NOC-AE-08002304, Response to Request for Additional Information on Proposed Amendment Related to Risk-Informed Initiative 5b (TAC Nos. MD7058 & MD7059): 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)
 
Line 18: Line 18:


=Text=
=Text=
{{#Wiki_filter:*1 Nuclear Operating Company South Texas Project Electric Generating Station PO Box 289 Wadsworth, Texas 77483 AAAA May 20, 2008 NOC-AE-08002304 I 0CFR50.90 U. S. Nuclear Regulatory Commission Attention:
{{#Wiki_filter:*1 Nuclear Operating Company South Texas Project Electric GeneratingStation PO Box 289 Wadsworth, Texas 77483                         AAAA May 20, 2008 NOC-AE-08002304 I 0CFR50.90 U. S. Nuclear Regulatory Commission Attention: Document Control Desk One White Flint North 11555 Rockville Pike Rockville, MD 20852-2738 South Texas Project Units 1 and 2 Docket Nos. STN 50-498, STN 50-499 Response to Request for Additional Information on Proposed Amendment Related to Risk-Informed Initiative 5b (TAC NOS. MD7058 AND MD7059)
Document Control Desk One White Flint North 11555 Rockville Pike Rockville, MD 20852-2738 South Texas Project Units 1 and 2 Docket Nos. STN 50-498, STN 50-499 Response to Request for Additional Information on Proposed Amendment Related to Risk-Informed Initiative 5b (TAC NOS. MD7058 AND MD7059)


==Reference:==
==Reference:==
Letter from Charles T. Bowman to NRC Document Control Desk dated October 23, 2007, "Proposed Revision to Technical Specifications to Relocate Surveillance Test Intervals to a Licensee-Controlled Program (Risk-Informed Initiative 5b)" (NOC-AE-07002218)
Letter from Charles T. Bowman to NRC Document Control Desk dated October 23, 2007, "Proposed Revision to Technical Specifications to Relocate Surveillance Test Intervals to a Licensee-Controlled Program (Risk-Informed Initiative 5b)" (NOC-AE-07002218)
In the referenced letter, STP Nuclear Operating Company (STPNOC) submitted a license amendment request proposing to incorporate Risk-Informed Initiative 5b into the South Texas Project Technical Specifications.
In the referenced letter, STP Nuclear Operating Company (STPNOC) submitted a license amendment request proposing to incorporate Risk-Informed Initiative 5b into the South Texas Project Technical Specifications. This submittal responds to NRC questions regarding this request received by letter dated April 8, 2008.
This submittal responds to NRC questions regarding this request received by letter dated April 8, 2008.There are no new commitments in this submittal.
There are no new commitments in this submittal. If you have any questions, please call Ted Koser at 361-972-8963 or me at 361-972-7454.
If you have any questions, please call Ted Koser at 361-972-8963 or me at 361-972-7454.
I declare under penalty of perjury that the foregoing is true and correct.
I declare under penalty of perjury that the foregoing is true and correct.Executed on /ak, ,2 0 0 3 G Date'Charles T. Bowman General Manager, Oversight  
Executed on /ak, ,2                       0     03 G Date' Charles T. Bowman General Manager, Oversight


==Enclosure:==
==Enclosure:==
STPNOC Response to Request for Additional Information
_70/'/
STI: 32313888


