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| number = ML17235A261
| number = ML17235A261
| issue date = 08/22/2017
| issue date = 08/22/2017
| title = 2017/08/22 NRR E-mail Capture - Robinson Rais - Change Technical Specification Surveillance Requirement Frequencies to Support 24-Month Fuel Cycles (MF9544)
| title = NRR E-mail Capture - Robinson RAIs - Change Technical Specification Surveillance Requirement Frequencies to Support 24-Month Fuel Cycles (MF9544)
| author name = Galvin D J
| author name = Galvin D
| author affiliation = NRC/NRR/DORL/LPLII-2
| author affiliation = NRC/NRR/DORL/LPLII-2
| addressee name = Pilo T
| addressee name = Pilo T
Line 14: Line 14:
| page count = 8
| page count = 8
}}
}}
=Text=
{{#Wiki_filter:NRR-PMDAPEm Resource From:                              Galvin, Dennis Sent:                              Tuesday, August 22, 2017 5:07 PM To:                                Pilo, Tony
==Subject:==
Robinson RAIs - Change Technical Specification Surveillance Requirement Frequencies to Support 24-Month Fuel Cycles (MF9544)
Attachments:                        Robinson LAR Month Fuel Cycle - Draft RAI Letter 1 2017-08-22 MF9544.pdf Mr. Pilo, By letter dated April 3, 2017, as supplemented by letters dated April 3, 2017 and May 2, 2017, (Agencywide Documents Access and Management System Accession Nos. ML17093A787, ML17093A796, and ML17122A223) Duke Energy Progress, LLC (the licensee) submitted a license amendment request (LAR) for H. B. Robinson Steam Electric Plant Unit No. 2. The proposed amendment would revise certain Technical Specifications (TS) Surveillance Requirements (SRs) and administrative controls program frequencies from 18 months to 24 months to support 24-month fuel cycle operations.
To complete its review, the NRC staff has prepared requests for additional information (RAIs). The LAR divided the proposed TS changes into the following two categories: (1) changes to surveillance frequencies other than channel calibrations, identified as Non-Calibration Changes, and (2) changes involving the channel calibration frequency identified as Channel Calibration Changes. These draft RAIs are regarding non-calibration changes. RAIs regarding channel calibration changes, if any, will be provided by separate correspondence. Please see the attached RAIs in DRAFT form.
Please submit your response to these RAIs within 30 days of this email. If you need a clarification call for the attached draft RAIs, or you need to change the RAI response due date, please contact me at (301) 415-6256.
Respectfully, Dennis Galvin Project Manager U.S Nuclear Regulatory Commission Office of Nuclear Reactor Regulation Division of Operating Reactor Licensing Licensing Project Branch 2-2 301-415-6256 Docket Nos. 50-261 1
Hearing Identifier:    NRR_PMDA Email Number:          3682 Mail Envelope Properties    (Dennis.Galvin@nrc.gov20170822170700)
==Subject:==
Robinson RAIs - Change Technical Specification Surveillance Requirement Frequencies to Support 24-Month Fuel Cycles (MF9544)
Sent Date:              8/22/2017 5:07:26 PM Received Date:          8/22/2017 5:07:00 PM From:                  Galvin, Dennis Created By:            Dennis.Galvin@nrc.gov Recipients:
"Pilo, Tony" <Tony.Pilo@duke-energy.com>
Tracking Status: None Post Office:
Files                          Size                    Date & Time MESSAGE                        1635                    8/22/2017 5:07:00 PM Robinson LAR Month Fuel Cycle - Draft RAI Letter 1 2017-08-22 MF9544.pdf 156783 Options Priority:                      Standard Return Notification:            No Reply Requested:                No Sensitivity:                    Normal Expiration Date:
Recipients Received:
REQUEST FOR ADDITIONAL INFORMATION LICENSE AMENDMENT REQUEST REGARDING TECHNICAL SPECIFICATION SURVEILLANCE REQUIREMENT FREQUENCIES TO SUPPORT 24-MONTH FUEL CYCLES DUKE ENERGY PROGRESS, LLC H. B. ROBINSON STEAM ELECTRIC PLANT, UNIT NO. 2 DOCKET NO. 50-261 CAC NOS. MF9544 General RAI - 1 In Enclosure 1 of Generic Letter (GL) 91-04, "Changes in Technical Specification Surveillance Intervals to Accommodate a 24-Month Fuel Cycle," dated April 2, 1991 (Agencywide Documents Access and Management System (ADAMS) Accession No. ML031140501), it is stated, in part:
