ML072410254

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Exemption from the Requirements of 10 CFR Part 50, Appendix R
ML072410254
Person / Time
Site: Indian Point Entergy icon.png
Issue date: 09/28/2007
From: Boska J P
NRC/NRR/ADRO/DORL/LPLI-1
To: Balduzzi M A
Entergy Nuclear Operations
Boska J P, NRR, 301-415-2901
References
TAC MD2671, FOIA/PA-2011-0242, FOIA/PA-2011-0246, FOIA/PA-2011-0263, FOIA/PA-2016-0148
Download: ML072410254 (18)


Text

September 28, 2007Mr. Michael A. BalduzziSr. Vice President & COO Regional Operations, NE Entergy Nuclear Operations, Inc.

440 Hamilton Avenue White Plains, NY 10601

SUBJECT:

INDIAN POINT NUCLEAR GENERATING UNIT NO. 3 - EXEMPTION FROMTHE REQUIREMENTS OF 10 CFR PART 50, APPENDIX R (TAC NO. MD2671)

Dear Mr. Balduzzi:

The Commission has approved the enclosed exemption from specific requirements of Title 10of the Code of Federal Regulations, Part 50, Appendix R, for the Indian Point NuclearGenerating Unit No. 3. This action is in response to your application dated July 24, 2006, Agencywide Documents Access and Management System (ADAMS) accession number ML062140057, as supplemented on April 30, May 23, and August 16, 2007, ADAMS accession numbers ML071280504, ML071520177, and ML071520177. This application requested revisions to prior exemptions from the Appendix R, III.G.2, requirement for a 1-hour fire barrierin Fire Areas ETN-4 and PAB-2.A copy of the exemption is enclosed. The exemption has been forwarded to the Office of theFederal Register for publication.Please contact me at (301) 415-2901 if you have any questions on this issue.Sincerely,/RA/John P. Boska, Senior Project ManagerPlant Licensing Branch I-1 Division of Operating Reactor Licensing Office of Nuclear Reactor RegulationDocket No. 50-286

Enclosure:

Exemptioncc w/encl: See next page

ML072410254*See memo dated August 27, 2007OFFICELPL1-1/PMLPL1-1/LAAFPB/BCOGCLPL1-1/BCDORL/DNAMEJBoska SLittleSWeerakkody(AKlein* for) LSubinMKowalCHaneyDATE9/07/079/04/078/27/079/21/079/24/079/28/07 Indian Point Nuclear Generating Unit No. 3 cc:

Mr. Michael R. KanslerPresident & CEO / CNO Entergy Nuclear Operations, Inc.

1340 Echelon Parkway Jackson, MS 39213Mr. John T. HerronSr. Vice President Entergy Nuclear Operations, Inc.

1340 Echelon Parkway Jackson, MS 39213Sr. Vice PresidentEngineering & Technical Services Entergy Nuclear Operations, Inc.

1340 Echelon Parkway Jackson, MS 39213Mr. Fred R. DacimoSite Vice President Entergy Nuclear Operations, Inc.

Indian Point Energy Center 450 Broadway, GSB P.O. Box 249 Buchanan, NY 10511-0249Mr. Anthony Vitale - ActingGeneral Manager, Plant Operations Entergy Nuclear Operations, Inc.

Indian Point Energy Center 450 Broadway P.O. Box 249 Buchanan, NY 10511-0249Mr. Oscar LimpiasVice President Engineering Entergy Nuclear Operations, Inc.

1340 Echelon Parkway Jackson, MS 39213Mr. Joseph P. DeRoyVice President, Operations Support Entergy Nuclear Operations, Inc.

1340 Echelon Parkway Jackson, MS 39213Mr. John A. VentosaGM, Engineering Entergy Nuclear Operations, Inc.

440 Hamilton Avenue White Plains, NY 10601Mr. John F. McCannDirector, Nuclear Safety & Licensing Entergy Nuclear Operations, Inc.

