NOC-AE-15003250, LTR-PAFM- 15-27-NP, Technical Justification to Support Extended Volumetric Examination Interval for South Texas, Unit 1, Reactor Vessel Inlet Nozzle to Safe End Dissimilar Metal Welds (Non-Proprietary): Difference between revisions

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Attachment 1 NOC-AE-1 5003250 Westinghouse Non-Proprietary Class 3 LTR-PAFM- 15-27-NP FOREWORD This document contains Westinghouse Electric Company LLC proprietary information and data which has been identified by brackets. Coding (ac,e) associated with the brackets sets forth the basis on which the information is considered proprietary. These codes are listed with their meanings in WCAP-7211 Revision 6 (March 2015), "Proprietary Information and Intellectual Property Management Policies and Procedures."
Attachment 1 NOC-AE-1 5003250 Westinghouse Non-Proprietary Class 3 LTR-PAFM- 15-27-NP FOREWORD This document contains Westinghouse Electric Company LLC proprietary information and data which has been identified by brackets. Coding (ac,e) associated with the brackets sets forth the basis on which the information is considered proprietary. These codes are listed with their meanings in WCAP-7211 Revision 6 (March 2015), "Proprietary Information and Intellectual Property Management Policies and Procedures."
The proprietary information and data contained in this report were obtained at considerable Westinghouse expense and its release could seriously affect our competitive position. This information is to be withheld from public disclosure in accordance with the Rules of Practice IOCFR2.390 and the information presented herein is to be safeguarded in accordance with 1OCFR2.903. Withholding of this information does not adversely affect the public interest.
The proprietary information and data contained in this report were obtained at considerable Westinghouse expense and its release could seriously affect our competitive position. This information is to be withheld from public disclosure in accordance with the Rules of Practice IOCFR2.390 and the information presented herein is to be safeguarded in accordance with 10CFR2.903. Withholding of this information does not adversely affect the public interest.
This information has been provided for your internal use only and should not be released to persons or organizations outside the Directorate of Regulation and the ACRS without the express written approval of Westinghouse Electric Company LLC. Should it become necessary to release this information to such persons as part of the review procedure, please contact Westinghouse Electric Company LLC, which will make the necessary arrangements required to protect the Company's proprietary interests.
This information has been provided for your internal use only and should not be released to persons or organizations outside the Directorate of Regulation and the ACRS without the express written approval of Westinghouse Electric Company LLC. Should it become necessary to release this information to such persons as part of the review procedure, please contact Westinghouse Electric Company LLC, which will make the necessary arrangements required to protect the Company's proprietary interests.
The proprietary information in the brackets has been deleted in this report, the deleted information is provided in the proprietary version of this report (LTR-PAFM-15-27-P Revision 0).
The proprietary information in the brackets has been deleted in this report, the deleted information is provided in the proprietary version of this report (LTR-PAFM-15-27-P Revision 0).

Latest revision as of 02:33, 11 November 2019

LTR-PAFM- 15-27-NP, Technical Justification to Support Extended Volumetric Examination Interval for South Texas, Unit 1, Reactor Vessel Inlet Nozzle to Safe End Dissimilar Metal Welds (Non-Proprietary)
ML15133A131
Person / Time
Site: South Texas STP Nuclear Operating Company icon.png
Issue date: 04/24/2015
From: Glunt N, Mcfadden J, Udyawar A
Westinghouse
To:
Document Control Desk, Office of Nuclear Reactor Regulation
Shared Package
ML15133A119 List:
References
CAW-15-4167, NOC-AE-15003250, RR-ENG-3-17, STI: 34114282 LTR-PAFM-15-27-NP
Download: ML15133A131 (23)


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Attachment 1 NOC-AE-15003250 Attachment 1 LTR-PAFM-15-27-NP, Technical Justification to Support Extended Volumetric Examination Interval for South Texas Unit 1 Reactor Vessel Inlet Nozzle to Safe End Dissimilar Metal Welds, April 2015 (Non-Proprietary).

Attachment 1 NOC-AE-1 5003250 Westinghouse Non-Proprietary Class 3 LTR-PAFM- 15-27-NP Technical Justification to Support Extended Volumetric Examination Interval for South Texas Unit 1 Reactor Vessel Inlet Nozzle to Safe End Dissimilar Metal Welds April 2015 Author: N. L. Glunt*, Piping Analysis and Fracture Mechanics Verifier: A. Udyawar*, Piping Analysis and Fracture Mechanics Approved: J. L. McFadden*, Manager, Piping Analysis and Fracture Mechanics

  • Electronicallyapproved records are authenticatedin the electronicdocument management system.

© 2015 Westinghouse Electric Company LLC All Rights Reserved

  • Westinghouse

Attachment 1 NOC-AE-1 5003250 Westinghouse Non-Proprietary Class 3 LTR-PAFM- 15-27-NP FOREWORD This document contains Westinghouse Electric Company LLC proprietary information and data which has been identified by brackets. Coding (ac,e) associated with the brackets sets forth the basis on which the information is considered proprietary. These codes are listed with their meanings in WCAP-7211 Revision 6 (March 2015), "Proprietary Information and Intellectual Property Management Policies and Procedures."

