TSTF-580
TSTF-580 is a followup to TSTF-566
text
1. SUMMARY DESCRIPTION
The proposed change provides a Technical Specifications (TS) exception to entering Mode 4 if
both required Residual Heat Removal (RHR) shutdown cooling subsystems are inoperable. The
proposed change modifies NUREG-1433, "Standard Technical Specifications, General Electric
BWR/4 Plants," and NUREG-1434, "Standard Technical Specifications, General Electric
BWR/6 Plants."[1]
2. DETAILED DESCRIPTION
2.1. System Design and Operation
RHR System
The RHR System consists of at least two redundant subsystems. Each subsystem contains at
least one motor driven pump, a heat exchanger, and associated piping, valves, and
instrumentation.
The heat exchanger is cooled by the ultimate heat sink using a safety related cooling system. In
NUREG-1433, the safety related cooling system is called the RHR Service Water (RHRSW)
system, and in NUREG-1434, it is called the Standby Service Water (SSW) System, but the
plant-specific names vary. In this traveler, the name RHRSW System will be used to describe
the safety related cooling water system used to transfer heat from the RHR heat exchangers to
the ultimate heat sink.
The RHR System is a multipurpose system with up to seven operating modes depending on the
plant design:
1. Low Pressure Coolant Injection (LPCI) Mode
In LPCI mode the RHR System is part of the Emergency Core Cooling System (ECCS) and
is used to maintain the reactor pressure vessel (RPV) coolant inventory following a loss of
coolant accident (LOCA). The LPCI mode is the normal valve lineup during plant operation
and is the only automatically started mode of operation. Both RHR subsystems in LPCI
mode are automatically started based on low reactor water level and high drywell pressure.
During LPCI operation, the RHR pumps take water from the suppression pool and discharge
to the RPV via the recirculation system discharge piping. If reactor pressure is less than the
pump shutoff head, the discharge check valves open to permit flow into the RPV. If reactor
pressure is above the shutoff head, the minimum flow valves open to allow sufficient flow to
the suppression pool to cool the pumps.
2. Containment Spray Mode
The containment spray mode is manually aligned and started by the operator. It is used to
condense steam and reduce airborne activity in the primary containment following a LOCA.
Water is pumped from the suppression pool through the RHR heat exchanger to the
containment spray spargers located in the upper portion of the drywell and the suppression
chamber.
3. Suppression Pool Cooling Mode
Suppression pool cooling is used to maintain suppression pool temperature within limit
during normal plant operating conditions and to limit the suppression pool temperature
following a LOCA. Water is pumped from the suppression pool through the RHR heat
exchanger and back to the suppression pool. The suppression pool cooling mode is manually
configured and started by the operator.
Each RHR pump is interlocked with all of the shutdown cooling and suppression pool valves
which can isolate the suction path for that pump. All the valves in at least one flow path
must be fully open before that RHR pump can be started. If an RHR pump is running and a
valve in its suction path is moved out of the fully open position, the pump is automatically
stopped.
The shutdown cooling mode is placed in operation during a normal reactor shutdown and
cooldown to remove decay heat. When reactor temperature and pressure have decreased to
sufficiently low values, the RHR System is manually placed in the shutdown cooling mode
of operation. This mode is capable of cooling the reactor coolant system to approximately
125°F and maintaining the water below that temperature to accommodate refueling
operation. Water is removed from one recirculation loop suction piping, cooled by the RHR
heat exchanger, and discharged back to one of the recirculation loop discharge lines.
5. Steam Condensing Mode
The steam condensing mode is manually aligned to support the Reactor Core Isolation
Cooling (RCIC) System to remove decay heat when the main condenser is unavailable.
Steam is removed from the high pressure ECCS steam supply line, cooled by the RHR heat
exchangers, and pumped back to the RPV by the RCIC System. This mode of operation is
not applicable to all BWR plants.
6. Standby Coolant Supply Mode
The standby coolant supply mode is used for post-accident recovery. The RHR Service
Water system is connected to the RHR System and used to fill the primary containment to a
level above the reactor core.