440 Hamilton Avenue White Plains, NY 10601Ms. Charlene D. FaisonManager, Licensing Entergy Nuclear Operations, Inc.

440 Hamilton Avenue White Plains, NY 10601Mr. Ernest J. HarknessDirector, Oversight Entergy Nuclear Operations, Inc.

1340 Echelon Parkway Jackson, MS 39213Mr. Patric W. ConroyDirector, Nuclear Safety Assurance Entergy Nuclear Operations, Inc.

Indian Point Energy Center 450 Broadway, GSB P.O. Box 249 Buchanan, NY 10511-0249Mr. Robert WalpoleManager, Licensing Entergy Nuclear Operations, Inc.

Indian Point Energy Center 450 Broadway, GSB P. O. Box 249 Buchanan, NY 10511-0249Mr. William C. DennisAssistant General Counsel Entergy Nuclear Operations, Inc.

440 Hamilton Avenue White Plains, NY 10601 Indian Point Nuclear Generating Unit No. 3 cc:

Mr. Michael BalboniDeputy Secretary for Public Safety State Capitol, Room 229 Albany, NY 12224Mr. John P. SpathNew York State Energy, Research, and Development Authority 17 Columbia Circle Albany, NY 12203-6399Mr. Paul EddyNew York State Department of Public Service 3 Empire State Plaza Albany, NY 12223-1350Regional Administrator, Region IU.S. Nuclear Regulatory Commission

475 Allendale Road King of Prussia, PA 19406Senior Resident Inspector's OfficeIndian Point 3 U. S. Nuclear Regulatory Commission P.O. Box 59 Buchanan, NY 10511Mr. Charles Donaldson, EsquireAssistant Attorney General New York Department of Law 120 Broadway New York, NY 10271Mr. Raymond L. AlbaneseFour County Coordinator 200 Bradhurst Avenue Unit 4 Westchester County Hawthorne, NY 10532Mayor, Village of Buchanan236 Tate Avenue Buchanan, NY 10511Mr. William DiProfioPWR SRC Consultant 48 Bear Hill Road Newton, NH 03858Mr. Garry RandolphPWR SRC Consultant 1750 Ben Franklin Drive, 7E Sarasota, FL 34236Mr. William T. RussellPWR SRC Consultant 400 Plantation Lane Stevensville, MD 21666-3232Mr. Jim RiccioGreenpeace 702 H Street, NW Suite 300 Washington, DC 20001Mr. Phillip MusegaasRiverkeeper, Inc.

828 South Broadway Tarrytown, NY 10591Mr. Mark JacobsIPSEC 46 Highland Drive Garrison, NY 10524 7590-01-PUNITED STATES OF AMERICANUCLEAR REGULATORY COMMISSIONENTERGY NUCLEAR OPERATIONS, INC.ENTERGY NUCLEAR INDIAN POINT 3, LLCINDIAN POINT NUCLEAR GENERATING UNIT NO. 3DOCKET NO. 50-286REVISION TO EXISTING EXEMPTIONS

1.0BACKGROUND

Entergy Nuclear Operations, Inc. (ENO or the licensee) is the holder of FacilityOperating License No. DPR-64, which authorizes operation of the Indian Point Nuclear Generating Unit No. 3 (IP3). The license provides, among other things, that the facility is subject to all rules, regulations, and orders of the Nuclear Regulatory Commission (NRC or the Commission) now or hereafter in effect.The facility consists of a pressurized-water reactor located in Westchester County, NewYork.

2.0REQUEST/ACTIONTitle 10 of the Code of Federal Regulations (10 CFR), Part 50, Section 50.48, requiresthat nuclear power plants that were licensed before January 1, 1979, of which IP3 is one, must satisfy the requirements of 10 CFR Part 50, Appendix R, Section III.G. Subsection III.G.2addresses fire protection features for ensuring that one of the redundant trains necessary to achieve and maintain hot shutdown conditions remains free of fire damage in the event of a fire.