Licensees should evaluate the effect on safety of an increase in 18-month surveillance intervals to accommodate a 24-month fuel cycle. This evaluation should support a conclusion that the effect on safety is small. Licensees should confirm that historical plant maintenance and surveillance data support this conclusion.
By letter dated April 3, 2017, as supplemented by letters dates April 3, 2017 and May 2, 2017, (ADAMS Accession Nos. ML17093A787, ML17093A796, and ML17122A223) Duke Energy Progress, LLC (the licensee) submitted a license amendment request (LAR) for H. B. Robinson Steam Electric Plant Unit No. 2 (Robinson). Attachment 8, Non-Calibration Surveillance Failure Analysis to the LAR lists the same three unique failure histories, as listed below, for a significant number of Surveillance Requirements (SRs):
: a. On 5/3/2007, CB-1 on Battery Charger A-1 failed to trip when power was removed from the charger.
: b. On 10/29/2008, input breaker CB1 on Battery Charger B-1 failed to trip on loss of alternating current voltage.
: c. On 6/20/2015, when placing the PZR HTR BACK-UP GROUP "A" switch to ON, the RTGB ON indication did not illuminate as expected.
The LAR states that the test procedure and preventive maintenance task implementing these SRs are very large and test a wide range of equipment. It is not clear how these failures are representative enough to demonstrate the lack of impact of the change in SR frequency for the wide range of and diversity of the SRs.
(1.) Clarify the shared characteristics of these SRs that allow them to be treated as a group.
(2.) Confirm that the same failure histories applies to all the SRs.
(3.) Alternatively, provide the appropriate failure histories for the SRs.
The SRs with the same unique failure histories are below.
TS 3.3.1 Reactor Protection System (RPS) Instrumentation SR 3.3.1.14 Perform TADOT. Note: Verification of setpoint is not required.
Table 3.3.1-1, Function 16: Safety Injection (SI) Input from Engineered Safety Feature Actuation System (ESFAS)
TS 3.3.2 Engineered Safety Feature Actuation System (ESFAS) Instrumentation SR 3.3.2.3 Perform MASTER RELAY TEST.
SR 3.3.2.5 Perform SLAVE RELAY TEST.
Table 3.3.2-1, Function 1.b: Safety Injection - Automatic Actuation Logic and Actuation Relays Table 3.3.2-1, Function 3.a.2: Containment Isolation - Phase A Isolation - Automatic Actuation Logic and Actuation Relays Table 3.3.2-1, Function 5.a: Feedwater Isolation - Automatic Actuation Logic and Actuation Relays SR 3.3.2.6 Perform TADOT. Note: Verification of setpoint is not required.
Table 3.3.2-1, Function 1.a: Safety Injection - Manual Initiation Table 3.3.2-1, Function 3.a.1: Containment Isolation - Phase A Isolation - Manual Initiation TS 3.3.3 Post Accident Monitoring (PAM) Instrumentation SR 3.3.3.3 Perform TADOT. Note: Verification of setpoint is not required.
Table 3.3.3-1, Function 9: Containment Isolation Valve Position TS 3.3.6 Containment Ventilation Isolation Instrumentation SR 3.3.6.3 Perform MASTER RELAY TEST.
SR 3.3.6.5 Perform SLAVE RELAY TEST.
Table 3.3.6-1, Function 2: Automatic Actuation Logic and Actuation Relays SR 3.3.6.6 Perform TADOT. Note: Verification of setpoint is not required.
Table 3.3.6-1, Function 1: Manual Initiation TS 3.3.8 Auxiliary Feedwater (AFW) System Instrumentation SR 3.3.8.3 Perform TADOT.
Table 3.3.8-1, Function 3: Automatic Actuation Logic and Actuation Relays
