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MONTHYEARML23242A2142023-08-31031 August 2023 Request for Extension of Comment Period Associated with Draft Nuregs: Revision 1 of Subsequent License Renewal Guidance Documents, and Supplement 1 to Associated Technical Basis Document, Docket Id NRC-2023-0096 ML22055A5622022-02-23023 February 2022 NEI Draft FAQ 22-01 - ANS to Erfer PI ML21270A1312021-09-24024 September 2021 NEI 17-06 NEI Response to NRC Comments ML21244A2672021-08-0909 August 2021 EPFAQ 2021-001 Clarification of Section 4.3 of NUREG-7002, Criteria for Development of Evacuation Time Estimate Studies, Regarding Acceptable Error And/Or Confidence Interval ML21089A0622021-03-26026 March 2021 NEI Responses to Initial NRC Comments on Draft NEI 20-07 Draft B - for Discussion with NRC_032621 ML21003A0082021-01-12012 January 2021 NEI Feedback on POV Inspections Dec 8 2020 (1) ML20191A2312021-01-0404 January 2021 Responses to Public Comments to DG-1287 for Regulatory Guide 1.177, Revision 2, an Approach for Plant-Specific, Risk Informed Decisionmaking: Technical Specifications ML21006A3092020-12-21021 December 2020 NEI Feedback on Draft IMC-0335 12/21/2020 ML20339A4842020-11-23023 November 2020 Summary of Remaining October 2020 NRC Comments on NEI 20-09 ML20168A3912020-06-16016 June 2020 EPFAQ on EPG-SAG R4 - BWROG Update to Question 2019-04-02 ML20162A0692020-06-10010 June 2020 EPFAQ 2019-04 Supplement to Question 2019-04-02 ML20080J3492020-01-28028 January 2020 EPFAQ 2020-02 Clarification of Emergency Preparedness Communication Equipment Relative to Extended Loss of All Power Communication Equipment ML20017A0892020-01-17017 January 2020 NEI Description - Best Practice for Issue Escalation_012220 ML20008E4442020-01-0606 January 2020 EPFAQ 2020-01 Relief from Annual Evacuation Time Estimate (ETE) Update When Performing a Census Baseline ETE Study ML19196A3022019-07-19019 July 2019 Disposition Table for NEI and EPRI Comments Draft Safety Evaluations for EPRI Depletion TRs 3002010613 and 3002010614 ML19196A2762019-01-31031 January 2019 Attachment 3: Proposed Changes for EPRI Utilization Report & NEI 12-16, Revision 3 ML19196A2752019-01-31031 January 2019 Attachment 2: Comments on Draft SER, Revision 2 ML19196A2742019-01-31031 January 2019 Attachment 1: Evaluation of Depletion Reactivity Decrement Bias and Uncertainty Values Using Linear Versus Quadratic Weighted Least Squares Regression Models ML19149A4722019-01-0909 January 2019 EPFAQ 2019-01 CU1 and CA1 IC Clarification Public Comment ML18338A0642018-12-11011 December 2018 Session 2 Biographies for M. Billone, R. Montgomery, and B. Hanson ML18338A3972018-12-0404 December 2018 Completed EPFAQ 2018-03 Single Containment Fire Detector Alarm ML18338A3082018-12-0404 December 2018 Completed EPFAQ 2018-02 BWR Unisolable Leak ML18338A2902018-12-0404 December 2018 Completed EPFAQ 2018-01 RCS Barrier Loss Clarification ML18178A5862018-06-27027 June 2018 Draft NEI 18-03, Rev. F ML18157A1422018-05-31031 May 2018 EPFAQ 2018-04 Hazardous Events Effects on Safety Systems Clarification ML18081A2882018-03-22022 March 2018 EPFAQ 2018-001 RCS Barrier Loss Clarification ML18081A3022018-03-22022 March 2018 EPFAQ 2018-002 BWR Unisolable Leak Question ML18081A3092018-03-22022 March 2018 EPFAQ 2018-003 Containment Detector ML18068A4062018-03-12012 March 2018 NEI Examples- Use of COL License Conditions to Address Significant Errors in a Referenced Design Certification ML18068A6092018-03-0505 March 2018 Resolutions to 11/30/17 NRC Comments on NEI 12-04, Revision 1A ML18030A7712018-01-23023 January 2018 Ensuring the Future of Us Nuclear Energy: Creating a Streamlined and Predictable Licensing Pathway to Deployment ML18016A1252018-01-11011 January 2018 White Paper Addressing the Impact of CCF and Application of Qualitative R1 ML18176A1782017-12-31031 December 2017 Draft NEI 96-07, Appendix D Rev 0e ML17312A7952017-11-0808 November 2017 NEI 96-07 Appendix D Section 4.3.6 Revised ML17249A1002017-09-30030 September 2017 NEI Response to NRC Comment Set 1 ML17268A1062017-09-19019 September 2017 NEI 96-07, App Edits from September 19-21, 2017 Meeting ML17241A0282017-08-29029 August 2017 NEI 16-16, Draft 2, Staff Comments (Jul 13, 2017) and NEI Discussion Points (Aug 10, 2017) ML17195A2992017-07-14014 July 2017 EPFAQ 2016-002 Clarification of Equipment Damage (Completed) ML17209A0212017-07-14014 July 2017 07-14-17 Anchor Darling Valve Industry Resolution Plan Attachment ML17214A6992017-07-0505 July 2017 Attachment 1: Method of Evaluation Guidance Extract - Clean Copy (7/05/2017, E-Mail from K. Cummings/Nei to R. Wharton/Nmss/Dsfm 72.48 and Method of Evaluation) ML17214A7002017-07-0505 July 2017 Attachment 2: Method of Evaluation Guidance Extract - Track Changes (7/05/2017, E-Mail from K. Cummings/Nei to R. Wharton/Nmss/Dsfm 72.48 and Method of Evaluation) ML17171A4102017-06-20020 June 2017 