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| | document type = Letter, Request for Additional Information (RAI) | | | document type = Letter, Request for Additional Information (RAI) |
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| | project = EPID:L-2017-LLR-0133, EPID:L-2017-LLR-0133 | | | project = EPID:L-2017-LLR-0133 |
| | stage = RAI | | | stage = RAI |
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| {{#Wiki_filter:UNITED STATES NUCLEAR REGULATORY COMMISSION WASHINGTON, D.C. 20555-0001 February 15, 2018 Mr. George A. Lippard, Ill Vice President, Nuclear Operations South Carolina Electric & Gas Company Virgil C. Summer Nuclear Station Post Office Box 88, Mail Code 800 Jenkinsville, SC 29065 SUBJECT: VIRGIL C. SUMMER NUCLEAR STATION, UNIT NO. 1 -REQUEST FOR ADDITIONAL INFORMATION RE: RELIEF REQUEST (RR-4-13), USE OF RISK-INFORMED PROCESS AS AN ALTERNATIVE FOR THE SELECTION OF CLASS 1 AND CLASS 2 PIPING WELDS (EPID NO. L-2017-LLR-0133) Dear Mr. Lippard: By letter dated October 30, 2017, South Carolina Electric & Gas Company (SCE&G, the licensee) submitted an alternative request for Virgil C. Summer Nuclear Plant, Unit 1. The proposed alternative requests the use of a risk-informed process as an alternative for the selection of Class 1 and Class 2 piping welds in lieu of the inspection and examination requirements specified by the American Society of Mechanical Engineers (ASME) Boiler and Pressure Vessel Code (BPV), Section XI, "Rules for inservice inspection of nuclear power plant components," Tables IWB-2500-1 and IWC-2500-1. The U.S. Nuclear Regulatory Commission (NRC) staff has reviewed the licensee's submittal and determined that additional information is needed to continue its review. As discussed with Ms. Dalick, please respond within 45 days of the date of this letter. Please note that the NRC staff's review is continuing, and further requests for information may be developed. | | {{#Wiki_filter:UNITED STATES NUCLEAR REGULATORY COMMISSION WASHINGTON, D.C. 20555-0001 February 15, 2018 Mr. George A. Lippard, Ill Vice President, Nuclear Operations South Carolina Electric & Gas Company Virgil C. Summer Nuclear Station Post Office Box 88, Mail Code 800 Jenkinsville, SC 29065 |
| G. Lippard -2 -If you have any questions, please contact me at 301-415-1009 or Shawn.Williams@nrc.gov. Docket No. 50-395 Enclosure: Request for Additional Information cc w/enclosure: Distribution via Listserv Sincerely, Shawn A. Williams, Senior Project Manager Plant Licensing Branch 11-1 Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation REQUEST FOR ADDITIONAL INFORMATION RELIEF REQUEST (RR-4-13) FOR USE OF A RISK-INFORMED PROCESS AS AN ALTERNATIVE FOR THE SELECTION OF CLASS 1 AND CLASS 2 PIPING WELDS SOUTH CAROLINA ELECTRIC & GAS COMPANY VIRGIL C. SUMMER NUCLEAR STATION, UNIT NO. 1 DOCKET NO. 50-395 By letter dated October 30, 2017 (Agencywide Documents Access and Management System (ADAMS) Accession No. ML 173036183), South Carolina Electric & Gas Company (SCE&G, the licensee) submitted a relief request (RR) for Virgil C. Summer Nuclear Plant, Unit 1 (VCSNS). The licensee proposed the use of Risk-Informed lnservice Inspection (RI-ISi) Program as an alternative to the selection of Class 1 and Class 2 piping welds in lieu of the inspection and examination requirements specified by the American Society of Mechanical Engineers (ASME) Boiler and Pressure Vessel (BPV) Code, Section XI, "Rules for inservice inspection of nuclear power plant components," Tables IWB-2500-1 and IWC-2500-1. The U.S. Nuclear Regulatory Commission (NRC) staff has determined that the following requests for additional information (RAI) are required to complete its review. RAI No.1 Regarding the risk metrics provided in the RR, please clarify the following: a. On page 7 of the RR, the licensee states: The revised program represents an overall reduction of plant risk of -9.83E-09 for CDF [core damage frequency] and -4.0BE-09 for LERF [large early release frequency]. Please clarify that the negative value of the CDF and LERF risk metrics represent risk reductions and not "negative reductions," in which a reduction of a negative value as provided in the license amendment request (LAR) could imply an increase in risk. b. On page 8 of the RR in the table "VCSNS Risk Impact Results", the change in LERF for each system is approximately 40% of the corresponding change in CDF, which is consistent with the overall change in CDF and LERF as provided on page 7 of the LAR. However, the changes in LEAF for the Emergency Feedwater (EF) and Feedwater (FW) systems have the same values as their corresponding changes in CDF, which does not appear to be consistent with the rest of the systems, where the change in LERF is always less in magnitude than the corresponding change in CDF, and the overall results. Please clarify why the changes in CDF and LERF for the EF and FW systems are equal and not consistent with the other results. Enclosure | | |
| -2 -RAI No. 2 According to Regulatory Issue Summary 2007-06 (ADAMS Accession No. ML070650428), the NRG staff expects that licensees fully address all scope elements with Revision 2 of Regulatory Guide (RG) 1.200 (ADAMS Accession No. ML090410014) by the end of its implementation period (i.e., one year after the issuance of Revision 2 of RG 1.200). Revision 2 of RG 1.200 endorses, with exceptions and clarifications, the combined American Society of Mechanical Engineers (ASME)/American Nuclear Society (ANS) Probabilistic Risk Assessment (PRA) standard (ASME/ANS RA-Sa-2009). On page 3 of Attachment 1 of the LAR, the licensee states: Independent PRA peer reviews were conducted under the auspices of the Pressurized Water Reactor Owners Group (PWROG) following the Industry PRA Peer Review process in 2002 and 2016. The licensee further explains a PRA model update was completed in 2016 and a full scope peer review was performed. Please confirm the following items in regard to the 2016 full scope peer review: a. Please confirm the full scope peer review was reviewed against the 2009 ASME/ANS PRA standard, as endorsed by RG 1.200, Revision 2. If not, identify any gaps between the peer review and the guidance in RG 1.200, Revision 2. b. For the disposition of SR IE-A5/A6 in Table 1 of the LAR, the licensee states: The initiating event list in the VCSNS PRA was based on a review of other risk assessments, plant operating history, and plant design. This included a review of support systems." The guidance in RG 1.200, Revision 2 specifies the systematic evaluation of each system, including support systems, needs to be performed "down to the subsystem or train level where necessary." Please confirm if the review of the support systems was provided down to this level, and provide justification if it was not. RAI No. 3 In Table 1 of Attachment 1 of the RR, for the disposition of SR IE-C1, the licensee cites performance of a sensitivity study to address the Finding, in which a change in consequence from MEDIUM to HIGH was due to a near factor of four increase in medium loss-of-coolant accident (LOCA) frequency. The disposition further questions the basis for this increase, stating the difference may be based on binning or expert elicitation, and, therefore, concluding that the data used in the current PRA model are "sufficient for medium LOCA." Please explain the reasons for the increase in frequency other than how the data, which may include recent updates, have been processed. Please provide justification for taking exception to the factor of four increase in the medium LOCA frequencies and/or include an evaluation of the effect from the sensitivity study of the factor of four increase in the medium LOCA frequencies on the risk metrics applicable to this application.