TS 3.4.9 Pressurizer SR 3.4.9.2 Verify capacity of required pressurizer heaters is  125KW SR 3.4.9.3 Verify required pressurizer heaters are capable of being powered from an emergency supply TS 3.5.2 Emergency Core Cooling Systems (ECCS) - Operating SR 3.5.2.4 Verify each ECCS automatic valve in the flow path that is locked, sealed, or otherwise secured in position, actuates to the correct position on an actual or simulated actuation signal SR 3.5.2.5 Verify each ECCS pump starts automatically on an actual or simulated actuation signal TS 3.6.3 Containment Isolation Valves SR 3.6.3.5 Verify each automatic containment isolation valve that is not locked, sealed or otherwise secured in position, actuates to the isolation position on an actual or simulated actuation signal TS 3.6.6 Containment Spray and Cooling Systems SR 3.6.6.7 Verify each containment cooling train starts automatically on an actual or simulated actuation signal TS 3.6.8 Isolation Valve Seal Water (IVSW) System SR 3.6.8.4 Verify each automatic valve in the IVSW System actuates to the correct position on an actual or simulated actuation signal TS 3.7.4 Auxiliary Feedwater (AFW) System SR 3.7.4.3 Verify each AFW isolation valve that is not locked, sealed, or otherwise secured in position, actuates to the correct position on an actual or simulated actuation signal. Note: Not applicable in MODE 4 when steam generator is being used for heat removal.
SR 3.7.4.4 Verify each AFW pump starts automatically on an actual or simulated actuation signal - Note 1. Not required to be performed for the steam driven AFW pump until 24 hours after  100 psig in the steam generator. 2.
Not applicable in MODE 4 when steam generator is being used for heat removal.
TS 3.7.7 Service Water System (SWS)
SR 3.7.7.3 Verify each SWS pump and SWS booster pump starts automatically on an actual or simulated actuation signal.
TS 3.7.9 Control Room Emergency Filtration System (CREFS)
SR 3.7.9.3 Verify each CREFS train actuates on an actual or simulated actuation signal.
TS 3.8.1 AC Sources - Operating SR 3.8.1.8 Verify each DG rejects a load greater than or equal to its associated single largest post-accident load and does not trip on overspeed. Notes: 1. This Surveillance shall not be performed in MODE 1 or 2. 2. If performed with the DG synchronized with offsite power, it shall be performed at a power IDFWRU 0.9.
SR 3.8.1.10 Verify on an actual or simulated Engineered Safety Feature (ESF) actuation signal each DG auto-starts from standby condition and: a. ,Q
seconds after auto-VWDUWDFKLHYHVYROWDJH9DQGDIWHUVWHDG\VWDWH
conditions DUHUHDFKHGPDLQWDLQVYROWDJH9DQG9E,Q
seconds after auto-VWDUWDFKLHYHVIUHTXHQF\+]DQGDIWHUVWHDG\
state conditions are reacheGPDLQWDLQVIUHTXHQF\+]DQG
              +]F2SHUDWHVIRU PLQXWHVG3HUPDQHQWO\FRQQHFWHGORDGVUHPDLQ
energized from the offsite SRZHUV\VWHPDQGH(PHUJHQF\ORDGVDUH
energized through the automatic load sequencer from the offsite power system. Notes: 1. All DG starts may be preceded by prelube period. 2. This Surveillance shall not be performed in MODE 1 or 2. 3. During periods when a diesel generator is being operated for testing purposes, its protective trips need not be bypassed after the diesel generator has properly assumed the load on its bus.
SR 3.8.1.9 Verify on an actual or simulated loss of offsite power signal: a.
              'HHQHUJL]DWLRQRIHPHUJHQF\EXVHVE/RDGVKHGGLQJIURPHPHUJHQF\
EXVHVF'*DXWR-starts from standby condition and: 1. energizes SHUPDQHQWO\FRQQHFWHGORDGVLQVHFRQGVHQHUJL]HVDXWR-connected shutdown loads through automatic load sequencer, 3. maintains steady state YROWDJH9DQG9PDLQWDLQVVWHDG\VWDWHIUHTXHQF\+]
DQG+]and 5. supplies permanently connected and auto-connected VKXWGRZQORDGVIRUPLQXWHV- Notes: 1. All DG starts may be preceded by an engine prelube period. 2. This Surveillance shall not be performed in MODE 1, 2, 3, or 4.
SR 3.8.1.15 Verify on an actual or simulated loss of offsite power signal in conjunction with an actual or simulated ESF actuation signal: a. De-energization of HPHUJHQF\EXVHVE/RDGVKHGGLQJIURPHPHUJHQF\EXVHVDQGF'*DXWR-starts from standby condition and: 1. energizes permanently connected loads LQVHFRQGVHQHUJL]HVDXWR-connected emergency loads through load VHTXHQFHUDFKLHYHVVWHDG\VWDWHYROWDJH9DQG9
DFKLHYHVVWHDG\VWDWHIUHTXHQF\+]DQG+]DQGVXSSOLHV
permanently connecWHGDQGDXWRFRQQHFWHGHPHUJHQF\ORDGVIRUPLQXWHV
              - Notes: 1. All DG starts may be preceded by an engine prelube period. 2.
