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| {{#Wiki_filter:Wert, Leonard From: Sent: To: Cc: | | {{#Wiki_filter:Wert, Leonard From: Sykes, Marvin IL Sent: Monday, January 25, 2010 5:19 PM To: Wert, Leonard; Munday, Joel Cc: Hannah, Roger; Ledford, Joey; Diaz-Toro, Diana; Kennedy, Kriss; Christensen, Harold; Franke, Mark |
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| Attachments:
| | Progress Energy Releases Schedule for CR3 Return to Service Attachments: (,'PSC Letter.doc.pdf "7 '- |
| Sykes, Marvin IL Monday, January 25, 2010 5:19 PM Wert, Leonard; Munday, Joel Hannah, Roger; Ledford, Joey; Diaz-Toro, Diana; Kennedy, Kriss; Christensen, Harold;Franke, Mark Progress Energy Releases Schedule for CR3 Return to Service (,'PSC Letter.doc.pdf "7 '-Len/Joel, In a letter submitted to the FL Public Service Commission (PSC), Progress Energy noted that they anticipated returning CR3 to service mid-2010.A copy of the letter to the PSC is attached.Although this is not new information to the staff, it is the first time that Progress Energy has publicly announced that the plant outage would continue for more than 6-months to address the unanticipated reactor building concrete delamination.
| | Len/Joel, In a letter submitted to the FL Public Service Commission (PSC), Progress Energy noted that they anticipated returning CR3 to service mid-2010. |
| If you have questions, please call.Marvin 10 Status Update Regarding the Crystal River Unit 3 Steam Generator Replacement Outage Crystal River Unit 3 ("CR3") entered a planned unit outage on September 26, 2009 as part of the Steam Generator Replacement | | A copy of the letter to the PSC is attached. |
| ("SGR") project for that unit. CR3 was scheduled to return to service on December 19, 2009. During the course of the project, however, PEF discovered cracking in the section of the containment wall that was opened for the SGR project. After investigation, PEF discovered a "de-lamination" of some of the concrete in the section of the containment wall near the SGR opening. PEF informed the Nuclear Regulatory Commission | | Although this is not new information to the staff, it is the first time that Progress Energy has publicly announced that the plant outage would continue for more than 6-months to address the unanticipated reactor building concrete delamination. |
| | If you have questions, please call. |
| | Marvin 10 |
| | |
| | Status Update Regarding the Crystal River Unit 3 Steam Generator Replacement Outage Crystal River Unit 3 ("CR3") entered a planned unit outage on September 26, 2009 as part of the Steam Generator Replacement ("SGR") project for that unit. CR3 was scheduled to return to service on December 19, 2009. During the course of the project, however, PEF discovered cracking in the section of the containment wall that was opened for the SGR project. After investigation, PEF discovered a "de-lamination" of some of the concrete in the section of the containment wall near the SGR opening. PEF informed the Nuclear Regulatory Commission |
| ("NRC") of this discovery and began a root cause evaluation to determine the cause of the de-lamination. | | ("NRC") of this discovery and began a root cause evaluation to determine the cause of the de-lamination. |
| The company and its engineering contractors are nearing completion of an exhaustive review of the root cause of the de-lamination in the unit's exterior containment structure. | | The company and its engineering contractors are nearing completion of an exhaustive review of the root cause of the de-lamination in the unit's exterior containment structure. The analysis team identified over 70 different potential root cause failure modes for the de-lamination and has narrowed this list to a handful of remaining failure modes. Although the analysis is not complete, the remaining variables appear to point toward the interplay between several factors. |
| The analysis team identified over 70 different potential root cause failure modes for the de-lamination and has narrowed this list to a handful of remaining failure modes. Although the analysis is not complete, the remaining variables appear to point toward the interplay between several factors.We expect to have this review completed by the end of January, 2010.The Company has also developed a work plan to complete the repairs to the building structure. | | We expect to have this review completed by the end of January, 2010. |
| We are mobilizing our efforts to begin the repairs, which we expect to commence once we have further insight from our root cause analysis. | | The Company has also developed a work plan to complete the repairs to the building structure. |
