ML041550860
ML041550860 | |
Person / Time | |
---|---|
Site: | Point Beach |
Issue date: | 06/03/2004 |
From: | Battelle Memorial Institute, Pacific Northwest National Laboratory |
To: | Office of Nuclear Reactor Regulation |
References | |
Download: ML041550860 (60) | |
Text
Audit and Review Plan for Plant Aging Management Reviews and Programs Point Beach Nuclear Plant Units 1 and 2 Docket No. 50-266 and Docket No. 50-301 June 3, 2004 Revision 0 Prepared by Pacific Northwest National Laboratory Richland, Washington 99352 Prepared for License Renewal and Environmental Impacts Program Office of Nuclear Reactor Regulation U.S. Nuclear Regulatory Commission Washington, D.C. 20555-0001
Table of Contents
- 1. Introduction . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 1
- 2. Background . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 2
- 3. Objectives . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 3 4 Scope of Audits and Reviews . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 4 5 Summary of Information Provided in the Point Beach License Renewal Application . . . . 4
- 6. Overview of Audit and Review Process . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 8
- 7. Exit Meeting . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 10
- 8. Documentation . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 10 - Point Beach Plant-Specific Audit Plan . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 1-1 Appendix A - Schedule . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . A-1 Appendix B - Project Team Membership . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . B-1 Appendix C - AMP Assignments . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . C-1 Appendix D - AMR Assignments . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . D-1 Appendix E - Worksheet for LRA AMPs Consistent with GALL Report AMPs . . . . . . . E-1 Appendix F - Worksheet for Plant-Specific LRA AMPs . . . . . . . . . . . . . . . . . . . . . . . . . F-1 Appendix G - AMR Worksheet . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . G-1 Appendix H - Consistent with GALL Report Notes . . . . . . . . . . . . . . . . . . . . . . . . . . . . H-1 - Aging Management Review Work Split Assignments . . . . . . . . . . . . . . . . . 2-1 Figures Figure 1-1 Audit of AMPs Consistent with GALL Report . . . . . . . . . . . . . . . . . . . . . . . . . . .1-20 Figure 1-2 Audit of Plant-Specific AMPs . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .1-21 Figure 1-3 Review of AMRs Consistent with the GALL Report . . . . . . . . . . . . . . . . . . . . . .1-22 Figure 1-4 AMR Review Using NRC-Approved Precedent . . . . . . . . . . . . . . . . . . . . . . . . . .1-24 i
Table Table 1-1 Elements of an Aging Management Program for License Renewal Element Description . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .1-22 ii
1 Introduction By letter (ADAMS Accession Number ML040580023) dated February 25, 2004, Nuclear Management Company (the applicant) submitted to the U.S. Nuclear Regulatory Commission (NRC) its application for renewal of Operating Licenses DPR-24 and DPR-27 for Point Beach Nuclear Plant, Units 1 and 2, respectively. The applicant requested renewal of the operating license for an additional 20 years, in accordance with the criteria of 10 CFR Part 54.
In support of the staffs safety review of the license renewal application (LRA) for Point Beach Nuclear Plant (PBNP), Units 1 and 2, the License Renewal and Environmental Impacts Program, Section B (RLEP-B), will lead a project team between April and September 2004 that will audit and review selected aging management reviews (AMRs) and associated aging management programs (AMPs) developed by the applicant to support the LRA for PBNP 1 and
- 2. The project team will include both NRC staff and contractor engineers provided by Pacific Northwest National Laboratory, RLEB-Bs technical assistance contractor.
This document provides an overview of the generic audit process used by the U.S. Nuclear Regulatory Commission (NRC) in its reviews of owner applications to renew nuclear power plant operating licenses. The audit review process specific to the license renewal application for the Point Beach Nuclear Plant Units 1 and 2 is described in detail in Attachment 1.
The document consists of the following sections and components.
C Background - Describes the basis for license renewal, identifies the requirements stated in the Code of Federal Regulations that apply to license renewal, and describes the documents used for the technical basis for reviewing license renewal applications.
C Objectives - Describes the objectives of the aging management review and aging management program review.
C Scope of Audits and Reviews - Describes the scope of the aging management review and aging management program review.
C Summary of Information Provided in the Point Beach License Renewal Application -
Provides a description of the information contained in the license renewal application that applies to aging management review and aging management program review.
C Overview of Audit and Review Process - Provides a brief summary of the process used by the staff to audit and review the information contained in the application for license renewal that pertains to aging management review and aging management program review.
The details of the audit review specific to the Point Beach plant are provided in Attachment 1.
C Exit Meeting - Notes the exit meeting to be held with the applicant to discuss results of the audits and reviews.
C Documentation - Describes the documentation process associated with the audit and review process for aging management review and aging management program reviews.
C Attachment 1 - Documents the detailed audit and review plan used to review the license renewal application for Point Beach Units 1 and 2.
1
C Attachment 2 - Documents the specific aging management review line items reviewed by the project team.
2 Background
The Atomic Energy Act and NRC regulations limit commercial power reactor licenses to an initial 40 years but also permit such licenses to be renewed. The original 40-year term for reactor licenses was based on economic and antitrust considerationsnot on limitations of nuclear technology. Therefore, the NRC has established a license renewal process and clear requirements codified in 10 CFR Part 51 and 10 CFR Part 54; these requirements ensure safe plant operation for extended plant life.
The license renewal process is designed to assess whether a reactor can continue to operate safely during the extended period. The process focuses on reactor systems, structures, and components (SSCs) that could affect safety during the period of extended operation. The specific requirements for license renewal are specified in the Code of Federal Regulations Title 10, Energy, Parts 54.4 and 54.21. Guidance for developing applications and reviewing license renewal applications is provided in the following documents.
C Title 10 of the Code of Federal Regulations, Part 54 (10 CFR 54), "Requirements for Renewal of Operating Licenses for Nuclear Power Plants" C NUREG-1800, Standard Review Plan for Review of License Renewal Application for Nuclear Power Plants (SRP-LR) (July 2001)
C NUREG-1801, Generic Aging Lessons Learned (GALL) Report (July 2001)
C The NRC-issued Regulatory Guide 1.188, Standard Format and Content for Applications To Renew Nuclear Power Plant Operating Licenses.
Each of these documents is described below.
10 CFR 54.4 specifies the scope of license renewal as those SSCs C that are safety-related, C whose failure could affect safety-related functions, and C that are relied on to demonstrate compliance with the NRC's regulations for fire protection, environmental qualification (EQ), pressurized thermal shock (PTS), anticipated transients without scram (ATWS), and station blackout (SBO).
An applicant for a renewed license must review all SSCs within the scope of license renewal to identify those structures and components (SCs) subject to an aging management review (AMR). SCs subject to an AMR are those that perform an intended function without moving parts or without a change in configuration or properties and that are not subject to replacement based on qualified life or specified time period.
10 CFR 54.21(a)(3), states that an applicant for a renewed license must demonstrate that the 2
effects of aging will be managed in such a way that the intended function or functions of those SCs will be maintained, consistent with the current licensing basis for the period of extended operation. 10 CFR 54.21(d) requires that the applicant submit a supplement to the final safety analysis report (FSAR) that contains a summary description of the programs and activities for managing the effects of aging.
NUREG-1800, Standard Review Plan for the Review of License Renewal Applications for Nuclear Power Plants (SLR-LR), provides guidance to the NRC staff for reviewing applications for license renewal. The principal purposes of the SRP-LR are to ensure quality and uniformity of staff reviews and to present a well-defined base from which to evaluate applicant programs and activities for the period of extended operation.
The GALL Report, NUREG-1801, represents an evaluation that documents which generic existing programs should be augmented for license renewal and which generic programs adequately manage aging effects without change. The GALL Report builds on a December 1996 report, NUREG/CR-6490, Nuclear Power Plant Generic Aging Lessons Learned (GALL),
which is a systematic compilation of plant aging information. The GALL Report describes the following aspects of aging that relate to license renewal.
C Identifies systems, structures, and components subject to an aging management review (AMR).
C Identifies component materials and the environments to which the components are exposed.
C Identifies the aging effects associated with the materials and environments.
C Identifies acceptable aging management programs (AMPs) that are credited with managing the aging effects.
C Identifies recommendations for further applicant evaluations of aging effects and their management for certain component types.
The GALL report is a technical basis document for the SRP-LR. The GALL report should be treated in the same manner as an approved topical report that is applicable generically.
The NRC-issued Regulatory Guide 1.188, Standard Format and Content for Applications to Renew Nuclear Power Plant Operating Licenses, was developed to provide a uniform format and content acceptable to the staff for structuring and presenting the information to be compiled and submitted in an application for renewal of a nuclear power plant operating license.
3 Objectives The objective of the audit and review process described in this document is to verify compliance with 10 CFR 54.21(a)(3). Therefore, the audit and review process helps ensure that for each structure and component [within the scope of license renewal], the effects of aging will be adequately managed so that the intended function(s) will be maintained consistent with the current licensing basis for the period of extended operation.
3
The objectives of the detailed plant-specific audit and review plan are provided in Attachment 1 of this plan, pages 1-2 and 1-3.
4 Scope of Audits and Reviews The AMRs and associated AMPs to be reviewed by the project team are documented in . The scope of the AMP and AMR reviews is described below.
4.1 Scope of AMP Reviews AMPs reviewed by the audit team may be described in terms of three general categories.
C AMPs that are consistent with the GALL Report C AMPs described as consistent with the GALL Report that contained some deviations from the GALL Report. These deviations were of two types.
- exceptions to the GALL Report. Exceptions are specified GALL criteria that the applicant does not intend to meet or to implement.
- enhancements to the GALL Report. Enhancements are revisions or additions to plant procedures or program activities that the applicant will implement prior to the period of extended operation. Enhancements may expand, but not reduce, the scope of an AMP.
C plant-specific AMPs that are not addressed in the GALL Report.
The AMPs consistent with the GALL Report are reviewed by the project team to ensure that each AMP meets the requirements specified in the GALL Report.
For the AMPs that deviate from the GALL Report and plant-specific AMPs, the team reviews those that the applicant justifies on the basis of past precedents approved by the staff in the license renewal safety evaluation reports (SERS) for other plants. (See Section 6.3 of this document for information on how the project team treats precedent information.)
