ML14028A546

From kanterella
Revision as of 00:33, 3 July 2018 by StriderTol (talk | contribs) (Created page by program invented by StriderTol)
Jump to navigation Jump to search
NRC Telecon Regarding Davis-Besse License Renewal Severe Accident Mitigation Alternatives Analysis Questions
ML14028A546
Person / Time
Site: Davis Besse Cleveland Electric icon.png
Issue date: 01/25/2012
From: Dort S
FirstEnergy Nuclear Operating Co
To:
Division of License Renewal
Keegan E M, 415-8517
References
Download: ML14028A546 (3)


Text

Doc No. 092512 TO: File DATE: September 25, 2012 FROM: Steven Dort

SUBJECT:

NRC Telecon Regarding Davis-Besse License Renewal -

Severe Accident Mitigation Alternatives Analysis Questions

NRC Attendees: Elaine Keegan, John Parillo, Steve Short, Bruce Schmitt

FENOC Attendees: Cliff Custer, Cindy Williams, Steven Dort This telephone conference call was initia ted by Elaine Keegan, NRC Environmental Project Manager for Davis-Besse License R enewal. The telecon took place at 1500 hours0.0174 days <br />0.417 hours <br />0.00248 weeks <br />5.7075e-4 months <br /> on September 25, 2012. The purpose of the call was to discuss questions raised by the Nuclear Regulatory Commission (NRC) during review of the revised Severe Accident Mitigation Alternatives (SAMA) A nalysis submitted by FENOC letter L-12-244 dated July 16, 2012.

The NRC requested clarification for two specif ic issues from the July 16, 2012 letter as follows: 1. Attachment 1, item 3, explains that the escalation of decontamination costs was revised to be based on the consumer price index. Provide the value of this revised escalation factor and the value used in the SAMA

analysis provided in the Environmental Report. FENOC responded that a multiplier of 1.95 was used to escalate costs to 2009 dollars (from 1986 dollars) to compensate for changes in the

consumer price index during the analysis period. The SAMA analysis provided in the Environmental Repor t did not consider an escalation factor and was based on values in terms of 1986 dollars. See

Environmental Report Table E.3-19, "MACCS2 Economic Parameters

Used in CHRONC," in the July 16, 2012 letter for the updated cost

information. 2. Attachment 1 describes five co rrections made to the SAMA analysis.

These corrections, however, do not appear to explain the changes to the

Modular Accident Analysis Program (MAAP) results provided in the Enclosure to Attachment 3 (Amendm ent No. 29), including the following: a. Table 4.e-1 indicates changes were made to PLHEAT for various release categories. b. Table E.3-1 (E.3-6 of the ER) indicates changes were made to the cesium iodine release fractions. c. Table E.3-13 indicates changes were made to numerous parameters (e.g., OALARM, RELFRC, PDELAY, PLUDUR, and End of Release).

2Discuss how the changes in Attachment 1 affected these values, or whether additional modifications were made to the MAAP runs. If

additional changes were made, briefly discuss the changes made and the

basis for the changes. FENOC responded that the changes to the MAAP results were primarily the result of re-running MAAP using 'mass' for the initial core inventory instead of 'activity',

as recommended by MAAP Users Group Bulletin - MAAP-FLAASH #68, "MAAP4 Fission Product Input

Parameter Clarification." MAAP-FLAASH #68 states that, "The option

of specifying the inventory by prov iding values of radioactivity for individual isotopes- is not valid because the isotopes that were

selected for the model are the most radioactive but not the most massive, resulting in calculated masses that are substantially less than

the actual masses." The MAAP-FLAASH also states that the impact of using the radioactivity of fission pr oduct inventory for specified nuclides on the distributions of the fissi on products in groups that are substantially under-represented can cause users to be misled, as the

results could be underestimated.

Therefore, as recommended by MAAP-FLAASH #68, FENOC changed the initial core inventory MAAP parameter as follows:

In the August 2010 Environmental Report, MAAP calculations were run using the 'radioactivity' of fission product inventory given in curies for the specified nuclide.

In the July 16, 2012 letter, the MAAP calculations were run using the 'mass' of fission product in ventory given in kilograms.

One additional change to the MAAP was made to ensure completeness by including a third 'fission product release period'

criteria as follows:

In the August 2010 Environmental Report, MAAP calculations defined the fission product release period as the time at which the

release stops from all 12 fission product groups, or the time of

reactor vessel failure + 48 hours5.555556e-4 days <br />0.0133 hours <br />7.936508e-5 weeks <br />1.8264e-5 months <br />, whichever comes first.

In the July 16, 2012 letter, MAAP calculations were revised to define the fission product release period as the time at which all

fission product releases stop, or the time of reactor vessel failure

+ 48 hours5.555556e-4 days <br />0.0133 hours <br />7.936508e-5 weeks <br />1.8264e-5 months <br />, or containment failure + 48 hours5.555556e-4 days <br />0.0133 hours <br />7.936508e-5 weeks <br />1.8264e-5 months <br />.

The cumulative effect of the above changes resulted in changes to

'PLHEAT' (energy of release), the cesium iodine release fractions -

'RELFRC' (release fraction) and 'PLUDUR' (plume duration), and End

of Release.

3The changes in OALARM and PDELAY are very small and are likely due to rounding or re-running the M AAP. For example, OALARM for release category (RC) 2.1 changed fr om 8.35E-02 to 8.34E-02 hours, and PDELAY for RC 1.1 changed from 73.80 to 73.20 hours2.314815e-4 days <br />0.00556 hours <br />3.306878e-5 weeks <br />7.61e-6 months <br />.

There was no further discussion, and the call was concluded.