L-77-151, Proposed Amendment to Facility Operating License DPR-67 Regarding Secondary Water Chemistry Program: Difference between revisions

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{{#Wiki_filter:,M - BBS NRC FoRM 196                                                     U,S, NUCLEAR REGULATORY Co       SION     DOCKET NUMIIFR Ig.7BI FILE NUMBER
{{#Wiki_filter:NRC FoRM 196 U,S, NUCLEAR REGULATORY Co SION Ig.7BI
          ~gRC   DISTRIBUTION FoR PART 50 DOCKET MATERIAL 4
~gRC DISTRIBUTION FoR PART 50 DOCKET MATERIAL DOCKET NUMIIFR
TQr                                                     FROM:                                             DATE OF DOCUMENT Florida   Power Bc Light Company                     5/20/77 Miami, Florida                                    DATE RECEIVED Mr. Victor Stello                              Ri E ~ Uhrig                                              5/23/77 g .'ETTER                   PNOTORI2ED                 PROP                     INPUT FORM               NUMBER OF COPIES RECEIVED D ~icA~-
,M - BBS FILE NUMBER 4
g<)RIGINAL                NC LASS I F I E 0 P COPY, DESCRIPTION                                                              ENCLOSURE
TQr Mr. Victor Stello FROM:
                  ~ ~ ~ ~ ~ ~                                                       to OL/change to.Appendix A tech I'mdti I
Florida Power Bc Light Company Miami, Florida Ri E ~ Uhrig DATE OF DOCUMENT 5/20/77 DATE RECEIVED 5/23/77 g.'ETTER g<)RIGINAL P COPY, DESCRIPTION PNOTORI2ED NC LASS IF I E 0 PROP INPUT FORM ENCLOSURE NUMBER OF COPIES RECEIVED D~icA~-
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~   REG   FIT                                 SYSTEMS SAFETY                PLANT SYSTEMS                    SXTE SAFE PDR                                 HEXNEIIAN                      TEDESCO I   & E                                   SCHROEDER OELD GOSSICK & STAFF                           ENGXNEERXNG                    XPPOLXTO                        E MIPC                                       MACARRY                                                          ERNST CASE                                     BOSNAK                                                            BALLARD HANAUER                                   SXINEXL                        OPERATING REACTORS              YOUNCBLOOD HARLESS                                   PAWLXCK                        STELLO SXTE TECH PROJECT MANAGEIKNT                         REACTOR SAFE                    OPERATING TECH                  GAMMXLL BOYD                                       ROSS                            EISENHUT                        STEPP P COLLINS                                                                                                   HULMAN HOUSTON                                   ROSZTOCZY PETERSON                                   CHECK                                                            SITE ANALYSIS MELTZ                                                                                                       VOLLIIER HELTEMES                                   AT& I                                                           BIJNCH SKOVIIOLT                                  SALTZMAN                                                         J~    COLLINS RIJTBERG                                                         KREGER EXTERNAL DISTRIBUTION                                                   CONTROL NUMBER LPDR                                  NAT LAB                             0+KjQgp TIC:                                  REG V IE                          ULRIKSON       QRN NSIC:                                  LA PDR 771440 1 i%
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ASLB:                                 CONSULTANTS!
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~ ~ ~ ~ ~
I.iu[(i'I$@LLlg PLANT NAME:
'St+ Lucie Unit No.
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CONSULTANTS!
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ACRS CYS RMMSlG/ E T CrPf


P.O. BOX 3100 MIAMI, FLORIDA 33101 p',.
P.O. BOX 3100 MIAMI,FLORIDA 33101 p',.
FLORIDA POWER & LIGHT COMPANY May'20, 1977 L-77-151                         CJ RBgglgtOT'J           f$B Director of Nuclear Reactor Regulation Attention: Mr. Victor Stello, Director U. S.
FLORIDA POWER & LIGHT COMPANY May'20, 1977 L-77-151 f$
Division of Operating Records Nuclear Regulatory Commission               .      aECf          ) .
B CJ RBgglgtOT'J Director of Nuclear Reactor Regulation Attention:
Washington, D.C. 20555                                     MAY23 197/~
Mr. Victor Stello, Director Division of Operating Records U.
LI,II, FeaFAR atOUPIOC
S. Nuclear Regulatory Commission Washington, D.C.
20555