4.2 Scope of AMR Reviews In general, the AMRs reviewed by the project team are the tables in Chapter 3 of the applicant license renewal application. The AMRs either will be consistent with the GALL Report, as identified by Notes in the LRA, or justified by the applicant on the basis of an NRC-approved precedent.
5 Summary of Information Provided in the Point Beach License Renewal Application The standard LRA format is provided in NEI 95-10, Industry Guideline for Implementing the Requirements of 10 CFR Part 54 - The License Renewal Rule, Revision 3 (April 2001). In this document, Section 3 provides the results of the aging management review for structures and components that the applicant identified as being subject to aging management review.
4
Appendix B of the LRA provides a description of the aging management programs that the applicant proposes to use for managing the aging effects identified in the aging management reviews.
5.1 LRA Tables The AMR results information in Section 3 is presented in two table types.
C Table 3.x.1, in which 3" indicates the LRA section number; x indicates the subsection number from NUREG-1801, Volume 1; and 1" indicates that this is the first table type in Section 3. For example, in the Reactor Coolant System subsection, this table would be 3.1.1. In the Engineered Safety Features subsection, this table would be 3.2.1, and so on.
For ease of discussion, this table will hereafter be referred to in this section as Table 1.
C Table 3.x.2-y, in which 3" indicates the LRA section number, x indicates the subsection number from NUREG-1801, Volume 1; 2" indicates that this is the second table type in Section 3; and y indicates the system table number. For example, for the Reactor Vessel, within the Reactor Coolant System subsection, this table would be 3.1.2-1, and for the Reactor Vessel Internals, it would be Table 3.1.2-2. For the Containment Spray System, within the Engineered Safety Features subsection, this table would be 3.2.2-1.
For the next system within the ESF subsection, it would be Table 3.2.2-2. For ease of discussion, this table will hereafter be referred to in this section as Table 2.
X Definition 1 Reactor Coolant System 2 Engineered Safety Features Systems 3 Auxiliary Systems 4 Steam and Power Conversion Systems 5 Structures and Component Supports 6 Electrical and Instrumentation and Controls The applicant compared AMR results with information set forth in the tables of the GALL Report and provided the results of its comparisons in two table types that correlate with the two table types described above.
5.1.1 LRA Table 1 LRA Table 1 provides a summary comparison of how the AMR results align with the corresponding table of Volume 1 of the GALL Report. These tables are essentially the same as Tables 1 through 6 of the GALL Report, except that the "Type" column is replaced by an "Item Number" column, and the "Item Number in GALL" column is replaced by a "Discussion" column.
The "Item Number" column provides a means to cross-reference from LRA Table 2 to LRA Table 1. The Discussion column will include further information. The following are examples of information that might be contained within the Discussion column.
5
C any "Further Evaluation Recommended" information or reference to the location of that information C the name of a plant-specific program being used C exceptions to the GALL Report assumptions C a discussion of how the line item is consistent with the corresponding line item in the GALL Report, when it may not be intuitively obvious C a discussion of how the line item differs from the corresponding line item in the GALL Report, when it may appear to be consistent.
Information in the table columns described below is taken directly from Volume 1 of the GALL Reportcomponent, aging effect/mechanism, AMPs, further evaluation recommended. The Discussion column explains, in summary, how the evaluations and programs align with Volume 1 of the GALL Report.
5.1.2 LRA Table 2 LRA Table 2 provides the detailed results of the AMRs for those SCs that are subject to an aging management review. There is a Table 2 for each of the AMR systems within a GALL Report system group. For example, the engineered safety features system group contains tables specific to emergency core cooling, containment spray, containment cooling, containment penetrations, and hydrogen control. The LRA Table 2 consists of the following nine columns.
C Component Type - Column 1 identifies the component types that are subject to an AMR.
The component types are listed in alphabetical order. In the structural tables, component types are subgrouped by material.
C Intended Function - Column 2 identifies the license renewal intended functions for the listed component types. Definitions and abbreviations of intended functions are listed in Table 2.0-1 in Section 2 of the LRA.
C Material - Column 3 lists the specific materials of construction for the component type being evaluated.
C Environment - Column 4 lists the environment to which the component types are exposed.
Internal and external service environments are indicated. A description of these environments is provided in Table 3.0-1, Table 3.0-2, and Table 3.0-3 for mechanical, structural, and electrical components, respectively.
C Aging Effect Requiring Management - Column 5 lists the aging effects identified as requiring management for the material and environment combinations of each component type.
C Aging Management Programs - Column 6 lists the programs used to manage the aging effects requiring management.
6
C GALL Report (Vol. 2) Item - Each combination of the following factors listed in Table 2 is compared to the GALL Report to identify consistencies: component type, material, environ-ment, aging effect requiring management, and aging management program. Column 7 documents identified consistencies by noting the appropriate GALL Report item number. If there is no corresponding item number in the GALL Report for a particular combination of factors, column 7 is left blank.
C Table 1 Item - Each combination of the following that has an identified GALL Report item number also has a Table 1 line item reference numbercomponent type, material, environment, aging effect requiring management, and aging management program.
Column 8 lists the corresponding line item from Table 1. If there is no corresponding item in the GALL Report (Volume 1), column 8 is left blank.
C Notes - Column 9 contains notes that are used to describe the degree of consistency with the line items the GALL Report. Notes that use letter designations are standard notes based on the letter from A. Nelson, NEI, to P. T. Kuo, NRC, U.S. Nuclear Industrys Proposed Standard License Renewal Application Format Package, Request NRC Concurrence, dated January 24, 2003 (ML030290201). (Note that the staff concurred in the format of the standardized format for license renewal applications by letter dated April 7, 2003, from P.T. Kuo, NRC, to A. Nelson, NEI (ML030990052).) Notes that use numbers are plant specific notes that apply only to Point Beach.
Table 2 contains the AMR results and indicates whether the results correspond to line items in Volume 2 of the GALL Report. This table provides the following information.
C component type C component intended function C material C environment C aging effect requiring management C AMP credited.
Correlations between the combination in Table 2 and a combination for a line item in Volume 2 of the GALL Report are identified by the GALL Report item number in column 7. If column 7 is blank, the applicant did not identify a corresponding combination in the GALL Report. If the applicant identified a GALL Report line item, the next column provides a reference to a Table 1 row number. This reference corresponds to the roll-up of tables from the GALL Report, Volume 2, to the tables in the GALL Report, Volume 1. Many of the GALL Report evaluations refer to plant-specific programs. In these cases, the applicant considers the evaluation to be consistent with the GALL Report if the other elements are consistent. Any appropriate AMP is considered to be a match to the GALL program for line items referring to a plant-specific program.
6 Overview of Audit and Review Process The audit and review process to be followed by the project team is summarized below.
6.1 Review and Audit of Aging Management Programs For the AMPs declared to be consistent with the AMPs in the GALL Report, the project team will 7
verify consistency. The project team reviews the AMP descriptions and compares 7 of the 10 program elements for those AMPs (as defined in Branch Technical Position RLSB-1 of SRP-LR, Appendix A) to the corresponding program elements for the GALL AMPs. Table 1 shows the 10 program elements from the SRP-LR. The project team does not review program elements 7 Corrective Action, 8 Confirmation Process, or 9 Administrative Controls. These elements are reviewed by other NRC staff.
For each AMP that has one or more of the deviations defined in Section 4 of this document exception or enhancementthe project team will review each deviation to determine whether it was acceptable and whether the AMP, as modified by the applicant, would adequately manage the aging effects for which it is credited. In some cases, the project team may identify differ-ences between the GALL AMPs credited by the applicant and AMPs that the applicant did not identify. In these cases, the team will review the difference to determine whether or not it is acceptable and whether or not the AMP, as modified by the difference, would adequately manage the aging effects for which it is credited.
For those AMPs that are not included in the GALL Report that is, plant-specific AMPsthe project team reviews the AMP against the seven program elements as defined in Appendix A of the SRP-LR that are within its review scope. On the basis of its reviews, the project team determines whether the AMPs would manage the aging effects for which they are credited.
6.2 Review and Audit of AMRs The AMRs in the GALL Report fall into two broad categories.
C those that the GALL Report concludes are adequate to manage aging of the components referenced in the GALL Report C those for which the GALL Report concludes that aging management is adequate but for which further evaluation is recommended for certain aspects of the aging management process.
For its AMR reviews, the project team verifies that the AMRs reported by the applicant to be consistent with the GALL Report are consistent with the GALL Report and verifies that the plant-specific AMRs reported to be justified on the bases of a previously approved precedent are technically acceptable and applicable. For component groups evaluated in the GALL Report for which the applicant claims consistency with the GALL Report and for which the GALL Report recommends further evaluation, the project team reviews the applicants evaluation to determine whether it adequately addresses the issues for which the GALL Report recommended further evaluation.
8
Table 1. AMP Elements To Be Reviewed by the Project Team 1 Scope of program Scope of program should include the specific structures and components subject to an AMR for license renewal.
2 Preventive actions Preventive actions should prevent or mitigate aging degradation.
3 Parameters monitored or Parameters monitored or inspected should be linked to inspected the degradation of the particular structure or component intended functions.
4 Detection of aging effects Detection of aging effects should occur before there is loss of structure or component intended functions. This includes aspects such as method or technique (i.e.,
visual, volumetric, surface inspection), frequency, sample size, data collection and timing of new/one-time inspections to ensure timely detection of aging effects.
5 Monitoring and trending Monitoring and trending should provide predictability of the extent of degradation and timely corrective or mitigative actions.
6 Acceptance criteria Acceptance criteria, against which the need for corrective action will be evaluated, should ensure that the structure or component intended functions are maintained under all current licensing basis design conditions during the period of extended operation.
7 Corrective actions Corrective actions, including root cause determination (Audited by NRC Division of and prevention of recurrence, should be timely.
Inspection Program Management) 8 Confirmation process Confirmation process should ensure that preventive (Audited by NRC Division of actions are adequate and that appropriate corrective Inspection Program actions have been completed and are effective.
Management) 9 Administrative controls Administrative controls should provide a formal review (Audited by NRC Division of and approval process.
Inspection Program Management) 10 Operating experience Operating experience of the aging management program, including past corrective actions resulting in program enhancements or additional programs, should provide objective evidence to support the conclusion that the effects of aging will be managed adequately so that the structure and component intended functions will be maintained during the period of extended operation.
