Letter Sequence Meeting |
---|
|
Administration
- Meeting, Meeting, Meeting, Meeting, Meeting, Meeting, Meeting, Meeting, Meeting, Meeting, Meeting, Meeting, Meeting, Meeting, Meeting, Meeting, Meeting, Meeting, Meeting, Meeting
|
MONTHYEARML20160A0532020-06-0808 June 2020 Digital Modernization Project LAR - Presubmittal Meeting - NRC Presubmittal Meeting Telecon June 12, 2020 Project stage: Meeting ML20162A0192020-06-10010 June 2020 NRC Staff Presentation for June 12, 2020, Public Pre-Application Meeting: ISG-06 Alternate Review Process Lessons Learned from Pre-Application Meetings Project stage: Meeting ML20175A2402020-06-30030 June 2020 Summary of June 12, 2020, Public Telephone Conference with Exelon Generation Company, LLC Regarding Planned Digital Modernization License Amendment Request Project stage: Other ML21063A1192021-03-0404 March 2021 Digital Modernization Project LAR Pre-submittal Meeting - March 16, 2021 (EPID L-2020-LRM-0041) (Slides) Project stage: Meeting ML21133A1342021-04-29029 April 2021 0 to Updated Final Safety Analysis Report, Chapter 15, Sections 15.0 Through 15.5 Project stage: Request ML21123A1362021-05-13013 May 2021 Summary of March 16, 2021, Public Webinar with Exelon Generation Company, LLC Regarding Planned Digital Modernization License Amendment Request Project stage: Other ML21174A0852021-06-23023 June 2021 Digital Modernization Project LAR Pre-submittal Meeting Project stage: Meeting PMNS20210655, Pre-Submittal Meeting with Exelon Generation Company, LLC Regarding Planned Digital Modernization License Amendment Request for Limerick Generating Station, Units 1 and 22021-06-25025 June 2021 Pre-Submittal Meeting with Exelon Generation Company, LLC Regarding Planned Digital Modernization License Amendment Request for Limerick Generating Station, Units 1 and 2 Project stage: Meeting ML21175A1732021-06-29029 June 2021 Digital Modernization Project LAR Pre-submittal Meeting Project stage: Meeting ML21286A0302021-10-13013 October 2021 Staff'S Questions Pertaining to Limerick Generating Station Digital Modernization Project LAR Pre-submittal Meeting Slides October 20, 2021 Project stage: Meeting PMNS20211169, Pre-Submittal Meeting with Exelon Generating Company, LLC Regarding Planned Digital Modernization License Amendment Request for Limerick Generating Station, Units 1 and 22021-10-16016 October 2021 Pre-Submittal Meeting with Exelon Generating Company, LLC Regarding Planned Digital Modernization License Amendment Request for Limerick Generating Station, Units 1 and 2 Project stage: Meeting ML21278A5452021-10-20020 October 2021 Digital Modernization Project LAR Pre-submittal Meeting Presentation Slides October 20, 2021 Project stage: Meeting ML21300A2772021-11-0909 November 2021 Summary of October 20, 2021, Pre-Submittal Public Teams Meeting with Exelon Generation Company, LLC Regarding Planned Digital Modernization License Amendment Request Project stage: Meeting ML21301A1612021-11-15015 November 2021 Summary of June 29, 2021, Public Meeting with Exelon Generation Company, LLC Regarding Planned Digital Modernization License Amendment Request for Limerick Generating Station, Units 1 and 2 Project stage: Meeting PMNS20211501, Pre-Submittal Meeting with Exelon Generating Company, LLC Regarding Planned Digital Modernization License Amendment Request for Limerick Generating Station, Units 1 and 22021-11-26026 November 2021 Pre-Submittal Meeting with Exelon Generating Company, LLC Regarding Planned Digital Modernization License Amendment Request for Limerick Generating Station, Units 1 and 2 Project stage: Meeting ML21335A0772021-12-0707 December 2021 Dec 07 2021 LGS Digital Modernization Pre-submittal Meeting Slides Project stage: Request ML22005A1812022-01-0505 January 2022 NRR E-mail Capture - Staff'S Questions Pertaining to Limerick Generating Station Digital Modernization Project LAR Pre-submittal Meeting Slides December 