==Dear Mr. Stello:==
==Dear Mr. Stello:==
9'e:
aECf
St. Lucie Unit   1 Docket No. 50-335 Proposed Amendment   to Facilit   0 eratin License DPR-67 A November 15,     1976 letter from Mr. Dennis L. Ziemann of your staff requested that we submit a secondary water chemistry program for inclusion in our St. Lucie Unit 1 Technical Specifications. We have considered the bases and effects of such technical specifi-cations and have concluded that, for the following reasons, limiting conditions for operation should not be placed on secondary water chemistry:
).
: l. The safety aspects of steam generator pressure boundary integrity   are addressed by Technical Specification 3.4.6.2.C. This specification establishes a steam generator tube leakage limit and requirements for plant shutdown should the limit be exceeded.
MAY23197/~
: 2. Technical Specification 4.4.5 is directed toward ensuring the integrity of steam generators by means of eddy current testing consistent with Regulatory Guide 1.83, "Xnservice Xnspection of Pressurized Water Reactor Steam Generator Tubes." Such testing provides a means by which the integrity of individual tubes can be evaluated during periodic planned outages.
LI,II,FeaFAR atOUPIOC 9'e:
: 3. Technical Specification 4.4.5 is directed toward assuring the integrity of the steam generators without identifying the causes, if any, of their possible degradation. Potential causes might be deficiencies in design (including material selection), quality assurance, installation, and primary or secondary environments of the steam generator. Lengthy techni-cal specifications could conceivably be written to bar each potential cause of degradation. This would not, HELPING BUILD FLORIDA
St. Lucie Unit 1 Docket No.
50-335 Proposed Amendment to Facilit 0 eratin License DPR-67 A {{letter dated|date=November 15, 1976|text=November 15, 1976 letter}} from Mr. Dennis L. Ziemann of your staff requested that we submit a secondary water chemistry program for inclusion in our St. Lucie Unit 1 Technical Specifications.
We have considered the bases and effects of such technical specifi-cations and have concluded that, for the following reasons, limiting conditions for operation should not be placed on secondary water chemistry:
l.
The safety aspects of steam generator pressure boundary integrity are addressed by Technical Specification 3.4.6.2.C.
This specification establishes a steam generator tube leakage limit and requirements for plant shutdown should the limit be exceeded.
2.
Technical Specification 4.4.5 is directed toward ensuring the integrity of steam generators by means of eddy current testing consistent with Regulatory Guide 1.83, "Xnservice Xnspection of Pressurized Water Reactor Steam Generator Tubes."
Such testing provides a means by which the integrity of individual tubes can be evaluated during periodic planned outages.
3.
Technical Specification 4.4.5 is directed toward assuring the integrity of the steam generators without identifying the causes, if any, of their possible degradation.
Potential causes might be deficiencies in design (including material selection), quality assurance, installation, and primary or secondary environments of the steam generator.
Lengthy techni-cal specifications could conceivably be written to bar each potential cause of degradation.
This would not, HELPING BUILD FLORIDA