| | ==SUBJECT:== |
| -3 -RAI No. 4 In Table 1 of Attachment 1 of the LAA, for the disposition of SR SY-A4, the licensee states: Walkdowns of recent system modifications have been done in support of Fire PAA human reliability. The licensee's National Fire Protection Association (NFPA) 805 "Performance-Based Standard for Fire Protection for Light Water Reactor Electric Generating Plants" LAA (ADAMS Accession No. ML 14287 A289) was submitted on November 15, 2011, and the Amendments issued on February 11, 2015 (ADAMS Accession No. ML 14287 A289). Based on the walkdowns, referenced in Table 1 of the LAA, walkdowns were performed six or more years ago. Please provide justification that these walkdowns are adequate to be representative of the as-built, as-operated status of the plant for the version of the PAA used in this application. RAI No. 5 In Table 1 of Attachment 1 of the RR, for the disposition of SR HR-G7, identify the joint Human Error Probability (HEP) floors that were used. Please confirm that none were < 1 E-6 for internal events. If any were <1 E-6 for internal events, please provide the basis and the results of a sensitivity evaluation using 1 E-6, and include any effects on the "small" impact statement under the "Impact" column in Table 1. RAI No. 6 In Table 1 of Attachment 1 of the LAA, for the disposition of SR IFEV-A7, the licensee states: Limited on-line maintenance makes human induced flooding less significant and it should not affect the failure probability or consequence for any piping welds. Although on-line maintenance is limited, it is not eliminated and, therefore, there may be risk from human induced flooding. Please justify with a bounding quantification the statements that human induced flooding should not affect the risk, and the likely impact on RI-ISi risk is small and will not add significance. RAI No. 7 In Table 1 of Attachment 1 of the RR, for the disposition of SR QU-D2 / AS-AS, the licensee cites conservatism in the PAA model and that the risk impact is expected to be small. On the basis that conservatism may underestimate the risk increase or overestimate the risk reduction of the application, provide the following information: a. When citing conservatism in the PAA model, please confirm that calculation of the differential risk for this application is also conservative (i.e., the risk estimated for the before versus after condition uses the same assumptions, etc., except for the change to any basic event values affected by the application, ensuring that the before value is not overestimated such that subtracting it from the after value could underestimate the risk increase).
| | VIRGIL C. SUMMER NUCLEAR STATION, UNIT NO. 1 -REQUEST FOR ADDITIONAL INFORMATION RE: RELIEF REQUEST (RR 13), USE OF RISK-INFORMED PROCESS AS AN ALTERNATIVE FOR THE SELECTION OF CLASS 1 AND CLASS 2 PIPING WELDS (EPID NO. L-2017-LLR-0133) |
| -4 -b. Please provide quantitative justification with a bounding evaluation, crediting the available recovery options, that the expected impact is small, as stated in the "Impact" column. RAI No. 8 VCSNS Unit 1 is currently already in its Fourth 10-Year ISi interval, which started on January 1, 2014, and is scheduled to end on December 31, 2023. The licensee implemented its regular ISi program for ASME Code Class 1 and Class 2 piping welds for the first period of the Fourth 10-Year ISi interval. Relief Request RR-4-13 states that the licensee will use its RI-ISi Program for the balance of the Fourth 10-Year Interval (i.e., second and third periods), and "prorate" for examinations it already performed in the first period. In its submittal, the licensee did not provide any specific information on the weld examinations already performed for the first period, or how these examinations will be "prorated" for the Fourth 10-Year Interval. Additionally, it is not clear if all risk significant examinations that would have been completed during the first period of a RI-ISi Program at VCSNS Unit 1, were performed. In its submittal, the licensee provided summary tables that include the total weld population in the scope of the VCSNS Unit 1 proposed RI-ISi Program. Please provide the ASME Code classifications (i.e., ASME Class 1 or 2) of the piping welds in the tables. Additionally, confirm that risk significant examinations that should have been performed during the first period of the RI-ISi program were performed during the first period as part of the regular ASME ISi, or will be performed as part of the RI-ISi Program consistent with the requirements of Table IWB-2411-1. According to ASME Code Case N-578-1, "Risk-Informed Requirements for Class 1, 2, or 3 Piping, Method B, Paragraph -2420 (a), "Successive Inspections," the sequence of piping examinations established during the first inspection interval using the risk-informed process shall be repeated during each successive inspection. Thus, please confirm that the sequence of the piping examinations for periods 2 and 3 of the Fourth 10-year RI-ISi interval will be consistent with the sequence of examinations for 2 and 3 of the Third 10-year RI-ISi interval.