9
6.3 NRC-Approved Precedents To help facilitate the staff review of its LRA, the applicant referenced NRC-approved precedents to demonstrate that its non-GALL programs correspond to programs that the staff had approved for other plants during its review of previous applications for license renewal.
When an applicant elects to provide precedent information, the team determines whether the material presented in the precedent is applicable to the applicants facility, determines whether the plant program is bounded by the conditions for which the precedent was evaluated and approved, and verifies that the plant program contains the program elements (or attributes) of the referenced precedent. In general, if the project team determines that these conditions are satisfied, it will use the precedent to frame and focus its review of the applicants program.
It is important to note that precedent information is not a part of the license renewal application; it is supplementary information voluntarily provided by the applicant as a reviewers aid. The existence of a precedent, in and of itself, is not a sufficient basis to accept the applicants program. Rather, the precedent facilitates the review of the substance of the matters described in the applicants program. As such, in its documentation of its reviews of programs that are based on precedents, the precedent information is typically implicit in the evaluation rather than explicit. If the project team determines that a precedent identified by the applicant is not applicable to the particular plant program for which it is credited, it reviews the program in the traditional mannerthat is, as described in the SRP-LRwithout consideration of the precedent information.
6.4 UFSAR Supplement Consistent with the SRP-LR, for the AMRs and associated AMPs that it reviews, the project team also reviews the UFSAR supplement that summarizes the applicants programs and activities for managing the effects of aging for the period of extended operation.
6.5 Documentation and Documents Reviewed In performing its work, the project team will rely heavily on the LRA, the SRP-LR, and the GALL Report. The project team also will examine the applicants precedent review documents and AMP basis documents (a catalog of the documentation used by the applicant to develop or justify its AMPs), and other applicant documents, including selected implementing procedures, to verify that the applicants activities and programs will adequately manage the effects of aging on structures and components.
7 Exit Meeting The project team will hold a public exit meeting with the applicant to discuss the results of its audits and reviews of the PBNP AMPs and AMRs.
8 Documentation The project team will document its review findings in a detailed audit and review report. This audit and review report is then used as a basis for the project team to develop a safety evaluation report (SER) that is used in part as the basis for granting license renewal.
10
The specific ADAMS accession number (ML number) for the applicants Audit and Review Report and SER may be obtained in the future at the NRC website link, http://www.nrc.gov/reactors/operating/licensing/renewal/applications.html.
11
Attachment 1 Point Beach Plant-Specific Audit Plan
Attachment 1 Point Beach Plant-Specific Audit Plan 1 Introduction By letter (ADAMS Accession Number ML040580023) dated February 25, 2004, Nuclear Management Company (the applicant) submitted to the U.S. Nuclear Regulatory Commission (NRC) its application for renewal of Operating Licenses DPR-24 and DPR-27 for Point Beach Nuclear Plant, Units 1 and 2, respectively. The applicant requested renewal of the operating license for an additional 20 years, in accordance with the criteria of 10 CFR Part 54.
In support of the staffs safety review of the license renewal application (LRA) for Point Beach Nuclear Plant (PBNP), Units 1 and 2, the License Renewal and Environmental Impacts Program, Section B (RLEP-B), will lead a project team between April and September 2004 that will audit and review selected aging management reviews (AMRs) and associated aging management programs (AMPs) developed by the applicant to support the PBNP-1 and 2 LRA.
The project team will include both NRC staff and contractor engineers provided by Pacific Northwest National Laboratory (PNNL), RLEP-Bs technical assistance contractor. The schedule for the PBNP audit and reviews is provided in Appendix A to this attachment. A list of the project team members and other NRC staff and PNNL personnel who will support the project teams review is provided in Appendix B.
The project teams work will be performed in accordance with the requirements of Title 10 of the Code of Federal Regulations, Part 54 (10 CFR 54), "Requirements for Renewal of Operating Licenses for Nuclear Power Plants;" the guidance provided in NUREG-1800, Standard Review Plan for Review of License Renewal Application for Nuclear Power Plants (SRP-LR) (July 2001); the guidance provided in NUREG-1801, Generic Aging Lessons Learned (GALL) Report (July 2001); and this audit and review plan.
For its assigned scope of work, the project team will verify that the applicants aging manage-ment activities and programs will adequately manage the effects of aging on structures and components, so that their intended functions will be maintained consistent with the PBNP-1 and 2 current licensing basis (CLB) for the period of extended operation. The project team will perform audits and reviews of selected AMRs and AMPs to verify consistency with the license renewal requirements and guidance documents mentioned above. The project team will also verify whether other AMPs and AMRs that the applicant has indicated are consistent with programs and reviews previously approved by the NRC staff but that have not yet been included in the GALL Report.
This attachment describes the project teams audit and review plan. The team will perform its work at NRC Headquarters, Rockville, Maryland; at PNNL offices in Richland, Washington; and at the applicants offices at the Point Beach Nuclear Plant site near Two Rivers, Wisconsin.
The project team site visits are planned during April 26 through 30, 2004, June 7 through 11, 2004, and July 12 through 15, 2004. The team plans to conduct a public exit meeting at the applicants Manitowoc, Wisconsin, offices on July 15, 2004. The dates are tentative.
1-1
2 Scope
- a. The project team will perform audits and technical reviews of the license renewal applicants AMPs and AMRs as assigned in Attachment 2. The purpose of these reviews and audits is to verify that the effects of aging on structures and components, within the scope of the teams responsibilities, will be adequately managed so that their intended functions will be maintained consistent with the plants CLB for the period of extended operation as required by 10 CFR 54, Requirements for Renewal of Operating Licenses for Nuclear Power Plants. Generally, the project team will
- i. Review and audit assigned AMPs in accordance with this plan. The assigned AMPs are generally those that are (1) consistent with the GALL Report, (2) consistent with the GALL Report with certain exceptions identified by the applicant or the project team, or (3) plant-specific, where there is an NRC-approved precedent.
ii. Review and audit assigned AMRs in accordance with this plan. These AMRs generally consist of those line items that are (1) consistent with the GALL Report, (2) consistent with the GALL Report with exceptions, or (3) based on an NRC-approved precedent.
- b. An AMP consists of the 10 attributes as defined in Appendix A, Aging Management Review, of Branch Technical Position RLSB-1 of the SRP-LR. This document directs the audit or technical review of elements 1 through 6 and element 10. Elements 7, 8, and 9, as noted in Table 1-1, are reviewed by NRR Division of Inspection Project Management (DIPM).
3 Objectives Specific to Point Beach License Renewal Application The objectives of the audit and review specific to Point Beach are
- a. to verify that the AMPs reported by the applicant to be consistent with the GALL Report are consistent with the criteria of the GALL Report
- b. to verify, for AMPs reported to be consistent with the GALL Report with exceptions, that the AMP is consistent and the exceptions are acceptable with an adequate technical basis or an NRC-approved precedent
- c. to verify, for AMPs reported to be consistent with the GALL Report with enhancements, that the AMPs are consistent and that the enhancements are
- i. consistent with the GALL Report or are acceptable based on a technical review ii. identified as regulatory commitments (e.g., in the Updated Final Safety Analysis Report (UFSAR), in Appendix A of the LRA or in a controlled commitment tracking system).
1-2
- d. to perform technical reviews of plant-specific AMPs where the applicant has stated that the AMP is equivalent to, or enveloped by, another AMP that has been previously approved by the NRC. The NRC-approved precedent establishes the limits of what the NRC staff has previously found acceptable but is not in its own right sufficient to determine that the AMP will satisfy 10 CFR Part 54. A technical review and documented basis are required for this review.
- e. to verify that the applicants AMRs reported to be consistent with the GALL Report are consistent with the criteria of the GALL Report or can be accepted based on an NRC-approved precedent
- f. to evaluate, for the AMR review of Table 3.X.1, that the applicants AMRs have addressed those line items where further evaluation is recommended in accordance with the SRP-LR.
4 Pre-Audit Planning and Activities
- a. Define sequence of activities that shows key milestone dates and activities that is consistent with the overall completion schedule.
- i. Key milestones include, as a minimum (1) receipt of the LRA (2) receipt of the scope of work (AMPs and AMRs to be audited and reviewed) for the project team from the NRC contract technical monitor (TM) or NRC team leader (3) preparation and issuance of the audit and review plan (4) scheduling of site visits to review AMPs and resolve audit and review questions and issues (5) scheduling of in-office periods and site visits to review AMRs (6) preparation of AMP and AMR questions and interim audit report inputs (7) preparation of requests for additional information (RAIs)
(8) preparation and issuing of draft audit report and draft safety evaluation report (SER) input.
(9) preparation, review, and issuing of final audit report and SER input.
ii. Establish site visit schedules based on discussions between the NRC project team leader and the NRC license renewal project manager to obtain agreement from the applicant.
iii. Appendix A provides a schedule of key milestone dates developed to support the milestone activities listed above.
- b. In conjunction with the NRC team leader, make project team member work assignments for the AMPs and AMRs.
- i. Decide which AMPs and AMRs will be reviewed or audited by contractor personnel and which will be reviewed and audited by NRC staff.
1-3
ii. Develop assignment lists indicating which project team member will be reviewing which AMPs and AMRs. The assignments are shown in Appendix C and Appendix D, respectively.
- c. Provide training, as appropriate, and prepare project team members. The training and preparation will include
- i. a description of the audit and review process ii. an overview of documentation that is audited and reviewed, as well as audit-related documentation. This documentation includes (1) GALL Report (2) SRP-LR (3) LRA AMPs and tabular information (4) LRA AMRs and tabular information (5) GALL Report AMPs and tables (6) Interim Staff Guidance (ISG)
(7) license renewal audit reports, SERs and RAIs from other plants, as appropriate (8) the applicants UFSAR iii. the protocol for interfacing with the applicant iv. administrative issues, such as travel, control of documentation, work hours
- v. input requirements for audit reports, questions to the applicant, RAIs, and SER inputs vi. interface with NRC Division of Engineering (DE) technical reviewers vii. the lessons learned from previous audits
- d. Review audit-related documentation to become familiar with the process and prepare for the on-site and in-office audits and reviews.