STPNOC Response to Request for Additional Information
NOC-AE-08002304 Page 2 cc:
_70/ '/STI: 32313888 NOC-AE-08002304 Page 2 cc: (paper copy)(electronic copy)Regional Administrator, Region IV U. S. Nuclear Regulatory Commission 612 East Lamar Blvd, Suite 400 Arlington, Texas 76011-4125 Mohan C. Thadani Senior Project Manager, U.S. Nuclear Regulatory Commission One White Flint North (MS 7 D1)11555 Rockville Pike Rockville, MD 20852 Senior Resident Inspector U. S. Nuclear Regulatory Commission P. O. Box 289, Mail Code: MN116 Wadsworth, TX 77483 C. M. Canady City of Austin Electric Utility Department 721 Barton Springs Road Austin, TX 78704 Richard A. Ratliff Bureau of Radiation Control Texas Department of State Health Services 1100 West 49th Street Austin, TX 78756-3189 A. H. Gutterman, Esquire Morgan, Lewis & Bockius LLP Mohan C. Thadani U. S. Nuclear Regulatory Commission Thad Hill Catherine Callaway Jim von Suskil NRG South Texas LP, Ed Alarcon J. J. Nesrsta R. K. Temple Kevin Pollo City Public Service Jon C. Wood Cox Smith Matthews C. Kirksey City of Austin Enclosure NOC-AE-08002304 Page 1 of 2 STPNOC RESPONSE TO REQUEST FOR ADDITIONAL INFORMATION South Texas Project Units 1 and 2 Response to Request for Additional Information on the Proposed Revision to Technical Specifications Regarding Risk-Informed Initiative 5b TAC Nos. MD7058 AND MD7059 NRC RAI The Nuclear Regulatory Commission (NRC) staff has reviewed the STP Nuclear Operating Company (STPNOC) request dated October 23, 2007 (Agencywide Documents Access and Management System (ADAMS) Accession No. ML073050348), for approval of an amendment to the South Texas Project, Units 1 and 2, technical specifications (TS) to relocate surveillance test intervals to a licensee-controlled program (risk-informed initiative 5b). The staff has determined that additional information is necessary to complete its review of the request. Please provide a response which addresses the following request for additional information questions from the PRA Licensing Branch.1. The staff has reviewed the scope of surveillance test intervals (STI) proposed to be relocated, and has identified several for which additional justification is required.The licensee is requested to address the following issues associated with specific STIs, or delete the STIs from the scope of the proposed TS changes.a. Two surveillances, 4.1.1.1.1.a (which requires a 12-hour periodic verification of shutdown margin when one or more control rods are inoperable) and 4.4.8 Table 4.4-4 item 4a (which requires a 4-hour periodic isotopic analysis when the dose-equivalent iodine-131 activity exceeds prescribed limits) have equivalents in the Westinghouse Standard TS (STS), NUREG-1431, Rev. 3.1, as action requirements.
(paper copy)                             (electronic copy)
Specifically, STS 3.1.4 required action B.2.3 provides for a once per 12 hours shutdown margin verification with inoperable control rod(s), and STS 3.4.16, required action A.1 provides for a once per 4 hour isotopic analysis with dose-equivalent iodine-131 exceeding limits. These STS actions are not subject to relocation to the Surveillance Frequency Control Program (SFCP)under TS Task Force (TSTF) traveler TSTF-425 referenced in the submittal.
Regional Administrator, Region IV         A. H. Gutterman, Esquire U. S. Nuclear Regulatory Commission       Morgan, Lewis & Bockius LLP 612 East Lamar Blvd, Suite 400 Arlington, Texas 76011-4125               Mohan C. Thadani U. S. Nuclear Regulatory Commission Mohan C. Thadani                         Thad Hill Senior Project Manager,                   Catherine Callaway U.S. Nuclear Regulatory Commission       Jim von Suskil One White Flint North (MS 7 D1)           NRG South Texas LP, 11555 Rockville Pike Rockville, MD 20852 Senior Resident Inspector                 Ed Alarcon U. S. Nuclear Regulatory Commission       J. J. Nesrsta P. O. Box 289, Mail Code: MN116           R. K. Temple Wadsworth, TX 77483                       Kevin Pollo City Public Service C. M. Canady                             Jon C. Wood City of Austin                           Cox Smith Matthews Electric Utility Department 721 Barton Springs Road                   C. Kirksey Austin, TX 78704                         City of Austin Richard A. Ratliff Bureau of Radiation Control Texas Department of State Health Services 1100 West 49th Street Austin, TX 78756-3189
: b. Several surveillances require more frequent performance during abnormal plant conditions involving inoperable equipment: " Surveillance 4.1.1.4.b requires a 30-minute periodic verification of the Reactor Coolant System average temperature (Tavg) when a monitoring alarm is not reset." Surveillance 4.1.3.1.1 requires a 4-hour periodic verification of individual rod positions when the rod position deviation monitor is inoperable.
 
