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Category:CORRESPONDENCE-LETTERS
MONTHYEARML20217F8231999-10-13013 October 1999 Informs That on 990930,NRC Completed mid-cycle PPR of Catawba Nuclear Station.Based on Review,Nrc Did Not Identify Any New Areas That Warranted More than Core Insp Program Over Next Five Months.Historical Listing of Issues,Encl ML20217H0041999-10-13013 October 1999 Forwards MOR for Sept 1999 & Revised MOR for Aug 1999 for Catawba Nuclear Station,Units 1 & 2 ML20217F1301999-10-0707 October 1999 Forwards Rev 1 to Request for Relief 99-03 from Requirements of ASME B&PV Code,In Order to Seek Relief from Performing Individual Valve Testing for Certain Valves in DG Starting (Vg) Sys ML20212J3011999-10-0101 October 1999 Forwards Exemption from Certain Requirements of 10CFR54.17(c) Re Schedule for Submitting Application for Operating License Renewal.Se Also Encl ML20217K2651999-10-0101 October 1999 Forwards Retake Exams Repts 50-413/99-302 & 50-414/99-302 on 990921-23.Two of Three ROs & One SRO Who Received Administrative Section of Exam Passed Retake Exam, Representing 75 Percent Pass Rate 05000414/LER-1999-004, Forwards LER 99-004-01,providing Correction to Info Previously Provided in Rev 0 of Rept.Planned Corrective Actions Contain Commitments1999-09-27027 September 1999 Forwards LER 99-004-01,providing Correction to Info Previously Provided in Rev 0 of Rept.Planned Corrective Actions Contain Commitments 05000413/LER-1999-015, Forwards LER 99-015-00 Re Inoperability of Auxiliary Bldg Ventilation Sys That Exceeded TS Limits Due to Improperly Positioned Vortex Damper.Commitments Are Contained in Corrective Actions Section of Encl Rept1999-09-27027 September 1999 Forwards LER 99-015-00 Re Inoperability of Auxiliary Bldg Ventilation Sys That Exceeded TS Limits Due to Improperly Positioned Vortex Damper.Commitments Are Contained in Corrective Actions Section of Encl Rept ML20217A7911999-09-24024 September 1999 Forwards Insp Repts 50-413/99-05 & 50-414/99-05 on 990718- 0828 at Catawba Facility.Nine NCVs Identified Involving Inadequate Corrective Actions Associated with Degraded Svc Water Supply Piping to Auxiliary Feedwater Sys ML20212E6471999-09-24024 September 1999 Discusses GL 98-01 Issued by NRC on 980511 & DPC Responses for Catawba NPP & 990615.Informs That NRC Reviewed Response for Catawba & Concluded That All Requested Info Provided.Considers GL 98-01 to Be Closed for Catawba ML20212F0941999-09-21021 September 1999 Discusses Closeout of GL 97-06, Degradation of Steam Generator Internals for Cns,Units 1 & 2 ML20212M2001999-09-20020 September 1999 Confirms 990913 Telcon Between M Purser & R Carroll Re Management Meeting to Be Conducted on 991026 in Atlanta,Ga to Discuss Operator Licensing Issues 05000414/LER-1999-005, Forwards LER 99-005-00 Re Missed EDG TS Surveillance Concerning Verification of Availability of Offsite Power Sources Resulted from Defective Procedure.Planned Corrective Actions Stated in Rept Represent Regulatory Commitments1999-09-20020 September 1999 Forwards LER 99-005-00 Re Missed EDG TS Surveillance Concerning Verification of Availability of Offsite Power Sources Resulted from Defective Procedure.Planned Corrective Actions Stated in Rept Represent Regulatory Commitments ML20212D5321999-09-15015 September 1999 Informs That Duke Energy Corp Agrees to Restrict Max Fuel Rod Average Burnup to 60,000 Mwd/Mtu,In Order to Support NRC Final Approval & Issuance of Requested Amend ML20212B4641999-09-14014 September 1999 Forwards Monthly Operating Repts for Aug 1999 & Revised Monthly Operating Rept for Catawba Nuclear Station,Units 1 & 2 ML20212A4131999-09-14014 September 1999 Informs That TR DPC-NE-2009P Submitted in 990817 Affidavit, Marked Proprietary,Will Be Withheld from Public Disclosure, Pursuant to 10CFR2.709(b) & Section 103(b) of Atomic Energy Act of 1954,as Amended ML20212M1931999-09-13013 September 1999 Refers to 990909 Meeting Conducted at Region II Office Re Presentation of Licensee self-assessment of Catawba Nuclear Station Performance.List of Attendees & Licensee Presentation Handout Encl ML20212A3751999-09-10010 September 1999 Informs That Postponing Implementation of New Conditions Improved by RG 1.147,rev 12,acceptable Since Evaluation on Relief Based on Implementation Code Case for Duration of Insp Interval ML20212A5191999-09-0808 September 1999 Requests NRC Approval for Relief from Requirements of ASME Boiler & Pressure Vessel Code,Section XI,1989 Edition,App VI,VI-2430(c) & 2440(b).Approval of 99-GO-002 Is Requested by 000301 05000413/LER-1999-014, Forwards LER 99-014-00, Missed Surveillance & Operation Prohibited by TS Occurred as Result of Defective Procedures or Program & Inappropriate TS Requirements. Planned Corrective Action Stated in Rept Represents Commitment1999-09-0101 September 1999 Forwards LER 99-014-00, Missed Surveillance & Operation Prohibited by TS Occurred as Result of Defective Procedures or Program & Inappropriate TS Requirements. Planned Corrective Action Stated in Rept Represents Commitment 05000414/LER-1999-003, Forwards LER 99-003-01, Unplanned Actuation of ESFAS Due to a SG High Level Caused by Inadequate Procedural Guidance. Suppl Rept Provides Info Re Root Cause & Corrective Actions Associated with Event Developed Subsequent to Rev1999-08-31031 August 1999 Forwards LER 99-003-01, Unplanned Actuation of ESFAS Due to a SG High Level Caused by Inadequate Procedural Guidance. Suppl Rept Provides Info Re Root Cause & Corrective Actions Associated with Event Developed Subsequent to Rev 0 of LER ML20211H1741999-08-30030 August 1999 Forwards Comments on Catawba Nuclear Station Units 1 & 2 & McGuire Nuclear Station,Units 1 & 2 Specific Reactor Vessel Info Contained in Rvid.Ltr Dtd 990107,rept ATI-98-012-T005 & Partial marked-up Rept WCAP-14995 Encl ML20211M4451999-08-30030 August 1999 Forwards Summary of Util Conclusions Re Outstanding Compliance Issue Re Staff Interpretation of TS SR 3.0.1,per Insp Repts 50-369/99-03 & 50-370/99-03,as Discussed with NRC During 990618 Meeting 05000413/LER-1999-013, Forwards LER 99-013-00,re RHR Heat Exchanger Bypass Valves Not Verified Per TS Surveillance.Surveillance Procedures Have Been Revised & There Are No Further Planned Corrective Actions or Commitments in LER1999-08-25025 August 1999 Forwards LER 99-013-00,re RHR Heat Exchanger Bypass Valves Not Verified Per TS Surveillance.Surveillance Procedures Have Been Revised & There Are No Further Planned Corrective Actions or Commitments in LER ML20211M8191999-08-25025 August 1999 Confirms 990825 Telcon Between G Gilbert & R Carroll Re Mgt Meeting to Be Held on 990909 in Atlanta,Ga,To Allow Licensee to Present self-assessment of Catawba Nuclear Station Performance ML20211A9641999-08-20020 August 1999 Forwards SE Authorizing Licensee 990118 Request for Approval of Proposed Relief from Volumetric Exam Requirements of ASME B&PV Code,Section XI for Plant,Units 2 ML20211C1191999-08-18018 August 1999 Forwards