P II A
P II A
El k
El k


,l)irector of Nuclear     ctor Regulation Page 2 April 5, 1977 however, be consistent with our understanding of the purpose of technical specifications as authorized by the Atomic Energy Act and as utilized by the Nuclear Regula-tory Commission.
,l)irector of Nuclear ctor Regulation Page 2
We understand that the purpose of technical specifications is to identify those parameters of design and operation whose violation, by some margin, would or could present an unacceptable safety risk. Thus, the term "limiting condi-tions for operation" is defined in 10 CFR 50.36(c) (2) as "the lowest functional capability of performance levels of equipment required for safe operation of the facility."
April 5, 1977
Xt is therefore appropriate to place a technical specifi-cation limit on the leakage through a primary boundary such as the steam generator tubing. However, in our judgment, it would not be appropriate to write a technical specification addressing the potential causes of degradation of such boundaries.
: however, be consistent with our understanding of the purpose of technical specifications as authorized by the Atomic Energy Act and as utilized by the Nuclear Regula-tory Commission.
: 4. Technical specifications would be particularly inappropriate to secondary water chemistry parameters whose equilibrium conditions fluctuate during normal plant operational modes, such as power changes, startups and shutdowns. There is no evidence that short-term variations in secondary water chemistry are significant to steam generator tube integrity.
We understand that the purpose of technical specifications is to identify those parameters of design and operation whose violation, by some margin, would or could present an unacceptable safety risk.
Technical specification limitations on such fluctuations could only res'ult in enforcement problems, lack of operational flexibility and diminution of the safety significance of technical specifications. Deviations from secondary water quality guidelines are not a safety problem and are therefore not appropriately the subject of technical specifications; the condition of steam generator tubes, on the other hand, is appropriate for such consideration and technical speci-fications exist to provide for direct monitoring of the condition of the steam generator tubes in order to assure that continued integrity is maintained.
Thus, the term "limiting condi-tions for operation" is defined in 10 CFR 50.36(c)
: 5. The unnecessary proliferation of technical specifications should be avoided. Since the addition, deletion or revi-sion of technical specifications involves the formal, time-consuming license amendment process, the technical specifications should contain only those requirements that are directly relatable to safe operation, Other means should be utilized for providing direction on matters that, are indirectly related to the safety of operation. There are many examples of this philosophy at operating plants, wherein many operating practices, procedures, tests, plans, etc., are covered by means other than the imposition of technical specifications.
(2) as "the lowest functional capability of performance levels of equipment required for safe operation of the facility."
: 6. The November 15, 1976 letter also addresses the need for continual monitoring and control of steam side water chemistry in order to ensure against an accumulation of harmful impurities in the steam generators. We agree that for long-term reliability and continued assurance of tube integrity, a chemistry
Xt is therefore appropriate to place a technical specifi-cation limit on the leakage through a primary boundary such as the steam generator tubing.
However, in our judgment, it would not be appropriate to write a technical specification addressing the potential causes of degradation of such boundaries.
4.
Technical specifications would be particularly inappropriate to secondary water chemistry parameters whose equilibrium conditions fluctuate during normal plant operational
: modes, such as power changes, startups and shutdowns.
There is no evidence that short-term variations in secondary water chemistry are significant to steam generator tube integrity.
Technical specification limitations on such fluctuations could only res'ult in enforcement
: problems, lack of operational flexibility and diminution of the safety significance of technical specifications.
Deviations from secondary water quality guidelines are not a safety problem and are therefore not appropriately the subject of technical specifications; the condition of steam generator
: tubes, on the other hand, is appropriate for such consideration and technical speci-fications exist to provide for direct monitoring of the condition of the steam generator tubes in order to assure that continued integrity is maintained.
5.
6.
The unnecessary proliferation of technical specifications should be avoided.
Since the addition, deletion or revi-sion of technical specifications involves the formal, time-consuming license amendment
: process, the technical specifications should contain only those requirements that are directly relatable to safe operation, Other means should be utilized for providing direction on matters that, are indirectly related to the safety of operation.
There are many examples of this philosophy at operating plants, wherein many operating practices, procedures,
: tests, plans, etc.,
are covered by means other than the imposition of technical specifications.
The {{letter dated|date=November 15, 1976|text=November 15, 1976 letter}} also addresses the need for continual monitoring and control of steam side water chemistry in order to ensure against an accumulation of harmful impurities in the steam generators.
We agree that for long-term reliability and continued assurance of tube integrity, a chemistry


