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Category:Letter type:LR
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90-Day Report2022-02-10010 February 2022 In-Service Inspection Activities - 90-Day Report LR-N22-0007, Request for Exemption from Specific Requirements of 10 CFR Part 26, Fitness for Duty Programs2022-01-0505 January 2022 Request for Exemption from Specific Requirements of 10 CFR Part 26, Fitness for Duty Programs LR-N21-0061, Annual Report of Specific Activity Analysis - TS 6.9.1.5c2021-12-0909 December 2021 Annual Report of Specific Activity Analysis - TS 6.9.1.5c LR-N21-0083, Loss of Coolant Accident Peak Cladding Temperature Margin Tracking - Annual Report 2021 & 30 Day Report for Salem Unit 2 Upflow Conversion2021-11-24024 November 2021 Loss of Coolant Accident Peak Cladding Temperature Margin Tracking - Annual Report 2021 & 30 Day Report for Salem Unit 2 Upflow Conversion LR-N21-0078, Hope and Creek Generating Station, Supplement to License Amendment Request to Revise Technical Specifications (TS) to Delete Definitions Found in 10 CFR Part 20 and Delete Figures of the Site and Surrounding Areas from TS2021-11-18018 November 2021 Hope and Creek Generating Station, Supplement to License Amendment Request to Revise Technical Specifications (TS) to Delete Definitions Found in 10 CFR Part 20 and Delete Figures of the Site and Surrounding Areas from TS LR-N21-0066, Submittal of Relief Request Associated with the Fourth Inservice Inspection (ISI) Interval Limited Examinations2021-11-10010 November 2021 Submittal of Relief Request Associated with the Fourth Inservice Inspection (ISI) Interval Limited Examinations 2023-09-08
[Table view] Category:Status Report
MONTHYEARML22076A0502022-03-17017 March 2022 and Salem Generating Station, Units 1 and 2 - Annual Property Insurance Status Report LR-N21-0015, Report on Status of Decommissioning Funding for Reactors and Independent Spent Fuel Storage Installations2021-03-25025 March 2021 Report on Status of Decommissioning Funding for Reactors and Independent Spent Fuel Storage Installations LR-N19-0014, Stations - Report on Status of Decommissioning Funding for Reactors and Independent Spent Fuel Storage Installations2019-03-25025 March 2019 Stations - Report on Status of Decommissioning Funding for Reactors and Independent Spent Fuel Storage Installations LR-N18-0041, Annual Property Insurance Status Report2018-04-0505 April 2018 Annual Property Insurance Status Report RS-17-045, Report on Status of Decommissioning Funding for Reactors and Independent Spent Fuel Storage Installations2017-03-30030 March 2017 Report on Status of Decommissioning Funding for Reactors and Independent Spent Fuel Storage Installations LR-N17-0043, Report on Status of Decommissioning Funding for Reactors and Independent Spent Fuel Storage Installations2017-03-29029 March 2017 Report on Status of Decommissioning Funding for Reactors and Independent Spent Fuel Storage Installations LR-N17-0041, Annual Property Insurance Status Report2017-03-24024 March 2017 Annual Property Insurance Status Report LR-N16-0043, Sixth Six-Month Status Report in Response to March 12, 2012 Commission Order Modifying Licenses with Regard to Requirements for Mitigation Strategies for Beyond-Design-Basis External Events (Order Number EA-12-049)2016-02-29029 February 2016 Sixth Six-Month Status Report in Response to March 12, 2012 Commission Order Modifying Licenses with Regard to Requirements for Mitigation Strategies for Beyond-Design-Basis External Events (Order Number EA-12-049) LR-N15-0167, PSEG Nuclear Llc'S Fifth Six-Month Status Report for the Salem Generating Station in Response to March 12, 2012 Commission Order Modifying Licenses with Regard to Requirements for Reliable Spent Fuel Pool Instrumentation (Order Number EA2015-08-26026 August 2015 PSEG Nuclear Llc'S Fifth Six-Month Status Report for the Salem Generating Station in Response to March 12, 2012 Commission Order Modifying Licenses with Regard to Requirements for Reliable Spent Fuel Pool Instrumentation (Order Number EA-12 NL-15-1620, Fifth Six-Month Status Report in Response to March 12, 2012 Commission Order Modifying Licenses with Regard to Requirements for Mitigation Strategies for Beyond-Design-Basis External Events (Order Number EA-12-049)2015-08-26026 August 2015 Fifth Six-Month Status Report in Response to March 12, 2012 Commission Order Modifying Licenses with Regard to Requirements for Mitigation Strategies for Beyond-Design-Basis External Events (Order Number EA-12-049) LR-N15-0048, Salem, Units 1 and 2, Hope Creek - 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February 2014 ML15030A2482014-09-22022 September 2014 Figure 6, Salem Generating Station Hydrogeologic Cross Section B-B' ML15030A2492014-09-22022 September 2014 Figure 7, Salem Generating Station Hydrogeologic Cross Section C-C' ML15030A2502014-09-22022 September 2014 Figure 8,Salem Generating Station Hydrogeologic Cross Section D-D' ML15030A2752014-09-22022 September 2014 Figure 10, Precipitation Measurements ML15030A2962014-09-22022 September 2014 Table 05, Groundwater Analytical Results (1.22.2003 Through 3.31.2014) ML15030A2982014-09-22022 September 2014 Table 06A, Groundwater Tritium Analytical Results for Well AC ML15030A2992014-09-22022 September 2014 Table 06B, Groundwater Analytical Results for Well AC ML15030A3002014-09-22022 September 2014 Table 07, Unit 1 Seismic Gap Drain Tritium Analytical Results ML15030A3012014-09-22022 September 2014 Table 08, Unit 2 Seismic Gap Drain Tritium Analytical Results ML15030A2512014-09-22022 September 2014 Figure 9, Salem Generating Station Hydrogeologic Cross Section E-E' ML15030A2952014-09-22022 September 2014 Table 04, Groundwater Measurements and Elevations - 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PSEG Nuclear LLC P.O. Box 236, Hancocks Bridge, NJ 08038-0236 0 Psl:;GI h.._ *-"
Order EA-12-049 LR-N14-0187 AUG 26 2014 U.S. Nuclear Regulatory Commission ATTN: Document Control Desk Washington, DC 20555-0001 Salem Generating Station Units 1 and 2 Renewed Facility Operating License Nos. DPR-70 and DPR-75 NRC Docket Nos. 50-272 and 50-311
Subject:
PSEG Nuclear LLC's Third Six-Month Status Report for the Salem Generating Station in Response to March 12, 2012 Commission Order Modifying Licenses with Regard to Requirements for Mitigation Strategies for Beyond-Design-Basis External Events (Order Number EA-12-049)
References:
- 1. NRC Order Number EA-12-049, "Order Modifying Licenses with Regard to Requirements for Mitigation Strategies for Beyond-Design-Basis External Events," dated March 12, 2012
- 2. PSEG Letter LR-N13-0034, "PSEG Nuclear LLC's Overall Integrated Plan for the Salem Generating Station in Response to March 12, 2012 Commission Order Modifying Licenses with Regard to Requirements for Mitigation Strategies for Beyond-Design-Basis External Events (Order Number EA-12-049)," dated February 28, 2013
- 3. PSEG Letter LR-N13-0175, "PSEG Nuclear LLC's First Six-Month Status Report for the Salem Generating Station in Response to March 12, 2012 Commission Order Modifying Licenses with Regard to Requirements for Mitigation Strategies for Beyond-Design-Basis External Events (Order Number EA-12-049)," dated August 25, 2013
AUG 2 6 2014 Order EA-12-049 Page 2 LR-N14-0187
- 4. PSEG Letter LR-N14-0027, "PSEG Nuclear LLC's Second Six-Month Status Report for the Salem Generating Station in Response to March 12, 2012 Commission Order Modifying Licenses with Regard to Requirements for Mitigation Strategies for Beyond-Design-Basis External Events (Order Number EA-12-049)," dated February 25, 2014
