PNP 2014-022, Response to Second Request for Additional Information Dated February 27, 2014 for Relief Request RR 4-18 - Proposed Alternative Use of ASME Code Case N-770-1 Baseline Examination: Difference between revisions

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=Text=
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{{#Wiki_filter:Entergy Entergy Nuclear Nuclear Operations, Operations, Inc.
{{#Wiki_filter:Entergy Nuclear Operations, Inc.
Inc.
Palisades Nuclear Plant
Palisades Palisades Nuclear Nuclear Plant Plant
.lintei 27780 Blue Star Memorial Highway Covert, Ml 49043-9530 Tel 269 764 2000 Anthony J. Vitale Site Vice President PNP 2014-022 March 04, 2014 U. S. Nuclear Regulatory Commission ATTN: Document Control Desk Washington, DC 20555-0001
    .lintei


27780 Blue 27780    Blue Star Star Memorial Memorial Highway Highway Covert, MI Covert,  Ml 49043-9530 49043-9530 Tel 269 Tel 269 764 764 2000 2000 Anthony J.
==SUBJECT:==
Anthony    J. Vitale Vitale Site Site Vice Vice President President PNP 2014-022 PNP 04, 2014 March 04, U. S. Nuclear Regulatory Commission U.
Response to Second Request for Additional Information dated February 27, 2014, for Relief Request Number RR 4-18 Proposed Alternative, Use of Alternate ASME Code Case N-770-1 Baseline Examination Palisades Nuclear Plant Docket 50-255 License No. DPR-20
Document Control Desk ATTN: Document               Desk Washington, DC 20555-0001
 
==References:==
: 1. Entergy Nuclear Operations, Inc. letter PNP 201 4-015, Relief Request Number RR 4 Proposed Alternative, Use ofAlternate ASME Code Case N-770- 1 Baseline Examination, dated February 25, 2014 2.
NRC Electronic Mail, Request for Additional Information
- Palisades
- RR 4 Proposed Alternative, Use ofAlternate ASME Code Case N-770-1 Baseline Examination
- MF3508, dated February 26, 2014
: 3. Entergy Nuclear Operations, Inc. letter PNP 2014-021, Response to Request for Additional Information dated Februa,y 26, 2014, for Relief Request Number RR 4-18 Proposed Alternative, Use of Alternate ASME Code Case N-770- 1 Baseline Examination, dated March 01, 2014 4.
NRC Electronic Mail, Palisades
- AR 4 2nd Set of RAIs TAC No. MF3508, dated February 27, 2014 Sir or Madam:
In Reference 1, Entergy Nuclear Operations, Inc. (ENO) requested Nuclear Regulatory Commission (NRC) approval of the Request for Relief for a Proposed Alternative for the Palisades Nuclear Plant (PNP). NRC approval was requested by March 8, 2014.
PNP 2014-022 March 04, 2014 Entergy Nuclear Operations, Inc.
Palisades Nuclear Plant 27780 Blue Star Memorial Highway Covert, MI 49043-9530 Tel 269 764 2000 Anthony J. Vitale Site Vice President U. S. Nuclear Regulatory Commission ATTN: Document Control Desk Washington, DC 20555-0001  


==SUBJECT:==
==SUBJECT:==
Response to Second Request for Additional Information dated February 27,2014, 27, 2014, for Relief Request Number RR 4 Proposed Alternative, Use of Alternate ASME Code Case N-770-1 Baseline Examination Palisades Nuclear Plant Docket 50-255 License No. DPR-20
Response to Second Request for Additional Information dated February 27,2014, for Relief Request Number RR 4 Proposed Alternative, Use of Alternate ASME Code Case N-770-1 Baseline Examination Palisades Nuclear Plant Docket 50-255 License No. DPR-20  


==References:==
==References:==
: 1. Entergy Nuclear Operations, Inc. letter PNP 2014-015,    201 4-015, Relief Request Number RR 4 Proposed Alternative, Use of Alternate
: 1. Entergy Nuclear Operations, Inc. letter PNP 2014-015, Relief Request Number RR 4 Proposed Alternative, Use of Altemate ASME Code Case N-770-1 Baseline Examination, dated Sir or Madam:
                                                      -                                          Altemate ASME Code Case N-770-1 N-770- 1 Baseline Examination, dated February 25, 2014
February 25, 2014
: 2. NRC Electronic Mail, Request for Additional Information - Palisades   -
: 2. NRC Electronic Mail, Request for Additional Information - Palisades  
                        - RR 4 Proposed Alternative, Use of Alternate ASME Code Case N-770-1 Baseline Examination - MF3508, dated February 26, 2014
- RR 4 Proposed Alternative, Use of Alternate ASME Code Case N-770-1 Baseline Examination - MF3508, dated February 26, 2014
: 3. Entergy
: 3. Entergy Nuclear Operations, Inc. letter PNP 2014-021, Response to Request for Additional Information dated February 26,2014, for Relief Request Number RR 4 Proposed Alternative, Use of Alternate ASME Code Case N-770-1 Baseline Examination, dated March 01,2014
: 3. Entergy Nuclear Operations, Inc. Inc. letter letter PNP 2014-021, 2014-021, Response to Request for Additional Information dated Februa,yFebruary 26,  26,2014, 2014, for Relief Request Number RR 4 Proposed Alternative, Use of Alternate ASME ASME Code Case N-770- N-770-11 Baseline Examination, dated       dated March March 01,  2014 01,2014
: 4. NRC Electronic Mail, Palisades - RR 4 2nd Set of RAJ's TAC No. MF3508, dated February 27,2014 In Reference 1, Entergy Nuclear Operations, Inc. (ENO) requested Nuclear Regulatory Commission (NRC) approval of the Request for Relief for a Proposed Alternative for the Palisades Nuclear Plant (PNP). NRC approval was requested by March 8, 2014.  
: 4. NRC Electronic
: 4. NRC    Electronic Mail, Mail, Palisades - AR
                                                            - RR 4 2nd Set of RAIs
                                                                        -                  RAJ's TAC No. MF3508, MF3508, dated dated February February 27, 27,2014 2014 Sir  or Madam:
Sir or  Madam:
In Reference In Reference 1,1, Entergy Entergy Nuclear Nuclear Operations, Operations, Inc.
Inc. (ENO)
(ENO) requested Nuclear Nuclear Regulatory Regulatory Commission Commission (NRC)
(NRC) approval approval of of the the Request Request for for Relief Relief for for aa Proposed Proposed Alternative Alternative for the the Palisades Palisades Nuclear     Plant (PNP).
Nuclear Plant    (PNP). NRCNRC approval approval was was requested requested by by March March 8, 8, 2014.
2014.


PNP 2014-022 PNP    2014-022 Page 22 Page Reference 11 is Reference      is associated associated with the use use of   alternative to the requirements of an alternative        requirements ofof the the Society of Mechanical American Society        Mechanical Engineers Engineers (ASME)
PNP 2014-022 Page 2 Reference 1 is associated with the use of an alternative to the requirements of the American Society of Mechanical Engineers (ASME) Boiler and Pressure Vessel Code, Code Case N-770-1, as conditioned by 10 CFR 50.55a(g)(6)(ii)(F)(1) and 10 CFR 50.55a(g)(6)(ii)(F)(3), dated June 21, 2011.
(ASME) Boiler Boiler and Pressure Pressure Vessel Code, N-770-1, as conditioned by 10 Code Case N-770-1,                          10 CFR CFR 50.55a(g)(6)(ii)(F)(1) and 10 CFR 50.55a(g)(6)(ii)(F)(3), dated June 21,2011.
In Reference 2, the NRC issued a request for additional information (RAI). ENO responded to the RAI in Reference 3.
10                                            21, 2011.
In Reference 4, the NRC issued a second RAI. The response to the second RAI is provided in Attachment 1.
request for additional information (RAI). END In Reference 2, the NRC issued a request                                            ENO responded to the RAIRAI in Reference 3.
In Reference 4, the NRC issued a second RAI.
In                                              RAI. The response to the second RAI is provided in Attachment 1. 1.
This submittal contains no proprietary information.
This submittal contains no proprietary information.
Summary of Commitments This letter contains no new commitments and one revision to an existing commitment.
Summary of Commitments This letter contains no new commitments and one revision to an existing commitment.
Commitment made by letter of February 25, 2014 (Reference 1):
Commitment made by letter of February 25, 2014 (Reference 1):
ENO will perform appropriate actions to meet ASME Section XI END                                                                Xl Code Case N-770-1 requirements, as required, for those dissimilar metal welds identified in examination requirements, ,1, Enclosure Table 1, of this request during the first refueling outage after a viable technology is developed to perform these examinations.
ENO will perform appropriate actions to meet ASME Section Xl Code Case N-770-1 examination requirements, as required, for those dissimilar metal welds identified in, Enclosure Table 1, of this request during the first refueling outage after a viable technology is developed to perform these examinations.
Revised commitment:
Revised commitment:
ENO END will comply with 10  10 CFR 50.55a(g)(6)(ii)(F) for the welds identified in ,1,  Enclosure   Table 1, 1, of Relief Request Number RR 4-18 by the end of the next scheduled refueling outage (1 R24).
ENO will comply with 10 CFR 50.55a(g)(6)(ii)(F) for the welds identified in, Enclosure Table 1, of Relief Request Number RR 4-18 by the end of the next scheduled refueling outage (1 R24).
Sincerely, ajv/jse ajv/jse
Sincerely, ajv/jse
(
(


==Attachment:==
==Attachment:==
: 1. Response to Second Request for Additional Information dated February 27, 2014, for Relief Request Number RR 4-18
Proposed Alternative, Use of Alternate ASME Code Case N-770-1 Baseline Examination
: 2. Radiological Dose Estimates PNP 2014-022 Page 2 Reference 1 is associated with the use of an alternative to the requirements of the American Society of Mechanical Engineers (ASME) Boiler and Pressure Vessel Code, Code Case N-770-1, as conditioned by 10 CFR 50.55a(g)(6)(ii)(F)(1) and 10 CFR 50.55a(g)(6)(ii)(F)(3), dated June 21,2011.
In Reference 2, the NRC issued a request for additional information (RAI). END responded to the RAI in Reference 3.
In Reference 4, the NRC issued a second RAI. The response to the second RAI is provided in Attachment 1.
This submittal contains no proprietary information.
Summary of Commitments This letter contains no new commitments and one revision to an existing commitment.
Commitment made by letter of February 25, 2014 (Reference 1):
END will perform appropriate actions to meet ASME Section XI Code Case N-770-1 examination requirements, as required, for those dissimilar metal welds identified in, Enclosure Table 1, of this request during the first refueling outage after a viable technology is developed to perform these examinations.
Revised commitment:
END will comply with 10 CFR 50.55a(g)(6)(ii)(F) for the welds identified in, Enclosure Table 1, of Relief Request Number RR 4-18 by the end of the next scheduled refueling outage (1 R24).
Sincerely, ajv/jse


==Attachment:==
==Attachment:==
1.
: 1. Response to Second Request for Additional Information dated February 27,2014, for Relief Request Number RR 4 Proposed Alternative, Use of Alternate ASME Code Case N-770-1 Baseline Examination
: 1. Response Response to    Second Request to Second   Request for for Additional Additional Information Information dated dated February February 27,  2014, for 27,2014,   for Relief Relief Request Request Number Number RRRR 4-18 4
: 2. Radiological Dose Estimates  
Proposed Proposed Alternative, UseUse of of Alternate Alternate ASME ASME Code Code Case Case N-770-1 N-770-1 Baseline Baseline Examination Examination 2.
: 2. Radiological    Dose Estimates Radiological Dose   Estimates


PNP 2014-022 PNP  2014-022 Page 33 Page cc:                   Region III, Administrator, Region Ill, USNRC USNRC Project Manager, Project Manager, Palisades, Palisades, USNRC USNRC Resident Inspector, Resident Inspector, Palisades, USNRC
PNP 2014-022 Page 3 cc:
Administrator, Region Ill, USNRC Project Manager, Palisades, USNRC Resident Inspector, Palisades, USNRC PNP 2014-022 Page 3 cc:
Administrator, Region III, USNRC Project Manager, Palisades, USNRC Resident Inspector, Palisades, USNRC  


ATTACHMENT 11 ATTACHMENT Response to Response     to Second Second Request Request for  for Additional Additional Information Information dated dated February February 27,2014, 27, 2014, for for Relief  Request    Number    RR Relief Request Number RR 4 Proposed    Proposed Alternative, Use   Use ofof Alternate ASME Code Code Case N-770-1 Case      N-770-1 Baseline Baseline Examination Examination By letter dated February By                February 25, 2014, Entergy Entergy Nuclear Operations (END)    (ENO) requested Nuclear Nuclear Regulatory Commission (NRC) approval of the Request            Request for Relief for a Proposed Alternative for the Palisades Nuclear Plant (PNP). By electronic mail,              mail, dated February February 27, 2014, the Nuclear Regulatory Commission Commission (NRC) (NRC) submitted submitted aa second second request for additional information. The requested information is provided below.
ATTACHMENT 1 Response to Second Request for Additional Information dated February 27, 2014, for Relief Request Number RR 4-18 Proposed Alternative, Use of Alternate ASME Code Case N-770-1 Baseline Examination By {{letter dated|date=February 25, 2014|text=letter dated February 25, 2014}}, Entergy Nuclear Operations (ENO) requested Nuclear Regulatory Commission (NRC) approval of the Request for Relief for a Proposed Alternative for the Palisades Nuclear Plant (PNP). By electronic mail, dated February 27, 2014, the Nuclear Regulatory Commission (NRC) submitted a second request for additional information. The requested information is provided below.
: 1.      NRC Information Request - Response to Question RAI-2.1 As part of the hardship associated with performing volumetric inspections this outage, a radiological total dose estimate of 37 REM was provided. However, as volumetric examinations would have been required this outage, the staff requests what portion of that dose is above the exposure to perform the examination, as required by 10 CFR 50.55(a) with appropriate planning and foresight. Please provide the basis for the dose estimates, e.g. a breakdown of doses for each weld for erecting scaffolding, conducting surveys, removing insulation, conducting      conductmg examinations, re-installing insulation, removing scaffolding, etc. Include the times required for each activity along with the estimates for general area dose rates and dose rates at 12 inches from the nozzles.
NRC Information Request Response to Question RAI-2.1 As part of the hardship associated with performing volumetric inspections this outage, a radiological total dose estimate of 37 REM was provided. However, as volumetric examinations would have been required this outage, the staff requests what portion of that dose is above the exposure to perform the examination, as required by 10 CFR 50.55(a) with appropriate planning and foresight. Please provide the basis for the dose estimates, e.g. a breakdown of doses for each weld for erecting scaffolding, conducting surveys, removing insulation, conductmg examinations, re-installing insulation, removing scaffolding, etc. Include the times required for each activity along with the estimates for general area dose rates and dose rates at 12 inches from the nozzles.
ENO Response Attachment 2, Radiological                 Estimates, provides detailed radiological dose "Radiological Dose Estimates,"
ENO Response, Radiological Dose Estimates, provides detailed radiological dose estimates for performing unplanned volumetric inspections this outage (Table 1) and dose estimates for performing the volumetric inspections with appropriate planning and foresight (Table 2). The total dose for performing unplanned volumetric inspections this outage is estimated to be approximately 37 Rem. The total dose with appropriate planning and foresight is estimated to be 14.5 Rem. provides a breakdown of dose for each weld, which includes erecting and removing scaffolding, conducting surveys, removing insulation, etc. The duration for each activity along with the general area dose rates and dose rates at 12 inches from the welds are also provided.
estimates for performing unplanned volumetric inspections this outage (Table 1)                  1) and dose estimates for performing the volumetric inspections with appropriate planning and foresight (Table 2). The total dose for performing unplanned volumetric inspections inspections this outage is    is estimated to be approximately 37 Rem. The total dose dose with appropriate planning and foresight is          is estimated to be 14.5 14.5 Rem.
Attachment 22 provides provides aa breakdown of dose      dose for each each weld, which includes includes erecting and removing scaffolding, conductingconducting surveys, removing insulation, etc. The duration duration for each activity along with the general area dose rates and              and dose rates at 12 12 inches inches from the the welds are also   also provided.
provided.
2.
2.
: 2.      NRC NRC Information      Request - Response Information Request             Response to Question Question RAI-2.2 RAI-2.2 10 10 CFR CFR 50.55a   (g) (6) (ii) (F) requires aa volumetric 50.55a(g)(6)(ii)(F)                   volumetric inspection inspection be be performed performed this this outage outage of   the subject of the subject buttbutt welds that that meets meets thethe requirements of  of Appendix Appendix VIII VIII of of ASME     Code. The proposed ASME Code.              proposed alternative alternative would manage manage the the potential for PWSCC cracking cracking by by monitoring monitoring for reactor coolant coolant pressure      boundary un/so/able pressure boundary       unisolable though 11 of of 77
NRC Information Request Response to Question RAI-2.2 10 CFR 50.55a(g)(6)(ii)(F) requires a volumetric inspection be performed this outage of the subject butt welds that meets the requirements of Appendix VIII of ASME Code. The proposed alternative would manage the potential for PWSCC cracking by monitoring for reactor coolant pressure boundary un/so/able though 1 of 7 ATTACHMENT 1 Response to Second Request for Additional Information dated February 27,2014, for Relief Request Number RR 4 Proposed Alternative, Use of Alternate ASME Code Case N-770-1 Baseline Examination By {{letter dated|date=February 25, 2014|text=letter dated February 25, 2014}}, Entergy Nuclear Operations (END) requested Nuclear Regulatory Commission (NRC) approval of the Request for Relief for a Proposed Alternative for the Palisades Nuclear Plant (PNP). By electronic mail, dated February 27, 2014, the Nuclear Regulatory Commission (NRC) submitted a second request for additional information. The requested information is provided below.
: 1.
NRC Information Request - Response to Question RAI-2.1 As part of the hardship associated with performing volumetric inspections this outage, a radiological total dose estimate of 37 REM was provided. However, as volumetric examinations would have been required this outage, the staff requests what portion of that dose is above the exposure to perform the examination, as required by 10 CFR 50.55(a) with appropriate planning and foresight. Please provide the basis for the dose estimates, e.g. a breakdown of doses for each weld for erecting scaffolding, conducting surveys, removing insulation, conducting examinations, re-installing insulation, removing scaffolding, etc. Include the times required for each activity along with the estimates for general area dose rates and dose rates at 12 inches from the nozzles.
ENO Response, "Radiological Dose Estimates," provides detailed radiological dose estimates for performing unplanned volumetric inspections this outage (Table 1) and dose estimates for performing the volumetric inspections with appropriate planning and foresight (Table 2). The total dose for performing unplanned volumetric inspections this outage is estimated to be approximately 37 Rem. The total dose with appropriate planning and foresight is estimated to be 14.5 Rem. provides a breakdown of dose for each weld, which includes erecting and removing scaffolding, conducting surveys, removing insulation, etc. The duration for each activity along with the general area dose rates and dose rates at 12 inches from the welds are also provided.
: 2.
NRC Information Request - Response to Question RAI-2.2 10 CFR 50.55a(g)(6)(ii)(F) requires a volumetric inspection be performed this outage of the subject butt welds that meets the requirements of Appendix VIII of ASME Code. The proposed alternative would manage the potential for PWSCC cracking by monitoring for reactor coolant pressure boundary unisolable though 1 of 7