Subsection III.G.2.c provides use of a 1-hour fire barrier, in addition to installed fire detection and automatic fire suppression in the area, as one means for complying with this fire protectionrequirement.In an NRC letter and safety evaluation (SE) dated February 2, 1984, the NRC grantedthe licensee exemptions from the requirements of Appendix R,Section III.G.2, for Fire AreaETN-4 (Fire Zones 7A, 60A and 73A) to the extent that redundant safe-shutdown trains are not separated by more than 20 feet without intervening combustibles or fire hazards, and that redundant safe-shutdown trains are not separated by 1-hour rated fire barrier in an area protected by automatic fire detection and suppression systems. The exemption was based on the minimum of 12-foot spatial separation between the redundant trains, minimal fire hazards in the area, the use of asbestos-jacketed flame-retardant cables, and the installed automatic fire detection and cable tray suppression systems.Following a comprehensive reassessment of the IP3 Appendix R compliance basis, thelicensee identified the need for additional separation measures and installed 1-hour rated fire wraps on several redundant safe-shutdown raceways in Fire Area ETN-4 (Fire Zones 7A, 60A and 73A). By SE dated January 7, 1987, the NRC accepted the use of 1-hour rated fire barriers in the above fire area and confirmed continued validity of the exemption granted by the February 2, 1984 SE. IP3 used the Hemyc fire barrier system to provide the 1-hour rated fire barriers. In the January 7, 1987 SE, the NRC also approved an exemption from Appendix R,Section III.G.2, separation requirements for Fire Area PAB-2 (Fire Zone 1) to the extent thatredundant safe-shutdown trains are not separated by more than 20 feet without intervening combustibles or fire hazards, and that an automatic suppression system has not been provided.

The basis for this exemption included the partial spatial separation between the redundant safe-shutdown trains, the low fire loading in the area, and the existing fire protection features including an automatic fire detection system, manual hose stations and portable extinguishers, a partial-height non-combustible barrier designed to protect redundant equipment against radiant heat from a fire, and a 1-hour rated Hemyc cable wrap around the normal power feed tothe redundant Component Cooling Water (CCW) Pump 33.Testing by the NRC in 2005 identified Hemyc electrical raceway fire barrier system(ERFBS) as a potential nonconforming barrier, potentially not capable of providing a 1-hour fire rating, and Information Notice (IN) 2005-07, "Results of HEMYC Electrical Raceway Fire Barrier System Full Scale Fire Testing," and Generic Letter (GL) 2006-03, "Potentially Nonconforming Hemyc and MT Fire Barrier Configurations," were issued to licensees to inform them of the issue and to collect information regarding Hemyc fire barrier installations. In response to GL 2006-03, ENO informed the NRC that they had declared the Hemyc ERFBS at IP3 inoperable and implemented temporary compensatory measures including an hourly fire watch and verification that fire detection systems are operable in the affected fire areas until compliance is restored for the Hemyc ERFBS. In a letter dated July 24, 2006, ENO stated they would modify the installed Hemyc ERFBS based on the test results. This would provide at least a 24-minute rated fire barrier for cable tray configurations, and a 30-minute rating for conduit and box configurations, between redundant trains of safe-shutdown equipment and cables, which is less than the previously approved 1-hour fire barrier. ENO asserted that in light of the minimal fire hazards and the existing fire protection features in the affected fire areas, this configuration continues to satisfy the basis for an exemption in accordance with 10 CFR 50.12.In summary, by letter dated July 24, 2006, and supplemental letters dated April 30,May 23, and August 16, 2007, responding to the NRC staff's request for additional information, ENO submitted a request for revision of existing exemptions for the Upper and Lower Electrical Tunnels (Fire Area ETN-4, Fire Zones 7A and 60A, respectively), and the Upper Penetration Area (Fire Area ETN-4, Fire Zone 73A), to the extent that 24-minute rated fire barriers are used to protect redundant safe-shutdown trains located in the above fire areas in lieu of the previously approved 1-hour rated fire barriers per the January 7, 1987 SE. For the 41' Elevation CCW Pump Area (Fire Area PAB-2, Fire Zone 1) ENO is requesting a revision of theexisting exemptions to the extent that a 30-minute rated fire barrier is provided to protect redundant safe shutdown trains located in the same fire area.

