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Category:LEGAL TRANSCRIPTS & ORDERS & PLEADINGS
MONTHYEARLR-N980595, Comment Supporting Proposed Rules 10CFR50,52 & 72 Re Changes,Tests & Experiments.Pse&G Supports Comments Submitted by NEI in Their Ltr1998-12-21021 December 1998 Comment Supporting Proposed Rules 10CFR50,52 & 72 Re Changes,Tests & Experiments.Pse&G Supports Comments Submitted by NEI in Their Ltr LR-N980588, Comment on Proposed Rule 10CFR50.65 Re Monitoring Effectiveness of Maint at Npps.Util Agrees with General Principle Behind Proposed Rulemaking,But However,Concerned That Proposed Rule Contain Language Open to Interpretation1998-12-14014 December 1998 Comment on Proposed Rule 10CFR50.65 Re Monitoring Effectiveness of Maint at Npps.Util Agrees with General Principle Behind Proposed Rulemaking,But However,Concerned That Proposed Rule Contain Language Open to Interpretation ML18106A8731998-09-15015 September 1998 Comment on Draft NUREG-1633 Re Assessment of Use of Potassium Iodide (Ki) as Protetive Action During Severe Reactor Accidents. Believes That NUREG Should Provide Balanced Discussion on Benefits & Risks of Use of Ki ML18106A8811998-09-15015 September 1998 Comment Opposing Draft NUREG-1633, Assessment of Use of Potassium Iodide as Protective Action During Severe Reactor Accidents. Believes That Discussion Contained in SECY-98-061 Should Be Included in Draft NUREG LR-N980284, Comment on PR-50 Re IEEE Std 603-1991 for Salem & Hope Creek Generating Stations.Lack of Adverse Comments to Draft RG Should Not Have Been Construed as Endorsement to IEEE 603-19911998-06-12012 June 1998 Comment on PR-50 Re IEEE Std 603-1991 for Salem & Hope Creek Generating Stations.Lack of Adverse Comments to Draft RG Should Not Have Been Construed as Endorsement to IEEE 603-1991 LR-N980149, Comment on Proposed Rule 10CFR50 Re Industry Codes & Stds. Comments Address Use of Engineering Judgment,Limitations on Use of Later ASME III Code Editions for Weld Leg Dimensions & Seismic Analysis1998-03-30030 March 1998 Comment on Proposed Rule 10CFR50 Re Industry Codes & Stds. Comments Address Use of Engineering Judgment,Limitations on Use of Later ASME III Code Editions for Weld Leg Dimensions & Seismic Analysis ML18102B4361997-07-0707 July 1997 Comment Opposing NUREG-1606, Proposed Regulatory Guidance Re Implementation of 10CFR50.59 (Changes,Tests or Experiments). Util Endorses Comments Submitted by Nuclear Energy Inst ML20132A8961996-12-0606 December 1996 Comment Supporting Pr 10CFR50, NRC Draft Ps on Restructuring & Economic Deregulation of Electric Utility Industry ML20084H9251995-06-0202 June 1995 Comment Opposing Proposed Change in State Cooperative Agreements Program Concerning NRC Intention to Reduce Scope of Work.Believes That NRC Should Maintain Environ Monitoring Program & Find Other Ways to Reduce Duplicative Svcs ML20080G8321995-02-0606 February 1995 Comment Opposing Proposed Rule 10CFR50 Re Shutdown & low-power Operations for Npp.Encourages NRC to Reevaluate Regulatory Analyses in Light of Higher Costs.Concludes That Addl Rules on Shutdown & Low Power Operations Not Necessary ML20077L8631995-01-0303 January 1995 Comment Supporting Proposed Rules 10CFR2,51 & 54 Re NPP License Renewal.Util of Belief That Proposed Rev Reflect Positive Effort Towards Establishing Regulatory Process Requirements for Continued Operation of Nuclear Facilities ML20056G4121993-08-31031 August 1993 Comment Supporting Proposed Rule 10CFR2 Re Review of 2.206 Process ML20126F2721992-12-21021 December 1992 Comment Endorsing Positions & Comments of NUMARC & BWROG Re Draft GL, Augmented Inservice Insp Requirments for Mark I & Mark II Steel Containments,Refueling Cavities & Associated Drainage Sys