- e. Provide a methodology for identifying attribute elements to be audited for assigned AMPs and AMRs.
5 Conducting Audits and Reviews
- a. Assignment of AMPs to be Audited and Reviewed
- i. Two types of AMPs existthose that the applicant claims are consistent with the GALL Report and those that are plant-specific. Audits and reviews of both types of AMPs are discussed in the following sections.
ii. The NRC team leader will approve all work assignments assigned to the individual project team members. After the audit plan is issued, the team leader may reassign AMPs, if a reassignment is determined to be necessary.
1-4
- b. Scope of AMP Elements to be Audited and Reviewed
- i. Appendix A of the SRP-LR and Chapter XI of the GALL Report defines 10 elements that are to be reviewed for consistency. These elements are summarized in Table 1-1.
The project team will review 7 of these 10 elements (Elements 1 through 6 and Element 10). The project team will not audit the following elements.
(1) Element 7, Corrective Actions (2) Element 8, Confirmation Process (3) Element 9, Administrative Controls.
ii. The scope of elements audited or reviewed is the same for AMPs consistent with the GALL Report and for plant-specific AMPs.
- c. AMP Audits
- i. Audits of AMPs Consistent with the GALL Report (1) The AMP audit process flowchart (Figure 1-1) shows the activities and decisions used to review and audit each AMP that the applicant claims is consistent with the GALL Report.
(2) Pre-audit preparation is an important step and includes the following activities.
(a) For the LRA AMP being reviewed that is cited as being consistent with the GALL Report, identify the corresponding AMPs in the GALL Report.
(b) Review the associated GALL Report AMPs and identify the criteria of the program elements that are to be audited.
(c) Identify which or what type of documents will be necessary to perform the audit. These may include, but are not limited to, the following.
(i) LRA (ii) SERs for similar LRAs (iii) SRP-LR (iv) GALL Report (v) implementation procedures (vi) operating experience (plant-specific and industry)
(3) AMP Audit Worksheets (a) A worksheet for documenting the reviews of AMPs consistent with GALL Report AMPs is provided in Appendix E.
(4) Audit (a) The audit requires confirmation that the seven audit LRA AMP elements are consistent with the corresponding seven elements of the GALL Report AMP.
This is achieved by answering the following questions and then following the assessment process shown in Figure 1-1.
(i) Did the applicant identify any exceptions to the GALL Report AMPs?
(ii) Is the attribute consistent with the GALL Report AMP?
(b) If either of the above questions results in the identification of an exception or a difference, the reviewer can accept the exception or difference as long as a technical basis exists that justifies its acceptance.
(c) If an acceptable basis exists for an exception or difference to the GALL Report AMP, the reviewer will document it in the audit report and the SER.
(d) If it is necessary to ask the applicant a question to clarify the basis for accepting the element, an exception or difference to the GALL Report AMP, the logic process shown in Figure 1-1 should be used.
(e) If it is necessary for the applicants response to be docketed as a basis for 1-5
accepting the exception or difference, the applicant may voluntarily docket the response as an amendment to the LRA or the NRC may issue an RAI.
ii. Reviews of Plant-Specific AMPs (1) The review process flowchart (Figure 1-2) shows the activities and decisions used to audit each plant-specific AMP.
(2) Pre-review preparation is an important step and includes the following activities.
(a) Review Section A.1.2.3 of the SRP-LR and identify those element criteria that will be reviewed in conjunction with each of the seven elements.
(b) Identify which or what type of documents will be necessary to perform the audit. This may include, but are not limited to the following.
(i) LRA (ii) SER for similar LRAs (iii) applicant implementation documents (iv) operating experience (plant-specific and industry)
(3) AMP Review Worksheets (a) A worksheet for documenting the reviews of plant-specific AMPs is provided in Appendix F.
(4) Review (a) The review requires confirmation that the seven LRA AMP elements are consistent with the corresponding seven elements of Section A.1.2.3 of the SRP-LR. If this review results in the identification of an exception or a difference, the reviewer can accept the exception or difference as long as a technical basis is provided to justify its acceptability.
(b) If an acceptable basis exists for the difference from Section A.1.2.3 of the SRP-LR, document it in the audit and review report and SER input.
(c) If it is necessary to ask the applicant a question to clarify the basis for accepting the AMP element or a difference from Section A.1.2.3 of the SRP-LR, the logic process shown in Figure 1-2 should be used.
(d) If it is necessary for the applicants response to be docketed as a basis for accepting the AMP or a difference, the applicant may voluntarily docket the response as an amendment to the LRA or the NRC may issue an RAI.
- d. Audits and Reviews of AMRs
- i. Assignment of AMRs to be Audited or Reviewed (1) Two types of AMRs exist; those that the applicant claims are consistent with the GALL Report and those that are plant specific. Audit and review of both types of AMRs are discussed below. In general, the project team will only review AMRs that are consistent with the GALL Report or that are based on an NRC-approved precedent identified by the applicant.
(2) Appendix D and Attachment 2 identify the AMRs assigned to this project team and the individual team member responsible for each AMR.
ii. Review of AMRs Consistent with the GALL Report (1) The review process in Figure 1-3 shows the activities and decisions used to review each AMR that the applicant claims is consistent with the GALL Report.
(2) Pre-audit preparation is an important step and includes, as a minimum, the following activities.
(a) For the LRA AMR being reviewed that is cited as being consistent with the GALL Report, identify the corresponding AMR in the GALL Report.
1-6
(b) Review the associated GALL Report AMRs and identify those attribute sub-elements that will be audited in conjunction with each of the seven elements.
(c) Identify which or what type of documents will be necessary to perform the audit. This may include, but are not limited to the following.
(i) LRA (ii) SER for similar LRAs (iii) SRP-LR (iii) GALL Report (iv) applicant implementation documents (v) operating experience (plant-specific and industry)
(3) AMR Audit Worksheets (a) A worksheet for documenting the reviews of AMRs is provided in Appendix G.
(4) Reviews of AMRs Consistent with the GALL Report (a) Those AMRs that are identified by the applicant as consistent with the GALL Report.
(i) Each AMR line item is coded with a letter which represents a standard note designations based on a letter from A. Nelson, NEI, to P. T. Kuo, NRC, U.S. Nuclear Industrys Proposed Standard License Renewal Application Format Package, Request NRC Concurrence, dated January 24, 2003 (ML030290201). (Note that the staff concurred in the format of the standardized format for license renewal applications by letter dated April 7, 2003, from P.T. Kuo, NRC, to A. Nelson, NEI (ML030990052).) Notes that use numeric designators are specific to Point Beach Units 1 and 2. The note codes A though E are classified as consistent with the GALL Report, and are to be reviewed in accordance with the guidance contained in section 5.d.ii(4) of this plan.
(ii) The review process flowchart (Figure 1-3) shows the activities and decisions used to review the AMRs classified as consistent with the GALL Report.
(iii) The AMR review requires confirmation that the regulatory criteria of 10 CFR 54.21(a)(3) is satisfied. This criterion states that For each structure and component identified in paragraph (a)(1) of this section, demonstrate that the effects of aging will be adequately managed so that the intended function(s) will be maintained consistent with the CLB for the period of extended operation.
(b) AMR Audit (i) For each assigned AMR line item, perform the review associated with the note code letter (A through E) assigned to the specific AMR line item being reviewed.
- 1) Assess whether the AMR is consistent with the GALL Report for the elements associated with its note code letter.
a) If not, perform the action described in Step 5.d.ii(4)(b)(vi).
(ii) If Note A, if the applicant uses a plant-specific AMP1, assess whether the component is within the scope of the LRA AMP cited.
- 1) If it is, proceed with the action described in (iii) If Note C or D applies, determine whether component type is acceptable 1
Some GALL AMRs reference the use of a plant-specific AMP. In such cases, the AMR audit requires the project team reviewer to confirm that the plant-specific AMP is appropriate to manage the aging effects during the period of extended operation.
1-7
for the material, environment and aging effect.
- 1) If Note D applies, review LRA exceptions and discuss in the audit report
- 2) If not, perform the action described in Step 5.d.ii(4)(b)(vi).
(iv) If Note E applies, review the AMP audit report findings, to determine whether the scope of an alternate AMP envelopes the AMR line item being reviewed and satisfies 10 CFR 54.21(a)(3).
- 1) If not, perform the action described in Step 5.d.ii(4)(b)(vi).
(v) Review the corresponding LRA Table 3.X.1 and referenced LRA Section 3.X.2-Y.
- 1) Determine whether the Further Recommended comparison is enveloped by Section 3.X.2.2.Y of the SRP-LR. If not, proceed with the action cited in Step 5.d.ii(4)(b)(vi) of this plan.
- 2) If the LRA section does not meet the acceptance criteria of Appendix B to the GALL Report, proceed with the action cited in Step 5.d.ii(4)(b)(vi).
(vi) If a difference is identified, during the review, prepare a question for the applicant to obtain clarification. If it is necessary to ask the applicant a question to clarify the basis for accepting the AMR, the logic process shown in Figure 1-4 should be used.
- 1) Review the applicants response. If it appears acceptable, reinitiate the audit at Step 5.d.ii(4)(b).
- 2) If an unacceptable response is received, prepare an additional question to obtain the necessary information.
- 3) If the auditor/reviewer does not believe that an acceptable response is forthcoming, notify the team leader of the situation and prepare a draft RAI.
(vii) If it is necessary for the applicants response to be docketed as a basis for accepting the exception or difference, the applicant may voluntarily docket the response or the NRC may issue an RAI.
iii. Performance of AMR Audits Using NRC-Approved Precedent (1) The audit process flowchart (Figure 1-4) shows the activities and decisions used to review each assigned AMR that the applicant has identified an NRC-approved precedent. (Note: Applicant-identified NRC-approved precedents are to be used only as an aid for performing AMR audits. The audit conclusions will be based on the technical basis of the AMR. It is not acceptable to simply cite the NRC-approved precedent as its basis).
(2) Prior to the audit, identify which or what type of documents will be necessary to perform the audit. This may include, but are not limited to the following.
