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{{#Wiki_filter:June 18, 2008 Mr. Barry S. Allen Site Vice President FirstEnergy Nuclear Operating Company Davis-Besse Nuclear Power Station Mail Stop A-DB-3080 5501 North State Route 2 Oak Harbor, OH 43449-9760  
{{#Wiki_filter:June 18, 2008 Mr. Barry S. Allen Site Vice President FirstEnergy Nuclear Operating Company Davis-Besse Nuclear Power Station Mail Stop A-DB-3080 5501 North State Route 2 Oak Harbor, OH 43449-9760


==SUBJECT:==
==SUBJECT:==
DAVIS-BESSE NUCLEAR POWER STATION, UNIT NO. 1 - REQUEST FOR ADDITIONAL INFORMATION RELATED TO IMPROVED TECHNICAL SPECIFICATIONS CONVERSION (MD6398)  
DAVIS-BESSE NUCLEAR POWER STATION, UNIT NO. 1 - REQUEST FOR ADDITIONAL INFORMATION RELATED TO IMPROVED TECHNICAL SPECIFICATIONS CONVERSION (MD6398)


==Dear Mr. Allen:==
==Dear Mr. Allen:==


By letter to the Nuclear Regulatory Commission (NRC) dated August 3, 2007, FirstEnergy Nuclear Operating Company (FENOC) submitted a request to an application requesting to amend the operating license, for the Davis-Besse Nuclear Power Station, Unit No. 1. FENOC has proposed to revise the current technical specifications to the improved technical specifications consistent with improved standard technical specifications (STS) as described in "Standard Technical Specifications Babcock and Wilcox Plants," Revision 3.1. STS Revision 3.1 is the December 2005, update to NUREG-1430, which was published June 2004.  
By letter to the Nuclear Regulatory Commission (NRC) dated August 3, 2007, FirstEnergy Nuclear Operating Company (FENOC) submitted a request to an application requesting to amend the operating license, for the Davis-Besse Nuclear Power Station, Unit No. 1. FENOC has proposed to revise the current technical specifications to the improved technical specifications consistent with improved standard technical specifications (STS) as described in "Standard Technical Specifications Babcock and Wilcox Plants," Revision 3.1. STS Revision 3.1 is the December 2005, update to NUREG-1430, which was published June 2004.
 
The NRC staff is reviewing your submittal and has determined that additional information is required to complete the review. The specific information requested is addressed in the enclosure to this letter. During a discussion with your staff on June 4, 2008, it was agreed that you would provide a response within 30 days from the date of this letter.
The NRC staff is reviewing your submittal and has determined that additional information is required to complete the review. The specific information requested is addressed in the enclosure to this letter. During a discussion with your staff on June 4, 2008, it was agreed that you would provide a response within 30 days from the date of this letter.
The NRC staff considers that timely responses to requests for additional information help ensure sufficient time is available for staff review and contribute toward the NRC=s goal of efficient and effective use of staff resources. If circumstances result in the need to revise the requested response date, please contact me at (301) 415-4037.
 
Sincerely,
The NRC staff considers that timely responses to requests for additional information help ensure sufficient time is available for staff review and contribute toward the NRC
                                                /RA/
=s goal of efficient and effective use of staff resources. If circumstances result in the need to revise the requested response date, please contact me at (301) 415-4037.
Thomas J. Wengert, Project Manager Plant Licensing Branch III-2 Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation Docket No. 50-346
Sincerely,       /RA/
Thomas J. Wengert, Project Manager Plant Licensing Branch III-2 Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation  
 
Docket No. 50-346  


==Enclosure:==
==Enclosure:==


Request for Additional Information  
Request for Additional Information cc w/encl: See next page


cc w/encl:  See next page Mr. Barry S. Allen     June 18, 2008 Site Vice President FirstEnergy Nuclear Operating Company Davis-Besse Nuclear Power Station Mail Stop A-DB-3080 5501 North State Route 2 Oak Harbor, OH 43449-9760  
Mr. Barry S. Allen                                                     June 18, 2008 Site Vice President FirstEnergy Nuclear Operating Company Davis-Besse Nuclear Power Station Mail Stop A-DB-3080 5501 North State Route 2 Oak Harbor, OH 43449-9760


==SUBJECT:==
==SUBJECT:==
DAVIS-BESSE NUCLEAR POWER STATION, UNIT NO. 1 - REQUEST FOR ADDITIONAL INFORMATION RELATED TO IMPROVED TECHNICAL SPECIFICATIONS CONVERSION (MD6398)  
DAVIS-BESSE NUCLEAR POWER STATION, UNIT NO. 1 - REQUEST FOR ADDITIONAL INFORMATION RELATED TO IMPROVED TECHNICAL SPECIFICATIONS CONVERSION (MD6398)


==Dear Mr. Allen:==
==Dear Mr. Allen:==


By letter to the Nuclear Regulatory Commission (NRC) dated August 3, 2007, FirstEnergy Nuclear Operating Company (FENOC) submitted a request to an application requesting to amend the operating license, for the Davis-Besse Nuclear Power Station, Unit No. 1. FENOC has proposed to revise the current technical specifications to the improved technical specifications consistent with improved standard technical specifications (STS) as described in "Standard Technical Specifications Babcock and Wilcox Plants," Revision 3.1. STS Revision 3.1 is the December 2005, update to NUREG-1430, which was published June 2004.  
By letter to the Nuclear Regulatory Commission (NRC) dated August 3, 2007, FirstEnergy Nuclear Operating Company (FENOC) submitted a request to an application requesting to amend the operating license, for the Davis-Besse Nuclear Power Station, Unit No. 1. FENOC has proposed to revise the current technical specifications to the improved technical specifications consistent with improved standard technical specifications (STS) as described in "Standard Technical Specifications Babcock and Wilcox Plants," Revision 3.1. STS Revision 3.1 is the December 2005, update to NUREG-1430, which was published June 2004.
 