Enclosure NOC-AE-08002304 Page 2 of 2" Surveillance 4.1.3.6 requires a 4-hour periodic verification of control rod bank positions compared with insertion limits when the rod insertion limit monitor is inoperable.
Enclosure NOC-AE-08002304 Page 1 of 2 STPNOC RESPONSE TO REQUEST FOR ADDITIONAL INFORMATION South Texas Project Units 1 and 2 Response to Request for Additional Information on the Proposed Revision to Technical Specifications Regarding Risk-Informed Initiative 5b TAC Nos. MD7058 AND MD7059 NRC RAI The Nuclear Regulatory Commission (NRC) staff has reviewed the STP Nuclear Operating Company (STPNOC) request dated October 23, 2007 (Agencywide Documents Access and Management System (ADAMS) Accession No. ML073050348), for approval of an amendment to the South Texas Project, Units 1 and 2, technical specifications (TS) to relocate surveillance test intervals to a licensee-controlled program (risk-informed initiative 5b). The staff has determined that additional information is necessary to complete its review of the request. Please provide a response which addresses the following request for additional information questions from the PRA Licensing Branch.
* Surveillance 4.2.1.1.b requires a 60-minute and ultimately 30-minute monitoring and logging of the axial flux difference (AFD) when the AFD Monitor Alarm is inoperable." Surveillance 4.2.4.1.b requires a 12-hour periodic calculation of the quadrant power tilt ratio when the alarm is inoperable.
: 1. The staff has reviewed the scope of surveillance test intervals (STI) proposed to be relocated, and has identified several for which additional justification is required.
None of these surveillances is found in the current revision of the STS; however, these surveillances are similar to the required actions identified in item a, which are not in the scope of TSTF-425.
The licensee is requested to address the following issues associated with specific STIs, or delete the STIs from the scope of the proposed TS changes.
The staff's initial view is that these event-driven surveillance frequencies should not be relocated since they are not simply periodic requirements, but are condition-based.
: a. Two surveillances, 4.1.1.1.1.a (which requires a 12-hour periodic verification of shutdown margin when one or more control rods are inoperable) and 4.4.8 Table 4.4-4 item 4a (which requires a 4-hour periodic isotopic analysis when the dose-equivalent iodine-131 activity exceeds prescribed limits) have equivalents in the Westinghouse Standard TS (STS), NUREG-1431, Rev. 3.1, as action requirements. Specifically, STS 3.1.4 required action B.2.3 provides for a once per 12 hours shutdown margin verification with inoperable control rod(s),
and STS 3.4.16, required action A.1 provides for a once per 4 hour isotopic analysis with dose-equivalent iodine-131 exceeding limits. These STS actions are not subject to relocation to the Surveillance Frequency Control Program (SFCP) under TS Task Force (TSTF) traveler TSTF-425 referenced in the submittal.
: b. Several surveillances require more frequent performance during abnormal plant conditions involving inoperable equipment:
            " Surveillance 4.1.1.4.b requires a 30-minute periodic verification of the Reactor Coolant System average temperature (Tavg) when a monitoring alarm is not reset.
            " Surveillance 4.1.3.1.1 requires a 4-hour periodic verification of individual rod positions when the rod position deviation monitor is inoperable.
 
Enclosure NOC-AE-08002304 Page 2 of 2
            "   Surveillance 4.1.3.6 requires a 4-hour periodic verification of control rod bank positions compared with insertion limits when the rod insertion limit monitor is inoperable.
* Surveillance 4.2.1.1.b requires a 60-minute and ultimately 30-minute monitoring and logging of the axial flux difference (AFD) when the AFD Monitor Alarm is inoperable.
            " Surveillance 4.2.4.1.b requires a 12-hour periodic calculation of the quadrant power tilt ratio when the alarm is inoperable.
None of these surveillances is found in the current revision of the STS; however, these surveillances are similar to the required actions identified in item a, which are not in the scope of TSTF-425. The staff's initial view is that these event-driven surveillance frequencies should not be relocated since they are not simply periodic requirements, but are condition-based.
: c. Surveillance 4.8.1.2.1.b requires an 8-hour periodic verification of the alternate onsite emergency power source when it is used as a standby diesel generator in substitution for one of the required diesels, limited by a footnote to no more than 14 consecutive days. Although this requirement is not part of the standard TS, this surveillance is a plant-specific required action for an inoperable diesel generator, similar to the STS actions identified in item a. Therefore, the staff's initial view is that this surveillance frequency should not be relocated since it is an action requirement rather than a periodic surveillance.
: c. Surveillance 4.8.1.2.1.b requires an 8-hour periodic verification of the alternate onsite emergency power source when it is used as a standby diesel generator in substitution for one of the required diesels, limited by a footnote to no more than 14 consecutive days. Although this requirement is not part of the standard TS, this surveillance is a plant-specific required action for an inoperable diesel generator, similar to the STS actions identified in item a. Therefore, the staff's initial view is that this surveillance frequency should not be relocated since it is an action requirement rather than a periodic surveillance.
STP Response While STPNOC believes that the changes proposed in the subject license amendment request meet the intent of the 5b Initiative, STPNOC has decided to withdraw the specific proposed changes to the Technical Specifications identified in the RAI. During the review of the RAI, two additional Technical Specifications, 4.1.3.2 and 4.2.4.2, were identified that also met the criteria identified in the RAI and have been added to the list of proposed Technical Specifications changes to be withdrawn.
STP Response While STPNOC believes that the changes proposed in the subject license amendment request meet the intent of the 5b Initiative, STPNOC has decided to withdraw the specific proposed changes to the Technical Specifications identified in the RAI. During the review of the RAI, two additional Technical Specifications, 4.1.3.2 and 4.2.4.2, were identified that also met the criteria identified in the RAI and have been added to the list of proposed Technical Specifications changes to be withdrawn. Therefore, STPNOC requests the proposed revision to the following Technical Specifications be withdrawn.
Therefore, STPNOC requests the proposed revision to the following Technical Specifications be withdrawn.
: 4. 1.1. 1.1.a 4.1.1.4.b 4.1.3.1.1 4.1.3.2 4.1.3.6 4.2. 1.1.b 4.2.4.1 .b 4.2.4.2 4.4.8 Table 4.4-4 item 4a 4.8.1.2.1.b No other changes are being proposed to the subject amendment request by this letter.}}
: 4. 1.1. 1.1.a 4.1.1.4.b 4.1.3.1.1 4.1.3.2 4.1.3.6 4.2. 1.1.b 4.2.4.1 .b 4.2.4.2 4.4.8 Table 4.4-4 item 4a 4.8.1.2.1.b No other changes are being proposed to the subject amendment request by this letter.}}