ML20095B2411992-04-10010 April 1992 Comment on Draft NUREG-1449, Shutdown & Low-Power Operation at Commercial Nuclear Power Plants in Us ML20072T2421991-04-11011 April 1991 Comment Re Proposed Change to 10CFR50.55A Re Inservice Testing of Containment Isolation Valves.Proposed Rule Should Be Revised to Allow Plants within Last 12 Months of Current Interval to Substitute Deferred Rv Shell Exams ML20246H8141989-07-0505 July 1989 Comment Supporting Proposed Rule 10CFR50, Acceptance of Products Purchased for Use in Nuclear Power Plant Structures,Sys & Components ML20235T1861989-02-24024 February 1989 Comment Supporting Proposed Rule 10CFR50 Re Ensuring Effectiveness of Maint Programs for Nuclear Power Plants, Extension of NRC Authority to BOP Portion of Plant & Misapplication of Adequate Protection Std of Backfit Rule ML20195H0331988-11-21021 November 1988 Comment on Proposed Rule 10CFR26 Re Fitness for Duty Program Which Includes Random Drug Testing.Util Strongly Favors 180- Day Period for Implementation of Rule & 360-day Implementation Period for Random Drug Testing ML20153F9681988-08-17017 August 1988 Comment Opposing Proposed Rule 10CFR50 Re Licensee Flexibility During Natl Crisis.Deferral of Issuance of Final Rule Until Proper Implementation Guidance Formulated Encouraged ML20247N7531988-07-28028 July 1988 Petition for Rulemaking PRM-50-53 Requesting NRC Action to Review Undue Risk Posed by BWR Thermal Hydraulic Instability.Nrr Should Issue Order Requiring All GE BWRs to Be Placed in Cold Shutdown for Stated Reasons ML20154G1421988-04-20020 April 1988 Comment Opposing Proposed Rules 10CFR50 & 73 Re Policy Statement on Nuclear Power Plant Access Authorization Program.Nrc Should Establish Program Mutually Agreed Upon Between Union & Util,Per Hope Creek & Salem Programs ML20154G4601988-04-18018 April 1988 Comment Opposing Proposed Rule 10CFR50 Re Notification of Inspector Visits to Facility ML18093A6331988-02-0101 February 1988 Comment Supporting Proposed Rule 10CFR50 Re Proposed Policy Statement on Integrated Schedules for Implementation of Plant Mods ML20207H6521986-07-21021 July 1986 Transcript of Commission 860721 Discussion/Possible Vote on Full Power OL for Facility in Washington,Dc.Pp 1-76. Supporting Documentation Encl ML20203D9661986-07-21021 July 1986 Corrected Page 5 to 860721 Transcript Re Facility ML20107A5261985-02-19019 February 1985 Joint Motion for Leave to Withdraw as Party to Proceeding & Dismissal of Admitted Contentions.Draft Order Approving Both Requests,Settlement Agreement & Certificate of Svc Encl ML20114A6911985-01-23023 January 1985 Response Opposing Intervenor,Public Advocate of State of Ny Notice of Deposition & Motion for Protective Order. Certificate of Svc Encl.Related Correspondence ML20113H7211985-01-22022 January 1985 Response Opposing Applicant Motion for Sanctions Re Discovery.Certificate of Svc Encl.Related Correspondence ML20114B7361985-01-21021 January 1985 Applicant Response to Intervenor Third Set of Interrogatories & Request for Production of Documents Re Pipe Cracks.Related Correspondence ML20113H7321985-01-21021 January 1985 Second Supplemental Response to Preliminary & First Sets of Interrogatories & Request for Production of Documents. Certificate of Svc Encl.Related Correspondence ML20113H9441985-01-18018 January 1985 Notice of H Sonn 850130 Deposition in Trenton,Nj.Concurrent Depositions of Listed Applicant Employees Requested.Related Correspondence ML20113H9671985-01-18018 January 1985 Fourth Set of Interrogatories & Request for Production of Documents.Certificate of Svc Encl.Related Correspondence ML20113H8091985-01-17017 January 1985 Response to Applicant 850114 Objections to Intervenor 850104 Third Set of Interrogatories & Request for Production of Documents & Motion for Protective Order.Certificate of Svc Encl.Related Correspondence ML20112J2841985-01-15015 January 1985 Second Set of Interrogatories Requesting Production of Documents Re Listed Definitions & Instructions to Public Advocate.Certificate of Svc Encl.Related Correspondence ML20112G4171985-01-14014 January 1985 Applicant Objections to Intervenor 850107 Third Set of Interrogatories & Request for Production of Documents to Applicants & Motion for Protective Order.Certificate of Svc Encl.Related Correspondence ML20112G3921985-01-14014 January 1985 Motion That ASLB Impose Sanction of Dismissal of Contentions Due to Intervenor Failure to Respond to ASLB 841121 Order to Show Cause Why OL Proceeding Should Not Be Dismissed. Related Correspondence ML20112D8631985-01-10010 January 1985 Response Opposing Intervenor 850107 Motion to Compel Responsive Answer to Interrogatory III.7 of Intervenor Second Set of Interrogatories & Request for Production of Documents.Certificate of Svc Encl.Related Correspondence ML20112C0001985-01-0707 January 1985 Joint Motion for Issuance of Protective Order Re Personnel Info.Draft Protective Order,Unexecuted Affidavit & Certificate of Svc Encl.Related Correspondence ML20112C9651985-01-0707 January 1985 Motion to Compel Responsive Answer to Interrogatory III.7 of Intervenor 841213 Second Set of Interrogatories & Request for Production of Documents.Certificate of Svc Encl.Related Correspondence ML20101Q6111985-01-0404 January 1985 Third Set of Interrogatories & Request for Production of Documents.Certificate of Svc Encl.Related Correspondence ML20101Q7911985-01-0404 January 1985 Intervenors Supplemental Response to Applicants Preliminary & First Set of Interrogatories & Requests for Production of Documents.Certificate of Svc Encl.Related Correspondence ML20101P9441984-12-31031 December 1984 Response to Second Set of Interrogatories & Request for Production of Documents.Certificate of Svc Encl.Related Correspondence ML20101L1861984-12-28028 December 1984 Motion to Correct 841224 Record.Applicants Never Agreed to Discovery & Trial Preparation Schedule.Certificate of Svc Encl ML20101M5731984-12-28028 December 1984 Response to Applicant Objections to Intervenor 841213 Second Set of Interrogatories & Request for Production.Document Request & Motion for Protective Order Should Be Denied. W/Certificate of Svc.Related Correspondence ML20101E8381984-12-21021 December 1984 Objections to State of Nj Second Set of Interrogatories & Request for Production of Documents & Motion for Protective Order.Disclosure Will Constitute Unwarranted Invasion of Privacy.Related Correspondence ML20101E7821984-12-21021 December 1984 Notice of Appearance in Proceeding.Certificate of Svc Encl ML20101E8511984-12-20020 December 1984 Affidavit of RM Nelson Re Info Requested by State of Nj 841213 Second Set of Interrogatories & Request for Production of Documents.Personnel Files Maintained in Confidence.Related Correspondence ML20101A1651984-12-13013 December 1984 Second Set of Interrogatories & Request for Production of Documents.Certificate of Svc Encl.Related Correspondence ML20108E1161984-12-10010 December 1984 Response to ASLB 841121 Order Directing Public Advocate to Show Cause Re Dismissal of Contentions.State of Nj Safety & Environ Concerns Essential.Prehearing & Hearing Schedule Rerequested.Certificate of Svc Encl ML20099E7201984-11-23023 November 1984 Notice of Appearance in Proceeding 1998-09-15
[Table view] Category:PUBLIC COMMENTS ON PROPOSED RULES & PETITIONS FOR
