Information Notice 2018-01, Noble Fission Gas Releases During Spent Fuel Cask Loading Operations

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Noble Fission Gas Releases During Spent Fuel Cask Loading Operations
ML17234A705
Person / Time
Issue date: 02/21/2018
From: Michael Layton, Mcginty T, Chris Miller
Division of Spent Fuel Management, Division of Construction Inspection and Operational Programs, Division of Inspection and Regional Support
To:
Govan T
References
CAC MG0051 IN 2018-01
Download: ML17234A705 (9)


UNITED STATES

NUCLEAR REGULATORY COMMISSION

OFFICE OF NUCLEAR REACTOR REGULATION

OFFICE OF NUCLEAR MATERIAL SAFETY AND SAFEGUARDS

WASHINGTON, DC 20555-0001 February 21, 2018 NRC INFORMATION NOTICE 2018-01: NOBLE FISSION GAS RELEASES DURING

SPENT FUEL CASK LOADING OPERATIONS

ADDRESSEES

All holders of or applicants for an operating license or construction permit for a nuclear power

reactor under Title 10 of the Code of Federal Regulations (10 CFR) Part 50, Domestic

Licensing of Production and Utilization Facilities, including those that have permanently ceased

operations and have spent fuel stored in spent fuel pools.

All holders of or applicants for a combined license issued under 10 CFR Part 52, Licenses, Certifications, and Approvals for Nuclear Power Plants.

All holders of or applicants for a certificate of compliance (CoC) for a spent fuel transportation

package design under 10 CFR Part 71, Packaging and Transportation of Radioactive Material.

All holders of or applicants for a general or specific license for the storage of spent fuel, or for a

CoC of a dry storage system (DSS) under 10 CFR Part 72, Licensing Requirements for the

Independent Storage of Spent Nuclear Fuel, High-Level Radioactive Waste, and

Reactor-Related Greater Than Class C Waste.

PURPOSE

The U.S. Nuclear Regulatory Commission (NRC) is issuing this information notice (IN) to inform

addressees of operating experience related to noble fission gas releases during spent fuel

loading operations, and of the importance of adequate fuel selection and maintaining fuel

qualification test records to demonstrate that either the spent fuel cladding continues to serve its

design function or that follow-up actions are needed. The addressees may review the

information within this IN for applicability to their facilities or DSS designs and consider actions, as appropriate. This IN requires no action or written response on the part of an addressee.

DESCRIPTION OF CIRCUMSTANCES

Several licensees under 10 CFR Part 72 have experienced noble fission gas releases during

spent fuel loading operations. In all but one case, the licensees were able to rely on a

combination of fuel selection records, qualification tests, and root-cause analyses to

demonstrate that, despite the release, the spent fuel conditions were maintained within the

bounds of its design-bases safety analyses.

The following events provide a sampling of the operating experience associated with noble

fission gas releases during spent fuel loading operations.

ML17234A705 Millstone Power Station, Unit 2

On May 12, 2015, Dominion Resources, the licensee, commenced helium blowdown operations

on a NUHOMS-32PT dry shielded canister (DSC) being loaded with Unit 2 spent fuel. During

the blowdown evolution, the licensee received local radiation alarms and observed a spike in

activity with the spent fuel pool (SFP) ventilation radiation monitor. In response to the alarms, the licensee suspended additional drying activities and placed the DSC in a safe condition, including maintaining the spent fuel in an inert environment with the required helium

overpressure. The licensee obtained detectable krypton (Kr)-85 results from a sample taken

directly from the DSC and completed a fuel cladding integrity assessment that involved

confirming that the fuel was adequately selected in accordance with the technical specifications

for CoC 72-1004 (i.e., undamaged fuel, cladding may contain only hairline cracks or pinholes)

and evaluated the potential of fission gas release through hairline cracks or pinholes.