| | |
| G. Lippard -3 -SUBJECT: VIRGIL C. SUMMER NUCLEAR STATION, UNIT NO. 1 -REQUEST FOR ADDITIONAL INFORMATION RE: RELIEF REQUEST (RR-4-13), USE OF RISK-INFORMED PROCESS AS AN ALTERNATIVE FOR THE SELECTION OF CLASS 1 AND CLASS 2 PIPING WELDS (EPID NO. L-2017-LLR-0133) DATED FEBRUARY 15, 2018 DISTRIBUTION: PUBLIC PM Reading File RidsACRS_MailCTR Resource RidsNrrDorlLpl2-1 Resource RidsRgn2MailCenter Resource RidsNrrDraApla Resource RidsNrrLAKGoldstein Resource RidsNrrPMSummer Resource BHartle, NRR ZBartfu, NRR RKalikian, NRR RGallucci, NRR ADAMS Accession No. ML 180238069 OFFICE DORL/LPLll-1/PM NAME SWilliams DATE 02/13/18 OFFICE NRR/DMLR/MPHB NAME DAIiey DATE 02/05/18 DORL/LPLll-1/LA KGoldstein 02/09/18 DORL/LPLI 1-1 /BC MMarkley 02/15/18 OFFICIAL RECORD COPY *via email NRR/DRA/ APLA/BC* SRosenberg 02/02/18 DORL/LPLll-1/PM SWilliams 02/15/18 | | ==Dear Mr. Lippard:== |
| | By letter dated October 30, 2017, South Carolina Electric & Gas Company (SCE&G, the licensee) submitted an alternative request for Virgil C. Summer Nuclear Plant, Unit 1. The proposed alternative requests the use of a risk-informed process as an alternative for the selection of Class 1 and Class 2 piping welds in lieu of the inspection and examination requirements specified by the American Society of Mechanical Engineers (ASME) Boiler and Pressure Vessel Code (BPV), Section XI, "Rules for inservice inspection of nuclear power plant components," Tables IWB-2500-1 and IWC-2500-1. The U.S. Nuclear Regulatory Commission (NRC) staff has reviewed the licensee's submittal and determined that additional information is needed to continue its review. As discussed with Ms. Dalick, please respond within 45 days of the date of this letter. Please note that the NRC staff's review is continuing, and further requests for information may be developed. |
| | G. Lippard If you have any questions, please contact me at 301-415-1009 or Shawn.Williams@nrc.gov. Docket No. 50-395 |
| | |
| | ==Enclosure:== |
| | Request for Additional Information cc w/enclosure: Distribution via Listserv Sincerely, Shawn A. Williams, Senior Project Manager Plant Licensing Branch 11-1 Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation REQUEST FOR ADDITIONAL INFORMATION RELIEF REQUEST (RR 13) FOR USE OF A RISK-INFORMED PROCESS AS AN ALTERNATIVE FOR THE SELECTION OF CLASS 1 AND CLASS 2 PIPING WELDS SOUTH CAROLINA ELECTRIC & GAS COMPANY VIRGIL C. SUMMER NUCLEAR STATION, UNIT NO. 1 DOCKET NO. 50-395 By letter dated October 30, 2017 (Agencywide Documents Access and Management System (ADAMS) Accession No. ML 173036183), South Carolina Electric & Gas Company (SCE&G, the licensee) submitted a relief request (RR) for Virgil C. Summer Nuclear Plant, Unit 1 (VCSNS). The licensee proposed the use of Risk-Informed lnservice Inspection (RI-ISi) Program as an alternative to the selection of Class 1 and Class 2 piping welds in lieu of the inspection and examination requirements specified by the American Society of Mechanical Engineers (ASME) Boiler and Pressure Vessel (BPV) Code, Section XI, "Rules for inservice inspection of nuclear power plant components," Tables IWB-2500-1 and IWC-2500-1. The U.S. Nuclear Regulatory Commission (NRC) staff has determined that the following requests for additional information (RAI) are required to complete its review. RAI No.1 Regarding the risk metrics provided in the RR, please clarify the following: a. On page 7 of the RR, the licensee states: The revised program represents an overall reduction of plant risk of -9.83E-09 for CDF [core damage frequency] and -4.0BE-09 for LERF [large early release frequency]. Please clarify that the negative value of the CDF and LERF risk metrics represent risk reductions and not "negative reductions," in which a reduction of a negative value as provided in the license amendment request (LAR) could imply an increase in risk. b. On page 8 of the RR in the table "VCSNS Risk Impact Results", the change in LERF for each system is approximately 40% of the corresponding change in CDF, which is consistent with the overall change in CDF and LERF as provided on page 7 of the LAR. However, the changes in LEAF for the Emergency Feedwater (EF) and Feedwater (FW) systems have the same values as their corresponding changes in CDF, which does not appear to be consistent with the rest of the systems, where the change in LERF is always less in magnitude than the corresponding change in CDF, and the overall results. Please clarify why the changes in CDF and LERF for the EF and FW systems are equal and not consistent with the other results. Enclosure RAI No. 2 According to Regulatory Issue Summary 2007-06 (ADAMS Accession No. ML070650428), the NRG staff expects that licensees fully address all scope elements with Revision 2 of Regulatory Guide (RG) 1.200 (ADAMS Accession No. ML090410014) by the end of its implementation period (i.e., one year after the issuance of Revision 2 of RG 1.200). Revision 2 of RG 1.200 endorses, with exceptions and clarifications, the combined American Society of Mechanical Engineers (ASME)/American Nuclear Society (ANS) Probabilistic Risk Assessment (PRA) standard (ASME/ANS RA-Sa-2009). On page 3 of Attachment 1 of the LAR, the licensee states: Independent PRA peer reviews were conducted under the auspices of the Pressurized Water Reactor Owners Group (PWROG) following the Industry PRA Peer Review process in 2002 and 2016. The licensee further explains a PRA model update was completed in 2016 and a full scope peer review was performed. Please confirm the following items in regard to the 2016 full scope peer review: a. Please confirm the full scope peer review was reviewed against the 2009 ASME/ANS PRA standard, as endorsed by RG 1.200, Revision 2. If not, identify any gaps between the peer review and the guidance in RG 1.200, Revision 2. b. For the disposition of SR IE-A5/A6 in Table 1 of the LAR, the licensee states: The initiating event list in the VCSNS PRA was based on a review of other risk assessments, plant operating history, and plant design. This included a review of support systems." The guidance in RG 1.200, Revision 2 specifies the systematic evaluation of each system, including support systems, needs to be performed "down to the subsystem or train level where necessary." Please confirm if the review of the support systems was provided down to this level, and provide justification if it was not. RAI No. 3 In Table 1 of Attachment 1 of the RR, for the disposition of SR IE-C1, the licensee cites performance of a sensitivity study to address the Finding, in which a change in consequence from MEDIUM to HIGH was due to a near factor of four increase in medium loss-of-coolant accident (LOCA) frequency. The disposition further questions the basis for this increase, stating the difference may be based on binning or expert elicitation, and, therefore, concluding that the data used in the current PRA model are "sufficient for medium LOCA." Please explain the reasons for the increase in frequency other than how the data, which may include recent updates, have been processed. Please provide justification for taking exception to the factor of four increase in the medium LOCA frequencies and/or include an evaluation of the effect from the sensitivity study of the factor of four increase in the medium LOCA frequencies on the risk metrics applicable to this application. |