wall leakage. This wall leakage. This is  unacceptable without is unacceptable     without significant significant hardship hardship or or compensating compensating basis for basis       ensuring leaktightness.
wall leakage. This is unacceptable without significant hardship or compensating basis for ensuring leaktightness. Provide the basis for why the following nondestructive examinations could not be performed in this outage for each weld:
for ensuring   leaktightness. Provide Provide the the basis basis for for why why the the following following nondestructive examinations nondestructive      examinations could could not not bebe performed in in this this outage outage for for each each weld:
A. The use of an ASME Code Section Xl Appendix VIII Supplement 10 qualified procedure using a manual phased array ultrasonic search unit with a large number of angles to examine the welds. The use of many angles could overcome the difficulties posed by the geometry of the weld. Additionally, if the manual phased array inspection procedure is validated by a later site-specific mockup demonstration, the inspection could be counted as a fully-qualified inspection.
weld:
B. Perform an eddy current or ultrasonic inspection from the inner diameter of the component to search for surface-breaking cracks.
A. The     use of The use   of an an ASME Code       Section XI Code Section       Xl Appendix VIIIVIII Supplement Supplement 10  10 qualified qualified using a manual phased array ultrasonic procedure using                                     ultrasonic search unit with with a large angles to examine number of angles         examine the welds. The use of many angles could overcome the difficulties posed by the      the geometry of  of the weld. Additionally, if the manual phased array inspection procedure is validated by a later site-specific demonstration, the mockup demonstration,         the inspection couldcould be counted as a fully-qualified fully-qualified inspection.
C. Use a high-angle ultrasonic inspection method (e.g. a 70 degree refracted longitudinal search unit) to determine if any crack tips are in the outer 25% of the weld metal.
B. Perform an eddy current or ultrasonic inspection from the inner diameter of the surface-breaking cracks.
For A through C above, identify the estimated dose to complete the examination at each of the affected welds.
component to search for surface-breaking C. Use a high-angle ultrasonic inspection method (e.g. a 70 degree refracted longitudinal search unit) to determine if any crack tips are in the outer 25% of the weld metal.
ENO Response A. To ensure reliable results of a manual phased array ultrasonic search unit with a large number of angles for examination of the subject welds, a Performance Demonstration Initiative (PDI) examination qualified to ASME Code, Section XI, Appendix VIII, Supplement 10 would be required. The complex geometry of the PNP subject welds will require mock-ups to be built in accordance with the industry standard Performance Demonstration Initiative (PDI), Site Specific Configuration Mockup Requirements for Dissimilar Metal Welds. The use of an existing ASME Code, Section Xl, Appendix VIII, Supplement 10 qualified examination that is not PDI-qualified for the PNP weld complex geometry is not in accordance with industry guidance (i.e., NDE Implementation Focus Group) and would most likely result in the identification of indications that could not be evaluated, resulting in unnecessary repairs. Further, attempting to examine first, and then qualify the procedure later, would most likely result in the use of a technique that could not be qualified, in addition to the identification of indications that could not be evaluated and require potentially unnecessary repairs. The hardships associated with the above options are discussed below:
Use Currently Qualified Manual Phased Array Examination Performing an inspection using a PDI-qualified manual ultrasonic phased array search unit with many angles, that is not qualified to the PNP weld geometry, would be a best effort informational exam producing inspection results that 2 of 7 wall leakage. This is unacceptable without significant hardship or compensating basis for ensuring leaktightness. Provide the basis for why the following nondestructive examinations could not be performed in this outage for each weld:
A. The use of an ASME Code Section XI Appendix VIII Supplement 10 qualified procedure using a manual phased array ultrasonic search unit with a large number of angles to examine the welds. The use of many angles could overcome the difficulties posed by the geometry of the weld. Additionally, if the manual phased array inspection procedure is validated by a later site-specific mockup demonstration, the inspection could be counted as a fully-qualified inspection.
B. Perform an eddy current or ultrasonic inspection from the inner diameter of the component to search for surface-breaking cracks.
C. Use a high-angle ultrasonic inspection method (e.g. a 70 degree refracted longitudinal search unit) to determine if any crack tips are in the outer 25% of the weld metal.
For A through C above, identify the estimated dose to complete the examination at each of the affected welds.
For A through C above, identify the estimated dose to complete the examination at each of the affected welds.
ENO Response A. To ensure reliable results of a manual phased array ultrasonic search unit with a large number of angles for examination of the subject welds, a Performance Demonstration Initiative (PDI) examination qualified to ASME Code, Section XI, Appendix VIII, Supplement 10      10 would be required. The complex geometry of the PNP subject welds will require mock-ups to be built in accordance with the industry standard Performance Demonstration Initiative (PDI), Site            "Site Specific Configuration Mockup Mockup Requirement Requirements     s for Dissimilar Metal Welds.
ENO Response A. To ensure reliable results of a manual phased array ultrasonic search unit with a large number of angles for examination of the subject welds, a Performance Demonstration Initiative (PDI) examination qualified to ASME Code, Section XI, Appendix VIII, Supplement 10 would be required. The complex geometry of the PNP subject welds will require mock-ups to be built in accordance with the industry standard Performance Demonstration Initiative (PDI), "Site Specific Configuration Mockup Requirements for Dissimilar Metal Welds." The use of an existing ASME Code, Section XI, Appendix VIII, Supplement 10 qualified examination that is not PDI-qualified for the PNP weld complex geometry is not in accordance with industry guidance (Le., NDE Implementation Focus Group) and would most likely result in the identification of indications that could not be evaluated, resulting in unnecessary repairs. Further, attempting to examine first, and then qualify the procedure later, would most likely result in the use of a technique that could not be qualified, in addition to the identification of indications that could not be evaluated and require potentially unnecessary repairs. The hardships associated with the above options are discussed below:
Welds." The use of an existing ASME Code, Section Xl,      XI, Appendix VIII, Supplement 10        10 qualified examination examination that is not not PDI-qualified for the PNP weld complex geometry is              is not not in accordance with industry industry guidance guidance (i.e.,
Use Currently Qualified Manual Phased Array Examination Performing an inspection using a PDI-qualified manual ultrasonic phased array search unit with many angles, that is not qualified to the PNP weld geometry, would be a "best effort" informational exam producing inspection results that 2 of 7
(Le., NDE Implementation Focus Group) and would most likelylikely result in the identification of indications that could not be evaluated, resulting in unnecessary repairs. Further, attempting to examine first, and then qualify qualify the procedure later,later, would most likely result in the use   use ofof aa technique technique   that could could not   be qualified, in addition to not be                            to the the identification identification of of indications that could could not   be evaluated and not be                and require potentially unnecessary unnecessary repairs. The The hardships hardships associated associated with the above above options options are discussed discussed below:
below:
Use Currently Use    Currently Qualified Qualified Manual Manual Phased Phased ArrayArray Examination Examination Performing Performing an an inspection inspection using using aa PDI-qualified PDI-qualified manual manual ultrasonic ultrasonic phased phased array array search search unit unit with with many many angles, angles, that that is is not not qualified qualified to to the the PNP PNP weld weld geometry, geometry, would would be be aa best effort" informational "best effort  informational examexam producing producing inspection inspection results results that that 22 of of 77


could   not be could not     further characterized.
could not be further characterized. ENOs current mock-up for the subject weld locations was designed before ASME Section Xl, Appendix VIII requirements were established. That is, this mock-up does not meet the Site Specific Configuration Mockup Requirements for Dissimilar Metal Welds, Revision C, that was developed by the PDI. Still, the mockup was used in conjunction with a current PDI-qualified manual phased array procedure, equipment, and personnel to determine if a qualified examination on this complex configuration could be produced. During the testing, known flaws within the mockup specimen could not be reliably detected. After the testing, it was determined, with EPRI, that in order to produce reliable results, the NDE Implementation Focus Group (NIFG) recommendations would have to be followed, which includes building samples and procedures that meet the approved PDI site specific configuration mockup requirements, and meet the current ASME Section Xl, Appendix VIII, Code and Code Case N-770-1 requirements.
be further   characterized. ENO's           current mock-up ENOs current      mock-up forfor the the subject subject weld weld locations locations  was   designed  before designed before     ASME       Section XI, Section  Xl, Appendix VIII VIII requirements requirements were established. That is,    is, this mock-up mock-up does not      not meet   the "Site meet the  Site Specific Specific Configuration Mockup Configuration      Mockup Requirements Requirements for Dissimilar Dissimilar Metal Metal Welds,"
The hardship associated with creation of a qualified examination for using manual phased array with a large number of angles is that industry precedence for the PNP weld geometry has not been demonstrated to date. As such, conceptual designs would require industry vetting prior to fabricating mock-ups and procedures. Significant input from the industry, including the NIFG, is required because current ASME codes do not adequately address the complex geometry of the subject welds. The addition of more angles adds to the complexity of an already complex exam, without an equivalent increase in exam fidelity because each search unit will require that its focus be maintained, proper inside diameter (ID) impingement angles be maintained over the entire scan, mis-orientation of angles be minimized, required examination coverage be obtained, and a sufficient sound path for calibration be available. Procedure instructions to evaluate examination results require development, such as detailed profile and plotting instructions, and flaw placement and length / depth sizing. Further, NIFG recommendations would need to be incorporated, such as the performance of in-field walkdowns, evaluation of the applicability of encoded and non-encoded techniques, and performance of computer modeling to ensure an effective probe selection and scan plan.
Welds, Revision Revision C, C,
In addition, EPRI review of the proposed technique, fabrication of mock-ups, purchase of ultrasonic testing probes, and delivery device (scanner) design and fabrication would also be required.
that was that        developed by was developed         the PDI.
Examine Welds Now and Qualify Later Examining the subject welds in the current PNP refueling outage (1 R23), with an unqualified procedure and then attempting to qualify the procedure after the refueling outage, has a low probability of success. The low probability of success is based on the fact that an ASME, Section Xl, Appendix VIII weld configuration for this complex geometry does not exist and, as such, PDI demonstrating these configurations using the current PDI-qualified method is highly unlikely. ENO has explored the use of a currently qualified procedure by 3 of 7 could not be further characterized. ENO's current mock-up for the subject weld locations was designed before ASME Section XI, Appendix VIII requirements were established. That is, this mock-up does not meet the "Site Specific Configuration Mockup Requirements for Dissimilar Metal Welds," Revision C, that was developed by the PDI. Still, the mockup was used in conjunction with a current PDI-qualified manual phased array procedure, equipment, and personnel to determine if a qualified examination on this complex configuration could be produced. During the testing, known flaws within the mockup specimen could not be reliably detected. After the testing, it was determined, with EPRI, that in order to produce reliable results, the NDE Implementation Focus Group (NIFG) recommendations would have to be followed, which includes building samples and procedures that meet the approved PDI site specific configuration mockup requirements, and meet the current ASME Section XI, Appendix VIII, Code and Code Case N-770-1 requirements.
by the   PDI. Still,   the mockup Still, the  mockup waswas used used inin conjunction conjunction with with aa current PDI-qualified current  PDI-qualified manual manual phased phased arrayarray procedure, procedure, equipment, equipment, and and examination on personnel to determine if a qualified examination               on this complex configuration could be produced. During During the testing,       known flaws within the mockup testing, known specimen could not be reliably detected. After the testing, it was determined, with EPRI, that in order to produce reliable results,    results, the NDE Implementation Focus Group (NIFG)
The hardship associated with creation of a qualified examination for using manual phased array with a large number of angles is that industry precedence for the PNP weld geometry has not been demonstrated to date. As such, conceptual designs would require industry vetting prior to fabricating mock-ups and procedures. Significant input from the industry, including the NIFG, is required because current ASME codes do not adequately address the complex geometry of the subject welds. The addition of more angles adds to the complexity of an already complex exam, without an equivalent increase in exam fidelity because each search unit will require that its focus be maintained, proper inside diameter (ID) impingement angles be maintained over the entire scan, mis-orientation of angles be minimized, required examination coverage be obtained, and a sufficient sound path for calibration be available. Procedure instructions to evaluate examination results require development, such as detailed profile and plotting instructions, and flaw placement and length / depth sizing. Further, NIFG recommendations would need to be incorporated, such as the performance of in-field walkdowns, evaluation of the applicability of encoded and non-encoded techniques, and performance of computer modeling to ensure an effective probe selection and scan plan. In addition, EPRI review of the proposed technique, fabrication of mock-ups, purchase of ultrasonic testing probes, and delivery device (scanner) design and fabrication would also be required.
(NIFG) recommendations recommendations would have to be followed, which includes building samples and procedures that meet the approved PDI site specific configuration mockup requirements, and meet the current ASME Section XI,Xl, Appendix VIII, Code and Code Case N-770-1 requirements.
Examine Welds Now and Qualify Later Examining the subject welds in the current PNP refueling outage (1 R23), with an unqualified procedure and then attempting to qualify the procedure after the refueling outage, has a low probability of success. The low probability of success is based on the fact that an ASME, Section XI, Appendix VIII weld configuration for this complex geometry does not exist and, as such, PDI demonstrating these configurations using the current PDI-qualified method is highly unlikely. ENO has explored the use of a currently qualified procedure by 3 of 7
The hardship associated with creation of a qualified examination for using manual phased array with a large number of angles is that industry precedence for the PNP weld geometry has not been demonstrated to date. As such, conceptual designs would require industry vetting prior to fabricating mock-ups and procedures. Significant input from the industry, including the NIFG, is required because current ASME codes do not adequately address the complex geometry of the subject welds. The addition of more angles adds to the complexity of an already complex exam, without an equivalent increase in exam fidelity because each search unit will require that its focus be maintained, proper inside diameter (ID) impingement angles be maintained over the entire scan, mis-orientation of angles be minimized, required examination coverage be obtained, and a sufficient sound path for calibration be available. Procedure instructions to evaluate examination results require development, such as detailed profile and plotting instructions, and flaw placement and length / depth sizing. Further, NIFG recommendations would need to be incorporated, such as the performance of in-field walkdowns, evaluation of the applicability of encoded and non-encoded techniques, and performance of computer modeling to ensure an effective probe selection and scan plan. In addition, EPRI review of the proposed technique, fabrication of of                                                of mock-ups, purchase of ultrasonic testing probes, and delivery device device    (scanner)     design and fabrication would also be required.
Examine Examine Welds Now    Now and Qualify Later Examining the the subject welds in the current PNP refueling outage      outage (1 (1 R23), with an unqualified procedure and then attempting to qualify        qualify the procedure procedure after after the refueling outage,     has aa low probability of outage, has                            of success. TheThe low low probability of success success is is based based onon the the fact that   an ASME, Section that an              Section Xl, XI, Appendix VIIIVIII weld weld configuration configuration for this this complex geometry geometry does  does not   exist and, not exist and, asas such, such, PDI PDI demonstrating demonstrating thesethese configurations configurations using using the the current PDI-qualified PDI-qualified method method is is highly highly unlikely.
unlikely. ENO    has ENO has explored explored the the use use of of aa currently currently qualified qualified procedure procedure byby 33 of of 77