Latest revision as of 17:06, 14 November 2019

Response to Request for Additional Information on Proposed Amendment Related to Risk-Informed Initiative 5b (TAC Nos. MD7058 & MD7059)
ML081540471
Person / Time
Site: South Texas  STP Nuclear Operating Company icon.png
Issue date: 05/20/2008
From: Bowman C
South Texas
To:
Document Control Desk, Office of Nuclear Reactor Regulation
References
NOC-AE-08002304, TAC MD7058, TAC MD7059
Download: ML081540471 (4)


Text

  • 1 Nuclear Operating Company South Texas Project Electric GeneratingStation PO Box 289 Wadsworth, Texas 77483 AAAA May 20, 2008 NOC-AE-08002304 I 0CFR50.90 U. S. Nuclear Regulatory Commission Attention: Document Control Desk One White Flint North 11555 Rockville Pike Rockville, MD 20852-2738 South Texas Project Units 1 and 2 Docket Nos. STN 50-498, STN 50-499 Response to Request for Additional Information on Proposed Amendment Related to Risk-Informed Initiative 5b (TAC NOS. MD7058 AND MD7059)

Reference:

Letter from Charles T. Bowman to NRC Document Control Desk dated October 23, 2007, "Proposed Revision to Technical Specifications to Relocate Surveillance Test Intervals to a Licensee-Controlled Program (Risk-Informed Initiative 5b)" (NOC-AE-07002218)

In the referenced letter, STP Nuclear Operating Company (STPNOC) submitted a license amendment request proposing to incorporate Risk-Informed Initiative 5b into the South Texas Project Technical Specifications. This submittal responds to NRC questions regarding this request received by letter dated April 8, 2008.

There are no new commitments in this submittal. If you have any questions, please call Ted Koser at 361-972-8963 or me at 361-972-7454.

I declare under penalty of perjury that the foregoing is true and correct.

Executed on /ak, ,2 0 03 G Date' Charles T. Bowman General Manager, Oversight

Enclosure:

STPNOC Response to Request for Additional Information

_70/'/

STI: 32313888

NOC-AE-08002304 Page 2 cc:

(paper copy) (electronic copy)

Regional Administrator, Region IV A. H. Gutterman, Esquire U. S. Nuclear Regulatory Commission Morgan, Lewis & Bockius LLP 612 East Lamar Blvd, Suite 400 Arlington, Texas 76011-4125 Mohan C. Thadani U. S. Nuclear Regulatory Commission Mohan C. Thadani Thad Hill Senior Project Manager, Catherine Callaway U.S. Nuclear Regulatory Commission Jim von Suskil One White Flint North (MS 7 D1) NRG South Texas LP, 11555 Rockville Pike Rockville, MD 20852 Senior Resident Inspector Ed Alarcon U. S. Nuclear Regulatory Commission J. J. Nesrsta P. O. Box 289, Mail Code: MN116 R. K. Temple Wadsworth, TX 77483 Kevin Pollo City Public Service C. M. Canady Jon C. Wood City of Austin Cox Smith Matthews Electric Utility Department 721 Barton Springs Road C. Kirksey Austin, TX 78704 City of Austin Richard A. Ratliff Bureau of Radiation Control Texas Department of State Health Services 1100 West 49th Street Austin, TX 78756-3189