The proprietary information and data contained in this report were obtained at considerable Westinghouse expense and its release could seriously affect our competitive position. This information is to be withheld from public disclosure in accordance with the Rules of Practice IOCFR2.390 and the information presented herein is to be safeguarded in accordance with 10CFR2.903. Withholding of this information does not adversely affect the public interest.

This information has been provided for your internal use only and should not be released to persons or organizations outside the Directorate of Regulation and the ACRS without the express written approval of Westinghouse Electric Company LLC. Should it become necessary to release this information to such persons as part of the review procedure, please contact Westinghouse Electric Company LLC, which will make the necessary arrangements required to protect the Company's proprietary interests.

The proprietary information in the brackets has been deleted in this report, the deleted information is provided in the proprietary version of this report (LTR-PAFM-15-27-P Revision 0).

Page 2 of 22

Attachment 1 NOC-AE-1 5003250 Westinghouse Non-Proprietary Class 3 LTR-PAFM- 15-27-NP 1.0 Introduction Service induced cracking of the nickel-base alloy components and weldments have been occurring more and more frequently in recent years, resulting in the need to repair and/or replace these components. Such cracking and leakage have been observed in the reactor vessel upper and bottom head penetration nozzles as well as the dissimilar metal (DM) butt welds of the pressurizer and reactor vessel nozzles exposed to the high reactor coolant temperatures. These Pressurized Water Reactor (PWR) power plant field experiences and the potential for Primary Water Stress Corrosion Cracking (PWSCC) require reassessment of the examination frequency as well as the overall examination strategy for nickel-base alloy components and weldments. Code Case N-770-1 (Reference 1) provides the visual and volumetric inspection guidelines for the primary system piping DM butt welds to augment the current inspection requirements.

In accordance with Code Case N-770-1 guidelines, volumetric examinations are required for the unmitigated DM butt welds at the Reactor Vessel (RV) inlet nozzles every second inspection period not exceeding 7 years. A volumetric examination was previously performed for the South Texas Unit 1 reactor vessel inlet nozzle to safe end DM butt welds during the Fall 2009 Re-Fueling Outage (RFO). The next required volumetric examination for the Reactor Vessel inlet nozzle DM welds will be during the Fall 2015 RFO in accordance with Code Case N-770- 1. This evaluation will determine the impact of performing the volumetric examination on South Texas Unit I during the Spring 2017 RFO. The time interval between the previous Unit I examination during the Fall 2009 RFO and the planned examination during the Spring 2017 RFO is 7.5 years, rather than the 7 years allowed by Code Case N-770-1. Therefore, South Texas is seeking relaxation from the ASME Code Case N-770-1 examination requirement to be able to defer the volumetric examination to the Spring 2017 RFO. The technical justification to support this relief request is developed in this report based on a flaw tolerance analysis. The objective of the flaw tolerance analysis is to determine the largest initial axial and circumferential flaw sizes that could be left behind in service and remain acceptable until the next planned inspection. This maximum allowable initial flaw size can then be compared to a flaw size which would have been detected during the Fall 2009 RFO inlet nozzle DM weld examination based on the inspection detection capability.

The following sections provide a discussion of the methodology, geometry, loading and the flaw tolerance analyses performed to develop the technical justification for deviating from the volumetric examination requirements of Code Case N-770-1.

Page 3 of 22

Attachment 1 NOC-AE-15003250 Westinghouse Non-Proprietary Class 3 LTR-PAFM- 15-27-NP 2.0 Methodology In order to support the technical justification for deferring the volumetric examination from the Fall 2015 to Spring 2017 RFO for South Texas Unit 1, it is necessary to demonstrate the structural integrity of the RV inlet nozzle DM welds subjected to the PWSCC crack growth mechanism. To demonstrate the structural integrity of the DM welds, it is essential to determine the maximum allowable initial flaw size that would be acceptable in the DM welds for the duration between examinations. This maximum allowable initial flaw size would be the largest flaw size that would remain acceptable until the Spring 2017 RFO. The maximum allowable initial flaw size for a given plant operation duration can be determined by subtracting the PWSCC crack growth for that plant operation duration from the maximum allowable end-of-evaluation period flaw size, which is determined in accordance with ASME Code Section XI (Reference 2).

To determine the maximum allowable end-of-evaluation period flaw sizes and the crack tip stress intensity factors used for the PWSCC analysis, it is necessary to establish the stresses, crack geometry and the material properties at the locations of interest. The applicable loadings which must be considered consist of piping reaction loads acting at the DM weld regions and the welding residual stresses which exist in the region of interest.

The latest piping loads at the reactor vessel inlet nozzle DM weld locations are based on WCAP-9135 (Reference 3). In addition to the piping loads, the effects of welding residual stresses are also considered. For PWSCC, the crack growth model for the DM weld material is based on that given in MRP-1 15 for Alloy 182 weld material (Reference 4). The nozzle geometry and piping loads used in the fracture mechanics analysis are shown in Section 3.0. A discussion of the plant specific welding residual stress distributions used for the DM welds is provided in Section 4.0.

The determination of the maximum allowable end-of-evaluation period flaw sizes is discussed in Section 5.0.