using   an existing using an   existing mock-up.
using an existing mock-up. The mock-up contained known flaws that could not consistently be identified using currently available manual phased array techniques, and the addition of angles would not change this result. Performing such an examination prior to qualification would result in a best effort informational exam which would most likely result in additional hardships associated with evaluation and disposition of results. Performance of a best effort NDE exam, without a PDI-qualified examination demonstrated to be effective for the applicable complex weld geometry, has a high probability of producing erroneous results, such as detecting indications that cannot be further interrogated to determine validity or size. Adding to the already high probability of erroneous results is the fact that the post-fabrication radiographs of the subject welds include acceptable indications that would be detected by a manual phased array examination without a process to further characterize and evaluate them. Since the indications could not be accurately characterized and evaluated, mitigation actions could likely be required.
mock-up. The The mock-up mock-up contained contained known known flaws flaws that that could could not not consistently be consistently       identified using be identified   using currently        available manual currently available       manual phased phased array array techniques, and     the addition and the  addition ofof angles angles wouldwould not not change change this result.
Mitigation actions include development of a repair design(s) which has not been approved for these weld configurations.
result. Performing Performing such an examination prior such                      prior to qualification would result result inin a "best best effort" effort informational exam which would most informational                              most likely result result in in additional additional hardships hardships associated withwith evaluation and disposition of results. Performance Performance of a "best best effort NDE exam, without a PDI-qualified examination demonstrated to be effort" effective for the applicable complex weld geometry, has a high probability of erroneous results, such as detecting indications that cannot producing erroneous                                                                cannot be interrogated to determine validity or size. Adding to the already high further interrogated probability of erroneous results is the fact that the post-fabrication radiographs probability of the subject welds include acceptable indications that would be detected by a manual phased array examination without a process to further characterize and evaluate them. Since the indications could not be accurately characterized and evaluated, mitigation actions could likely be required.
In order to support implementation, tooling fabrication, mock-up testing, and qualification of procedures and personnel would have to be completed. For example, the hot leg drain line design includes removal of the line and installation of a weld overlay, which, based on weld geometry, would be a pad welded over the outside diameter of the pipe. Installation of such a pad would require an NRC-approved relief request. Depending on the design of the overlay, ultrasonic test procedures, personnel, and equipment may need to be qualified for the design. Finally, in order to implement this design, the reactor would have to be defueled, the hot leg would have to be drained, and hot leg plugs would have to be designed and installed. Implementation of this emergent weld overlay would have an outage schedule impact of greater than 30 days duration given the current configuration of PNP.
Dose Estimate The estimated dose to plant personnel to complete these examinations is 37 Rem. For mitigation, a dose of at least 27 Rem would be incurred for repair work plus another 68 Rem to remove and reinstall the reactor head, defuel and refuel the reactor, and remove and the reinstall the core support barrel. The examination dose is essentially the same dose as that incurred for the unplanned volumetric exam in the RAI-2.1 response. The repair dose is based on dose measured during the mitigation of Alloy 600 branch connection welds during the current refueling outage. The reactor disassembly and reassembly is based on dose measured during the current outage.
B. A PDI-qualified ultrasonic examination technique on this complex dissimilar metal weld configuration from the ID is not available. The tooling to perform an eddy current or ultrasonic inspection from the inner diameter of the components 4 of 7 using an existing mock-up. The mock-up contained known flaws that could not consistently be identified using currently available manual phased array techniques, and the addition of angles would not change this result. Performing such an examination prior to qualification would result in a "best effort" informational exam which would most likely result in additional hardships associated with evaluation and disposition of results. Performance of a "best effort" NDE exam, without a PDI-qualified examination demonstrated to be effective for the applicable complex weld geometry, has a high probability of producing erroneous results, such as detecting indications that cannot be further interrogated to determine validity or size. Adding to the already high probability of erroneous results is the fact that the post-fabrication radiographs of the subject welds include acceptable indications that would be detected by a manual phased array examination without a process to further characterize and evaluate them. Since the indications could not be accurately characterized and evaluated, mitigation actions could likely be required.
Mitigation actions include development of a repair design(s) which has not been approved for these weld configurations. In order to support implementation, tooling fabrication, mock-up testing, and qualification of procedures and personnel would have to be completed. For example, the hot leg drain line design includes removal of the line and installation of a weld overlay, which, based on weld geometry, would be a pad welded over the outside diameter of the pipe. Installation of such a pad would require an NRC-approved relief request. Depending on the design of the overlay, ultrasonic test procedures, personnel, and equipment may need to be qualified for the design. Finally, in order to implement this design, the reactor would have to be defueled, the hot leg would have to be drained, and hot leg plugs would have to be designed and installed. Implementation of this emergent weld overlay would have an outage schedule impact of greater than 30 days duration given the current configuration of PNP.
Mitigation actions include development of a repair design(s) which has not been approved for these weld configurations. In order to support implementation, tooling fabrication, mock-up testing, and qualification of procedures and personnel would have to be completed. For example, the hot leg drain line design includes removal of the line and installation of a weld overlay, which, based on weld geometry, would be a pad welded over the outside diameter of the pipe. Installation of such a pad would require an NRC-approved relief request. Depending on the design of the overlay, ultrasonic test procedures, personnel, and equipment may need to be qualified for the design. Finally, in order to implement this design, the reactor would have to be defueled, the hot leg would have to be drained, and hot leg plugs would have to be designed and installed. Implementation of this emergent weld overlay would have an outage schedule impact of greater than 30 days duration given the current configuration of PNP.
Dose Estimate The estimated dose dose to plant personnel personnel to complete these examinations is 37 Rem. For mitigation, a dose   dose ofof at least 27 Rem would be        be incurred for repair work plus another 68 Rem to remove and reinstall the reactor head, defuel and refuel the reactor, and remove and    and the reinstall the core support barrel. The examination    dose examination dose is    is essentially   the same same dosedose as that incurred for the unplanned unplanned volumetric exam in the RAI-2.1 response. The repair dose                   dose isis based on dose measured on dose    measured during during the mitigation mitigation of  of Alloy 600 600 branch connection connection welds during the current refueling during                refueling outage. The    The reactor disassembly disassembly and  and reassembly is   is based based on on dose dose measured measured during during the current outage.outage.
Dose Estimate The estimated dose to plant personnel to complete these examinations is 37 Rem. For mitigation, a dose of at least 27 Rem would be incurred for repair work plus another 68 Rem to remove and reinstall the reactor head, defuel and refuel the reactor, and remove and the reinstall the core support barrel. The examination dose is essentially the same dose as that incurred for the unplanned volumetric exam in the RAI-2.1 response. The repair dose is based on dose measured during the mitigation of Alloy 600 branch connection welds during the current refueling outage. The reactor disassembly and reassembly is based on dose measured during the current outage.
B. A PDI-qualified B. POI-qualified ultrasonic ultrasonic examination examination technique technique onon this this complex complex dissimilar dissimilar metal metal weld weld configuration configuration from from the the ID10 isis not not available.
B. A POI-qualified ultrasonic examination technique on this complex dissimilar metal weld configuration from the 10 is not available. The tooling to perform an eddy current or ultrasonic inspection from the inner diameter of the components 4 of?  
available. TheThe tooling tooling to to perform perform an an eddy current eddy            or ultrasonic current or   ultrasonic inspection inspection from from the the inner inner diameter diameter ofof the the components components 44 of of? 7


that contain that  contain the the subject subject welds welds is is not not currently currently available.
that contain the subject welds is not currently available. Access to the inner surface is limited. Creating a qualified examination and providing physical access to the inner surface of the subject welds would be a significant hardship to ENO. Further details on the hardships associate with just the hot leg drain nozzle weld follow. Similar hardships exist with the cold leg nozzle welds.
available. Access Access to to the the inner inner surface   is limited. Creating   a qualified examination surface is limited. Creating a qualified            examination andand providing providing physical physical access to access    to the the inner inner surface surface of of the the subject subject welds would would bebe aa significant significant hardship hardship to ENO.
Examination Possibilities If access to the inside diameter was possible, and limited stay times could be achieved, a surface examination using either an eddy current probe or dye penetrant would be used. Currently, remote eddy current equipment for this type of examination is not readily available and would need to be developed and demonstrated. This would take several months or more to accomplish. Another option, if remote capabilities were developed, would be to perform a dye penetrant examination. Industry operating experience shows that dye penetrant testing has not provided reliable results for detecting primary water stress corrosion cracking (PWSCC) due to the tightness of the crack openings on the surface.
ENO. Further Further details on thethe hardships hardships associate associate  with just the the hot hot leg leg drain drain nozzle weld follow. Similar nozzle                    Similar hardships hardships exist with the  the cold cold leg leg nozzle nozzle welds.
If indications were found, depth sizing would not be possible and external ultrasonic examination, as discussed in the response to RAI-2.2, subsection A, above, would still be required. This would most likely result in the performance of an unnecessary repair and associated hardships discussed in the RAI-2.2, subsection A, response above.
Examination Possibilities IfIf access to the inside diameter was possible, and limited stay times could be achieved, a surface examination using either an eddy current probe or dye penetrant would be used. Currently, remote eddy current        current equipment for this type of examination is not readily available and would need to be developed and demonstrated. This would take several months or more to accomplish. Another demonstrated.
Physical Limitations Personnel access to the inside diameter of the A hot leg to perform internal examinations is extremely limited. Access would only be possible after defueling, and then inserting a line plug into the hot leg from the reactor vessel side, draining of the hot leg and then removal of the nozzle dam from the steam generator nozzle after draining. The internal piping would be a high radiation and high contamination entry for the examination personnel. PNP does not have a line plug for the 42-inch hot leg or the examination delivery system at the current time to support examinations of the inside surface of the weld.
option, if remote capabilities were developed, would be to perform a dye penetrant examination. Industry operating experience shows that dye penetrant testing has not provided reliable results for detecting primary water stress corrosion cracking (PWSCC) due to the tightness of the crack openings on the surface. If indications were found, depth sizing would not be possible and external ultrasonic examination, as discussed in the response to RAI-2.2, subsection A, above, would still be required. This would most likely result in the performance of an unnecessary repair and associated hardships discussed in the RAI-2.2, subsection A, response above.
Dose Estimate The complexity and options in performing this examination make an estimation of dose highly variable, but the dose incurred would exceed the dose (27 Rem) incurred during mitigation of Alloy 600 branch connection welds during the current refueling outage, due to limited inside surface access.
Physical Limitations Personnel access to the inside diameter of the "A"          A hot leg to perform internal examinations is extremely limited. Access would only be possible after defueling, and then inserting a line plug into the hot leg from the reactor vessel side, draining of the hot leg and then removal of the nozzle dam from the steam generator nozzle after draining. The internal piping would be a high radiation and high contamination entry for the examination personnel. PNP does not have a line plug for the 42-inch hot leg or the examination delivery system at the current time to support examinations of the inside surface of the weld.
C.
Dose Estimate The complexity and options in      in performing performing this examination examination make an    an estimation of of dose highly highly variable, but but the dose incurred         would exceed the dose (27 incurred would                          (27 Rem) incurred   during mitigation of incurred during                  of Alloy 600600 branch connection welds during  during the current refueling outage, due  due to limited limited inside inside surface access.
The use of a high-angle ultrasonic inspection method (e.g., a 70 degree refracted longitudinal search unit) to determine whether any crack tips are in the outer 25% of the weld metal would involve the same hardships as the use of a qualified technique that is not qualified for the PNP complex weld geometry (see RAI-2.2, subsection A, response above). Similar to the RAI-2.2, subsection A, 5 of 7 that contain the subject welds is not currently available. Access to the inner surface is limited. Creating a qualified examination and providing physical access to the inner surface of the subject welds would be a significant hardship to ENO. Further details on the hardships associate with just the hot leg drain nozzle weld follow. Similar hardships exist with the cold leg nozzle welds.
access.
Examination Possibilities If access to the inside diameter was possible, and limited stay times could be achieved, a surface examination using either an eddy current probe or dye penetrant would be used. Currently, remote eddy current equipment for this type of examination is not readily available and would need to be developed and demonstrated. This would take several months or more to accomplish. Another option, if remote capabilities were developed, would be to perform a dye penetrant examination. Industry operating experience shows that dye penetrant testing has not provided reliable results for detecting primary water stress corrosion cracking (PWSCC) due to the tightness of the crack openings on the surface. If indications were found, depth sizing would not be possible and external ultrasonic examination, as discussed in the response to RAI-2.2, subsection A, above, would still be required. This would most likely result in the performance of an unnecessary repair and associated hardships discussed in the RAI-2.2, subsection A, response above.
C. The C. The use   of aa high-angle use of    high-angle ultrasonic ultrasonic inspection inspection method method (e.g.,
Physical Limitations Personnel access to the inside diameter of the "A" hot leg to perform internal examinations is extremely limited. Access would only be possible after defueling, and then inserting a line plug into the hot leg from the reactor vessel side, draining of the hot leg and then removal of the nozzle dam from the steam generator nozzle after draining. The internal piping would be a high radiation and high contamination entry for the examination personnel. PNP does not have a line plug for the 42-inch hot leg or the examination delivery system at the current time to support examinations of the inside surface of the weld.
(e.g., aa 70 70 degree degree refracted longitudinal refracted                  search unit) longitudinal search    unit) toto determine determine whether whether anyany crack crack tips tips are are in in the the outer  25%
Dose Estimate The complexity and options in performing this examination make an estimation of dose highly variable, but the dose incurred would exceed the dose (27 Rem) incurred during mitigation of Alloy 600 branch connection welds during the current refueling outage, due to limited inside surface access.
outer 25% of      the weld of the weld metal metal would would involve involve the same hardships the same    hardships as as the the use use of of aa qualified qualified technique technique that that is is not not qualified qualified for thethe PNP PNP complex complex weldweld geometry geometry (see (see RAI-2.2,   subsection RAI-2.2, subsection A,   A, response response above).above). Similar Similar to to the the RAI-2.2, RAI-2.2, subsection subsection A, A, 55 of of 77
C. The use of a high-angle ultrasonic inspection method (e.g., a 70 degree refracted longitudinal search unit) to determine whether any crack tips are in the outer 25% of the weld metal would involve the same hardships as the use of a qualified technique that is not qualified for the PNP complex weld geometry (see RAI-2.2, subsection A, response above). Similar to the RAI-2.2, subsection A, 5 of 7