MONTHYEARLR-N980595, Comment Supporting Proposed Rules 10CFR50,52 & 72 Re Changes,Tests & Experiments.Pse&G Supports Comments Submitted by NEI in Their Ltr1998-12-21021 December 1998 Comment Supporting Proposed Rules 10CFR50,52 & 72 Re Changes,Tests & Experiments.Pse&G Supports Comments Submitted by NEI in Their Ltr LR-N980588, Comment on Proposed Rule 10CFR50.65 Re Monitoring Effectiveness of Maint at Npps.Util Agrees with General Principle Behind Proposed Rulemaking,But However,Concerned That Proposed Rule Contain Language Open to Interpretation1998-12-14014 December 1998 Comment on Proposed Rule 10CFR50.65 Re Monitoring Effectiveness of Maint at Npps.Util Agrees with General Principle Behind Proposed Rulemaking,But However,Concerned That Proposed Rule Contain Language Open to Interpretation ML18106A8731998-09-15015 September 1998 Comment on Draft NUREG-1633 Re Assessment of Use of Potassium Iodide (Ki) as Protetive Action During Severe Reactor Accidents. Believes That NUREG Should Provide Balanced Discussion on Benefits & Risks of Use of Ki ML18106A8811998-09-15015 September 1998 Comment Opposing Draft NUREG-1633, Assessment of Use of Potassium Iodide as Protective Action During Severe Reactor Accidents. Believes That Discussion Contained in SECY-98-061 Should Be Included in Draft NUREG LR-N980284, Comment on PR-50 Re IEEE Std 603-1991 for Salem & Hope Creek Generating Stations.Lack of Adverse Comments to Draft RG Should Not Have Been Construed as Endorsement to IEEE 603-19911998-06-12012 June 1998 Comment on PR-50 Re IEEE Std 603-1991 for Salem & Hope Creek Generating Stations.Lack of Adverse Comments to Draft RG Should Not Have Been Construed as Endorsement to IEEE 603-1991 LR-N980149, Comment on Proposed Rule 10CFR50 Re Industry Codes & Stds. Comments Address Use of Engineering Judgment,Limitations on Use of Later ASME III Code Editions for Weld Leg Dimensions & Seismic Analysis1998-03-30030 March 1998 Comment on Proposed Rule 10CFR50 Re Industry Codes & Stds. Comments Address Use of Engineering Judgment,Limitations on Use of Later ASME III Code Editions for Weld Leg Dimensions & Seismic Analysis ML18102B4361997-07-0707 July 1997 Comment Opposing NUREG-1606, Proposed Regulatory Guidance Re Implementation of 10CFR50.59 (Changes,Tests or Experiments). Util Endorses Comments Submitted by Nuclear Energy Inst ML20132A8961996-12-0606 December 1996 Comment Supporting Pr 10CFR50, NRC Draft Ps on Restructuring & Economic Deregulation of Electric Utility Industry ML20084H9251995-06-0202 June 1995 Comment Opposing Proposed Change in State Cooperative Agreements Program Concerning NRC Intention to Reduce Scope of Work.Believes That NRC Should Maintain Environ Monitoring Program & Find Other Ways to Reduce Duplicative Svcs ML20080G8321995-02-0606 February 1995 Comment Opposing Proposed Rule 10CFR50 Re Shutdown & low-power Operations for Npp.Encourages NRC to Reevaluate Regulatory Analyses in Light of Higher Costs.Concludes That Addl Rules on Shutdown & Low Power Operations Not Necessary ML20077L8631995-01-0303 January 1995 Comment Supporting Proposed Rules 10CFR2,51 & 54 Re NPP License Renewal.Util of Belief That Proposed Rev Reflect Positive Effort Towards Establishing Regulatory Process Requirements for Continued Operation of Nuclear Facilities ML20056G4121993-08-31031 August 1993 Comment Supporting Proposed Rule 10CFR2 Re Review of 2.206 Process ML20126F2721992-12-21021 December 1992 Comment Endorsing Positions & Comments of NUMARC & BWROG Re Draft GL, Augmented Inservice Insp Requirments for Mark I & Mark II Steel Containments,Refueling Cavities & Associated Drainage Sys ML20095B2411992-04-10010 April 1992 Comment on Draft NUREG-1449, Shutdown & Low-Power Operation at Commercial Nuclear Power Plants in Us ML20072T2421991-04-11011 April 1991 Comment Re Proposed Change to 10CFR50.55A Re Inservice Testing of Containment Isolation