(a) LRA (b) SERs for similar LRAs (c) The GALL Report (d) Applicant implementation documents (e) Operating experience (plant-specific and industry) 1-8
(3) AMR Audit Performance (a) The AMR audit requires conformation that the regulatory requirements of 10 CFR 54.21(a)(3) is satisfied. This criterion states that For each structure and component identified in paragraph (a)(1) of this section, demonstrate that the effects of aging will be adequately managed so that the intended function(s) will be maintained consistent with the CLB for the period of extended operation.
(b) For AMRs with an NRC-approved precedent, this may be achieved by answering the following questions while following the assessment process shown in Figure 1-4.
(i) Is the precedent appropriate for the LRA AMR being reviewed?
(ii) Is the NRC-approved precedent sufficiently documented or understood to support a technical adequacy of the LRA AMR being reviewed?
(iii) Is the LRA AMR within the bounds of the chosen NRC-approved precedent?
(c) If any of these questions results in No answer, then additional information is required to make a determination that the AMR is acceptable.
(d) If it is necessary to ask the applicant a question to obtain clarification on the basis for accepting the AMR, the logic process shown in Figure 1-4 should be used.
(e) If it is necessary for the applicants response to be docketed as a basis for accepting the exception or difference, the applicant may voluntarily docket the response or the NRC may issue an RAI.
(4) AMR Audit Worksheets (a) A worksheet form for documenting the auditors reviews of AMRs is provided in Appendix E.
6 Audit and Safety Review Documentation
- a. Scope of Documentation
- i. Based on the results of the AMP and AMR audits and safety reviews performed in accordance with Section 5 of this plan, the project team will prepare an (1) audit and review report, and (2) safety evaluation report (SER) input ii. Both the audit and review report and the SER input will be delivered to NRC TM.
- b. Documentation Overview
- i. All activities performed by the project team will be documented in the audit and review report. As necessary, the report information will be repeated or summarized in the SER input.
ii. The project team prepares the report as discussed in Section 6.c. of this plan.
iii. The project team prepares the SER input as discussed in Section 6.d. of this plan.
1-9
- c. Audit and Review Report
- i. The report is used to document the audits and reviews of the AMPs and the AMRs assigned to the project team.
ii. The audit report should include the following sections.
(1) Cover page (2) Table of contents (3) Introduction (4) Background (5) Summary of Information in the PBNP License Renewal Application (6) Audit and Review Scope (7) Audit and Review Process (8) Exit Meeting (9) Audit and Review Results (a) AMPs (i) Identify which AMPs were reviewed (ii) Audit and review results (a) Consistent with GALL (b) Plant-specific (b) AMRs (i) State that the project team reviewed the AMRs assigned to it in the audit plan.
(ii) Audit and review results (10) Attachments (a) Attachment 1, Acronyms and Initialisms (b) Project Team and Applicant Personnel (c) Elements of an Aging Management Program for License Renewal (d) Audit and Review Open Items (e) List of Documents Reviewed (f) List of Commitments to be Included in Appendix A of the Safety Evaluation Report iii. The following paragraphs define the type of information and level of detail necessary for each of the report sections.
(1) Cover page that identifies the (a) Name of the plant and units for which the audits and reviews were performed (b) Docket numbers of the plants addressed in the LRA (c) Organization preparing the report (d) Contract number under which the work was performed (e) Statement that the report was prepared for the License Renewal and Environmental Impact Program in the Division of Regulatory Improvement Programs of the Office of Nuclear Regulation (f) Issue date (2) Table of Contents (3) Introduction (4) Background (5) Summary of Information in License Renewal Application: This section should briefly describe the information in Section 3.0 of the License Renewal Application.
(6) Audit and Review Scope: This section should include statements that the (a) Audits and reviews were performed to fulfill the criteria of 10 CFR 54.21(a)(3).
1-10
(b) The audits and reviews were performed in accordance with the guidance contained in (i) the SRP-LR (ii) the GALL Report (c) This section also identifies the breadth of the audit performed, stating that the audits and reviews were limited to those AMPs and AMRs assigned to the project team.
(i) Include in this section a description of the nominal rules used to make the work assignments.
(ii) This section should note that only 7 of the 10 AMP elements were audited by the project team and that the other 3 elements were reviewed by other sections of the NRC staff.
(7) Audit and Review Process: This section should state that the audits and reviews were performed in accordance with the processes defined in accordance with this plan.
(8) Exit Meeting: This section should briefly describe the discussion and any key action items that resulted from the exit meeting.
(9) Audit and Review Results:
(a) AMPs and AMRs reviewed: Provide a table documenting AMPs reviewed.
State that the audit plan documents which AMRs were reviewed by the project team.
(b) RAIs issued: Provide a list of RAIs issued, if any, and a summary of the staff disposition of the applicants responses, if any.
(i) Identify to which AMP or AMR each RAI applies.
(ii) The RAI disposition will be further expounded upon in conjunction with the audit and review results in the applicable AMP or AMR discussion.
(iii) In general, questions that were discussed with the applicant and resolved during performance of the audit and review should not be listed or discussed in the report.
(c) Documents reviewed: Provide a reference to the appendix that lists the documents reviewed in support of the AMP and AMR audits and reviews.
(i) In the attached table, indicate which documents were reviewed for each AMP or AMR section.
(ii) The table may include both docketed and non-docketed documents.
(iii) The table may include both licensee-controlled documents (e.g.,
calculations and procedures) and other documents (e.g., codes and standards).
(iv) Note that with the exception of documents relied on to make regulatory decisions, the non-docketed documents may be available only at the applicants offices or plant site.
(d) AMPs consistent with the GALL Report: Each AMP reviewed by the project team that the applicant identified as being consistent with the GALL Report is to be documented in Section 6.c.iv(d) of this report. Each AMP is to have an individual writeup that documents the following.
(i) The LRA AMP name, LRA section number, title, and a description of the LRA AMP scope. A listing of the GALL AMPs to which the LRA AMP is being compared.
(ii) A technical basis explaining why any exceptions (identified by the applicant or the project team) or enhancements to the applicants AMPs are acceptable.
(iii) If the applicant need to make a docketed response to amend or 1-11
supplement the LRA so that an acceptable finding could be provided, document the submittal, include the ADAMS accession number, and explain the issue that the submittal resolved and why the submittal resolved the issue.
(iv) If an RAI was issued concerning the AMP, identify the RAI number and briefly discuss the RAI. State whether the RAI remains open or the applicant response has been accepted. If the response was acceptable, document the basis for its acceptance.
(v) A discussion concerning the adequacy of the LRA Appendix C commit-ment to revise the plants UFSAR. Any enhancement are to be cited or referenced in the Appendix C commitment. This discussion is to be based on the audit performed in Section 5 of this plan.
(vi) A review of operating experience used to justify acceptance of the AMP.
(vii) A paragraph that provides the basis for concluding that the LRA AMP is consistent with the GALL AMPs.
(e) AMPs that are plant-specific: Each AMP reviewed by the project team that the applicant identified as being plant-specific is to be documented in Section 6.c.iv(e) of this report. This documentation is to include (i) The LRA AMP name, LRA section number, title, and a description of the LRA AMP scope.
(ii) The basis for concluding that each of the seven AMP elements reviewed by the team (see Table 1-1) is acceptable.
(1) Document the basis for accepting any exceptions or enhancements to the Appendix C elements.
(2) If the applicant needed to make a docketed response to amend or supplement the LRA so that an acceptable finding could be provided, document the submittal, include the ADAMS accession number, and explain the issue that the submittal resolved and why the submittal resolved the issue.
(3) If an RAI was issued concerning the AMP, identify the RAI number and briefly discuss the RAI. State whether the RAI remains open or the applicant response has been accepted. If the response was acceptable, document the basis for its acceptance.
(iii) A review of operating experience used to justify acceptance of the AMP.
(iv) A discussion concerning the adequacy of the LRA Appendix C commitment to revise the plants UFSAR. This discussion is to be based on the audit performed in Section 5 of this plan.
(v) A paragraph that provides the basis for concluding that the LRA AMP is consistent with the GALL AMPs.
(f) AMRs consistent with the GALL Report2: The report should include the following.
2 Section 6.c.iv(f) provides audit results for all AMRs consistent with the GALL Report, including those AMRs requiring further evaluations. The audits documented in this section address the AMR inputs of component, material, aging effect and AMP. The additional evaluation required by the GALL Report for certain AMRs are documented in section 6.c.iv(g) of this plan. Section 6.c.iv(g) assesses only the additional evaluations, not the AMR inputs of component, material, aging effect, and AMP.
1-12
(i) Identify the LRA section reviewed.
(ii) A summary of the type of information provided in the section of the LRA, reviewed, including a listing of the AMPs reviewed for this LRA section.
(iii) Identify the LRA Tables 3.X.2-Y documented by this audit writeup.
(iv) A summary review of the AMR Notes A through E used to classify the AMR line items used in these Tables.
(v) A brief summary of what the project team reviewed to perform the audit, i.e., LRA and applicant basis documents and other implementation documents. Reference the Appendix that lists the details of the documents reviewed.
(vi) Basis for accepting any exceptions to GALL AMRs that were identified by the applicant or the project team reviewer.
(1) If the applicant needed to make a docketed response to amend or supplement the LRA so that an acceptable finding could be provided, document the submittal, include the ADAMS accession number, and explain the issue that the submittal resolved and why the submittal resolved the issue.
(vii) If an RAI was issued concerning the AMP, identify the RAI number and briefly discuss the RAI. State whether the RAI remains open or the applicant response has been accepted. If the response was acceptable, document the basis for its acceptance and identify the applicant submittal that provided the response.
(viii) Provide an audit finding that determines whether (1) the applicable aging effects were identified, (2) the appropriate combination of materials and environments were defined, and (3) acceptable aging management programs were specified.
(ix) Provide a conclusion stating that (1) the applicant has demonstrated that the effects of aging will be adequately managed so that the intended functions will be maintained consistent with the current licensing basis for the period of extended operation, and that (2) 10CFR54.21(a)(3) has been satisfied.
(g) AMRs consistent with the GALL Report, for which further evaluation is required: The report should include the following.
(i) The LRA section containing the applicants further evaluations of AMRs for which further evaluation is required.
(ii) A list of the aging effects for which the further evaluation apply.
(iii) For the applicants further evaluations, provide a summary of the basis for concluding that it satisfied the criteria contained in Section 3.1.3.2 of the SRP-LR.