7. Fuel Pool Cooling Mode
The fuel pool cooling mode may be used to augment the heat removal capacity of the Fuel
Pool Cooling and Cleanup system if needed.
Decay Heat Removal
Mode 3 (hot shutdown) is defined in Table 1.1-1 of the TS as the reactor mode switch in
"Shutdown" and the average reactor coolant temperature > [200]℉, and Mode 4 is defined as the
reactor mode switch in "Shutdown" and the average reactor coolant temperature ≤ [200]℉. The
transition temperature is plant-specific, but the temperature is close to the boiling point of water.
The BWR design features a number of systems that can remove reactor core decay heat after a
shutdown while in Mode 3 by injecting water into the RPV and removing decay heat by
conversion of water to steam:
• Power conversion system (e.g., normal feedwater and steaming to the main condenser)
• High Pressure Coolant Injection (HPCI) System – BWR/2, BWR/3, and BWR/4
• Low Pressure Core Spray (LPCS) System
• Low Pressure Coolant Injection (LPCI) System
• Reactor Core Isolation Cooling (RCIC) System
• The RHR System (below the RHR cut-in permissive pressure)
• Control Rod Drive (CRD) System
• High Pressure Core Spray (HPCS) System - BWR/5 and BWR/6
In Mode 4, only the RHR System has the capability to remove a significant amount of decay heat
from the reactor because the average reactor coolant temperature is below the boiling point of
water. Other methods are available, such as injecting cool water with the CRD System and
maintaining water level with the Reactor Water Cleanup System, but their heat removal
capability is substantially less than the RHR shutdown cooling subsystems and cannot maintain
reactor coolant temperature during periods of high decay heat load.
2.2. Current Technical Specifications Requirements
Not all of the RHR System operating modes are described in the TS. The following TS provide
requirements on various RHR System operating modes.
• BWR/4 TS 3.4.8 and BWR/6 TS 3.4.9, "Residual Heat Removal (RHR) Shutdown Cooling
System - Hot Shutdown," requires two RHR shutdown cooling subsystems to be operable in
Mode 3 when the reactor steam dome pressure is less than the RHR cut-in permissive
pressure.
TSTF-566-A, "Revise Actions for Inoperable RHR Shutdown Cooling Subsystems,"
approved by the NRC on February 21, 2019, revised the Actions of these TS to permit
establishing alternative decay heat removal mechanisms and to remain in Mode 3 when both
required RHR shutdown cooling subsystems are inoperable.
• BWR/4 TS 3.4.9 and BWR/6 TS 3.4.10, "Residual Heat Removal (RHR) Shutdown Cooling
System - Cold Shutdown," requires two RHR shutdown cooling subsystems to be operable in
Mode 4.
• BWR/4 and BWR/6 TS 3.5.1, "ECCS - Operating," requires each LPCI and LPCS subsystem
to be operable in Modes 1, 2, and 3. If the required RHR Subsystems in LPCI and LPCS
mode are inoperable while in Mode 3, LCO 3.0.3 is entered and the plant must be brought to
Mode 4 within 37 hours4.282407e-4 days <br />0.0103 hours <br />6.117725e-5 weeks <br />1.40785e-5 months <br />.
• BWR/4 and BWR/6 TS 3.5.2, "Reactor Pressure Vessel Water Inventory Control," was
renamed and revised by TSTF-542, "Reactor Pressure Vessel Water Inventory Control," and
requires one ECCS subsystem, which may be an LPCI subsystem, to be operable in Modes 4
and 5 to mitigate an inadvertent draining event.
• BWR/4 and BWR/6 TS 3.6.2.3, "Residual Heat Removal (RHR) Suppression Pool Cooling,"
requires two RHR suppression pool cooling subsystems to be operable in Modes 1, 2, and 3.
If both required RHR Subsystems in suppression pool cooling mode are inoperable in Mode
3, one must be restored within 8 hours9.259259e-5 days <br />0.00222 hours <br />1.322751e-5 weeks <br />3.044e-6 months <br /> or average reactor coolant temperature must be
reduced to Mode 4 in the following 36 hours4.166667e-4 days <br />0.01 hours <br />5.952381e-5 weeks <br />1.3698e-5 months <br />.