- 5. PSEG letter, "PSEG Nuclear LLC's Request for Relaxation from NRC Order EA-12-049, 'Order Modifying Licenses with Regard to Requirements for Mitigation Strategies for Beyond-Design-Basis External Events' - Salem Generating Station Unit 1," dated July 31, 2014 On March 12, 2012, the Nuclear Regulatory Commission (NRC) issued Order EA-12-049 (Reference 1) to PSEG Nuclear LLC (PSEG). NRC Order EA-12-049 was immediately effective and directed PSEG to develop, implement, and maintain guidance and strategies to maintain or restore core cooling, containment, and spent fuel pool cooling capabilities in the event of a beyond-design-basis external event. In accordance with Condition IV.C.1.a of NRC Order EA-12-049, PSEG submitted an Overall Integrated Plan (OIP) for the Salem Generating Station (SGS) Units 1 and 2, on February 28, 2013 (Reference 2). Condition IV.C.2 of NRC Order EA-12-049 requires six-month status reports to delineate the progress made in implementing the requirements of the Order. References 3 and 4 provided the first and second six-month status reports, respectively, for SGS Units 1 and 2. Enclosure 1 to this letter provides the third six-month status report of progress made in implementing the requirements of NRC Order EA-12-049 at SGS Units 1 and 2, as of July 31, 2014.
By letter dated July 31, 2014 (Reference 5), PSEG requested relaxation of the schedule requirements of NRC Order EA-12-049 for Salem Unit 1, to allow time for implementation of plant changes to reduce reactor coolant pump seal leakage, which is part of the technical bases for the SGS mitigation strategies. This need for schedule relaxation is described in Section 5 of Enclosure 1.
AUG 2 6 2014 Order EA-12-049 Page 3 LR-N14-0187 There are no regulatory commitments contained in this letter.
If you have any questions or require additional information, please do not hesitate to contact Mr. Brian Thomas at 856-339-2022.
I declare under penalty of perjury that the foregoing is true and correct.
Executed on ---Ll--&-- --f-/<-"--0_/tf_.__
(Date)
Sincerely, z:::?
Vice President - Salem Enclosure 1: Salem Generating Station Units 1 and 2 Third Six-Month Status Report for the Implementation of Order EA-12-049, Order Modifying Licenses with Regard to Requirements for Mitigation Strategies for Beyond-Design-Basis External Events cc: Director of Office of Nuclear Reactor Regulation Administrator, Regioi:i I, NRC Project Manager, NRC NRC Senior Resident Inspector, Salem Mr. P. Mulligan, Manager IV, NJBNE Salem Commitment Tracking Coordinator PSEG Corporate Commitment Coordinator
AUG 2 6 2014 Order EA-12-049 Page 4 LR-N14-0187 (The bee list should not be submitted as part of the DCD submittal - remove this page prior to submittal and make the bee distribution accordingly) bee: President and Chief Nuclear Officer Senior Vice President and Chief Operating Officer Vice President - Salem Vice President, Operations Support Director - Nuclear Oversight Director - Regulatory Affairs Plant Manager - Salem Senior Project Manager - Fukushima Site Improvements Project Manager - Regulatory Assurance - Salem Manager - Licensing Document Control
ENCLOSURE 1 LR-N14-0187 Salem Generating Station Units 1 and 2 Third Six-Month Status Report for the Implementation of Order EA-12-049, Order Modifying Licenses with Regard to Requirements for Mitigation Strategies for Beyond-Design-Basis External Events Salem Generating Station Units 1 and 2 PSEG Nuclear LLC
ENCLOSURE 1 LR-N14-0187 1 Introduction PSEG Nuclear LLC (PSEG) developed an Overall Integrated Plan (OIP) (Reference 1) for the Salem Generating Station (SGS) Units 1 and 2, documenting the diverse and flexible coping strategies (FLEX) in response to NRC Order EA-12-049 (Reference 2).