| The NRC has a designated team of experts in place to evaluate and observe our entire approach to this issue. We have frequent meetings with the NRC representatives to update them on our work processes and are keeping them fully informed as to our plans. We will provide the root cause analysis to the NRC when it is completed as well as our plan to repair the structure. | | We are mobilizing our efforts to begin the repairs, which we expect to commence once we have further insight from our root cause analysis. The NRC has a designated team of experts in place to evaluate and observe our entire approach to this issue. We have frequent meetings with the NRC representatives to update them on our work processes and are keeping them fully informed as to our plans. We will provide the root cause analysis to the NRC when it is completed as well as our plan to repair the structure. |
| At present, we do not have a firm return to service date for CR3, nor do we have finalized estimates on repair and replacement power costs, which will be in large part a function of schedule. | | At present, we do not have a firm return to service date for CR3, nor do we have finalized estimates on repair and replacement power costs, which will be in large part a function of schedule. Once our repair plans have been finalized we will provide those estimates to you promptly. Based on what we know at this time, we do expect that all repairs will be completed so that CR3 will return to service by mid-year. |
| Once our repair plans have been finalized we will provide those estimates to you promptly. | | Our current focus is on returning CR3 to service safely and quickly. Once CR3 returns to service, PEF plans to ask the Florida Public Service Commission to open a docketed matter regarding this outage so that the Commission and all interested parties can review all the relevant facts and information regarding the outage, the root cause, and the repair process. |
| Based on what we know at this time, we do expect that all repairs will be completed so that CR3 will return to service by mid-year.Our current focus is on returning CR3 to service safely and quickly. Once CR3 returns to service, PEF plans to ask the Florida Public Service Commission to open a docketed matter regarding this outage so that the Commission and all interested parties can review all the relevant facts and information regarding the outage, the root cause, and the repair process.The Company is confident that it will be able to continue to meet peak load and reserve margin requirements through company-owned generation and purchases if needed as it did during peak records earlier this month.}} | | The Company is confident that it will be able to continue to meet peak load and reserve margin requirements through company-owned generation and purchases if needed as it did during peak records earlier this month.}} |
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Category:E-Mail
MONTHYEARML24191A4232024-07-0303 July 2024 RAI2 NRC Response to Fws ESA Crystal River Unit 3 LTP ML24190A1382024-06-18018 June 2024 Supplement to NRC Request for Concurrence with ESA Determinations for Crystal River Unit 3 LTP ML24170A9242024-06-18018 June 2024 024-0023697 Crystal River License Termination Plan Unit 3 ML24143A0242024-05-20020 May 2024 Draft EA for Crystal River Unit 3 Opportunity for Flhealth Review and Comment ML24143A0132024-05-20020 May 2024 Achp Response for Crystal River Unit 3 (Achp Project No. 020794) ML24143A0212024-05-20020 May 2024 SHPO Response to Initiate Section 106 Consultation for Crystal River Unit 3 ML24120A3312024-04-24024 April 2024 Seminole Tribe of Florida Email - Initiation ML24054A6462024-02-29029 February 2024 Request for RAI Extension Related to the Crystal River License Termination Plan ML24060A0862024-02-29029 February 2024 NRC Request for Concurrence with Endangered Species Act Determinations for Crystal River Unit 3 Nuclear Generating Plant License Termination Plan (Consultation Code: 2024-0023697) ML24025A0952024-01-24024 January 2024 Clarifications Related to the NRC Staffs EA for Crystal River ML23180A0562023-06-13013 June 2023 ADP-CR3, Crystal River Unit 3 Email from J. Jernigan to Tim Barvitskie Confirmation That Enclosure 22 Radiological Groundwater Characterization Report ML21117A2902021-04-26026 April 2021 Acceptance of License Amendment Request Related to the ISFSI-Only Physical Securityplan ML21096A0432021-04-0505 April 2021 Acceptance of