response, the response,    the same     issues would same issues    would arise      when performing arise when   performing an an examination examination without without qualified procedure qualified procedure guidance, guidance, equipment equipment and  and personnel.
response, the same issues would arise when performing an examination without qualified procedure guidance, equipment and personnel. Recent industry operating experience and guidance cautions sites about performing examinations without demonstrated procedures, equipment and personnel. Use of only a high-angle 70 degree refracted longitudinal search unit would not confirm the presence or absence of a flaw, and would likely result in an unnecessary repair.
personnel. Recent Recent industry industry operating experience and   and guidance guidance cautions cautions sites about about performing performing examinations without examinations      without demonstrated demonstrated procedures, procedures, equipment and    and personnel.
Dose Estimate The estimated dose to plant personnel to complete these examinations is 37 Rem. For mitigation, a dose of at least 27 Rem would be incurred for repair work plus another 68 Rem to remove and reinstall the reactor head, defuel and refuel the reactor, and remove and the reinstall the core support barrel. The examination dose is essentially the same dose as that incurred for the unplanned volumetric exam in the RAI-2.1 response. The repair dose is based on dose measured during the mitigation of Alloy 600 branch connection welds during the current refueling outage. The reactor disassembly and reassembly is based on dose measured during the current outage.
personnel. UseUse of only a high-angle   70 degree   refracted longitudinal of only a high-angle 70 degree refracted           longitudinal search search unit unit would would not not confirm the confirm  the presence presence or or absence absence of of aa flaw, flaw, and and would likely likely result result inin an an repair.
It should be noted that a primary basis for the proposed alternative in the relief request are the benefits of the post weld heat treatment (PWHT) that was performed during fabrication of the subject welds. Testing and extensive industry experience demonstrate that Alloy 600 weldments that have been exposed to PWHT after welding have greatly reduced susceptibility to the occurrence of PWSCC. Additionally, calculations performed show that should a flaw of engineering size, crack growth rates are acceptably low due to PWHT. Therefore, the benefits of PWHT provide reasonable assurance of structural integrity and leak tightness which supports deferral of the required volumetric examinations to the next refueling outage (1 R24).
unnecessary repair.
3.
Dose Estimate The estimated dose to plant  plant personnel to complete these examinations is           is Rem. For mitigation, a dose of at least 37 Rem.                                        least 27 Rem Rem would be incurred for repair work plus another 68 Rem to remove and reinstall the reactor head, defuel and refuel the reactor, and remove and the reinstall the core support barrel. The examination dose is essentially the same dose as that incurred for the unplanned volumetric exam in the RAI-2.1 response. The repair dose is based on dose measured during the mitigation of Alloy 600 branch connection welds during the current refueling outage. The reactor disassembly and reassembly is based on dose measured during the current outage.
NRC Information Request Response to Question RAI-3.1 The NRC staffs understanding is that the licensees current proposed alternative is as follows;
: 1) Perform periodic system leakage tests in accordance with ASME Section XI Examination Category B-P. Table IWB-2500- 7 (Reference 10).
: 2) Perform visual and dye penetrant surface examinations of the welds in accordance with ASME requirements. During the 2012 (7R22) and 2074 (7R23) refueling outages, visual and external surface examinations of certain welds for which relief is requested identified no evidence of through-wall cracking or leakage for these components, as identified in Enclosure Table 1.
6 of 7 response, the same issues would arise when performing an examination without qualified procedure guidance, equipment and personnel. Recent industry operating experience and guidance cautions sites about performing examinations without demonstrated procedures, equipment and personnel. Use of only a high-angle 70 degree refracted longitudinal search unit would not confirm the presence or absence of a flaw, and would likely result in an unnecessary repair.
Dose Estimate The estimated dose to plant personnel to complete these examinations is 37 Rem. For mitigation, a dose of at least 27 Rem would be incurred for repair work plus another 68 Rem to remove and reinstall the reactor head, defuel and refuel the reactor, and remove and the reinstall the core support barrel. The examination dose is essentially the same dose as that incurred for the unplanned volumetric exam in the RAI-2.1 response. The repair dose is based on dose measured during the mitigation of Alloy 600 branch connection welds during the current refueling outage. The reactor disassembly and reassembly is based on dose measured during the current outage.
It should be noted that a primary basis for the proposed alternative in the relief request are the benefits of the post weld heat treatment (PWHT) that was performed during fabrication of the subject welds. Testing and extensive industry experience demonstrate that Alloy 600 weldments that have been exposed to PWHT after welding have greatly reduced susceptibility to the occurrence of PWSCC. Additionally, calculations performed show that should a flaw of engineering size, crack growth rates are acceptably low due to PWHT. Therefore, the benefits of PWHT provide reasonable assurance of structural integrity and leak tightness which supports deferral of the required volumetric examinations to the next refueling outage (1 R24).
It should be noted that a primary basis for the proposed alternative in the relief request are the benefits of the post weld heat treatment (PWHT) that was performed during fabrication of the subject welds. Testing and extensive industry experience demonstrate that Alloy 600 weldments that have been exposed to PWHT after welding have greatly reduced susceptibility to the occurrence of PWSCC. Additionally, calculations performed show that should a flaw of engineering size, crack growth rates are acceptably low due to PWHT. Therefore, the benefits of PWHT provide reasonable assurance of structural integrity and leak tightness which supports deferral of the required volumetric examinations to the next refueling outage (1 R24).
: 3. NRC Information Request - Response to Question RAI-3.1 The NRC staffs staff's understanding is that the licensees licensee's current proposed alternative is as follows; 1)
: 3.
  "1) Perform periodic system leakage leakage tests in accordance with ASME    ASME Section XI Examination Category B-P. B-P, Table IWB-2500-IW8-2500-17 (Reference 10). 10).
NRC Information Request - Response to Question RAI-3.1 The NRC staff's understanding is that the licensee's current proposed alternative is as follows; "1) Perform periodic system leakage tests in accordance with ASME Section XI Examination Category B-P, Table IW8-2500-1 (Reference 10).
: 2) Perform visual and dye penetrant surface examinations of the welds in accordance with ASME ASME requirements. During the 2012 (7R22)      (1R22) and 2074 2014 (7R23)
: 2) Perform visual and dye penetrant surface examinations of the welds in accordance with ASME requirements. During the 2012 (1R22) and 2014 (1R23) refueling outages, visual and external surface examinations of certain welds for which relief is requested identified no evidence of through-wall cracking or leakage for these components, as identified in Enclosure Table 1.
(1R23) refueling outages, visual and       external surface examinations of and external                              of certain certain welds for which relief is requested identified no    no evidence evidence ofof through-wall through-wall cracking or    or leakage for these components, as      as identified in Enclosure Table 1.      1.
6 of 7
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Pursuant to Pursuant    to 10 10 CFR CFR 50.55a(a)(3)(iiJ, 50.55a (a) (3) (ii), ENO ENO proposes proposes to     perform appropriate to perform  appropriate actions actions to to  meet   ASME     Section   Xl Code  Case Section XI Code Case N-770-1  N-770-1 examination examination requirements, requirements, as as required, for required,  for those those dissimilar dissimilar metal metal welds welds identified identified in in Enclosure Enclosure Table Table 11 of of this this request during the  the first refueling outage outage after aa viable viable technology technology is developed developed to   to examinations.11 perform these examinations.
Pursuant to 10 CFR 50.55a(a)(3)(ii), ENO proposes to perform appropriate actions to meet ASME Section Xl Code Case N-770-1 examination requirements, as required, for those dissimilar metal welds identified in Enclosure Table 1 of this request during the first refueling outage after a viable technology is developed to perform these examinations.
The NRC staff does not find the proposed alternative for            for future inspections inspections by the acceptable. At a minimum, the NRC staff would expect the licensee licensee to be acceptable.
The NRC staff does not find the proposed alternative for future inspections by the licensee to be acceptable. At a minimum, the NRC staff would expect the licensee to clearly identify the regulatory requirements and how those regulatory requirements will be met. The NRC staff expects the licensee to comply with 10 CFR 50.55a(G)(6)(ii)(F) during the next scheduled refueling outage.
to clearly identify the to                    the regulatory requirements and how those regulatory requirements will be met. The NRC staff expects the licensee to comply with 10                   10 50.55a (G) (6) (ii) (F) during the next scheduled refueling outage.
ENO Response Regulation 10 CFR 50.55a(g)(6)(ii)(F)(l) states Licensees of existing, operating pressurized water reactors as of July 21, 2011 shall implement the requirements of ASME Code Case N-770-1, subject to the conditions specified in paragraphs (g)(6)(ii)(F)(2) through (g)(6)(ii)(F)(1 0) of this section, by the first refueling outage after August 22, 2011.
CFR 50.55a(G)(6)(ii)(FJ ENO Response 50.55a(g)(6)(ii)(F)(l) states "Licensees Regulation 10 CFR 50.55a(g)(6)(ii)(F)(1)                   Licensees of existing, operating pressurized water reactors as of July 21, 2011 shall implement the requirements of ASME Code Case N-770-1, subject to the conditions specified in paragraphs (g)(6)(ii)(F)(1 0) of this section, by the first refueling outage (g)(6)(ii)(F)(2) through (g)(6)(ii)(F)(10) 2011.
Regulation 10 CFR 50.55a(g)(6)(ii)(F)(3) states that baseline examinations for welds in Code Case N-770-1, Table 1, Inspection Items A-i, A-2, and B, shall be completed by the end of the next refueling outage after January 20, 2012.
after August 22, 2011."
As discussed in the cover letter, ENO is revising the commitment made in Relief Request Number RR 4-18, dated February 25, 2014, as described below.
Regulation 10 CFR 50.55a(g)(6)(ii)(F)(3) states that baseline examinations for welds in Code Case N-770-1, Table 1, Inspection Items A-1,              A-i, A-2, and S,B, shall be completed by the end of the next refueling outage after January 20, 2012.
Commitment made by letter of February 25, 2014 (Reference 1):
As discussed in the cover letter, ENO   END is revising the commitment made in Relief Request Number RR 4-18, dated February 25,2014,        25, 2014, as described below.
ENO will perform appropriate actions to meet ASME Section XI Code Case N-770-1 examination requirements, as required, for those dissimilar metal welds identified in Attachment 1, Enclosure Table 1, of this request during the first refueling outage after a viable technology is developed to perform these examinations.
Commitment made by letter of February 25,2014        25, 2014 (Reference 1):
ENO END will perform appropriate actions to meet ASME Section XI Code Case N-770-1 examination requirements N-770-1                    requirements,, as required, for those dissimilar metal welds identified in Attachment 1,    1, Enclosure Table 1,  1, of this request during the first refueling outage after aa viable technology is        is developed developed to perform perform these examinations examinations.    .
Revised commitment:
Revised commitment:
ENO END will comply with 10     10 CFR CFR 50.55a(g)(6)(ii)(F) for the welds identified identified in in ,   1, Enclosure Enclosure Table 1,   1, of Relief Request Request Number RR 4-18,   4-18, by the end of  of the next next scheduled refueling outage outage (1 (1 R24).
ENO will comply with 10 CFR 50.55a(g)(6)(ii)(F) for the welds identified in, Enclosure Table 1, of Relief Request Number RR 4-18, by the end of the next scheduled refueling outage (1 R24).
77 of of 77
7 of 7 Pursuant to 10 CFR 50.55a(a)(3)(iiJ, ENO proposes to perform appropriate actions to meet ASME Section XI Code Case N-770-1 examination requirements, as required, for those dissimilar metal welds identified in Enclosure Table 1 of this request during the first refueling outage after a viable technology is developed to perform these examinations. 11 The NRC staff does not find the proposed alternative for future inspections by the licensee to be acceptable. At a minimum, the NRC staff would expect the licensee to clearly identify the regulatory requirements and how those regulatory requirements will be met. The NRC staff expects the licensee to comply with 10 CFR 50.55a(G)(6)(ii)(FJ during the next scheduled refueling outage.
ENO Response Regulation 10 CFR 50.55a(g)(6)(ii)(F)(1) states "Licensees of existing, operating pressurized water reactors as of July 21, 2011 shall implement the requirements of ASME Code Case N-770-1, subject to the conditions specified in paragraphs (g)(6)(ii)(F)(2) through (g)(6)(ii)(F)(10) of this section, by the first refueling outage after August 22, 2011."
Regulation 10 CFR 50.55a(g)(6)(ii)(F)(3) states that baseline examinations for welds in Code Case N-770-1, Table 1, Inspection Items A-1, A-2, and S, shall be completed by the end of the next refueling outage after January 20, 2012.
As discussed in the cover letter, END is revising the commitment made in Relief Request Number RR 4-18, dated February 25,2014, as described below.
Commitment made by letter of February 25,2014 (Reference 1):
END will perform appropriate actions to meet ASME Section XI Code Case N-770-1 examination requirements, as required, for those dissimilar metal welds identified in Attachment 1, Enclosure Table 1, of this request during the first refueling outage after a viable technology is developed to perform these examinations.
Revised commitment:
END will comply with 10 CFR 50.55a(g)(6)(ii)(F) for the welds identified in, Enclosure Table 1, of Relief Request Number RR 4-18, by the end of the next scheduled refueling outage (1 R24).
7 of 7
 
ATTACHMENT 2 RADIOLOGICAL DOSE ESTIMATES 3 Pages Follow ATTACHMENT 2 RADIOLOGICAL DOSE ESTIMATES 3 Pages Follow
 
DOSE RATES (mrem/hr)
Profile Dectection TWS Scaffold Insulation TOTAL CONTACT 12 Inch 0/A LDWA HOURS DOSE HOURS DOSE HOURS DOSE HOURS DOSE HOURS DOSE DOSE 2
Cold Leg 1
Charging Nozzle P-50A PCS-30-RCL-1A-11/2 120 70 50 14 1
184 0.75 105 1
140 11 650 6
200 1279 2 Cold Leg 2
Drain Nozzle P-50A PCS-30-RCL-1A-5/2 400 80 25 14 1
439 0.75 120 1
160 0
0 6
150 869 3 Cold Leg PZR Spray Nozzle P-50B PCS-30-RCL-1B-10/3 1800 320 150 20 1
1970 0.75 480 1
640 6
700 6
450 4240 2 Cold Leg P-SOB PCS-30-RCL-1B-5/2 700 120 60 20 1
780 0.75 180 1
240 0
0 6
250 1450 Drain Nozzle 2 Cold Leg Charging Nozzle P-SOC PCS-30-RCL-2A-11/2 120 80 25 23 1
168 0.75 120 1
160 6
420 6
150 1018 3 Cold Leg PZR 6
Spray Nozzle P-SOC PCS-30-RCL-2A-11/3 1800 330 150 23 1
1973 0.75 495 1
660 6
700 6
250 4078 2
Cold Leg Drain Nozzle P-SOC PCS-30-RCL-2A-5/2 780 130 50 23 1
853 0.75 195 1
260 0
0 6
250 1558 2 Cold Leg Drain /


ATTACHMENT 2 RADIOLOGICAL DOSE ESTIMATES 33 Pages Follow
8 Letdown Nozzle P-SOD PCS-30-RCL-2B-S/2 15000 300 200 35 1
15235 0.75 450 1
600 0
0 6
450 16735 2 Hot Leg Drain Nozzle AS/G PCS-42-RCL-1H-3/2 280 100 80 50 1
410 0.75 150 1
200 0
0 7
350 1110 22012 229 3060 I 2470 Profile
- 1 person at the weld, 1 person in the G/A, 1 firewatch in the LDWA Detection
- Requires 2 people at the weld or within arms length of the weld TWS
- Requires 2 people at the weld or within arms length of the weld Superviser Oversite - 1 person at all times in G/A to LDWA 2000 RP Technician (8% of prep and inspection dose) 2587 Scaffold and Insulation dose taken from work performed in 1R23 as tracked by work order Dose Rate data extracted from surveys PLP-1401-O291, PLP-1401-0459, PLP-1401-O27S, PLP-14O2-O500 and from dose reduction planning data DESCRIPTION Area 151 WELD ID Table 1 Dose Estimate for Unplanned Weld Prep and Examinations of ALLOY 600 Welds 2500 32337 Grand Total 36924 (all dose stated in mrem) 1 of 3 DESCRIPTION 1 2" Cold Leg Charging Nozzle 2 2" Cold Leg Drain Nozzle 3
3" Cold Leg PZR Spray Nozzle 4 2" Cold Leg Drain Nozzle 5
2" Cold Leg Charging Nozzle 6
3" Cold Leg PZR Spray Nozzle 7 2" Cold Leg Drain Nozzle 8
2" Cold Leg Drain /
Letdown Nozzle 9 2" Hot Leg Drain Nozzle Table 1 Dose Estimate for Unplanned Weld Prep and Examinations of ALLOY 600 Welds Area P-50A P-50A P-50B P-50B P-50C P-5OC P-50C P-50D AS/G 151 WELD ID DOSE RATES (mrem/hr)
Profile CONTACT 12 inch G/A LDWA HOURS DOSE PCS-30-RCL-lA-11/2 120 70 50 14 1
184 PCS-30-RCL -lA-5/2 400 80 25 14 1
439 PCS-30-RCL-1B-10/3 1800 320 150 20 1
1970 PCS-30-RCL-1B-5/2 700 120 60 20 1
780 PC5-30-RCL-2A-11/2 120 80 25 23 1
168 PCS-30-RCL-2A-11/3 1800 330 150 23 1
1973 PCS-30-RCL-2A-5/2 780 130 50 23 1
853 PCS-30-RCL-2B-5/2 15000 300 200 35 1
15235 PCS-42-RCL -1 H-3/2 280 100 80 50 1
410 1 22012 1 Profile - 1 person at the weld, 1 person in the G/A, 1 firewatch in the LDWA Detection - Requires 2 people at the weld or within arms length of the weld TWS - Requires 2 people at the weld or within arms length of the weld Superviser Oversite -1 person at all times in G/A to LDWA RP Technician (8% of prep and inspection dose)
Dectection HOURS DOSE 0.75 105 0.75 120 0.75 480 0.75 180 0.75 120 0.75 495 0.75 195 0.75 450 0.75 150
~
Scaffold and Insulation dose taken from work performed in 1R23 as tracked by work order TWS Scaffold Insulation TOTAL HOURS DOSE HOURS DOSE HOURS DOSE DOSE 1
140 11 650 6
200 1279 1
160 0
0 6
150 869 1
640 6
700 6
450 4240 1
240 0
0 6
250 1450,
1 160 6
420 6
150 1018 i 1
660 6
700 6
250 4078 1
260 0
0 6
250 1558 1
600 0
0 6
450 16735 1
200 0
0 7
350 1110 1 3060 J 1 2470 j l 2500 J 32337 Grand Total 36924 (all dose stated in mrem)
Dose Rate data extracted from surveys PLP-1401-0291, PLP-1401-0459, PLP-1401-0275, PLP-1402-0500 and from dose reduction planning data 1 of 3