• BWR/4 TS 3.6.2.4, "Residual Heat Removal (RHR) Suppression Pool Spray," requires two
RHR suppression pool spray subsystems to be operable in Modes 1, 2, and 3. If both
required RHR Subsystems in suppression pool spray mode are inoperable in Mode 3, one
must be restored within 8 hours9.259259e-5 days <br />0.00222 hours <br />1.322751e-5 weeks <br />3.044e-6 months <br />. The TS do not require entering Mode 4.
• BWR/4 and BWR/6 TS 3.9.8, "Residual Heat Removal (RHR) - High Water Level," require
one RHR shutdown cooling subsystem to be operable in Mode 5 with irradiated fuel in the
RPV and the water level ≥ [23] ft above the top of the RPV flange.
• BWR/4 and BWR/6 TS 3.9.9, "Residual Heat Removal (RHR) - Low Water Level," require
two RHR shutdown cooling subsystem to be operable in Mode 5 with irradiated fuel in the
RPV and the water level ≤ [23] ft above the top of the RPV flange.
In addition, BWR/4 TS 3.7.1, "Residual Heat Removal Service Water (RHRSW) System," and
BWR/6 TS 3.7.1, "[Standby Service Water (SSW)] System and [Ultimate Heat Sink (UHS)],"
require two RHRSW subsystems or SSW subsystems to be operable to support the RHR System
heat exchangers in Modes 1, 2, and 3. If both RHRSW subsystems are inoperable in Mode 3,
one subsystem must be restored within 8 hours9.259259e-5 days <br />0.00222 hours <br />1.322751e-5 weeks <br />3.044e-6 months <br /> or the plant must be in Mode 4 within 36 hours4.166667e-4 days <br />0.01 hours <br />5.952381e-5 weeks <br />1.3698e-5 months <br />.
If both SSW subsystems are inoperable in Mode 3, the plant must be in Mode 4 within 36 hours4.166667e-4 days <br />0.01 hours <br />5.952381e-5 weeks <br />1.3698e-5 months <br />.
2.3. Reason for the Proposed Change
In TSTF-566, the TSTF proposed to delete BWR/4 TS 3.4.8 and BWR/6 TS 3.4.9, Required
Action A.3, which required the plant to be in Mode 4 within 24 hours2.777778e-4 days <br />0.00667 hours <br />3.968254e-5 weeks <br />9.132e-6 months <br /> when one or two required
RHR shutdown cooling subsystems are inoperable. Reducing reactor coolant temperature to less
than the boiling point of water eliminates most of the decay heat removal mechanisms. The
TSTF proposed that entering Mode 4 should not be dictated by the TS when no RHR shutdown
cooling subsystem is operable. The NRC approved the change because if there are no operable
RHR shutdown cooling subsystems and the plant is in a period of high decay heat load, it may
not be possible to reduce the reactor coolant system temperature to the Mode 4 entry condition
within the Completion Time.
As discussed in Section 2.1, the RHR System can be used in various different operating modes
that share many of the same components and, as discussed in Section 2.2, there are multiple TS
that provide requirements on the RHR System in its different operating modes. Even though
TSTF-566 revised the "RHR Shutdown Cooling System – Hot Shutdown" TS to not require
entering Mode 4 with no operable RHR shutdown cooling subsystems, there are other TS that
would still require entering Mode 4 for the same condition. For Example:
• BWR/4 and BWR/6 TS 3.5.1, "ECCS – Operating," if two inoperable RHR shutdown
cooling subsystems results in two inoperable LPCI subsystems,
• BWR/4 and BWR/6 TS 3.6.2.3, "Residual Heat Removal (RHR) Suppression Pool
Cooling," if two inoperable RHR shutdown cooling subsystems results in two inoperable
RHR suppression pool cooling subsystems, or
• BWR/4 TS 3.7.1, RHRSW System, if two RHRSW subsystems are inoperable.