The licensee reviewed pertinent fuel selection records, which included visual inspection of all

four sides of each assembly, reactor operating records to confirm loaded assemblies originated

from a cycle without known fuel failures, or other fuel qualification test data (ultrasonic testing

(UT), vacuum can sipping (VCS), and in-mast sipping). In addition, the licensee completed a

review of known cladding failure mechanisms in the reactor, in wet storage, and during dry

storage to determine potential causes for the release. From this review, the licensee

determined that 15 of the loaded assemblies originated from cycles that experienced grid-to-rod

fretting (GTRF), which is known to cause cladding thinning during operations. The licensee

concluded that an existing nearly through-wall cladding breach would be exposed to an

increased differential pressure during draining and vacuum drying (because of the increasing

fuel temperature and reduced external pressure), which could lead to a non-gross failure.

However, a failure resulting from gradual changes in pressure during blowdown and drying

operations is expected to be non-gross with limited propagation, as the pressure differential is

relieved after failure. As additional follow-up, the licensee characterized water samples

collected from the vacuum drying condensate and the vacuum pump casing, which did not

identify the presence of heavy metals. The licensee also confirmed that the fuel had remained

in an inert environment without experiencing oxidizing effects, and that the fuel cladding

temperature was maintained below the approved design-bases limit.

On completion of this review, the licensee concluded that the fuel was adequately selected and

the cladding was adequately protected against gross ruptures. The licensee resumed loading

operations on May 28, 2015, and the DSC was subsequently transferred to the storage pad.

Additional information is available in NRC Inspection Report, Millstone Power Station -

Integrated Inspection Report 0500336/2015002 and 05000423/2015002 and Independent Spent

Fuel Storage Installation Report 07200047/2015001, August 10, 2015 (Agencywide Documents

Access and Management System (ADAMS) Accession No. ML15222A834).

Calvert Cliffs Nuclear Power Plant, Unit 1

On September 17, 2015 and October 8, 2015, the Unit 1 wide range noble fission gas monitor

detected Kr-85 releases during vacuum drying of DSC-77 and DSC-78, respectively. Exelon

Generation Company, the licensee, performed an apparent cause analysis to define potential

cladding failure initiators and release mechanisms. The investigation concluded the probable

cause to be latent near-through-wall failure sites which fully opened when subjected to the

vacuum environment. The licensee performed technical evaluations in response to each event, using release

magnitude and rate in order to characterize the nature of any new cladding breach. For both

DSCs, the licensee demonstrated that the loaded fuel remained undamaged.

As corrective actions, the licensee developed procedural guidance providing immediate

response to any future area alarms that might occur, including field worker actions and technical

evaluations. Additionally, the licensee will perform VCS several months prior to each loading

campaign in the interest of potentially identifying any legacy fuel that would be vulnerable to

failures during drying.

Arkansas Nuclear One, Units 1 and 2

September 2014 On September 12, 2014, the control room emergency ventilation system at Arkansas Nuclear

One (ANO) was unexpectedly triggered, placing both Unit 1 and 2 control rooms on emergency

recirculation because of increased radiation levels. The event occurred during the process of

decreasing the helium pressure from Phase 1 to Phase 2 operations during forced helium

dehydration (FHD) drying of a Multipurpose Canister (MPC)-24, which was being loaded under

the requirements of Amendment 5 of CoC 72-1014. In accordance with loading procedures, Entergy Operations, Inc., the licensee, stabilized the pressure of the MPC and suspended

additional pressure changes.

Certificate of Compliance 72-1014 defines allowable contents as intact fuel assemblies without

known or suspected cladding breaches greater than pinhole leaks or hairline cracks. The

licensee characterized a sample of the helium vented from the MPC, which identified Kr-85 levels representative of a cladding breach in one or more fuel rods within the MPC. A review of

records of individual sipping traces and ultrasonic testing inspection of the assemblies did not

reveal the presence of a fuel rod breach. All fuel had been visually examined before loading for

indications of rod or assembly damage, or other potential issues. None of the subject

assemblies contained visible rod or assembly anomalies. As a result, all of the assemblies

loaded into the MPC were originally classified as intact, consistent with the certificate of

compliance technical specifications.