The NRC staff is reviewing your submittal and has determined that additional information is required to complete the review. The specific information requested is addressed in the enclosure to this letter. During a discussion with your staff on June 4, 2008, it was agreed that you would provide a response within 30 days from the date of this letter.
The NRC staff is reviewing your submittal and has determined that additional information is required to complete the review. The specific information requested is addressed in the enclosure to this letter. During a discussion with your staff on June 4, 2008, it was agreed that you would provide a response within 30 days from the date of this letter.
The NRC staff considers that timely responses to requests for additional information help ensure sufficient time is available for staff review and contribute toward the NRC=s goal of efficient and effective use of staff resources. If circumstances result in the need to revise the requested response date, please contact me at (301) 415-4037.
 
Sincerely,
The NRC staff considers that timely responses to requests for additional information help ensure sufficient time is available for staff review and contribute toward the NRC
                                                    /RA/
=s goal of efficient and effective use of staff resources. If circumstances result in the need to revise the requested response date, please contact me at (301) 415-4037.
Thomas J. Wengert, Project Manager Plant Licensing Branch III-2 Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation Docket No. 50-346
Sincerely,       /RA/ Thomas J. Wengert, Project Manager Plant Licensing Branch III-2 Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation  
 
Docket No. 50-346  


==Enclosure:==
==Enclosure:==


Request for Additional Information cc w/encl: See next page DISTRIBUTION:
Request for Additional Information cc w/encl: See next page DISTRIBUTION:
PUBLIC   LPL3-2 R/F RidsNrrDorlLpl3-2 RidsNrrPMCGoodwin RidsNrrPMTWengert RidsNrrLAEWhitt RidsAcrsAcnw&mMailCenter RidsNrrDirsItsb RidsOgcRp RidsRgn3MailCenter RidsNrrDorlDpr VGoel, NRR RidsNrrDciCvib CSchulten, NRR RidsNrrDeEeeb   ADAMS Accession Number: ML081570588 OFFICE LPL3-2/PM LPL3-2/PM LPL3-2/LA DE/EEEB/BC  
PUBLIC                       LPL3-2 R/F             RidsNrrDorlLpl3-2         RidsNrrPMCGoodwin RidsNrrPMTWengert           RidsNrrLAEWhitt         RidsAcrsAcnw&mMailCenter RidsNrrDirsItsb RidsOgcRp                   RidsRgn3MailCenter     RidsNrrDorlDpr             VGoel, NRR RidsNrrDciCvib               CSchulten, NRR         RidsNrrDeEeeb ADAMS Accession Number: ML081570588 OFFICE       LPL3-2/PM           LPL3-2/PM       LPL3-2/LA       DE/EEEB/BC NAME         CGoodwin             TWengert       EWhitt           GWilson DATE           6/12/08             6/12/08         6/12/08         6/12/08 DCI/CVIB/BC       DIRS/ITSB/BC       LPL3-2/BC MMitchell         RElliott           RGibbs 6/13/08         6/13/08             6/18/08 OFFICIAL RECORD COPY
 
NAME CGoodwin TWengert EWhitt GWilson DATE   6/12/08 6/12/08   6/12/08 6/12/08 DCI/CVIB/BC DIRS/ITSB/BC LPL3-2/BC  
 
MMitchell RElliott RGibbs 6/13/08 6/13/08 6/18/08 OFFICIAL RECORD COPY Davis-Besse Nuclear Power Station, Unit No. 1 cc:  Manager, Site Regulatory Compliance FirstEnergy Nuclear Operating Company Davis-Besse Nuclear Power Station Mail Stop A-DB-3065 5501 North State Route 2 Oak Harbor, OH  43449-9760
 
Director, Ohio Department of Commerce Division of Industrial Compliance Bureau of Operations & Maintenance 6606 Tussing Road P.O. Box 4009 Reynoldsburg, OH  43068-9009
 
Resident Inspector U.S. Nuclear Regulatory Commission 5503 North State Route 2 Oak Harbor, OH  43449-9760
 
Stephen Helmer Supervisor, Technical Support Section Bureau of Radiation Protection Ohio Department of Health 35 East Chestnut Street, 7 th Floor Columbus, OH  43215
 
Carol O'Claire, Chief, Radiological Branch Ohio Emergency Management Agency 2855 West Dublin Granville Road Columbus, OH  43235-2206
 
Zack A. Clayton
 
DERR Ohio Environmental Protection Agency P.O. Box 1049 Columbus, OH  43266-0149
 
State of Ohio - Transportation Department Public Utilities Commission 180 East Broad Street Columbus, OH  43266-0573
 
Principal Assistant Attorney General Environmental Enforcement Section State Office Tower 30 East Broad Street, 25 th Floor Columbus, OH  43215
 
President, Board of County Commissioners of Ottawa County Port Clinton, OH  43252 
 
President, Board of County Commissioners of Lucas County One Government Center, Suite 800 Toledo, OH  43604-6506
 
The Honorable Dennis J. Kucinich United States House of Representatives Washington, D.C. 20515
 
The Honorable Dennis J. Kucinich United States House of Representatives 14400 Detroit Avenue Lakewood, OH  44107 
 
Joseph J. Hagan President and Chief Nuclear Officer FirstEnergy Nuclear Operating Company Mail Stop A-GO-19 76 South Main Street Akron, OH  44308
 
David W. Jenkins, Attorney FirstEnergy Corporation Mail Stop A-GO-15 76 South Main Street Akron, OH  44308
 
Danny L. Pace Senior Vice President, Fleet Engineering FirstEnergy Nuclear Operating Company Mail Stop A-GO-14 76 South Main Street Akron, OH  44308
 
Manager, Fleet Licensing FirstEnergy Nuclear Operating Company Mail Stop A-GO-2 76 South Main Street Akron, OH  44308 Davis-Besse Nuclear Power Station, Unit No. 1 
 
cc:
 