(10) Attachments (a) If the applicant needed to make a docketed response to amend or supplement the LRA so that an acceptable finding could be provided, document the submittal, include the ADAMS accession number, and explain the issue that the submittal resolved and why the submittal resolved the issue.
(i) A statement that staff audited the applicants further evaluations against the criteria contained in Section 3.1.3.2 of the SRP-LR.
1-13
(b) Staff AMR Review Results3: This section documents reviews of AMRs assigned to the project team that are not consistent with the GALL Report.
The audit report should document the following, based on a precedence identified by the applicant.
(i) The LRA section reviewed (ii) A summary of the type of information provided in the section of the LRA reviewed, including a listing of the AMPs reviewed for this LRA section.
(iii) Identify the LRA Tables 3.X.2-Y documented by this audit writeup.
(iv) A brief summary of what the project team reviewed, i.e., LRA and applicant basis documents and other implementation documents.
Reference the Appendix that lists the details of the documents reviewed.
(v) Provide an audit finding that determines whether (1) the applicable aging effects were identified, (2) the appropriate combination of materials and environments were listed, and (3) acceptable aging management programs were specified.
(4) If the applicant needed to make a docketed response to amend or supplement the LRA so that an acceptable finding could be provided, document the submittal, include the ADAMS accession number, and explain the issue that the submittal resolved and why the submittal resolved the issue.
(vi) If an RAI was issued concerning the AMP, identify the RAI number and briefly discuss the RAI. State whether the RAI remains open or the applicant response has been accepted. If the response was acceptable, document the basis for its acceptance and identify the applicant submittal that provided the response.
(vii) Provide a conclusion stating that (1) the applicant has demonstrated that the effects of aging will be adequately managed so that the intended functions will be maintained consistent with the current licensing basis for the period of extended operation, and that (2) 10CFR54.21(a)(3) has been satisfied.
- d. SER Input
- i. The project team will prepare an SER input that incorporates the project teams audit and safety evaluations.
ii. The SER input is to have the following sections.
- 3. Aging Management Review Results 3.0 Introduction 3.0.1 Format of the LRA 3.0.2 Staffs Review Process 3.0.2.1 Review of AMPs 3.0.2.2 Review of AMR Results 3.0.3 Aging Management Programs 3
This section documents reviews of AMRs assigned to the project team that are not consistent with the GALL Report. Repeat the Section 3.X writeup for each of these subsection/structure groups.
1-14
3.0.3.1 AMPs that are Consistent with GALL Report 3.0.3.1.1 Staff Evaluations 3.0.3.1.2 FSAR Supplement 3.0.3.1.3 Conclusions 3.0.3.2 AMPs that are Consistent with GALL Report with Exceptions 3.0.3.3 AMPs that are Plant-Specific 3.0.4 Quality Assurance Program Elements Integral to Aging Management 3.X4 Aging Management of ______
3.X.1 Summary of Technical Information in the Application 3.X.2 Staff Evaluation 3.X.2.1 Staff Audit Results 3.X.2.1.1Audit of AMRs Consistent with the GALL Report 3.X.2.1.2Audit of AMR Results for which Further Evaluation is Required Recommended 3.X.2.2 Staff Review Results 3.X.3 Conclusion iii. The following guidance is provided to assist in the preparation of the SER input.
(1) SER inputs are to be prepared for the following.
(a) Each AMP that was determined to be consistent with the GALL Report, which has no exceptions or enhancements.
(b) Each AMP that was determined to be consistent with the GALL Report, which has exceptions (identified by either the applicant or the audit team) or enhancements.
(c) Each plant-specific AMP (d) AMRs that are consistent with the GALL Report (e) Staff AMR review results5 iv. Additional guidance includes (a) AMPs determined to be consistent with the GALL Report, with no exceptions.
The SER input for these AMPs is the listing of the AMP title, LRA AMP paragraph number, and a discussion of the basis for concluding that the LRA, Appendix C, UFSAR update is acceptable. This SER input documents that the AMP is consistent with the GALL Report.
(i) If the applicant needed to make a docketed response to amend or supplement the LRA so that an acceptable finding could be provided, document the submittal, include the ADAMS accession number, and explain the issue that the submittal resolved and why the submittal resolved the issue.
(ii) If an RAI was issued concerning the AMP, identify the RAI number and briefly discuss the RAI. State whether the RAI remains open or the applicant 4
The LRA is subdivided into six sections that are commonly referred to as Table 2s. These Table 2s address the following system/structure groups: (1) reactor vessel, internals, and reactor coolant system; (2) engineering safety features systems; (3) auxiliary systems; (4) steam power and conversion systems; (5) structures and component supports; (6) electrical and instrumentation and controls.
5 AMRs that are not consistent with the GALL Report 1-15
response has been accepted. If the response was acceptable, document the basis for its acceptance and identify the applicant submittal that provided the response.
(b) AMPs determined to be consistent with the GALL Report, with exceptions or enhancement: The SER input for these AMPs will include a statement that the audit found the AMP consistent with the GALL Report and that any applicant identified exceptions to the GALL Report were found technically acceptable to manage the aging effect during the period of extended operation. The SER input will identify the exceptions and provide the basis for acceptance. The SER input will also assess the LRA, Appendix C, UFSAR Supplement, and document the basis for concluding that the UFSAR supplement is sufficient.
(i) If the applicant needed to make a docketed response to amend or supplement the LRA so that an acceptable finding could be provided, document the submittal, include the ADAMS accession number, and explain the issue that the submittal resolved and why the submittal resolved the issue.
(ii) If an RAI was issued concerning the AMP, identify the RAI number and briefly discuss the RAI. State whether the RAI remains open or the applicant response has been accepted. If the response was acceptable, document the basis for its acceptance and identify the applicant submittal that provided the response.
(c) AMPs that are plant-specific: The SER input is to document the basis for accepting each of the seven elements reviewed by the project team. These SE will reflect the review performed in accordance with Section 5.
(i) The SER input is to include a discussion concerning the adequacy of the LRA, Appendix C commitment to revise the plants UFSAR. This discussion is to be based on the review performed in Section 5.
(1) If the applicant needed to make a docketed response to amend or supplement the LRA so that an acceptable finding could be provided, document the submittal, include the ADAMS accession number, and explain the issue that the submittal resolved and why the submittal resolved the issue.
(ii) The SER is to include a discussion of operating experience.
(iii) If an RAI was issued concerning the AMP, identify the RAI number and briefly discuss the RAI. State whether the RAI remains open or the applicant response has been accepted. If the response was acceptable, document the basis for its acceptance and identify the applicant submittal that provided the response.
(d) AMRs consistent with the GALL Report:6 The report should include the following.
(i) Identify the LRA section reviewed (ii) A summary of the type of information provided in the section of the LRA, reviewed, including a listing of the AMPs reviewed for this LRA section.
(iii) Identify the LRA Tables 3.X.2-Y documented by this audit writeup.
(iv) A summary review of the AMR Notes A through E used to classify the 6
Section 6.c.iv(f) provides audit results for all AMRs consistent with the GALL Report, including those AMRs requiring further evaluations. The audits documented in this section address the AMR inputs of component, material, aging effect and AMP. The additional evaluation required by the GALL Report for certain AMRs are documented in section 6.c.iv(g) of this plan. Section 6.c.iv(g) only assesses the additional evaluations not the AMR inputs of component, material, aging effect and AMP.
1-16
AMR line items used in these Tables.
(v) A brief summary of what the project team reviewed to perform the audit, i.e., LRA and applicant basis documents and other implementation documents. Reference the Appendix that lists the details of the documents reviewed.
(vi) Basis for accepting any exceptions to GALL AMRs that were identified by the applicant or the project team reviewer.
(1) If the applicant needed to make a docketed response to amend or supplement the LRA so that an acceptable finding could be provided, document the submittal, include the ADAMS accession number, and explain the issue that the submittal resolved and why the submittal resolved the issue.
(vii) If an RAI was issued concerning the AMP, identify the RAI number and briefly discuss the RAI. State whether the RAI remains open or the applicant response has been accepted. If the response was acceptable, document the basis for its acceptance and identify the applicant submittal that provided the response.
(viii) Provide an audit finding that determines whether (1) the applicable aging effects were identified, (2) the appropriate combination of materials and environments were defined, and (3) acceptable aging management programs were specified.
(ix) Provide a conclusion stating that (1) the applicant has demonstrated that the effects of aging will be adequately managed so that the intended functions will be maintained consistent with the current licensing basis for the period of extended operation, and that (2) 10CFR54.21(a)(3) has been satisfied.
(e) AMRs consistent with the GALL Report, for which further evaluation is required: The report should include the following.
(i) The LRA section containing the applicants further evaluations of AMRs for which further evaluation is required.
(ii) A list of the aging effects for which the further evaluation apply.
(iii) For the applicants further evaluations, provide a summary of the basis for concluding that it satisfied the criteria contained in Section 3.1.3.2 of the SRP-LR.
(1) If the applicant needed to make a docketed response to amend or supplement the LRA so that an acceptable finding could be provided, document the submittal, include the ADAMS accession number, and explain the issue that the submittal resolved and why the submittal resolved the issue.
(iv) A statement that staff audited the applicants further evaluations against the criteria contained in Section 3.1.3.2 of the SRP-LR.
(v) If an RAI was issued concerning the AMP, identify the RAI number and briefly discuss the RAI. State whether the RAI remains open or the applicant response has been accepted. If the response was acceptable, document the basis for its acceptance and identify the applicant submittal that provided the response.
1-17
(vi) A statement that the audit report contains additional details; also identify the issue date and the ADAMS accession number (f) Staff AMR Review Results: This section documents reviews of AMRs assigned to the project team that are not consistent with the GALL Report.
The audit report should document the following, based on a precedence identified by the applicant.
(i) The LRA section reviewed (ii) A summary of the type of information provided in the section of the LRA, reviewed, including a listing of the AMPs reviewed for this LRA section.
(iii) Identify the LRA Tables 3.X.2-Y documented by this audit writeup.
(iv) A brief summary of what the project team reviewed, i.e., LRA and applicant basis documents and other implementation documents.
Reference the Appendix that lists the details of the documents reviewed.
(v) Provide an audit finding that determines whether (1) the applicable aging effects were identified, (2) the appropriate combination of materials and environments were listed, and (3) acceptable aging management programs were specified.