7, 2021 Project stage: Meeting PMNS20211500, Pre-Submittal Meeting with Exelon Generating Company, LLC Regarding Planned Digital Modernization License Amendment Request for Limerick Generating Station, Units 1 and 22022-01-10010 January 2022 Pre-Submittal Meeting with Exelon Generating Company, LLC Regarding Planned Digital Modernization License Amendment Request for Limerick Generating Station, Units 1 and 2 Project stage: Meeting ML22021B2942022-02-0202 February 2022 Summary of December 7, 2021, Public Meeting with Exelon Generation Company, LLC Regarding Planned Digital Modernization License Amendment Project stage: Meeting ML22038A0992022-02-23023 February 2022 Summary of January 11, 2022, Public Meeting with Exelon Generation Company, LLC Regarding Planned Digital Modernization License Amendment Request Project stage: Meeting ML22080A1992022-03-18018 March 2022 Affidavit for Proprietary Presentation for March 31, 2022 Pre-Submittal Meeting with Constellation Energy Generation, LLC Regarding Planned Digital Modernization License Amendment Request for Limerick Generating Station, Units 1 and 2 Project stage: Meeting ML22089A1162022-03-28028 March 2022 Comments and Questions on Constellation'S March 31st Presentation Project stage: Other ML22089A1172022-03-30030 March 2022 Additional Comments and Questions on Constellation'S March 31st Presentation Project stage: Other ML22124A2862022-05-0404 May 2022 Information Needed to Provide Substantive Feedback on Human Factors Engineering Supporting the Planned Limerick Digital I&C License Amendment Request Project stage: Other ML22153A3602022-06-0909 June 2022 Constellation'S Presentation for June 9, 2022 Public Meeting About Limerick Generating Station Digital Modernization Project Project stage: Meeting ML22172A0752022-06-17017 June 2022 Response: Review and Feedback on Draft Limerick Digital License Amendment Request (L-2020-LRM-0041) Project stage: Draft Other ML22249A2202022-09-0606 September 2022 Constellation'S Non-Proprietary Presentation for Limerick Generating Station Digital Modernization Project LAR Pre-submittal Meeting September 8, 2022 Project stage: Meeting ML22250A4372022-09-0808 September 2022 NRC Staff'S Presentation for September 8, 2022 Partially Closed Public Meeting with Constellation - Review Planning and Tentative Review Timeline Project stage: Meeting 2021-06-23
[Table View] |
|
---|
Category:E-Mail
MONTHYEARML24250A1062024-09-0606 September 2024 NRR E-mail Capture - Final RAI - Constellation Energy Generation, LLC - Fleet Request - Proposed Alternative to Utilize Code Case OMN-32 (L-2024-LLR-0030) ML24234A2772024-08-21021 August 2024 NRR E-mail Capture - Final RAI - Constellation Energy, LLC - Fleet Request - Proposed Alternative Concerning Extension of Permanent Relief from Ultrasonic Examination of Reactor Pressure Vessel Circumferential Shell Welds (L-2024-LLR-0031) ML24199A1842024-07-15015 July 2024 RAI-LAR for Limerick EPID: L-2024-LLA-0079- Use This Version ML24197A0162024-07-12012 July 2024 NRR E-mail Capture - Final RAI - Constellation Energy Generation, LLC - Fleet Request - License Amendment Request to Adopt TSTF-591 ML24176A1292024-06-20020 June 2024 Estimated Completion Schedule Change Email ML24156A0082024-05-31031 May 2024 NRR E-mail Capture - Constellation Energy, LLC - Fleet Request - Acceptance of Proposed Alternative Concerning Extension of Permanent Relief from Ultrasonic Examination of Reactor Pressure Vessel Circumferential Shell Welds (L-2024-LLR-0031 ML24131A0612024-05-10010 May 2024 NRR E-mail Capture - Constellation Energy Generation, LLC - Fleet Request - Acceptance of Proposed Alternative to Utilize Code Case OMN-32 (L-2024-LLR-0030) ML24107A9192024-05-0808 May 2024 Email to Christian Williams Re Decision on the Limerick Exemption ML24107A9202024-05-0303 May 2024 Email to Christian Williams Re Availability of Environmental Assessment for the Limerick