3.0DISCUSSIONPursuant to 10 CFR 50.12, the Commission may, upon application by any interestedperson or upon its own initiative, grant exemptions from the requirements of 10 CFR Part 50 when (1) the exemptions are authorized by law, will not present an undue risk to public health or safety, and are consistent with the common defense and security; and (2) when special circumstances are present. One of these special circumstances, described in 10 CFR 50.12(a)(2)(ii), is that the application of the regulation is not necessary to achieve the underlying purpose of the rule.The underlying purpose of Subsection III.G.2 of 10 CFR 50, Appendix R, is to ensurethat one of the redundant trains necessary to achieve and maintain hot shutdown conditions remains free of fire damage in the event of a fire. The provisions of III.G.2.c through the use of a 1-hour fire barrier with fire detectors and an automatic fire suppression system is one acceptable way to comply with this fire protection requirement. The NRC staff reviewed the licensee's evaluation in support of the subject exemptionrevision request for a 24-minute rated fire barrier for ETN-4, and 30-minute rated fire barrier for PAB-2, in lieu of a 1-hour rated barrier, and concluded that given the existing fire protection features in the affected fire zones, ENO continues to meet the underlying purpose of 10 CFR Part 50, Appendix R, Subsection III.G.2 for the cable tray, conduit and junction boxconfigurations. The following technical evaluation provides the basis for this conclusion.3.1Fire HazardsThe licensee stated that the fire hazards and ignition sources in both Fire Areas ETN-4and PAB-2 remain materially unchanged from those described in the SEs dated February 2, 1984, and January 7, 1987. For Fire Area ETN-4, the ignition sources consist of limitedtransient combustibles (in all fire zones), and several instrument cabinets and a 3kVA 480V/120V instrument power transformer in Fire Zone 73A. The current IP3 Fire Hazard Analysis calculated the fire severity in Fire Area ETN-4 to be less than 60 minutes, with asbestos-jacketed flame-retardant cable insulation being the predominant combustible. The licensee states that the asbestos-jacketed cable would not constitute a significant component of the fuel source due to the flame-retardant nature of the cable. Based on a November 22, 1982, letter that included results of testing of asbestos-jackedcable, NRC staff concludes that the ignition sources in the area are unlikely to cause fire propagation along the cables to a significant degree, and therefore, it is reasonable to exclude the asbestos-jacketed cable from being considered a hazard within the area.For the 41' Elevation CCW Pump Area (PAB-2, Fire Zone 1), the current IP3 FireHazard Analysis indicated a fire severity of less than 10 minutes. Combustibles are predominantly attributed to the CCW pump bearing lubricating oil and transient materials.

3.2Rated Fire WrapsThe licensee has performed an engineering evaluation to compare the details of theNRC-sponsored Hemyc fire test configurations as reported in NRC IN 2005-07, "Results of Hemyc Electrical Raceway Fire Barrier System Full Scale Fire Testing," with the details of the installed Hemyc ERFBS at IP3. The evaluation established that the configurations are comparable in most cases. Where differences were noted, minor enhancements to the ERFBS supports and installation of additional over-banding on certain enclosures will be performed to upgrade the configurations. Based on these upgrades, the licensee expected the Hemyc ERFBS at IP3 to provide at least 24 minutes of protection for cable tray configuration, and 30 minutes for conduit and box-type configurations, as demonstrated by comparison to relevant NRC-tested configurations. The following are comparisons between the IP3 Hemycinstallations and NRC-sponsored test configurations:

4-Inch Conduit Configuration The Hemyc-wrapped 4-Inch Conduit Configuration installed in Fire Area ETN-4 (FireZones 60A and 73A) and Fire Area PAB-2 (Fire Zone 1) is comparable to Configuration 1A in NRC Test 1. These are 4" conduits protected by a direct-attached 2" thick Hemyc blanket wrap. Tests performed by both NRC and industry indicated that this configuration provides at least 30 minutes of protection from an exposed fire using the American Society for Testing and Materials (ASTM) standard E-119 time-temperature profile.

Box-Type ConfigurationThe Hemyc-wrapped Box-Type Configuration installed in Fire Area ETN-4 (Fire Zone73A) is comparable to Configuration 2G in NRC Test 2, except for the lack of the stainless steel over-banding. These enclosures are protected by a direct-attached 2" thick Hemyc blanket wrap. Both NRC and industry-sponsored tests indicated that box-type configurations provided at least 30 minutes of thermal protection when tested in accordance with ASTM E-119.