References 3 and 4 transmitted the first and second SGS FLEX six-month status reports, respectively. This report is the third six-month status report, which provides implementation status as of July 31, 2014. This update follows the guidance in Section 13.2 of Nuclear Energy Institute (NEI) Report 12-06 (Reference 5), which states that the six-month status reports should include an update of milestone accomplishments since the previous report, changes to the compliance method, schedule, and the need for relief and the basis for relief, if applicable. Sections 2 and 3 of this status report include milestone accomplishments and milestone schedule status, respectively. Section 4 identifies changes to the method of compliance with NEI 12-06.
Section 5 describes the request for schedule relaxation (Reference 6) for Salem Unit 1 associated with reactor coolant pump seal leakage.
2 Milestone Accomplishments The following milestones have been completed since the development of the SGS FLEX OIP, and are current as of July 31, 2014.
- Submit Integrated Plan: PSEG submitted the SGS FLEX OIP to the NRC.
- Develop FLEX Strategies: PSEG has developed SGS Units 1 and 2 FLEX strategies as described in the SGS FLEX OIP and has identified design, analysis, procurement, and programmatic actions necessary to achieve compliance with Order EA-12-049. Changes to the FLEX strategies involving changes to methods of compliance with NEI 12-06 are described in Section 4.
- Perform Staffing Analysis - PSEG completed an analysis of the staff needed to implement the SGS FLEX strategies during a beyond-design-basis external event, and transmitted the staffing assessment report to the NRC via Reference 7.
- Develop Training Plan - PSEG developed training materials and schedules, and has begun training personnel on the SGS mitigation strategies.
3 Milestone Schedule Status The following table provides an update of SGS FLEX OIP milestones. The table provides the milestone activity status and indicates whether the original expected completion date has changed. The dates are planning dates subject to change as design and implementation details are developed. The revised milestone target completion dates reflect the pending NRC Order EA-12-049 compliance schedule relaxation request for Salem Unit 1 (Reference 6).
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ENCLOSURE 1 LR-N14-0187 Original Revised Target Activity Target Milestone Completion Status Completion Date Date Submit Overall Integrated Plan Feb 2013 Complete Aug 2013 Complete Feb 2014 Complete Aug 2014 Complete Six-Month Status Update Feb 2015 Not Started Aug 2015 Not Started Feb 2016 Not Started Develop Strategies May 2013 Complete Modifications Aug 2014 Develop Modifications - Unit 1 Dec 2013 Started See Section 5 Nov 2014 I mplement Modifications - Unit 1 Oct 2014 Started See Section 5 Develop Modifications - Unit 2 Dec 2013 Started Jan 2015 Implement Modifications - Unit 2 Oct 2015 Not Started Nov 2015 Flex Support Guidelines (FSGs)
Develop FSGs - Unit 1 Dec 2013 Started Nov 2014 (Note 1)
Validation Walk-throughs or Demonstrations of FLEX Strategies Nov 2014 Not Started and Procedures - Unit 1 (Note 2)
Develop FSGs - Unit 2 Dec 2013 Started Nov 2015 (Note 1)
Validation Walk-throughs or Demonstrations of FLEX Strategies Nov 2015 Not Started and Procedures - Unit 2 (Note 2)
Perform Staffing Analysis Dec 2013 Complete Jun 2014 (Note 3)
Develop Training Plan Jun 2014 Complete 2 of 6
ENCLOSURE 1 LR-N14-0187 Original Revised Target Activity Target Milestone Completion Status Completion Date Date Implement Training Unit 1 Training Dec 2014 Started Nov 2014 Unit 2 Training Dec 2014 Started Nov 2015 Develop Strategies/Contract with Oct 2013 Started Oct 2014 Regional Response Center (RRC)
Procure Equipment Unit 1 Procurement Dec 2013 Started Oct 2014 Unit 2 Procurement Dec 2013 Started Jun 2015 Create Maintenance Procedures May 2014 Started Nov 2014 Emergency Preparedness (EP)
Communications Improvements Jun 2014 Started Nov 2014 (Note 4)
Nov 2014 Unit 1 Implementation Outage Oct 2014 Not Started See Section 5 Unit 1 Report to NRC When Full Compliance is Achieved Feb 2015 Not Started Aug 2016 (Note 5)
Unit 2 Implementation Outage Oct 2015 Not Started Nov 2015 Unit 2 Report to NRC When Full Feb 2016 Not Started Compliance is Achieved Section 3 Table Notes
- 1) Draft FSGs have been developed. The Salem Unit 1 milestone of November 2014 and Unit 2 milestone of November 2015 reflect final approval and issuance during the respective unit refueling outages.