ISI Rept Unit 1 Catawba 1999 RFO 11, Providing Results of ISI Effort Associated with End of Cycle 11 ML20211B9471999-08-18018 August 1999 Forwards Request for Relief 99-02,associated with Limited Exam Results for Welds Which Were Inspected During Unit 1 End of Cycle 11 RFO ML20211C3651999-08-17017 August 1999 Forwards Rev 25 to Catawba Nuclear Station Units 1 & 2 Pump & Valve Inservice Testing Program, Which Includes Reformatting of Manual & Addl Changes as Noted in Attached Summary of Changes ML20211F2971999-08-17017 August 1999 Forwards non-proprietary & Proprietary Updated Pages for DPC-NE-2009,submitted 980722.Pages Modify Fuel Design & thermal-hydraulic Analysis Sections of DPC-NE-2009. Proprietary Page 2-4 Withheld,Per 10CFR2.790 05000413/LER-1999-011, Forwards LER 99-011-00,re Missed Surveillance on Both Trains of CR Area Ventilation Sys Resulting in TS Violation.Planned Corrective Actions Stated in LER Represent Regulatory Commitment1999-08-16016 August 1999 Forwards LER 99-011-00,re Missed Surveillance on Both Trains of CR Area Ventilation Sys Resulting in TS Violation.Planned Corrective Actions Stated in LER Represent Regulatory Commitment ML20211B1121999-08-16016 August 1999 Forwards Topical Rept DPC-NE-2012, Dynamic Rod Worth Measurement Using Casmo/Simulate, Describing Results of Six Drwm Benchmark Cycles at Catawba & McGuire & Discusses Qualification to Use Drwm at Catawba & McGuire ML20210V0321999-08-13013 August 1999 Forwards Insp Repts 50-413/99-04 & 50-414/99-04 on 990606- 0717.Six Violations of NRC Requirements Identified & Being Treated as non-cited Violations,Consistent with App C of Enforcement Policy ML20210S2751999-08-12012 August 1999 Forwards Monthly Operating Repts for July 1999 for Catawba Nuclear Station,Units 1 & 2.Revised Rept for June 1999,encl ML20210Q3751999-08-0505 August 1999 Informs That NRC Plans to Administer Gfes of Written Operator Licensing Exam on 991006.Authorized Representative of Facility Must Submit Ltr as Listed,Thirty Days Before Exam Date,In Order to Register Individuals for Exam ML20210N9521999-08-0404 August 1999 Forwards Changes to Catawba Nuclear Station Selected Licensee Commitments Manual.Documents Constitutes Chapter 16 of Ufsar.With List of Effective Pages IR 05000413/19980131999-08-0202 August 1999 Discusses Integrated Insp Repts 50-413/98-13,50-414/98-13, 50-413/98-16,50-414/98-16 & NRC Special Repts 50/413/99-11 & 50-414/99-11 Conducted Between Aug 1998 & May 1999.Six Violations Occurred,Based on OI Investigation & Insp ML20210M6411999-07-29029 July 1999 Forwards Request for Relief 99-03 from Requirements of ASME Boiler & Pressure Vessel Code,In Order to Seek Relief from Performing Individual Valve Testing for Certain Valves in DG Starting Air (Vg) Sys 05000413/LER-1999-010, Forwards LER 99-010-01 Which Replaces LER 99-002.Rept Number Has Been Changed in Order to Conform to Numbering Convention Specified in NUREG-1022,since Primary Event Involved Both Units1999-07-22022 July 1999 Forwards LER 99-010-01 Which Replaces LER 99-002.Rept Number Has Been Changed in Order to Conform to Numbering Convention Specified in NUREG-1022,since Primary Event Involved Both Units IR 05000413/19990101999-07-22022 July 1999 Discusses Insp Rept 50-413/99-10 & 50-414/99-10 on 990314- 0424 & Forwards Notice of Violation Re Failure to Comply with TS 3.7.13,when Misalignment of Two Electrical Breakers Rendered SSS Inoperable from 981216-29 ML20217G5241999-07-20020 July 1999 Forwards Exam Repts 50-413/99-301 & 50-414/99-301 on 990524- 27,0603,07-10 & 16.Of Fourteen SRO & RO Applicants Who Received Written Exams & Operating Tests,Eight Applicants Passed & Six Failed Exam 05000413/LER-1999-009, Forwards LER 99-009-00,re Inoperability of Containment Valve Injection Water Sys Valve in Excess of TS Limits.Root Cause & Corrective Actions Associated with Event Are Being Finalized & Will Be Provided in Supplement to Rept1999-07-19019 July 1999 Forwards LER 99-009-00,re Inoperability of Containment Valve Injection Water Sys Valve in Excess of TS Limits.Root Cause & Corrective Actions Associated with Event Are Being Finalized & Will Be Provided in Supplement to Rept 05000414/LER-1999-001, Forwards LER 99-001-01 Re Unanalyzed Condition Associated with Relay Failure in Auxiliary Feedwater Sys,Due to Inadequate Single Failure Analysis.Rev Is Being Submitted to Include Results of Failure Analysis Which Was Performed1999-07-15015 July 1999 Forwards LER 99-001-01 Re Unanalyzed Condition Associated with Relay Failure in Auxiliary Feedwater Sys,Due to Inadequate Single Failure Analysis.Rev Is Being Submitted to Include Results of Failure Analysis Which Was Performed ML20209H4431999-07-14014 July 1999 Forwards Monthly Operating Repts for June 1999 for Catawba Nuclear Station,Units 1 & 2.Revised Rept for May 1999 on Unit Shutdowns Also Encl ML20210A5771999-07-14014 July 1999 Forwards Revsied Catawba Nuclear Station Selected Licensee Commitments Manual, Per 10CFR50.71(e),changing Sections 16.7-5,16.8-5,16.9-1,16.9-3,16.9-5 & 16.11-7.Manual Constitute Chapter 16 of UFSAR ML20216D3941999-07-14014 July 1999 Forwards Revs to Catawba Nuclear Station Selected Licensee Commitments Manual NUREG-1431, Forwards SER Agreeing with Util General Interpretation of TS LCO 3.0.6,but Finds No Technical Basis or Guidance That Snubbers Could Be Treated as Exception to General Interpretation1999-07-0909 July 1999 Forwards SER Agreeing with Util General Interpretation of TS LCO 3.0.6,but Finds No Technical Basis or Guidance That Snubbers Could Be Treated as Exception to General Interpretation ML20196L0371999-07-0808 July 1999 Approves Requested Schedule Change of Current two-year Requalification Examinations to non-outage dates.Two-year Cycle Will Start on 991001 & Will End on 020930 05000413/LER-1999-008, Forwards LER 99-008-00,re Operation Prohibited by TS 3.5.2. Rev to LER Will Be Submitted by 990812 Which Will Include All Required Info About Ventilation Sys Pressure Boundry Breach1999-07-0808 July 1999 Forwards LER 99-008-00,re Operation Prohibited by TS 3.5.2. Rev to LER Will Be Submitted by 990812 Which Will Include All Required Info About Ventilation Sys Pressure Boundry Breach ML20196J9001999-07-0606 July 1999 Informs That 990520 Submittal of Rept DPC-NE-3004-PA,Rev 1, Mass & Energy Release & Containment Response Methodology, Marked Proprietary Will Be Withheld Per 10CFR2.790(b)(5) & Section 103(b) of AEA of 1954 IR 05000413/19990031999-07-0101 July 1999 Discusses Insp Repts 50-413/99-03 & 50-414/99-03 Completed on 990605 & Transmitted by Ltr .Results of Delibrations for Violation Re Discovery of Potentially More Limiting Single Failure Affecting SGTS Analysis Provided 1999-09-08
[Table view] Category:INCOMING CORRESPONDENCE