Given the design of the system, it is difficult to construct a scenario in which two inoperable
RHR shutdown cooling subsystems in Mode 3 would not also render the corresponding LPCI
and RHR suppression pool cooling modes inoperable. Therefore, contrary to the intent of
TSTF-566, the TS may still require entering Mode 4 with no operable RHR shutdown cooling
subsystems.
Should both subsystems of the RHRSW System become inoperable, both required subsystems of
the RHR System in the LPCI, RHR shutdown cooling, and RHR suppression pool cooling modes
would also be inoperable and would require transition to Mode 4, even though the RHR heat
exchangers would not have RHRSW cooling.
Therefore, the TS should be revised to not require transition to Mode 4 with no operable RHR
subsystems as it may not be possible to reduce the reactor coolant system temperature to the
Mode 4 entry condition within the Completion Time.
2.4. Description of the Proposed Change
The proposed change would provide an exception from TS requirements to enter Mode 4 if the
required RHR shutdown cooling subsystems are inoperable. Any TS Required Action directing
entry into Mode 4 would be suspended by this proposed change, regardless of whether it is
related to RHR shutdown cooling, until at least one RHR shutdown cooling subsystem is
restored to operable status. If there is a circumstance that rendered both required LPCI
subsystems, both required RHR suppression pool cooling subsystems, or both RHRSW
subsystems inoperable but that did not render the RHR shutdown cooling function inoperable,
the exception would not apply.
Adoption of this change is dependent on previous adoption of TSTF-566-A, "Revise Actions for
Inoperable RHR Shutdown Cooling Subsystems."
The attached TS markups are made on the completed but not yet published Revision 5 of
NUREG-1433 and NUREG-1434, which incorporates the changes to BWR/4 TS 3.4.8 and
BWR/6 TS 3.4.9 approved in TSTF-566.
The proposed change is implemented as Notes to BWR/4 TS 3.4.8 and BWR/6 TS 3.4.9,
"Residual Heat Removal (RHR) Shutdown Cooling System - Hot Shutdown."
• Condition A is revised from, "One or two RHR shutdown cooling subsystems
inoperable," to "One [required] RHR shutdown cooling subsystems inoperable." The
Action is revised to be applicable to a single inoperable subsystem.
• Condition B, "Required Action and associated Completion Time of Condition A not
met," is revised to be applicable to a single inoperable RHR shutdown cooling subsystem.
• A new Condition C is added which is applicable when two [required] RHR shutdown
cooling subsystems are inoperable.
o Required Action C.1 is similar to Required Action A.1 and requires verification of
an alternate method of decay heat removal within one hour and every 24 hours2.777778e-4 days <br />0.00667 hours <br />3.968254e-5 weeks <br />9.132e-6 months <br />
thereafter.
• A new Condition D, "Required Action and associated Completion Time of Condition C
not met," is added.
o Proposed Required Action D.1 requires immediate initiation of action to restore
an RHR shutdown cooling subsystem to operable status.
o There is a Note applicable to Required Action D.1 which states, "LCO 3.0.3 and
all other LCO Required Actions requiring a MODE change to MODE 4 may be
suspended until one RHR shutdown cooling subsystem is restored to OPERABLE
status."
• Action C is renumbered Action E with no other changes.
The TS Bases are revised to reflect the changes to the TS. The regulation at Title 10 of the Code
of Federal Regulations (10 CFR), Part 50.36, states, "A summary statement of the bases or
reasons for such specifications, other than those covering administrative controls, shall also be
included in the application, but shall not become part of the technical specifications." A licensee
may make changes to the TS Bases without prior NRC review and approval in accordance with
the Technical Specifications Bases Control Program. The proposed TS Bases changes are
consistent with the proposed TS changes and provide the purpose for each requirement in the
specification consistent with the Commission's Final Policy Statement on Technical
Specifications Improvements for Nuclear Power Reactors, dated July 2, 1993 (58 FR 39132).
Therefore, the Bases changes are provided for information and approval of the Bases is not
requested.