(4) If the applicant needed to make a docketed response to amend or supplement the LRA so that an acceptable finding could be provided, document the submittal, include the ADAMS accession number, and explain the issue that the submittal resolved and why the submittal resolved the issue.
(5) If an RAI was issued concerning the AMP, identify the RAI number and briefly discuss the RAI. State whether the RAI remains open or the applicant response has been accepted. If the response was acceptable, document the basis for its acceptance and identify the applicant submittal that provided the response.
(vi) Provide a conclusion stating that (1) the applicant has demonstrated that the effects of aging will be adequately managed so that the intended functions will be maintained consistent with the current licensing basis for the period of extended operation, and that (2) 10CFR54.21(a)(3) has been satisfied.
7 Document Retention
- a. After the NRC has made its licensing decision, all copies of documents collected and all documents generated to complete the audit report, such as copies of documentation obtained during the audit, audit worksheets, question and answer tracking documentation, etc., are to be discarded.
1-18
Table 1-1. Elements of an Aging Management Program for License Renewal Element Description 1 Scope of program Scope of program should include the specific structures and components subject to an AMR for license renewal.
2 Preventive actions Preventive actions should prevent or mitigate aging degradation.
3 Parameters monitored or inspected Parameters monitored or inspected should be linked to the degradation of the particular structure or component intended functions.
4 Detection of aging effects Detection of aging effects should occur before there is loss of structure or component intended functions. This includes aspects such as method or technique (i.e.,
visual, volumetric, surface inspection), frequency, sample size, data collection and timing of new/one-time inspections to ensure timely detection of aging effects.
5 Monitoring and trending Monitoring and trending should provide predictability of the extent of degradation and timely corrective or mitigative actions.
6 Acceptance criteria Acceptance criteria, against which the need for corrective action will be evaluated, should ensure that the structure or component intended functions are maintained under all current licensing basis design conditions during the period of extended operation.
7 Corrective actions Corrective actions, including root cause determination (Audited by NRC Division of and prevention of recurrence, should be timely.
Inspection Program Management) 8 Confirmation process Confirmation process should ensure that preventive (Audited by NRC Division of actions are adequate and that appropriate corrective Inspection Program Management) actions have been completed and are effective.
9 Administrative controls (Audited by Administrative controls should provide a formal review NRC Division of Inspection Program and approval process.
Management) 10 Operating experience Operating experience of the aging management program, including past corrective actions resulting in program enhancements or additional programs, should provide objective evidence to support the conclusion that the effects of aging will be managed adequately so that the structure and component intended functions will be maintained during the period of extended operation.
1-19
Start Preparation Steps Identify GALL AMP(s) to which LRA AMP is being compared Note; Preparation steps may be performed as a single combined step for Identify criteria of GALL each AMP audited.
AMP(s) elements to be audited Identify LRA AMP support documents needed to Develop and perform audit provide question Obtain to Team Leader response from for PMs submittal applicant to applicant Did applicant identify Yes any exceptions to GALL AMP(s)?
Yes Notify NRC No Team Leader Ask applicant a clarifying that Audit of No question to continue audit?
AMR may not Compare each GALL AMP proceed.
auditable criteria to the LRA AMP Is there a technical No basis to accept exception or difference? Draft RAI Are the element Note: If a prior NRC criteria consistent? No approved precedent exists, it may be used as Yes an aid to make the technical determination.
Documentation of the Document the basis for Yes acceptance must be acceptance of the element made on the technical element in worksheet merits not a citation to Terminate AMP the precedent. audit Have all element Write audit and review report No criteria been audited? input Provide audit and review report Yes input No Have all 7 AMP elements been audited?
Write SER input per guidance Yes Conclusion of AMP audit Figure 1-1. Audit of AMPs Consistent with GALL Report 1-20
Start Preparation Steps Identify criteria of SRP-LR, Appendix A elemets which are auditable Identify LRA AMP support Provide documents needed to question to perform audit Obtain Develop Team leader Note; Preparation steps response from question for PMs may be performed as a applicant single combined step for submittal to each AMP audited. applicant Yes Notify NRC Team Leader Compare each SRP-LR AMP Is it appropriate No that review of criteria element toNothe LRA to ask applicant a clarifying AMP may not AMP question to continue audit? proceed.
No No Is there a technical basis Draft RAI Is the AMP element to accept exception or consistent? difference?
Note: If a prior NRC Yes precedent exist, it may be used as an aid to Yes make the technical determination.
Documentation of the Terminate AMP acceptance must be made on the technical audit merits not a citation to the precedent.
Document the basis for acceptance of the element in worksheet Write audit and review report Have all element criteria input No been audited?
Provide NRC team leader and Yes contractor audit report input No Write SER input Have all 7 AMP elements been audited?
Provide NRC team leader and Yes contractor audit SER input Conclusion of AMP review Figure 1-2. Audit of Plant-Specific AMPs 1-21
No No No No S tar t N ote A ? N ote B ? N ote C ? N ote D ? 3 Y es Y es Y es Y es C olle c t a l l n ec e s s ar y d oc u m e n ts f o r Is th e lin e Is th e lin e ite m Y es N ote r e vie w ite m c o n s is te n t w ith c o n s is te n t w ith G A L L 1 G A L L V o l. 2 S ys te m No Is th e lin e ite m c o n s is te n t w ith V ol. 2 S ys t e m T a b le li n e T ab le lin e it e m f o r: No ite m f or : m a te r ia l, e n vir o n m e n t c o m p o n e n t ty p e , m a te r ia l, G A L L V o l. 2 S ys te m R e a d L R A S ec tio n T ab le lin e it e m f o r: a g in g ef f ec t 3 .0 t o u n d e rs ta n d e n vir o n m e n t a g i n g ef f ec t c o m p o n e n t t yp e , m a te r i a l th e a p p lic a n ts e n vir o n m e n t A M R p r oc es s AMP No a g i n g ef f ec t Is th e lin e Y es Y es ite m c o n s is t e n t w tih R e vie w lin e ite m in No G A L L V o l. 2 S ys te m No Is c o m p o n e n t th e S ys t e m , T ab l e lin e ite m f o r:
R e vie w L R A A M P typ e a c c e p ta b le f o r th e S tru c t u r e o r m a t e r ia l , e n v ir o n m e n t Y es e xc e p tio n m a t e r ia l, e n v ir o n m e n t a n d C o m m o d it y L R A a g in g eff ec t e v a lu a t io n fr o m a g in g eff ec t?
T ab l e 3 .X .2 - Y AMP th e A M P a u d it rep ort Y es Y es R e vi e w L R A A M P Y es Is e xc e p tio n fr o m th e No Is th e lin e it e m c o m p o n e n t typ e A u d it R e p o rt as s ig n e d to R L E P -B Is G A L L V o l.2 ac c e p t a b le f or th e m a te r ia l, to r e vie w ? A M P "P la n t- e n v ir o n m e n t a n d S p ec ific " ? a g in g ef f ec t?
No Y es 2 Y es No R e vie w L R A A M P to v e r if y th a t A M P w ill c o v e r G o to N e xt A M R com p on ent an d e n vir o n m e n t f or T ab le 3 .X .2 - Y L in e Ite m a g in g eff ec t.
1-22 D o es L R A No A M P c over 4 com p on ent an d 1 1 e n vir o n m e n t f or 1 1 a g i n g eff ec t?
Y es 2
Figure 1-3. Review of AMRs Consistent with the GALL Report
1-23 Figure 1-3. Review of AMRs Consistent with the GALL Report (contd)
Figure 1-4. AMR Review Using NRC-Approved Precedent 1-24
Appendix A Schedule Plant: Point Beach Team Leader: Kurt Cozens Backup Team Leader: Mark Lintz Project Manager: Mike Morgan Contractor: PNNL Activity/Milestone Schedule 1 Receive LRA 02/26/04 2 Review assignments made 03/19/04 3 Training at PNNL 04/12-15/04 4 Issue audit plan to PM 04/19/04 5 Team planning meeting 04/13-14/04 6 Site visit 1 (AMP reviews) 04/26-30/04 7 Reviewer draft audit report input (AMP reviews) 05/03-07/04 8 Reviewer draft SER input (AMP reviews) 05/03-07/04 9 In-office AMR reviews at PNNL (Kurt Cozens visit) 05/17-21/04 10 Site visit 2 (resolve AMR and AMP questions) 06/7-11/04 11 Reviewer draft audit report (AMR section) 06/14-18/04 12 Reviewer draft SER input (AMR reviews) 06/14-18/04 13 Staff visits PNNL for writing review of Audit and Review Report 06/21-25/04 14 Site visit 3 (resolve AMR and AMP questions) 07/12-14/04 15 Public exit meeting 07/15/04 16 Cutoff for issuing RAIs to PM 07/16/04 17 Final audit report (AMP and AMR sections) 08/12/04 18 Final input for draft SER with open items 09/01/04 A-1
Appendix B Project Team Membership Organization Name Function NRC/NRR/DRIP/RLEP-B Kurt Cozens Team Leader NRC/NRR/DRIP/RLEP-B Mark Lintz Backup Team Leader Contractor - PNNL(a) Tom Taylor Contractor Lead, Reviewer, Materials Contractor - PNNL Steve Gosselin Reviewer (Mechanical, SSCs)
Contractor - PNNL Kent Faris Reviewer (Reactor/Plant systems)
Contractor - PNNL Peter Penn Reviewer (Civil/Structural engineering)
Contractor - PNNL Don Jarrell Reviewer (Electrical)
(a) Pacific Northwest National Laboratory.
B-1
Appendix C Aging Management Program Assignments The following AMPs have been assigned to the Point Beach project team for their review.