| | RAI No. 4 In Table 1 of Attachment 1 of the LAA, for the disposition of SR SY-A4, the licensee states: Walkdowns of recent system modifications have been done in support of Fire PAA human reliability. The licensee's National Fire Protection Association (NFPA) 805 "Performance-Based Standard for Fire Protection for Light Water Reactor Electric Generating Plants" LAA (ADAMS Accession No. ML 14287 A289) was submitted on November 15, 2011, and the Amendments issued on February 11, 2015 (ADAMS Accession No. ML 14287 A289). Based on the walkdowns, referenced in Table 1 of the LAA, walkdowns were performed six or more years ago. Please provide justification that these walkdowns are adequate to be representative of the as-built, as-operated status of the plant for the version of the PAA used in this application. RAI No. 5 In Table 1 of Attachment 1 of the RR, for the disposition of SR HR-G7, identify the joint Human Error Probability (HEP) floors that were used. Please confirm that none were < 1 E-6 for internal events. If any were <1 E-6 for internal events, please provide the basis and the results of a sensitivity evaluation using 1 E-6, and include any effects on the "small" impact statement under the "Impact" column in Table 1. RAI No. 6 In Table 1 of Attachment 1 of the LAA, for the disposition of SR IFEV-A7, the licensee states: Limited on-line maintenance makes human induced flooding less significant and it should not affect the failure probability or consequence for any piping welds. Although on-line maintenance is limited, it is not eliminated and, therefore, there may be risk from human induced flooding. Please justify with a bounding quantification the statements that human induced flooding should not affect the risk, and the likely impact on RI-ISi risk is small and will not add significance. RAI No. 7 In Table 1 of Attachment 1 of the RR, for the disposition of SR QU-D2 / AS-AS, the licensee cites conservatism in the PAA model and that the risk impact is expected to be small. On the basis that conservatism may underestimate the risk increase or overestimate the risk reduction of the application, provide the following information: a. When citing conservatism in the PAA model, please confirm that calculation of the differential risk for this application is also conservative (i.e., the risk estimated for the before versus after condition uses the same assumptions, etc., except for the change to any basic event values affected by the application, ensuring that the before value is not overestimated such that subtracting it from the after value could underestimate the risk increase). |
| | b. Please provide quantitative justification with a bounding evaluation, crediting the available recovery options, that the expected impact is small, as stated in the "Impact" column. RAI No. 8 VCSNS Unit 1 is currently already in its Fourth 10-Year ISi interval, which started on January 1, 2014, and is scheduled to end on December 31, 2023. The licensee implemented its regular ISi program for ASME Code Class 1 and Class 2 piping welds for the first period of the Fourth 10-Year ISi interval. Relief Request RR 13 states that the licensee will use its RI-ISi Program for the balance of the Fourth 10-Year Interval (i.e., second and third periods), and "prorate" for examinations it already performed in the first period. In its submittal, the licensee did not provide any specific information on the weld examinations already performed for the first period, or how these examinations will be "prorated" for the Fourth 10-Year Interval. Additionally, it is not clear if all risk significant examinations that would have been completed during the first period of a RI-ISi Program at VCSNS Unit 1, were performed. In its submittal, the licensee provided summary tables that include the total weld population in the scope of the VCSNS Unit 1 proposed RI-ISi Program. Please provide the ASME Code classifications (i.e., ASME Class 1 or 2) of the piping welds in the tables. Additionally, confirm that risk significant examinations that should have been performed during the first period of the RI-ISi program were performed during the first period as part of the regular ASME ISi, or will be performed as part of the RI-ISi Program consistent with the requirements of Table IWB-2411-1. According to ASME Code Case N-578-1, "Risk-Informed Requirements for Class 1, 2, or 3 Piping, Method B, Paragraph -2420 (a), "Successive Inspections," the sequence of piping examinations established during the first inspection interval using the risk-informed process shall be repeated during each successive inspection. Thus, please confirm that the sequence of the piping examinations for periods 2 and 3 of the Fourth 10-year RI-ISi interval will be consistent with the sequence of examinations for 2 and 3 of the Third 10-year RI-ISi interval. |
| | G. Lippard |
| | |
| | ==SUBJECT:== |
| | VIRGIL C. SUMMER NUCLEAR STATION, UNIT NO. 1 -REQUEST FOR ADDITIONAL INFORMATION RE: RELIEF REQUEST (RR 13), USE OF RISK-INFORMED PROCESS AS AN ALTERNATIVE FOR THE SELECTION OF CLASS 1 AND CLASS 2 PIPING WELDS (EPID NO. L-2017-LLR-0133) DATED FEBRUARY 15, 2018 DISTRIBUTION: PUBLIC PM Reading File RidsACRS_MailCTR Resource RidsNrrDorlLpl2-1 Resource RidsRgn2MailCenter Resource RidsNrrDraApla Resource RidsNrrLAKGoldstein Resource RidsNrrPMSummer Resource BHartle, NRR ZBartfu, NRR RKalikian, NRR RGallucci, NRR ADAMS Accession No. ML 180238069 OFFICE DORL/LPLll-1/PM NAME SWilliams DATE 02/13/18 OFFICE NRR/DMLR/MPHB NAME DAIiey DATE 02/05/18 DORL/LPLll-1/LA KGoldstein 02/09/18 DORL/LPLI 1-1 /BC MMarkley 02/15/18 OFFICIAL RECORD COPY *via email NRR/DRA/ APLA/BC* SRosenberg 02/02/18 DORL/LPLll-1/PM SWilliams 02/15/18 |
| }} | | }} |
Letter Sequence RAI |
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EPID:L-2017-LLR-0133, Relief Request RR-4-13, Use of a Risk-Informed Process as an Alternative for the Selection of Class 1 and Class 2 Piping Welds (Open) |
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MONTHYEARRC-17-0123, Relief Request RR-4-13, Use of a Risk-Informed Process as an Alternative for the Selection of Class 1 and Class 2 Piping Welds2017-10-30030 October 2017 Relief Request RR-4-13, Use of a Risk-Informed Process as an Alternative for the Selection of Class 1 and Class 2 Piping Welds Project stage: Request ML17331B1472017-11-21021 November 2017 NRR E-mail Capture - Virgil C. Summer, Unit 1 -Acceptance of Relief Request (RR-4-13), Use of Risk-Informed Process as an Alternative for the Selection of Class 1 and Class 2 Piping Welds Project stage: Acceptance Review ML18023B0692018-02-15015 February 2018 Request for Additional Information Relief Request (RR-4-13), Use of Risk-Informed Process as an Alternative for the Selection of Class 1 and Class 2 Piping Welds Project stage: RAI RC-18-0036, (Vcsns), Unit 1 - Relief Request RR-4-13, Use of a Risk-Informed Process as an Alternative for the Selection of Class 1 and Class 2 Piping Welds - Response to Request for Additional Information2018-04-0202 April 2018 (Vcsns), Unit 1 - Relief Request RR-4-13, Use of a Risk-Informed Process as an Alternative for the Selection of Class 1 and Class 2 Piping Welds - Response to Request for Additional Information Project stage: Response to RAI ML18186A5882018-07-19019 July 2018 Relief Request (RR-4-13) for Use of a Risk-Informed Process as an Alternative for the Selection of Class 1 and Class 2 Piping Welds. Project stage: Other 2018-02-15
