Schaaf R G
| addressee name = Schaaf R
| addressee affiliation = NRC/NRR/DORL/LPLI-2
| addressee affiliation = NRC/NRR/DORL/LPLI-2
| docket = 05000352, 05000353
| docket = 05000352, 05000353
| license number =  
| license number =  
| contact person = Ennis R B
| contact person = Ennis R
| case reference number = TAC MF3198, TAC MF3199
| case reference number = TAC MF3198, TAC MF3199
| document type = Memoranda, Request for Additional Information (RAI)
| document type = Memoranda, Request for Additional Information (RAI)
Line 18: Line 18:


=Text=
=Text=
{{#Wiki_filter:UNITED STATES NUCLEAR REGULATORY COMMISSION WASHINGTON, D.C. 20555-0001 July 29, 2014  
{{#Wiki_filter:UNITED STATES NUCLEAR REGULATORY COMMISSION WASHINGTON, D.C. 20555-0001 July 29, 2014 MEMORANDUM TO:           Robert G. Schaaf, Acting Chief Plant Licensing Branch I-2 Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation FROM:                     Richard B. Ennis, Senior Project Manager /RA/
 
Plant Licensing Branch I-2 Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation
MEMORANDUM TO: Robert G. Schaaf, Acting Chief Plant Licensing Branch I-2  
 
Division of Operating Reactor Licensing  
 
Office of Nuclear Reactor Regulation FROM:   Richard B. Ennis, Senior Project Manager  
/RA/ Plant Licensing Branch I-2  
 
Division of Operating Reactor Licensing  
 
Office of Nuclear Reactor Regulation  


==SUBJECT:==
==SUBJECT:==
LIMERICK GENERATING STATION, UNITS 1 AND 2, DRAFT REQUEST FOR ADDITIONAL INFORMATION (TAC NOS. MF3198  
LIMERICK GENERATING STATION, UNITS 1 AND 2, DRAFT REQUEST FOR ADDITIONAL INFORMATION (TAC NOS. MF3198 AND MF3199)
 
The enclosed draft request for additional information (RAI) was transmitted on July 29, 2014, to Mr. Frank Mascitelli of Exelon Generation Company, LLC (Exelon, the licensee). This information was transmitted to facilitate an upcoming conference call in order to clarify the licensees amendment request for Limerick Generating Station (LGS), Units 1 and 2 dated December 6, 2013. The proposed amendment would revise Technical Specification (TS) setpoints and allowable values for certain area temperature instrumentation associated with the leak detection system (LDS).
AND MF3199)  
The draft RAI was sent to Exelon to ensure that the questions are understandable, the regulatory basis for the questions is clear, and to determine if the information was previously docketed. This memorandum and the enclosure do not convey or represent an NRC staff position regarding the licensee's request.
 
Docket Nos. 50-352 and 50-353
The enclosed draft request for additional information (RAI) was transmitted on July 29, 2014, to  
 
Mr. Frank Mascitelli of Exelon Generation Company, LLC (Exelon, the licensee). This  
 
information was transmitted to facilitate an upcoming conference call in order to clarify the  
 
licensee's amendment request for Limerick Generating Station (LGS), Units 1 and 2 dated  
 
December 6, 2013. The proposed amendment would revise Technical Specification (TS)  
 
setpoints and allowable values for certain area temperature instrumentation associated with the  
 
leak detection system (LDS).  
 
The draft RAI was sent to Exelon to ensure that the questions are understandable, the  
 
regulatory basis for the questions is clear, and to determine if the information was previously  
 
docketed. This memorandum and the enclosure do not convey or represent an NRC staff  
 
position regarding the licensee's request.  
 