iDirector of Nuclear   R   tor Regulation Page 3 April 5,   1977 control program is necessary. The specific chemistry guidelines are periodically updated in conjunction with the steam system supplier recommendations.     Chemistry data and records are maintained at the plant site and are subject to review by the NRC or any other authorized activity.
iDirector of Nuclear R
tor Regulation Page 3
April 5, 1977 control program is necessary.
The specific chemistry guidelines are periodically updated in conjunction with the steam system supplier recommendations.
Chemistry data and records are maintained at the plant site and are subject to review by the NRC or any other authorized activity.
Regulatory review can then result in,a critique of our ability to maintain chemistry within established guidelines and can result in corrective action when necessary.
Regulatory review can then result in,a critique of our ability to maintain chemistry within established guidelines and can result in corrective action when necessary.
The above arguments against limiting conditions for operation also apply to detailed surveillance requirements, however, an entry into the technical specifications requiring that a surveillance program be practiced is not objectionable. Therefore, we have prepared a proposed amendment along those lines and now submit it. for your review. Xn accordance with 10 CFR 50.30, three (3) originals and forty (40) copies of the proposal to amend Appendix A of Operating License DPR-67 are hereby submitted for your consideration.       The proposed changes are described below and shown on the accompanying Technical Specification pages bearing the date of this letter in the lower right hand corner.
The above arguments against limiting conditions for operation also apply to detailed surveillance requirements,
Pages   3/4 7-10 through 7-12 Specification 3.7.1.6 is revised and Specification 4.7.1.6 is revised to refer to approved plant procedures.
: however, an entry into the technical specifications requiring that a surveillance program be practiced is not objectionable.
Page B 3/4 7-3 Bases section 3/4.7.1.6 is revised to be consistent with our position on secondary water chemistry.
Therefore, we have prepared a proposed amendment along those lines and now submit it. for your review.
The proposed amendment has been reviewed by the St. Lucie Facility Review Group and the Florida Power a. Light Company Nuclear Review Board. They have concluded that safety question.
Xn accordance with 10 CFR 50.30, three (3) originals and forty (40) copies of the proposal to amend Appendix A of Operating License DPR-67 are hereby submitted for your consideration.
it does not involve an unreviewed Very         yours, R. E. Uhrig Vice President REU/MAS/pg Attachment cc:   Norman C. Moseley, Region XI Robert Lowenstein, Esquire
The proposed changes are described below and shown on the accompanying Technical Specification pages bearing the date of this letter in the lower right hand corner.
Pages 3/4 7-10 through 7-12 Specification 3.7.1.6 is revised and Specification 4.7.1.6 is revised to refer to approved plant procedures.
Page B 3/4 7-3 Bases section 3/4.7.1.6 is revised to be consistent with our position on secondary water chemistry.
The proposed amendment has been reviewed by the St. Lucie Facility Review Group and the Florida Power
: a. Light Company Nuclear Review Board.
They have concluded that it does not involve an unreviewed safety question.
Very
: yours, R. E. Uhrig Vice President REU/MAS/pg Attachment cc:
Norman C. Moseley, Region XI Robert Lowenstein, Esquire


I l
I l l'
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PLANT SYSTEMS SECONDARY lJATER CHEMISTRY LIMITIHG CONDITION FOR OPERATION 3.7.1.6 There are no 1imiting conditions for operation associated with secondary water chemistry.
PLANT SYSTEMS SECONDARY lJATER CHEMISTRY LIMITIHG CONDITION FOR OPERATION 3.7.1.6 There are no 1imiting conditions for operation associated with secondary water chemistry.
SURVEILLANCE REQUIREMENTS 4.7.1.6 The secondary ~ater chemistry shall 'be determined to be within procedural limits by analysis in accordance with approved plant procedures.
SURVEILLANCE REQUIREMENTS 4.7.1.6 The secondary ~ater chemistry shall 'be determined to be within procedural limits by analysis in accordance with approved plant procedures.
ST. LUCIE - UNIT 1                 3/4 7-10                 . 5/20/77
ST.
LUCIE - UNIT 1 3/4 7-10
. 5/20/77