License Amendment Request Related to the ISFSI-Only Emergency Plan ML19344C8052019-11-12012 November 2019 Response from NEIMA Local Community Advisory Board Questionnaire 11-12-2019 H Danenhower ML19310D8602019-10-24024 October 2019 E-Mail Dated October 24, 2019, from Mark Vansicklen, Duke Energy Florida, to John Hickman, NRC, Providing Background Information for the Crystal River Partial Site Release Request ML19344C7872019-10-0303 October 2019 Response from NEIMA Local Community Advisory Board Questionnaire 10-03-2019 D Taylor ML19310D8212019-09-13013 September 2019 E-Mail Dated September 13, 2019, from John Hickman, NRC, to Mark Vansicklen, Duke Energy Florida, Requesting Background Information for the Crystal River Partial Site Release Request ML19130A2082019-05-0808 May 2019 Email - NRC Email to FEMA Dated May 8, 2019: NRC Response to Comment on FEMA Review of Proposed Changes to DBNPS Emergency Plan for Permanently Defueled Condition ML19071A0662019-03-0606 March 2019 E-Mail Dated 3/6/2019 from John Hickman, NRC, to Phyllis Dixon, Duke Energy Florida, LLC, Regarding NRC Acceptance Review of a Request to Revise the ISFSI Only Emergency Plan for Crystal River Unit 3 ML19070A3112019-03-0606 March 2019 Document Title or Accession No. E-Mail Dated 3/6/2019 from John Hickman, NRC, to Phyllis Dixon, Duke Energy Florida, LLC, Regarding NRC Acceptance Review of Partial Site Release Request for Crystal River Unit 3 ML18263A1462018-09-11011 September 2018 NRR E-mail Capture - Logbook Entry: 09/11/2018 a Kemp'S Ridley Sea Turtle (Federal Endangered Species) Carcass Was Recovered from the Crystal River Energy Complex Unit 2 Fossil Unit ML16054A2402015-12-10010 December 2015 E-44108 Attachment 10 E-mail from Steven Edwards (Due Energy) to Don Shaw (Areva) for Brunswick Nuclear Plant, Oconee Nuclear Station, and Robinson Nuclear Plant ML15176A2692015-06-25025 June 2015 NRR E-mail Capture - NRC Acceptance Review for LAR #317 Regarding Changes in Managment Titles ML15043A1042015-02-0505 February 2015 NRR E-mail Capture - Mf Crystal River TAC ML15015A6722015-01-15015 January 2015 NRR E-mail Capture - NRC Acceptance Review for LAR - Application for Order Approving Transfer of License and for Conforming License Amendment ML14344A9992014-12-0909 December 2014 NRR E-mail Capture - Severe Weather Exemption ML14258A7432014-09-0505 September 2014 NRR E-mail Capture - FW: Comparison of Crystal River'S Exemption Secy Paper with Kewaunee'S ML14290A1992014-08-27027 August 2014 NRR E-mail Capture - Draft RAIs for Ep/Eal LAR ML14163A2512014-06-0303 June 2014 NRR E-mail Capture - Request for Additional Information - Exemption for Conducting Annual force-on-force Exercises ML14153A0842014-05-29029 May 2014 NRR E-mail Capture - Logbook Entry: 05/29/2014 ML14153A6912014-05-21021 May 2014 NRR E-mail Capture - Request for Additional Information - Decommissionign Trust Fund Exemption Request ML14132A2052014-05-0909 May 2014 NRR E-mail Capture - MF3089 - Defueled TS Amendment Request for Additrional Information ML14114A2792014-04-10010 April 2014 NRR E-mail Capture - MF3089 Defueled TS Request for Additional Information ML14113A3632014-04-10010 April 2014 NRR E-mail Capture - MF3415/MF2981 RAI on EP Exemptions, EAL Scheme Change and E Plan Amendment ML14118A2872014-02-20020 February 2014 NRR E-mail Capture - Request for Additional Information: Exemptions to the Radiological Emergency Plan Requirements ML14045A0012014-02-12012 February 2014 NRR E-mail Capture - RAI: Adminstrative Controls ML14031A1752014-01-27027 January 2014 NRR E-mail Capture - CR3 Certified Fuel Handler Training and Retraining Program Approval - RAI Request ML14017A0772014-01-16016 January 2014 NRR E-mail Capture - Brunswick 1 and 2, Crystal River Unit 3, Harris Unit 1, and Robinson Unit 2 - Acceptance for Review of License Amendment Request for Cyber Security Plan Implementaion Milestone 8 (TAC Nos. MF3263 - MF3267) ML14027A0332013-12-16016 December 2013 NRR E-mail Capture - Eplan and EAL Scheme Change Request for Additional Information (LAR #315) ML13336A9112013-12-0202 December 2013 NRR E-mail Capture - Periodic Update to the Crystal River 3 Containment Petition ML13198A1422013-07-17017 July 2013 NRR E-mail Capture - Draft RAI - Request to Amend Section 5.0 of the CR-3 Technical Specifications (MF1504) ML13157A2062013-05-31031 May 2013 NRR E-mail Capture - Logbook Entry: 5/31/2013 ML13155A2062013-05-29029 May 2013 NRR E-mail Capture - Petition Status Update - Containment for Crystal River ML13120A0412013-04-29029 April 2013 NRR E-mail Capture - Status Update for Petition on Crystal