This Surveillance shall not be performed in MODE 1, 2, 3, or 4. 3. During periods when a diesel generator is being operated for testing purposes, its
protective trips need not be bypassed after the diesel generator has properly assumed the load on its bus.
TS 3.9.3 Containment Penetrations SR 3.9.3.2 Verify each required containment ventilation valve actuates to the isolation position on an actual or simulated actuation signal.
SRXB RAI - 1 In Enclosure 1 of GL 91-04 it is stated, in part:
Licensees should evaluate the effect on safety of an increase in 18-month surveillance intervals to accommodate a 24-month fuel cycle. This evaluation should support a conclusion that the effect on safety is small. Licensees should confirm that historical plant maintenance and surveillance data support this conclusion.
The staff noted that no failure histories were provided in Attachment 8 of the LAR for the following SR:
SR 3.4.1.4 Verify by precision heat balance that RCS total flow rate is  97.3 x 106 lbm/hr  of the LAR states in part for SR 3.4.1.4, There is no evaluation required for extension of this SR. However, no justification for this statement was provided. The NRC staff requests the licensee to provide the failure histories of the above mentioned SR in accordance with the GL 91-04, or to provide justification as to why it is not required.
SBPB RAI - 1 (a) The LAR is proposing to change the test frequency in TS 5.5.17 Control Room Envelope Habitability Program, item d from 18 to 24 months. However, the LAR did not propose a corresponding change in TS 5.5.17, item c.
The LAR is proposing to revise the frequency in TS 5.5.17, Item d, from 18 months to 24 months for taking measurements (e.g. control room envelope (CRE) pressure and control room emergency filtration system (CREFS) flow rate) on one of two trains of the CREFS on a staggered test basis. The two trains would then be tested on a 48 month or 4 year frequency TS 5.5.17, Item c references Regulatory Guide (RG) 1.197, Demonstrating Control Room Envelope Integrity at Nuclear Power Reactors, Revision 0, dated May 2003 (ADAMS Accession No. ML031490664). TS 5.5.17 Item c (ii) requires assessing CRE habitability at the frequencies specified in Sections C.1 and C.2 of RG 1.197. RG 1.197, Section C.1, states that all CREs should be tested on a performance-based periodic frequency consistent with Figure 1. RG 1.197, Figure 1, has an assessment frequency of 3 years. With the proposed change to TS 5.5.17, Item d, the two trains would then be tested on a 48 month or 4 year frequency instead of the 3 year frequency in RG 1.197.
The NRC staff requests the licensee to address this conflict in TS 5.5.17. The licensee should identify deviations taken from RG 1.197, if any, as part of its response.
(b) While TS 5.5.17 references RG 1.197 in TS 5.5.17, the licensee has not included RG 1.197 in Section 1.8, Conformance to NRC Regulatory Guides, of the Robinson Updated Final Safety Analysis Report (UFSAR). Also, based on the response to part (a) of this question, the licensee may identify deviations from RG 1.197. The staff notes that this is contrary to the approach the licensee took regarding RG 1.52 Design, Inspection, and Testing Criteria for Air Filtration and Adsorption Units of Post-Accident Engineered-Safety-Feature Atmosphere Cleanup Systems in Light-Water-Cooled Nuclear Power Plants Revision 2, dated March 1978 (ADAMS Accession No. ML003740139). Regarding RG 1.52, for TS 5.5.11, Ventilation Filter Testing Program, the LAR proposes to change in filter testing frequency from 18 months to 24 months as an exception to RG 1.52. The LAR describes the exception in the proposed change to TS 5.5.11. In addition, in LAR , Summary of License Commitments, the licensee made a commitment that UFSAR Section 1.8 will be modified to include the exception to RG 1.52 conformance.
Please clarify if conformance to RG 1.197, including any deviations, as applicable, will be included in Section 1.8 of the UFSAR?}}