The maximum allowable initial flaw size will be determined based on the crack growth due to the PWSCC growth mechanism at the RV inlet nozzle DM weld. The PWSCC crack growth is calculated based on the normal operating temperature and the crack tip stress intensity factors resulting from the normal operating steady state piping loads and welding residual stresses as discussed in Section 6.0. Section 7.0 provides the crack growth curves used in developing the technical justification to deviate from the Code Case N-770-1 guidelines by deferring the volumetric inspection of the RV inlet nozzle DM welds from the Fall 2015 to Spring 2017 RFO.

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Attachment 1 NOC-AE-15003250 Westinghouse Non-Proprietary Class 3 LTR-PAFM- 15-27-NP 3.0 Nozzle Geometry and Loads The DM weld geometry for the South Texas Unit I Reactor Vessel inlet nozzles is based on the nozzle detail drawings (Reference 5). The operating temperature of the reactor vessel inlet nozzles is based on customer correspondence. The RV inlet nozzle geometry and normal operating temperature used in the analysis are summarized in Table 3-1.

The piping reaction loads at the RV inlet nozzle DM weld locations are based on WCAP-9135 (Reference 3) and are summarized in Table 3-2. These loads are used in determining the maximum allowable end-of-evaluation period flaw sizes and the PWSCC growth.

Table 3-1 South Texas Unit 1 Reactor Vessel Inlet Nozzle Geometry and Normal Operating Temperature Dimension Outside Diameter (in.) 33.05 Inside Diameter (in.) 27.47 Thickness* (in.) 2.79 RV Inlet Nozzle Normal Operating Temperature = 563'F Ell Note:

El The actual plant operating temperature is in the range of 560-561'F.

Table 3-2 South Texas Unit 1 Reactor Vessel Inlet Nozzle Piping Loads Forces Moments Loading (kips) (in-kips)

Fx Mx My Mz (Axial) (Torsion) (Bending) (Bending)

Deadweight -0.2 -151.1 38.9 -371.2 Normal Thermal 20.1 -3253.0 -862.0 -8436.7 Upset Thermal 204.5 -4174.3 -2113.9 -9258.8 OBE (Operational Basis Earthquake) 326.1 1226.1 2326.2 1802.5 SSE (Safe Shutdown Earthquake) 535.6 2688.7 5674.6 5114.7 Maximum Pipe Break 1300.2 984.0 12351.1 2387.1 Page 5 of 22

Attachment 1 NOC-AE-15003250 Westinghouse Non-Proprietary Class 3 LTR-PAFM- 15-27-NP 4.0 Dissimilar Metal Weld Residual Stress Distribution The welding residual stresses used in the PWSCC crack growth analysis are determined from the finite element stress analysis (FEA) in Reference 6 based on the South Texas Unit 1 Reactor Vessel inlet nozzle DM weld specific configuration. Figure 4-1 shows a sketch of the South Texas inlet nozzle DM weld configuration. The FEA in Reference 6 is based on a two-dimensional axisymmetric model of the inlet nozzle DM weld region. The FEA model geometry includes a portion of the low alloy steel nozzle, the stainless steel safe end, a portion of the stainless steel piping, the DM weld attaching the nozzle to the safe end, and the stainless steel weld attaching the safe end to the piping. The FEA model also assumes a 3600 inside surface weld repair with a repair depth of 50% through the DM weld thickness, which is consistent with MRP-287 guidance (Reference 7). The following fabrication sequence was simulated in the FEA and matches the information provided in the reactor vessel nozzle details drawings (Reference 5):

  • The inlet nozzle was buttered with weld-deposited Alloy 82/182 material. Nozzle and buttering are post weld heat treated (PWHT) at 1,100'F.

" The inlet nozzle was welded to the safe end ring forging using an Alloy 82/182 weld. The inner diameter of the dissimilar metal weld is machined to finished size.

" An assumed 50% inside surface weld repair 3600 around the circumference was conservatively simulated in the Alloy 82/182 weld, which is consistent with MRP-287 (Reference 7).

" Shop hydrostatic test was then performed at a pressure of 3110 psig and a temperature of 300 0 F.

" The safe end was then machined for the piping side weld preparation.

  • The machined safe end was welded to a long segment of stainless steel piping using a stainless steel weld.
  • A plant hydrostatic test was performed at 2485 psig pressure with a temperature of 300'F.
  • After the plant hydrostatic test, normal operating temperature and pressure was uniformly applied three times to consider any shakedown effects, after which the model was set to normal operating conditions.

Based on the FEA model, residual stresses at three different paths (centerline of the DM weld, nozzle side of the DM weld, and safe-end side of the DM weld) in the DM weld were obtained.

Additionally, a recommended path was provided, which is a representation of the limiting stress from all three paths through the DM weld. This recommended stress axial and hoop stress profiles were used in the generation of the crack growth charts to determine the maximum allowable initial flaw sizes (Section 7.0). The hoop and axial welding residual stresses for the recommended stress profiles are shown in Figure 4-2.