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Category:Letter
MONTHYEARML24278A2832024-11-0707 November 2024 Letter to E. Carr Environmental Impact Statement Scoping Summary Report for Virgil C. Summer Nuclear Station Unit 1 ML24305A1302024-10-31031 October 2024 Submittal of 30 Day Report Per 10 CFR 26.719(c) Blind Performance Testing ML24308A0052024-10-28028 October 2024 10-28-24 NRC V.C. Summer Nuclear Station SLR Cherokee Nation Letter to USNRC ML24308A0062024-10-25025 October 2024 Subsequent License Renewal Application Area of Potential Effect (Ape) Clarification Fairfield County, South Carolina SHPO Project No. 22-EJ0147 ML24302A1442024-10-24024 October 2024 Update to Subsequent License Renewal Application (SLRA) Supplement 4 and Requested Information Formation in Response to Limited Aging Management Audit ML24255A3152024-10-22022 October 2024 Relief Request RR-5-V2 Regarding Pressure Isolation Valves ML24256A2322024-10-22022 October 2024 Relief Request RR-5-P1 Charging/Safety Injection Pumps ML24250A0782024-10-22022 October 2024 Relief Request RR-5-V1 Regarding Service Water Return Header Check Valves 05000395/LER-2024-002, Loss of Control Room Emergency Filtration System2024-10-15015 October 2024 Loss of Control Room Emergency Filtration System ML24290A1052024-10-0707 October 2024 Core Operating Limits Report VCSNS Unit 1 Cycle 29, Revision 0 IR 05000395/20244042024-09-26026 September 2024 Cyber Security Inspection Report 05000395-2024404 - Public ML24274A1942024-09-26026 September 2024 (Vcsns), Unit 1 Subsequent License Renewal Application (SLRA) First 10 CFR 54.21(b) Annual Amendment ML24267A0642024-09-23023 September 2024 Clarification Regarding Area of Potential Effect for the Subsequent Operating License Renewal for Virgil C. Summer Nuclear Station Fairfield County, South Carolina (SHPO Project Number: 22-EJ0147) (Docket Number: 50-395) ML24267A0592024-09-23023 September 2024 Clarification Regarding Area of Potential Effect for the Subsequent Operating License Renewal for Virgil C. Summer Nuclear Station Fairfield County, South Carolina (SHPO Project Number: 22-EJ0147) (Docket Number: 50-395) ML24221A2112024-09-23023 September 2024 Clarification Regarding Area of Potential Effect for the Subsequent Operating License Renewal for Virgil C. Summer Nuclear Station Fairfield County, South Carolina (SHPO Project Number: 22-EJ0147) (Docket Number: 50-395) ML24267A0552024-09-23023 September 2024 Clarification Regarding Area of Potential Effect for the Subsequent Operating License Renewal for Virgil C. Summer Nuclear Station Fairfield County, South Carolina (SHPO Project Number: 22-EJ0147) (Docket Number: 50-395) ML24267A0542024-09-23023 September 2024 Clarification Regarding Area of Potential Effect for the Subsequent Operating License Renewal for Virgil C. Summer Nuclear Station Fairfield County, South Carolina (SHPO Project Number: 22-EJ0147) (Docket Number: 50-395) IR 05000395/20244022024-09-10010 September 2024 Security Baseline Inspection Report 05000395/2024402 IR 05000395/20240052024-08-22022 August 2024 Updated Inspection Plan for Virgil C. Summer Nuclear Station - Report 05000395/2024005 ML24190A4012024-08-19019 August 2024 Request for Withholding Information from Public Disclosure Regarding the Subsequent License Renewal Application - Dominion Energy Letter Dated May 30, 2024 IR 05000395/20240022024-08-12012 August 2024 Integrated Inspection Report 05000395/2024002 ML24180A0062024-08-0505 August 2024 Issuance of Amendment No. 227 to Modify Technical Specification 3.8.3.1 to Increase Completion Time for 120-Volt A.C. Vital Busses ML24218A3002024-08-0101 August 2024 Environmental Review Response to NRC Requests for Additional Information and Response to NRC Requests for Confirmation of Information Set 1 ML24158A3882024-07-31031 July 2024 Issuance of Amendment No. 226 to Change Emergency Plan Staff Augmentation Times and Relocate Emergency Operations Facility ML24162A3292024-07-0505 July 2024 Letter to E Carr - V.C. Summer Unit 1 - Summary of the May 2024 Audit Regarding the Environmental Review of the Subsequent License Renewal Application ML24177A1382024-06-25025 June 2024 Aging Management Audit Report- VC Summer, Unit 1 - Subsequent License Renewal Application ML24178A1192024-06-25025 June 2024 Update to License Amendment Request- Inverter Allowed Outage Time (AOT) Extension ML24185A1902024-06-25025 June 2024 Submittal of Updated Final Safety Analysis Report, Revision 24 ML24178A2422024-06-25025 June 2024 2023 Annual Report of Emergency Core Cooling System (ECCS) Model, Changes Pursuant to the Requirements of 10 CFR 50.46 ML24177A2792024-06-20020 June 2024 Preparation and Scheduling of Operator Licensing Examinations ML24171A0152024-06-17017 June 2024 Update to Subsequent License Renewal Application (SLRA) Response to NRC Request for Additional Information Set 2 Safety Review ML24157A3352024-06-0606 June 2024 – Notification of an NRC Cybersecurity Baseline Inspection (NRC Inspection Report 05000395-2024404 and Request for Information ML24155A2042024-05-31031 May 2024 Proposed Alternative Request RR-24-123, Containment Unbonded Post-Tensioning System Inservice Inspection Requirements ML24155A1462024-05-30030 May 2024 Update to Subsequent License Renewal Application (SLRA) -Response to NRC Request for Additional Information Set 1 Response to NRC Request for Confirmation of Information Set 1 and Supplement 3 ML24143A1792024-05-22022 May 2024 Special Report 2024-001-01 for Virgil C. Summer Nuclear Station (Vcsns), Unit 1, Waste Gas System Inoperability ML24141A2822024-05-20020 May 2024 (Vcsns), Unit 1 - License Amendment Request - Emergency Response Organization (ERO) Augmentation Time Change, Emergency Operations Facility Relocation and Other Emergency Plan Changes IR 05000395/20240012024-05-10010 May 2024 Integrated Inspection Report 05000395/2024001 ML24129A2002024-05-0606 May 2024 Update to Subsequent License Renewal Application, Supplement 2 IR 05000395/20240402024-05-0101 May 2024 95001 Supplemental Inspection Report 05000395/2024040 and Follow-Up Assessment Letter ML24121A1002024-04-29029 April 2024 Response to Request for Additional Information Regarding Alternative Request RR-5-V2 ML24120A2072024-04-29029 April 2024 Submittal of Annual Radiological Environmental Operating Report ML24116A2052024-04-23023 April 2024 Annual Radioactive Effluent Release Report ML24109A1792024-04-19019 April 2024 Aging Management Audit Plan Regarding the Subsequent License Renewal Application Review ML24108A0392024-04-18018 April 2024 Letter to E Carr-V.C. Summer Unit 1- Regulatory Audit Regarding the Environmental Review of the Subsequent License Renewal Application 05000395/LER-2024-001, (Vcsns), Unit 1, Automatic Actuation of B Emergency Diesel Generator2024-04-17017 April 2024 (Vcsns), Unit 1, Automatic Actuation of B Emergency Diesel Generator ML24108A0672024-04-17017 April 2024 Submittal of Summary for Condition of the Service Water Intake Structure Provided in Accordance with License Condition 2.C.5.d ML24100A7312024-04-0909 April 2024 Personnel Exposure and Monitoring Annual Report ML24095A2072024-04-0101 April 2024 Update to Subsequent License Renewal Application (SLRA) Supplement 1 ML24087A2182024-03-26026 March 2024 (Vcsns), Unit 1 - License Amendment Request - Emergency Response Organization (ERO) Augmentation Time Change, Emergency Operations Facility Relocation and Other Emergency Plan Changes - Response to Request. ML24087A2262024-03-26026 March 2024 License Amendment Request - Inverter Allowed Outage Time Extension Response to Request for Additional Information 2024-09-26