Latest revision as of 05:23, 4 December 2019

NRR E-mail Capture - Robinson RAIs - Change Technical Specification Surveillance Requirement Frequencies to Support 24-Month Fuel Cycles (MF9544)
ML17235A261
Person / Time
Site: Robinson Duke Energy icon.png
Issue date: 08/22/2017
From: Dennis Galvin
Plant Licensing Branch II
To: Pilo T
Duke Energy Corp
References
MF9544
Download: ML17235A261 (8)


Text

NRR-PMDAPEm Resource From: Galvin, Dennis Sent: Tuesday, August 22, 2017 5:07 PM To: Pilo, Tony

Subject:

Robinson RAIs - Change Technical Specification Surveillance Requirement Frequencies to Support 24-Month Fuel Cycles (MF9544)

Attachments: Robinson LAR Month Fuel Cycle - Draft RAI Letter 1 2017-08-22 MF9544.pdf Mr. Pilo, By letter dated April 3, 2017, as supplemented by letters dated April 3, 2017 and May 2, 2017, (Agencywide Documents Access and Management System Accession Nos. ML17093A787, ML17093A796, and ML17122A223) Duke Energy Progress, LLC (the licensee) submitted a license amendment request (LAR) for H. B. Robinson Steam Electric Plant Unit No. 2. The proposed amendment would revise certain Technical Specifications (TS) Surveillance Requirements (SRs) and administrative controls program frequencies from 18 months to 24 months to support 24-month fuel cycle operations.

To complete its review, the NRC staff has prepared requests for additional information (RAIs). The LAR divided the proposed TS changes into the following two categories: (1) changes to surveillance frequencies other than channel calibrations, identified as Non-Calibration Changes, and (2) changes involving the channel calibration frequency identified as Channel Calibration Changes. These draft RAIs are regarding non-calibration changes. RAIs regarding channel calibration changes, if any, will be provided by separate correspondence. Please see the attached RAIs in DRAFT form.

Please submit your response to these RAIs within 30 days of this email. If you need a clarification call for the attached draft RAIs, or you need to change the RAI response due date, please contact me at (301) 415-6256.

Respectfully, Dennis Galvin Project Manager U.S Nuclear Regulatory Commission Office of Nuclear Reactor Regulation Division of Operating Reactor Licensing Licensing Project Branch 2-2 301-415-6256 Docket Nos. 50-261 1

Hearing Identifier: NRR_PMDA Email Number: 3682 Mail Envelope Properties (Dennis.Galvin@nrc.gov20170822170700)

Subject:

Robinson RAIs - Change Technical Specification Surveillance Requirement Frequencies to Support 24-Month Fuel Cycles (MF9544)

Sent Date: 8/22/2017 5:07:26 PM Received Date: 8/22/2017 5:07:00 PM From: Galvin, Dennis Created By: Dennis.Galvin@nrc.gov Recipients:

"Pilo, Tony" <Tony.Pilo@duke-energy.com>

Tracking Status: None Post Office:

Files Size Date & Time MESSAGE 1635 8/22/2017 5:07:00 PM Robinson LAR Month Fuel Cycle - Draft RAI Letter 1 2017-08-22 MF9544.pdf 156783 Options Priority: Standard Return Notification: No Reply Requested: No Sensitivity: Normal Expiration Date:

Recipients Received:

REQUEST FOR ADDITIONAL INFORMATION LICENSE AMENDMENT REQUEST REGARDING TECHNICAL SPECIFICATION SURVEILLANCE REQUIREMENT FREQUENCIES TO SUPPORT 24-MONTH FUEL CYCLES DUKE ENERGY PROGRESS, LLC H. B. ROBINSON STEAM ELECTRIC PLANT, UNIT NO. 2 DOCKET NO. 50-261 CAC NOS. MF9544 General RAI - 1 In Enclosure 1 of Generic Letter (GL) 91-04, "Changes in Technical Specification Surveillance Intervals to Accommodate a 24-Month Fuel Cycle," dated April 2, 1991 (Agencywide Documents Access and Management System (ADAMS) Accession No. ML031140501), it is stated, in part:

Licensees should evaluate the effect on safety of an increase in 18-month surveillance intervals to accommodate a 24-month fuel cycle. This evaluation should support a conclusion that the effect on safety is small. Licensees should confirm that historical plant maintenance and surveillance data support this conclusion.