Exemption ML24122C6742024-05-0101 May 2024 Response to a Request from NRC Review of a Draft EA for an Exemption for the Limerick Generating Station ML24122B5072024-05-0101 May 2024 NRR E-mail Capture - Constellation Energy Generation, LLC - Fleet Request - Acceptance of License Amendment Request to Adopt TSTF-591, Revision 0 ML24122C6702024-04-29029 April 2024 Request from NRC Review of a Draft EA for an Exemption for the Limerick Generating Station ML24051A0652024-02-16016 February 2024 Digital I&C LAR RAIs Re HFE (Email) ML24026A2922024-01-26026 January 2024 – Request for Additional Information Regarding Limerick Digital Instrumentation and Controls License Amendment Request ML23331A0062023-11-22022 November 2023 (External Sender) Supplement - Limerick Security Rule Exemption Request ISFSI Docket No. Reference ML23311A2412023-11-0707 November 2023 NRR E-mail Capture - NRC Notification to the Commonwealth of Pennsylvania Re. Limerick Generating Station, Units 1 and 2 Amendment - Control Room Ventilation System Technical Specifications ML23304A0192023-10-30030 October 2023 NRR E-mail Capture - Final RCI - Constellation Energy Generation, LLC - Limerick 1 & 2 - Exemption from Security Rule (L-2023-LLE-0026) ML23276B4642023-10-0303 October 2023 NRR E-mail Capture - NRC Request for Additional Information Limerick TSTF-477 LAR ML23255A2872023-09-12012 September 2023 NRR E-mail Capture - Constellation Energy Generation, LLC - Fleet Request - Acceptance of Alternative to Use the Successive Inspection Requirements of BWRVIP-75-A ML23248A1282023-09-0101 September 2023 NRR E-mail Capture - Action: Opportunity to Review and Comment on a New NRC Information Collection, 10 CFR Part 50.55a, Codes and Standards (3150-XXXX) ML23237B3972023-08-24024 August 2023 NRR E-mail Capture - Constellation Energy Generation, LLC - Fleet Request - Acceptance of Alternative Request to Use Updated BWRVIP Guidelines ML23208A1942023-07-27027 July 2023 NRR E-mail Capture - Limerick Generating Station - Audit Plan for TSTF-477 LAR Review (L-2022-LLA-0174) ML23202A0682023-07-21021 July 2023 NRR E-mail Capture - NRC Request for Additional Information Re. TSTF-477 LAR ML23201A1262023-07-18018 July 2023 Additional RAIs for Limerick Generation Station, Units 1 and 2 - LAR and Exemption Request for Digital I&C Installation Support ML23173A0632023-06-20020 June 2023 RAIs for Limerick Generation Station, Units 1 and 2 - LAR and Exemption Request for Digital I&C Installation Support ML23102A1642023-04-12012 April 2023 Generation Station, Unit No. 2 Potential Emergent Relief Request for HPCI IST (EPID L-2023-LLR-0015) - Closure E-mail Dated 4/12/2023 ML23125A0522023-03-31031 March 2023 NRR E-mail Capture - Clean OL Pages for 50.69 LAR ML23089A1602023-03-30030 March 2023 NRR E-mail Capture - NRC Notification to the Commonwealth of Pennsylvania Re. Limerick Generating Station, Units 1 and 2 Amendment - Alternative 10 CFR 50.69 Categorization Approaches ML23086B9282023-03-27027 March 2023 Acceptance of Requested Licensing Action for License Amendment Request to Support Digital Modernization Project Installation ML23086A0822023-03-27027 March 2023 Acceptance of Requested Licensing Action for Exemption Request to Support Digital Modernization Project Installation ML22354A2622022-12-20020 December 2022 NRR E-mail Capture - Constellation Energy Generation, LLC - Fleet Request - Acceptance of Request to Use Certain Provisions of the 2019 Edition of the ASME BPV Code, Section XI ML23060A1662022-12-20020 December 2022 Acceptance Review: Adopt TSTF-477, Revision 3-Acceptance Letter ML22200A0782022-07-19019 July 2022 NRR E-mail Capture - Constellation Energy Generation, LLC - Fleet Request to Use Honeywell Mururoa V4F1 R Supplied Air Suits ML22172A0752022-06-17017 June 2022 Response: Review and Feedback on Draft Limerick Digital License Amendment Request (L-2020-LRM-0041) ML22136A0032022-05-13013 May 2022 