The CoC holder recommended that the licensee finish the FHD drying process and backfill to

the CoC technical specification requirements while monitoring for increasing Kr-85 levels. The

licensee agreed with the CoC holders assessment and completed the drying and backfill

process, electing to complete the closure welding of the MPC (i.e., closure welding and

nondestructive examination of the port cap covers and closure ring), placing the MPC in a fully

contained and passive cooling condition.

The licensee performed an apparent cause evaluation that determined two potential causes for

the release (ADAMS Accession No. ML14286A037). The licensee cited both the prevalence of

GTRF in the operating cycles of the subject assemblies, which may produce breaches larger

than a pinhole, and the limitations of ultrasonic testing in accurately identifying leaking fuel. The

licensee further cited the potential for fuel failure caused by depressurization of the MPC.

However, it determined the latter apparent cause to be unlikely because of the small pressure

change during the relevant FHD operation.

As a corrective action, the licensee elected to conservatively reclassify the fuel loaded into the

MPC as damaged and submitted an exemption request from the requirements in 10 CFR 72.212(a)(2) and 10 CFR 72.212(b)(11), as the loaded MPC had not been approved for

damaged fuel. The licensee identified additional corrective actions that included precluding the

loading of fuel not tested through in-mast sipping or not originating from a failure-free cycle as

identified by reactor core chemistry records, and adding the subject MPC to an internal record of

DSSs with potentially leaking fuel pins (in recognition of potential future transport).

Additional information is available in NRC Inspection Report, Arkansas Nuclear One, Units 1, 2, and Independent Spent Fuel Storage Installation (ISFSI) - NRC Inspection Report 05000313/2015011, 05000368/2015011, and 07200013/2015001, dated January 21, 2016 (ADAMS Accession No. ML16021A485).

August 2015 On August 21, 2015, the licensees process radiation monitor for Unit 2 spent fuel area alarm

was activated, which tripped the exhaust system. The alarm activated during the process of

decreasing the helium pressure from Phase 1 to Phase 2 operations during FHD drying of a

MPC-32 canister being loaded under CoC 72-1014. The licensee obtained a gas sample from

the condensate discharge line to the SFP, which the licensee stated was representative of the

MPC atmosphere. The licensee characterized the sample and identified fission product gas

Kr-85.

The licensee reviewed fuel selection records and verified that the MPC contained only fuel

assemblies that were either discharged after operating in a failure-free cycle or were in-mast

sipped to confirm them as intact. The sipping trace data confirmed no anomalies that would

contradict the licensees conclusions that the selected fuel assemblies were intact. All

assemblies had been visually examined prior to MPC loading for evidence of cladding damage.

The licensee confirmed that the MPC had remained under a helium atmosphere, which would

limit the potential for the fuel cladding to undergo unanticipated oxidation. The licensees

description of temperatures measured from drying inlet and outlet readouts gave no evidence

that peak cladding temperatures exceeded those defined in the design bases, consistent with

the guidance in NUREG-1536, Revision 1, Standard Review Plan for Dry Cask Storage

Systems, dated July 2010 (ADAMS Accession No. ML101040620).

The licensee identified that there was still a potential that radiochemical analyses would not

have identified a very tight (pinhole) fuel failure, even if the assembly originated from a cycle

declared failure-free. Gross failures, which would classify the fuel as damaged, would be much

more easily detectable by in-mast sipping. Therefore, the licensee concluded that any failure

from a declared failure-free cycle or missed by in-mast sipping would be expected to be a

pinhole leak and that the MPC met the certificate of compliance technical specifications

definition for intact fuel.

Additional information is available in NRC Inspection Report, Arkansas Nuclear One, Units 1, 2, and Independent Spent Fuel Storage Installation (ISFSI) - NRC Inspection Report 05000313/2015011, 05000368/2015011, 07200013/2015001, dated January 21, 2016 (ADAMS

Accession No. ML16021A485).