Page 6 of 22

Attachment 1 NOC-AE-1 5003250 Westinghouse Non-Proprietary Class 3 D

LTR-PAFM- 15-27-NP Dissimilar Metal Weld Butter Figure 4-1: South Texas Unit 1 Reactor Vessel Inlet Nozzle DM Weld Configuration Page 7 of 22

Attachment 1 NOC-AE-15003250 Westinghouse Non-Proprietary Class 3 LTR-PAFM- 15-27-NP a,c,e Figure 4-2: Reactor Vessel Nozzle DM Weld Through-Wall Residual Recommended Stress Profiles Through DM Weld with 50% Inside Surface Weld Repair Page 8 of 22

Attachment 1 NOC-AE-15003250 Westinghouse Non-Proprietary Class 3 LTR-PAFM- 15-27-NP 5.0 Maximum Allowable End-of-Evaluation Period Flaw Size Determination In order to develop the technical justification to defer the volumetric examination of the RV inlet nozzle DM welds from the Fall 2015 to Spring 2017 RFO, the first step is the determination of the maximum allowable end-of-evaluation period flaw sizes. The maximum allowable end-of-evaluation period flaw size is the size to which an indication is allowed to grow to until the next inspection or evaluation period. This particular flaw size is determined based on the piping loads, geometry and the material properties of the component. The evaluation guidelines and procedures for calculating the maximum allowable end-of-evaluation period flaw sizes are described in paragraph IWB-3640 and Appendix C of the ASME Section XI Code (Reference 2).

Rapid, nonductile failure is possible for ferritic materials at low temperatures, but is not applicable to the nickel-base alloy material. In nickel-base alloy material, the higher ductility leads to two possible modes of failure, plastic collapse or unstable ductile tearing. The second mechanism can occur when the applied J integral exceeds the J~c fracture toughness, and some stable tearing occurs prior to failure. If this mode of failure is dominant, then the load-carrying capacity is less than that predicted by the plastic collapse mechanism. The maximum allowable end-of-evaluation period flaw sizes of paragraph IWB-3640 for the high toughness materials are determined based on the assumption that plastic collapse would be achieved and would be the dominant mode of failure. However, due to the reduced toughness of the DM welds, it is possible that crack extension and unstable ductile tearing could occur and be the dominant mode of failure.

To account for this effect, penalty factors called "Z factors" were developed in ASME Code Section XI, which are to be multiplied by the loadings at these welds. In the current analysis for South Texas, Z factors based on Reference 8 are used in the analysis to provide a more representative approximation of the effects of the DM welds. The use of Z factors in effect reduces the maximum allowable end-of-evaluation period flaw sizes for flux welds and thus has been incorporated directly into the evaluation performed in accordance with the procedure and acceptance criteria given in IWB-3640 and Appendix C of ASME Code Section XI. It should be noted that the maximum allowable end-of-evaluation period flaw sizes are limited to only 75% of the wall thickness in accordance with the requirements of ASME Section XI paragraph IWB-3640 (Reference 2).

The maximum allowable end-of-evaluation period flaw sizes determined for both axial and circumferential flaws have incorporated the relevant material properties, pipe loadings and geometry. Loadings under normal, upset, emergency and faulted conditions are considered in conjunction with the applicable safety factors for the corresponding service conditions required in the ASME Section XI Code. For circumferential flaws, axial stress due to the pressure, deadweight, thermal expansion, seismic and pipe break loads are considered in the evaluation.

As for the axial flaws, hoop stress resulting from pressure loading is used.

The maximum allowable end-of-evaluation period flaw sizes for the axial and circumferential flaws at the RV inlet nozzle DM welds are provided in Table 5-1. The maximum allowable end-of-evaluation period axial flaw size was calculated with an assumed aspect ratio (flaw length/flaw depth) of 2. The aspect ratio of 2 is reasonable because the axial flaw growth due to PWSCC is limited to the width of the DM weld configuration. For the circumferential flaw, a conservative aspect ratio of 10 is used.

Page 9 of 22

Attachment 1 NOC-AE-15003250 Westinghouse Non-Proprietary Class 3 LTR-PAFM- 15-27-NP It should be noted that the resulting maximum allowable end-of-evaluation period flaw sizes were limited by the ASME Code limit of 75% of the weld thickness for both flaw configurations.

Table 5-1 Maximum End-of-Evaluation Period Allowable Flaw Sizes (Flaw Depth/Wall Thickness Ratio - a/t)

Axial Flaw Circumferential Flaw (Aspect Ratio = 2) (Aspect Ratio = 10) 0.75 0.75 Page 10 of 22

Attachment 1 NOC-AE-15003250 Westinghouse Non-Proprietary Class 3 LTR-PAFM- 15-27-NP 6.0 PWSCC Crack Growth Analysis A PWSCC crack growth analysis was performed to determine the maximum allowable initial flaw size that would be acceptable based on ASME Section XI acceptance criteria (Reference 2) for the operating duration from the Fall 2009 to the Spring 2017 RFOs. The maximum allowable initial flaw size for the given plant operation duration is determined by subtracting the crack growth due to PWSCC for the specific plant operation duration from the maximum allowable end-of-evaluation period flaw size shown in Table 5-1.