MONTHYEARML20217H0041999-10-13013 October 1999 Forwards MOR for Sept 1999 & Revised MOR for Aug 1999 for Catawba Nuclear Station,Units 1 & 2 ML20217F1301999-10-0707 October 1999 Forwards Rev 1 to Request for Relief 99-03 from Requirements of ASME B&PV Code,In Order to Seek Relief from Performing Individual Valve Testing for Certain Valves in DG Starting (Vg) Sys 05000414/LER-1999-004, Forwards LER 99-004-01,providing Correction to Info Previously Provided in Rev 0 of Rept.Planned Corrective Actions Contain Commitments1999-09-27027 September 1999 Forwards LER 99-004-01,providing Correction to Info Previously Provided in Rev 0 of Rept.Planned Corrective Actions Contain Commitments 05000413/LER-1999-015, Forwards LER 99-015-00 Re Inoperability of Auxiliary Bldg Ventilation Sys That Exceeded TS Limits Due to Improperly Positioned Vortex Damper.Commitments Are Contained in Corrective Actions Section of Encl Rept1999-09-27027 September 1999 Forwards LER 99-015-00 Re Inoperability of Auxiliary Bldg Ventilation Sys That Exceeded TS Limits Due to Improperly Positioned Vortex Damper.Commitments Are Contained in Corrective Actions Section of Encl Rept 05000414/LER-1999-005, Forwards LER 99-005-00 Re Missed EDG TS Surveillance Concerning Verification of Availability of Offsite Power Sources Resulted from Defective Procedure.Planned Corrective Actions Stated in Rept Represent Regulatory Commitments1999-09-20020 September 1999 Forwards LER 99-005-00 Re Missed EDG TS Surveillance Concerning Verification of Availability of Offsite Power Sources Resulted from Defective Procedure.Planned Corrective Actions Stated in Rept Represent Regulatory Commitments ML20212D5321999-09-15015 September 1999 Informs That Duke Energy Corp Agrees to Restrict Max Fuel Rod Average Burnup to 60,000 Mwd/Mtu,In Order to Support NRC Final Approval & Issuance of Requested Amend ML20212B4641999-09-14014 September 1999 Forwards Monthly Operating Repts for Aug 1999 & Revised Monthly Operating Rept for Catawba Nuclear Station,Units 1 & 2 ML20212A5191999-09-0808 September 1999 Requests NRC Approval for Relief from Requirements of ASME Boiler & Pressure Vessel Code,Section XI,1989 Edition,App VI,VI-2430(c) & 2440(b).Approval of 99-GO-002 Is Requested by 000301 05000413/LER-1999-014, Forwards LER 99-014-00, Missed Surveillance & Operation Prohibited by TS Occurred as Result of Defective Procedures or Program & Inappropriate TS Requirements. Planned Corrective Action Stated in Rept Represents Commitment1999-09-0101 September 1999 Forwards LER 99-014-00, Missed Surveillance & Operation Prohibited by TS Occurred as Result of Defective Procedures or Program & Inappropriate TS Requirements. Planned Corrective Action Stated in Rept Represents Commitment 05000414/LER-1999-003, Forwards LER 99-003-01, Unplanned Actuation of ESFAS Due to a SG High Level Caused by Inadequate Procedural Guidance. Suppl Rept Provides Info Re Root Cause & Corrective Actions Associated with Event Developed Subsequent to Rev1999-08-31031 August 1999 Forwards LER 99-003-01, Unplanned Actuation of ESFAS Due to a SG High Level Caused by Inadequate Procedural Guidance. Suppl Rept Provides Info Re Root Cause & Corrective Actions Associated with Event Developed Subsequent to Rev 0 of LER ML20211H1741999-08-30030 August 1999 Forwards Comments on Catawba Nuclear Station Units 1 & 2 & McGuire Nuclear Station,Units 1 & 2 Specific Reactor Vessel Info Contained in Rvid.Ltr Dtd 990107,rept ATI-98-012-T005 & Partial marked-up Rept WCAP-14995 Encl ML20211M4451999-08-30030 August 1999 Forwards Summary of Util Conclusions Re Outstanding Compliance Issue Re Staff Interpretation of TS SR 3.0.1,per Insp Repts 50-369/99-03 & 50-370/99-03,as Discussed with NRC During 990618 Meeting 05000413/LER-1999-013, Forwards LER 99-013-00,re RHR Heat Exchanger Bypass Valves Not Verified Per TS Surveillance.Surveillance Procedures Have Been Revised & There Are No Further Planned Corrective Actions or Commitments in LER1999-08-25025 August 1999 Forwards LER 99-013-00,re RHR Heat Exchanger Bypass Valves Not Verified Per TS Surveillance.Surveillance Procedures Have Been Revised & There Are No Further Planned Corrective Actions or Commitments in LER ML20211B9471999-08-18018 August 1999 Forwards Request for Relief 99-02,associated with Limited Exam Results for Welds Which Were Inspected During Unit 1 End of Cycle 11 RFO ML20211C1191999-08-18018 August 1999 Forwards ISI Rept Unit 1 Catawba 1999 RFO 11, Providing Results of ISI Effort Associated with End of Cycle 11 ML20211C3651999-08-17017 August 1999 Forwards Rev 25 to Catawba Nuclear Station Units 1 & 2 Pump & Valve Inservice Testing Program, Which Includes Reformatting of Manual & Addl Changes as Noted in Attached Summary of Changes ML20211F2971999-08-17017 August 1999 Forwards non-proprietary & Proprietary Updated Pages for DPC-NE-2009,submitted 980722.Pages Modify Fuel Design & thermal-hydraulic Analysis Sections of DPC-NE-2009. Proprietary Page 2-4 Withheld,Per 10CFR2.790 05000413/LER-1999-011, Forwards LER 99-011-00,re Missed Surveillance on Both Trains of CR Area Ventilation Sys Resulting in TS Violation.Planned Corrective Actions Stated in LER Represent Regulatory Commitment1999-08-16016 August 1999 Forwards LER 99-011-00,re Missed Surveillance on Both Trains of CR Area Ventilation Sys Resulting in TS Violation.Planned Corrective Actions Stated in LER Represent Regulatory Commitment ML20211B1121999-08-16016 August 1999 Forwards Topical Rept DPC-NE-2012, Dynamic Rod Worth Measurement Using Casmo/Simulate, Describing Results of Six Drwm Benchmark Cycles at Catawba & McGuire & Discusses Qualification to Use Drwm at Catawba & McGuire ML20210S2751999-08-12012 August 1999 Forwards Monthly Operating Repts for July 1999 for Catawba Nuclear Station,Units 1 & 2.Revised Rept for June 1999,encl ML20210N9521999-08-0404 August 1999 Forwards Changes to Catawba Nuclear Station Selected Licensee Commitments Manual.Documents Constitutes Chapter 16 of Ufsar.With List of Effective Pages ML20210M6411999-07-29029 July 1999 Forwards Request for Relief 99-03 from Requirements of ASME Boiler & Pressure Vessel Code,In Order to Seek Relief from Performing Individual Valve Testing for Certain Valves in DG Starting Air (Vg) Sys 05000413/LER-1999-010, Forwards LER 99-010-01 Which Replaces LER 99-002.Rept Number Has Been Changed in Order to Conform to Numbering Convention Specified in NUREG-1022,since Primary Event Involved Both Units1999-07-22022 July 1999 Forwards LER 99-010-01 Which Replaces LER 99-002.Rept Number Has Been Changed in Order to Conform to Numbering Convention Specified in NUREG-1022,since Primary Event Involved Both Units 05000413/LER-1999-009, Forwards LER 99-009-00,re Inoperability of Containment Valve Injection Water Sys Valve in Excess of TS Limits.Root Cause & Corrective Actions Associated with Event Are Being Finalized & Will Be Provided in Supplement to Rept1999-07-19019 July 1999 Forwards LER 99-009-00,re Inoperability of Containment Valve Injection Water Sys Valve in Excess of TS Limits.Root Cause & Corrective Actions Associated with Event Are Being Finalized & Will Be Provided in Supplement to Rept 05000414/LER-1999-001, Forwards LER 99-001-01 Re Unanalyzed