ML20010F598

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Forwards Control of Heavy Loads at Crystal River Unit 3: NUREG-0612 Six-Month Rept. Cask Drop Issue Not Yet resolved.NUREG-0612 Concerns Will Be Addressed as Part of Cask Drop Review
ML20010F598
Person / Time
Site: Crystal River Duke Energy icon.png
Issue date: 09/02/1981
From: Baynard P
FLORIDA POWER CORP.
To: Eisenhut D
Office of Nuclear Reactor Regulation
Shared Package
ML20010F599 List:
References
RTR-NUREG-0612, RTR-NUREG-612 NUDOCS 8109100410
Download: ML20010F598 (2)


Text

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'k Florida Power COH PO A A Y rON September 2, 1981 3-0-3-c-6 h(6/ /

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@,Q Q SEP og;gggh ?_T Darrell G. Eisenhut, Director h. ** %>*=" w [1 Division of Licensing \h Office of Nuclear Reactor Regulation g #

U.S. Nuclear Regulatory Comission o' Washington, D.C. 20555

SUBJECT:

Crystal River Unit 3 Docket No. 50-302 Operating License No. DPR-72

REFERENCES:

(1) Generic Letter to All Licensees (12/11/81)

(2) FPC Response (P. Y. Baynard to D. G. Eisenhut) of 5/14/81 (3) FPC Response (P. Y. Baynard to D. G. Eisenhut) of 7/9/81

Dear Mr. Eisenhut:

In Reference (3) above, Florida Power Corporation (FPC) modified its scheduled completion dates for compliance with your implementatic+1 of NUhEG-0612 (Reference 1) . Je have continued to expend considerable eff ort in these areas and are within the intent of our schedule for all activities. All procedure chandes and tr aining will be completed prior to signifie ant load handling activities for the specific systems are utilized in our uncoming refueling outage. Finalizar, ion of training, especially on inaccessible cranes cannot be accomplished entirely before the outage. We also anticipate that the learning curve for utilizing the new procedures will produce some changes throughout the outage. These chrnges will still meet the intent of NUREG-06 G.

Attached are three (3) copies of Florida Power Corporation's "6-month" report.

This report outlines the heavy load handling program (s) for Crystal River Unit 3 and is responsive to Section 2.1 of Reference 1. It should be recognized that FPC has not committed to the letter of NUREG-0612 or the referenced standards but rather has used these documents a guides to identify accepted industry practice. We e e committed to take those actions necessary to assure adequate reliability in our load handling operations and have made substantial changes toward that end. The program, as described in the attached, meets the intent of NUREG-0612, referenced industry standards and your letter.

8109100410 810902 # ^"

PDR ADOCK 05000302 P PDR glgyrM p' 61 i General Office 32o1 Tnirty-fourin street soutn . P O Box 14042, st Petersburg. Fiorda 33733 813-866-5151

Darrell G. Eisenhut, Director Page 2

%ptember 2,1981 FPC will address the issues raised by Section 2.2, 2.3 and 2.4 in accordance with the schedule provided in Reference 2 except as noted below. FPC will make necessary modifications to handling systems to meet the intent of NUREG-0612 without awaiting prior NRC staff review. However, we do not anticipate major modifications at this time and plan to justify any substantial variances with specific NUREG-0612 requirements based on quantitative and/or qualitative assessments of actual hazards associated with various handling operations.

These assessments will address the items covered in Secti.on 5.3, Safety Evaluation, of NUREG-0612.

As mentioned in Section 4, one load handling system, the Auxiliary Building Crane (FHCR-5), is being addressed as a separate matter. FPC has not resolved the " cask-drop" issue to date and is pursuing final resolution of this matter outside the generic heavy load handling progran. Concerns raised by NUREG-0612, et al, will be addressed as part of the " cask-drop" review.

Very truly yours, FLORIDA POWER CORPORATION atsy Y. Baynard {

Manager, Nuclear Support Services KRW:gs DPR72(02)

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