[Table view] Category:Request for Additional Information (RAI)
MONTHYEARML24232A1812024-08-19019 August 2024 Summer_2024-04_RP Information Request ML24190A0412024-07-0505 July 2024 Notification of Inspection and Request for Information ML24156A0032024-06-0303 June 2024 VC Summer SLRA - Requests for Additional Information - Set 2 ML24075A1872024-03-15015 March 2024 NRR E-mail Capture - Draft RAIs for Alternative Request RR-5-V2 (L-2023-LLR-0068) ML24067A0672024-03-0707 March 2024 NRR E-mail Capture - Draft RAIs for Inverter CT License Amendment Request TS 3.8.3.1, Onsite Power Distribution - Operating, (L-2023-LLA-0157) ML24052A0102024-02-16016 February 2024 NRR E-mail Capture - Draft RAIs for Emergency Plan (EP) Changes License Amendment Request (LAR) (L-2023-LLA-0083) ML23270B8712023-09-27027 September 2023 NRR E-mail Capture - Draft RAIs for License Amendment Request (LAR) to Revise the Virgil C. Summer Nuclear Station (VCSNS) Unit 1 Emergency Plan (L-2023-LLA-0083) ML22263A0502022-09-19019 September 2022 NRR E-mail Capture - Draft Request for Additional Information for Proposed Alternative Request RR-4-26 Extension of Steam Generator Primary Inlet Nozzle Dissimilar Metal Weld Inspection Interval V.C. Summer Unit 1 ML22194A9422022-07-13013 July 2022 NRC 50.59 Inspection (IP 71111.17T) Information Request ML22075A0482022-03-16016 March 2022 V.C. Summer Nuclear Station - Information Request for the Cyber-Security Baseline Inspection, Notification to Perform Inspection 05000395/2022401 ML21333A1892021-11-29029 November 2021 NRR E-mail Capture - Draft RAI for Summer LAR Relocate Surveillance Frequencies to Licensee Control - RITSTF Initiative 5b, (TSTF-425) ML21253A1352021-09-0808 September 2021 Document Request for VC Summer Nuclear Station - Radiation Protection Inspection - Inspection Report 2021-04 ML21154A2792021-06-0303 June 2021 Requalification Program Inspection 05000395/2021003 - Virgil C. Summer Nuclear Station, Unit 1, ML21145A0222021-05-24024 May 2021 003 Radiation Safety Baseline Inspection Information Request ML21131A0402021-05-11011 May 2021 NRR E-mail Capture - V.C. Summer, Unit 1 - Final RAI for the Spring 2020 RFO Sgtir Review ML21020A0562021-01-20020 January 2021 Email Capture Upcoming V.C. Summer POV Inspection (IP71111.21N.02) Information Request ML20342A1822020-12-0707 December 2020 NRR E-mail Capture - Final RAI for Summer LAR - TS 3.6.4 ML20342A3822020-12-0707 December 2020 NRR E-mail Capture - Final RAIs for Summer Fs LOCA LAR ML20321A2112020-11-16016 November 2020 NRR E-mail Capture - Summer, Unit 1 - Final RAIs for the SG Tube Inspection Report Review ML20196L7782020-07-13013 July 2020 Notification of Virgil C. Summer Nuclear Station Design Bases Assurance Inspection U.S. Nuclear Regulatory Commission Inspection Report 05000395/2020010 ML20106E8902020-04-15015 April 2020 Program Inspection RFI ML20056E3042020-02-25025 February 2020 VC Summer 2020-002 Radiation Safety Baseline Inspection Information Request ML19211D5102019-07-30030 July 2019 NRR E-mail Capture - Virgil C. Summer Nuclear Station, Unit No. 1 - Request for Additional Information LAR-16-01490 NFPA-805 (Supplement to PRA RAI 03) ML19179A1262019-06-27027 June 2019 NRR E-mail Capture - Virgil C. Summer Nuclear Station, Unit No. 1 - Request for Additional Information LAR-16-01490 NFPA-805 Program Revisions ML19095A6532019-04-0404 April 2019 NRR E-mail Capture - Virgil C. Summer Nuclear Station, Unit No. 1 - Request for Additional Information NFPA-805 Program Revisions LAR ML19072A1442019-03-13013 March 2019 NRR E-mail Capture - Virgil C. Summer Nuclear Station, Unit No. 1 - Request for Additional Information LAR-16-01490 NFPA-805 Program Revisions ML19009A1052019-01-0909 January 2019 NRR E-mail Capture - Virgil C. Summer Nuclear Station, Unit No. 1 - Request for Additional Information LAR-10-02395, TS 3.8.2, D.C. Sources - Operating ML18249A1932018-09-0505 September 2018 TS 4.3.3.6 SR LAR - Request for Additional Information ML18225A0932018-08-13013 August 2018 Notification of Inspection and Request for Information ML18218A2622018-08-0101 August 2018 Emergency Preparedness Program Inspection Request for Information ML18066A0002018-03-0808 March 2018 Request for Additional Information Integrated Leak Rate Test Peak Calculated Containment Internal Pressure Change ML18023B0692018-02-15015 February 2018 Request for Additional Information Relief Request (RR-4-13), Use of Risk-Informed Process as an Alternative for the Selection of Class 1 and Class 2 Piping Welds ML17095A2842017-05-11011 May 2017 Request for Additional Information License Amendment Request for Implementation of TSTF-411 (WCAP-15376-P-A), Revision 1 ML17067A5322017-03-0808 March 2017 Notification of Radiation Protection Baseline Inspection and Request for Information ML17059C5382017-02-23023 February 2017 Notification of Inspection and Request for Information ML16302A1252016-11-0808 November 2016 Request for Additional Information License Amendment Request for Implementation of TSTF-411 and WCAP-15376-P-A, Revision 1 RC-16-0112, NRC Request Information Baseline Radiation Safety Inspection2016-07-0707 July 2016 NRC Request Information Baseline Radiation Safety Inspection ML16111A0912016-05-0303 May 2016 Request for Additional Information Regarding the Station Physical Security Plan, Revision 14 ML16097A0812016-04-0808 April 2016 Request for Additional Information ML16064A0332016-03-0303 March 2016 NRR E-mail Capture - Request for Additional Information Related to the March 1, 2016, Exigent Amendment Request ML16042A4712016-02-18018 February 2016 Request for Additional Information ML15320A3382015-12-0101 December 2015 Request for Additional Information Regarding License Basis Changes in Steam Generator Tube Rupture Analysis RC-15-0177, Submits LAR-12-04269, License Basis Changes in Steam Generator Tube Rupture Analysis Response to Response for Additional Information2015-11-0505 November 2015 Submits LAR-12-04269, License Basis Changes in Steam Generator Tube Rupture Analysis Response to Response for Additional Information ML15261A0512015-09-22022 September 2015 Request for Additional Information Regarding License Basis Changes in Steam Generator Tube Rupture Analysis ML15118A4592015-05-19019 May 2015 Request for Additional Information Regarding Alternative Request ML15118A3802015-05-0505 May 2015 Request for Additional Information Regarding Snubber Program Alternative Request ML15076A1182015-04-13013 April 2015 Request for Additional Information Regarding License Basis Changes in Steam Generator Tube Rupture Analysis ML15079A0992015-03-26026 March 2015 Request for Additional Information ML14339A0302015-01-0909 January 2015 Request for Additional Information Regarding License Basis Changes in Steam Generator Tube Rupture Analysis ML14268A5162014-10-23023 October 2014 Request for Additional Information Associated with Near-Term Task Force Recommendation 2.1, Seismic Re-evaluation Related to Southeastern Catalog Changes 2024-08-19