A model application is attached. The model may be used by licensees desiring to adopt the
traveler following NRC approval.
3. TECHNICAL EVALUATION
The purpose of the BWR/4 TS 3.4.8 and BWR/6 TS 3.4.9, "Residual Heat Removal (RHR)
Shutdown Cooling System - Hot Shutdown," actions is to provide appropriate remedial measures
that must be taken in response to a condition in which one or more required RHR shutdown
cooling subsystems are inoperable. As discussed in Section 2.1, when the RCS average water
temperature is close to or above the boiling point of water, there are several available
mechanisms to remove decay heat from the reactor, such as steaming to the main condenser, the
RCIC System, LPCS, LPCI, and the RHR shutdown cooling system (if below the cut-in
permissive pressure). However, if the average reactor coolant temperature is significantly below
the boiling point of water as in Mode 4, the methods of removing decay heat are substantially
reduced. Only the RHR shutdown cooling system, supported by the RHRSW System, can
remove high decay heat loads and maintain reactor coolant temperature. At low decay heat
loads, a system such as reactor water cleanup can remove decay heat and maintain reactor
coolant temperature. Without an operable RHR shutdown cooling subsystem, it is unlikely that,
following a reactor shutdown, the average reactor coolant temperature could be reduced to Mode
4 within the Completion Time. Other than the TS, there is no design or other regulatory
requirement that a BWR be capable of reducing temperature to Mode 4 with no operable RHR
shutdown cooling subsystems.
As described in Section 2.2, several modes of the RHR system are required by TS. While it
would be possible to modify the LPCI, RHR suppression pool cooling, and RHRSW System TS
to provide an exception when there are no operable RHR shutdown cooling subsystems, that
would require describing the RHR shutdown cooling subsystem operability requirements in
those TS, which would unnecessarily complicate those TS. A more straightforward approach is
to provide a global exception to entering Mode 4 with no operable RHR shutdown cooling
subsystems in the RHR shutdown cooling TS. This approach is consistent the pressurized water
reactor (PWR) Standard Technical Specifications (STS) on Auxiliary Feedwater (AFW) and
Emergency Feedwater (TS 3.7.5 in the Babcock & Wilcox STS (NUREG-1430), Westinghouse
STS (NUREG-1431), and Combustion Engineering STS (NUREG-1432)). In the condition for
no operable AFW trains in Modes 1, 2, or 3, the Required Action is modified by a Note which
states, "LCO 3.0.3 and all other LCO Required Actions requiring MODE changes are suspended
until one AFW train is restored to OPERABLE status." The Bases describe the Note as, "all
required MODE changes are suspended until one AFW train is restored to OPERABLE status.
In this case, LCO 3.0.3 is not applicable because it could force the unit into a less safe
condition."
The proposed change is similar to the PWR AFW exception but is more narrowly applied and
limited to entry into Mode 4 with no operable RHR shutdown cooling subsystems. The proposed
Note modifying new Required Action D.1 indicates that all required MODE changes to MODE 4
may be suspended until one RHR shutdown cooling subsystem is restored to operable status. In
this case, LCO 3.0.3 and other Required Actions directing entry into MODE 4 are not applicable
because it could force the unit into a less safe condition in which there are no adequate means to
remove decay heat.
The proposed note would not exempt a requirement to transition to Mode 3 but would remove
the requirement to transition to Mode 4 with no operable RHR shutdown cooling subsystems.
Entry into Mode 4 should not be dictated by the TS when no RHR shutdown cooling subsystem
is operable.
When at least one RHR subsystem is restored to operable status, the Completion Times of LCO 3.0.3 or other Required Actions would resume at the point at which they were suspended.
The addition of the Note is acceptable because the Required Actions would continue to establish
appropriate remedial actions to the degraded condition in order to minimize risk. Immediate
action to restore an RHR shutdown cooling subsystem to operable status is required when the
exception is applied. It is appropriate to allow the restoration of one of the RHR shutdown
cooling subsystems before requiring entry into a condition in which that subsystem would be
needed and exiting a condition where other sources of cooling are available.