Condition Associated with Relay Failure in Auxiliary Feedwater Sys,Due to Inadequate Single Failure Analysis.Rev Is Being Submitted to Include Results of Failure Analysis Which Was Performed1999-07-15015 July 1999 Forwards LER 99-001-01 Re Unanalyzed Condition Associated with Relay Failure in Auxiliary Feedwater Sys,Due to Inadequate Single Failure Analysis.Rev Is Being Submitted to Include Results of Failure Analysis Which Was Performed ML20216D3941999-07-14014 July 1999 Forwards Revs to Catawba Nuclear Station Selected Licensee Commitments Manual ML20209H4431999-07-14014 July 1999 Forwards Monthly Operating Repts for June 1999 for Catawba Nuclear Station,Units 1 & 2.Revised Rept for May 1999 on Unit Shutdowns Also Encl ML20210A5771999-07-14014 July 1999 Forwards Revsied Catawba Nuclear Station Selected Licensee Commitments Manual, Per 10CFR50.71(e),changing Sections 16.7-5,16.8-5,16.9-1,16.9-3,16.9-5 & 16.11-7.Manual Constitute Chapter 16 of UFSAR 05000413/LER-1999-008, Forwards LER 99-008-00,re Operation Prohibited by TS 3.5.2. Rev to LER Will Be Submitted by 990812 Which Will Include All Required Info About Ventilation Sys Pressure Boundry Breach1999-07-0808 July 1999 Forwards LER 99-008-00,re Operation Prohibited by TS 3.5.2. Rev to LER Will Be Submitted by 990812 Which Will Include All Required Info About Ventilation Sys Pressure Boundry Breach ML20196G7461999-06-22022 June 1999 Requests Exemption from Requirements of 10CFR54.17(c) That Application for Renewed Operating License Not Be Submitted to NRC Earlier than 20 Yrs Before Expiration of Operating License Currently in Effect ML20196E9541999-06-18018 June 1999 Forwards SG Tube Insp Conducted During Unit 1 End of Cycle 11 Refueling Outage.Attachments 1,2,3 & 4 Identify Tubes with Imperfections in SGs A,B,C & D,Respectively ML20195K4571999-06-14014 June 1999 Forwards MORs for May 1999 & Revised MORs for Apr 1999 for Catawba Nuclear Station,Units 1 & 2 ML20195J1691999-06-10010 June 1999 Forwards Written Documentation of Background & Technical Info Supporting Catawba Unit 1,notice of Enforcement Discretion Request Re TS 3.5.2 (ECCS-Operating),TS 3.7.12 (Auxiliary Bldg Filtered Ventilation Exhaust Sys) ML20217G5771999-06-0909 June 1999 Forwards Post Exam Comments & Supporting Reference Matls for Written Exams Administered at Catawba Nuclear Station on 990603 05000414/LER-1999-002, Forwards Abstract of LER 99-002-00 Re Forced Shutdown of Plant as Result of Flow Restriction Caused by Corrosion of Afs Assured Suction Source Piping Due to Inadequate Testing. Final LER Will Be Submitted No Later than 9907081999-06-0303 June 1999 Forwards Abstract of LER 99-002-00 Re Forced Shutdown of Plant as Result of Flow Restriction Caused by Corrosion of Afs Assured Suction Source Piping Due to Inadequate Testing. Final LER Will Be Submitted No Later than 990708 ML20207F2381999-06-0101 June 1999 Forwards Copy of Catawba Nuclear Station Units 1 & 2 1998 10CFR50.59 Rept, for NRC Files ML20195J1131999-05-26026 May 1999 Requests Approval to Change Cycle Dates for Two Year Requalification Training Program Required by 10CFR55.59,to Improve Scheduling of Requalification Exams to non-outage Periods 05000413/LER-1999-007, Forwards LER 99-007-00,re Operation Prohibited by TS 3.4.7. Commitments Identified in LER Are Listed in Planned Corrective Actions Section1999-05-26026 May 1999 Forwards LER 99-007-00,re Operation Prohibited by TS 3.4.7. Commitments Identified in LER Are Listed in Planned Corrective Actions Section ML20195B4751999-05-24024 May 1999 Forwards Rev 7 to UFSAR Chapter 2 & Chapter 3 from 1998 UFSAR for Catawba Nuclear Station.List of Instructions on Insertion Encl ML20196L1851999-05-20020 May 1999 Forwards Proprietary & non-proprietary Version of Rev 1 to TR DPC-NE-3004, Mass & Energy Release & Containment Response Methodology, Consisting of Finer Nodalization of Ice Condenser Region.Proprietary Info Withheld ML20196L1791999-05-20020 May 1999 Communicates Util Licensing Position Re Inoperable Snubbers. Licensee Has Determined That Structure of ITS Has Resulted in Certain Confusion Re Treatment of Inoperable Snubbers 05000413/LER-1997-009, Forwards LER 97-009-02, Unanalyzed Postulated Single Failure Affecting SG Tube Rupture Analysis, Suppl Revises Planned C/A Described in Suppl 1 to Ler.Current Status of C/As & Addl C/As Planned,Provided in Rept1999-05-17017 May 1999 Forwards LER 97-009-02, Unanalyzed Postulated Single Failure Affecting SG Tube Rupture Analysis, Suppl Revises Planned C/A Described in Suppl 1 to Ler.Current Status of C/As & Addl C/As Planned,Provided in Rept ML20206T4481999-05-13013 May 1999 Forwards Rev 3 to Topical Rept DPC-NE-3002-A, UFSAR Chapter 15 Sys Transient Analysis Methodology, IAW Guidance Contained in NUREG-0390 ML20206R1721999-05-13013 May 1999 Forwards Monthly Repts for Apr 1999 for Catawba Nuclear Station,Units 1 & 2 & Revised Monthly Operating Repts for Mar 1999 ML20206T0281999-05-12012 May 1999 Forwards Changes to Catawba Nuclear Station Selected Licensee Commitments Manual. Document Constitutes Chapter 16 of UFSAR 05000413/LER-1999-006, Forwards LER 99-006-00,re CR Ventilation Sys Inoperability. Root Cause & Corrective Actions for Occurence Are Being Finalized & Will Be Reported in Supplement Rept on 9906071999-05-10010 May 1999 Forwards LER 99-006-00,re CR Ventilation Sys Inoperability. Root Cause & Corrective Actions for Occurence Are Being Finalized & Will Be Reported in Supplement Rept on 990607 ML20206N8201999-05-10010 May 1999 Forwards Revs 15 & 16 to Catawba Unit 1 Cycle 12 COLR, Per TS 5.6.5.Rev 15 Updates Limits for New Catawba 1 Cycle 12 Reload Core & Rev 16 Revises Values Re Min Boron Concentrations for Rwst,Cla & SFP ML20206J4431999-05-0303 May 1999 Forwards Changes to Catawba Nuclear Station Selected Licensee Commitments Manual, Per 10CFR50.71(e).Document Constitutes Chapter 16 of UFSAR ML20206D2141999-04-29029 April 1999 Forwards 1998 Annual Radioactive Effluent Release Rept for Catawba Nuclear Station,Units 1 & 2, Per Plant TS 5.6.3. Rept Contains Listed Documents ML20206E4101999-04-26026 April 1999 Forwards Four Copies of Rev 9 Todpc Nuclear Security & Contingency Plan,Per 10CFR50.54(p)(2).Changes Do Not Decrease Safeguards Effectiveness of Plan.Encl Withheld,Per 10CFR73.21 1999-09-08
[Table view] Category:UTILITY TO NRC