Docket Nos. 50-352 and 50-353  


==Enclosure:==
==Enclosure:==
Draft RAI  
Draft RAI


July 29, 2014  
July 29, 2014 MEMORANDUM TO:           Robert G. Schaaf, Acting Chief Plant Licensing Branch I-2 Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation FROM:                     Richard B. Ennis, Senior Project Manager /RA/
 
Plant Licensing Branch I-2 Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation
MEMORANDUM TO: Robert G. Schaaf, Acting Chief Plant Licensing Branch I-2 Division of Operating Reactor Licensing  
 
Office of Nuclear Reactor Regulation FROM:   Richard B. Ennis, Senior Project Manager
/RA/ Plant Licensing Branch I-2  
 
Division of Operating Reactor Licensing  
 
Office of Nuclear Reactor Regulation  


==SUBJECT:==
==SUBJECT:==
LIMERICK GENERATING STATION, UNITS 1 AND 2, DRAFT REQUEST FOR ADDITIONAL INFORMATION (TAC NOS. MF3198  
LIMERICK GENERATING STATION, UNITS 1 AND 2, DRAFT REQUEST FOR ADDITIONAL INFORMATION (TAC NOS. MF3198 AND MF3199)
 
The enclosed draft request for additional information (RAI) was transmitted on July 29, 2014, to Mr. Frank Mascitelli of Exelon Generation Company, LLC (Exelon, the licensee). This information was transmitted to facilitate an upcoming conference call in order to clarify the licensees amendment request for Limerick Generating Station (LGS), Units 1 and 2 dated December 6, 2013. The proposed amendment would revise Technical Specification (TS) setpoints and allowable values for certain area temperature instrumentation associated with the leak detection system (LDS).
AND MF3199)  
The draft RAI was sent to Exelon to ensure that the questions are understandable, the regulatory basis for the questions is clear, and to determine if the information was previously docketed. This memorandum and the enclosure do not convey or represent an NRC staff position regarding the licensee's request.
 
Docket Nos. 50-352 and 50-353
The enclosed draft request for additional information (RAI) was transmitted on July 29, 2014, to  
 
Mr. Frank Mascitelli of Exelon Generation Company, LLC (Exelon, the licensee). This  
 
information was transmitted to facilitate an upcoming conference call in order to clarify the  
 
licensee's amendment request for Limerick Generating Station (LGS), Units 1 and 2 dated  
 
December 6, 2013. The proposed amendment would revise Technical Specification (TS)  
 
setpoints and allowable values for certain area temperature instrumentation associated with the  
 
leak detection system (LDS).  
 
The draft RAI was sent to Exelon to ensure that the questions are understandable, the  
 
regulatory basis for the questions is clear, and to determine if the information was previously  
 
docketed. This memorandum and the enclosure do not convey or represent an NRC staff  
 
position regarding the licensee's request.  
 
Docket Nos. 50-352 and 50-353  


==Enclosure:==
==Enclosure:==
Draft RAI  
Draft RAI DISTRIBUTION PUBLIC                                             DSpaulding, NRR/DE/EICB LPL1-2 R/F                                         SPeng, NRR/DSS/SCVB RidsNrrDorlLpl1-2 Resource RidsNrrDorlDpr Resource RidsNrrPMLimerick Resource ACCESSION NO.: ML14210A576 OFFICE     LPL1-2/PM NAME       REnnis DATE       7/29/14 OFFICIAL RECORD COPY
 
DISTRIBUTION PUBLIC DSpaulding, NRR/DE/EICB LPL1-2 R/F SPeng, NRR/DSS/SCVB RidsNrrDorlLpl1-2 Resource RidsNrrDorlDpr Resource RidsNrrPMLimerick Resource ACCESSION NO.: ML14210A576 OFFICE LPL1-2/PM NAME REnnis DATE 7/29/14 OFFICIAL RECORD COPY DRAFT REQUEST FOR ADDITIONAL INFORMATION REGARDING PROPOSED LICENSE AMENDMENT LEAK DETECTION SYSTEM EXELON GENERATION COMPANY, LLC LIMERICK GENERATING STATION, UNITS 1 AND 2 DOCKET NOS. 50-352 AND 50-353
 
By application dated December 6, 2013 (A gencywide Documents Access and Management System (ADAMS) Accession No. ML13343A024), Ex elon Generation Company, LLC (Exelon, the licensee), submitted a license amendment request for Limerick Generating Station, Units 1
 
and 2. The proposed amendment would revise Technical Specification (TS) setpoints and
 
allowable values for certain area temperature instrumentation associated with the leak detection system (LDS). 
 
The Nuclear Regulatory Commission (NRC) staff has reviewed the information the licensee
 
provided that supports the proposed amendment and would like to discuss the following issues
 
to clarify the submittal. 