[Table view] |
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UNITED STATES NUCLEAR REGULATORY COMMISSION WASHINGTON, D.C. 20555-0001 February 15, 2018 Mr. George A. Lippard, Ill Vice President, Nuclear Operations South Carolina Electric & Gas Company Virgil C. Summer Nuclear Station Post Office Box 88, Mail Code 800 Jenkinsville, SC 29065
SUBJECT:
VIRGIL C. SUMMER NUCLEAR STATION, UNIT NO. 1 -REQUEST FOR ADDITIONAL INFORMATION RE: RELIEF REQUEST (RR 13), USE OF RISK-INFORMED PROCESS AS AN ALTERNATIVE FOR THE SELECTION OF CLASS 1 AND CLASS 2 PIPING WELDS (EPID NO. L-2017-LLR-0133)
Dear Mr. Lippard:
By letter dated October 30, 2017, South Carolina Electric & Gas Company (SCE&G, the licensee) submitted an alternative request for Virgil C. Summer Nuclear Plant, Unit 1. The proposed alternative requests the use of a risk-informed process as an alternative for the selection of Class 1 and Class 2 piping welds in lieu of the inspection and examination requirements specified by the American Society of Mechanical Engineers (ASME) Boiler and Pressure Vessel Code (BPV),Section XI, "Rules for inservice inspection of nuclear power plant components," Tables IWB-2500-1 and IWC-2500-1. The U.S. Nuclear Regulatory Commission (NRC) staff has reviewed the licensee's submittal and determined that additional information is needed to continue its review. As discussed with Ms. Dalick, please respond within 45 days of the date of this letter. Please note that the NRC staff's review is continuing, and further requests for information may be developed.
G. Lippard If you have any questions, please contact me at 301-415-1009 or Shawn.Williams@nrc.gov. Docket No. 50-395
Enclosure:
Request for Additional Information cc w/enclosure: Distribution via Listserv Sincerely, Shawn A. Williams, Senior Project Manager Plant Licensing Branch 11-1 Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation REQUEST FOR ADDITIONAL INFORMATION RELIEF REQUEST (RR 13) FOR USE OF A RISK-INFORMED PROCESS AS AN ALTERNATIVE FOR THE SELECTION OF CLASS 1 AND CLASS 2 PIPING WELDS SOUTH CAROLINA ELECTRIC & GAS COMPANY VIRGIL C. SUMMER NUCLEAR STATION, UNIT NO. 1 DOCKET NO. 50-395 By letter dated October 30, 2017 (Agencywide Documents Access and Management System (ADAMS) Accession No. ML 173036183), South Carolina Electric & Gas Company (SCE&G, the licensee) submitted a relief request (RR) for Virgil C. Summer Nuclear Plant, Unit 1 (VCSNS). The licensee proposed the use of Risk-Informed lnservice Inspection (RI-ISi) Program as an alternative to the selection of Class 1 and Class 2 piping welds in lieu of the inspection and examination requirements specified by the American Society of Mechanical Engineers (ASME) Boiler and Pressure Vessel (BPV) Code,Section XI, "Rules for inservice inspection of nuclear power plant components," Tables IWB-2500-1 and IWC-2500-1. The U.S. Nuclear Regulatory Commission (NRC) staff has determined that the following requests for additional information (RAI) are required to complete its review. RAI No.1 Regarding the risk metrics provided in the RR, please clarify the following: a. On page 7 of the RR, the licensee states: The revised program represents an overall reduction of plant risk of -9.83E-09 for CDF [core damage frequency] and -4.0BE-09 for LERF [large early release frequency]. Please clarify that the negative value of the CDF and LERF risk metrics represent risk reductions and not "negative reductions," in which a reduction of a negative value as provided in the license amendment request (LAR) could imply an increase in risk. b. On page 8 of the RR in the table "VCSNS Risk Impact Results", the change in LERF for each system is approximately 40% of the corresponding change in CDF, which is consistent with the overall change in CDF and LERF as provided on page 7 of the LAR. However, the changes in LEAF for the Emergency Feedwater (EF) and Feedwater (FW) systems have the same values as their corresponding changes in CDF, which does not appear to be consistent with the rest of the systems, where the change in LERF is always less in magnitude than the corresponding change in CDF, and the overall results. Please clarify why the changes in CDF and LERF for the EF and FW systems are equal and not consistent with the other results. Enclosure RAI No. 2 According to Regulatory Issue Summary 2007-06 (ADAMS Accession No. ML070650428), the NRG staff expects that licensees fully address all scope elements with Revision 2 of Regulatory Guide (RG) 1.200 (ADAMS Accession No. ML090410014) by the end of its implementation period (i.e., one year after the issuance of Revision 2 of RG 1.200). Revision 2 of RG 1.200 endorses, with exceptions and clarifications, the combined American Society of Mechanical Engineers (ASME)/American Nuclear Society (ANS) Probabilistic Risk Assessment (PRA) standard (ASME/ANS RA-Sa-2009). On page 3 of Attachment 1 of the LAR, the licensee states: Independent PRA peer reviews were conducted under the auspices of the Pressurized Water Reactor Owners Group (PWROG) following the Industry PRA Peer Review process in 2002 and 2016. The licensee further explains a PRA model update was completed in 2016 and a full scope peer review was performed. Please confirm the following items in regard to the 2016 full scope peer review: a. Please confirm the full scope peer review was reviewed against the 2009 ASME/ANS PRA standard, as endorsed by RG 1.200, Revision 2. If not, identify any gaps between the peer review and the guidance in RG 1.200, Revision 2. b. For the disposition of SR IE-A5/A6 in Table 1 of the LAR, the licensee states: The initiating event list in the VCSNS PRA was based on a review of other risk assessments, plant operating history, and plant design. This included a review of support systems." The guidance in RG 1.200, Revision 2 specifies the systematic evaluation of each system, including support systems, needs to be performed "down to the subsystem or train level where necessary." Please confirm if the review of the support systems was provided down to this level, and provide justification if it was not. RAI No. 3 In Table 1 of Attachment 1 of the RR, for the disposition of SR IE-C1, the licensee cites performance of a sensitivity study to address the Finding, in which a change in consequence from MEDIUM to HIGH was due to a near factor of four increase in medium loss-of-coolant accident (LOCA) frequency. The disposition further questions the basis for this increase, stating the difference may be based on binning or expert elicitation, and, therefore, concluding that the data used in the current PRA model are "sufficient for medium LOCA." Please explain the reasons for the increase in frequency other than how the data, which may include recent updates, have been processed. Please provide justification for taking exception to the factor of four increase in the medium LOCA frequencies and/or include an evaluation of the effect from the sensitivity study of the factor of four increase in the medium LOCA frequencies on the risk metrics applicable to this application.