BACKGROUND

As required by 10 CFR 72.122(h)(1), the spent fuel cladding is to be protected against

degradation that leads to gross ruptures or the fuel must be otherwise confined such that

degradation of the fuel during storage will not pose operational safety problems with respect to its removal from storage. In addition, per 10 CFR 72.122(l), the DSS must be designed to allow

ready retrieval of the spent fuel, which may be on an assembly basis in accordance with the

approved design bases (see NUREG-1536, Revision 1). In transportation, the chemical and

physical form of the spent fuel must be accurately specified (10 CFR 71.33(b)(3)), the geometric

form of the package contents must not be substantially altered during normal conditions of

transport (10 CFR 71.55(d)(2)), and the package is to be proper for the contents to be shipped

(10 CFR 71.87(a)). Therefore, for undamaged and intact assemblies, the fuel cladding serves a

design function in both DSSs and transportation packages for assuring that the spent fuel

configuration remains within the bounds of the reviewed safety analyses. If the fuel is classified

as damaged, a separate canister (e.g. can for damaged fuel) that confines the assembly to a

known volume may be used to provide this assurance. NUREG-1536, Revision 1, provides

NRC staff guidance on fuel classification and definitions of breached spent fuel rods, pinhole

leaks, hairline cracks, and gross cladding breaches.

The technical specifications of the license or CoC generally define the allowable cladding

condition for the spent fuel contents, and the nomenclature may vary from system to system.

For example, the terms intact and undamaged have both been used historically to

describe cladding without any known gross cladding breaches. Per 10 CFR 72.212(b)(3),

10 CFR 72.212(b)(11), and 10 CFR 71.17(c)(2), users of DSSs and transportation packages are

required to comply with the license or CoC by selecting and loading the appropriate fuel, and

they must maintain records that reasonably demonstrate that loaded fuel was adequately

selected, in accordance with their approved site procedures and quality assurance (QA)

program.

Licensees may consider several methods, either singular or in combination, to demonstrate that

fuel cladding does not contain gross breaches.

Reactor Operating Records

The guidance in NUREG-1536, Revision 1, states that evidence of only gaseous or volatile

decay products (no heavy metals) in the reactor coolant system may provide evidence that a

cladding breach is no larger than a pinhole leak or hairline crack. Records showing the

presence of heavy metal isotopes that are characteristic of fuel release in the reactor coolant

system may indicate gross breaches in the cladding.

Licensees may assess whether any missing records from early reactor operation, such as those

lost because of changes in plant ownership, may impact conclusions made about fuel

discharged from a given cycle. They may determine whether additional fuel qualification is

necessary to provide reasonable assurance that the fuel was properly classified.

Visual Inspection

Visual examination of selected fuel has a two-fold purpose: (1) to identify any mechanical

damage to the assembly that may preclude its ability to be retrieved, and (2) to assess the

extent and size of any cladding failure or failures. The guidance in NUREG-1536, Revision 1, states that a visual examination of a breached rod can be used to determine if a breach is gross

(i.e., cladding breaches greater than 1 mm). The extent of visual inspection is generally limited

in assessing flaws behind the spacer grids (e.g., pellet-clad interaction flaws, debris fret) and in

rods in the inner matrix. Therefore, most licensees use a tape-recorded visual inspection of the

exterior of the fuel assembly only as a supplement to other fuel qualification test data (e.g.,

sipping, UT). In addition, accessibility in boiling-water reactor (BWR) assemblies may also be limited by the flow channel. Because of these limitations, unless a licensee can reasonably

demonstrate sufficient resolution and inspection coverage, visual inspection may not provide, on

its own, reasonable assurance that the fuel cladding does not contain gross cladding breaches.

Fuel Qualification Testing

Sipping

Sipping techniques are widely used to identify failed fuel assemblies by detection of radioactive

fission gases (Kr-85, xenon (Xe)-133) released through cladding breaches. The techniques are

not considered adequate for breach sizing; therefore, licensees generally conservatively classify

fuel with detected fission gases as damaged.