DRAFT REQUEST FOR ADDITIONAL INFORMATION REGARDING PROPOSED LICENSE AMENDMENT LEAK DETECTION SYSTEM EXELON GENERATION COMPANY, LLC LIMERICK GENERATING STATION, UNITS 1 AND 2 DOCKET NOS. 50-352 AND 50-353 By application dated December 6, 2013 (Agencywide Documents Access and Management System (ADAMS) Accession No. ML13343A024), Exelon Generation Company, LLC (Exelon, the licensee), submitted a license amendment request for Limerick Generating Station, Units 1 and 2. The proposed amendment would revise Technical Specification (TS) setpoints and allowable values for certain area temperature instrumentation associated with the leak detection system (LDS).
The Nuclear Regulatory Commission (NRC) staff has reviewed the information the licensee provided that supports the proposed amendment and would like to discuss the following issues to clarify the submittal.
Containment and Ventilation Branch (SCVB)
Containment and Ventilation Branch (SCVB)
Reviewer: Shie-Jeng Peng SCVB-RAI-1: 25 gpm Leak Attachment 1 to the application dated December 6, 2013, refers to the design basis 25 gallon  
Reviewer: Shie-Jeng Peng SCVB-RAI-1: 25 gpm Leak to the application dated December 6, 2013, refers to the design basis 25 gallon per minute (gpm) leak in a number of places as a steam leak. In the last paragraph on page 6 of Attachment 1 to the application, the licensee states that the equivalent leakage from a 25-gpm leak is calculated as 3.33 pounds mass per second (lbm/sec) (i.e., based on liquid water density).
 
It appears that the 25 gpm leak is considered as pure steam but with liquid density. In this case, the mass and energy used for the calculation of room heat up would be unrealistically high and non-conservative for a leak detection setpoint. Please justify the appropriateness of the assumptions.
per minute (gpm) leak in a number of places as a "steam leak.In the last paragraph on page 6  
Provide the mass flow rate (lbm/sec) and flow enthalpy of the leak as well as the pressure and temperature for the leak source for all cases used in the leak detection Calculation-1001 Revision 5.
 
Enclosure
of Attachment 1 to the application, the licensee states that the equivalent leakage from a 25-
 
gpm leak is calculated as 3.33 pounds mass per second (lbm/sec) (i.e., based on liquid water  
 
density).  
 
It appears that the 25 gpm leak is considered as pure steam but with liquid density. In this  
 
case, the mass and energy used for the calculation of room heat up would be unrealistically  
 
high and non-conservative for a leak detection setpoint. Please justify the appropriateness of  
 
the assumptions.  
 
Provide the mass flow rate (lbm/sec) and flow enthalpy of the leak as well as the pressure and  
 
temperature for the leak source for all cases used in the leak detection Calculation-1001  
 
Revision 5.  
 
Enclosure
 
SCVB-RAI-2:  Analysis Conditions In the graphs presented in Attachment 3 to the application, the low room temperature reflecting
 
winter conditions has been taken into account as an initial condition in the room temperature
 
calculation. However, it is not clear if the winter temperature has also been used as a boundary
 
condition in that the surrounding and/or extended rooms are subject to a cold environment
 
where the winter temperature should be applied as boundary condition. Furthermore, it is not
 
known if the internal structures (if existing) in the room have been modeled as heat sink that will also lower the room temperature.
 
Have the cold ambient temperature, heat sinks, and associated steam condensation been
 
considered in the calculation?  If not, justify why. In addition, have factors, other than weather
 
conditions that will potentially affect the room temperature, also been considered and evaluated to assure the leak detection system's detectab ility (e.g., cooler operation, ventilation system changes, opening a new flow path or increasing flow area from the room to the other rooms)?
SCVB-RAI-3:  Licensing Design Basis of Leak Rate to Determine Leak Detectability Raising the leak detection alarm limit to 35 gpm reduces the time an operator has to isolate the
 
leak before the conditions become hazardous. Please provide and evaluate the proposed
 
35 gpm leak against the original design basis for leakage detection capability as specified in General Electric design specifications (discussed in the second paragraph on page 6 of
). Otherwise, address the concerns as described above. 
 