Crack growth due to PWSCC is calculated for both axial and circumferential flaws using the normal operating condition steady-state stresses. For axial flaws, the stresses included pressure and residual stresses, while for circumferential flaws, the stresses considered are pressure, 100%

power normal thermal expansion, deadweight and residual stresses. The input required for the crack growth analysis is basically the information necessary to calculate the crack tip stress intensity factor (K), which depends on the geometry of the crack, its surrounding structure and the applied stresses. The geometry and loadings for the nozzles of interest are discussed in Section 3.0 and the applicable residual stresses used are discussed in Section 4.0. Once K, is calculated, PWSCC growth can be calculated using the applicable crack growth rate for the nickel-base alloy material (Alloy 182) from MRP- 115 (Reference 4). For all inside surface flaws, the governing crack growth mechanism for the RV inlet nozzle is PWSCC.

Using the applicable stresses at the DM welds, the crack tip stress intensity factors can be determined based on the stress intensity factor expressions from API-579 (Reference 9). The through-wall stress distribution profile is represented by a 4th order polynomial:

a = o0+ GC (x/t)+ 0 2 (x/t)2+ 0 3(X/t)3+ o 4 (X/t)4 Where:

CO, ay,, 2, a3,and 04 are the stress profile curve fitting coefficients; x is the distance from the wall surface where the crack initiates; t is the wall thickness; and a is the stress perpendicular to the plane of the crack.

The stress intensity factor calculations for semi-elliptical inside surface axial and circumferential flaws are expressed in the general form as follows:

4 KI= Gj (a/c, a/t, t/R,(D)aj (t)j j=o Where:

a = Crack depth c = Half crack length along surface t = Thickness of cylinder Page 11 of 22

Attachment 1 NOC-AE-15003250 Westinghouse Non-Proprietary Class 3 LTR-PAFM- 15-27-NP R = Inside radius

= Angular position of a point on the crack front Gj = Gj is influence coefficient for jh stress distribution on crack surface (i.e., Go, G1, G2, G 3, G 4)

Q = The shape factor of an elliptical crack is approximated by:

Q = 1 + 1.464(a/c)1 65 for a/c < I or Q = 1 + 1.464(c/a)1. 65 for a/c > 1 The influence coefficients at various points on the crack front can be obtained by using an interpolation method. Once the crack tip stress intensity factors are determined, PWSCC crack growth calculations can be performed using the crack growth rate below with the applicable normal operating temperature.

The PWSCC crack growth rate used in the crack growth analysis is based on the EPRI recommended crack growth curve for Alloy 182 material (Reference 4):

d-"=exp [ Q G " r- - (K)IP

=ep R kT Tref)I Where:

da d = Crack growth rate in m/sec (in/hr) dt Qg = Thermal activation energy for crack growth = 130 kJ/mole (31.0 kcal/mole)

R Universal gas constant = 8.314 x 10s kJ/mole-K (1.103 x 10s kcal/mole-OR)

T = Absolute operating temperature at the location of crack, K (OR)

Tref = Absolute reference temperature used to normalize data = 598.15 K (1076.67°R) a = Crack growth amplitude

= 1.50 x 10-12 at 325 0C (2.47 x 10-7 at 617 0 F)

= Exponent = 1.6 K = Crack tip stress intensity factor MPa*1m (ksi4in)

The normal operating temperature used in the crack growth analysis is 563 0 F at the RV inlet nozzle. It should be noted that the fatigue crack growth mechanism is not considered in the crack growth analysis as it is considered to be small when compared to that due to the PWSCC crack growth mechanism at the reactor vessel inlet nozzle for the duration of interest. This is demonstrated by the low fatigue usage factor of 0.00973 at the inlet nozzle location of interest in the reactor vessel analytical report CENC-1302 (Reference 10). Therefore, it is not necessary to consider fatigue crack growth in the evaluation.

Page 12 of 22

Attachment 1 NOC-AE-15003250 Westinghouse Non-Proprietary Class 3 LTR-PAFM- 15-27-NP The PWSCC crack growth rate is highly dependent on the temperature at the location of the flaw, furthermore, the crack growth rate increases as the temperature increases. Therefore, during periods when the plant is not in operation, such as refueling outages or shutdowns, the temperature at the reactor vessel nozzles is low such that crack growth due to PWSCC is insignificant. Therefore, PWSCC crack growth calculation should be determined for the time interval when the plant is operating at full power. The amount of time when the plant is operating at full power is determined based on previous plant operation data and the anticipated outages scheduled until the next inspections. This operation duration at full power is referred to as Effective Full Power Days (EFPD), or Effective Full Power Years (EFPY). Plant operation data and projected future outage dates and durations were provided for South Texas Unit I and are used to estimate the EFPD, or EFPY, between the Fall 2009 to the Spring 2017 RFOs.

The determination of the EFPY based on plant operating data is shown in Table 6-1 for South Texas Unit 1. It should be noted that the EFPD calculation for future outages conservatively includes startup and coast down days. Therefore, based on Table 6-1, for the time interval between the Fall 2009 RFO and Spring 2017 RFO, South Texas Unit I is estimated to operate at full power for 6.7 EFPY. The values in Table 6-1 are rounded for reporting purposes; the impact of rounding on PWSCC growth is insignificant. The calculated EFPY values will be used in the determination of the maximum allowable initial flaw sizes in Section 7.0.