Valves.Proposed Rule Should Be Revised to Allow Plants within Last 12 Months of Current Interval to Substitute Deferred Rv Shell Exams ML20246H8141989-07-0505 July 1989 Comment Supporting Proposed Rule 10CFR50, Acceptance of Products Purchased for Use in Nuclear Power Plant Structures,Sys & Components ML20235T1861989-02-24024 February 1989 Comment Supporting Proposed Rule 10CFR50 Re Ensuring Effectiveness of Maint Programs for Nuclear Power Plants, Extension of NRC Authority to BOP Portion of Plant & Misapplication of Adequate Protection Std of Backfit Rule ML20195H0331988-11-21021 November 1988 Comment on Proposed Rule 10CFR26 Re Fitness for Duty Program Which Includes Random Drug Testing.Util Strongly Favors 180- Day Period for Implementation of Rule & 360-day Implementation Period for Random Drug Testing ML20153F9681988-08-17017 August 1988 Comment Opposing Proposed Rule 10CFR50 Re Licensee Flexibility During Natl Crisis.Deferral of Issuance of Final Rule Until Proper Implementation Guidance Formulated Encouraged ML20154G1421988-04-20020 April 1988 Comment Opposing Proposed Rules 10CFR50 & 73 Re Policy Statement on Nuclear Power Plant Access Authorization Program.Nrc Should Establish Program Mutually Agreed Upon Between Union & Util,Per Hope Creek & Salem Programs ML20154G4601988-04-18018 April 1988 Comment Opposing Proposed Rule 10CFR50 Re Notification of Inspector Visits to Facility ML18093A6331988-02-0101 February 1988 Comment Supporting Proposed Rule 10CFR50 Re Proposed Policy Statement on Integrated Schedules for Implementation of Plant Mods 1998-09-15
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P O. Gor 236, Moil Code N5Y,a Honc@ks Bridge, NJ 08038 BWROG 92032 $ 1, April 10, 1992 7 o Shd 0- 9/CA&, ),
swx 648 Chief, Regulatory Publications Branch M Q M ~-
US Nuclear Regulatory Commission "
/
I Washington, DC 20555
Subject:
BkR OWNERS' GROUP C0KMENTS ON NUREG-1449 " SHUTDOWN AND LOV-POWER OPERATION AT COMMERCIAL NUCLEAR POWER PLANTS IN THE UNITED STATES" The BVR Owners' Group appreciates thc: opportunity to comment on draft NUREC-1449
{ " Shutdown and Low-Power Operation at Commercial Nuclear Power Plants in the United States", Our comments have been compiled by a joint BWR Owners' Group Outage Management Committee and shutdown Issues committee Working Group:
Executive Summriry Page XV: The statement that Mark I and II secondary containments offer little protection is based on conservative and, perhaps misleading assumptions (see later discussion applicable to Section 6.9.1). BWR secondary containments offer substantial processing capabilities when ventilation, heat transfer, and condensation effects are realistically considered.
Section 4 .
We feel that the NSAC documents may not be properly represented. Some of the information appears to be obsolete. Greater emphasis should be placed on the Grand Gulf and Surry results when available. Without these results, the conclusions may be incorrect and lead to inappropriate actions.
Page 4-7, Figure 4.1: The figure assumes core damage is equivalent to reaching 200 F. Figure and text should be revised to refer to boiling rather than core damage, For example, Figure 4.1 implies core damage frequency at Brunswick is the same as the probability of losing RHR.
Section 5 A statement should be added at the beginning of Section 5 to reference the particular EUR Standard Technical Specifications (STS) used in this section. '
5.1.1.1, 2nd Paragraph: First sentence is incorrect. For example, current BWR 4 Standard Tech Specs (STS) require IRMs in mode 3, 4, and 5; APRMs in modes 3 and 5; SRMs in mode 5; Scram Discharge Volume level in mode 5; Reactor mode switch in modes 3, 4, and 5; and mant.al scram in modes 3, 4 and 5.
