U-600375, Responds to NRC Re Unresolved Item Noted in Insp Rept 50-461/85-48.Corrective actions:PTP-SC-01 Revised to Include 10CFR50.62(c)(4) Requirements & Will Be Performed Prior to Fuel Load

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Responds to NRC Re Unresolved Item Noted in Insp Rept 50-461/85-48.Corrective actions:PTP-SC-01 Revised to Include 10CFR50.62(c)(4) Requirements & Will Be Performed Prior to Fuel Load
ML20140C037
Person / Time
Site: Clinton Constellation icon.png
Issue date: 12/20/1985
From: Spangenberg F
ILLINOIS POWER CO.
To: James Keppler
NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION III)
Shared Package
ML20140C040 List:
References
U-600375, NUDOCS 8601270213
Download: ML20140C037 (2)


Text

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U- 600375 L42-85 (12-20 )-L 1A.120 ILLINOIS POWER COMPANY ,

CLINTON POWER STATION. P.o. tox 678. CLINTON, ILLINOIS 61727 Mr. J. G. Keppler December 20, 1985 Regional Administrator Region III U. S. Nuclear Regulatory Commission 799 Roosevelt Road Glen Ellyn, Illinois 60137 Subj ect: Response to Unresolved Item 461/85048-02, dated November 4, 1985, in I&E Inspection Report 50-461/85048

Dear Mr. Keppler:

This letter is in response to the November 4, 1985, letter requesting a detailed explanation of our program which ensures implementation of new requirements such as those in 10CFR50.62.

While reviewing Preoperational Test PTP-SC-01 the inspector noted that PTP-SC-01 did not demonstrate compliance with two requirements of 10CFR50.62 (c)(4), and that all preoperational testing required by PTP-SC-01 had been completed. PTP-SC-01 has been revised to include the 10CFR50.62 (c) (4) requirements, and will be performed prior to fuel load. Unresolved I&E Item 85-48-02 was initiated to require Illinois Power to demonstrate that the 10CFR50.62 and other similar requirements would be identified and that any required additional testing would be performed.

Changes to title 10 of the CFR which affect CPS Technical Specifications would be incorporated into the CPS Technical Specifications by amendment. These changes would, in turn, be identified when comparing the Technical Specification to the Surveillance Test, to ensure all requir-d testing is identified. The Surveillance Test will then be revised accordingly. This will ensure that all testing required as a result of regulatory changes is identified and performed.

In the event that Illinois Power decides to take credit for the Preoperational Test in lieu of the initial Surveillance Test, a procedure delineating the requirements, including verifying that all Technical Specification requirements are met, will be established.

I trust that our response is satisfactory to permit closure of the associated unresolved item.

Sincerely yours, 8601270213 851220 M e " l PDR ADOCK 05000461 (/ I O PDR F. A. Spangenberg Manager - Licensing I and Safety l l

DLC/ckc l

DEC 2 4 885 Rc/ ,

Oo

. U- 600375 L42-85 (12-20 )_L 1A.120 t

cc: B. L. Siegel, NRC Clinton Licensing Project Manager Director, Office of I&E, Washington, DC 20555 NRC Resident Office Illinois Department of Nuclear Safety 7

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