SCVB-RAI-4:  Leak Detection vs. Leak Source Please describe the location of the leak detection instrument in relation to possible sources of leakage (i.e. distance).
 
SCVB-RAI-5:  Calculation and Supporting Documents To facilitate the review, please submit Calculation-1001 (Attachment 1, Section 6.0, Reference 2) and its major supporting references or documents. 


SCVB-RAI-2: Analysis Conditions In the graphs presented in Attachment 3 to the application, the low room temperature reflecting winter conditions has been taken into account as an initial condition in the room temperature calculation. However, it is not clear if the winter temperature has also been used as a boundary condition in that the surrounding and/or extended rooms are subject to a cold environment where the winter temperature should be applied as boundary condition. Furthermore, it is not known if the internal structures (if existing) in the room have been modeled as heat sink that will also lower the room temperature.
Have the cold ambient temperature, heat sinks, and associated steam condensation been considered in the calculation? If not, justify why. In addition, have factors, other than weather conditions that will potentially affect the room temperature, also been considered and evaluated to assure the leak detection systems detectability (e.g., cooler operation, ventilation system changes, opening a new flow path or increasing flow area from the room to the other rooms)?
SCVB-RAI-3: Licensing Design Basis of Leak Rate to Determine Leak Detectability Raising the leak detection alarm limit to 35 gpm reduces the time an operator has to isolate the leak before the conditions become hazardous. Please provide and evaluate the proposed 35 gpm leak against the original design basis for leakage detection capability as specified in General Electric design specifications (discussed in the second paragraph on page 6 of ). Otherwise, address the concerns as described above.
SCVB-RAI-4: Leak Detection vs. Leak Source Please describe the location of the leak detection instrument in relation to possible sources of leakage (i.e. distance).
SCVB-RAI-5: Calculation and Supporting Documents To facilitate the review, please submit Calculation-1001 (Attachment 1, Section 6.0, Reference 2) and its major supporting references or documents.
Instrumentation and Controls Branch (EICB)
Instrumentation and Controls Branch (EICB)
Reviewer: Deidre Spaulding EICB-RAI-1: Turbine Enclosure Main Steam Line Tunnel Design Basis Change As discussed on page 6 of Attachment 1 to the application, the licensee proposes to change the  
Reviewer: Deidre Spaulding EICB-RAI-1: Turbine Enclosure Main Steam Line Tunnel Design Basis Change As discussed on page 6 of Attachment 1 to the application, the licensee proposes to change the design basis from a 25-gpm to a 35-gpm equivalent steam leak during winter operations for the turbine enclosure main steam line (MSL) tunnel. The calculated temperature response curve for a 25-gpm leak in this area was provided in Attachment 3 to the application, however, the temperature response curve was not provided for the 35-gpm leak. Please provide the temperature response curve and description of Turbine Enclosure MSL Tunnel Steam Leak
 
design basis from a 25-gpm to a 35-gpm equivalent steam leak during winter operations for the  
 
turbine enclosure main steam line (MSL) tunnel. The calculated temperature response curve for  
 
a 25-gpm leak in this area was provided in A ttachment 3 to the application, however, the temperature response curve was not provided for the 35-gpm leak. Please provide the temperature response curve and description of "Turbine Enclosure MSL Tunnel Steam Leak
 
with a 35-gpm equivalent steam leak. In addition, please provide the current analytical limit (AL) as well as the proposed new AL values.
 
EICB-RAI-2:  Accuracy and Drift Section 3.0 of Attachment 1 to the application indicates that the setpoint methodology for
 
Limerick is based, in part, on General Electric (GE) Topical Report NEDC-31366P-A 1, "General Electric Instrument Setpoint Methodology" dated September 1996.
 
Section 4.4, "NRC Open Item 5.4 - Expanding Manufacturers Performance Specifications" in
 
topical report NEDC-31366P-A discusses the results of a GE evaluation of field data on
 
performance of Rosemount transmitters and trip units in relation to the design assumptions for
 
drift contained in Sections 1.0 and 2.0 of the topical report. Section 2 of the topical report
 
provides the methodology used by GE to validat e instrument accuracy and drift values against system requirements. As stated in Section 2.1 of the topical report, the accuracy and drift
 
methodology is based on the use of Rosemount (1151, 1152-T0280, 1153 Series B, 1154) or
 
Gould (3018, 3200, 3218) transmitters with Rosemount (510) trip units.
 