Attachment - Industry Comments on EPFAQ 2017-001 ML17271A2002017-05-16016 May 2017 NEI 96-07, Appendix D with Hsi Edits from Sep 19-21, 2017 Meeting ML17097A4912017-04-0707 April 2017 Attachment 4 - NUREG-2191 and NUREG-2192 (February 2017 Draft) Electrical Comments ML17097A4882017-04-0707 April 2017 Attachment 1 - NUREG-2191 and NUREG-2192 (February 2017 Draft) Summary List of Significant Industry Comments ML17097A4892017-04-0707 April 2017 Attachment 2 - NUREG-2191 and NUREG-2192 (February 2017 Draft) Mechanical Comments ML17097A4902017-04-0707 April 2017 Attachment 3 - NUREG-2191 and NUREG-2192 (February 2017 Draft) Structural Comments ML17096A3882017-04-0606 April 2017 Proposed EPFAQ 2016-002 ML17095A5952017-04-0505 April 2017 NEI Proposed Edits to Draft EPFAQ 2016-002 (April 4, 2017 Public Meeting) ML17108A6162017-03-29029 March 2017 NEI 96-07 Appendix D Draft Revision 0b - Proposed Revisions - March 29 2017 2023-08-31
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Emergency Preparedness Program Frequently Asked Question (EPFAQ)
EPFAQ Number: 2018-01 Originator: David Young Organization: NEI Relevant Guidance: This question concerns NEI 99-01, Development of Emergency Action Levels for Non-Passive Reactors, Revision 6.
Applicable Section(s): Pressurized Water Reactor (PWR) Fission Product Barrier Matrix-Reactor Coolant System (RCS) Barrier Loss Threshold 1.A Date Accepted for Review: 4/4/2018 Status: Under Review QUESTION OR COMMENT:
Background
The PWR EAL Fission Product Barrier Table in NEI 99-01, Rev. 6, contains the following RCS Barrier Loss threshold: An automatic or manual ECCS (SI) actuation is required by EITHER of the following:
- 1. UNISOLABLE RCS leakage OR
- 2. SG tube RUPTURE.
The basis section for this threshold states, This threshold is based on an UNISOLABLE RCS leak of sufficient size to require an automatic or manual actuation of the Emergency Core Cooling System (ECCS). This condition clearly represents a loss of the RCS Barrier.
This threshold is applicable to unidentified and pressure boundary leakage, as well as identified leakage. It is also applicable to UNISOLABLE RCS leakage through an interfacing system. The mass loss may be into any location - inside containment, to the secondary-side (i.e., steam generator tube leakage) or outside of containment.
NEI 99-01, Rev. 6, also states, The RCS Barrier includes the RCS primary side and its connections up to and including the pressurizer safety and relief valves, and other connections up to and including the primary isolation valves.
NEI 99-01, Rev. 6, defines UNISOLABLE as, An open or breached system line that cannot be isolated, remotely or locally.
During a significant and protracted loss of feedwater to the steam generators, PWR emergency operating procedures (EOPs) may direct the opening of Pressurizer pressure relief valves as one action to implement a core cooling strategy often referred as a feed and bleed cooldown.
The action will allow reactor coolant to exit the RCS through a pressurizer pressure relief line,
Emergency Preparedness Program Frequently Asked Question (EPFAQ) collect in a pressurizer relief tank until the rupture of an engineered pressure relief device (such as a disk), and then be recirculated via the containment sumps.
Question If there is a significant and protracted loss of feedwater to the steam generators, and EOPs direct operators to open the Pressurizer pressure relief valves to implement a core cooling strategy (i.e., a feed and bleed cooldown), then should this condition be considered a LOSS of the RCS Barrier?
PROPOSED SOLUTION:
If EOPs direct operators to open the Pressurizer pressure relief valves to implement a core cooling strategy (i.e., a feed and bleed cooldown), then there will exist a reactor coolant flow path from the RCS, past the pressurizer safety and relief valves and into the containment that operators cannot isolate without compromising the effectiveness of the strategy (i.e., for the strategy to be effective, the valves must be kept in the open position); therefore, the flow through the pressure relief line is UNISOLABLE. In this case, the ability of the RCS pressure boundary to serve as an effective barrier to a release of fission products has been eliminated and thus this condition constitutes a loss of the RCS barrier.
A licensee may add clarifying wording reflecting this position to their site-specific emergency classification scheme procedure and/or technical basis document. Consistent with the guidance in Regulatory Issue Summary (RIS) 2003-18, Supplement 2, Use of Nuclear Energy Institute (NEI) 99-01, Methodology for Development of Emergency Action Levels, Revision 4, dated January 2003, it is reasonable to conclude that this change would be considered as a difference.
NRC RESPONSE:
RECOMMENDED FUTURE ACTION(S):
INFORMATION ONLY, MAINTAIN EPFAQ UPDATE GUIDANCE DURING NEXT REVISION