BLANK ST. LUCIE UNIT 1   3/a 7-zz
BLANK ST.
LUCIE UNIT 1 3/a 7-zz


1 BLANK ST. LUCIE  UNIT 1 3/4 7-12
1


PLANT SYSTEHS BASES 3/4.7.1.5      HAIN STEAH LINE ISOL'ATION VALVES
BLANK ST.
                                                                                      \
LUCIE UNIT 1 3/4 7-12
The OPERABILITY of the main steam line iso'lation valves no more than one steam generator will blowdown in the event ensures'hat of a steam  'line rupture.'This r estriction is required to 1) minimize the positive reactivity effects of the Reactor Coolant System cooldown --
associated with the blowdown, and 2) limit the pressure-rise within containment in the event the steam 'line rupture occurs within contain-ment. The OPERABILITY of the main steam isolation valves within the closure times of the surveillance requirements are consistent with the assumptions "used in the accident analyses.
3/4.7.1.6      SECONDARY llATER CllEHISTRY Operating history wi11 be used to establish appropriate limits
,on secondary    ~ater chemistry,and to determine appropriate frequencies for monitoring these parameters. Approved plant procedures will be used to administratively control secondary water chemistry.
3/4.7. 2  STEAN GENERATOR PRESSURE/TEHPERATURE    LIMITATION The    limitation  on steam  generator pressure and temperature ensures that the pressure induced stresses in the steam generators'. do not exceed the maximum allowable fracture toughness stress limits. 'The limitations of 70'F and 200-'psig are based on a steam generator      RTNDT of 50'F          and are sufficient to prevent brittle fracture.
ST. LUCIE   -  UNIT 1             B 3/4 7-3                                  5/20/77


STATE OF FLORlDA     )
PLANT SYSTEHS BASES 3/4.7.1.5 HAIN STEAH LINE ISOL'ATION VALVES
                      )     ss COUNTY OF DADE       )
\\
being first     duly sworn, deposes             and says:
The OPERABILITY of the main steam line iso'lation valves ensures'hat no more than one steam generator will blowdown in the event of a steam 'line rupture.'This r estriction is required to 1) minimize the positive reactivity effects of the Reactor Coolant System cooldown --
That he Light is herein'f Executive Vice Preside Company, the Licensee Florida Power 6 That he has executed the foregoing document; that the state-ments made in this said document are true and correct to the
associated with the blowdown, and 2) limit the pressure-rise within containment in the event the steam 'line rupture occurs within contain-ment.
. best of his knowledge, information, and belief, and that he is authorized to execute the document on behalf of said Licensee E.     . Adomat Subscribed and sworn to before       me   this day of NOTARY P BLOC,   in and for the   County       of   Dade, State o Florida                         "MATE QF  PLORiDA COMIAISSION EXPIRES JAN.
The OPERABILITY of the main steam isolation valves within the closure times of the surveillance requirements are consistent with the assumptions "used in the accident analyses.
                                                                'Y 26, )979 ENDED ThRLI GENLRAL INSURANCE UNDERWR(IERS My commission expires:
3/4.7.1.6 SECONDARY llATER CllEHISTRY Operating history wi11 be used to establish appropriate limits
,on secondary ~ater chemistry,and to determine appropriate frequencies for monitoring these parameters.
Approved plant procedures will be used to administratively control secondary water chemistry.
3/4.7. 2 STEAN GENERATOR PRESSURE/TEHPERATURE LIMITATION The limitation on steam generator pressure and temperature ensures that the pressure induced stresses in the steam generators'.
do not exceed the maximum allowable fracture toughness stress limits. 'The limitations of 70'F and 200-'psig are based on a steam generator RTNDT of 50'F and are sufficient to prevent brittle fracture.
ST.
LUCIE - UNIT 1 B 3/4 7-3 5/20/77
 