NRR E-mail Capture - NRC Request for Additional Information - Limerick License Amendment Request (L-2021-LLA-0042) ML22124A2862022-05-0404 May 2022 Information Needed to Provide Substantive Feedback on Human Factors Engineering Supporting the Planned Limerick Digital I&C License Amendment Request ML22089A1172022-03-30030 March 2022 Additional Comments and Questions on Constellation'S March 31st Presentation ML22089A1162022-03-28028 March 2022 Comments and Questions on Constellation'S March 31st Presentation ML22112A2152022-03-28028 March 2022 Limerick_Acceptance Review TS Change to Correct Nonconservative Technical Specification Table 3.3.3-1 ML22041B5362022-02-10010 February 2022 NRR E-mail Capture - Constellation Energy Generation, LLC - Request for Additional Information Regarding Fleet License Amendment Request to Adopt TSTF-541 ML22034A0142022-02-0202 February 2022 NRR E-mail Capture - Audit Plan Supplement for LIM 50.69 LAR (L-2021-LLA-0042) ML22028A1832022-01-24024 January 2022 NRR E-mail Capture - Audit Plan Supplement for LIM 50.69 LAR (L-2021-LLA-0042) ML22020A0642022-01-13013 January 2022 NRR E-mail Capture - Exelon Generation Company, LLC - Request for Additional Information Regarding Proposed Fleet Alternative for Repair of Water Level Instrumentation Partial Penetration Nozzles ML22005A1812022-01-0505 January 2022 NRR E-mail Capture - Staff'S Questions Pertaining to Limerick Generating Station Digital Modernization Project LAR Pre-submittal Meeting Slides December 7, 2021 ML21301A0672021-10-28028 October 2021 NRR E-mail Capture - Exelon Generation Company, LLC - Acceptance of License Amendment Request to Adopt TSTF-541 ML21295A0362021-10-20020 October 2021 NRR E-mail Capture - Supplement to Limerick 50.69 Audit Plan Dated October 1, 2021 (L-2021-LLA-0042) ML21286A0302021-10-13013 October 2021 Staff'S Questions Pertaining to Limerick Generating Station Digital Modernization Project LAR Pre-submittal Meeting Slides October 20, 2021 ML21256A1902021-09-10010 September 2021 NRR E-mail Capture - Exelon Generation Company, LLC - Request for Additional Information Regarding License Transfer Application ML21252A0482021-09-0707 September 2021 NRR E-mail Capture - Exelon Generation Company, LLC - Fleet Alternative Request for Repair of Water Level Instrumentation Partial Penetration Nozzles ML21215A3502021-08-0303 August 2021 NRR E-mail Capture - Exelon Generation Company, LLC - Acceptance of License Amendment Request to Adopt TSTF-554 2024-09-06
[Table view] |
Text
From: Jain, Bhagwat To: "Mascitelli, Francis J:(Exelon Nuclear)"
Cc: Pareez Golub; Marshall, Michael
Subject:
Limerick Digital Modernization Pre-Submittal Meeting October 20, 2021-Staff"s Questions Date: Wednesday, October 13, 2021 7:13:35 AM Frank Mascitelli Senior Licensing Engineer Exelon Nuclear Licensing and Regulatory Affairs 200 Exelon Way Kennett Square, PA, 19348 Hello Frank, In order to develop a better understanding and clarity of the regulatory issues associated with the planned digital instrumentation and controls (I&C) license amendment request, the U.S. Nuclear Regulatory Commission (NRC) staff has identified the following questions and request the licensee to address these issues in more details and provide clarity during the October 20, 2021 partially closed public meeting with Exelon Generating Company, LLC (Exelon, the licensee). The notice and agenda for the meeting are available in the Agencywide Documents Access and Management System (ADAMS) at Accession No. ML21256A195.
Consolidation of Systems to a New Plant Protection System The reactor protection system, emergency core cooling system (ECCS), and nuclear steam supply shutoff system are generally independent systems with sufficient defense-in-depth to assure appropriate protection against accident events in Chapter 15 of the Limerick Updated Final Safety Analysis Report (UFSAR) (ADAMS Accession No. ML21133A134).