Table 6-1 Effective Full Power Year Estimation for South Texas Unit 1 Cycle Operation Start Operation End EFPD 16 11/19/2009 (Fall 2009 RFO) 4/1/2011 486*

17 5/9/2011 10/19/2012 528*

18 11/28/2012 3/14/2014 443*

19 6/2/2014 10/16/2015 501"*

20 11/17/2015 13/17/2017 (Spring 2017 RFO) 486**

Cumulative EFPD 1 2444 Cumulative EFPY 1 6.7 Notes: *Based on plant operation data.

    • Estimated based on anticipated outages. Conservatively include startup and coast down days.

Page 13 of 22

Attachment 1 NOC-AE-15003250 Westinghouse Non-Proprietary Class 3 LTR-PAFM- 15-27-NP 7.0 Technical Justification for Deferring the Volumetric Examination In accordance with ASME Code Case N-770-1 (Reference 1), the volumetric examination interval for the unmitigated reactor vessel inlet nozzle to safe end DM welds must not exceed 7 years. South Texas Unit 1 is seeking relaxation from the ASME Code Case N-770-1 requirement in order to defer the volumetric examination of the reactor vessel inlet nozzle to safe end DM welds from the Fall 2015 to Spring 2017 RFO. Technical justification can be developed to support deferring the volumetric examination by calculating the maximum allowable initial flaw size that could be left behind in service and remain acceptable between the inspections. This maximum allowable initial flaw size can then be compared to a flaw size which would have been detected during the Fall 2009 RFO inlet nozzle DM weld examination based on the inspection detection capability.

The maximum allowable initial flaw depth is determined by subtracting the PWSCC crack growth for a plant operation duration of 6.7 EFPY from the maximum allowable end-of-evaluation period flaw depth shown in Table 5-1. The end-of-evaluation period flaw depth is calculated based on the guidelines given in paragraph IWB-3640 and Appendix C of the ASME Section XI Code (Reference 2). The PWSCC crack growth at the Alloy 82/182 weld is calculated based on the normal operating condition, piping loads, and the welding residual stresses at the DM weld as well as the crack growth model in MRP-1 15 (Reference 4). The maximum allowable initial flaw depth was calculated for an axial flaw with an assumed aspect ratio of 2.

An aspect ratio of 2 is reasonable for the axial flaw due to the DM weld configuration since any PWSCC axial flaw growth is limited to the width of the weld. For the circumferential flaw, a conservative aspect ratio of 10 is used in the crack growth analysis.

The PWSCC crack growth analysis of the circumferential flaws considered two cases: normal operating piping loads with residual stresses from the recommended profile (shown in Figure 4-2) and normal operating piping loads without residual stresses in order to obtain the most limiting crack growth results since a portion of the axial residual stress profile is compressive. It was determined that the case which included only piping loads and no residual stresses was limiting for circumferential flaws. The exclusion of residual stresses in the evaluation is conservative for the circumferential flaw evaluation.

The PWSCC crack growth curves and the maximum allowable initial flaw sizes for an axial flaw and a circumferential flaw are shown in Figures 7-1 and 7-2, respectively. The horizontal axis displays service life in Effective Full Power Years, and the vertical axis shows the flaw depth to wall thickness ratio (a/t). The maximum allowable end-of-evaluation period flaw sizes are also shown in these figures for the respective flaw configurations. Based on the crack growth results from Figures 7-1 and 7-2, the maximum allowable initial flaw sizes for the axial and circumferential flaws are tabulated in Table 7-1.

Page 14 of 22

Attachment 1 NOC-AE-15003250 Westinghouse Non-Proprietary Class 3 LTR-PAFM-15-27-NP Table 7-1 South Texas Unit 1 Maximum Allowable Initial Flaw Sizes Axial Flaw Circumferential Flaw (Aspect Ratio = 2) (Aspect Ratio = 10)

Maximum Allowable Initial Flaw Size (a/t)Sie(/)0.064 0.376 Flaw Depth (inches) 0.178 1.049 Flaw Length (inches) 0.356 10.49 The flaw sizes shown in Table 7-1 are the largest axial and circumferential flaw sizes that could be left behind in service and remain acceptable from the Fall 2009 to Spring 2017 RFO for South Texas Unit 1. In accordance with the Ultrasonic Testing (UT) detection and sizing requirements in ASME Section XI Appendix VIII, Supplement 10 (Reference 2), the minimum required detectable flaw depth is 10% of the wall thickness. Therefore, the maximum allowable initial circumferential flaw size is above the minimum flaw depth requirement per the UT detection capabilities, and thus would have been reasonably detected at the previous inspection of the DM welds.

In addition to the required baseline volumetric UT examination of the RV inlet nozzle DM weld, South Texas also conducted Eddy Current Testing (ET) on the RV inlet nozzle DM welds. The ET examination is an additional means to detecting surface breaking indications on the inside surface of the DM weld. The South Texas qualification process for the ET procedure is the same as that of the qualification procedures used for ET used at Farley, which followed the details discussed in Reference 11. Per Reference 11, the qualification process and practical trial for the ET procedure is in accordance with European Network for Inspection Qualification (ENIQ) guidelines. More details are provided in Reference 11, which is a NRC RAI response provided by Farley for justification of their ET procedure. Based on the qualification guidelines as discussed in Reference 11, the Eddy Current examination is capable of detecting fatigue and intergranular stress corrosion cracking (IGSCC)/ interdendritic stress corrosion cracking (IDSCC) cracks as small as 0.04" deep by 0.24" long.