Mast sipping is generally performed during refueling operations, as the first lift from the core

generally yields the highest release of fission gases (because of the decreasing water head

pressure). Three primary techniques are used depending on the reactor type: (1) in-mast

sipping (pressurized-water reactor (PWR)), (2) telescope sipping (PWR/BWR), and (3) mast

sipping (PWR). The operations vary. For example, in-mast sipping generally employs air

injection at the bottom of the mast to help entrain released fission gases; telescope sipping

generally includes processing a gas sample from a liquid extraction; and mast sipping allows for

sampling at different locations. The NRC staff considers mast sipping records to be adequate

for fuel selection as long as testing is performed at the time of discharge under conditions not

known to result in missed calls. For example, inner core assemblies from cycles with significant

GTRF may increase the background counts and mask small-release leakers, particularly for

sipping methods that do not use gas entrainment. Therefore, when determining whether the

fuel is intact or undamaged, the licensee can review mast sipping data considering the

limitations of the respective technique.

Telescope sipping has been used historically for fuel qualification of wet stored fuel (e.g., during

SFP transfers). However, the use of telescope sipping for fuel that has been in wet storage for

a significant period may consider the sensitivity of the technique relative to the fuels decreasing

fission gas inventory. International Atomic Energy Agency Nuclear Energy Series No. NF-T-3.6, Management of Damaged Spent Nuclear Fuel, issued June 2009,1 recommends that Xe-133 measurements be performed up to 2 months after discharge and Kr-85 measurements be

performed up to 10 years after discharge.

The industry generally regards VCS as one of the most sensitive fuel qualification techniques

currently available, particularly for low-power and low-fission-yield assemblies. In this

technique, each assembly is individually placed inside an isolation chamber (sealed can) and a

negative pressure is drawn to drive noble fission gas releases (if the cladding is breached),

which are collected at the top of the can.

Ultrasonic Testing

In-bundle UT is generally performed by placing multiple UT wands at a pre-established axial

elevation on the probed assembly. Pressurized water reactor assemblies do not require

dismantling for accessibility; however, de-channeling is generally required for BWR assemblies.

Ultrasonic testing relies on the measurement of the reflected amplitude of a shear wave signal

1 http://www-pub.iaea.org/books/IAEAbooks/8023/Management-of-Damaged-Spent-Nuclear-Fuel as it transverses the cladding tube. Water ingress to the rod leads to UT signal attenuation

(amplitude reduction) and identification of a cladding breach.

The guidance in NUREG-1536, Revision 1, states that ultrasonic testing may be used to classify

rods as unbreached or breached. The licensees review of UT data may be performed while

considering potential technique limitations. More specifically, the licensees review may

consider (1) whether the lack of water inside the fuel rod at the elevation of the UT inspection

can reasonably ensure no water ingress at other axial elevations (particularly for high burnup

fuel, where the interspace between the cladding and the fuel pellet may be closed), (2) the

effects of pellet-to-clad interactions, which may produce multiple echo signals that are difficult to

assess, and (3) any potential misalignment of the transducers caused by the presence of Chalk

River Unidentified Deposit or oxide flaking, or any fuel rod bowing or geometry changes caused

by irradiation (e.g., bowing caused by larger diameter guide tubes). Failures missed due to

these limitations could potentially result in fission gas releases during drying operations if the

cladding condition had not been adequately assessed.

A secondary review of UT data from assemblies loaded during a late 2004 campaign at ANO

resulted in the conservative reclassification of five assemblies loaded in four MPCs as damaged

fuel (ADAMS Accession No. ML052510724). The licensee concluded that UT data could not

reasonably be used to size the identified failures. Therefore, the licensee submitted an

exemption request from the requirements of 10 CFR 72.212(a)(2) and 10 CFR 72.214, which

included revised safety analyses assuming up to two damaged fuel pins, each in a separate fuel

assembly. In a separate event in 2014, ANO conservatively reclassified an assembly as

damaged following a noble fission gas release (Kr-85) during FHD drying of a loaded MPC

(ADAMS Accession Nos. ML16021A485, ML14286A037). The licensee cited the prevalence of

GTRF in the operating cycles for the subject assemblies and the lower reliability of UT relative

to other fuel qualification test methods as the most likely cause of the event. As a corrective

action, the licensee revised operating procedures to avoid the use of UT for future fuel

classification. The licensee for Calvert Cliffs has also chosen to rely on VCS for fuel

classification activities in the interest of potentially identifying any legacy fuel that may be

vulnerable to releases.