By letter dated April 3, 2017, as supplemented by letters dates April 3, 2017 and May 2, 2017, (ADAMS Accession Nos. ML17093A787, ML17093A796, and ML17122A223) Duke Energy Progress, LLC (the licensee) submitted a license amendment request (LAR) for H. B. Robinson Steam Electric Plant Unit No. 2 (Robinson). Attachment 8, Non-Calibration Surveillance Failure Analysis to the LAR lists the same three unique failure histories, as listed below, for a significant number of Surveillance Requirements (SRs):

a. On 5/3/2007, CB-1 on Battery Charger A-1 failed to trip when power was removed from the charger.
b. On 10/29/2008, input breaker CB1 on Battery Charger B-1 failed to trip on loss of alternating current voltage.
c. On 6/20/2015, when placing the PZR HTR BACK-UP GROUP "A" switch to ON, the RTGB ON indication did not illuminate as expected.

The LAR states that the test procedure and preventive maintenance task implementing these SRs are very large and test a wide range of equipment. It is not clear how these failures are representative enough to demonstrate the lack of impact of the change in SR frequency for the wide range of and diversity of the SRs.

(1.) Clarify the shared characteristics of these SRs that allow them to be treated as a group.

(2.) Confirm that the same failure histories applies to all the SRs.

(3.) Alternatively, provide the appropriate failure histories for the SRs.

The SRs with the same unique failure histories are below.

TS 3.3.1 Reactor Protection System (RPS) Instrumentation SR 3.3.1.14 Perform TADOT. Note: Verification of setpoint is not required.

Table 3.3.1-1, Function 16: Safety Injection (SI) Input from Engineered Safety Feature Actuation System (ESFAS)

TS 3.3.2 Engineered Safety Feature Actuation System (ESFAS) Instrumentation SR 3.3.2.3 Perform MASTER RELAY TEST.

SR 3.3.2.5 Perform SLAVE RELAY TEST.

Table 3.3.2-1, Function 1.b: Safety Injection - Automatic Actuation Logic and Actuation Relays Table 3.3.2-1, Function 3.a.2: Containment Isolation - Phase A Isolation - Automatic Actuation Logic and Actuation Relays Table 3.3.2-1, Function 5.a: Feedwater Isolation - Automatic Actuation Logic and Actuation Relays SR 3.3.2.6 Perform TADOT. Note: Verification of setpoint is not required.

Table 3.3.2-1, Function 1.a: Safety Injection - Manual Initiation Table 3.3.2-1, Function 3.a.1: Containment Isolation - Phase A Isolation - Manual Initiation TS 3.3.3 Post Accident Monitoring (PAM) Instrumentation SR 3.3.3.3 Perform TADOT. Note: Verification of setpoint is not required.

Table 3.3.3-1, Function 9: Containment Isolation Valve Position TS 3.3.6 Containment Ventilation Isolation Instrumentation SR 3.3.6.3 Perform MASTER RELAY TEST.

SR 3.3.6.5 Perform SLAVE RELAY TEST.

Table 3.3.6-1, Function 2: Automatic Actuation Logic and Actuation Relays SR 3.3.6.6 Perform TADOT. Note: Verification of setpoint is not required.

Table 3.3.6-1, Function 1: Manual Initiation TS 3.3.8 Auxiliary Feedwater (AFW) System Instrumentation SR 3.3.8.3 Perform TADOT.