Page 9 of the NRC staff's safety evaluation (SE) for topical report NEDC-31336P-A provides an
 
evaluation of the information in Section 4.4 of the topical report. The staff stated, in part, that:
 
Where instruments are used that are different from those presented in Section 2
 
of NEDC-31336, the licensee must demonstrate that instrument performance can
 
be quantified either through vendor data or plant specific surveillance test data. 
 
The licensee must confirm that the observed measurements of instrument
 
performance are bounded by the design allowances used in the plant specific
 
analysis, for the chosen calibration interval, in accordance with the criteria stated
 
in NEDC-31366.
 
The NRC staff notes that the specific line break detection applications that are the subject of
 
this amendment request are not covered among the 25 specific instrument setpoint descriptions
 
discussed in Section 3.0 of NEDC-31366P-A. In addition, the temperature elements and
 
temperature indicating switches in the instrument loops, associated with this amendment
 
request, are of different manufacturers and model numbers than those contained in Section 2 of
 
NEDC.
 
Please provide information to demonstrate that t he instrument accuracy and drift values, for the temperature elements and temperature indi cating switches are bounded by the design allowances used in the plant-specific analysis, fo r the chosen calibration intervals, consistent with the criteria stated in NEDC-31366P-A.
 
1 GE topical report NEDC-31336P-A is a non-public, propr ietary version of the GE setpoint methodology (ADAMS Accession No. ML072950103). A public version of the methodology is available as GE topical report NEDO-31336-A (ADAMS Accession No. ML073450560). 
 
EICB-RAI-3: Temperature and Humidity Environmental Conditions The temperature elements, associated with the proposed amendment, will be subjected to
 
elevated temperature and humidity environmental c onditions during the timeframe in which they are required to perform their leak detection functions. Attachment 4 to the application provides
 
the instrument loop uncertainty calculation for the associated instrument loops.
 
Section 6.2.7 of the calculation lists the "Devic e Accuracy Temperature" uncertainty "ATE" value for the temperature elements as being 0.00000. Section 6.2.8 lists the "Device Humidity"
 
uncertainty "HE" value as 0.00000. The calculation states that the temperature and humidity
 
effects are based on vendor specifications.
 
Please confirm that under the elevated temperature and humidity conditions that will be present
 
when the instrument channel must be available to perform its required functions, the instrument performance is enveloped within the vendor's stated accuracy effects (e.g., calculation Section


6.2.1), including the performance effects of the instruments under steam and degraded
with a 35-gpm equivalent steam leak. In addition, please provide the current analytical limit (AL) as well as the proposed new AL values.
EICB-RAI-2: Accuracy and Drift Section 3.0 of Attachment 1 to the application indicates that the setpoint methodology for Limerick is based, in part, on General Electric (GE) Topical Report NEDC-31366P-A1, "General Electric Instrument Setpoint Methodology dated September 1996.
Section 4.4, NRC Open Item 5.4 - Expanding Manufacturers Performance Specifications in topical report NEDC-31366P-A discusses the results of a GE evaluation of field data on performance of Rosemount transmitters and trip units in relation to the design assumptions for drift contained in Sections 1.0 and 2.0 of the topical report. Section 2 of the topical report provides the methodology used by GE to validate instrument accuracy and drift values against system requirements. As stated in Section 2.1 of the topical report, the accuracy and drift methodology is based on the use of Rosemount (1151, 1152-T0280, 1153 Series B, 1154) or Gould (3018, 3200, 3218) transmitters with Rosemount (510) trip units.
Page 9 of the NRC staffs safety evaluation (SE) for topical report NEDC-31336P-A provides an evaluation of the information in Section 4.4 of the topical report. The staff stated, in part, that:
Where instruments are used that are different from those presented in Section 2 of NEDC-31336, the licensee must demonstrate that instrument performance can be quantified either through vendor data or plant specific surveillance test data.
The licensee must confirm that the observed measurements of instrument performance are bounded by the design allowances used in the plant specific analysis, for the chosen calibration interval, in accordance with the criteria stated in NEDC-31366.
The NRC staff notes that the specific line break detection applications that are the subject of this amendment request are not covered among the 25 specific instrument setpoint descriptions discussed in Section 3.0 of NEDC-31366P-A. In addition, the temperature elements and temperature indicating switches in the instrument loops, associated with this amendment request, are of different manufacturers and model numbers than those contained in Section 2 of NEDC.
Please provide information to demonstrate that the instrument accuracy and drift values, for the temperature elements and temperature indicating switches are bounded by the design allowances used in the plant-specific analysis, for the chosen calibration intervals, consistent with the criteria stated in NEDC-31366P-A.
1 GE topical report NEDC-31336P-A is a non-public, proprietary version of the GE setpoint methodology (ADAMS Accession No. ML072950103). A public version of the methodology is available as GE topical report NEDO-31336-A (ADAMS Accession No. ML073450560).