The systems are being combined into a plant protection system (PPS) based on a single digital platform technology, with perhaps new physical separation changes (e.g., cabinet configurations) and increased use of shared equipment. The staff would like to understand how this new configuration would change the current independence and defense-in-depth and diversity associated with the current safety systems and licensing basis for Limerick.
According to General Design Criteria (GDC) 21 of Title 10 of the Code of Federal Regulations (10 CFR), Part 50, Appendix A, the protection system shall be designed for a high functional reliability commensurate with the safety functions to be performed.
According to GDC 22 of 10 CFR 50, Appendix A, design techniques, such as functional diversity or diversity in component design and principles of operation, shall be used to the extent practical to prevent loss of the protection function. According to GDC 23 of 10 CFR 50, Appendix A, the failure or removal of any single protection system component or channel which is common to the control and protection systems leaves intact a system satisfying all reliability, redundancy, and independence requirements of the protection system. The staff in part is focused on how independence is being preserved among three of the four levels (echelons) of defense:
Normal plant and reactivity system controls - not part of the plant modification, and not part of the new safety platform (but part of the new Ovation architecture)
Reactor trip function - part of the same safety platform as the engineered safety
feature actuation system (ESFAS) functions and some manual emergency operating controls and indications ESFAS functions - part of the same safety platform as reactor trip function and some manual emergency operating controls and indications Manual emergency controls and indications - part of the same safety platform as reactor trip and ESFAS functions At a recent pre-submittal meeting it was also shown that manual initiation functions rely on confirmatory controls that pass through the safety platform. This may not be consistent with previous revisions of the Branch Technical Position 7-19 and Position 3 of SRM/SECY 93-087.
- 1. Describe how the proposed PPS design has sufficient overall independence, reliability, and defense-in-depth to facilitate all needed design-basis functions required to be available (or to support guidance for addressing any severe accident/beyond design-basis functions), as appropriate. Describe how applicable GDCs and IEEE-279/603 criteria would continue to be achieved.
- 2. How would a common cause failure occurring within the power supply/inverter systems feeding the plant protection system cabinets affect the ability to perform all reactor trip, ECCS, containment isolation, or post-accident monitoring functions, when needed to address normal operating conditions, postulated transient events, or design-basis events?
- 3. Would there remain sufficient displays and manual controls that are independent of the plant protection system to enable plant operators to take manual preplanned actions to address design-basis events?
- 4. How would each of the major subsystem functions respond to a momentary common cause interruption of power to such systems?
- 5. Would there be a need for plant operators to have to respond to multiple concurrent spurious operations?
- 6. The high-level architecture diagram is beneficial and is clear on how safety to non-safety interfaces is used and on how separation is established between divisions. It does not show how separation between systems and subsystems within safety divisions is being implemented (NRC recognizes this would not be expected for this type of diagram).
Further explanation would be beneficial.
Reduction in Sensors The core spray system, high pressure core injection, and low pressure core injection systems, for example, are relied upon to mitigate accidents described in Chapter 15 of Limerick UFSAR. These systems rely upon a current configuration of sensors in the plant to monitor associated process parameters. The staff would like to understand how the proposed reduction and future configuration of sensors would change the current reliability and independence of these systems.
- 1. According to GDC 21 of 10 CFR 50, Appendix A, the protection system shall be designed
for a high functional reliability commensurate with the safety functions be performed.
Based on the discussions to date, it is unclear how the application will demonstrate that a high functional reliability of protection system is maintained with the planned reduction of sensors that:
- a. no single failure results in loss of the protection function and
- b. removal from service of any component or channel does not result in loss of the required minimum redundancy unless the acceptable reliability of operation of the protection system can be otherwise demonstrated.
Describe how this design criteria will continue to be met, if the number of sensors is reduced as described in past pre-submittal meetings.
- 2. The reduction in sensors may reduce the independence of the protection system.
According to GDC 22 of 10 CFR 50, Appendix A, design techniques, such as functional diversity or diversity in component design and principles of operation, shall be used to the extent practical to prevent loss of the protection function. Based on the discussion to date, it is unclear how the licensee plans to demonstrate protection system independence will be preserved with the proposed reduction in sensors.