- 2) The validation walk-through milestone is not specifically identified in the SGS FLEX OIP milestone schedule, but is added here as a follow-up to the milestone for development of FSGs.
- 3) The SGS FLEX staffing assessment report was transmitted to the NRC via Reference 7, as required by the 10 CFR 50.54(f) information request dated March 12, 2012 (Reference 8).
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ENCLOSURE 1 LR-N14-0187 Section 3 Table Notes (continued)
- 4) The original EP communications improvement milestone is the target completion date associated with the milestone to complete installation, procedure revision, and training for satellite phone base units and antennae (Reference 9). The revised milestone is based on PSEG's regulatory commitment in Reference 10, to complete communications improvements prior to restart from the Salem Unit 1, 23rd Refueling Outage (S1R23) in Fall 2014.
- 5) The Salem Unit 1 milestone for affirming full compliance with NRC Order EA-12-049 is consistent with the pending schedule relaxation request to address reactor coolant pump seal leakage (Reference 6).
4 Changes to Compliance Method PSEG has made changes to the method of compliance with NEI 12-06 subsequent to the February 2014 status report (Reference 4). These changes continue to meet the requirements of NRC Order EA-12-049, as summarized below.
The SGS Phase 1 strategy is based on an alternative to initial conditions 1 and 3 of NEI 12-06 Section 3.2.1. 3. Initial condition 1 states that no specific initiating event is used, and initial condition 3 states "Cooling and makeup water inventories contained in systems or structures with designs that are robust with respect to seismic events, floods, and high winds, and associated missiles are available." The SGS FLEX strategy includes event-dependent consideration of cooling water availability, e.g., the Seismic Class I auxiliary feedwater storage tank (AFST) is assumed to remain available following a seismic event, but may become unavailable due to tornado missile damage.
Based on the capability to align diverse water supplies depending on the specific hazard, the SGS FLEX strategy is consistent with the overarching goal of reasonable protection of equipment such that no single event results in failure of the strategy.
SGS is using an alternative to the criteria of NEI 12-06 Section 7.3.1, "Protection of FLEX Equipment," which recommends protection of FLEX equipment from high wind hazards via storage in a structure or in diverse locations. Two FLEX DGs, electrical connections and distribution equipment will be stored in the canyon area (i.e., the area between the Salem Unit 2 fuel handling building and auxiliary building). This equipment and their associated connections will be stored outdoors and provided with protection from external hazards to minimize the probability that a single event would damage all of the FLEX equipment needed to mitigate the event.
SGS is using an alternative to the criteria of NEI 12-06 Section 8.3.1, "Protection of FLEX Equipment," which recommends storage of the N FLEX equipment within a structure to provide protection against snow, ice and extreme cold hazards. Outdoor storage locations are within the protected area and consist of the following:
- east of the Salem Unit 1 condensate polisher building
- near the Hope Creek Unit 2 reactor building west wall, north of SGS 4 of 6
ENCLOSURE 1 LR-N14-0187 FLEX equipment stored outdoors will be protected as required by the manufacturer, e.g., equipped with direct heating features (e.g., engine block heater, etc.) to ensure it will function when called upon.
5 Need for Relief/Relaxation and Basis for the Relief/Relaxation The current schedule requirement for SGS Unit 1 implementation of NRC Order EA-12-049 is prior to restart from the 23rd refueling outage (S1R23) in Fall 2014.
PSEG requested schedule relaxation via Reference 6, to defer full implementation of NRC Order EA-12-049 by one refueling outage, i.e., prior to restart from S1R24 in Spring 2016. The requested relaxation would enable PSEG to address recently recalculated RCP seal leakage rates that exceed the Westinghouse generic values assumed in the SGS FLEX 01 P, by developing and implementing plant changes to reduce RCP seal leakage rates to values that are compatible with the assumptions of the SGS mitigation strategies. PSEG is proceeding with completion of other design, equipment procurement and programmatic changes to support the ability to implement the SGS Unit 1 mitigation strategies.