Table 3.3.8-1, Function 3: Automatic Actuation Logic and Actuation Relays

TS 3.4.9 Pressurizer SR 3.4.9.2 Verify capacity of required pressurizer heaters is 125KW SR 3.4.9.3 Verify required pressurizer heaters are capable of being powered from an emergency supply TS 3.5.2 Emergency Core Cooling Systems (ECCS) - Operating SR 3.5.2.4 Verify each ECCS automatic valve in the flow path that is locked, sealed, or otherwise secured in position, actuates to the correct position on an actual or simulated actuation signal SR 3.5.2.5 Verify each ECCS pump starts automatically on an actual or simulated actuation signal TS 3.6.3 Containment Isolation Valves SR 3.6.3.5 Verify each automatic containment isolation valve that is not locked, sealed or otherwise secured in position, actuates to the isolation position on an actual or simulated actuation signal TS 3.6.6 Containment Spray and Cooling Systems SR 3.6.6.7 Verify each containment cooling train starts automatically on an actual or simulated actuation signal TS 3.6.8 Isolation Valve Seal Water (IVSW) System SR 3.6.8.4 Verify each automatic valve in the IVSW System actuates to the correct position on an actual or simulated actuation signal TS 3.7.4 Auxiliary Feedwater (AFW) System SR 3.7.4.3 Verify each AFW isolation valve that is not locked, sealed, or otherwise secured in position, actuates to the correct position on an actual or simulated actuation signal. Note: Not applicable in MODE 4 when steam generator is being used for heat removal.

SR 3.7.4.4 Verify each AFW pump starts automatically on an actual or simulated actuation signal - Note 1. Not required to be performed for the steam driven AFW pump until 24 hours2.777778e-4 days <br />0.00667 hours <br />3.968254e-5 weeks <br />9.132e-6 months <br /> after 100 psig in the steam generator. 2.

Not applicable in MODE 4 when steam generator is being used for heat removal.

TS 3.7.7 Service Water System (SWS)

SR 3.7.7.3 Verify each SWS pump and SWS booster pump starts automatically on an actual or simulated actuation signal.

TS 3.7.9 Control Room Emergency Filtration System (CREFS)

SR 3.7.9.3 Verify each CREFS train actuates on an actual or simulated actuation signal.

TS 3.8.1 AC Sources - Operating SR 3.8.1.8 Verify each DG rejects a load greater than or equal to its associated single largest post-accident load and does not trip on overspeed. Notes: 1. This Surveillance shall not be performed in MODE 1 or 2. 2. If performed with the DG synchronized with offsite power, it shall be performed at a power IDFWRU 0.9.

SR 3.8.1.10 Verify on an actual or simulated Engineered Safety Feature (ESF) actuation signal each DG auto-starts from standby condition and: a. ,Q

seconds after auto-VWDUWDFKLHYHVYROWDJH9DQGDIWHUVWHDG\VWDWH

conditions DUHUHDFKHGPDLQWDLQVYROWDJH9DQG9E,Q

seconds after auto-VWDUWDFKLHYHVIUHTXHQF\+]DQGDIWHUVWHDG\

state conditions are reacheGPDLQWDLQVIUHTXHQF\+]DQG

+]F2SHUDWHVIRU PLQXWHVG3HUPDQHQWO\FRQQHFWHGORDGVUHPDLQ

energized from the offsite SRZHUV\VWHPDQGH(PHUJHQF\ORDGVDUH

energized through the automatic load sequencer from the offsite power system. Notes: 1. All DG starts may be preceded by prelube period. 2. This Surveillance shall not be performed in MODE 1 or 2. 3. During periods when a diesel generator is being operated for testing purposes, its protective trips need not be bypassed after the diesel generator has properly assumed the load on its bus.

SR 3.8.1.9 Verify on an actual or simulated loss of offsite power signal: a.

'HHQHUJL]DWLRQRIHPHUJHQF\EXVHVE/RDGVKHGGLQJIURPHPHUJHQF\

EXVHVF'*DXWR-starts from standby condition and: 1. energizes SHUPDQHQWO\FRQQHFWHGORDGVLQVHFRQGVHQHUJL]HVDXWR-connected shutdown loads through automatic load sequencer, 3. maintains steady state YROWDJH9DQG9PDLQWDLQVVWHDG\VWDWHIUHTXHQF\+]

DQG+]and 5. supplies permanently connected and auto-connected VKXWGRZQORDGVIRUPLQXWHV- Notes: 1. All DG starts may be preceded by an engine prelube period. 2. This Surveillance shall not be performed in MODE 1, 2, 3, or 4.