MONTHYEARML20059L5491990-09-14014 September 1990 Forwards Proprietary Response to Question Re Scope of Review of Topical Rept, Safety Analysis Physics Parameter & Multidimensional Reactor Transients Methodology, Per & 900723 Meeting.Response Withheld ML20059L5521990-09-14014 September 1990 Forwards Response to 18 Questions Re Topical Rept DPC-NE-2004,per NRC 900802 Request for Addl Info.Encl Withheld (Ref 10CFR2.790) ML20059K2021990-09-12012 September 1990 Submits Supplemental Response to Generic Ltr 89-14, Svc Water Sys Problems Affecting Safety-Related Equipment. Intake Structure Insp Program Developed.Procedures for Insp Implemented & Intake Structures Sampled & Analyzed ML20064A8041990-09-0505 September 1990 Notifies NRC of Mod to 890301 Response to Violations Noted in Insp Repts 50-413/86-18-01 & 50-414/86-18-01 Re Valves. All Valve Locking Mechanisms Would Be Installed by End of Unit 2 Refueling Outage (Approx Aug 1990) ML20064A5741990-09-0404 September 1990 Discusses Re Info to Support Util Position Relative to Resolving Issue of Main Steam Line Breaks Inside Ice Condenser Containments & Requests That Info Be Withheld (Ref 10CFR2.790) ML20059G3011990-09-0404 September 1990 Forwards Response to NRC 900327 Request for Addl Info Re BAW-10174, Mark-BW Reload LOCA Analysis for Catawba & Mcguire ML20059G8321990-08-30030 August 1990 Withdraws 880726 Proposed Tech Spec Change,Clarifying Tech Spec 3/4.7.6 Re Emergency Power Requirements for Control Room Ventilation Sys ML20059D2011990-08-27027 August 1990 Forwards Piedmont Municipal Power Agency , Authorizing Use of Annual Rept for NRC Docket Requirements ML20059D2441990-08-24024 August 1990 Forwards Special Rept PIR-1-C90-0261 on 900725 Re Cathodic Protection Sys Failure to Pass Acceptance Criteria of 60-day Surveillance.Std Work Request Generated to Check Voltage Potential at Test Station TS-36 on Weekly Basis ML20056B4981990-08-22022 August 1990 Responds to NRC Request for Addl Info Re General Relief Request for Pump Vibration Submitted 900315.Relief Request Changed to Insure Data Taken Over Range That Encompasses All Main Potential Noise Contributors ML20056B5011990-08-22022 August 1990 Responds to Violation Noted in Insp Repts 50-413/90-17 & 50-414/90-17.Corrective Actions:Review Will Be Conducted to Determine Category of Infrequently Run Procedures Needing Addl Verification Controls ML16259A2391990-08-22022 August 1990 Forwards Public Version of Rev 27 to Company Crisis Mgt Implementing Procedure CMIP-2, News Group Plan. W/ Dh Grimsley 900906 Release Memo ML20056B4971990-08-20020 August 1990 Clarifies Info Submitted in 871207 & s Re Steam Generator Tube Rupture Analysis Demonstration Runs. Demonstration Runs Met plant-specific Requirements in Section D to NRC SER on WCAP-10698 ML20059C1201990-08-20020 August 1990 Forwards Rept Summarizing Util Findings Re Three False Negative Blind Performance Urine Drug Screens Which Occurred During Jan & Feb 1990.Recommends That NRC Consider Generic Communication to Clearly State Reporting Requirement ML20059B6581990-08-17017 August 1990 Responds to Violation Noted in Insp Repts 50-413/90-15 & 50-414/90-15.Corrective Actions:Present Methods of Testing Operability of CO2 Fire Protection Sys Will Be Evaluated by 910201 to Determine If Addl Testing Necessary ML20059C1591990-08-17017 August 1990 Suppls by Providing Addl Info to Support Util Position Re Anl Confirmatory Analysis of Main Steamline Breaks in Ice Condenser Plants.Encl Withheld ML20063Q0951990-08-15015 August 1990 Forwards Monthly Operating Rept for Jul 1990 for Catawba Nuclear Station Units 1 & 2 & Revised Rept for June 1990 ML20059C1231990-08-15015 August 1990 Advises That Util Submitting Special Rept Re Valid Failure of Diesel Generator 2B Would Be Delayed Until 880229 Had Incorrect Ltr Date.Date of Ltr Should Have Been 880204 Instead of 880104.Corrected Ltr Encl ML20063Q2671990-08-14014 August 1990 Forwards Public Version of Revised Crisis Mgt Implementing Procedures,Including Rev 36 to CMIP-1,Rev 32 to CMIP-4,Rev 36 to CMIP-5,Rev 41 to CMIP-6,Rev 40 to CMIP-7,Rev 27 to CMIP-8 & Rev 35 to CMIP-9.W/DH Grimsley 900821 Release Memo ML20059C2211990-08-13013 August 1990 Forwards Revised Chapter 16, Selected Licensee Commitments Manual, to Plant Updated Fsar,Per 10CFR50.4 & 50.71.Manual Contains Commitments Which Require Control But Not Appropriate in Tech Specs ML20063Q0261990-08-10010 August 1990 Forwards Rev 0 to Catawba Unit 2 Cycle 4 Core Operating Limits Rept, Per Tech Spec 6.9.1.9 ML20063Q0671990-08-10010 August 1990 Submits Revised Response to Violations Noted in Insp Rept 50-413/90-09.Procedure to Verify Test Inputs Modified to Verify Dummy Input Signal to Channel RTD Circuit ML20058N0181990-08-0808 August 1990 Forwards Response to Request for Addl Info Re BAW-10174, Mark-BW Reload LOCA Analysis for Catawba & Mcguire ML20081E1601990-08-0101 August 1990 Advises of Completion of 900330 Commitment Re Standing Work Request for Insp of Air Flow Monitors & Dampers,Per Violations Noted in Insp Rept 50-413/90-03 & 50-414/90-03 ML20058P3261990-08-0101 August 1990 Forwards Public Version of Rev 26 to Station Directive 3.8.4, Onsite Emergency Organization ML20081E0951990-07-27027 July 1990 Forwards Decommissioning Financial Assurance Certification Rept for Duke Power Co,co-owner of Catawba Nuclear Station Units 1 & 2 ML20055H9741990-07-26026 July 1990 Forwards end-of-cycle 3 Steam Generator Insp Rept.Nineteen Tubes Removed from Svc by Plugging W/Rolled Mechanical Plug ML20055H5231990-07-24024 July 1990 Discusses co-licensee Relationship & Obligations Re Decommissioning Financial Assurance for Facilities ML20055H4571990-07-19019 July 1990 Responds to NRC Re Violations Noted in Insp Repts 50-413/90-11 & 50-414/90-11.Corrective actions:I-beams/ Hoists Rolled to Ends of Ice Condenser & Securely Located on Rails to Prevent Any Movement ML20055H1741990-07-18018 July 1990 Withdraws 880527 & 0725 Amends Clarifying Requirements for Containment Pressure Control Sys ML20055J3441990-07-17017 July 1990 Advises That Commitment Re Procedure IP/O/A/3190/01,per Violation in Insp Repts 50-413/90-06 & 50-414/90-06, Completed on 900619 ML20055H4131990-07-16016 July 1990 Forwards Public Version of Epips,Including RP/0/A/5000/07 & HP/0/B/1009/04 ML20055F8991990-07-13013 July 1990 Forwards Monthly Repts for June 1990 for Catawba Nuclear Station Units 1 & 2 & Operating Status Rept for May 1990 ML20055G2311990-07-13013 July 1990 Withdraws 880311 Proposed Amend to Tech Spec Table 3.3-3, Item 8.f Re Number of Instrumentation Channels Associated W/ Main Feedwater Pumps.Util Determined That Change Unnecessary ML20055F8461990-07-12012 July 1990 Requests 14-day Extension Until 900802 to Submit LER 414/90-010 to Investigate Power Supply Realignment ML20058P1231990-07-0707 July 1990 Advises That Commitment to Revise Maint Mgt Procedure 1.12 to Include Functional Verification Requirements & to Develop Retest Manual to Address Retest Requirements for Any Maint Performed on Components Completed on 900614 ML20055F4131990-07-0505 July 1990 Forwards Inservice Insp Rept Unit 1 Catawba 1990 Refueling Outage 4, Per 10CFR50.55(a)(q) & Tech Spec 4.0.5.Insp Performed Per Section XI of ASME Boiler & Pressure Vessel Code & Applicable Addenda ML20055D4291990-06-29029 June 1990 Supplemental Response to Violations Noted in Insp Repts 50-413/89-13 & 50-414/89-13,per .Personnel Responsible for Maintaining Crisis Mgt Ctr Drawing Trained. Util Will Continue to Evaluate Changes Made to Program ML20055E2191990-06-29029 June 1990 Submits Revised Commitment Dates Re Implementation of Dept Guidance on post-maint