Director, Fleet Regulatory Affairs FirstEnergy Nuclear Operating Company Mail Stop A-GO-2 76 South Main Street Akron, OH  44308
 
Jeannie M. Rinckel Vice President, Fleet Oversight FirstEnergy Nuclear Operating Company Mail Stop A-GO-14 76 South Main Street Akron, OH  44308
 
Paul A. Harden Vice President, Nuclear Support FirstEnergy Nuclear Operating Company Mail Stop A-GO-14 76 South Main Street Akron, OH  44308
 
James H. Lash Senior Vice President of Operations and Chief Operating Officer FirstEnergy Nuclear Operating Company Mail Stop A-GO-14 76 South Main Street Akron, OH  44308
 
Enclosure REQUEST FOR ADDITIONAL INFORMATION


DAVIS-BESSE NUCLEAR POWER STATION, UNIT NO. 1
Davis-Besse Nuclear Power Station, Unit No. 1 cc:
Manager, Site Regulatory Compliance        President, Board of County FirstEnergy Nuclear Operating Company      Commissioners of Ottawa County Davis-Besse Nuclear Power Station          Port Clinton, OH 43252 Mail Stop A-DB-3065 5501 North State Route 2                  President, Board of County Oak Harbor, OH 43449-9760                  Commissioners of Lucas County One Government Center, Suite 800 Director, Ohio Department of Commerce      Toledo, OH 43604-6506 Division of Industrial Compliance Bureau of Operations & Maintenance        The Honorable Dennis J. Kucinich 6606 Tussing Road                          United States House of Representatives P.O. Box 4009                              Washington, D.C. 20515 Reynoldsburg, OH 43068-9009 The Honorable Dennis J. Kucinich Resident Inspector United States House of Representatives U.S. Nuclear Regulatory Commission 5503 North State Route 2                  14400 Detroit Avenue Oak Harbor, OH 43449-9760                  Lakewood, OH 44107 Stephen Helmer                            Joseph J. Hagan Supervisor, Technical Support Section      President and Chief Nuclear Officer Bureau of Radiation Protection            FirstEnergy Nuclear Operating Company Ohio Department of Health                  Mail Stop A-GO-19 35 East Chestnut Street, 7th Floor        76 South Main Street Columbus, OH 43215                        Akron, OH 44308 Carol OClaire, Chief, Radiological Branch David W. Jenkins, Attorney Ohio Emergency Management Agency          FirstEnergy Corporation 2855 West Dublin Granville Road            Mail Stop A-GO-15 Columbus, OH 43235-2206                    76 South Main Street Akron, OH 44308 Zack A. Clayton DERR                                      Danny L. Pace Ohio Environmental Protection Agency      Senior Vice President, Fleet Engineering P.O. Box 1049                              FirstEnergy Nuclear Operating Company Columbus, OH 43266-0149                    Mail Stop A-GO-14 76 South Main Street State of Ohio - Transportation Department  Akron, OH 44308 Public Utilities Commission 180 East Broad Street                      Manager, Fleet Licensing Columbus, OH 43266-0573                    FirstEnergy Nuclear Operating Company Mail Stop A-GO-2 Principal Assistant Attorney General      76 South Main Street Environmental Enforcement Section          Akron, OH 44308 State Office Tower 30 East Broad Street, 25th Floor Columbus, OH 43215


DOCKET NO. 50-346
Davis-Besse Nuclear Power Station, Unit No. 1 cc:
 
Paul A. Harden Director, Fleet Regulatory Affairs      Vice President, Nuclear Support FirstEnergy Nuclear Operating Company  FirstEnergy Nuclear Operating Company Mail Stop A-GO-2                        Mail Stop A-GO-14 76 South Main Street                    76 South Main Street Akron, OH 44308                        Akron, OH 44308 Jeannie M. Rinckel                      James H. Lash Vice President, Fleet Oversight        Senior Vice President of Operations FirstEnergy Nuclear Operating Company    and Chief Operating Officer Mail Stop A-GO-14                      FirstEnergy Nuclear Operating Company 76 South Main Street                    Mail Stop A-GO-14 Akron, OH 44308                        76 South Main Street Akron, OH 44308
In reviewing the FirstEnergy Nuclear Operating Company
=s submittal dated August 3, 2007, related to revising the current technical specifications (CTS) to the improved technical specifications (ITS) consistent with improved standard technical specifications (STS) as described in "Standard Technical Specifications Babcock and Wilcox (B&W) Plants," Revision 3.1, for the Davis-Besse Nuclear Power Station, Unit No. 1 (DBNPS), the NRC staff has determined that the following information is needed in order to complete its review:


REQUEST FOR ADDITIONAL INFORMATION DAVIS-BESSE NUCLEAR POWER STATION, UNIT NO. 1 DOCKET NO. 50-346 In reviewing the FirstEnergy Nuclear Operating Company=s submittal dated August 3, 2007, related to revising the current technical specifications (CTS) to the improved technical specifications (ITS) consistent with improved standard technical specifications (STS) as described in Standard Technical Specifications Babcock and Wilcox (B&W) Plants, Revision 3.1, for the Davis-Besse Nuclear Power Station, Unit No. 1 (DBNPS), the NRC staff has determined that the following information is needed in order to complete its review:
DBNPS Borated Water Storage Tank (BWST)
DBNPS Borated Water Storage Tank (BWST)
: 1. The following reference is made in the DBNPS Updated Final Safety Analysis Report (UFSAR) on page 5.2-2, under the heading 5.2 INTEGRITY OF REACTOR COOLANT PRESSURE BOUNDARY (RCPB)
: 1. The following reference is made in the DBNPS Updated Final Safety Analysis Report (UFSAR) on page 5.2-2, under the heading 5.2 INTEGRITY OF REACTOR COOLANT PRESSURE BOUNDARY (RCPB):
:  "Reactor vessels with lower power ratings but similar geometries and service conditions have been analyzed to demonstrate that the reactor vessel can safely accommodate the rapid temperature change associated with the postulated operation of the Emergency Core Cooling System (ECCS) at the end of the vessel's design life. The evaluation is summarized as follows: The state of stress in the vessel during the LOCA [loss-of-coolant accident] was evaluated for an initial vessel temperature of 608
Reactor vessels with lower power ratings but similar geometries and service conditions have been analyzed to demonstrate that the reactor vessel can safely accommodate the rapid temperature change associated with the postulated operation of the Emergency Core Cooling System (ECCS) at the end of the vessel's design life. The evaluation is summarized as follows: The state of stress in the vessel during the LOCA [loss-of-coolant accident] was evaluated for an initial vessel temperature of 608F. The inside of the vessel wall is rapidly subjected to 90F injection water of the maximum flow rate obtainable. The results show that the integrity of the vessel is not violated.
ûF. The inside of the vessel wall is rapidly subjected to 90
The reactor vessel stress analysis discussed in the above UFSAR statement appears to be inconsistent with the 35F minimum temperature for the DBNPS BWST (a) in the facility's CTS and (b) which is being proposed for the ITS conversion.
ûF injection water of the maximum flow rate obtainable. The results show that the integrity of the vessel is not violated."
The reactor vessel stress analysis discussed in the above UFSAR statement appears to be inconsistent with the 35
ûF minimum temperature for the DBNPS BWST (a) in the facility's CTS and (b) which is being proposed for the ITS conversion.
: a. Provide additional information to clarify the analysis which is being referred to in the above UFSAR quote.
: a. Provide additional information to clarify the analysis which is being referred to in the above UFSAR quote.
: b. Does this refer to a stress analysis performed to demonstrate compliance with American Society of Mechanical Engineers Code stress limits or was this analysis performed for some other purpose?
: b. Does this refer to a stress analysis performed to demonstrate compliance with American Society of Mechanical Engineers Code stress limits or was this analysis performed for some other purpose?
: c. Has the analysis referenced in the UFSAR been performed with the assumption of 35ûF injection water? Why or why not?
: c. Has the analysis referenced in the UFSAR been performed with the assumption of 35F injection water? Why or why not?
: 2. The basis provided for the selection of 35
: 2. The basis provided for the selection of 35F as the BWST minimum temperature, in the proposed DBNPS ITS Bases, is:
ûF as the BWST minimum temperature, in the proposed DBNPS ITS Bases, is:  
Enclosure
 
      "The 35 ûF lower limit on the temperature of the solution in the BWST is assumed for the containment vessel vacuum breaker sizing. This temperature also helps prevent boron precipitation."
 
However, the basis provided for selection of [40
ûF] as the BWST minimum temperature, in the B&W Design STS Bases, is:
  "The 40 ûF lower limit on the temperature of the solution in the BWST was established to ensure that the solution will not freeze. This temperature also helps prevent boron


precipitation and ensures that water inject ion in the reactor vessel will not be colder than the lowest temperature assumed in reactor vessel stress analysis."
The 35 F lower limit on the temperature of the solution in the BWST is assumed for the containment vessel vacuum breaker sizing. This temperature also helps prevent boron precipitation.
However, the basis provided for selection of [40 F] as the BWST minimum temperature, in the B&W Design STS Bases, is:
The 40 F lower limit on the temperature of the solution in the BWST was established to ensure that the solution will not freeze. This temperature also helps prevent boron precipitation and ensures that water injection in the reactor vessel will not be colder than the lowest temperature assumed in reactor vessel stress analysis.
Conceptually, the statement from the B&W Design STS Bases appears to be referring to an analysis very similar to that discussed on page 5.2-2 of the DBNPS UFSAR. If so,
Conceptually, the statement from the B&W Design STS Bases appears to be referring to an analysis very similar to that discussed on page 5.2-2 of the DBNPS UFSAR. If so,
: a. Explain why the analysis referenced in the DBNPS UFSAR does not need to be re-performed using a 35
: a. Explain why the analysis referenced in the DBNPS UFSAR does not need to be re-performed using a 35F injection water assumption to verify that the basis you suggested for the DBNPS BWST minimum temperature is the bounding consideration for establishing that limit.
ûF injection water assumption to verify that the basis you suggested for the DBNPS BWST minimum temperature is the bounding consideration for establishing that limit.  
 
Additional Background Information and Regulatory Bases for the Request for Additional Information (RAI)
Additional Background Information and Regulatory Bases for the Request for Additional Information (RAI)
The license amendment request (LAR) proposes to revise the DBNPS CTS to the ITS consistent with STS as described in NUREG-1430, "Standard Technical Specifications - Babcock and Wilcox Plants" as updated by Revision 3.1 to the STS.
Specifically, the LAR seeks to adopt STS Bases associated with STS Surveillance Requirement (SR) 3.5.4.1 with a number of deviations. Among these deviations proposed in the ITS BASES is the omission of the phrase ensures that water injection in the reactor vessel will not be colder than the lowest temperature assumed in reactor vessel stress analysis.
Title 10 of the Code of Federal Regulations (10 CFR) Section 50.36 requires, in part, that technical specifications (TS) be derived from the analyses and evaluation included in the safety analysis report and that they be accompanied by a summary statement of the bases or reasons for them. The phrase which the LAR seeks to omit was incorporated in the STS Bases in accordance with 10 CFR 50.36 as one of several summary reasons or bases for the minimum allowed BWST temperature limit. 10 CFR 50.61, Fracture toughness requirements for protection against pressurized thermal shock events, 10 CFR 50.55a, Codes and Standards, Appendix A to Part 50, and General Design Criteria for Nuclear Power Plants, are incorporated into the STS Bases and into the DBNPS Current Licensing Basis.
Paragraph IV, The Commission Policy, of 58 FR 39132 Final Policy on § 50.36 Technical Specifications, clarifies the Commissions expectations regarding the content of the TS Bases.
It states, in part:


The license amendment request (LAR) proposes to revise the DBNPS CTS to the ITS consistent with STS as described in NUREG-1430, "Standard Technical Specifications - Babcock and Wilcox Plants" as updated by Revision 3.1 to the STS.
Each Limiting Condition for Operation [LCO], Action, and Surveillance Requirement should have supporting Bases. The Bases should at a minimum address the following questions and cite references to appropriate licensing documentation (e.g., FSAR, Topical Report) to support the Bases What are the Bases for each Surveillance Requirement and Surveillance Frequency; i.e., what specific functional requirement is the surveillance designed to verify? Why is this surveillance necessary at the specified frequency to assure that the system or component function is maintained, that facility operation will be within the Safety Limits, and that the LCO will be met?
 