9204220050 920410 PDR PR MISC 57FR6748 PDR
BWROG-92032 April 10, 1992 Page 2 The statement "all control rod movement is restricted to one control blade at a time, unless the associated fuel cell contains no fuel" is incorrect. Only one control rod can be moved at a time under any circumstances. See BWR-4 Standard Tech Specs Section 3.9.10 for additional information.
5.1.1.2, 2nd Paragraph: 2nd sentence is incorrect: It should be "This require.
ment is eliminated if the RPV head is removrd. refueling caeity is flooded, spent fuel pool gates are removed, and the le -1 is maintained as required by BWR-4 STS 3.9.8 and 3.9.9."
5.1.1.3, 2nd Paragraph: RER requirement should be stated in tetms of " loops" not " divisions" Statement is incorrect; see BWR-4 STS 3.4.9.1, 3.4.9.2, 3.9.11.1, and 3.9.11.2.
5.1.1,4, 2nd Paragraph: Per BWR-4 STS 3.6.6.4 containment atmosphere deinerting may be initiated 24 hours2.777778e-4 days <br />0.00667 hours <br />3.968254e-5 weeks <br />9.132e-6 months <br /> prior to being less than 151 rated thermal power.
Iner.ing of the containment must be completed within 24 hours2.777778e-4 days <br />0.00667 hours <br />3.968254e-5 weeks <br />9.132e-6 months <br /> after exceeding 15% jated thermal powei during startup.
44.
5 .1 * . 4 2nd Paragraph, 3rd Sentence: Start this sentence with the word "Prdary",endthe sentence with " cold shutdown and refuel modes" In general, tht c@;hout this document when discussing BWR containments, there is a need to diffi'entiate bet. ween primary and secondary containments. The blanket statement {
that containment isolation instrumentation requirements are not applicable is g
incor:ect per BWR-4 STS (see the Primary Containment Isolation System section).
In addition, standby gas is required whenever secondary containment is required.
5.1.1.4 2nd Paragraph, last Sentence: "during fuel movement" should also include core alterations and operations with the potential for draining the vessel (see BWR-4 STS 3.6.5.1).
5.1.2.4: While this is true, other occurences are reportable that do not involve Tech Specs. Many of the significant reporting requirements are applicable to events which may occur during shutdown (i.e., ESF actuations, n.is s e d surveillances, certain test failures, emergency plan entrance requirements).
( 5.1.2.6, 2nd Paragraph: Change " head" to " flange" and " pools" to " racks" 4th Paragraph: The intent of this statement is unclear. For BWRs, only BWR-6s have Fuel Handling Buildings Believe that this refers to secondary contain-ments.
Last paragraph: Change "within" to "less than" Reference to K effective seems inappropriate.
Section 6 Section 6, General Comment; It is difficult to distinguish the findings from the conclusions throughout this section.
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April-10,.1992 Page 3-
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6.2: We believe that implementation of NUMARC 91 06 will address the - Outage Planning and Control issues addressed here. We recommend no regulatory action
.until the effectiveness of NUMARC 91-06 has been evaluated.
6.6.2, Page 6 12, 2nd Paragraph: The four sentences statting with "If the vessel head is detensioned
- through "- the preferred method of RHR is to l flood the reactor cavity and place the fuel pool cooling system in operation,"
require clarification. For come BWRs, heat cannot be transferred to the suppression pool through the main steam lines with the head detensioned or removed.
In addition, the preferred alternate method may be reactor water cleanup not
-fuel pool cooling. The plant configuration and decay heat load are key parameters when identifying preferred alternate decay heat removal methods.
.6.7: It appears that undue attention is focused on the use of freeze seals.
The use of temporary mechanical modifications (e.g., nozzle dams, steam line
~
plugs, inflatab1e bladders etc.) should also be evaluated for the need of a 10CFR50.59 review, 6.h Top of Page 6 13: These two sentences are inconsistent w i t..) BWR 4 STS Section 3.5.2.