The bracketed word “required” is added to Conditions A and new Condition C to be used for
plants that are designed with more than two RHR shutdown cooling subsystems (e.g., Peach
Bottom, Dresden, and Brunswick designs include two RHR shutdown cooling subsystems per
RHR System loop resulting in four RHR shutdown cooling subsystems.)
Required Action C.1 is similar to Required Action A.1 and preserves the current TS Required
Action for two inoperable RHR shutdown cooling subsystems. New Required Action D.1
requires immediate initiation of action to restore at least one inoperable subsystem to operable
status and is the appropriate action to pursue, similar to existing Action B.1. Restoring at least
one decay heat removal path allows a plant cooldown to continue to Mode 4. The immediate
Completion Time reflects the importance of restoring a normal path for heat removal.
Traveler TSTF-566, Revision 0, proposed to delete a Required Action for the plant to be in Mode
4 within 24 hours2.777778e-4 days <br />0.00667 hours <br />3.968254e-5 weeks <br />9.132e-6 months <br /> when two RHR shutdown cooling subsystems are inoperable. The NRC found
the change to be acceptable because if there is no operable RHR shutdown cooling subsystem
and the plant is in a period of high decay heat load, it may not be possible to reduce the reactor
coolant system temperature to the Mode 4 entry condition (typically less than 200 °F) within the
Completion Time. The NRC staff also found the deletion of the Required Action acceptable
because remaining in Mode 3 allows fission product decay heat and other residual heat from the
reactor core to be transferred at a rate such that specified acceptable fuel design limits and the
design conditions of the reactor coolant pressure boundary will not be exceeded.
4. REGULATORY EVALUATION
4.1. Applicable Regulatory Requirements/Criteria
Section IV, "The Commission Policy," of the "Final Policy Statement on Technical
Specifications Improvements for Nuclear Power Reactors" (58 Federal Register 39132), dated
July 22, 1993, states in part:
The purpose of Technical Specifications is to impose those conditions or limitations upon
reactor operation necessary to obviate the possibility of an abnormal situation or event
giving rise to an immediate threat to the public health and safety by identifying those
features that are of controlling importance to safety and establishing on them certain
conditions of operation which cannot be changed without prior Commission approval.
…[T]he Commission will also entertain requests to adopt portions of the improved STS,
even if the licensee does not adopt all STS improvements.
…The Commission encourages all licensees who submit Technical Specification related
submittals based on this Policy Statement to emphasize human factors principles.
…In accordance with this Policy Statement, improved STS have been developed and will
be maintained for [BWR designs]. The Commission encourages licensees to use the
improved STS as the basis for plant-specific Technical Specifications.
…[I]t is the Commission intent that the wording and Bases of the improved STS be used
… to the extent practicable.
As described in the Commission’s "Final Policy Statement on Technical Specifications
Improvements for Nuclear Power Reactors," recommendations were made by NRC and industry
task groups for new STS that include greater emphasis on human factors principles in order to
add clarity and understanding to the text of the STS, and provide improvements to the Bases of
STS, which provides the purpose for each requirement in the specification. Improved vendorspecific
STS were developed and issued by the NRC in September 1992.
The regulation at Title 10 of the Code of Federal Regulations (10 CFR) Section 50.36(a)(1)
requires an applicant for an operating license to include in the application proposed TS in
accordance with the requirements of 10 CFR 50.36. The applicant must include in the
application a "summary statement of the bases or reasons for such specifications, other than
those covering administrative controls…." However, per 10 CFR 50.36(a)(1), these technical
specification bases "shall not become part of the technical specifications." The Final Policy
Statement provides the following description of the scope and the purpose of the Technical
Specification Bases:
Appropriate Surveillance Requirements and Actions should be retained for each LCO
[limiting condition for operation] which remains or is included in the Technical
Specifications. Each LCO, Action, and Surveillance Requirement should have
supporting Bases. The Bases should at a minimum address the following questions and
cite references to appropriate licensing documentation (e.g., FSAR [final safety analysis
report], Topical Report) to support the Bases.