Specifically, the LAR seeks to adopt STS Bases associated with STS Surveillance Requirement (SR) 3.5.4.1 with a number of deviations. Among these deviations proposed in the ITS BASES is the omission of the phrase "ensures that water injection in the reactor vessel will not be colder than the lowest temperature assumed in reactor vessel stress analysis." 
 
Title 10 of the Code of Federal Regulations (10 CFR) Section 50.36 requires, in part, that technical specifications (TS) be derived from the analyses and evaluation included in the safety analysis report and that they be accompanied by a summary statement of the bases or reasons for them. The phrase which the LAR seeks to omit was incorporated in the STS Bases in accordance with 10 CFR 50.36 as one of several summary reasons or bases for the minimum allowed BWST temperature limit. 10 CFR 50.61, "Fracture toughness requirements for protection against pressurized thermal shock events," 10 CFR 50.55a, "Codes and Standards,"
Appendix A to Part 50, and "General Design Criteria for Nuclear Power Plants," are incorporated into the STS Bases and into the DBNPS Current Licensing Basis.
 
Paragraph IV, "The Commission Policy," of 58 FR 39132 "Final Policy on § 50.36 Technical Specifications," clarifies the Commission's expectations regarding the content of the TS Bases.
It states, in part:
 
      "Each Limiting Condition for O peration [LCO], Acti on, and Surveillance Requirement should have supporting Bases. The Bases should at a minimum address the following questions and cite references to appropriate licensing documentation (e.g., FSAR, Topical Report) to support the Bases- What ar e the Bases for each Surveillance Requirement and Surveillance Frequency; i.e., what spec ific functional requirement is the surveillance designed to verify? Why is this surveillance necessary at the specified frequency to assure that the system or component function is maintained, t hat facility operation will be within the Safety Limits, and that the LCO will be met?"
 
DBNPS Emergency Diesel Generator (EDG)
DBNPS Emergency Diesel Generator (EDG)
: 1. Provide the loading profile for the Appendix R scenario to demonstrate that the proposed EDG endurance/margin test ensures that the analyzed functions can be performed.
: 1. Provide the loading profile for the Appendix R scenario to demonstrate that the proposed EDG endurance/margin test ensures that the analyzed functions can be performed.
Alternately, confirm by calculation that the EDG Appendix R loading after 2 hours will be       less than 100 percent of its continuous rating, considering the 60.5 hertz maximum steady state frequency proposed by the licensee in the ITS.  
Alternately, confirm by calculation that the EDG Appendix R loading after 2 hours will be less than 100 percent of its continuous rating, considering the 60.5 hertz maximum steady state frequency proposed by the licensee in the ITS.
 
Additional Background Information and Regulatory Bases for the RAI During the review of ITS SR 3.8.1.13, the NRC staff identified an issue which requires additional information. For the purpose of verification of EDG loading values, DBNPS provided an excerpt from the AC Power System Analysis calculation (C-EE-015.03-008, Revision 4). The review of the EDG loading results indicated that EDG 1-1 has a higher loading for the Appendix R scenario than for the loss of off-site power/loss of coolant accident (LOOP/LOCA) scenario.
Additional Background Information and Regulatory Bases for the RAI
During the Appendix R scenario, the EDG can be loaded up to 2627 kW, which is 101 percent of the continuous rating. The continuous rating of the EDG is 2600 kW.
 
The purpose of EDG testing at 105 to 110 percent of its continuous rating is to demonstrate that the EDG has adequate margin during the sequencing of various ECCS loads, while the purpose of testing at 90 to 100 percent is to demonstrate long term EDG capability when the loads are expected to be less than the EDG continuous rating. If the analyzed loads are higher than the continuous rating of the EDG, then the actual load profile needs to be followed to ensure that the EDG can perform its analyzed function. The analysis performed on the Appendix R scenario shows that the EDG loading is at 101 percent, which is above the continuous rating of the EDG.
During the review of ITS SR 3.8.1.13, the NRC staff identified an issue which requires additional information. For the purpose of verification of EDG loading values, DBNPS provided an excerpt from the AC Power System Analysis calculation (C-EE-015.03-008, Revision 4). The review of the EDG loading results indicated that EDG 1-1 has a higher loading for the Appendix R scenario than for the loss of off-site power/loss of coolant accident (LOOP/LOCA) scenario.
The purpose of SR 3.8.1.13 (endurance/margin run for the EDG) is to demonstrate that EDG can perform its analyzed function. Since the same EDG is used to mitigate both the Appendix R scenario and the LOOP/LOCA scenario, it is essential that the EDGs be tested to the highest loading scenario (worst case scenario) for an adequate duration to demonstrate that EDGs will continue to perform their analyzed function.
During the Appendix R scenario, the EDG can be loaded up to 2627 kW, which is 101 percent of the continuous rating. The continuous rating of the EDG is 2600 kW.  
The following regulations are considered applicable to testing of the EDGs:
 
Section 50.36 (d)(2)(ii)(D) of 10 CFR - Criterion 4. A structure, system, or component which operating experience or probabilistic risk assessment has shown to be significant to public health and safety.
The purpose of EDG testing at 105 to 110 percent of its continuous rating is to demonstrate that the EDG has adequate margin during the sequencing of various ECCS loads, while the purpose of testing at 90 to 100 percent is to demonstr ate long term EDG capability when the loads are expected to be less than the EDG continuous rating. If the analyzed loads are higher than the continuous rating of the EDG, then the actual load profile needs to be followed to ensure that the EDG can perform its analyzed function. The analysis performed on the Appendix R scenario shows that the EDG loading is at 101 percent, which is above the continuous rating of the EDG.  
 