insulation resistance.}}
EICB-RAI-3: Temperature and Humidity Environmental Conditions The temperature elements, associated with the proposed amendment, will be subjected to elevated temperature and humidity environmental conditions during the timeframe in which they are required to perform their leak detection functions. Attachment 4 to the application provides the instrument loop uncertainty calculation for the associated instrument loops.
Section 6.2.7 of the calculation lists the Device Accuracy Temperature uncertainty ATE value for the temperature elements as being 0.00000. Section 6.2.8 lists the Device Humidity uncertainty HE value as 0.00000. The calculation states that the temperature and humidity effects are based on vendor specifications.
Please confirm that under the elevated temperature and humidity conditions that will be present when the instrument channel must be available to perform its required functions, the instrument performance is enveloped within the vendors stated accuracy effects (e.g., calculation Section 6.2.1), including the performance effects of the instruments under steam and degraded insulation resistance.}}

Latest revision as of 03:01, 4 November 2019

Draft Request for Additional Information (Tac Nos. MF3198 and MF3199)
ML14210A576
Person / Time
Site: Limerick  Constellation icon.png
Issue date: 07/29/2014
From: Richard Ennis
Plant Licensing Branch 1
To: Robert Schaaf
Plant Licensing Branch 1
Ennis R
References
TAC MF3198, TAC MF3199
Download: ML14210A576 (6)


Text

UNITED STATES NUCLEAR REGULATORY COMMISSION WASHINGTON, D.C. 20555-0001 July 29, 2014 MEMORANDUM TO: Robert G. Schaaf, Acting Chief Plant Licensing Branch I-2 Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation FROM: Richard B. Ennis, Senior Project Manager /RA/

Plant Licensing Branch I-2 Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation

SUBJECT:

LIMERICK GENERATING STATION, UNITS 1 AND 2, DRAFT REQUEST FOR ADDITIONAL INFORMATION (TAC NOS. MF3198 AND MF3199)

The enclosed draft request for additional information (RAI) was transmitted on July 29, 2014, to Mr. Frank Mascitelli of Exelon Generation Company, LLC (Exelon, the licensee). This information was transmitted to facilitate an upcoming conference call in order to clarify the licensees amendment request for Limerick Generating Station (LGS), Units 1 and 2 dated December 6, 2013. The proposed amendment would revise Technical Specification (TS) setpoints and allowable values for certain area temperature instrumentation associated with the leak detection system (LDS).

The draft RAI was sent to Exelon to ensure that the questions are understandable, the regulatory basis for the questions is clear, and to determine if the information was previously docketed. This memorandum and the enclosure do not convey or represent an NRC staff position regarding the licensee's request.

Docket Nos. 50-352 and 50-353

Enclosure:

Draft RAI

July 29, 2014 MEMORANDUM TO: Robert G. Schaaf, Acting Chief Plant Licensing Branch I-2 Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation FROM: Richard B. Ennis, Senior Project Manager /RA/

Plant Licensing Branch I-2 Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation

SUBJECT:

LIMERICK GENERATING STATION, UNITS 1 AND 2, DRAFT REQUEST FOR ADDITIONAL INFORMATION (TAC NOS. MF3198 AND MF3199)

The enclosed draft request for additional information (RAI) was transmitted on July 29, 2014, to Mr. Frank Mascitelli of Exelon Generation Company, LLC (Exelon, the licensee). This information was transmitted to facilitate an upcoming conference call in order to clarify the licensees amendment request for Limerick Generating Station (LGS), Units 1 and 2 dated December 6, 2013. The proposed amendment would revise Technical Specification (TS) setpoints and allowable values for certain area temperature instrumentation associated with the leak detection system (LDS).