LRA GALL AMP Title Consistent Assigned AMP Report with GALL Reviewer Number AMP Report Number Yes No B2.1.1 XI.M1, ASME,Section XI, IWB, IWC, & IWD X Taylor XI.M3 B2.1.2 XI.S1, ASME,Section XI, IWE and IWL X Penn XI.S2, XI.S4 B2.1.3 XI.S3 ASME,Section XI, IWF X Taylor B2.1.4 XI.M18 Bolting Integrity Program X DE B2.1.5 XI.M22 Boroflex Monitoring Program X Jarrell B2.1.6 XI.M10 Boric Acid Corrosion Program Yes DE B2.1.7 XI.M34 Buried Services Monitoring Program Yes Penn B2.1.8 XI.E1, Cable Condition Monitoring Program X Jarrell XI.E2, XI.E3 B2.1.9 XI.M21 Closed-Cycle Cooling Water X Faris Surveillance Program B2.1.10 XI.M26, Fire Protection Program X Lintz XI.M27 B2.1.11 XI.M17 Flow-Accelerated Program Yes Gosselin B2.1.12 XI.M30 Fuel Oil Chemistry Control Program X Faris B2.1.13 XI.M32, One-Time Inspection Program X Faris XI.M33 B2.1.14 XI.M20 Open-Cycle Cooling (Service) Water X Gosselin Surveillance Program B2.1.15 Periodic Surveillance and Preventive PS Lintz Maintenance Program B2.1.16 XI.M11 Reactor Coolant System Alloy 600 X DE Program C-1
LRA GALL AMP Title Consistent Assigned AMP Report with GALL Reviewer Number AMP Report Number Yes No B2.1.17 XI.M13, Reactor Vessel Internals Program X Gosselin XI.M16 B2.1.18 XI.M31 Reactor Vessel Surveillance Program X DE B2.1.19 XI.M19 Steam Generator Integrity Program Yes DE B2.1.20 XI.M23, Structures Monitoring Program X Penn XI.S5, XI.S6, XI.S7 B2.1.21 XI.M29 Systems Monitoring Program X Jarrell B2.1.22 Tank Internal Inspection Program PS DE B2.1.23 Thimble Tube Inspection Program PS DE B2.1.24 XI.M2 Water Chemistry Control Program x Taylor B3.1 X.S1 Environmental Qualification Program Yes Jarrell B3.2 X.M1 Fatigue Monitoring Program Yes Gosselin B3.3 X.E1 Pre-Stressed Concrete Containment Yes Penn Tendon Surveillance Program X = with exceptions PS = plant-specific C-2
Appendix D Aging Management Review Assignments Lead AMRs Reviewer 3.1 Aging Management of Reactor Vessel, Internals, and Reactor Coolant Taylor System 3.2 Aging Management of Engineered Safety Features Gosselin 3.3 Aging Management of Auxiliary Systems Faris 3.4 Aging Management of Steam and Power Conversion Systems Jarrell 3.5 Aging Management of Containment, Structures, and Component Supports Penn 3.6 Aging Management of Electrical and Instrumentation and Controls Jarrell The specific AMRs reviewed by the project team are documented in Attachment 2. The project team will review all the AMRs identified in Attachment 2 except for those grayed out in the Notes column (see the example shown in Figure D-1).
After issuance of this audit and review plan, the project team leader may reassign the AMR to another reviewer or have the AMR reassigned to another NRC section, if appropriate.
D-1
Figure D-1. Classification of AMRs (Reviewed (R) or Not Reviewed (NR))
Component Intended Material Environment Aging Effect Aging NUREG - Table 1 Notes Type Function Requiring Management 1801 Item Management Programs Volume 2 Line Item Bolting for Mechanical Low Alloy Borated Water Loss of Boric Acid IV.C2.3-f, 3.1.1-38 A NR(a)
Flanged Piping Closure Steel Leaks (External) Mechanical Corrosion IV.C2.4-f Joints, RCP Integrity Closure Integrity Program and Valve due to Aggressive Closure Chemical Attack Containment Loss of Bolting IV.C2.3-g, 3.1.1-26 B, 7 NR (External) Mechanical Integrity IV.C2.4-g Closure Integrity Program due to Stress Relaxation Orifices and Pressure Stainless Containment None None J R(b)
Reducers Boundary Steel (External) Required Treated Water - Cracking due to Water (IV.C2.2- (3.1.1-07) D, 20 Primary, SCC Chemistry h)
D-2 140HF<T<480H Control F (Internal) Program (a) NR = the AMR was not reviewed (b) R = the AMR was reviewed.
Appendix E Consistent with GALL Report AMP Audits -
Worksheet for Recording Audit Information This appendix provides the worksheet form for recording audit information consistent with GALL Report AMP audits. The worksheet provides, as an aid for the reviewer, a process for documenting the basis for the assessment of the elements and subelements contained in the GALL Report AMPs (Chapter XI of NUREG-1801, Volume 2). The completed worksheets will not be treated as official NRC records; rather, they are intended to provide a systematic method to record the basis for assessments or to identify when the applicant needs to provide clarification or additional information. Input recorded in the worksheets also will be useful when preparing the audit report and safety evaluation report input.
E-1
Consistent with GALL Report AMP Audit Worksheet LRA Appendix Subsection: LRA AMP
Title:
GALL Report Subsection: GALL Report
Title:
A. Attribute Review and Audit
- 1. Scope of Program:
9 Consistent with GALL Report 9 Exception 9 Enhancement 9 Difference Identified Discussion:
- 2. Preventive Action:
9 Consistent with GALL Report 9 Exception 9 Enhancement 9 Difference Identified Discussion:
- 3. Parameters Monitored/Inspected:
9 Consistent with GALL Report 9 Exception 9 Enhancement 9 Difference Identified Discussion:
- 4. Detection of Aging Effects:
9 Consistent with GALL Report 9 Exception 9 Enhancement 9 Difference Identified Discussion:
- 5. Monitoring and Trending:
9 Consistent with GALL Report 9 Exception 9 Enhancement 9 Difference Identified Discussion:
- 6. Acceptance Criteria:
9 Consistent with GALL Report 9 Exception 9 Enhancement 9 Difference Identified Discussion:
- 7. Corrective Action:
To be performed by DIPM E-2
- 8. Confirmation Process:
To be performed by DIPM
- 9. Administrative Controls:
To be performed by DIPM
- 10. Operating Experience:
B. FSAR Supplement Review:
C. Audit Remarks (if any):
D. Applicant
Contact:
E. References/Documents Used:
Project Team Member/Date: _____________________________________ ______________
E-3
Appendix F Worksheet for Plant-Specific LRA AMPs The Plant-Specific AMP Audits Worksheet Form provides, as an aid for the reviewer, an informal process to document the basis for the assessments concerning individual elements and sub-elements contained in Appendix A, Branch Technical Position, to the SRP-LR. The worksheet is not intended to be a formal NRC record but to provide a systematic method for recording the basis for assessments or identifying when the applicant needs to provide clarification or additional information. Input recorded in this worksheet will be useful when preparing the audit report and safety evaluation report input.
F-1
Plant-Specific AMP Audit Worksheet AMP
Title:
Appendix Subsection: ___________________________________________________
A. Attribute Review and Audit
- 1. Scope of Program:
Discussion:
- 2. Preventive Action:
Discussion:
- 3. Parameters Monitored/Inspected:
Discussion:
- 4. Detection of Aging Effects:
Discussion:
- 5. Monitoring and Trending:
Discussion:
- 6. Acceptance Criteria:
Discussion:
- 7. Corrective Action: (To be performed by DIPM)
- 8. Confirmation Process: (To be performed by DIPM)
- 9. Administrative Controls: (To be performed by DIPM)
- 10. Operating Experience:
F-2
Discussion:
B. FSAR Supplement Review:
C. Audit Remarks (if any):
D. Applicant
Contact:
E. References/Documents Used:
Project Team Member/Date: ____________________________________ / _____________
F-3
One Acceptable Option Appendix G AMR Worksheet Table 3.X.1 AMR Comparison Worksheet Further Evaluation Recommended AMR System: _______________________________________
Project Team Member: ______________________________________
Date: _________________
The project team verified that items in Table 3.X.1 (Table 1) correlate to items in the GALL Report Volume 1, Table X. All items in Table 1 were reviewed. Those items that have a yes for further evaluation recommended are addressed in the following table. All other items in Table 1 are determined to be consistent with the GALL Report, except those items listed below.
The entireties below are questions that when responded to by the applicant may result in the reviewer concluding that the AMR is consistent with the GALL Report.
Item No. Further Basis for Concluding That Further Evaluation Evaluation Required is Consistent with the GALL Report or Recommended Question for Applicant G-1
One Acceptable Option Table 3.X.2-Y AMR Worksheet AMR System:
AMR Section:
Project Team Member: ____________________________________
Date: ___________________________________________________
AMR line items assigned to the Project Team were reviewed for consistency with GALL Report, Volume 2, tables and adequacy of the aging managing programs. All items in the Table 2 of the _____ system are acceptable with the exception of the following items.
Note Component Type Question for Applicant and Response Type 9 Confirm acceptable additional evaluation or 9 N/A 9 Confirm acceptable additional evaluation or 9 N/A 9 Confirm acceptable additional evaluation or 9 N/A Applicant
Contact:
References/Documents Used:
G-2
Appendix H Consistent with GALL Report Notes7 (Notes for LRA Tables 3.x.2-y)
Note Description A Consistent with GALL Report item for component, material, environment, and aging effect. AMR is consistent with GALL Report AMR.
B Consistent with GALL Report item for component, material, environment, and aging effect. AMR takes some exceptions to GALL Report AMR.
C Component is different, but consistent with GALL Report item for material, environment, and aging effect. AMP is consistent with GALL Report AMR.
D Component is different, but consistent with GALL Report item for material, environment, and aging effect. AMR takes some exceptions to GALL Report AMR.
E Consistent with GALL Report for material, environment, and aging effect, but a different aging management program is credited.
F Material not in GALL Report for this component.
G Environment not in GALL Report for this component and material.
H Aging effect not in GALL Report for this component, material and environment combination.
I Aging effect in GALL Report for this component, material and environment combination is not applicable.
J Neither the component nor the material and environment combination is evaluated in GALL Report.
7 Each AMR line item is coded with a letter which represents a standard note designations based on a letter from A.
Nelson, NEI, to P. T. Kuo, NRC, U.S. Nuclear Industrys Proposed Standard License Renewal Application Format Package, Request NRC Concurrence, dated January 24, 2003 (ML030290201). (Note that the staff concurred in the format of the standardized format for license renewal applications by letter dated April 7, 2003, from P.T. Kuo, NRC, to A. Nelson, NEI (ML030990052).) Notes that use numeric designators are specific to Point Beach Units 1 and 2.
H-1