The purpose of SR 3.8.1.13 (endurance/margin run for the EDG) is to demonstrate that EDG can perform its analyzed function. Since the same EDG is used to mitigate both the Appendix R scenario and the LOOP/LOCA scenario, it is essential that the EDGs be tested to the highest loading scenario (worst case scenario) for an adequate duration to demonstrate that EDGs will continue to perform their analyzed function.    
 
The following regulations are considered applicable to testing of the EDGs:  
 
Section 50.36 (d)(2)(ii)(D) of 10 CFR - Criterion 4. A structure, system, or component which operating exper ience or probabilistic risk assessment has shown to be significant to public health and safety.
 
Section 50.36 (d)(2) of 10 CFR - LCOs are the lowest functional capability or performance levels of equipment required for safe operation of the facility.  


Section 50.36 (d)(3) of 10 CFR - SRs are requirements relating to test, calibration, or inspection to assure that the necessary quality of systems and components is maintained, that the facility operation will be within safety lim its, and that the LCO will be met.}}
Section 50.36 (d)(2) of 10 CFR - LCOs are the lowest functional capability or performance levels of equipment required for safe operation of the facility.
Section 50.36 (d)(3) of 10 CFR - SRs are requirements relating to test, calibration, or inspection to assure that the necessary quality of systems and components is maintained, that the facility operation will be within safety limits, and that the LCO will be met.}}

Latest revision as of 17:00, 14 November 2019

Request for Additional Information Related to Improved Technical Specifications Conversion
ML081570588
Person / Time
Site: Davis Besse Cleveland Electric icon.png
Issue date: 06/18/2008
From: Thomas Wengert
NRC/NRR/ADRO/DORL/LPLIII-2
To: Allen B
FirstEnergy Nuclear Operating Co
Goodwin C
References
TAC MD6398
Download: ML081570588 (9)


Text

June 18, 2008 Mr. Barry S. Allen Site Vice President FirstEnergy Nuclear Operating Company Davis-Besse Nuclear Power Station Mail Stop A-DB-3080 5501 North State Route 2 Oak Harbor, OH 43449-9760

SUBJECT:

DAVIS-BESSE NUCLEAR POWER STATION, UNIT NO. 1 - REQUEST FOR ADDITIONAL INFORMATION RELATED TO IMPROVED TECHNICAL SPECIFICATIONS CONVERSION (MD6398)

Dear Mr. Allen:

By letter to the Nuclear Regulatory Commission (NRC) dated August 3, 2007, FirstEnergy Nuclear Operating Company (FENOC) submitted a request to an application requesting to amend the operating license, for the Davis-Besse Nuclear Power Station, Unit No. 1. FENOC has proposed to revise the current technical specifications to the improved technical specifications consistent with improved standard technical specifications (STS) as described in "Standard Technical Specifications Babcock and Wilcox Plants," Revision 3.1. STS Revision 3.1 is the December 2005, update to NUREG-1430, which was published June 2004.

The NRC staff is reviewing your submittal and has determined that additional information is required to complete the review. The specific information requested is addressed in the enclosure to this letter. During a discussion with your staff on June 4, 2008, it was agreed that you would provide a response within 30 days from the date of this letter.

The NRC staff considers that timely responses to requests for additional information help ensure sufficient time is available for staff review and contribute toward the NRC=s goal of efficient and effective use of staff resources. If circumstances result in the need to revise the requested response date, please contact me at (301) 415-4037.

Sincerely,

/RA/

Thomas J. Wengert, Project Manager Plant Licensing Branch III-2 Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation Docket No. 50-346

Enclosure:

Request for Additional Information cc w/encl: See next page

Mr. Barry S. Allen June 18, 2008 Site Vice President FirstEnergy Nuclear Operating Company Davis-Besse Nuclear Power Station Mail Stop A-DB-3080 5501 North State Route 2 Oak Harbor, OH 43449-9760

SUBJECT:

DAVIS-BESSE NUCLEAR POWER STATION, UNIT NO. 1 - REQUEST FOR ADDITIONAL INFORMATION RELATED TO IMPROVED TECHNICAL SPECIFICATIONS CONVERSION (MD6398)

Dear Mr. Allen:

By letter to the Nuclear Regulatory Commission (NRC) dated August 3, 2007, FirstEnergy Nuclear Operating Company (FENOC) submitted a request to an application requesting to amend the operating license, for the Davis-Besse Nuclear Power Station, Unit No. 1. FENOC has proposed to revise the current technical specifications to the improved technical specifications consistent with improved standard technical specifications (STS) as described in "Standard Technical Specifications Babcock and Wilcox Plants," Revision 3.1. STS Revision 3.1 is the December 2005, update to NUREG-1430, which was published June 2004.

The NRC staff is reviewing your submittal and has determined that additional information is required to complete the review. The specific information requested is addressed in the enclosure to this letter. During a discussion with your staff on June 4, 2008, it was agreed that you would provide a response within 30 days from the date of this letter.

The NRC staff considers that timely responses to requests for additional information help ensure sufficient time is available for staff review and contribute toward the NRC=s goal of efficient and effective use of staff resources. If circumstances result in the need to revise the requested response date, please contact me at (301) 415-4037.