The South Texas ET inspection procedure (Reference 13) from Fall 2009 required that an indication with a depth of 0.08" and length of 0.28" or more be recorded. For South Texas Unit 1, the maximum initial axial flaw depth is 0.178" and flaw length is 0.356" from Table 7-1, these particular flaw dimensions are greater than the South Texas ET flaw depth of 0.08" and flaw length of 0.28". As a result, the calculated maximum allowable initial axial flaw size is large enough to have been detected during the last Fall 2009 RFO examination of the RV inlet nozzle DM welds at South Texas Unit 1. Similar justification was used in the J.M. Farley Units 1 and 2 RV inlet nozzle DM weld alternate inservice inspection relief request for axial initial flaw depth less than 10% of the through-wall thickness. Furthermore, the NRC staff in its response to the Farley relief request (Reference 12) accepted the use of the licensee's ET. qualification process to justify the acceptability for initial flaw sizes less than 10% of the through-wall thickness when supplemented with volumetric examinations performed by UT as required by the ASME Code Case N-770- 1.

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Attachment 1 NOC-AE-15003250 Westinghouse Non-Proprietary Class 3 LTR-PAFM- 15-27-NP Therefore, the maximum allowable initial axial and circumferential flaw sizes in Table 7-1 would have been detected during the Fall 2009 RFO inlet nozzle DM weld examination. Since, there were no indications found during the Fall 2009 RFO for the inlet nozzle DM weld, the technical justification developed in this letter report can be used to defer the volumetric examination for the South Texas Unit I RV inlet nozzle DM welds from the Fall 2015 RFO to the Spring 2017 RFO.

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Westinghouse Non-Proprietary Class 3 LTR-PAFM- 15-27-NP 0.8 0.7 0.6 0.5 0.4 0.3 0.2 0.1 0

0 1 2 3 4 5 6 7 8 9 10 11 12 Z

Service Life (EFPY) 0 Figure 7-1: PWSCC Crack Growth Curve for South Texas Unit 1 Inlet Nozzle Axial Flaw (DM weld), Aspect Ratio = 2 a1~

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Westinghouse Non-Proprietary Class 3 LTR-PAFM- 15-27-NP 0.8 0.7 0.6 0.5 0.4 I.-

U 0.3 0.

4J U

0.2 0.1 0

0 2 4 6 8 10 12 14 16 18 20 22 24 z

0 Service Life (EFPY) 0 Figure 7-2: PWSCC Crack Growth Curve for South Texas Unit 1 Inlet Nozzle Circumferential Flaw (DM weld), Aspect Ratio = 10 CA K) :

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Attachment 1 NOC-AE-15003250 Westinghouse Non-Proprietary Class 3 LTR-PAFM- 15-27-NP 8.0 Summary and Conclusions A volumetric examination of the reactor vessel inlet nozzle to safe end DM butt welds was performed during the Fall 2009 RFO at South Texas Unit 1. The next required volumetric examination will be during the Fall 2015 RFO in accordance with Code Case N-770-1. However, the volumetric examination will be deferred to the Spring 2017 RFO for the Reactor Vessel inlet nozzle DM welds. Since the time interval between the previous examination and the planned examination exceeds 7 years, which deviates from the Code Case N-770-1 inspection interval requirements, a relief request will be submitted to the Nuclear Regulatory Commission (NRC) seeking relaxation from the ASME Code Case N-770-1 examination requirement to defer the volumetric examination of the inlet nozzle DM welds.

This letter report provides technical justification to support the relaxation request by performing a flaw tolerance analysis to determine the largest initial axial and circumferential flaws that could be left behind in service and remain acceptable between the planned examinations. This maximum allowable initial flaw size can then be compared to any flaw size which would have been detected during the previous inlet nozzle DM weld examinations.

Based on the PWSCC crack growth analysis results from Section 7.0, the maximum allowable initial flaw sizes for the reactor vessel inlet nozzle DM welds are tabulated in Table 8-1 for South Texas Unit 1. These allowable initial axial and circumferential flaw sizes have been shown to be acceptable in accordance with the ASME Section XI IWB-3640 acceptance criteria through the Spring 2017 RFO for Unit 1 taking into account of potential PWSCC crack growth since the last volumetric and surface examinations.

In accordance with the Ultrasonic Testing (UT) detection and sizing requirements in ASME Section XI Appendix VIII, Supplement 10 (Reference 2), the minimum required detectable flaw depth is 10% of the wall thickness. In addition to the UT examination of the RV inlet nozzle DM weld, supplemental Eddy Current Testing (ET) was performed on the RV inlet nozzle DM welds for South Texas Unit 1. Based on the qualification.guidelines as discussed in Reference 11, the Eddy Current examination is capable of detecting fatigue and IGSCC/IDSCC cracks as small as 0.04" deep by 0.24" long. The South Texas ET inspection procedure (Reference 13) in Fall 2009 required that an indication with a depth of 0.08" and a length of 0.28" or more be recorded.