Describe how this design criteria will continue to be met, if the number of sensors is reduced as described in past pre-submittal meetings.
- 3. The reduction in sensors may reduce the physical separation of sensors that support the protection system. The Limerick UFSAR states that the licensing design-basis for sensors associated with initiating the high pressure core injection (HPCI) function and the automatic depressurization system (ADS) functions (among others) are separate from one another. Examples from UFSAR Section 7.3.1.1.1.1.3 for the HPCI initiating circuits states:
For the reactor water level sensors:
The sensors are physically separated from the ADS sensors and tap off the reactor vessel at points widely separated from the ADS sensors.
These same lines are also used for pressure and water level instruments for other systems. A similar arrangement of the ADS instrumentation initiates the ADS system. The arrangement ensures that no single event can prevent reactor vessel low water level from initiating both the HPCI system and the ADS.
For the primary containment pressure sensors:
The sensors are physically separated from the ADS pressure sensors and tap off the containment at points widely separated from the ADS pressure sensors.
Similar wording appears for the ADS function initiation in Section 7.3.1.1.1.2.2 (ADS initiating circuits) of the UFSAR, as follows:
The pressure and level sensors used to initiate ADS are separated from those used to initiate the HPCI system.
Describe whether the physical separation or amount of physical separation currently described in the Section 7 of the Limerick UFSAR will be maintained with the planned reduction of sensors.
- 4. The following information would be helpful in providing the NRC staff an understanding of the planned reduction in sensors and how the reduction may or may not continue to meet regulatory requirements:
Logic diagrams for both the existing systems and the proposed system that illustrated the reduction in sensors.
A piping and instrumentation diagram similar to (or a markup of) Drawing 8031-M-42 that reflect the proposed reduction in sensors.
A crosswalk (or mapping) between the tables on slides 26 and 27 of Exelons June 29, 2021 proprietary presentation.
Identification of systems, if any, that are independent before the proposed change that will no longer be independent after the proposed reduction in sensors.
Probabilistic Risk Assessments 3.
The NRC staff notes that there is a lack of consensus industry guidance for and known hallenges for modeling digital I&C systems in plant probabilistic risk assessments (PRAs).
Examples of such challenges include the lack of industry data for digital I&C components, the ifference between digital and analog system failure modes, and the complexities associated with modeling software failures including common cause software failures. Although reliability ata from vendor tests may be available, this source of data does not appear to compensate or in-the-field operational data.
Please discuss the licensees approach to address the challenges with modeling digital I&C systems during the proposed update of its PRA models to reflect the as-built and as-operated plant.
- 2. The NRC staff notes that PRAs contain key assumptions and sources of uncertainty in their development. These are identified and dispositioned in the context of different risk-informed applications and/or decisions. The disposition often involves sensitivity studies to demonstrate negligible or no impact on the application and/or decision. As an example, sensitivity studies are employed to determine the impact of assumptions and uncertainties in digital I&C failure probabilities. The NRC staff further notes that the licensee has approved risk-informed programs in-place, such as risk-informed completion times and risk-informed categorization of structure system and components. These programs include identification and disposition of the key assumptions and sources of uncertainty in PRA models supporting the programs.
Please discuss:
a) Whether or not the licensee intends to identify aspects of PRA modeling of digital I&C systems, especially the failure probabilities, including software failure probabilities, as key assumptions, and sources of uncertainty for its PRAs.
b) How does the licensee intend to disposition these items in the context of its approved risk-informed programs? Note that the NRC staff is not attempting to review previously approved programs. Instead, the staff is interested in understanding how uncertainties related to digital I&C modeling resulting from this proposed request will be addressed and propagated in the proposed PRA update.
- 3. Please discuss the licensees plans to consider potential impacts of the design on plant risk from external hazards (e.g., seismic events, high-winds events) as part of the update process, recognizing that the licensee may not use a PRA for such considerations.
Best Regards, BP Jain Senior Project Manager Plant Licensing Branch IV Division of Operating Reactor Licensing Office of Nuclear Reactor Regulation U.S. Nuclear Regulatory Commission 301-415-6303; bpj@nrc.gov