However, to more closely reflect Configuration 2G, the licensee is committed to install over-banding on the Box-Type Configuration at IP3.

Cable Tray ConfigurationThe Hemyc-wrapped Cable Tray Configuration installed in Fire Area ETN-4 (Fire Zones7A and 73A) is comparable to Configuration 2B and 2D of NRC Test 2. These cable trays are protected by a 1-1/2" thick Hemyc blanket wrap with a nominal 2" air gap between the protected cable tray and the blanket. Fire tests conducted by both NRC and industry indicated that these Hemyc-wrapped cable tray configurations will provide at least 24 minutes of thermal protection in accordance with the ASTM E-119 time-temperature profile. Based on the above, the NRC staff concludes that the licensee has adequatelydemonstrated a 30-minute rated fire wrap for the 4-Inch Conduit Configuration and Box-Type Configuration. The Cable Tray Configuration has been adequately demonstrated to provide a24-minute rated fire wrap.

3.3Existing Fire Protection Features Fire Area ETN-4 contains the Upper and Lower Electrical Tunnels (Fire Zones 7A and60A, respectively) and the Upper Penetration Area (Fire Zone 73A). This area is separated from other plant areas by 3-hour rated fire barriers. Automatic fire detection systems and automatic cable tray fire suppression systems are installed in the area. Manual fire suppression features including accessible fire hose stations and portable fire extinguishers are alsoprovided.Fire Area PAB-2 contains the 41' Elevation CCW Pump Area (Fire Zone 1). This firearea is separated from other fire areas by 3-hour rated fire barriers. There is a portion of open grating from this area to the 55' elevation above. However, the open grating is located approximately 9 feet to the east of the CCW pumps; therefore, there is no potential for combustible liquids to drip directly onto the CCW pumps area. Furthermore, the area on the 55' elevation only houses components such as the CCW heat exchangers, boric acid transfer pump, air receivers, and various compressed air and gas tanks that normally contain minimal combustible liquids. Automatic fire detection systems and manual fire suppression features in the form of accessible fire hose stations and portable fire extinguishers are provided in this fire zone. In addition, a 7-foot partial height, noncombustible barrier is installed around the redundant 33 CCW Pump to shield this pump from radiant heat in the event of a fire in the other CCW pumps area. 3.4Enhanced Administrative Controls of Hot Work and Transient Combustibles The licensee stated that administrative controls of hot work and transient combustibleshave improved since the previous exemptions. IP3 administrative procedures now designated Fire Areas ETN-4 and PAB-2 as "Level 2" combustible control areas, which constrain transientcombustibles to "moderate" quantities as follows:

  • 100 pounds of fire retardant treated lumber, or
  • 25 pounds of loose ordinary combustibles or plastics, or
  • 5 gallons of combustible liquids stored in approved containers, or
  • One pint of flammable liquids stored in approved containers, or
  • One 20 ounce flammable aerosol can Any planned introduction of transient combustibles that is more than the allowable amount will require prior review and approval by a Fire Protection Engineer. In addition, any planned hot work in Fire Areas ETN-4 and PAB-2 will also require prior review and approval by a Fire Protection Engineer. The review will determine if additional protective or compensatory measures is required.

3.5Evaluation 10 CFR Part 50, Appendix R, Section II states that a licensee's fire protection programshall extend the concept of defense-in-depth (DID) to fire protection with the following objectives:

1. To prevent fires from starting,
2. To detect rapidly, control, and extinguish promptly those fires that do occur, and
3. To provide protection for structures, systems, and components important to safety so that a fire that is not promptly extinguished by the fire suppression activities will not prevent the safe shutdown of the plant. The NRC staff has evaluated the elements of DID used for fire protection at IP3,applicable to the fire zones under review. The staff was concerned about the introduction of additional ignition sources and transient combustibles into the affected areas. However, the concern is addressed by existing administrative controls at IP3 which effectively limit transientcombustibles to a level that would not significantly challenge the existing fire protection features in the affected areas. The administrative control procedures at IP3 ensure that transient combustibles, which may exceed the allowable limit, will not be introduced into the affected fire zones without prior evaluation by a qualified Fire Protection Engineer, and without appropriate additional compensatory measures. The three CCW pumps make up the ignition sources in the 41' Elevation CCW Pump Area (Fire Zone 1). Each of these pumps contain a small amount of lubricating oil, with a combined fire severity of less than 10 minutes. As such, a significant fire is not expected to develop in this fire zone. The Upper Electrical Tunnel, Fire Zone 60A, contains no fixed ignition sources, and the combustible load consists of primarily asbestos-jacketed cables. Therefore, based upon consideration of the limited fire ignition sources and fire hazards in the affected areas, and the existing administrative controls of hot works and transient combustibles at IP3, the staff concludes that objective one of DID is adequately met.Based on the evaluation of fire detection and suppression systems provided in theaffected fire zones, the NRC staff determined that any postulated fire is expected to be promptly detected by the available automatic fire detection systems in Fire Area ETN-4 (Fire Zone 60A) and Fire Area PAB-2 (Fire Zone 1). Fire Zone 60A is provided with an automatic cable tray fire suppression system, as well as manual suppression equipment. Fire Zone 1 is provided with manual fire suppression only. The available fire detection and suppression equipment in these fire zones ensure that a postulated fire will not be left unchallenged. In addition, since Fire Zone 1 and 60A contain low combustible loading, the NRC staff concludedthat the reduction in the level of DID due to the lack of an area wide automatic fire suppression system in these fire zones does not affect the prompt detection and suppression capability ofDID objective 2. With the proposed additional protection of electrical raceway supports and installation ofover-banding on Hemyc box configurations, the modified fire barrier configurations are expected to afford at least 24 minutes for cable tray configurations and 30 minutes of protection for conduit and box configurations. Since the Hemyc ERFBS is expected to provide only 24 or 30 minutes of protection for redundant components and cables in the event of a fire, the NRC staff was concerned about the fire loading in Fire Area ETN-4 (Fire Zone 60A). However, in light of the properties of the asbestos-jacketed cables and the installed fire detection and automatic and manual suppression systems in the area, the staff determined that a credible fire in Fire Zone 60A will be limited in severity and would not challenge the 24 or 30-minute barriers.

For Fire Area PAB-2 (Fire Zone 1), the NRC staff also concluded that the 30-minute fire barrier rating is adequate in protecting the redundant safe shutdown equipment due to the lack of significant combustible loading in the area, the partial fire wall which localizes a postulated fire from affecting redundant equipment, and the available fire detection and manual suppression systems.Based on the limited ignition sources and administrative controls satisfying DID objective1, in conjunction with installed fire detection and suppression features which adequately satisfy DID objective 2, the NRC staff concluded that the minimal combustibles in the areas and existing active/passive fire protection features can compensate for the reduction in DID of objectives 3 and would not impact IP3 post-fire safe-shutdown capability. 3.6Authorized by LawThis exemption would allow use of a fire barrier expected to provide less than 1 hour1.157407e-5 days <br />2.777778e-4 hours <br />1.653439e-6 weeks <br />3.805e-7 months <br /> offire protection. As stated in Section 3.0 above, 10 CFR 50.12 allows the NRC to grant exemptions from the requirements of 10 CFR Part 50. The NRC staff has determined that granting of the licensee's proposed exemption will not result in a violation of the Atomic Energy Act of 1954, as amended, or the Commission's regulations. Therefore, the exemption is authorized by law.

3.7No Undue Risk to Public Health and SafetyThe underlying purpose of Subsection III.G.2 of 10 CFR Part 50, Appendix R, is toensure that one of the redundant trains necessary to achieve and maintain hot shutdown conditions remains free of fire damage in the event of a fire. Based on the existing fire barriers, fire detectors, automatic and manual fire suppression equipment, administrative controls, the fire hazard analysis, the Hemyc configuration, and the absence of significant combustible loads and ignition sources, the NRC staff judges that application of Subsec tion III.G.2 of 10 CFR Part50, Appendix R, for these Fire Areas is not necessary to achieve the underlying purpose of this regulation. No new accident precursors are created by allowing use of a fire barrier expected to provide less than 1 hour1.157407e-5 days <br />2.777778e-4 hours <br />1.653439e-6 weeks <br />3.805e-7 months <br /> of fire protection and the probability of postulated accidents is not increased. Similarly, the consequences of postulated accidents are not increased. Therefore, there is no undue risk (since risk is probability multiplied by consequences) to public health and safety.