Table 11 Table Dose Estimate Dose      Estimate for     for Unplanned Unplanned Weld        Weld Prep Prep and  and Examinations Examinations of        of ALLOY ALLOY 600    600 Welds Welds DESCRIPTION DOSE RATES DOSE     RATES (mrem/hr)
Table 2 Dose Estimate for Weld Prep and Examinations of ALLOY 600 Welds With Additional Dose Reduction Planning Implemented DOSE RATES (mrem/hr)
(mrem/hr)                  Profile Profile        Dectection Dectection          TWS TWS             Scaffold Scaffold          Insulation Insulation     TOTAL TOTAL DESCRIPTION           Area Area        151  WELD ID 151 WELD   ID CONTACT CONTACT    12 inch 12  Inch      0/A G/A      LDWA LDWA      HOURS HOURS        DOSE DOSE  HOURS HOURS    DOSE DOSE  HOURS HOURS    DOSE DOSE  HOURS HOURS      DOSE DOSE    HOURS HOURS    DOSE DOSE    DOSE DOSE 2 Cold 2"      Leg Cold Leg 11 Charging Nozzle Nozzle P-50A P-50A  PCS-30-RCL-1A-11/2 PCS-30-RCL-lA-11/2            120 120          70 70          50 50        14 14        11        184 184      0.75 0.75    105 105      11    140 140      11 11        650 650        66      200 200      1279 1279 Charging 2 Cold 2" Cold Leg Leg 22 Drain Nozzle Nozzle P-50A P-50A    PCS-30-RCL-lA-5/2 PCS-30-RCL    -1A-5/2        400 400          80 80          25 25        14 14        11        439 439      0.75 0.75    120 120      11    160 160      00        00        66      150 150      869 869 Drain 3 Cold 3" Cold Leg Leg PZR PZR 3                        P-50B P-50B  PCS-30-RCL-1B-10/3 PCS-30-RCL-1B-10/3            1800 1800        320 320        150 150        20 20        11        1970 1970      0.75 0.75    480 480      11    640 640      66        700 700        66      450 450      4240 4240 Spray Nozzle Spray  Nozzle 2 Cold 2" Cold Leg Leg 4                        P-SOB P-50B    PCS-30-RCL-1B-5/2 PCS-30-RCL-1B-5/2            700 700        120 120          60 60        20 20        11        780 780      0.75 0.75    180 180      11    240 240      00        00        66      250      1450 1450 ,
Profile Detection TWS Scffold Insulation TOTAL DESCRIPTION Area SI WELD ID
Drain Nozzle Drain Nozzle 2 Cold 2"      Leg Cold Leg 5                        P-SOC P-50C  PCS-30-RCL-2A-11/2 PC5-30-RCL-2A-11/2            120 120        80 80        25        23 23        11        168 168      0.75    120 120      11    160 160      66        420        6      150 150      1018 1018 Charging Nozzle Charging  Nozzle                                                                                                                                                                                            i 3 Cold 3"      Leg PZR Cold Leg  PZR 66        Nozzle Spray Nozzle P-SOC P-5OC  PCS-30-RCL-2A-11/3 PCS-30-RCL-2A-11/3            1800      330        150 150        23        1        1973    0.75    495      11    660        6        700        6      250 250      4078 4078 Spray 2 Cold 2"      Leg Cold Leg 7                        P-SOC P-50C  PCS-30-RCL-2A-5/2 PCS-30-RCL-2A-5/2            780      130          50 50        23        11        853      0.75    195 195      1      260        0          0          6      250 250      1558 1558 Drain Nozzle Drain Nozzle 2 Cold 2" Cold Leg Leg Drain Drain //
88 Letdown Nozzle        P-SOD P-50D  PCS-30-RCL-2B-S/2 PCS-30-RCL-2B-5/2          15000      300        200        35        1        15235    0.75    450      1      600        0          0          6      450      16735 16735 Letdown Nozzle 2 Hot 2" Hot Leg Leg 9                        AS/G AS/G    PCS-42-RCL-1 PCS-42-RCL    -1H-3/2 H-3/2        280        100 100          80        50        1        410      0.75    150      11      200      0          0          7      350 350      1110 1110 Drain Nozzle Drain Nozzle 22012 1 1 22012
                                                                                                                                  ~  229              3060 1 3060  J          I 1 2470    j        l 2500 J 32337 2500      32337 Profile Profile - 11 person at the weld, 11 person in the G/A, 1 1 firewatch in  in the LDWA Detection Detection -  - Requires  2 2  people  at at the  weld  or  within  arms  length arms length of the weld  weld Grand Total Grand      Total          36924 36924 TWS TWS - Requires RP Requires 22 people at the weld Superviser Superviser Oversite  1 person person at weld or  or within arms all times in at all arms length of to LDWA G/A to in G/A      LDWA              ---
of the weld weld 2000                                          (all dose (all  dose stated stated inin mrem)
RP Technician Technician (8% of    of prep prep and and inspection inspection dose) dose)                          2587 Scaffold Scaffold and and Insulation    dose taken Insulation dose  taken from from work work performed performed in  in 1R23 1R23 as as tracked by by work work order order Dose  Rate Dose Rate datadata extracted extracted from from surveys surveys PLP-1401-O        291, PLP-1401-04 PLP-1401-0291,      PLP-1401-0459,        PLP-1401-0275, 59, PLP-1401-O        PLP-1402-0500 27S, PLP-14O2-O      and from 500 and  from dose dose reduction reduction planning planning data data 11 of of 33


Table 22 Table Dose Estimate Dose      Estimate for      for Weld Weld Prep    Prep and and Examinations Examinations of          of ALLOY ALLOY 600    600 Welds Welds With      Additional              Dose With Additional Dose Reduction Planning      Reduction              Planning Implemented Implemented DESCRIPTION        Area          SI WELD WELD 10 DOSE RATES DOSE      RATES (mrem/hr)
CONTACT 12 inch G/A IoWA HOURS DOSE HOURS DOSE HOURS DOSE HOURS DOSE HOURS DOSE DOSE 2 Cold Leg 1
(mrem/hr)                  Profile Profile          Detection Detection            TWS TWS          Scffold Scaffold          Insulation Insulation    TOTAL I TOTAL DESCRIPTION        Area        151          ID CONTACT CONTACT        12 inch 12  inch      G/A G/A      IoWA LDWA      HOURS HOURS       DOSE DOSE   HOURS HOURS     DOSE DOSE HOURS HOURS  DOSE DOSE HOURS HOURS    DOSE DOSE    HOURS HOURS    DOSE DOSE  DOSE DOSE 2 Cold 2" Cold Leg Leg 11 Charging Nozzle     P-SOA P-50A  PCS-30-RCL-1A-11/2 PCS-30-RCl-1A-11/2              120 120            70 70          30 30        55        11        155 155   0.75 0.75    105 105    11    140 140  11 11      495 495        66    180 180  1075 1075 Charging Nozzle                                                                                                                                                                                        !
Charging Nozzle P-SOA PCS-30-RCL-1A-11/2 120 70 30 5
2 Cold 2" Cold leg Leg 22 Drain Nozzle        P-SOA P-50A    PCS-30-RCL-1A-5/2 PCS-30-RCl-1A-5/2              400 400            50 50          20 20        5S        11        425 425     0.75 0.75       75 75    11    100 100    00      00        66    120 120    720 720 I Drain Nozzle 3 Cold 3" Cold leg  PZR Leg PZR 3                      P-SOB P-50B  PCS-30-RCL-1B-10/3 PCS-30-RCl-1B-10/3              900 900          150 150           80 80         20 20          11        1000 1000   0.75 0.75     225 225    11    300 300    66    700 700        66    450 450   2675 2675 I Spray Nozzle Spray  Nozzle                                                                                                                                                                                          ,
1 155 0.75 105 1
2 Cold 2" Cold leg Leg 4 Drain Nozzle         P-SOB P-50B    PCS-30-RCL-1B-5/2 PCS-30-RCl-1B-5/2              500 500          60         40       20         11        560     0.75       90     11    120 120     0       0         6       250   1020 1020 Drain Nozzle 2" Cold leg 2 Cold  Leg 5 Charging Nozzle     P-SOC P-50C  PCS-30-RCL-2A-11/2 PCS-30-RCl-2A-11/2              80           50         20       20         1         120     0.75       75     1     100     6     420         6     150 150    865 865 Charging Nozzle Cold leg 3 Cold 3"          PZR Leg PZR 66 Spray Nozzle       P-SOC P-50C  PCS-30-RCL-2A-11/3 PCS-30-RCl-2A-11/3              900         155         80       23         1         1003     0.75       233     1     310     6     700         6       250   2496 2496 Spray Nozzle 2 Cold 2" Cold leg Leg 7  Drain Nozzle Drain Nozzle P-SOC P-5OC  PCS-30-RCL-2A-5/2 PCS-30-RCl-2A-5/2              400           65         30       23         1         453     0.75       98     1     130     a0      0         6     250     931 2 Cold Leg Drain /
140 11 495 6
88 2" Cold Leg Drain / P-50D P-50D  PCS-30-RCL-2B-5/2 PCS-30-RCl-2B-5/2              500         100         100       35         11        635     0.75       150 iSO     1 1      200     0       0         6     450     1435 1435 Letdown Nozzle letdown  Nozzle 2 Hot Leg 2" Hot  Leg 9 Drain Nozzle         AS/G AS/G    PCS-42-RCL-1H-3/2 PCS-42-RCl-1H-3/2              140           80         60       50         11        250     0.75       120 120    11    160 160    0         0       7       350     880 880 Drain Nozzle l 4601
180 1075 2 Cold Leg P-SOA PCS-30-RCL-1A-5/2 400 50 20 S
                                                                                                                        ~                  ~170 J
1 425 0.75 75 1
                                                                                                                                        '- 1170           1560 1560           2315 2315               2450 2450   12096 Profile -1
100 0
                                      - 1 person person at the weld, weld, 11 person in    in the the G/A, G/A, 11 firewatch in  in the the LDWA lDWA Detection - Requires Requires 2 2 people   at the at the   weld   or or within arms  length    of arms length of the weld the Grand Total Grand   Total           14564 14564 TWS - Requires 22 people TWS  -
0 6
people at    the weld at the   weld or or within   arms length within arms    length of   the weld of the Superviser Superviser Oversite Oversite - 11 person person at  at all times in all times    in G/A to LDWA G/A to  LDWA                1 1500 1500]                                          dose stated (all dose (all        stated in in mrem) mrem)
120 720 2
RP RP Technician Technician (8% (8% ofof prep prep and and inspection inspection dose) dose)                            968 968 Scaffold Scaffold and and Insulation     dose taken Insulation dose    taken from from work work performed performed in    1R23 as in 1R23     as tracked tracked by by work work order order Dose Dose Rate       data extracted Rate data    extracted fromfrom surveys surveys PLP-14O1-0 PLP-1401-0291, 291, PLP-1401-O PLP-1401-0459,       PLP-1401-0275, 459, PLP-1401-O    275, PLP-14-2-0500      and from PlP-14-2'()500 and from dose          reduction dose reduction planning planning data.
Drain Nozzle 3 Cold Leg PZR Spray Nozzle P-SOB PCS-30-RCL-1B-10/3 900 150 80 20 1
data.
1000 0.75 225 1
22 of of 33
300 6
700 6
450 2675 2
Cold Leg Drain Nozzle P-SOB PCS-30-RCL-1B-5/2 500 60 40 20 1
560 0.75 90 1
120 0
0 6
250 1020 2
Cold Leg Charging Nozzle P-SOC PCS-30-RCL-2A-11/2 80 50 20 20 1
120 0.75 75 1
100 6
420 6
150 865 3 Cold Leg PZR 6
Spray Nozzle P-SOC PCS-30-RCL-2A-11/3 900 155 80 23 1
1003 0.75 233 1
310 6
700 6
250 2496 2 Cold Leg Drain Nozzle P-SOC PCS-30-RCL-2A-5/2 400 65 30 23 1
453 0.75 98 1
130 0
0 6
250 931 2 Cold Leg Drain /
P-50D PCS-30-RCL-2B-5/2 500 100 100 35 1
635 0.75 iSO 1
200 0
0 6
450 1435 8
Letdown Nozzle 2 Hot Leg Drain Nozzle AS/G PCS-42-RCL-1H-3/2 140 80 60 50 1
250 0.75 120 1
160 0
0 7
350 880 4601 1170 1560 2315 2450 12096 Profile
- 1 person at the weld, 1 person in the G/A, 1 firewatch in the LDWA Detection
- Requires 2 people at the weld or within arms length of the weld Grand Total 14564 TWS
- Requires 2 people at the weld or within arms length of the weld Superviser Oversite
- 1 person at all times in G/A to LDWA 1500 (all dose stated in mrem)
RP Technician (8% of prep and inspection dose) 968 Scaffold and Insulation dose taken from work performed in 1R23 as tracked by work order Dose Rate data extracted from surveys PLP-14O1-0291, PLP-1401-O459, PLP-1401-O275, PLP-14-2-0500 and from dose reduction planning data.
2 of 3 DESCRIPTION Area 1 2" Cold Leg P-50A Charging Nozzle 2 2" Cold leg P-50A Drain Nozzle 3 3" Cold leg PZR P-50B Spray Nozzle 4 2" Cold leg P-50B Drain Nozzle 5 2" Cold leg P-50C Charging Nozzle 6 3" Cold leg PZR P-50C Spray Nozzle 7 2" Cold leg P-5OC Drain Nozzle 8 2" Cold Leg Drain /
P-50D letdown Nozzle 9 2" Hot Leg AS/G Drain Nozzle Table 2 Dose Estimate for Weld Prep and Examinations of ALLOY 600 Welds With Additional Dose Reduction Planning Implemented 151 WELD 10 DOSE RATES (mrem/hr)
Profile CONTACT 12 inch G/A LDWA HOURS DOSE PCS-30-RCl-1A-11/2 120 70 30 5
1 155 PCS-30-RCl-1A-5/2 400 50 20 5
1 425 PCS-30-RCl-1B-10/3 900 150 80 20 1
1000 PCS-30-RCl-1B-5/2 500 60 40 20 1
560 PCS-30-RCl-2A-11/2 80 50 20 20 1
120 PCS-30-RCl-2A-11/3 900 155 80 23 1
1003 PCS-30-RCl-2A-5/2 400 65 30 23 1
453 PCS-30-RCl-2B-5/2 500 100 100 35 1
635 PCS-42-RCl-1H-3/2 140 80 60 50 1
250 l ~
Profile -1 person at the weld, 1 person in the G/A, 1 firewatch in the lDWA Detection - Requires 2 people at the weld or within arms length of the weld TWS - Requires 2 people at the weld or within arms length of the weld Detection TWS Scaffold HOURS DOSE HOURS DOSE HOURS DOSE 0.75 105 1
140 11 495 0.75 75 1
100 0
0 0.75 225 1
300 6
700 0.75 90 1
120 0
0 0.75 75 1
100 6
420 0.75 233 1
310 6
700 0.75 98 1
130 a
0 0.75 150 1
200 0
0 0.75 120 1
160 0
0
'- ~170 J 1560 2315 Grand Total Insulation HOURS DOSE 6
180 6
120 6
450 6
250 6
150 6
250 6
250 6
450 7
350 2450 14564 Superviser Oversite - 1 person at all times in G/A to LDWA 1 1500]
(all dose stated in mrem)
RP Technician (8% of prep and inspection dose) 968 Scaffold and Insulation dose taken from work performed in 1R23 as tracked by work order Dose Rate data extracted from surveys PLP-1401-0291, PLP-1401-0459, PLP-1401-0275, PlP-14-2'()500 and from dose reduction planning data.
2 of 3 TOTAL I DOSE 1075 720 I
2675 I
1020 865 2496 931 1435 880 12096


Acronyms and Acronyms  and Component           Identificaton Numbers Component Identification       Numbers Pressurizer PZR - Pressurizer P-50A - Primary Coolant Pump P-50A P-50B - Primary Coolant Pump P-50B P-50B P-50C - Primary Coolant Pump P-50C P-50D - Primary Coolant Pump P-50D A S/G - Steam Generator E-50A G/A - General Area LDWA Low Dose Waiting Area LDWA-Profile - Examination Preparation Activities TWS - Through Wall Sizing RP - Radiation Protection 1 R23 - Refueling Outage Number 23 1
Acronyms and Component Identificaton Numbers PZR Pressurizer P-50A Primary Coolant Pump P-50A P-50B Primary Coolant Pump P-50B P-50C Primary Coolant Pump P-50C P-50D Primary Coolant Pump P-50D A S/G Steam Generator E-50A G/A General Area LDWA Low Dose Waiting Area Profile Examination Preparation Activities TWS Through Wall Sizing RP Radiation Protection 1 R23 Refueling Outage Number 23 3 of 3 Acronyms and Component Identification Numbers PZR - Pressurizer P-50A - Primary Coolant Pump P-50A P-50B - Primary Coolant Pump P-50B P-50C - Primary Coolant Pump P-50C P-50D - Primary Coolant Pump P-50D A S/G - Steam Generator E-50A G/A - General Area LDWA-Low Dose Waiting Area Profile - Examination Preparation Activities TWS - Through Wall Sizing RP - Radiation Protection 1 R23 - Refueling Outage Number 23 3 of 3}}
33 of of 33}}

Latest revision as of 22:55, 10 January 2025

Response to Second Request for Additional Information Dated February 27, 2014 for Relief Request RR 4-18 - Proposed Alternative Use of ASME Code Case N-770-1 Baseline Examination
ML14063A089
Person / Time
Site: Palisades Entergy icon.png
Issue date: 03/04/2014
From: Vitale A
Entergy Nuclear Operations
To:
Document Control Desk, Office of Nuclear Reactor Regulation
References
PNP 2014-022
Download: ML14063A089 (14)


Text

Entergy Nuclear Operations, Inc.