6 Open Items from Overall Integrated Plan and Draft Safety Evaluation Resolution of items identified in the NRC's interim staff evaluation for SGS (Reference 11) is being addressed as part of the mitigation strategies audit process.
7 Potential Draft Safety Evaluation Impacts Impacts to the NRC Safety Evaluation of SGS compliance with Order EA-12-049 are being addressed as part of the mitigation strategies audit process.
8 References
- 1. PSEG letter LR-N13-0034, "PSEG Nuclear LLC's Overall Integrated Plan for the Salem Generating Station in Response to March 12, 2012 Commission Order Modifying Licenses with Regard to Requirements for Mitigation Strategies for Beyond-Design-Basis External Events (Order Number EA-12-049)," dated February 28, 2013
- 2. NRC Order Number EA-12-049, "Order Modifying Licenses with Regard to Requirements for Mitigation Strategies for Beyond-Design-Basis External Events,"
dated March 12, 2012
- 3. PSEG Letter LR-N13-0175, "PSEG Nuclear LLC's First Six-Month Status Report for the Salem Generating Station in Response to March 12, 2012 Commission Order Modifying Licenses with Regard to Requirements for Mitigation Strategies for Beyond-Design-Basis External Events (Order Number EA-12-049)," dated August 25, 2013
- 4. PSEG Letter LR-N14-0027, "PSEG Nuclear LLC's Second Six-Month Status Report for the Salem Generating Station in Response to March 12, 2012 Commission Order Modifying Licenses with Regard to Requirements for Mitigation Strategies for Beyond-Design-Basis External Events (Order Number EA-12-049),"
dated February 25, 2014 5 of 6
ENCLOSURE 1 LR-N14-0187
- 5. Nuclear Energy Institute (NEI) Report NEI 12-06, "Diverse and Flexible Coping Strategies (FLEX) Implementation Guide," Revision 0, dated August 2012
- 6. PSEG letter LR-N14-0173, "PSEG Nuclear LLC's Request for Relaxation from NRC Order EA-12-049, 'Order Modifying Licenses with Regard to Requirements for Mitigation Strategies for Beyond-Design-Basis External Events' - Salem Generating Station Unit 1," dated July 31, 2014
- 7. PSEG letter LR-N14-0141, "Salem Generating Station's Response to March 12, 2012, Request for Information Pursuant to Title 10 of the Code of Federal Regulations 50.54(f) Regarding Recommendations of the Near-Term Task Force Review of Insights from the Fukushima Dai-ichi Accident, Enclosure 5, Recommendation 9.3, Emergency Preparedness - Staffing, Requested Information Items 1, 2, and 6 - Phase 2 Staffing Assessment," dated June 16, 2014
- 8. US Nuclear Regulatory Commission (NRC) letter, "Request for Information Pursuant to Title 10 of the Code of Federal Regulations 50.54(f) Regarding Recommendations 2.1, 2.3, and 9.3, of the Near-Term Task Force Review of Insights from the Fukushima Dai-Ichi Accident," dated March 12, 2012
- 9. PSEG letter LR-N13-0026, "PSEG Nuclear LLC' s Response to NRC Follow-up Letter on Technical Issues for Resolution Regarding Licensee Communication Submittals Associated with Fukushima Near-Term Task Force Recommendation 9.3," dated February 21, 2013
- 10. PSEG Letter LR-N12-0351, "PSEG Nuclear LLC's Assessment Report for Communications During an Extended Loss of AC Power," dated October 31, 2012
- 11. NRC letter, "Salem Nuclear Generating Station, Unit Nos. 1 and 2 - Interim Staff Evaluation and Audit Report Relating to Overall lnte.grated Plan in Response to Order EA-12-049 (Mitigation Strategies) (TAC Nos. MF0868 and MF0869), dated January 24, 2014 6 of 6