DISCUSSION

Licensees that experience noble fission gas releases during spent fuel cask loading operations

may determine follow-up actions based on a review of fuel selection records, results from

root-cause or apparent-cause analyses, or other relevant operating experience. A licensee may

evaluate whether the design-bases fuel temperature limits were exceeded or whether the fuel

was inadvertently exposed to oxidizing species that compromised cladding integrity. The

guidance in NUREG-1536, Revision 1, states that if fuel oxidation occurred, it may lead to a

configuration not adequately analyzed for radiation dose rates or criticality safety. Additionally, the guidance further states that the release of fuel fines or grain-sized powder into the inner

cask environment from ruptured fuel may be a condition outside of the approved design bases.

The NRC staff recognizes that no fuel qualification test method is 100 percent accurate and that

quantifying reliability is difficult because of the low failure rate of modern fuel (about

0.001 percent). Nevertheless, a licensees evaluation of operating experience may identify

limitations of a given technique, and appropriate actions consistent with the licensees' approved

site procedures and QA program are recommended. Such actions may include revising

operating procedures to limit the use of certain techniques, depending on the type of fuel or

sensitivity limits of the instrumentation, as well as assessing the need for secondary characterization. The staff discusses fuel qualification testing, inspection method limitations, and staff considerations in the Background section of this IN.

Releases of detectable gases, such as Kr-85, may also be an indication of a substantive release

of tritium, which is not readily detectable by plant radiation monitoring instruments or routinely

used portable survey instruments. The release of this gas could have implications for

occupational workers, as well as members of the public. Regulations in 10 CFR 20 Subpart C

require summing of internal and external doses. Regulations in 10 CFR 20 Subpart D require

monitoring and control of gaseous effluents. Regulations in 10 CFR 20 Subpart F require

performance of adequate surveys. Fuel bundles containing burnable boron poison may contain

higher quantities of tritium than bundles not containing boron poisons. Since personal

dosimetry devices may not respond to gases such as tritium, the need for bioassay of workers

involved with these transients may be evaluated by the licensee at the time of the event.

CONTACT

This IN requires no specific action or written response. Please direct any questions about this

matter to the technical contact listed below or to the appropriate Office of Nuclear Reactor

Regulation or Office of New Reactors project manager.

/ra/ /ra/

Michael C. Layton, Director Christopher G. Miller, Director

Division of Spent Fuel Management Division of Inspector and Regional Support

Office of Nuclear Material Safety Office of Nuclear Reactor Regulation

and Safeguards

/ra/

Timothy J. McGinty, Director

Division of Construction Inspection

and Operational Programs

Office of New Reactors

Technical Contact:

Ricardo Torres, NMSS

301-415-7508 E-mail: ricardo.torres@nrc.gov

Note: NRC generic communications may be found on the NRC public Web site, http://www.nrc.gov, under NRC Library/Document Collections. NRC INFORMATION NOTICE 2018-01, NOBLE FISSION GAS RELEASES DURING SPENT

FUEL LOADING OPERATIONS, DATE: February 21, 2018 ADAMS Accession No.: ML17234A705 CAC No. MG0051 OFFICE QTE NMSS/DFSM/RMB NRO/DSEA/RPAC/BC NRR/DSS/D NMSS/DFSM/RMB/BC

NAME CHsu RTorres LBurkhart MGavrilas MRahimi

DATE 01/23/2017 08/15/2017 09/11/2017 10/05/2017 10/13/2017 OFFICE NRR/DIRS/IRGB/PM NRR/DIRS/IRGB /LA NRR/DIRS/IRGB/BC NRO/DCIP/D NMSS/DFSM/D

NAME TGovan ELee HChernoff TMcGinty MLayton

DATE 10/18/2017 10/30/2017 02/01/2018 02/06/2018 02/08/2018 OFFICE NRR/DIRS/D

NAME CMiller

DATE 02/21/2018 OFFICIAL USE ONLY