Palisades Nuclear Plant

.lintei 27780 Blue Star Memorial Highway Covert, Ml 49043-9530 Tel 269 764 2000 Anthony J. Vitale Site Vice President PNP 2014-022 March 04, 2014 U. S. Nuclear Regulatory Commission ATTN: Document Control Desk Washington, DC 20555-0001

SUBJECT:

Response to Second Request for Additional Information dated February 27, 2014, for Relief Request Number RR 4-18 Proposed Alternative, Use of Alternate ASME Code Case N-770-1 Baseline Examination Palisades Nuclear Plant Docket 50-255 License No. DPR-20

References:

1. Entergy Nuclear Operations, Inc. letter PNP 201 4-015, Relief Request Number RR 4 Proposed Alternative, Use ofAlternate ASME Code Case N-770- 1 Baseline Examination, dated February 25, 2014 2.

NRC Electronic Mail, Request for Additional Information

- Palisades

- RR 4 Proposed Alternative, Use ofAlternate ASME Code Case N-770-1 Baseline Examination

- MF3508, dated February 26, 2014

3. Entergy Nuclear Operations, Inc. letter PNP 2014-021, Response to Request for Additional Information dated Februa,y 26, 2014, for Relief Request Number RR 4-18 Proposed Alternative, Use of Alternate ASME Code Case N-770- 1 Baseline Examination, dated March 01, 2014 4.

NRC Electronic Mail, Palisades

- AR 4 2nd Set of RAIs TAC No. MF3508, dated February 27, 2014 Sir or Madam:

In Reference 1, Entergy Nuclear Operations, Inc. (ENO) requested Nuclear Regulatory Commission (NRC) approval of the Request for Relief for a Proposed Alternative for the Palisades Nuclear Plant (PNP). NRC approval was requested by March 8, 2014.

PNP 2014-022 March 04, 2014 Entergy Nuclear Operations, Inc.

Palisades Nuclear Plant 27780 Blue Star Memorial Highway Covert, MI 49043-9530 Tel 269 764 2000 Anthony J. Vitale Site Vice President U. S. Nuclear Regulatory Commission ATTN: Document Control Desk Washington, DC 20555-0001

SUBJECT:

Response to Second Request for Additional Information dated February 27,2014, for Relief Request Number RR 4 Proposed Alternative, Use of Alternate ASME Code Case N-770-1 Baseline Examination Palisades Nuclear Plant Docket 50-255 License No. DPR-20

References:

1. Entergy Nuclear Operations, Inc. letter PNP 2014-015, Relief Request Number RR 4 Proposed Alternative, Use of Altemate ASME Code Case N-770-1 Baseline Examination, dated Sir or Madam:

February 25, 2014

2. NRC Electronic Mail, Request for Additional Information - Palisades

- RR 4 Proposed Alternative, Use of Alternate ASME Code Case N-770-1 Baseline Examination - MF3508, dated February 26, 2014

3. Entergy Nuclear Operations, Inc. letter PNP 2014-021, Response to Request for Additional Information dated February 26,2014, for Relief Request Number RR 4 Proposed Alternative, Use of Alternate ASME Code Case N-770-1 Baseline Examination, dated March 01,2014
4. NRC Electronic Mail, Palisades - RR 4 2nd Set of RAJ's TAC No. MF3508, dated February 27,2014 In Reference 1, Entergy Nuclear Operations, Inc. (ENO) requested Nuclear Regulatory Commission (NRC) approval of the Request for Relief for a Proposed Alternative for the Palisades Nuclear Plant (PNP). NRC approval was requested by March 8, 2014.

PNP 2014-022 Page 2 Reference 1 is associated with the use of an alternative to the requirements of the American Society of Mechanical Engineers (ASME) Boiler and Pressure Vessel Code, Code Case N-770-1, as conditioned by 10 CFR 50.55a(g)(6)(ii)(F)(1) and 10 CFR 50.55a(g)(6)(ii)(F)(3), dated June 21, 2011.

In Reference 2, the NRC issued a request for additional information (RAI). ENO responded to the RAI in Reference 3.

In Reference 4, the NRC issued a second RAI. The response to the second RAI is provided in Attachment 1.

This submittal contains no proprietary information.

Summary of Commitments This letter contains no new commitments and one revision to an existing commitment.

Commitment made by letter of February 25, 2014 (Reference 1):

ENO will perform appropriate actions to meet ASME Section Xl Code Case N-770-1 examination requirements, as required, for those dissimilar metal welds identified in, Enclosure Table 1, of this request during the first refueling outage after a viable technology is developed to perform these examinations.

Revised commitment:

ENO will comply with 10 CFR 50.55a(g)(6)(ii)(F) for the welds identified in, Enclosure Table 1, of Relief Request Number RR 4-18 by the end of the next scheduled refueling outage (1 R24).

Sincerely, ajv/jse

(

Attachment:

1. Response to Second Request for Additional Information dated February 27, 2014, for Relief Request Number RR 4-18

Proposed Alternative, Use of Alternate ASME Code Case N-770-1 Baseline Examination

2. Radiological Dose Estimates PNP 2014-022 Page 2 Reference 1 is associated with the use of an alternative to the requirements of the American Society of Mechanical Engineers (ASME) Boiler and Pressure Vessel Code, Code Case N-770-1, as conditioned by 10 CFR 50.55a(g)(6)(ii)(F)(1) and 10 CFR 50.55a(g)(6)(ii)(F)(3), dated June 21,2011.

In Reference 2, the NRC issued a request for additional information (RAI). END responded to the RAI in Reference 3.

In Reference 4, the NRC issued a second RAI. The response to the second RAI is provided in Attachment 1.

This submittal contains no proprietary information.

Summary of Commitments This letter contains no new commitments and one revision to an existing commitment.

Commitment made by letter of February 25, 2014 (Reference 1):

END will perform appropriate actions to meet ASME Section XI Code Case N-770-1 examination requirements, as required, for those dissimilar metal welds identified in, Enclosure Table 1, of this request during the first refueling outage after a viable technology is developed to perform these examinations.

Revised commitment:

END will comply with 10 CFR 50.55a(g)(6)(ii)(F) for the welds identified in, Enclosure Table 1, of Relief Request Number RR 4-18 by the end of the next scheduled refueling outage (1 R24).

Sincerely, ajv/jse

Attachment:

1. Response to Second Request for Additional Information dated February 27,2014, for Relief Request Number RR 4 Proposed Alternative, Use of Alternate ASME Code Case N-770-1 Baseline Examination
2. Radiological Dose Estimates

PNP 2014-022 Page 3 cc:

Administrator, Region Ill, USNRC Project Manager, Palisades, USNRC Resident Inspector, Palisades, USNRC PNP 2014-022 Page 3 cc:

Administrator, Region III, USNRC Project Manager, Palisades, USNRC Resident Inspector, Palisades, USNRC

ATTACHMENT 1 Response to Second Request for Additional Information dated February 27, 2014, for Relief Request Number RR 4-18 Proposed Alternative, Use of Alternate ASME Code Case N-770-1 Baseline Examination By letter dated February 25, 2014, Entergy Nuclear Operations (ENO) requested Nuclear Regulatory Commission (NRC) approval of the Request for Relief for a Proposed Alternative for the Palisades Nuclear Plant (PNP). By electronic mail, dated February 27, 2014, the Nuclear Regulatory Commission (NRC) submitted a second request for additional information. The requested information is provided below.

NRC Information Request Response to Question RAI-2.1 As part of the hardship associated with performing volumetric inspections this outage, a radiological total dose estimate of 37 REM was provided. However, as volumetric examinations would have been required this outage, the staff requests what portion of that dose is above the exposure to perform the examination, as required by 10 CFR 50.55(a) with appropriate planning and foresight. Please provide the basis for the dose estimates, e.g. a breakdown of doses for each weld for erecting scaffolding, conducting surveys, removing insulation, conductmg examinations, re-installing insulation, removing scaffolding, etc. Include the times required for each activity along with the estimates for general area dose rates and dose rates at 12 inches from the nozzles.

ENO Response, Radiological Dose Estimates, provides detailed radiological dose estimates for performing unplanned volumetric inspections this outage (Table 1) and dose estimates for performing the volumetric inspections with appropriate planning and foresight (Table 2). The total dose for performing unplanned volumetric inspections this outage is estimated to be approximately 37 Rem. The total dose with appropriate planning and foresight is estimated to be 14.5 Rem. provides a breakdown of dose for each weld, which includes erecting and removing scaffolding, conducting surveys, removing insulation, etc. The duration for each activity along with the general area dose rates and dose rates at 12 inches from the welds are also provided.

2.

NRC Information Request Response to Question RAI-2.2 10 CFR 50.55a(g)(6)(ii)(F) requires a volumetric inspection be performed this outage of the subject butt welds that meets the requirements of Appendix VIII of ASME Code. The proposed alternative would manage the potential for PWSCC cracking by monitoring for reactor coolant pressure boundary un/so/able though 1 of 7 ATTACHMENT 1 Response to Second Request for Additional Information dated February 27,2014, for Relief Request Number RR 4 Proposed Alternative, Use of Alternate ASME Code Case N-770-1 Baseline Examination By letter dated February 25, 2014, Entergy Nuclear Operations (END) requested Nuclear Regulatory Commission (NRC) approval of the Request for Relief for a Proposed Alternative for the Palisades Nuclear Plant (PNP). By electronic mail, dated February 27, 2014, the Nuclear Regulatory Commission (NRC) submitted a second request for additional information. The requested information is provided below.

1.

NRC Information Request - Response to Question RAI-2.1 As part of the hardship associated with performing volumetric inspections this outage, a radiological total dose estimate of 37 REM was provided. However, as volumetric examinations would have been required this outage, the staff requests what portion of that dose is above the exposure to perform the examination, as required by 10 CFR 50.55(a) with appropriate planning and foresight. Please provide the basis for the dose estimates, e.g. a breakdown of doses for each weld for erecting scaffolding, conducting surveys, removing insulation, conducting examinations, re-installing insulation, removing scaffolding, etc. Include the times required for each activity along with the estimates for general area dose rates and dose rates at 12 inches from the nozzles.

ENO Response, "Radiological Dose Estimates," provides detailed radiological dose estimates for performing unplanned volumetric inspections this outage (Table 1) and dose estimates for performing the volumetric inspections with appropriate planning and foresight (Table 2). The total dose for performing unplanned volumetric inspections this outage is estimated to be approximately 37 Rem. The total dose with appropriate planning and foresight is estimated to be 14.5 Rem. provides a breakdown of dose for each weld, which includes erecting and removing scaffolding, conducting surveys, removing insulation, etc. The duration for each activity along with the general area dose rates and dose rates at 12 inches from the welds are also provided.

2.

NRC Information Request - Response to Question RAI-2.2 10 CFR 50.55a(g)(6)(ii)(F) requires a volumetric inspection be performed this outage of the subject butt welds that meets the requirements of Appendix VIII of ASME Code. The proposed alternative would manage the potential for PWSCC cracking by monitoring for reactor coolant pressure boundary unisolable though 1 of 7

wall leakage. This is unacceptable without significant hardship or compensating basis for ensuring leaktightness. Provide the basis for why the following nondestructive examinations could not be performed in this outage for each weld:

A. The use of an ASME Code Section Xl Appendix VIII Supplement 10 qualified procedure using a manual phased array ultrasonic search unit with a large number of angles to examine the welds. The use of many angles could overcome the difficulties posed by the geometry of the weld. Additionally, if the manual phased array inspection procedure is validated by a later site-specific mockup demonstration, the inspection could be counted as a fully-qualified inspection.

B. Perform an eddy current or ultrasonic inspection from the inner diameter of the component to search for surface-breaking cracks.

C. Use a high-angle ultrasonic inspection method (e.g. a 70 degree refracted longitudinal search unit) to determine if any crack tips are in the outer 25% of the weld metal.

For A through C above, identify the estimated dose to complete the examination at each of the affected welds.

ENO Response A. To ensure reliable results of a manual phased array ultrasonic search unit with a large number of angles for examination of the subject welds, a Performance Demonstration Initiative (PDI) examination qualified to ASME Code,Section XI, Appendix VIII, Supplement 10 would be required. The complex geometry of the PNP subject welds will require mock-ups to be built in accordance with the industry standard Performance Demonstration Initiative (PDI), Site Specific Configuration Mockup Requirements for Dissimilar Metal Welds. The use of an existing ASME Code, Section Xl, Appendix VIII, Supplement 10 qualified examination that is not PDI-qualified for the PNP weld complex geometry is not in accordance with industry guidance (i.e., NDE Implementation Focus Group) and would most likely result in the identification of indications that could not be evaluated, resulting in unnecessary repairs. Further, attempting to examine first, and then qualify the procedure later, would most likely result in the use of a technique that could not be qualified, in addition to the identification of indications that could not be evaluated and require potentially unnecessary repairs. The hardships associated with the above options are discussed below:

Use Currently Qualified Manual Phased Array Examination Performing an inspection using a PDI-qualified manual ultrasonic phased array search unit with many angles, that is not qualified to the PNP weld geometry, would be a best effort informational exam producing inspection results that 2 of 7 wall leakage. This is unacceptable without significant hardship or compensating basis for ensuring leaktightness. Provide the basis for why the following nondestructive examinations could not be performed in this outage for each weld:

A. The use of an ASME Code Section XI Appendix VIII Supplement 10 qualified procedure using a manual phased array ultrasonic search unit with a large number of angles to examine the welds. The use of many angles could overcome the difficulties posed by the geometry of the weld. Additionally, if the manual phased array inspection procedure is validated by a later site-specific mockup demonstration, the inspection could be counted as a fully-qualified inspection.

B. Perform an eddy current or ultrasonic inspection from the inner diameter of the component to search for surface-breaking cracks.

C. Use a high-angle ultrasonic inspection method (e.g. a 70 degree refracted longitudinal search unit) to determine if any crack tips are in the outer 25% of the weld metal.

For A through C above, identify the estimated dose to complete the examination at each of the affected welds.

ENO Response A. To ensure reliable results of a manual phased array ultrasonic search unit with a large number of angles for examination of the subject welds, a Performance Demonstration Initiative (PDI) examination qualified to ASME Code,Section XI, Appendix VIII, Supplement 10 would be required. The complex geometry of the PNP subject welds will require mock-ups to be built in accordance with the industry standard Performance Demonstration Initiative (PDI), "Site Specific Configuration Mockup Requirements for Dissimilar Metal Welds." The use of an existing ASME Code,Section XI, Appendix VIII, Supplement 10 qualified examination that is not PDI-qualified for the PNP weld complex geometry is not in accordance with industry guidance (Le., NDE Implementation Focus Group) and would most likely result in the identification of indications that could not be evaluated, resulting in unnecessary repairs. Further, attempting to examine first, and then qualify the procedure later, would most likely result in the use of a technique that could not be qualified, in addition to the identification of indications that could not be evaluated and require potentially unnecessary repairs. The hardships associated with the above options are discussed below:

Use Currently Qualified Manual Phased Array Examination Performing an inspection using a PDI-qualified manual ultrasonic phased array search unit with many angles, that is not qualified to the PNP weld geometry, would be a "best effort" informational exam producing inspection results that 2 of 7

could not be further characterized. ENOs current mock-up for the subject weld locations was designed before ASME Section Xl, Appendix VIII requirements were established. That is, this mock-up does not meet the Site Specific Configuration Mockup Requirements for Dissimilar Metal Welds, Revision C, that was developed by the PDI. Still, the mockup was used in conjunction with a current PDI-qualified manual phased array procedure, equipment, and personnel to determine if a qualified examination on this complex configuration could be produced. During the testing, known flaws within the mockup specimen could not be reliably detected. After the testing, it was determined, with EPRI, that in order to produce reliable results, the NDE Implementation Focus Group (NIFG) recommendations would have to be followed, which includes building samples and procedures that meet the approved PDI site specific configuration mockup requirements, and meet the current ASME Section Xl, Appendix VIII, Code and Code Case N-770-1 requirements.