STATE OF FLORlDA
)
)
COUNTY OF DADE
)
ss being first duly sworn, deposes and says:
That he is Executive Vice Preside Light Company, the Licensee herein'f Florida Power 6
That he has executed the foregoing document; that the state-ments made in this said document are true and correct to the
. best of his knowledge, information, and belief, and that he is authorized to execute the document on behalf of said Licensee E.
. Adomat Subscribed and sworn to before me this day of NOTARY P BLOC, in and for the County of Dade, State o
Florida "MATEQF PLORiDA
'Y COMIAISSION EXPIRES JAN.
26, )979 ENDED ThRLI GENLRAL INSURANCE UNDERWR(IERS My commission expires:


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Latest revision as of 02:10, 6 January 2025

Proposed Amendment to Facility Operating License DPR-67 Regarding Secondary Water Chemistry Program
ML18096B492
Person / Time
Site: Saint Lucie 
Issue date: 05/20/1977
From: Robert E. Uhrig
Florida Power & Light Co
To: Stello V
Office of Nuclear Reactor Regulation
References
L-77-151
Download: ML18096B492 (13)


Text

NRC FoRM 196 U,S, NUCLEAR REGULATORY Co SION Ig.7BI

~gRC DISTRIBUTION FoR PART 50 DOCKET MATERIAL DOCKET NUMIIFR

,M - BBS FILE NUMBER 4

TQr Mr. Victor Stello FROM:

Florida Power Bc Light Company Miami, Florida Ri E ~ Uhrig DATE OF DOCUMENT 5/20/77 DATE RECEIVED 5/23/77 g.'ETTER g<)RIGINAL P COPY, DESCRIPTION PNOTORI2ED NC LASS IF I E 0 PROP INPUT FORM ENCLOSURE NUMBER OF COPIES RECEIVED D~icA~-

R

~ ~

~

~

~

~

I I'mdtito OL/change to.Appendix A tech specs',

notoriz'ed 5/20/77 '

re secondary--

water chemzstry program

~ ~ ~ ~ ~

I.iu[(i'I$@LLlg PLANT NAME:

'St+ Lucie Unit No.

1 (3-P)

(5-P) muon ilBkl[E RJL SAFETY ASSIGNED AD:

NQH QK

~RO ~Ol IANAG L C ASST FOR ACTION/INFORMATION CKXP PROJECT MANAGER LXC ASST

~ REG FIT PDR I & E OELD GOSSICK & STAFF MIPC CASE HANAUER HARLESS PROJECT MANAGEIKNT BOYD P

COLLINS HOUSTON PETERSON MELTZ HELTEMES SKOVIIOLT LPDR TIC:

NSIC:

INTERNALD IST SYSTEMS SAFETY HEXNEIIAN SCHROEDER ENGXNEERXNG MACARRY BOSNAK SXINEXL PAWLXCK REACTOR SAFE ROSS ROSZTOCZY CHECK AT& I SALTZMAN RIJTBERG EXTERNAL DISTRIBUTION NAT LAB REG V IE LA PDR RI BUTION PLANT SYSTEMS TEDESCO XPPOLXTO OPERATING REACTORS STELLO OPERATING TECH EISENHUT 0+KjQgp ULRIKSON QRN SXTE SAFE E

ERNST BALLARD YOUNCBLOOD SXTE TECH GAMMXLL STEPP HULMAN SITE ANALYSIS VOLLIIER BIJNCH J ~ COLLINS KREGER CONTROL NUMBER 771440 1 i%

CONSULTANTS!

ASLB:

ACRS CYS RMMSlG/ E T CrPf

P.O. BOX 3100 MIAMI,FLORIDA 33101 p',.

FLORIDA POWER & LIGHT COMPANY May'20, 1977 L-77-151 f$

B CJ RBgglgtOT'J Director of Nuclear Reactor Regulation Attention:

Mr. Victor Stello, Director Division of Operating Records U.

S. Nuclear Regulatory Commission Washington, D.C.

20555

Dear Mr. Stello:

aECf

).

