ML14029A533

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Project Units 1 and 2 - Response to Request for Additional Information Re Use of RELAP5 in Analyses for Risk-Informed GSI-191 Licensing Application
ML14029A533
Person / Time
Site: South Texas  STP Nuclear Operating Company icon.png
Issue date: 01/09/2014
From: Powell G T
South Texas
To:
Document Control Desk, Office of Nuclear Reactor Regulation
References
NOC-AE-13003057, TAC MF2400, TAC MF2401, TAC MF2402, TAC MF2403, TAC MF2404, TAC MF2405, TAC MF2406, TAC MF2407, TAC MF2408, TAC MF2409
Download: ML14029A533 (10)


Text

Contents of enclosed digital media should be withheld from public disclosure in accordance withl0CFR2.390 Nuclear Operating Company South Texas Project Electric Generating Station PO. Say 289 Wadsworth.

Tetas 77483 /January 9, 2014 NOC-AE-13003057 D43.02 10 CFR 2.390 Attention:

Document Control Desk U. S. Nuclear Regulatory Commission Washington, DC 20555-0001 South Texas Project Units 1 and 2 Docket Nos. STN 50-498 and 50-499 Response to Request for Additional Information re Use of RELAP5 in Analyses for Risk-Informed GSI-191 Licensing Application (TAC NOS. MF2400, MF2401, MF2402, MF2403, MF2404, MF2405, MF2406, MF2407, MF2408, AND MF2409)

Reference:

E-mail, Balwant Singal, NRC, to Albon Harrison, STP, "Request for Additional Information

-TACs MF2400 through and MF2409", January 9, 2014 (ML14009A307)

By the reference above, the NRC requested the RELAP5 code and modeling used for the thermal-hydraulic analyses in the STP Nuclear Operating Company (STPNOC) licensing application for a risk-informed approach to the resolution of Generic Safety Issue (GSI)-191. The requested RELAP5 information is provided in the enclosed digital media.The information and analyses embodied in the code are considered to be proprietary and are accompanied by a formal request to withhold the documents from public disclosure in accordance with IOCFR2.390 (Attachment 1). The content of the enclosed digital media is considered to be proprietary in its entirety, so no redacted non-proprietary version is provided.There are no regulatory commitments in this submittal.

STI: 33793079 NOC-AE-13003057 Page 2 of 3 If there are any questions regarding this request, please contact Ken Taplett at (361) 972-8416 or me at (361) 972-7566.I declare under penalty of perjury that the foregoing is true and correct.Executed on: 9 _ o G. T. Powell Site Vice President awh Attachments:

Enclosure:

1. Affidavit and Application for Withholding Proprietary Information from Public Disclosure
2. Response to NRC Request for Additional Information RELAP5 digital media (Ten (10) DVDs labeled NOC-AE-13003057 Disc 1 -10)

NOC-AE-13003057 Page 3 of 3 cc: (paper copy)(electronic copy)Regional Administrator, Region IV U. S. Nuclear Regulatory Commission 1600 East Lamar Boulevard Arlington, TX 76011-4511 Balwant K. Singal Senior Project Manager U.S. Nuclear Regulatory Commission One White Flint North (MS 8 B 1)11555 Rockville Pike Rockville, MD 20852 NRC Resident Inspector U. S. Nuclear Regulatory Commission P. 0. Box 289, Mail Code: MN1 16 Wadsworth, TX 77483 Jim Collins City of Austin Electric Utility Department 721 Barton Springs Road Austin, TX 78704 A. H. Guttennan, Esquire Morgan, Lewis & Bockius LLP Balwant K. Singal Michael Markley John Stang U. S. Nuclear Regulatory Commission John Ragan Chris O'Hara Jim von Suskil NRG South Texas LP Kevin Pollo Richard Pena L.D. Blaylock City Public Service Peter Nemeth Crain Caton & James, P.C.C. Mele City of Austin Richard A. Ratliff Texas Department of State Health Services Robert Free Texas Department of State Health Services Attachment 1 NOC-AE-13003057 Page 1 of 3 UNITED STATES OF AMERICA NUCLEAR REGULATORY COMMISSION In the Matter of ))STP Nuclear Operating Company ) Docket Nos. 50-498) 50-499 South Texas Project )Units I and2 )AFFIRMATION I, G. T. Powell, being duly sworn, hereby depose and state that I am Site Vice President of STP Nuclear Operating Company (STPNOC);