The hardship associated with creation of a qualified examination for using manual phased array with a large number of angles is that industry precedence for the PNP weld geometry has not been demonstrated to date. As such, conceptual designs would require industry vetting prior to fabricating mock-ups and procedures. Significant input from the industry, including the NIFG, is required because current ASME codes do not adequately address the complex geometry of the subject welds. The addition of more angles adds to the complexity of an already complex exam, without an equivalent increase in exam fidelity because each search unit will require that its focus be maintained, proper inside diameter (ID) impingement angles be maintained over the entire scan, mis-orientation of angles be minimized, required examination coverage be obtained, and a sufficient sound path for calibration be available. Procedure instructions to evaluate examination results require development, such as detailed profile and plotting instructions, and flaw placement and length / depth sizing. Further, NIFG recommendations would need to be incorporated, such as the performance of in-field walkdowns, evaluation of the applicability of encoded and non-encoded techniques, and performance of computer modeling to ensure an effective probe selection and scan plan.

In addition, EPRI review of the proposed technique, fabrication of mock-ups, purchase of ultrasonic testing probes, and delivery device (scanner) design and fabrication would also be required.

Examine Welds Now and Qualify Later Examining the subject welds in the current PNP refueling outage (1 R23), with an unqualified procedure and then attempting to qualify the procedure after the refueling outage, has a low probability of success. The low probability of success is based on the fact that an ASME, Section Xl, Appendix VIII weld configuration for this complex geometry does not exist and, as such, PDI demonstrating these configurations using the current PDI-qualified method is highly unlikely. ENO has explored the use of a currently qualified procedure by 3 of 7 could not be further characterized. ENO's current mock-up for the subject weld locations was designed before ASME Section XI, Appendix VIII requirements were established. That is, this mock-up does not meet the "Site Specific Configuration Mockup Requirements for Dissimilar Metal Welds," Revision C, that was developed by the PDI. Still, the mockup was used in conjunction with a current PDI-qualified manual phased array procedure, equipment, and personnel to determine if a qualified examination on this complex configuration could be produced. During the testing, known flaws within the mockup specimen could not be reliably detected. After the testing, it was determined, with EPRI, that in order to produce reliable results, the NDE Implementation Focus Group (NIFG) recommendations would have to be followed, which includes building samples and procedures that meet the approved PDI site specific configuration mockup requirements, and meet the current ASME Section XI, Appendix VIII, Code and Code Case N-770-1 requirements.

The hardship associated with creation of a qualified examination for using manual phased array with a large number of angles is that industry precedence for the PNP weld geometry has not been demonstrated to date. As such, conceptual designs would require industry vetting prior to fabricating mock-ups and procedures. Significant input from the industry, including the NIFG, is required because current ASME codes do not adequately address the complex geometry of the subject welds. The addition of more angles adds to the complexity of an already complex exam, without an equivalent increase in exam fidelity because each search unit will require that its focus be maintained, proper inside diameter (ID) impingement angles be maintained over the entire scan, mis-orientation of angles be minimized, required examination coverage be obtained, and a sufficient sound path for calibration be available. Procedure instructions to evaluate examination results require development, such as detailed profile and plotting instructions, and flaw placement and length / depth sizing. Further, NIFG recommendations would need to be incorporated, such as the performance of in-field walkdowns, evaluation of the applicability of encoded and non-encoded techniques, and performance of computer modeling to ensure an effective probe selection and scan plan. In addition, EPRI review of the proposed technique, fabrication of mock-ups, purchase of ultrasonic testing probes, and delivery device (scanner) design and fabrication would also be required.

Examine Welds Now and Qualify Later Examining the subject welds in the current PNP refueling outage (1 R23), with an unqualified procedure and then attempting to qualify the procedure after the refueling outage, has a low probability of success. The low probability of success is based on the fact that an ASME,Section XI, Appendix VIII weld configuration for this complex geometry does not exist and, as such, PDI demonstrating these configurations using the current PDI-qualified method is highly unlikely. ENO has explored the use of a currently qualified procedure by 3 of 7

using an existing mock-up. The mock-up contained known flaws that could not consistently be identified using currently available manual phased array techniques, and the addition of angles would not change this result. Performing such an examination prior to qualification would result in a best effort informational exam which would most likely result in additional hardships associated with evaluation and disposition of results. Performance of a best effort NDE exam, without a PDI-qualified examination demonstrated to be effective for the applicable complex weld geometry, has a high probability of producing erroneous results, such as detecting indications that cannot be further interrogated to determine validity or size. Adding to the already high probability of erroneous results is the fact that the post-fabrication radiographs of the subject welds include acceptable indications that would be detected by a manual phased array examination without a process to further characterize and evaluate them. Since the indications could not be accurately characterized and evaluated, mitigation actions could likely be required.

Mitigation actions include development of a repair design(s) which has not been approved for these weld configurations.

In order to support implementation, tooling fabrication, mock-up testing, and qualification of procedures and personnel would have to be completed. For example, the hot leg drain line design includes removal of the line and installation of a weld overlay, which, based on weld geometry, would be a pad welded over the outside diameter of the pipe. Installation of such a pad would require an NRC-approved relief request. Depending on the design of the overlay, ultrasonic test procedures, personnel, and equipment may need to be qualified for the design. Finally, in order to implement this design, the reactor would have to be defueled, the hot leg would have to be drained, and hot leg plugs would have to be designed and installed. Implementation of this emergent weld overlay would have an outage schedule impact of greater than 30 days duration given the current configuration of PNP.

Dose Estimate The estimated dose to plant personnel to complete these examinations is 37 Rem. For mitigation, a dose of at least 27 Rem would be incurred for repair work plus another 68 Rem to remove and reinstall the reactor head, defuel and refuel the reactor, and remove and the reinstall the core support barrel. The examination dose is essentially the same dose as that incurred for the unplanned volumetric exam in the RAI-2.1 response. The repair dose is based on dose measured during the mitigation of Alloy 600 branch connection welds during the current refueling outage. The reactor disassembly and reassembly is based on dose measured during the current outage.

B. A PDI-qualified ultrasonic examination technique on this complex dissimilar metal weld configuration from the ID is not available. The tooling to perform an eddy current or ultrasonic inspection from the inner diameter of the components 4 of 7 using an existing mock-up. The mock-up contained known flaws that could not consistently be identified using currently available manual phased array techniques, and the addition of angles would not change this result. Performing such an examination prior to qualification would result in a "best effort" informational exam which would most likely result in additional hardships associated with evaluation and disposition of results. Performance of a "best effort" NDE exam, without a PDI-qualified examination demonstrated to be effective for the applicable complex weld geometry, has a high probability of producing erroneous results, such as detecting indications that cannot be further interrogated to determine validity or size. Adding to the already high probability of erroneous results is the fact that the post-fabrication radiographs of the subject welds include acceptable indications that would be detected by a manual phased array examination without a process to further characterize and evaluate them. Since the indications could not be accurately characterized and evaluated, mitigation actions could likely be required.

Mitigation actions include development of a repair design(s) which has not been approved for these weld configurations. In order to support implementation, tooling fabrication, mock-up testing, and qualification of procedures and personnel would have to be completed. For example, the hot leg drain line design includes removal of the line and installation of a weld overlay, which, based on weld geometry, would be a pad welded over the outside diameter of the pipe. Installation of such a pad would require an NRC-approved relief request. Depending on the design of the overlay, ultrasonic test procedures, personnel, and equipment may need to be qualified for the design. Finally, in order to implement this design, the reactor would have to be defueled, the hot leg would have to be drained, and hot leg plugs would have to be designed and installed. Implementation of this emergent weld overlay would have an outage schedule impact of greater than 30 days duration given the current configuration of PNP.

Dose Estimate The estimated dose to plant personnel to complete these examinations is 37 Rem. For mitigation, a dose of at least 27 Rem would be incurred for repair work plus another 68 Rem to remove and reinstall the reactor head, defuel and refuel the reactor, and remove and the reinstall the core support barrel. The examination dose is essentially the same dose as that incurred for the unplanned volumetric exam in the RAI-2.1 response. The repair dose is based on dose measured during the mitigation of Alloy 600 branch connection welds during the current refueling outage. The reactor disassembly and reassembly is based on dose measured during the current outage.

B. A POI-qualified ultrasonic examination technique on this complex dissimilar metal weld configuration from the 10 is not available. The tooling to perform an eddy current or ultrasonic inspection from the inner diameter of the components 4 of?

that contain the subject welds is not currently available. Access to the inner surface is limited. Creating a qualified examination and providing physical access to the inner surface of the subject welds would be a significant hardship to ENO. Further details on the hardships associate with just the hot leg drain nozzle weld follow. Similar hardships exist with the cold leg nozzle welds.

Examination Possibilities If access to the inside diameter was possible, and limited stay times could be achieved, a surface examination using either an eddy current probe or dye penetrant would be used. Currently, remote eddy current equipment for this type of examination is not readily available and would need to be developed and demonstrated. This would take several months or more to accomplish. Another option, if remote capabilities were developed, would be to perform a dye penetrant examination. Industry operating experience shows that dye penetrant testing has not provided reliable results for detecting primary water stress corrosion cracking (PWSCC) due to the tightness of the crack openings on the surface.

If indications were found, depth sizing would not be possible and external ultrasonic examination, as discussed in the response to RAI-2.2, subsection A, above, would still be required. This would most likely result in the performance of an unnecessary repair and associated hardships discussed in the RAI-2.2, subsection A, response above.

Physical Limitations Personnel access to the inside diameter of the A hot leg to perform internal examinations is extremely limited. Access would only be possible after defueling, and then inserting a line plug into the hot leg from the reactor vessel side, draining of the hot leg and then removal of the nozzle dam from the steam generator nozzle after draining. The internal piping would be a high radiation and high contamination entry for the examination personnel. PNP does not have a line plug for the 42-inch hot leg or the examination delivery system at the current time to support examinations of the inside surface of the weld.

Dose Estimate The complexity and options in performing this examination make an estimation of dose highly variable, but the dose incurred would exceed the dose (27 Rem) incurred during mitigation of Alloy 600 branch connection welds during the current refueling outage, due to limited inside surface access.

C.

The use of a high-angle ultrasonic inspection method (e.g., a 70 degree refracted longitudinal search unit) to determine whether any crack tips are in the outer 25% of the weld metal would involve the same hardships as the use of a qualified technique that is not qualified for the PNP complex weld geometry (see RAI-2.2, subsection A, response above). Similar to the RAI-2.2, subsection A, 5 of 7 that contain the subject welds is not currently available. Access to the inner surface is limited. Creating a qualified examination and providing physical access to the inner surface of the subject welds would be a significant hardship to ENO. Further details on the hardships associate with just the hot leg drain nozzle weld follow. Similar hardships exist with the cold leg nozzle welds.

Examination Possibilities If access to the inside diameter was possible, and limited stay times could be achieved, a surface examination using either an eddy current probe or dye penetrant would be used. Currently, remote eddy current equipment for this type of examination is not readily available and would need to be developed and demonstrated. This would take several months or more to accomplish. Another option, if remote capabilities were developed, would be to perform a dye penetrant examination. Industry operating experience shows that dye penetrant testing has not provided reliable results for detecting primary water stress corrosion cracking (PWSCC) due to the tightness of the crack openings on the surface. If indications were found, depth sizing would not be possible and external ultrasonic examination, as discussed in the response to RAI-2.2, subsection A, above, would still be required. This would most likely result in the performance of an unnecessary repair and associated hardships discussed in the RAI-2.2, subsection A, response above.

Physical Limitations Personnel access to the inside diameter of the "A" hot leg to perform internal examinations is extremely limited. Access would only be possible after defueling, and then inserting a line plug into the hot leg from the reactor vessel side, draining of the hot leg and then removal of the nozzle dam from the steam generator nozzle after draining. The internal piping would be a high radiation and high contamination entry for the examination personnel. PNP does not have a line plug for the 42-inch hot leg or the examination delivery system at the current time to support examinations of the inside surface of the weld.

Dose Estimate The complexity and options in performing this examination make an estimation of dose highly variable, but the dose incurred would exceed the dose (27 Rem) incurred during mitigation of Alloy 600 branch connection welds during the current refueling outage, due to limited inside surface access.

C. The use of a high-angle ultrasonic inspection method (e.g., a 70 degree refracted longitudinal search unit) to determine whether any crack tips are in the outer 25% of the weld metal would involve the same hardships as the use of a qualified technique that is not qualified for the PNP complex weld geometry (see RAI-2.2, subsection A, response above). Similar to the RAI-2.2, subsection A, 5 of 7

response, the same issues would arise when performing an examination without qualified procedure guidance, equipment and personnel. Recent industry operating experience and guidance cautions sites about performing examinations without demonstrated procedures, equipment and personnel. Use of only a high-angle 70 degree refracted longitudinal search unit would not confirm the presence or absence of a flaw, and would likely result in an unnecessary repair.

Dose Estimate The estimated dose to plant personnel to complete these examinations is 37 Rem. For mitigation, a dose of at least 27 Rem would be incurred for repair work plus another 68 Rem to remove and reinstall the reactor head, defuel and refuel the reactor, and remove and the reinstall the core support barrel. The examination dose is essentially the same dose as that incurred for the unplanned volumetric exam in the RAI-2.1 response. The repair dose is based on dose measured during the mitigation of Alloy 600 branch connection welds during the current refueling outage. The reactor disassembly and reassembly is based on dose measured during the current outage.

It should be noted that a primary basis for the proposed alternative in the relief request are the benefits of the post weld heat treatment (PWHT) that was performed during fabrication of the subject welds. Testing and extensive industry experience demonstrate that Alloy 600 weldments that have been exposed to PWHT after welding have greatly reduced susceptibility to the occurrence of PWSCC. Additionally, calculations performed show that should a flaw of engineering size, crack growth rates are acceptably low due to PWHT. Therefore, the benefits of PWHT provide reasonable assurance of structural integrity and leak tightness which supports deferral of the required volumetric examinations to the next refueling outage (1 R24).

3.

NRC Information Request Response to Question RAI-3.1 The NRC staffs understanding is that the licensees current proposed alternative is as follows;

1) Perform periodic system leakage tests in accordance with ASME Section XI Examination Category B-P. Table IWB-2500- 7 (Reference 10).
2) Perform visual and dye penetrant surface examinations of the welds in accordance with ASME requirements. During the 2012 (7R22) and 2074 (7R23) refueling outages, visual and external surface examinations of certain welds for which relief is requested identified no evidence of through-wall cracking or leakage for these components, as identified in Enclosure Table 1.

6 of 7 response, the same issues would arise when performing an examination without qualified procedure guidance, equipment and personnel. Recent industry operating experience and guidance cautions sites about performing examinations without demonstrated procedures, equipment and personnel. Use of only a high-angle 70 degree refracted longitudinal search unit would not confirm the presence or absence of a flaw, and would likely result in an unnecessary repair.

Dose Estimate The estimated dose to plant personnel to complete these examinations is 37 Rem. For mitigation, a dose of at least 27 Rem would be incurred for repair work plus another 68 Rem to remove and reinstall the reactor head, defuel and refuel the reactor, and remove and the reinstall the core support barrel. The examination dose is essentially the same dose as that incurred for the unplanned volumetric exam in the RAI-2.1 response. The repair dose is based on dose measured during the mitigation of Alloy 600 branch connection welds during the current refueling outage. The reactor disassembly and reassembly is based on dose measured during the current outage.

It should be noted that a primary basis for the proposed alternative in the relief request are the benefits of the post weld heat treatment (PWHT) that was performed during fabrication of the subject welds. Testing and extensive industry experience demonstrate that Alloy 600 weldments that have been exposed to PWHT after welding have greatly reduced susceptibility to the occurrence of PWSCC. Additionally, calculations performed show that should a flaw of engineering size, crack growth rates are acceptably low due to PWHT. Therefore, the benefits of PWHT provide reasonable assurance of structural integrity and leak tightness which supports deferral of the required volumetric examinations to the next refueling outage (1 R24).