Enclosure NOC-AE-08002304 Page 1 of 2 STPNOC RESPONSE TO REQUEST FOR ADDITIONAL INFORMATION South Texas Project Units 1 and 2 Response to Request for Additional Information on the Proposed Revision to Technical Specifications Regarding Risk-Informed Initiative 5b TAC Nos. MD7058 AND MD7059 NRC RAI The Nuclear Regulatory Commission (NRC) staff has reviewed the STP Nuclear Operating Company (STPNOC) request dated October 23, 2007 (Agencywide Documents Access and Management System (ADAMS) Accession No. ML073050348), for approval of an amendment to the South Texas Project, Units 1 and 2, technical specifications (TS) to relocate surveillance test intervals to a licensee-controlled program (risk-informed initiative 5b). The staff has determined that additional information is necessary to complete its review of the request. Please provide a response which addresses the following request for additional information questions from the PRA Licensing Branch.

1. The staff has reviewed the scope of surveillance test intervals (STI) proposed to be relocated, and has identified several for which additional justification is required.

The licensee is requested to address the following issues associated with specific STIs, or delete the STIs from the scope of the proposed TS changes.

a. Two surveillances, 4.1.1.1.1.a (which requires a 12-hour periodic verification of shutdown margin when one or more control rods are inoperable) and 4.4.8 Table 4.4-4 item 4a (which requires a 4-hour periodic isotopic analysis when the dose-equivalent iodine-131 activity exceeds prescribed limits) have equivalents in the Westinghouse Standard TS (STS), NUREG-1431, Rev. 3.1, as action requirements. Specifically, STS 3.1.4 required action B.2.3 provides for a once per 12 hours1.388889e-4 days <br />0.00333 hours <br />1.984127e-5 weeks <br />4.566e-6 months <br /> shutdown margin verification with inoperable control rod(s),

and STS 3.4.16, required action A.1 provides for a once per 4 hour4.62963e-5 days <br />0.00111 hours <br />6.613757e-6 weeks <br />1.522e-6 months <br /> isotopic analysis with dose-equivalent iodine-131 exceeding limits. These STS actions are not subject to relocation to the Surveillance Frequency Control Program (SFCP) under TS Task Force (TSTF) traveler TSTF-425 referenced in the submittal.

b. Several surveillances require more frequent performance during abnormal plant conditions involving inoperable equipment:

" Surveillance 4.1.1.4.b requires a 30-minute periodic verification of the Reactor Coolant System average temperature (Tavg) when a monitoring alarm is not reset.

" Surveillance 4.1.3.1.1 requires a 4-hour periodic verification of individual rod positions when the rod position deviation monitor is inoperable.

Enclosure NOC-AE-08002304 Page 2 of 2

" Surveillance 4.1.3.6 requires a 4-hour periodic verification of control rod bank positions compared with insertion limits when the rod insertion limit monitor is inoperable.

  • Surveillance 4.2.1.1.b requires a 60-minute and ultimately 30-minute monitoring and logging of the axial flux difference (AFD) when the AFD Monitor Alarm is inoperable.

" Surveillance 4.2.4.1.b requires a 12-hour periodic calculation of the quadrant power tilt ratio when the alarm is inoperable.

None of these surveillances is found in the current revision of the STS; however, these surveillances are similar to the required actions identified in item a, which are not in the scope of TSTF-425. The staff's initial view is that these event-driven surveillance frequencies should not be relocated since they are not simply periodic requirements, but are condition-based.

c. Surveillance 4.8.1.2.1.b requires an 8-hour periodic verification of the alternate onsite emergency power source when it is used as a standby diesel generator in substitution for one of the required diesels, limited by a footnote to no more than 14 consecutive days. Although this requirement is not part of the standard TS, this surveillance is a plant-specific required action for an inoperable diesel generator, similar to the STS actions identified in item a. Therefore, the staff's initial view is that this surveillance frequency should not be relocated since it is an action requirement rather than a periodic surveillance.

STP Response While STPNOC believes that the changes proposed in the subject license amendment request meet the intent of the 5b Initiative, STPNOC has decided to withdraw the specific proposed changes to the Technical Specifications identified in the RAI. During the review of the RAI, two additional Technical Specifications, 4.1.3.2 and 4.2.4.2, were identified that also met the criteria identified in the RAI and have been added to the list of proposed Technical Specifications changes to be withdrawn. Therefore, STPNOC requests the proposed revision to the following Technical Specifications be withdrawn.

4. 1.1. 1.1.a 4.1.1.4.b 4.1.3.1.1 4.1.3.2 4.1.3.6 4.2. 1.1.b 4.2.4.1 .b 4.2.4.2 4.4.8 Table 4.4-4 item 4a 4.8.1.2.1.b No other changes are being proposed to the subject amendment request by this letter.