SR 3.8.1.15 Verify on an actual or simulated loss of offsite power signal in conjunction with an actual or simulated ESF actuation signal: a. De-energization of HPHUJHQF\EXVHVE/RDGVKHGGLQJIURPHPHUJHQF\EXVHVDQGF'*DXWR-starts from standby condition and: 1. energizes permanently connected loads LQVHFRQGVHQHUJL]HVDXWR-connected emergency loads through load VHTXHQFHUDFKLHYHVVWHDG\VWDWHYROWDJH9DQG9

DFKLHYHVVWHDG\VWDWHIUHTXHQF\+]DQG+]DQGVXSSOLHV

permanently connecWHGDQGDXWRFRQQHFWHGHPHUJHQF\ORDGVIRUPLQXWHV

- Notes: 1. All DG starts may be preceded by an engine prelube period. 2.

This Surveillance shall not be performed in MODE 1, 2, 3, or 4. 3. During periods when a diesel generator is being operated for testing purposes, its

protective trips need not be bypassed after the diesel generator has properly assumed the load on its bus.

TS 3.9.3 Containment Penetrations SR 3.9.3.2 Verify each required containment ventilation valve actuates to the isolation position on an actual or simulated actuation signal.

SRXB RAI - 1 In Enclosure 1 of GL 91-04 it is stated, in part:

Licensees should evaluate the effect on safety of an increase in 18-month surveillance intervals to accommodate a 24-month fuel cycle. This evaluation should support a conclusion that the effect on safety is small. Licensees should confirm that historical plant maintenance and surveillance data support this conclusion.

The staff noted that no failure histories were provided in Attachment 8 of the LAR for the following SR:

SR 3.4.1.4 Verify by precision heat balance that RCS total flow rate is 97.3 x 106 lbm/hr of the LAR states in part for SR 3.4.1.4, There is no evaluation required for extension of this SR. However, no justification for this statement was provided. The NRC staff requests the licensee to provide the failure histories of the above mentioned SR in accordance with the GL 91-04, or to provide justification as to why it is not required.

SBPB RAI - 1 (a) The LAR is proposing to change the test frequency in TS 5.5.17 Control Room Envelope Habitability Program, item d from 18 to 24 months. However, the LAR did not propose a corresponding change in TS 5.5.17, item c.

The LAR is proposing to revise the frequency in TS 5.5.17, Item d, from 18 months to 24 months for taking measurements (e.g. control room envelope (CRE) pressure and control room emergency filtration system (CREFS) flow rate) on one of two trains of the CREFS on a staggered test basis. The two trains would then be tested on a 48 month or 4 year frequency TS 5.5.17, Item c references Regulatory Guide (RG) 1.197, Demonstrating Control Room Envelope Integrity at Nuclear Power Reactors, Revision 0, dated May 2003 (ADAMS Accession No. ML031490664). TS 5.5.17 Item c (ii) requires assessing CRE habitability at the frequencies specified in Sections C.1 and C.2 of RG 1.197. RG 1.197, Section C.1, states that all CREs should be tested on a performance-based periodic frequency consistent with Figure 1. RG 1.197, Figure 1, has an assessment frequency of 3 years. With the proposed change to TS 5.5.17, Item d, the two trains would then be tested on a 48 month or 4 year frequency instead of the 3 year frequency in RG 1.197.

The NRC staff requests the licensee to address this conflict in TS 5.5.17. The licensee should identify deviations taken from RG 1.197, if any, as part of its response.

(b) While TS 5.5.17 references RG 1.197 in TS 5.5.17, the licensee has not included RG 1.197 in Section 1.8, Conformance to NRC Regulatory Guides, of the Robinson Updated Final Safety Analysis Report (UFSAR). Also, based on the response to part (a) of this question, the licensee may identify deviations from RG 1.197. The staff notes that this is contrary to the approach the licensee took regarding RG 1.52 Design, Inspection, and Testing Criteria for Air Filtration and Adsorption Units of Post-Accident Engineered-Safety-Feature Atmosphere Cleanup Systems in Light-Water-Cooled Nuclear Power Plants Revision 2, dated March 1978 (ADAMS Accession No. ML003740139). Regarding RG 1.52, for TS 5.5.11, Ventilation Filter Testing Program, the LAR proposes to change in filter testing frequency from 18 months to 24 months as an exception to RG 1.52. The LAR describes the exception in the proposed change to TS 5.5.11. In addition, in LAR , Summary of License Commitments, the licensee made a commitment that UFSAR Section 1.8 will be modified to include the exception to RG 1.52 conformance.

Please clarify if conformance to RG 1.197, including any deviations, as applicable, will be included in Section 1.8 of the UFSAR?