Sincerely,

/RA/

Thomas J. Wengert, Project Manager Plant Licensing Branch III-2 Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation Docket No. 50-346

Enclosure:

Request for Additional Information cc w/encl: See next page DISTRIBUTION:

PUBLIC LPL3-2 R/F RidsNrrDorlLpl3-2 RidsNrrPMCGoodwin RidsNrrPMTWengert RidsNrrLAEWhitt RidsAcrsAcnw&mMailCenter RidsNrrDirsItsb RidsOgcRp RidsRgn3MailCenter RidsNrrDorlDpr VGoel, NRR RidsNrrDciCvib CSchulten, NRR RidsNrrDeEeeb ADAMS Accession Number: ML081570588 OFFICE LPL3-2/PM LPL3-2/PM LPL3-2/LA DE/EEEB/BC NAME CGoodwin TWengert EWhitt GWilson DATE 6/12/08 6/12/08 6/12/08 6/12/08 DCI/CVIB/BC DIRS/ITSB/BC LPL3-2/BC MMitchell RElliott RGibbs 6/13/08 6/13/08 6/18/08 OFFICIAL RECORD COPY

Davis-Besse Nuclear Power Station, Unit No. 1 cc:

Manager, Site Regulatory Compliance President, Board of County FirstEnergy Nuclear Operating Company Commissioners of Ottawa County Davis-Besse Nuclear Power Station Port Clinton, OH 43252 Mail Stop A-DB-3065 5501 North State Route 2 President, Board of County Oak Harbor, OH 43449-9760 Commissioners of Lucas County One Government Center, Suite 800 Director, Ohio Department of Commerce Toledo, OH 43604-6506 Division of Industrial Compliance Bureau of Operations & Maintenance The Honorable Dennis J. Kucinich 6606 Tussing Road United States House of Representatives P.O. Box 4009 Washington, D.C. 20515 Reynoldsburg, OH 43068-9009 The Honorable Dennis J. Kucinich Resident Inspector United States House of Representatives U.S. Nuclear Regulatory Commission 5503 North State Route 2 14400 Detroit Avenue Oak Harbor, OH 43449-9760 Lakewood, OH 44107 Stephen Helmer Joseph J. Hagan Supervisor, Technical Support Section President and Chief Nuclear Officer Bureau of Radiation Protection FirstEnergy Nuclear Operating Company Ohio Department of Health Mail Stop A-GO-19 35 East Chestnut Street, 7th Floor 76 South Main Street Columbus, OH 43215 Akron, OH 44308 Carol OClaire, Chief, Radiological Branch David W. Jenkins, Attorney Ohio Emergency Management Agency FirstEnergy Corporation 2855 West Dublin Granville Road Mail Stop A-GO-15 Columbus, OH 43235-2206 76 South Main Street Akron, OH 44308 Zack A. Clayton DERR Danny L. Pace Ohio Environmental Protection Agency Senior Vice President, Fleet Engineering P.O. Box 1049 FirstEnergy Nuclear Operating Company Columbus, OH 43266-0149 Mail Stop A-GO-14 76 South Main Street State of Ohio - Transportation Department Akron, OH 44308 Public Utilities Commission 180 East Broad Street Manager, Fleet Licensing Columbus, OH 43266-0573 FirstEnergy Nuclear Operating Company Mail Stop A-GO-2 Principal Assistant Attorney General 76 South Main Street Environmental Enforcement Section Akron, OH 44308 State Office Tower 30 East Broad Street, 25th Floor Columbus, OH 43215

Davis-Besse Nuclear Power Station, Unit No. 1 cc:

Paul A. Harden Director, Fleet Regulatory Affairs Vice President, Nuclear Support FirstEnergy Nuclear Operating Company FirstEnergy Nuclear Operating Company Mail Stop A-GO-2 Mail Stop A-GO-14 76 South Main Street 76 South Main Street Akron, OH 44308 Akron, OH 44308 Jeannie M. Rinckel James H. Lash Vice President, Fleet Oversight Senior Vice President of Operations FirstEnergy Nuclear Operating Company and Chief Operating Officer Mail Stop A-GO-14 FirstEnergy Nuclear Operating Company 76 South Main Street Mail Stop A-GO-14 Akron, OH 44308 76 South Main Street Akron, OH 44308

REQUEST FOR ADDITIONAL INFORMATION DAVIS-BESSE NUCLEAR POWER STATION, UNIT NO. 1 DOCKET NO. 50-346 In reviewing the FirstEnergy Nuclear Operating Company=s submittal dated August 3, 2007, related to revising the current technical specifications (CTS) to the improved technical specifications (ITS) consistent with improved standard technical specifications (STS) as described in Standard Technical Specifications Babcock and Wilcox (B&W) Plants, Revision 3.1, for the Davis-Besse Nuclear Power Station, Unit No. 1 (DBNPS), the NRC staff has determined that the following information is needed in order to complete its review:

DBNPS Borated Water Storage Tank (BWST)

1. The following reference is made in the DBNPS Updated Final Safety Analysis Report (UFSAR) on page 5.2-2, under the heading 5.2 INTEGRITY OF REACTOR COOLANT PRESSURE BOUNDARY (RCPB):

Reactor vessels with lower power ratings but similar geometries and service conditions have been analyzed to demonstrate that the reactor vessel can safely accommodate the rapid temperature change associated with the postulated operation of the Emergency Core Cooling System (ECCS) at the end of the vessel's design life. The evaluation is summarized as follows: The state of stress in the vessel during the LOCA [loss-of-coolant accident] was evaluated for an initial vessel temperature of 608F. The inside of the vessel wall is rapidly subjected to 90F injection water of the maximum flow rate obtainable. The results show that the integrity of the vessel is not violated.