MAY23197/~

LI,II,FeaFAR atOUPIOC 9'e:

St. Lucie Unit 1 Docket No.

50-335 Proposed Amendment to Facilit 0 eratin License DPR-67 A November 15, 1976 letter from Mr. Dennis L. Ziemann of your staff requested that we submit a secondary water chemistry program for inclusion in our St. Lucie Unit 1 Technical Specifications.

We have considered the bases and effects of such technical specifi-cations and have concluded that, for the following reasons, limiting conditions for operation should not be placed on secondary water chemistry:

l.

The safety aspects of steam generator pressure boundary integrity are addressed by Technical Specification 3.4.6.2.C.

This specification establishes a steam generator tube leakage limit and requirements for plant shutdown should the limit be exceeded.

2.

Technical Specification 4.4.5 is directed toward ensuring the integrity of steam generators by means of eddy current testing consistent with Regulatory Guide 1.83, "Xnservice Xnspection of Pressurized Water Reactor Steam Generator Tubes."

Such testing provides a means by which the integrity of individual tubes can be evaluated during periodic planned outages.

3.

Technical Specification 4.4.5 is directed toward assuring the integrity of the steam generators without identifying the causes, if any, of their possible degradation.

Potential causes might be deficiencies in design (including material selection), quality assurance, installation, and primary or secondary environments of the steam generator.

Lengthy techni-cal specifications could conceivably be written to bar each potential cause of degradation.

This would not, HELPING BUILD FLORIDA

P II A

El k

,l)irector of Nuclear ctor Regulation Page 2

April 5, 1977

however, be consistent with our understanding of the purpose of technical specifications as authorized by the Atomic Energy Act and as utilized by the Nuclear Regula-tory Commission.

We understand that the purpose of technical specifications is to identify those parameters of design and operation whose violation, by some margin, would or could present an unacceptable safety risk.

Thus, the term "limiting condi-tions for operation" is defined in 10 CFR 50.36(c)

(2) as "the lowest functional capability of performance levels of equipment required for safe operation of the facility."

Xt is therefore appropriate to place a technical specifi-cation limit on the leakage through a primary boundary such as the steam generator tubing.

However, in our judgment, it would not be appropriate to write a technical specification addressing the potential causes of degradation of such boundaries.

4.

Technical specifications would be particularly inappropriate to secondary water chemistry parameters whose equilibrium conditions fluctuate during normal plant operational

modes, such as power changes, startups and shutdowns.

There is no evidence that short-term variations in secondary water chemistry are significant to steam generator tube integrity.

Technical specification limitations on such fluctuations could only res'ult in enforcement

problems, lack of operational flexibility and diminution of the safety significance of technical specifications.

Deviations from secondary water quality guidelines are not a safety problem and are therefore not appropriately the subject of technical specifications; the condition of steam generator

tubes, on the other hand, is appropriate for such consideration and technical speci-fications exist to provide for direct monitoring of the condition of the steam generator tubes in order to assure that continued integrity is maintained.

5.

6.

The unnecessary proliferation of technical specifications should be avoided.

Since the addition, deletion or revi-sion of technical specifications involves the formal, time-consuming license amendment

process, the technical specifications should contain only those requirements that are directly relatable to safe operation, Other means should be utilized for providing direction on matters that, are indirectly related to the safety of operation.

There are many examples of this philosophy at operating plants, wherein many operating practices, procedures,

tests, plans, etc.,

are covered by means other than the imposition of technical specifications.

The November 15, 1976 letter also addresses the need for continual monitoring and control of steam side water chemistry in order to ensure against an accumulation of harmful impurities in the steam generators.

We agree that for long-term reliability and continued assurance of tube integrity, a chemistry

iDirector of Nuclear R

tor Regulation Page 3

April 5, 1977 control program is necessary.

The specific chemistry guidelines are periodically updated in conjunction with the steam system supplier recommendations.

Chemistry data and records are maintained at the plant site and are subject to review by the NRC or any other authorized activity.