River 3 ML13095A4002013-04-0505 April 2013 E-mail - Acceptance of Requested Licensing Action Change of Licensee Name ML13052A2402013-02-0808 February 2013 LTR-13-0131 - E-mail Tom Gurdziel Concerns Crystal River, Unit 3 ML13015A2832013-01-14014 January 2013 NRR E-mail Capture - Status of 10 CFR 2.206 Petition Related to Crystal River 3 ML13011A1482013-01-10010 January 2013 NRR E-mail Capture - CR-3 EPU LAR - Additional RAI from Eeeb (ME6527) ML12304A0682012-10-26026 October 2012 NRR E-mail Capture - RAIs Regarding Crystal River 30-day Report for ECCS Model Changes Pursuant to 10 CFR 50.46 Requirements (ME8408) ML12297A3922012-10-23023 October 2012 NRR E-mail Capture - Draft Bypass Test Plan 2024-07-03
[Table view] Category:Status Report
MONTHYEARML24240A1692024-09-18018 September 2024 Cy 2023 Summary of Decommissioning Trust Fund Status 3F0323-02, Annual Decommissioning and Irradiated Fuel Management Financial Status Report for 20222023-03-29029 March 2023 Annual Decommissioning and Irradiated Fuel Management Financial Status Report for 2022 3F0322-01, Annual Decommissioning and Irradiated Fuel Management Financial Status Report for 20212022-03-30030 March 2022 Annual Decommissioning and Irradiated Fuel Management Financial Status Report for 2021 3F0222-01, ADP CR3, LLC - Update to Irradiated Fuel Management Program Pursuant to 10 CFR 50.54(bb)2022-02-0909 February 2022 ADP CR3, LLC - Update to Irradiated Fuel Management Program Pursuant to 10 CFR 50.54(bb) 3F0321-06, Annual Decommissioning and Irradiated Fuel Management Financial Status Report for 20202021-03-29029 March 2021 Annual Decommissioning and Irradiated Fuel Management Financial Status Report for 2020 3F0320-03, Annual Decommissioning and Irradiated Fuel Management Financial Status Report for 20192020-03-19019 March 2020 Annual Decommissioning and Irradiated Fuel Management Financial Status Report for 2019 3F0319-01, Annual Decommissioning and Irradiated Fuel Management Financial Status Report for 20182019-03-27027 March 2019 Annual Decommissioning and Irradiated Fuel Management Financial Status Report for 2018 3F0318-01, Annual Decommissioning and Irradiated Fuel Management Financial Status Report for 20172018-03-26026 March 2018 Annual Decommissioning and Irradiated Fuel Management Financial Status Report for 2017 3F0317-03, Annual Decommissioning and Irradiated Fuel Management Financial Status Report for 20162017-03-28028 March 2017 Annual Decommissioning and Irradiated Fuel Management Financial Status Report for 2016 3F0316-02, Annual Decommissioning and Irradiated Fuel Management Financial Status Report for 20152016-03-22022 March 2016 Annual Decommissioning and Irradiated Fuel Management Financial Status Report for 2015 RA-13-006, H. B. Robinson, Unit 2, Brunswick, Units 1 and 2, Shearon Harris, Unit 1, and Crystal River, Unit 3, Submittal of Biennial Decommissioning Financial Assurance Reports2013-03-28028 March 2013 H. B. Robinson, Unit 2, Brunswick, Units 1 and 2, Shearon Harris, Unit 1, and Crystal River, Unit 3, Submittal of Biennial Decommissioning Financial Assurance Reports ML13091A0252013-03-28028 March 2013 H. B. Robinson, Unit 2, Brunswick, Units 1 and 2, Shearon Harris, Unit 1, and Crystal River, Unit 3, Submittal of Biennial Decommissioning Financial Assurance Reports RA-13-006, Biennial Decommissioning Financial Assurance Report2013-03-28028 March 2013 Biennial Decommissioning Financial Assurance Report ML1214500142012-05-23023 May 2012 NFPA 805 LAR Status Matrix - May 2012 ML12123A0822012-05-22022 May 2012 Nrc'S Assessment of 2012 Decommissioning Funding Status Report for Crystal River Nuclear Generating Plant, Unit 3 ML12122A0712012-05-14014 May 2012 Enclosure 1: April 2012 Report on the Status of Public Petitions Under Title 10 of the Code of Federal Regulations, Section 2.206 RA-12-013, Decommissioning Funding Status Report2012-03-26026 March 2012 Decommissioning Funding Status Report RA-11-018, Response to Request for Additional Information - 2011 Biennial Decommissioning Funding Status Report2011-07-20020 July 2011 Response to Request for Additional Information - 2011 Biennial Decommissioning Funding Status Report RA-11-004, Brunswick Unit 1 & 2, Crystal River Unit 3, Shearon Unit 1, and H.B. Robinson Unit 2, Biennial Decommissioning Funding Status Report2011-03-31031 March 2011 Brunswick Unit 1 & 2, Crystal River Unit 3, Shearon Unit 1, and H.B. Robinson Unit 2, Biennial Decommissioning Funding Status Report ML1109503662011-03-31031 March 2011 Crystal River Unit 3, Shearon Unit 1, and H.B. Robinson Unit 2, Biennial