Testing,Per Commitment Made in 891002 Response to Violations in Insp Repts 50-413/89-19 & 50-414/89-19.Completion Date Changed to 900701 ML20044B0621990-06-26026 June 1990 Forwards Public Version of Revised EPIP HP/0/B/1009/05, Personnel/Vehicle Monitoring for Emergency Conditions. W/Dh Grimsley 900716 Release Memo ML20043H6921990-06-18018 June 1990 Advises of Revised Completion Date for VA Ductwork Cleaning to 901231,per Insp Repts 50-413/90-03 & 50-414/90-03. Vendor Personnel Assigned to Task Unavailable to Complete Cleaning Until Late 1990 Due to Outage Support Needs ML20043G1691990-06-15015 June 1990 Forwards Monthly Operating Repts for May 1990 for Catawba Nuclear Station,Units 1 & 2 & Corrected Monthly Operating Repts for Apr 1990 Re Personnel Exposure ML20055C8041990-06-15015 June 1990 Responds to NRC Re Violations Noted in Insp Repts 50-413/90-10 & 50-414/90-10.Corrective Actions:Instrument Root Valves Unisolated & Analog Channel Operational Tests for Low Temp Overpressure Protection Completed ML20043G4331990-06-13013 June 1990 Withdraws 900423 Proposed Amend to Tech Spec 4.6.1.8 Re Lab Test of Carbon Samples from Annulus Ventilation Sys ML20043G3771990-06-13013 June 1990 Withdraws 900423 Proposed Amend to Tech Spec 4.7.7 Which Required That Lab Test of Carbon Samples from Auxiliary Bldg Filtered Exhaust Sys Be Tested for Methyl Iodide Penetration of 0.71% ML20043G2511990-06-12012 June 1990 Withdraws 900419 Suppl to 871221 Application for Amends to Licenses NPF-35 & NPF-32 Re Tech Specs 4.7.6 Re Control Room Area Ventilation Surveillance Requirements ML20043G1741990-06-0707 June 1990 Responds to Request for Addl Info Re BAW-10174, Mark-BW Reload LOCA Analysis for Catawba & Mcguire. Correct RCS Operating Pressure Would Be 2,250 Psia as Identified in Table 3-1 ML20043G3451990-06-0707 June 1990 Forwards Proprietary Response to Request for Addl Info Re Topical Rept BAW-10174, Mark-BW Reload Safety Analysis for Catawba & Mcguire. Response Withheld ML20043G0721990-06-0707 June 1990 Responds to NRC 900510 Ltr Re Violations Noted in Insp Repts 50-413/90-09 & 50-414/90-09.Corrective Actions:Vc/Yc Train a Returned to Svc W/Supply Power from 2ETA.Terminal Box 1TB0X0346 Inspected & Insured Operable ML20043F6111990-06-0606 June 1990 Advises That Response to Request for Addl Info Re Operator Response Times During Simulated Steam Generator Tube Rupture at Facility,Will Be Delayed Until 900630 1990-09-05
[Table view] |
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> . . * . I DUKE POWER Gox1wxy i 15.0. Hox 33189 CIIARLOTTE, N.o. 28f142 1 IIAL B. TUCKER TELEPHONE vmrraremmaT (704) 073-4NH j frtELEAR PROpt'OTION May# 3, 1989 Document Control Desk U. S. Nuclear Regulatory Commission i Washington, D. C. 20555
Subject:
Catawba Nuclear Station, Units 1 and 2 Docket Nos. 50-413 and 50-414 Offsite Dose Calculation Manuti (0DCM)
Attached are responses to the discrepancies documented in your letter dated November 16, 1988. These discrepancies were discovered during a review of the ODCM by EG&G Idaho, Inc. As noted in the attachment, several of the concerns noted by EG&G will be addressed in an upcoming revision to the ODCM.
We expect to issue this revision by September, 1989.
I realize this delay in issuing the ODCM revision could delay the issuance of the Technical Specification amendment I requested June 12, 1987. However, the next revision of the ODCM is contingent upon several procedure changes associated with operation of the Waste Monitor Tank Building. Due to other higher priority work activities, these procedure changes can not be expedited.
Very truly yours, gis - M q;p -
Hal B. Tucker Attachment l
[ PGL/IV/36 l
l cc: Mr. S. D. Ebneter, Regional Administrator U. S. Nuclear Regulatory Commission Region II 101 Marietta Street, NW, Suite 2900 Atlanta, Georgia 30323 l Mr. W. T. Orders l NRC Resident Inspector l Catawba Nuclear Station 030 8905220387 890503 e
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PDR ADOCK 05000413
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I Catawba Nuclear Station Attachment 1 Response to ODCM Comments Page-1 of 12 CONCERN-1:
"The introduction to the ODCM states that LADTAP and GASPAR are normally used for calculation of offsite doses. Therefore, all site specific data required as input to the codes should be included in the ODCM, as recommended by-NUREG-0133."
i RESPONSE-1:
Site-specific data required as input to LADTAP and GASFAR (excluding radionuclides releases which vary from* release period to release period) will be provided in site-specific sections of the ODCM in a future revision. t CONCERN-2:
"The source of the data and the equations used to calculate the values in Table 1.2-2 should be identified in the ODCM."
RESPONSE-2:
The notation "These values were provided on 12/8/82 by M.E. Wangler, RAB:NRR:NRC." will be added to Table 1.2-2 in a future revision to the ODCM.
CONCERN-3:
"The equation of Section 3.1.2.2 and the data in Tables 3.1-13 through 3.1-18 should be made consistent by either adding the adjustment factor E (=0.5) to the equation for the grass-cow-meat pathway or by doubling the values of the Ri's for iodines in the tables."
RESPONSE-3:
An adjustment factor E(=0,5) will be added to the equation for the grass-cow-meat pathway (page 3-6) for iodines in a future ODCM revision.
CONCERN-4:
"The external dose factors for radiciodines in Table 3.1-10 should be doubled, since they were apparently calculated using the adjustment factor E (=0.5),
which is permitted only for food pathways."
Catawba Nuclear Station Attachment 1 Response to ODCM Comments Page 2 of 12 RESPONSE-4:
Although Regulatory Guide 1.109 guidance for calculating external dose from direct exposure to activity deposited on the ground plane does not account for an iodine deposition fraction, treating iodine deposition consistently when calculating ground plane externa) dose and food pathway doses is considered a reasonable and acceptable variation from (if not an interpretation of)
Regulatory Guide 1.109 guidance . This position is supported by NRC sponsored GASPAR calculational methodology, (reference NUREG-0597) which also treats iodine deposition as a physical constant applied consistently in both ground plane and food pathway dose calculations. Duke Power does not propose to change the ODCM Table 3.1-12 Ri-values for iodines since 1) such a change will result in the need for a significant modification of the GASPAR computer code, and 2) assuming iodine deposition fractions for ground plane pathway dose calculations consistent with guidance provided for the food pathways is considered acceptable.
CONCERN-5:
"For accuracy, the statements in Sections 3.1.2, 3.1.2.1, and C4.2.2.1 should be changed to indicate that the doses to be calculated are doses to air and not doses to an individual."
RESPONSE-5:
Sections 3.1.2 and C4.2.2.1 will be changed as suggested. Section 3.1.2.1 does l not reference individual doses and therefore will not be changed.