3.8Consistent with Common Defense and SecurityThe proposed exemption would allow use of a fire barrier expected to provide less than1 hour of fire protection based on the existing fire barriers, fire detectors, automatic and manual fire suppression equipment, administrative controls, the fire hazard analysis, the Hemyc configuration, and the absence of significant combustible loads and ignition sources. This change to the plant requirements for the specific configuration in this fire zone has no relationto security issues. Therefore, the common defense and security is not impacted by this exemption.

3.9Special CircumstancesOne of the special circumstances, described in 10 CFR 50.12(a)(2)(ii), is that theapplication of the regulation is not necessary to achieve the underlying purpose of the rule. The underlying purpose of Subsection III.G.2 of 10 CFR Part 50, Appendix R, is to ensure that oneof the redundant trains necessary to achieve and maintain hot shutdown conditions remains free of fire damage in the event of a fire. For Fire Area ETN-4 (Fire Zones 7A, 60A, and 73A) and Fire Area PAB-2 (Fire Zone 1), the NRC staff finds that the existing configuration described herein will ensure that a redundant train necessary to achieve and maintain safe shutdown of the plant will remain free of fire damage in the event of a fire in these fire zones. Based upon consideration of the information in the licensee's Fire Hazards Analysis; administrative controls for transient combustibles and ignition sources; previously-granted exemptions for this fire zone; and the considerations noted above, the NRC staff concludes that this exemption meets the underlying purpose of the rule.

4.0CONCLUSION

Accordingly, the Commission has determined that, pursuant to 10 CFR 50.12(a), theexemption is authorized by law, will not present an undue risk to the public health and safety, and is consistent with the common defense and security. In addition, a special circumstance is present such that the application of the regulation in these particular circumstances is not necessary to achieve the underlying purpose of the rule. Therefore, the Commission hereby grants ENO an exemption from the requirement of Section III.G.2 of 10 CFR Part 50, AppendixR, for Fire Area ETN-4 (Fire Zone7A, 60A, and 73A) and Fire Area PAB-2 (Fire Zone 1) at IP3, provided that the existing Hemyc ERFBS in these areas are modified to achieve at least a 24- minute fire resistance rating for cable tray configuration and 30-minute fire resistance rating forconduits and box configurations, consistent with the licensees comparison to the NRC's testedconfigurations as documented in Entergy Engineering Report IP-RPT-06-00062, Revision 0, "Comparison of IP3 Hemyc Electrical Raceway Fire Barrier System to NRC Hemyc Fire Test Results," which meet ASTM-E-119 temperature rise acceptance criteria. The modifications, as committed in Entergy Letter NL-07-061, dated May 23, 2007, will include:Complete modification (including supporting engineering evaluation) to install stainless steel over-banding (as described), additional protection of the electrical racewaysupports, and protection of certain metallic penetration items, associated with the existing Hemyc ERFBS located outside containment at Indian Point 3. [This is a clarification of commitment 3 (licensee reference number COM-07-00034) made in Entergy Letter NL-06-060 dated June 8, 2006]

The licensee is also committed to keep fire protection compensatory measures in placeat IP3 until the aforementioned modifications are completed. The scheduled completion date of these modifications is December 1, 2008. The acceptance of this exemption is also based on the licensee's stated availability of administrative control procedures that control hot work and limit transient combustibles in the affected areas.

Pursuant to 10 CFR 51.32, the Commission has determined that the granting of this exemption will not have a significant effect on the quality of the human environment (72 FR 55254). This exemption is effective upon issuance.Dated at Rockville, Maryland, this 28th day of September 2007.FOR THE NUCLEAR REGULATORY COMMISSION/RA/

Catherine Haney, DirectorDivision of Operating Reactor Licensing Office of Nuclear Reactor Regulation