that I am duly authorized to sign and file with the Nuclear Regulatory Commission the attached application for withholding proprietary information from public disclosure, that I am familiar with the content thereof; and that the matters set forth therein are true and correct to the best of my knowledge and belief.G. T. Powell Site Vice President STPNOC STATE OF TEXAS ))COUNTY OF MATAGORDA

)Subscribed and sworn to before me, a Notary Public in and for the State of Texas, this day of 2013.AR.E.'% otary Puic in and for the/State of Texas Attachment I NOC-AE-13003057 Page 2 of 3 In accordance with 10 CFR 2.390(b)(ii): (A) The specific information for which withholding from public disclosure is sought is the RELAP5 model of the STP Units 1 and 2 Nuclear Steam Supply System (NSSS)and input data that describes how the NSSS model will be specifically applied to the analyses used in the STPNOC risk-informed GSI-191 pilot project.(B) The official position of the person making this affidavit is the Site Vice President of STPNOC, who has been specifically delegated the function of reviewing the information sought to be withheld and authorized to apply for its withholding on behalf of STPNOC.(C) The basis for proposing the information be withheld is that the information constitutes trade secrets and commercial or financial information obtained from a person and privileged or confidential

[1OCFR2.390(a)(4)].(D) The harm that would result if the information sought to be withheld is disclosed to the public is described below.(E) The entire code and associated input specified in part (A) are considered to be proprietary.

Therefore, there are no individual locations in the information marked"proprietary." In accordance with 10 CFR 2.390(b)(iii), the following is a full statement of the reason for claiming the information should be withheld from public disclosure.

This model and associated data are a first-of-a-kind activity, which would have commercial benefit for other contractors/vendors if it were disclosed to the public. The input data also contains information that is proprietary to Westinghouse that is not contained in publicly available Westinghouse literature.

Finally, the model and data draw application conclusions that are unique to the South Texas Project, which could be potentially misused by others if the document were disclosed to the public.Further, STPNOC affirms that: (i) The information has been held in confidence by STPNOC.(ii) The information is of a type customarily held in confidence by STPNOC and there is a rational basis for doing so.(iii) The information has been transmitted to the NRC in confidence.(iv) The information is not available in public sources.

Attachment 1 NOC-AE- 13003057 Page 3 of 3 (v) Public disclosure of the information sought to be withheld is likely to cause substantial harm to the competitive position of STPNOC, taking into account: the value of the information to STPNOC; the amount of money and effort expended by STPNOC in developing the information; and the ease or difficulty with which the information could be properly acquired or duplicated by others.

Attaclunent 2 NOC-AE- 13003057 Response to NRC Request for Additional Information REQUEST FOR ADDITIONAL INFORMATION LICENSE AMENDMENT REQUEST RISK-INFORMED APPROACH TO RESOLVING GSI- 191 SOUTH TEXAS PROJECT, UNITS 1 AND 2 DOCKET NOS. 50-498, 50-499 By letter dated June 19, 2013 (Agencywide Documents Access and Management System (ADAMS) Accession Number ML131750250), STP Nuclear Operating Company (STPNOC, the licensee) for South Texas Project (STP), Units 1 and 2, submitted a request for exemptions and license amendment request (LAR) for a risk-informed approach to resolving generic safety issue (GSI)-191.

Title 10 of the Code qf Federal Regulations (CFR) Section 50.46(a)(1)(i) states, in part: ECCS [Emergency Core Cooling System] cooling performance must be calculated in accordance with an acceptable evaluation model and must be calculated for a number of postulated loss-of-coolant accidents of different sizes, locations, and other properties sufficient to provide assurance that the most severe postulated loss-of-coolant accidents are calculated.