.6.7.1.4, Paragraph 1: This is inconsistent with the conclusion in Section 6.7-at tho top of page 6-13 (i.e., ECCS available).
6.9.1, Page 6-22 Beginning of Paragraph 4: .. "could increase the internal pressure to 0.5 psig in 5 minutes."
The probability of this scenario is estimated to be below 1.0E 10. The NRC calculation must have used two assumptions, which invalidate the results: (1) the reactor building is sealed (no ventilation), and (2) the building is adiabatic- (no heat transfer to the outside). A typical reactor building ventilstion= system has capacity of approximately 80,000 cfm. Upon isolation-of the - normal - ventilation, the- standby gas . treatment . system will initiate and provide- - a continuing exhaust from the reactor building. Additionally, heat transfer to the outside cannot be turned of f. The building walls of typical refueling- Ms consist of steel or precast concrete- siding. These walls and
- the ceiliu tod d'act as large condensin6 surfaces. At a decay power of 20 MW, '
- the requirea 1.W flux through -the siding is estimated at 200 watts per-sq ft, _a not-an unsustainable value. We estimate that at approximately 10 MW, continuouy '
boiling could o: cur indefinitely without pressurizing the reactor building if only one standby gas treatment train remains operable. The secondary contain-
! ment ' release scenarios do not appear to be credible and should be removed from i the NUREG.
-6.9.5 Findings: Please review the " Findings" considering the comments provided with respect to Section 6.9.1.
Section 7 7.2(1): .The suggested regulatory controls are already addressed in general in NUMARC 91-06. We recommend no regulatory action until the effectiveness of NUMARC 91-06 has been evaluated. .
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.BWR00 92032
~ April 10,_1992 Page 4
'.2.(2): ' Additional benefit derived from a specific shutdown fire hazards anilysis when compared to the existing fire hazards analysis coupled with . the guidance of NUMARC 91-06 has not been demonstrated. Requiring a fire hazards analysis for all modes and. plant configurations encountered after hot standby / shutdown conditions is unrealistic. What does the NRC requiu for I inclusion in the specific fire hazards analyses (second sentence in 7.2(2)(a))?
7.2.4: Need to define " reduced inventory" and " sensitive condition" for BWR, The existing BWR 4 STS requirements 3.4.9.2, 3.5.2, 3.9.11.1, and 3.9.11,2 meet the - recommended improvements discussed in 7.2(4)(a)(1) and (ii) . No further changes to the~ Tech Specs are necessary for BWRs in this regard.
7.2(4)(b): This statement . is confusing. Is this BWR or PWR mode 57 What is meant by " automatic requirements"? Assuming this means cold shutdown, does this refer - to the requirements that . force the plant to proceed to co,ld shutdown,.or.
does it refer to related requirements in celd shutdown? Does this endorse performing RHR maintenance in other than cold shutdown conditions? In addition,
" optimal" RHR capability may be excessive; only " adequate" requirements need to be ensured. ,
Also please define the term " integral RCS" which appears in the first sentence of the.first paragraph.
5th Paragraph (page 7-6): "For BWRs, the Staff is unaware of my plans to close primary containments --- .
Was this an observation, and how does this relate to improvements in. Tech Specs? We recommend this stat aent be moved to Section 6.
'7.3: This section does not significantly contribute to this draft NUREG.
This letter has been endorsed by a substantial number of the members of the BWR Owners' Group;-however, these comments should not be interpreted as a position
. of. any individual member, If you desire. to discuss these comments in more detail, please contact me at your convenience. '
Very truly yours,
' dQ h V R. D. Bin: IV, Chairman BWR-Owners' Group.
EXEC 5T/RDB/ TAG /rt
-cc: BWROG Primary Representatives A Marion, NLHARC
- BWROG Executive Oversight Committee TP Matthews, NUMARC ,
BWROG Outage Management Committee T Petrangelo, NUMARC BWROC Shutdown Issues Committee C Oakley, INPO CL Tully, BWROG Vice Chairperson RC Torok, EPRI CJ Beck, RRG Chairman LS Cifford, GE/RCK WT Russell, NRC i
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