Decommissioning Funding Status Report ML1029403622010-11-12012 November 2010 October 2010 10 CFR 2.206 Monthly Status Report: Enclosures ML1010603272010-04-0909 April 2010 Status Update Regarding the Crystal River Unit 3 Steam Generator Replacement Outage ML1020903952010-01-25025 January 2010 Email from Sykes, Marvin to Wert, Leonard; Munday, Joel; Subject: Progress Energy Releases Schedule for CR3 Return to Service ML0708602102007-03-22022 March 2007 Progress Energy - Biennial Decommissioning Funding Status Report ML0509700422005-03-31031 March 2005 Units, 1 and 2, Crystal River, Unit 3, Shearon Harris, Unit 1 and H. B. Robinson, Unit 2, Biennial Decommissioning Funding Status Report ML0210001032002-03-28028 March 2002 Decommissioning Funding Status Report from Florida Power Re Crystal River Unit 3 ML0300701252002-03-0707 March 2002 Superintendent Shift Operations' Log, 2300-0700 2024-09-18
[Table view] |
Text
Wert, Leonard From: Sykes, Marvin IL Sent: Monday, January 25, 2010 5:19 PM To: Wert, Leonard; Munday, Joel Cc: Hannah, Roger; Ledford, Joey; Diaz-Toro, Diana; Kennedy, Kriss; Christensen, Harold; Franke, Mark
Subject:
Progress Energy Releases Schedule for CR3 Return to Service Attachments: (,'PSC Letter.doc.pdf "7 '-
Len/Joel, In a letter submitted to the FL Public Service Commission (PSC), Progress Energy noted that they anticipated returning CR3 to service mid-2010.
A copy of the letter to the PSC is attached.
Although this is not new information to the staff, it is the first time that Progress Energy has publicly announced that the plant outage would continue for more than 6-months to address the unanticipated reactor building concrete delamination.
If you have questions, please call.
Marvin 10
Status Update Regarding the Crystal River Unit 3 Steam Generator Replacement Outage Crystal River Unit 3 ("CR3") entered a planned unit outage on September 26, 2009 as part of the Steam Generator Replacement ("SGR") project for that unit. CR3 was scheduled to return to service on December 19, 2009. During the course of the project, however, PEF discovered cracking in the section of the containment wall that was opened for the SGR project. After investigation, PEF discovered a "de-lamination" of some of the concrete in the section of the containment wall near the SGR opening. PEF informed the Nuclear Regulatory Commission
("NRC") of this discovery and began a root cause evaluation to determine the cause of the de-lamination.
The company and its engineering contractors are nearing completion of an exhaustive review of the root cause of the de-lamination in the unit's exterior containment structure. The analysis team identified over 70 different potential root cause failure modes for the de-lamination and has narrowed this list to a handful of remaining failure modes. Although the analysis is not complete, the remaining variables appear to point toward the interplay between several factors.
We expect to have this review completed by the end of January, 2010.
The Company has also developed a work plan to complete the repairs to the building structure.
We are mobilizing our efforts to begin the repairs, which we expect to commence once we have further insight from our root cause analysis. The NRC has a designated team of experts in place to evaluate and observe our entire approach to this issue. We have frequent meetings with the NRC representatives to update them on our work processes and are keeping them fully informed as to our plans. We will provide the root cause analysis to the NRC when it is completed as well as our plan to repair the structure.
At present, we do not have a firm return to service date for CR3, nor do we have finalized estimates on repair and replacement power costs, which will be in large part a function of schedule. Once our repair plans have been finalized we will provide those estimates to you promptly. Based on what we know at this time, we do expect that all repairs will be completed so that CR3 will return to service by mid-year.
Our current focus is on returning CR3 to service safely and quickly. Once CR3 returns to service, PEF plans to ask the Florida Public Service Commission to open a docketed matter regarding this outage so that the Commission and all interested parties can review all the relevant facts and information regarding the outage, the root cause, and the repair process.
The Company is confident that it will be able to continue to meet peak load and reserve margin requirements through company-owned generation and purchases if needed as it did during peak records earlier this month.