CONCERN-6:
"The equation in Section C2.2.1 that accounts for simultaneous releases via the WC and WL lines should be expanded to account for simultaneous releases from both the Waste Monitor tanks and the Auxiliary Monitor Tanks."
RESPONSE-6:
l Section C3.1.1 states that situation is not normal and that station procedures have been implemented to insure that instantaneous concentration limits will not be exceeded if releases are simultaneously made from these sources. (rev.
20 dated 7/1/88) l
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Catawba Nuclear Station
- Attachment 1 Response to 0DCM Comments Page 3 of 12 CONCERN-7: ,
"Section C2.2 should specifically require that releases from the Auxiliary Monitor Tank Building be considered when determining offsite dose rates due to gaseous effluents." ,
J RESPONSE-7:
Section C2.2 will be updated in a future revision to include the Auxiliary Monitor Building.
I CONCERN-8:
"Section C2.2 should contain requiremen*s for calculating offsite organ dose rates due to radiciodines, etc., in gaseous effluents at frequencies consistent with the frequency of aralyses required by Technical Specification j Table 4.11-2, as required by Technical Specification 4.11.2.1.2."
i RESPONSE-8:
Section C2.2 contains release rate information. Dose calculations are !
preformed either by.(1) manual use of the generic section, (2) manual use of Section C4.0 ,or (3) the use of the computer code GASPAR. Additionally, when Section 11 of Tech Specs is incorporated within the ODCM this information will be directly addressed.
CONCERN-9:
"The example in Section C3.1.1 of how the setpoints on the waste Liquid Effluent Line may be calculated is unnecessary and could be deleted, since the previous sentence identifies the setpoint. Also, following the example to determine the setpoint may permit too high a concentration of unidentified radionuclides to be released to unrestricted areas; i.e., 1.0E-07 uCi/ml instead of the 3.0E-08 uCi/ml allowed by 10CFR20."
RESPONSE-9:
This information is placed here for clarity purposes and follows the same format that is used extensively throughout the CDCM. The value "1.0E-07" is allowed per footnote 3c of Appendix B of 10CFR20. This footnote states "If it is known that (I 129, Table II only), Ra 226 ,and Ra 228 are not present" Table II, Column 2 provides a value of 1.0E-07.
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1 Catawba Nuclear Station Attachment 1 Response to ODCM Comments Page 4 of 12 CONCERN-10:
"The MPC for an unidentified mixture released to an unrestricted area'used in'N Section C3.1.5 to calculate the setpoint should be 3.0E-08 uC1/ml instead of 1.0E-07 uCi/ml."
RESPONSE-10:
The value "1.0E-07" is allowed per footnote 3c of Appendix B of 10CFR20. This footnote states "If it is known that (I 129, Table II only), Ra 226 ,and Ra 228 are not present" Table II, Column 2 provides a value of 1.0E-07.
CONCERN-11:
" Figure C1.0.1 should show whether the Conventional Waste Water Treatment System Effluent Line and the Liquid Waste Effluent Discharge Line release liquids to the unrestricted area at the same point. This information is necessary to determine if the methodology of Section C3.1.5 ensures that releases are within the limits of 10CFR20."
. RESPONSE-11:
Figure C1.0-1 will be clarified to show that the Conventional Waste Water Treatment System Effluent Line and the Liquid Waste Effluent Discharge Line release effluent liquids to the unrestricted area at different points.
Additionally, with the operation of the Auxiliary Monitor Tank Building, Sections C2.1 and C3.1.5 will be updated to show that the setpoint of the Turbine Building Sump radiation monitor (EHF-31) will be set at 1.0E-06 uCi/ml (the monitor's minimum practical setpoint) plus background to assure that activity is not unknowingly discharged tc the WC system. Should radioactivity q be detected in the Turbine Building Sump, station personnel will determine by l sample analysis what processing, if any, is required (ie. Does Tech Spec 3.11.1.3 require that the effluent be processed prior to release?) References to Section C3.1.5 will be removed from Sections C3.1.3. and C3.1.4. l l
)
These updates will be made in the next revision to the ODCM.
CONCERN-12:
" Methodology should be added to Section C3.1 to ensure that the concentration limit for radionuclides released offsite in liquid effluents is not exceeded when releases from the Turbine Building Sumps Discharge Line are released directly to the Liquid Waste Effluent Discharge Line, as permitted by Section C2.1.2.d."
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Catawba Nuclear Station Attachment 1 Response to ODCM Comments' Page 5 of 12 RESPONSE-12:
With the operation of the new Auxiliary Monitor Tank Building, Section C3.1 will be updat9d to show that the normal discharge path of radioactive TBS l water will be batch released via EMF-53 after having been pumped to an Auxiliary Monitor Tank, recirculated, and sampled.
CONCERN-13:
"Section C3.2 should include instructions for determining the setpoint for the gaseous effluent monitor on the Auxiliary Monitor Tank Building."
RESPONSE-13:
Section C3.2 will be updated to specifically include instructions for determining the setpoint for the gaseous effluent monitor on the Auxiliary Monitor Tank Building. .
CONCERN-14:
"Section C4.1 states that the methodology of the generic section shall be used for calculating dose contributions to the maximum exposed individual and generic Section 3.1.1 states that doses due to liquid effluents will be calculated for each age group. Therefore, site related ingestion dose commitment factors should be added for the teenager, child, and infant age groups."
RESPONSE-14:
Individual site related ingestion dose commitment factors can be hand-calculated from the information contained within the ODCM. However, to reduce this burdensome task, data for the teenager, child, and infant will be added to Table C4.0-3.
CONCERN-15:
"Section C4.1 or 3.0 should include a commitment to assign releases of radioactive material and the resultant doses to the individual reactor units, especially for cases of disproportionate release from the two units."
Catawba Nuclear Station Attachment 1 Response to OGCM Comments Page 6 of 12 RESPONSE-15:
Section 3.1 of NUREG-0133 states that "The licensee should estimate the contributions from each unit based on input conditions, e.g., flow rates and -
radioactivity concentrations, or, if not practicable, the treated effluent releases may be allocated equally to each of the radioactive waste producing reactors sharing the treatment system".
CONCERN-16:
"The Licensee should clarify whether Section C4.2 is intended to apply to all dose calculations or only to the calculations described in Section C4.3. If the assumptions of Section C4.2 are intended to apply to calculations required by Section C4.1, there are apparent conflicts with the generic sections of the ODCM."
RESPONSE-16:
Clarification of this point was added in Revision 24 dated 1/1/89.
CONCERN-17:
"In Section C4.3.1, the value of 37.7 for the dilution factor, DW, should be justified or referenced."
RESPONSE-17:
A reference to a letter written by W. J. McCabe determining this value will be provided.
CONCERN-18:
" Methodology should be added to Sections C4.3.1 and C4.3.2 for projecting doses, including provisions to account for anticipated unusual releases."
RESPONSE-18:
Clarification and additional guidance was added to DDCM in Revision 24 dated 1/1/89.
Catawba Nuclear Station Attachment 1 Response to ODCM Comments Page 7 of 12 CONCERN-19:
"Section C4.4 should require that the fuel cycle dose (total dose) be calculated using the methodology of Sections 3.1.1 and 3.1.2."
RESPONSE-19:
Section C4.4 is provided as simplified dose estimate based on Section 3.3.1 and/or Section 3.1.2. and the previous years operational source term data. As stated on page lii of the ODCM. the computer programs LADTAP and GASPAR will normally be used to calculate the Fuel Cycle doses.
CONCERN-20:
" Equations and parameters used to calculate values in the site-specific data tables should either be referenced or given in the ODCM."
RESPONSE-20:
Data Table C4.0-) (page 1 of 1) is referenced on page 2 of 2 (see Revision 13 dated 1/1/87).
Data Table C4.0-2 (page 1 of 1) is referenced on page 2 of 2 (see Revision 13 dated 1/1/87).