RAI No. 4 In Table 1 of Attachment 1 of the LAA, for the disposition of SR SY-A4, the licensee states: Walkdowns of recent system modifications have been done in support of Fire PAA human reliability. The licensee's National Fire Protection Association (NFPA) 805 "Performance-Based Standard for Fire Protection for Light Water Reactor Electric Generating Plants" LAA (ADAMS Accession No. ML 14287 A289) was submitted on November 15, 2011, and the Amendments issued on February 11, 2015 (ADAMS Accession No. ML 14287 A289). Based on the walkdowns, referenced in Table 1 of the LAA, walkdowns were performed six or more years ago. Please provide justification that these walkdowns are adequate to be representative of the as-built, as-operated status of the plant for the version of the PAA used in this application. RAI No. 5 In Table 1 of Attachment 1 of the RR, for the disposition of SR HR-G7, identify the joint Human Error Probability (HEP) floors that were used. Please confirm that none were < 1 E-6 for internal events. If any were <1 E-6 for internal events, please provide the basis and the results of a sensitivity evaluation using 1 E-6, and include any effects on the "small" impact statement under the "Impact" column in Table 1. RAI No. 6 In Table 1 of Attachment 1 of the LAA, for the disposition of SR IFEV-A7, the licensee states: Limited on-line maintenance makes human induced flooding less significant and it should not affect the failure probability or consequence for any piping welds. Although on-line maintenance is limited, it is not eliminated and, therefore, there may be risk from human induced flooding. Please justify with a bounding quantification the statements that human induced flooding should not affect the risk, and the likely impact on RI-ISi risk is small and will not add significance. RAI No. 7 In Table 1 of Attachment 1 of the RR, for the disposition of SR QU-D2 / AS-AS, the licensee cites conservatism in the PAA model and that the risk impact is expected to be small. On the basis that conservatism may underestimate the risk increase or overestimate the risk reduction of the application, provide the following information: a. When citing conservatism in the PAA model, please confirm that calculation of the differential risk for this application is also conservative (i.e., the risk estimated for the before versus after condition uses the same assumptions, etc., except for the change to any basic event values affected by the application, ensuring that the before value is not overestimated such that subtracting it from the after value could underestimate the risk increase).
b. Please provide quantitative justification with a bounding evaluation, crediting the available recovery options, that the expected impact is small, as stated in the "Impact" column. RAI No. 8 VCSNS Unit 1 is currently already in its Fourth 10-Year ISi interval, which started on January 1, 2014, and is scheduled to end on December 31, 2023. The licensee implemented its regular ISi program for ASME Code Class 1 and Class 2 piping welds for the first period of the Fourth 10-Year ISi interval. Relief Request RR 13 states that the licensee will use its RI-ISi Program for the balance of the Fourth 10-Year Interval (i.e., second and third periods), and "prorate" for examinations it already performed in the first period. In its submittal, the licensee did not provide any specific information on the weld examinations already performed for the first period, or how these examinations will be "prorated" for the Fourth 10-Year Interval. Additionally, it is not clear if all risk significant examinations that would have been completed during the first period of a RI-ISi Program at VCSNS Unit 1, were performed. In its submittal, the licensee provided summary tables that include the total weld population in the scope of the VCSNS Unit 1 proposed RI-ISi Program. Please provide the ASME Code classifications (i.e., ASME Class 1 or 2) of the piping welds in the tables. Additionally, confirm that risk significant examinations that should have been performed during the first period of the RI-ISi program were performed during the first period as part of the regular ASME ISi, or will be performed as part of the RI-ISi Program consistent with the requirements of Table IWB-2411-1. According to ASME Code Case N-578-1, "Risk-Informed Requirements for Class 1, 2, or 3 Piping, Method B, Paragraph -2420 (a), "Successive Inspections," the sequence of piping examinations established during the first inspection interval using the risk-informed process shall be repeated during each successive inspection. Thus, please confirm that the sequence of the piping examinations for periods 2 and 3 of the Fourth 10-year RI-ISi interval will be consistent with the sequence of examinations for 2 and 3 of the Third 10-year RI-ISi interval.
G. Lippard
SUBJECT:
VIRGIL C. SUMMER NUCLEAR STATION, UNIT NO. 1 -REQUEST FOR ADDITIONAL INFORMATION RE: RELIEF REQUEST (RR 13), USE OF RISK-INFORMED PROCESS AS AN ALTERNATIVE FOR THE SELECTION OF CLASS 1 AND CLASS 2 PIPING WELDS (EPID NO. L-2017-LLR-0133) DATED FEBRUARY 15, 2018 DISTRIBUTION: PUBLIC PM Reading File RidsACRS_MailCTR Resource RidsNrrDorlLpl2-1 Resource RidsRgn2MailCenter Resource RidsNrrDraApla Resource RidsNrrLAKGoldstein Resource RidsNrrPMSummer Resource BHartle, NRR ZBartfu, NRR RKalikian, NRR RGallucci, NRR ADAMS Accession No. ML 180238069 OFFICE DORL/LPLll-1/PM NAME SWilliams DATE 02/13/18 OFFICE NRR/DMLR/MPHB NAME DAIiey DATE 02/05/18 DORL/LPLll-1/LA KGoldstein 02/09/18 DORL/LPLI 1-1 /BC MMarkley 02/15/18 OFFICIAL RECORD COPY *via email NRR/DRA/ APLA/BC* SRosenberg 02/02/18 DORL/LPLll-1/PM SWilliams 02/15/18