Except as provided in paragraph (a)(1)(ii) of this section, the evaluation model must include sufficient supporting justification to show that the analytical technique realistically describes the behavior of the reactor system during a loss-of-coolant accident.The ECCS evaluation model must also meet the specific requirements of 10 CFR 50.46(b)(1) and (50.46(b)(5), the ability of peak cladding temperature to remain below 2200 degrees Fahrenheit and sufficient long-term cooling of the reactor core, respectively.

In the LAR, STP uses the RELAP-3D code to perform thermal-hydraulic analyses and evaluate Loss-of-Coolant Accidents (LOCAs).The NRC staff requests the licensee to provide the following:

1. RELAP-3D input decks for these cases with a 3-D vessel and 1-D core: a. Steady state case in Cold Leg b. Medium Break LOCA (6") in Cold Leg c. Double-Ended Guillotine (DEG) Break in Cold Leg d. Core blockage input file 2. RELAP-3D input decks for these cases with a 3-D vessel and 3-D core: a. Steady state case in Cold Leg b. Medium Break LOCA (6") in Cold Leg c. DEG Break in Cold Leg Attachment 2 NOC-AE- 13003057 Page 2 of 3 d. DEG Break in Cold Leg with maximum boron e. Core blockage input file 3. Conversion tables between RETRAN and RELAP-3D ("South Texas Project Power Plant RETRAN-RELAP-3D Conversion Tables")4. Documentation describing model verification

("South Texas Project Power Plant RELAP-3D Steady-state model verification")

STPNOC Response: The requested information is provided in the enclosed proprietary digital media. The enclosure includes 10 DVDs. Disc 1 contains the RELAP5-3D input files and describes the contents of the enclosed media The contents of the media should be withheld from public disclosure.

In accordance with 1 OCFR2.390, Attachment 1 to the cover letter describes the basis for withholding the proprietary information.

As stated in the cover letter and Attachment 1, the information is considered proprietary in its entirety.As discussed in a teleconference with the NRC staff on January 6, 2014, additional scenarios are included to supplement the cases requested in the draft RAI for RELAP5 inputs (referenced in the cover letter). The following additional files and clarifying information are attached: 1. 3-D Vessel and 1-D Core* Small Break LOCA (2") in Cold Leg" Small Break LOCA (2") in Hot Leg" Medium Break (6") in Hot Leg* Double-Ended Guillotine (DEG) Break in Hot Leg 2. 3-D Vessel and 3-D Core* Full Core Blockage and Free Core Bypass input file* Full Core Bypass Blockage and Core Blockage except 1 FA at the center input file* Full Core and Core Bypass Blockage input file 3. Documentation

  • Input transmittal memo with specific instructions on how to use the input files to execute core blockage simulations.

As discussed in the call, the additional cases form the basis for not only PRA acceptance criteria, but in addition, they demonstrate the safety margin and defense in depth described in the submittal (ML13323A183)

Enclosure 4-1, Section 2.1 "Defense-In-Depth and Safety Margin".The PRA acceptance criteria for in-vessel effects are partially established by highly conservative sensitivity studies of small, medium, and large breaks in the cold leg and hot leg using the RELAP5 3D vessel, ID core model following recirculation initiation.

These cases assumed that not only is the core completely blocked but also, the bypass is completely blocked even though there are no major blockage opportunities in the core bypass region. Even when medium and Attachment 2 NOC-AE- 13003057 Page 3 of 3 large cold leg break scenarios are investigated with open bypass (conservatively ignoring the STP LOCA holes in the baffle walls), such cases go to success.In Enclosure 4-1, Section 2.1.2 "Safety Margin", more realistic scenarios that used the 3D vessel, 3D core model are described where just the flow area of one fuel assemblymaintains core cooling below the failure peak clad temperature (PCT) (800'F). This small flow area would be much less than the flow area of the core baffle bypass flow area and the cases demonstrate that the PCT is insensitive to the open location.

NOC-AE- 13003057 Enclosure RELAP5 digital media Ten (10) DVDs labeled NOC-AE-13003057 Disc 1 -10