Data Table C4.0-3 has a footnote " Methodology for table provided by: M. E.
Wangler, RAB:NRR:NRC on 3/17/83" (Revision 4 dated 7/18/84).
CONCERN-21:
"Section C5.0 of the ODCM should include information concerning any radiological environmental monitoring samples required by the Technical Specification 3.12.1 (that) are not available; e.g., milk samples."
RESPONSE-21:
Section 12 of Tech Specs is to be incorporated within the ODCM and this information can be added at that time.
l CONCERN 22:
"The inhalation and ingestion dose factors in ODCM Tables 3.1-2 through 3.1-7 should be corrected to agree with the values from Regulatory Guide 1.109."
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i Catawba Nuclear Station Attachment 1 Response to ODCM Comments Page 8 of 12 RESPONSE-22:
Typographical errors found in Tables 3.1-2 through 3.1-7 will be corrected to ,
agree with the values from Regulatory Guide 1.109." l CONCERN 23:
"The value of the stable element transfer parameter in Table 3.1-11 for Te in cow milk should be 1.0E-03 d/L and the parameter for Fe in goat milk should be 1.3E-04 d/L."
RESPONSE-23:
Table 3.1-11 contains typographical errors and will be corrected.
CONCERN-24:
"In Table 3.1-1, the bioaccumulation factor for Na in fish should be corrected to 1.0E+02, and the bioaccumulation factors for P (for which the "best values" are now 3000 for fish and 6000 for invertebrates) should be added."
RESPONSE-24:
Table 3.1-1 contains a typographical error for sodium and will be corrected 1.1 a future revision to the ODCM. P-32 sampling requirements were deleted from Catawba's Technical Specifications several years ago and subsequently P-32 data was removed from the ODCM.
CONCERN-25:
" Ingestion dose factors for P-32 should be added to Tables 3.1-2 through 3.1-5."
RESPONSE-25:
P-32 sampling requirements were deleted from Catawba's Technical Specifications several years ago and subsequently P-32 data was removed from the ODCM.
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Catawba Nuclear Station Attachment 1 Response to ODCM Comments Page 9 of 12 CONCERN-26:
" Data for Mo-99 should be added to Tables 3.1-1 through 3.1-9 (inhalation dose factors) and Tables 3.1-12 through 3.1-30 (Ri-values) should be added to the ODCM, since Mo-99 is one of the principle gamma emitters identified in the ODCM for which the LLD is specified."
RESPONSE-26:
s Data for Mo-99 will be added to Tables 3.1-1 through 3.1-9 (inhalation dose factors) and Tables 3.1-12 through 3.1-30 (Ri values) of the ODCM in a future revision.
CONCERN-27:
"The Licensee should re check the calculations of Ri values in Tables 3.1-16 through 3.1-26 by verifying the input parameters and the equations. The reviewer's values differed from the values in these tables for all radionuclides except H-3."
RESPONSE-27:
Ri values in Tables 3.1.-16 through 3.1-26 were generated using the GASPAR computer program. The GASPAR code implements the radiological impact models of NRC Regulatory Guide 1.109, Revision 1, for atmospheric releases. The input parameters used in the Ri/GASPAR calculations have been reviewed and no discrepancies with respect to NUREG-0133 or Regulatory Guide 1.109 were found.
One exception is that a discrepancy in the milk pathway stable element transfer coefficient was identified between Regulatory Guide 1.109 and the GASPAR-data library (1.0E-04 vs. 6.0E-04 respectively). This discrepancy will be resolved by modifying the GASPAR data library and revising affected ODCM Ri values-accordingly. Additionally, an independent computer code is currently being developed to further investigate the other Ri value discrepancies identified by this comment.
CONCERN-28:
"The Licensee may wish to take advantage of the 1000 cfs per reactor dilution flow permitted by Section 4.3 of NUREG-0133 for reactors with closed-cycle cooling systems. Using this value would require increasing the value of the recirculation factor and probably reducing the value of DW for drinking water, but should result in a lower and more realistic calculated dose than the present calculational method. As another alternative, the NRC Staff allows the dose for a reporting period (calendar quarter or calendar year) to be calculated using the average dilution flow for the reporting period. If this method is chosen for the dose calculations, the total dilution flow for the reporting period should be included in the semi-annual report."
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Catawba Nuclear Station Attachment 1 Response to ODCM Comments' Page 10 of 12 RESPONSE-28:
Duke Power Company uses the alternative method and per Regulatory Guide 1.21 guidance, the total dilution flow for the reporting period has been included in all semi-annual effluent release reports.
i CONCERN-29:
"Although the use of the actual dilution flow (F) averaged over the reporting period is acceptable for the calculations of doses due to liquid effluents in Section 3.1.1, the Licensee may wish to take advantage of the 1000 cis per reactor permitted by Section 4.3 of NUREG-0133 for reactors with closed-cycle cooling systems. Using this value would require increasing the value of the recirculation factor and probably reducing the value of DW for drinking water, i but should result in a lower and more realistic calculated dose than the present calculational method."
RESPONSE-29:
Please see Response-28.
CONCERN 30:
"The Licensee may wish to include requirements in the ODCM that the setpoints of radiation monitors on the liquid and gaseous effluent pathways be set to alarm before offsite dose rate limits are exceeded."
RESPONSE-30:
Duke Power Company already incorporates this precaution in various radiation monitor setpoint determination procedures and does not feel that duplication of information is warranted.
CONCERN 31:
"To prevent spurious alarms of tha radiation monitor on the Waste Liquid Effluent Line the Licensee may wish to add a requirement to Section C3.1.1 that the radiation monitor be set some fraction above the concentration in the line, and to add a requirement to Section C2.1.1 that the flow rate be set an equal fraction lower than is now required."
Catawba Nuclear Station Attachment 1 Response to ODCM Comments .Page 11 of 12 RESPONSE-31:
Please see Response 30.
CONCERN-32:
"The Licensee may wish to follow the recommendations of the bases statements-in the CNS Technical Specifications and in NUREG-0472 and eliminate the calculations for McGuire from the fuel cycle calculations."
RESPONSE-32:
Because McGuire Nuclear Station is upstream of Catawba Nuclear Station s %
subsequently contributed 4.0% of the maximum total body dose and 21.9% of the maximum organ dose to the liquid portion of Catawba's 1988 Fuel Cycle Calculations, Duke Power does not feel that McGuire's contribution can be ignored.
CONCERN-33:
"In Section 3.1.2.2 the Licensee may wish to increase the value of t ,
(transporttimefrompasturetoreceptor)forthegrass-cow-meatpatbwayto the 20 days recommended by Regulatory Guide 1.109."
RESPONSE-33:
The value of tg will be changed to 20.
1 CONCERN-34:
"The Licensee may wish to modify the requirements in Section 1.2 and C2.2 to t match the recomme.ndations in the bases statement for Technical Specification 3.11.2.1.b for CNS and in NUREG-0472: 1.e., that the organ dose rate limit .
may be applied to the thyroid of a child via the inhalation pathway." !
RESPONSE-34:
This concern was addressed in Revision 24 dated 1/1/89.
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Catawba Nuclear Station Attachment 1 Response to ODCM Comments Page 12 of 12 CONCERN-35:
'"The terms " activity" and " gross activity are used throughout the ODCM where
" concentration" or " activity concentration" should be used. Changes in this notation would improve the accuracy of many statements in the ODCM."
RESPONSE-35:
These terms will be changed in the next revision of the ODCN.
CONCERN-36:
"The value of F in the definition of F1 in Section 3.1.1 could be defined as the average dilution flow during the reporting period, calendar quarter or calendar year, when calculating the quarterly and annual doses due to liquid effluents; this procedure for calculating the quarterly and annual doses is acceptable to the NRC Staff, if tile total volume released in the diluting stream is also reported in the semiannual reports."
RESPONSE-36:
The Semi-Annual Report includes the total volume released in the diluting stream.
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