The draft RAI was sent to Exelon to ensure that the questions are understandable, the regulatory basis for the questions is clear, and to determine if the information was previously docketed. This memorandum and the enclosure do not convey or represent an NRC staff position regarding the licensee's request.

Docket Nos. 50-352 and 50-353

Enclosure:

Draft RAI DISTRIBUTION PUBLIC DSpaulding, NRR/DE/EICB LPL1-2 R/F SPeng, NRR/DSS/SCVB RidsNrrDorlLpl1-2 Resource RidsNrrDorlDpr Resource RidsNrrPMLimerick Resource ACCESSION NO.: ML14210A576 OFFICE LPL1-2/PM NAME REnnis DATE 7/29/14 OFFICIAL RECORD COPY

DRAFT REQUEST FOR ADDITIONAL INFORMATION REGARDING PROPOSED LICENSE AMENDMENT LEAK DETECTION SYSTEM EXELON GENERATION COMPANY, LLC LIMERICK GENERATING STATION, UNITS 1 AND 2 DOCKET NOS. 50-352 AND 50-353 By application dated December 6, 2013 (Agencywide Documents Access and Management System (ADAMS) Accession No. ML13343A024), Exelon Generation Company, LLC (Exelon, the licensee), submitted a license amendment request for Limerick Generating Station, Units 1 and 2. The proposed amendment would revise Technical Specification (TS) setpoints and allowable values for certain area temperature instrumentation associated with the leak detection system (LDS).

The Nuclear Regulatory Commission (NRC) staff has reviewed the information the licensee provided that supports the proposed amendment and would like to discuss the following issues to clarify the submittal.

Containment and Ventilation Branch (SCVB)

Reviewer: Shie-Jeng Peng SCVB-RAI-1: 25 gpm Leak to the application dated December 6, 2013, refers to the design basis 25 gallon per minute (gpm) leak in a number of places as a steam leak. In the last paragraph on page 6 of Attachment 1 to the application, the licensee states that the equivalent leakage from a 25-gpm leak is calculated as 3.33 pounds mass per second (lbm/sec) (i.e., based on liquid water density).

It appears that the 25 gpm leak is considered as pure steam but with liquid density. In this case, the mass and energy used for the calculation of room heat up would be unrealistically high and non-conservative for a leak detection setpoint. Please justify the appropriateness of the assumptions.

Provide the mass flow rate (lbm/sec) and flow enthalpy of the leak as well as the pressure and temperature for the leak source for all cases used in the leak detection Calculation-1001 Revision 5.

Enclosure

SCVB-RAI-2: Analysis Conditions In the graphs presented in Attachment 3 to the application, the low room temperature reflecting winter conditions has been taken into account as an initial condition in the room temperature calculation. However, it is not clear if the winter temperature has also been used as a boundary condition in that the surrounding and/or extended rooms are subject to a cold environment where the winter temperature should be applied as boundary condition. Furthermore, it is not known if the internal structures (if existing) in the room have been modeled as heat sink that will also lower the room temperature.

Have the cold ambient temperature, heat sinks, and associated steam condensation been considered in the calculation? If not, justify why. In addition, have factors, other than weather conditions that will potentially affect the room temperature, also been considered and evaluated to assure the leak detection systems detectability (e.g., cooler operation, ventilation system changes, opening a new flow path or increasing flow area from the room to the other rooms)?

SCVB-RAI-3: Licensing Design Basis of Leak Rate to Determine Leak Detectability Raising the leak detection alarm limit to 35 gpm reduces the time an operator has to isolate the leak before the conditions become hazardous. Please provide and evaluate the proposed 35 gpm leak against the original design basis for leakage detection capability as specified in General Electric design specifications (discussed in the second paragraph on page 6 of ). Otherwise, address the concerns as described above.

SCVB-RAI-4: Leak Detection vs. Leak Source Please describe the location of the leak detection instrument in relation to possible sources of leakage (i.e. distance).