Regulatory review can then result in,a critique of our ability to maintain chemistry within established guidelines and can result in corrective action when necessary.

The above arguments against limiting conditions for operation also apply to detailed surveillance requirements,

however, an entry into the technical specifications requiring that a surveillance program be practiced is not objectionable.

Therefore, we have prepared a proposed amendment along those lines and now submit it. for your review.

Xn accordance with 10 CFR 50.30, three (3) originals and forty (40) copies of the proposal to amend Appendix A of Operating License DPR-67 are hereby submitted for your consideration.

The proposed changes are described below and shown on the accompanying Technical Specification pages bearing the date of this letter in the lower right hand corner.

Pages 3/4 7-10 through 7-12 Specification 3.7.1.6 is revised and Specification 4.7.1.6 is revised to refer to approved plant procedures.

Page B 3/4 7-3 Bases section 3/4.7.1.6 is revised to be consistent with our position on secondary water chemistry.

The proposed amendment has been reviewed by the St. Lucie Facility Review Group and the Florida Power

a. Light Company Nuclear Review Board.

They have concluded that it does not involve an unreviewed safety question.

Very

yours, R. E. Uhrig Vice President REU/MAS/pg Attachment cc:

Norman C. Moseley, Region XI Robert Lowenstein, Esquire

I l l'

r-a

PLANT SYSTEMS SECONDARY lJATER CHEMISTRY LIMITIHG CONDITION FOR OPERATION 3.7.1.6 There are no 1imiting conditions for operation associated with secondary water chemistry.

SURVEILLANCE REQUIREMENTS 4.7.1.6 The secondary ~ater chemistry shall 'be determined to be within procedural limits by analysis in accordance with approved plant procedures.

ST.

LUCIE - UNIT 1 3/4 7-10

. 5/20/77

BLANK ST.

LUCIE UNIT 1 3/a 7-zz

1

BLANK ST.

LUCIE UNIT 1 3/4 7-12

PLANT SYSTEHS BASES 3/4.7.1.5 HAIN STEAH LINE ISOL'ATION VALVES

\\

The OPERABILITY of the main steam line iso'lation valves ensures'hat no more than one steam generator will blowdown in the event of a steam 'line rupture.'This r estriction is required to 1) minimize the positive reactivity effects of the Reactor Coolant System cooldown --

associated with the blowdown, and 2) limit the pressure-rise within containment in the event the steam 'line rupture occurs within contain-ment.

The OPERABILITY of the main steam isolation valves within the closure times of the surveillance requirements are consistent with the assumptions "used in the accident analyses.

3/4.7.1.6 SECONDARY llATER CllEHISTRY Operating history wi11 be used to establish appropriate limits

,on secondary ~ater chemistry,and to determine appropriate frequencies for monitoring these parameters.

Approved plant procedures will be used to administratively control secondary water chemistry.

3/4.7. 2 STEAN GENERATOR PRESSURE/TEHPERATURE LIMITATION The limitation on steam generator pressure and temperature ensures that the pressure induced stresses in the steam generators'.

do not exceed the maximum allowable fracture toughness stress limits. 'The limitations of 70'F and 200-'psig are based on a steam generator RTNDT of 50'F and are sufficient to prevent brittle fracture.

ST.

LUCIE - UNIT 1 B 3/4 7-3 5/20/77

STATE OF FLORlDA

)

)

COUNTY OF DADE

)

ss being first duly sworn, deposes and says:

That he is Executive Vice Preside Light Company, the Licensee herein'f Florida Power 6

That he has executed the foregoing document; that the state-ments made in this said document are true and correct to the

. best of his knowledge, information, and belief, and that he is authorized to execute the document on behalf of said Licensee E.

. Adomat Subscribed and sworn to before me this day of NOTARY P BLOC, in and for the County of Dade, State o

Florida "MATEQF PLORiDA

'Y COMIAISSION EXPIRES JAN.

26, )979 ENDED ThRLI GENLRAL INSURANCE UNDERWR(IERS My commission expires:

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