Based on the South Texas Unit I results in Table 8-1, the calculated maximum allowable initial axial flaw size is large enough to have been detected during the last Fall 2009 RFO examination of the RV inlet nozzle DM welds. Similar justification was used in the J.M. Farley Units 1 and 2 RV inlet nozzle DM weld alternate inservice inspection relief request for axial initial flaw sizes less than 10% of the through-wall thickness. Furthermore, the NRC staff in its response to the Farley relief request (Reference 12) accepted the use of the licensee's ET qualification process to justify the acceptability for initial flaw sizes less than 10% of the through-wall thickness when supplemented with volumetric examinations performed by UT as required by the ASME Code Case N-770-1. Therefore, deferring the volumetric examination for the South Texas Unit I RV inlet nozzle DM welds from the Fall 2015 RFO allowed by Code Case N-770-1 to the Spring 2017 RFO is technically justified.

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Attachment 1 NOC-AE-15003250 Westinghouse Non-Proprietary Class 3 LTR-PAFM- 15-27-NP Table 8-1 South Texas Unit 1 Maximum Allowable Initial Flaw Sizes Axial Flaw Circumferential Flaw (Aspect Ratio = 2) (Aspect Ratio = 10)

Maximum Allowable Initial Flaw Size (a/t)

Flaw Depth (inches) 0.178 1.049 Flaw Length (inches) 0.356 10.49 Note: Aspect ratio = flaw length/flaw depth Page 20 of 22

Attachment 1 NOC-AE-15003250 Westinghouse Non-Proprietary Class 3 LTR-PAFM- 15-27-NP 9.0 References

1. ASME Code Case N-770-1,Section XI Division 1. "Alternative Examination Requirements and Acceptance Standards for Class I PWR Piping and Vessel Nozzle Butt Welds Fabricated with UNS N06082 or UNS W86182 Weld Filler Material With or Without Application of Listed Mitigation Activities." Approval Date December 25, 2009.
2. ASME Boiler & Pressure Vessel Code, 2004,Section XI, Rules for Inservice Inspection of Nuclear Power Plant Components.
3. Westinghouse Report WCAP-9135, Volume 1, Rev. 4, "Structural Analysis of the Reactor Coolant Loop for the South Texas Project Units 1 and 2 Volume I Analysis of the Reactor Coolant Loop Piping (Units I & 2 RSG)," January 2003.
4. Materials Reliability Program: Crack Growth Rates for Evaluating Primary Water Stress Corrosion Cracking (PWSCC) of Alloy 82, 182, and 132 Welds (MRP-1 15), EPRI, Palo Alto, CA: 2004. 1006696.
5. Drawings for South Texas Unit I RV inlet nozzles:
a. Combustion Engineering, Inc. Drawing D-11073-128-002, Rev. 0, "Inlet Nozzle Cladding and Machining."
b. Combustion Engineering, Inc. Drawing C-11073-131-001, Rev. 0, "Nozzle Safe Ends."
c. Combustion Engineering, Inc. Drawing, E-11073-161-001, Rev. 3, "Material Identification Vessel."
d. Combustion Engineering, Inc. Drawing, E- 11073-121-003, Rev. 2, "Upper Vessel Machining."
6. Dominion Engineering, Inc. Document C-8891-00-01, Rev. 0, "Welding Residual Stress Calculation for South Texas Project Units 1 and 2 RPV Inlet Nozzle DMW."
7. Materials Reliability Program: Primary Water Stress Corrosion Cracking (PWSCC) Flaw Evaluation Guidance (MRP-287), EPRI, Palo Alto, CA: 2010, 1021023.
8. Materials Reliability Program: Advanced FEA Evaluation of Growth of Postulated Circumferential PWSCC Flaws in Pressurizer Nozzle Dissimilar Metal Welds (MRP-216, Rev. 1): Evaluations Specific to Nine Subject Plants. EPRI, Palo Alto, CA: 2007. 1015400.
9. American Petroleum Institute, API 579-1/ASME FFS-I (API 579 Second Edition), "Fitness-For-Service," June 2007.
10. Combustion Engineering, Inc. Report CENC-1302, "Analytical Report for South Texas Project No. 1 Houston Lighting and Power Company," October 1977.
11. Southern Nuclear Company, Inc. Letter NL-14-1193, "Joseph M. Farley Nuclear Plant Response to Request for Additional Information Regarding Proposed Alternative to Inservice Inspection Requirements of ASME Code Case N-770-1," Docket Nos. 50-348 and 50-364, Dated August 1, 2014. (ADAMS Accession Number ML14213A484)

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Attachment 1 NOC-AE-1 5003250 Westinghouse Non-Proprietary Class 3 LTR-PAFM- 15-27-NP

12. United States Nuclear Regulatory Commission Letter Dated December 5, 2014, "Joseph M.

Farley, Units 1 and 2, (FNP-ISI-ALT-15, Version 1) Alternative to Inservice Inspection Regarding Reactor Pressure Vessel Cold-Leg Nozzle Dissimilar Metal Welds (TAC Nos. MF 3687 and MF3688)." (ADAMS Accession Number ML14262A317)

13. WesDyne WDI-STD-146, Rev. 9. "ET Examination of Reactor Vessel Pipe Welds Inside Surface," December 2008.

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