SCVB-RAI-5: Calculation and Supporting Documents To facilitate the review, please submit Calculation-1001 (Attachment 1, Section 6.0, Reference 2) and its major supporting references or documents.

Instrumentation and Controls Branch (EICB)

Reviewer: Deidre Spaulding EICB-RAI-1: Turbine Enclosure Main Steam Line Tunnel Design Basis Change As discussed on page 6 of Attachment 1 to the application, the licensee proposes to change the design basis from a 25-gpm to a 35-gpm equivalent steam leak during winter operations for the turbine enclosure main steam line (MSL) tunnel. The calculated temperature response curve for a 25-gpm leak in this area was provided in Attachment 3 to the application, however, the temperature response curve was not provided for the 35-gpm leak. Please provide the temperature response curve and description of Turbine Enclosure MSL Tunnel Steam Leak

with a 35-gpm equivalent steam leak. In addition, please provide the current analytical limit (AL) as well as the proposed new AL values.

EICB-RAI-2: Accuracy and Drift Section 3.0 of Attachment 1 to the application indicates that the setpoint methodology for Limerick is based, in part, on General Electric (GE) Topical Report NEDC-31366P-A1, "General Electric Instrument Setpoint Methodology dated September 1996.

Section 4.4, NRC Open Item 5.4 - Expanding Manufacturers Performance Specifications in topical report NEDC-31366P-A discusses the results of a GE evaluation of field data on performance of Rosemount transmitters and trip units in relation to the design assumptions for drift contained in Sections 1.0 and 2.0 of the topical report. Section 2 of the topical report provides the methodology used by GE to validate instrument accuracy and drift values against system requirements. As stated in Section 2.1 of the topical report, the accuracy and drift methodology is based on the use of Rosemount (1151, 1152-T0280, 1153 Series B, 1154) or Gould (3018, 3200, 3218) transmitters with Rosemount (510) trip units.

Page 9 of the NRC staffs safety evaluation (SE) for topical report NEDC-31336P-A provides an evaluation of the information in Section 4.4 of the topical report. The staff stated, in part, that:

Where instruments are used that are different from those presented in Section 2 of NEDC-31336, the licensee must demonstrate that instrument performance can be quantified either through vendor data or plant specific surveillance test data.

The licensee must confirm that the observed measurements of instrument performance are bounded by the design allowances used in the plant specific analysis, for the chosen calibration interval, in accordance with the criteria stated in NEDC-31366.

The NRC staff notes that the specific line break detection applications that are the subject of this amendment request are not covered among the 25 specific instrument setpoint descriptions discussed in Section 3.0 of NEDC-31366P-A. In addition, the temperature elements and temperature indicating switches in the instrument loops, associated with this amendment request, are of different manufacturers and model numbers than those contained in Section 2 of NEDC. Please provide information to demonstrate that the instrument accuracy and drift values, for the temperature elements and temperature indicating switches are bounded by the design allowances used in the plant-specific analysis, for the chosen calibration intervals, consistent with the criteria stated in NEDC-31366P-A.

1 GE topical report NEDC-31336P-A is a non-public, proprietary version of the GE setpoint methodology (ADAMS Accession No. ML072950103). A public version of the methodology is available as GE topical report NEDO-31336-A (ADAMS Accession No. ML073450560).

EICB-RAI-3: Temperature and Humidity Environmental Conditions The temperature elements, associated with the proposed amendment, will be subjected to elevated temperature and humidity environmental conditions during the timeframe in which they are required to perform their leak detection functions. Attachment 4 to the application provides the instrument loop uncertainty calculation for the associated instrument loops.

Section 6.2.7 of the calculation lists the Device Accuracy Temperature uncertainty ATE value for the temperature elements as being 0.00000. Section 6.2.8 lists the Device Humidity uncertainty HE value as 0.00000. The calculation states that the temperature and humidity effects are based on vendor specifications.

Please confirm that under the elevated temperature and humidity conditions that will be present when the instrument channel must be available to perform its required functions, the instrument performance is enveloped within the vendors stated accuracy effects (e.g., calculation Section 6.2.1), including the performance effects of the instruments under steam and degraded insulation resistance.