The reactor vessel stress analysis discussed in the above UFSAR statement appears to be inconsistent with the 35F minimum temperature for the DBNPS BWST (a) in the facility's CTS and (b) which is being proposed for the ITS conversion.

a. Provide additional information to clarify the analysis which is being referred to in the above UFSAR quote.
b. Does this refer to a stress analysis performed to demonstrate compliance with American Society of Mechanical Engineers Code stress limits or was this analysis performed for some other purpose?
c. Has the analysis referenced in the UFSAR been performed with the assumption of 35F injection water? Why or why not?
2. The basis provided for the selection of 35F as the BWST minimum temperature, in the proposed DBNPS ITS Bases, is:

Enclosure

The 35 F lower limit on the temperature of the solution in the BWST is assumed for the containment vessel vacuum breaker sizing. This temperature also helps prevent boron precipitation.

However, the basis provided for selection of [40 F] as the BWST minimum temperature, in the B&W Design STS Bases, is:

The 40 F lower limit on the temperature of the solution in the BWST was established to ensure that the solution will not freeze. This temperature also helps prevent boron precipitation and ensures that water injection in the reactor vessel will not be colder than the lowest temperature assumed in reactor vessel stress analysis.

Conceptually, the statement from the B&W Design STS Bases appears to be referring to an analysis very similar to that discussed on page 5.2-2 of the DBNPS UFSAR. If so,

a. Explain why the analysis referenced in the DBNPS UFSAR does not need to be re-performed using a 35F injection water assumption to verify that the basis you suggested for the DBNPS BWST minimum temperature is the bounding consideration for establishing that limit.

Additional Background Information and Regulatory Bases for the Request for Additional Information (RAI)

The license amendment request (LAR) proposes to revise the DBNPS CTS to the ITS consistent with STS as described in NUREG-1430, "Standard Technical Specifications - Babcock and Wilcox Plants" as updated by Revision 3.1 to the STS.

Specifically, the LAR seeks to adopt STS Bases associated with STS Surveillance Requirement (SR) 3.5.4.1 with a number of deviations. Among these deviations proposed in the ITS BASES is the omission of the phrase ensures that water injection in the reactor vessel will not be colder than the lowest temperature assumed in reactor vessel stress analysis.

Title 10 of the Code of Federal Regulations (10 CFR) Section 50.36 requires, in part, that technical specifications (TS) be derived from the analyses and evaluation included in the safety analysis report and that they be accompanied by a summary statement of the bases or reasons for them. The phrase which the LAR seeks to omit was incorporated in the STS Bases in accordance with 10 CFR 50.36 as one of several summary reasons or bases for the minimum allowed BWST temperature limit. 10 CFR 50.61, Fracture toughness requirements for protection against pressurized thermal shock events, 10 CFR 50.55a, Codes and Standards, Appendix A to Part 50, and General Design Criteria for Nuclear Power Plants, are incorporated into the STS Bases and into the DBNPS Current Licensing Basis.

Paragraph IV, The Commission Policy, of 58 FR 39132 Final Policy on § 50.36 Technical Specifications, clarifies the Commissions expectations regarding the content of the TS Bases.

It states, in part:

Each Limiting Condition for Operation [LCO], Action, and Surveillance Requirement should have supporting Bases. The Bases should at a minimum address the following questions and cite references to appropriate licensing documentation (e.g., FSAR, Topical Report) to support the Bases What are the Bases for each Surveillance Requirement and Surveillance Frequency; i.e., what specific functional requirement is the surveillance designed to verify? Why is this surveillance necessary at the specified frequency to assure that the system or component function is maintained, that facility operation will be within the Safety Limits, and that the LCO will be met?

DBNPS Emergency Diesel Generator (EDG)

1. Provide the loading profile for the Appendix R scenario to demonstrate that the proposed EDG endurance/margin test ensures that the analyzed functions can be performed.

Alternately, confirm by calculation that the EDG Appendix R loading after 2 hours2.314815e-5 days <br />5.555556e-4 hours <br />3.306878e-6 weeks <br />7.61e-7 months <br /> will be less than 100 percent of its continuous rating, considering the 60.5 hertz maximum steady state frequency proposed by the licensee in the ITS.

Additional Background Information and Regulatory Bases for the RAI During the review of ITS SR 3.8.1.13, the NRC staff identified an issue which requires additional information. For the purpose of verification of EDG loading values, DBNPS provided an excerpt from the AC Power System Analysis calculation (C-EE-015.03-008, Revision 4). The review of the EDG loading results indicated that EDG 1-1 has a higher loading for the Appendix R scenario than for the loss of off-site power/loss of coolant accident (LOOP/LOCA) scenario.

During the Appendix R scenario, the EDG can be loaded up to 2627 kW, which is 101 percent of the continuous rating. The continuous rating of the EDG is 2600 kW.

The purpose of EDG testing at 105 to 110 percent of its continuous rating is to demonstrate that the EDG has adequate margin during the sequencing of various ECCS loads, while the purpose of testing at 90 to 100 percent is to demonstrate long term EDG capability when the loads are expected to be less than the EDG continuous rating. If the analyzed loads are higher than the continuous rating of the EDG, then the actual load profile needs to be followed to ensure that the EDG can perform its analyzed function. The analysis performed on the Appendix R scenario shows that the EDG loading is at 101 percent, which is above the continuous rating of the EDG.

The purpose of SR 3.8.1.13 (endurance/margin run for the EDG) is to demonstrate that EDG can perform its analyzed function. Since the same EDG is used to mitigate both the Appendix R scenario and the LOOP/LOCA scenario, it is essential that the EDGs be tested to the highest loading scenario (worst case scenario) for an adequate duration to demonstrate that EDGs will continue to perform their analyzed function.

The following regulations are considered applicable to testing of the EDGs:

Section 50.36 (d)(2)(ii)(D) of 10 CFR - Criterion 4. A structure, system, or component which operating experience or probabilistic risk assessment has shown to be significant to public health and safety.

Section 50.36 (d)(2) of 10 CFR - LCOs are the lowest functional capability or performance levels of equipment required for safe operation of the facility.

Section 50.36 (d)(3) of 10 CFR - SRs are requirements relating to test, calibration, or inspection to assure that the necessary quality of systems and components is maintained, that the facility operation will be within safety limits, and that the LCO will be met.