1. What is the justification for the Technical Specification, i.e., which Policy
Statement criterion requires it to be in the Technical Specifications?
2. What are the Bases for each LCO, i.e., why was it determined to be the lowest
functional capability or performance level for the system or component in
question necessary for safe operation of the facility and, what are the reasons for
the Applicability of the LCO?
3. What are the Bases for each Action, i.e., why should this remedial action be taken
if the associated LCO cannot be met; how does this Action relate to other Actions
associated with the LCO; and what justifies continued operation of the system or
component at the reduced state from the state specified in the LCO for the
allowed time period?
4. What are the Bases for each Safety Limit?
5. What are the Bases for each Surveillance Requirement and Surveillance
Frequency; i.e., what specific functional requirement is the surveillance designed
to verify? Why is this surveillance necessary at the specified frequency to assure
that the system or component function is maintained, that facility operation will
be within the Safety Limits, and that the LCO will be met?
Note: In answering these questions the Bases for each number (e.g., Allowable Value,
Response Time, Completion Time, Surveillance Frequency), state, condition, and
definition (e.g., operability) should be clearly specified. As an example, a number might
be based on engineering judgment, past experience, or PSA [probabilistic safety
assessment] insights; but this should be clearly stated.
Additionally, 10 CFR 50.36(b) requires:
Each license authorizing operation of a … utilization facility … will include technical
specifications. The technical specifications will be derived from the analyses and
evaluation included in the safety analysis report, and amendments thereto, submitted
pursuant to [10 CFR] 50.34 ["Contents of applications; technical information"]. The
Commission may include such additional technical specifications as the Commission
finds appropriate.
The categories of items required to be in the TS are provided in 10 CFR 50.36(c). As required
by 10 CFR 50.36(c)(2)(i), the TS will include LCOs, which are the lowest functional capability
or performance levels of equipment required for safe operation of the facility. Per
10 CFR 50.36(c)(2)(i), when an LCO of a nuclear reactor is not met, the licensee shall shut down
the reactor or follow any remedial action permitted by the TS until the condition can be met.
The regulation at 10 CFR 50.36(c)(3) requires TS to include items in the category of SRs, which
are requirements relating to test, calibration, or inspection to assure that the necessary quality of
systems and components is maintained, that facility operation will be within safety limits, and
that the LCOs will be met.
Per 10 CFR 50.90, whenever a holder of a license desires to amend the license, application for an
amendment must be filed with the Commission, fully describing the changes desired, and
following as far as applicable, the form prescribed for original applications.
Per 10 CFR 50.92(a), in determining whether an amendment to a license will be issued to the
applicant, the Commission will be guided by the considerations which govern the issuance of
initial licenses to the extent applicable and appropriate.
The NRC staff’s guidance for the review of TS is in Chapter 16, "Technical Specifications," of
NUREG-0800, Revision 3, "Standard Review Plan for the Review of Safety Analysis Reports for
Nuclear Power Plants" (SRP), dated March 2010 (ADAMS Accession No. ML100351425). As
TSTF-580, Rev. 1
Page 11
described therein, as part of the regulatory standardization effort, the NRC staff has prepared
Standard Technical Specifications for each of the light-water reactor nuclear designs.
4.2. Conclusions
In conclusion, based on the considerations discussed above, the proposed revision does not alter
the current manner of operation and (1) there is reasonable assurance that the health and safety of
the public will not be endangered by continued operation in the proposed manner, (2) such
activities will be conducted in compliance with the Commission’s regulations, and (3) the
approval of the proposed change will not be inimical to the common defense and security or to
the health and safety of the public.
5. REFERENCES
1. "GE Technology Manual (R-304B)," US Nuclear Regulatory Commission Technical Training Center.
2. TSTF-566-A, Revision 0, "Revise Actions for Inoperable RHR Shutdown Cooling Subsystems," February 21, 2019.
- ↑ 1 NUREG 1433 is based on the BWR/4 plant design, but is also representative of the BWR/2, BWR/3, and, in this case, BWR/5 designs. NUREG 1434 is based on the BWR/6 plant design.