3.

NRC Information Request - Response to Question RAI-3.1 The NRC staff's understanding is that the licensee's current proposed alternative is as follows; "1) Perform periodic system leakage tests in accordance with ASME Section XI Examination Category B-P, Table IW8-2500-1 (Reference 10).

2) Perform visual and dye penetrant surface examinations of the welds in accordance with ASME requirements. During the 2012 (1R22) and 2014 (1R23) refueling outages, visual and external surface examinations of certain welds for which relief is requested identified no evidence of through-wall cracking or leakage for these components, as identified in Enclosure Table 1.

6 of 7

Pursuant to 10 CFR 50.55a(a)(3)(ii), ENO proposes to perform appropriate actions to meet ASME Section Xl Code Case N-770-1 examination requirements, as required, for those dissimilar metal welds identified in Enclosure Table 1 of this request during the first refueling outage after a viable technology is developed to perform these examinations.

The NRC staff does not find the proposed alternative for future inspections by the licensee to be acceptable. At a minimum, the NRC staff would expect the licensee to clearly identify the regulatory requirements and how those regulatory requirements will be met. The NRC staff expects the licensee to comply with 10 CFR 50.55a(G)(6)(ii)(F) during the next scheduled refueling outage.

ENO Response Regulation 10 CFR 50.55a(g)(6)(ii)(F)(l) states Licensees of existing, operating pressurized water reactors as of July 21, 2011 shall implement the requirements of ASME Code Case N-770-1, subject to the conditions specified in paragraphs (g)(6)(ii)(F)(2) through (g)(6)(ii)(F)(1 0) of this section, by the first refueling outage after August 22, 2011.

Regulation 10 CFR 50.55a(g)(6)(ii)(F)(3) states that baseline examinations for welds in Code Case N-770-1, Table 1, Inspection Items A-i, A-2, and B, shall be completed by the end of the next refueling outage after January 20, 2012.

As discussed in the cover letter, ENO is revising the commitment made in Relief Request Number RR 4-18, dated February 25, 2014, as described below.

Commitment made by letter of February 25, 2014 (Reference 1):

ENO will perform appropriate actions to meet ASME Section XI Code Case N-770-1 examination requirements, as required, for those dissimilar metal welds identified in Attachment 1, Enclosure Table 1, of this request during the first refueling outage after a viable technology is developed to perform these examinations.

Revised commitment:

ENO will comply with 10 CFR 50.55a(g)(6)(ii)(F) for the welds identified in, Enclosure Table 1, of Relief Request Number RR 4-18, by the end of the next scheduled refueling outage (1 R24).

7 of 7 Pursuant to 10 CFR 50.55a(a)(3)(iiJ, ENO proposes to perform appropriate actions to meet ASME Section XI Code Case N-770-1 examination requirements, as required, for those dissimilar metal welds identified in Enclosure Table 1 of this request during the first refueling outage after a viable technology is developed to perform these examinations. 11 The NRC staff does not find the proposed alternative for future inspections by the licensee to be acceptable. At a minimum, the NRC staff would expect the licensee to clearly identify the regulatory requirements and how those regulatory requirements will be met. The NRC staff expects the licensee to comply with 10 CFR 50.55a(G)(6)(ii)(FJ during the next scheduled refueling outage.

ENO Response Regulation 10 CFR 50.55a(g)(6)(ii)(F)(1) states "Licensees of existing, operating pressurized water reactors as of July 21, 2011 shall implement the requirements of ASME Code Case N-770-1, subject to the conditions specified in paragraphs (g)(6)(ii)(F)(2) through (g)(6)(ii)(F)(10) of this section, by the first refueling outage after August 22, 2011."

Regulation 10 CFR 50.55a(g)(6)(ii)(F)(3) states that baseline examinations for welds in Code Case N-770-1, Table 1, Inspection Items A-1, A-2, and S, shall be completed by the end of the next refueling outage after January 20, 2012.

As discussed in the cover letter, END is revising the commitment made in Relief Request Number RR 4-18, dated February 25,2014, as described below.

Commitment made by letter of February 25,2014 (Reference 1):

END will perform appropriate actions to meet ASME Section XI Code Case N-770-1 examination requirements, as required, for those dissimilar metal welds identified in Attachment 1, Enclosure Table 1, of this request during the first refueling outage after a viable technology is developed to perform these examinations.

Revised commitment:

END will comply with 10 CFR 50.55a(g)(6)(ii)(F) for the welds identified in, Enclosure Table 1, of Relief Request Number RR 4-18, by the end of the next scheduled refueling outage (1 R24).

7 of 7

ATTACHMENT 2 RADIOLOGICAL DOSE ESTIMATES 3 Pages Follow ATTACHMENT 2 RADIOLOGICAL DOSE ESTIMATES 3 Pages Follow

DOSE RATES (mrem/hr)

Profile Dectection TWS Scaffold Insulation TOTAL CONTACT 12 Inch 0/A LDWA HOURS DOSE HOURS DOSE HOURS DOSE HOURS DOSE HOURS DOSE DOSE 2

Cold Leg 1

Charging Nozzle P-50A PCS-30-RCL-1A-11/2 120 70 50 14 1

184 0.75 105 1

140 11 650 6

200 1279 2 Cold Leg 2

Drain Nozzle P-50A PCS-30-RCL-1A-5/2 400 80 25 14 1

439 0.75 120 1

160 0

0 6

150 869 3 Cold Leg PZR Spray Nozzle P-50B PCS-30-RCL-1B-10/3 1800 320 150 20 1

1970 0.75 480 1

640 6

700 6

450 4240 2 Cold Leg P-SOB PCS-30-RCL-1B-5/2 700 120 60 20 1

780 0.75 180 1

240 0

0 6

250 1450 Drain Nozzle 2 Cold Leg Charging Nozzle P-SOC PCS-30-RCL-2A-11/2 120 80 25 23 1

168 0.75 120 1

160 6

420 6

150 1018 3 Cold Leg PZR 6

Spray Nozzle P-SOC PCS-30-RCL-2A-11/3 1800 330 150 23 1

1973 0.75 495 1

660 6

700 6

250 4078 2

Cold Leg Drain Nozzle P-SOC PCS-30-RCL-2A-5/2 780 130 50 23 1

853 0.75 195 1

260 0

0 6

250 1558 2 Cold Leg Drain /

8 Letdown Nozzle P-SOD PCS-30-RCL-2B-S/2 15000 300 200 35 1

15235 0.75 450 1

600 0

0 6

450 16735 2 Hot Leg Drain Nozzle AS/G PCS-42-RCL-1H-3/2 280 100 80 50 1

410 0.75 150 1

200 0

0 7

350 1110 22012 229 3060 I 2470 Profile

- 1 person at the weld, 1 person in the G/A, 1 firewatch in the LDWA Detection

- Requires 2 people at the weld or within arms length of the weld TWS

- Requires 2 people at the weld or within arms length of the weld Superviser Oversite - 1 person at all times in G/A to LDWA 2000 RP Technician (8% of prep and inspection dose) 2587 Scaffold and Insulation dose taken from work performed in 1R23 as tracked by work order Dose Rate data extracted from surveys PLP-1401-O291, PLP-1401-0459, PLP-1401-O27S, PLP-14O2-O500 and from dose reduction planning data DESCRIPTION Area 151 WELD ID Table 1 Dose Estimate for Unplanned Weld Prep and Examinations of ALLOY 600 Welds 2500 32337 Grand Total 36924 (all dose stated in mrem) 1 of 3 DESCRIPTION 1 2" Cold Leg Charging Nozzle 2 2" Cold Leg Drain Nozzle 3

3" Cold Leg PZR Spray Nozzle 4 2" Cold Leg Drain Nozzle 5

2" Cold Leg Charging Nozzle 6

3" Cold Leg PZR Spray Nozzle 7 2" Cold Leg Drain Nozzle 8

2" Cold Leg Drain /

Letdown Nozzle 9 2" Hot Leg Drain Nozzle Table 1 Dose Estimate for Unplanned Weld Prep and Examinations of ALLOY 600 Welds Area P-50A P-50A P-50B P-50B P-50C P-5OC P-50C P-50D AS/G 151 WELD ID DOSE RATES (mrem/hr)

Profile CONTACT 12 inch G/A LDWA HOURS DOSE PCS-30-RCL-lA-11/2 120 70 50 14 1

184 PCS-30-RCL -lA-5/2 400 80 25 14 1

439 PCS-30-RCL-1B-10/3 1800 320 150 20 1

1970 PCS-30-RCL-1B-5/2 700 120 60 20 1

780 PC5-30-RCL-2A-11/2 120 80 25 23 1

168 PCS-30-RCL-2A-11/3 1800 330 150 23 1

1973 PCS-30-RCL-2A-5/2 780 130 50 23 1

853 PCS-30-RCL-2B-5/2 15000 300 200 35 1

15235 PCS-42-RCL -1 H-3/2 280 100 80 50 1

410 1 22012 1 Profile - 1 person at the weld, 1 person in the G/A, 1 firewatch in the LDWA Detection - Requires 2 people at the weld or within arms length of the weld TWS - Requires 2 people at the weld or within arms length of the weld Superviser Oversite -1 person at all times in G/A to LDWA RP Technician (8% of prep and inspection dose)

Dectection HOURS DOSE 0.75 105 0.75 120 0.75 480 0.75 180 0.75 120 0.75 495 0.75 195 0.75 450 0.75 150

~

Scaffold and Insulation dose taken from work performed in 1R23 as tracked by work order TWS Scaffold Insulation TOTAL HOURS DOSE HOURS DOSE HOURS DOSE DOSE 1

140 11 650 6

200 1279 1

160 0

0 6

150 869 1

640 6

700 6

450 4240 1

240 0

0 6

250 1450,

1 160 6

420 6

150 1018 i 1

660 6

700 6

250 4078 1

260 0

0 6

250 1558 1

600 0

0 6

450 16735 1

200 0

0 7

350 1110 1 3060 J 1 2470 j l 2500 J 32337 Grand Total 36924 (all dose stated in mrem)

Dose Rate data extracted from surveys PLP-1401-0291, PLP-1401-0459, PLP-1401-0275, PLP-1402-0500 and from dose reduction planning data 1 of 3

Table 2 Dose Estimate for Weld Prep and Examinations of ALLOY 600 Welds With Additional Dose Reduction Planning Implemented DOSE RATES (mrem/hr)

Profile Detection TWS Scffold Insulation TOTAL DESCRIPTION Area SI WELD ID

CONTACT 12 inch G/A IoWA HOURS DOSE HOURS DOSE HOURS DOSE HOURS DOSE HOURS DOSE DOSE 2 Cold Leg 1

Charging Nozzle P-SOA PCS-30-RCL-1A-11/2 120 70 30 5

1 155 0.75 105 1

140 11 495 6

180 1075 2 Cold Leg P-SOA PCS-30-RCL-1A-5/2 400 50 20 S

1 425 0.75 75 1

100 0

0 6

120 720 2

Drain Nozzle 3 Cold Leg PZR Spray Nozzle P-SOB PCS-30-RCL-1B-10/3 900 150 80 20 1

1000 0.75 225 1

300 6

700 6

450 2675 2

Cold Leg Drain Nozzle P-SOB PCS-30-RCL-1B-5/2 500 60 40 20 1

560 0.75 90 1

120 0

0 6

250 1020 2

Cold Leg Charging Nozzle P-SOC PCS-30-RCL-2A-11/2 80 50 20 20 1

120 0.75 75 1

100 6

420 6

150 865 3 Cold Leg PZR 6

Spray Nozzle P-SOC PCS-30-RCL-2A-11/3 900 155 80 23 1

1003 0.75 233 1

310 6

700 6

250 2496 2 Cold Leg Drain Nozzle P-SOC PCS-30-RCL-2A-5/2 400 65 30 23 1

453 0.75 98 1

130 0

0 6

250 931 2 Cold Leg Drain /

P-50D PCS-30-RCL-2B-5/2 500 100 100 35 1

635 0.75 iSO 1

200 0

0 6

450 1435 8

Letdown Nozzle 2 Hot Leg Drain Nozzle AS/G PCS-42-RCL-1H-3/2 140 80 60 50 1

250 0.75 120 1

160 0

0 7

350 880 4601 1170 1560 2315 2450 12096 Profile

- 1 person at the weld, 1 person in the G/A, 1 firewatch in the LDWA Detection

- Requires 2 people at the weld or within arms length of the weld Grand Total 14564 TWS

- Requires 2 people at the weld or within arms length of the weld Superviser Oversite

- 1 person at all times in G/A to LDWA 1500 (all dose stated in mrem)

RP Technician (8% of prep and inspection dose) 968 Scaffold and Insulation dose taken from work performed in 1R23 as tracked by work order Dose Rate data extracted from surveys PLP-14O1-0291, PLP-1401-O459, PLP-1401-O275, PLP-14-2-0500 and from dose reduction planning data.

2 of 3 DESCRIPTION Area 1 2" Cold Leg P-50A Charging Nozzle 2 2" Cold leg P-50A Drain Nozzle 3 3" Cold leg PZR P-50B Spray Nozzle 4 2" Cold leg P-50B Drain Nozzle 5 2" Cold leg P-50C Charging Nozzle 6 3" Cold leg PZR P-50C Spray Nozzle 7 2" Cold leg P-5OC Drain Nozzle 8 2" Cold Leg Drain /

P-50D letdown Nozzle 9 2" Hot Leg AS/G Drain Nozzle Table 2 Dose Estimate for Weld Prep and Examinations of ALLOY 600 Welds With Additional Dose Reduction Planning Implemented 151 WELD 10 DOSE RATES (mrem/hr)

Profile CONTACT 12 inch G/A LDWA HOURS DOSE PCS-30-RCl-1A-11/2 120 70 30 5

1 155 PCS-30-RCl-1A-5/2 400 50 20 5

1 425 PCS-30-RCl-1B-10/3 900 150 80 20 1

1000 PCS-30-RCl-1B-5/2 500 60 40 20 1

560 PCS-30-RCl-2A-11/2 80 50 20 20 1

120 PCS-30-RCl-2A-11/3 900 155 80 23 1

1003 PCS-30-RCl-2A-5/2 400 65 30 23 1

453 PCS-30-RCl-2B-5/2 500 100 100 35 1

635 PCS-42-RCl-1H-3/2 140 80 60 50 1

250 l ~

Profile -1 person at the weld, 1 person in the G/A, 1 firewatch in the lDWA Detection - Requires 2 people at the weld or within arms length of the weld TWS - Requires 2 people at the weld or within arms length of the weld Detection TWS Scaffold HOURS DOSE HOURS DOSE HOURS DOSE 0.75 105 1

140 11 495 0.75 75 1

100 0

0 0.75 225 1

300 6

700 0.75 90 1

120 0

0 0.75 75 1

100 6

420 0.75 233 1

310 6

700 0.75 98 1

130 a

0 0.75 150 1

200 0

0 0.75 120 1

160 0

0

'- ~170 J 1560 2315 Grand Total Insulation HOURS DOSE 6

180 6

120 6

450 6

250 6

150 6

250 6

250 6

450 7

350 2450 14564 Superviser Oversite - 1 person at all times in G/A to LDWA 1 1500]

(all dose stated in mrem)

RP Technician (8% of prep and inspection dose) 968 Scaffold and Insulation dose taken from work performed in 1R23 as tracked by work order Dose Rate data extracted from surveys PLP-1401-0291, PLP-1401-0459, PLP-1401-0275, PlP-14-2'()500 and from dose reduction planning data.

2 of 3 TOTAL I DOSE 1075 720 I

2675 I

1020 865 2496 931 1435 880 12096

Acronyms and Component Identificaton Numbers PZR Pressurizer P-50A Primary Coolant Pump P-50A P-50B Primary Coolant Pump P-50B P-50C Primary Coolant Pump P-50C P-50D Primary Coolant Pump P-50D A S/G Steam Generator E-50A G/A General Area LDWA Low Dose Waiting Area Profile Examination Preparation Activities TWS Through Wall Sizing RP Radiation Protection 1 R23 Refueling Outage Number 23 3 of 3 Acronyms and Component Identification Numbers PZR - Pressurizer P-50A - Primary Coolant Pump P-50A P-50B - Primary Coolant Pump P-50B P-50C - Primary Coolant Pump P-50C P-50D - Primary Coolant Pump P-50D A S/G - Steam Generator E-50A G/A - General Area LDWA-Low Dose Waiting Area Profile - Examination Preparation Activities TWS - Through Wall Sizing RP - Radiation Protection 1 R23 - Refueling Outage Number 23 3 of 3