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- Acceptance, Acceptance, Acceptance
- Supplement, Supplement, Supplement, Supplement, Supplement
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MONTHYEARML21090A1852021-03-31031 March 2021 Request for License Amendment and Regulatory Exemptions for a Risk-Informed Approach to Address GSI-191 and Respond to GL 2004-02 (LDCN 19-0014) Project stage: Request ML21125A0452021-05-0404 May 2021 NRR E-mail Capture - LIC-109 Acceptance Review (Unacceptable for Review with Opportunity to Supplement) - Callaway Plant, Unit 1 - License Amendment Request - Final Resolution to Address Concerns of GSI-191 - EPID L-2021-LLA-0059 Project stage: Acceptance Review ML21130A5882021-05-11011 May 2021 Supplemental Information Needed for Acceptance of Requested Licensing Actions to Adopt a Risk-Informed Approach to Address GSI-191 and Respond to Generic Letter 2004 02 Project stage: Acceptance Review ULNRC-06664, Supplement to Request for License Amendment and Regulatory Exemptions for a Risk-Informed Approach to Address GSI-191 and Respond to GL 2004-02 (LDCN 19-0014)2021-05-27027 May 2021 Supplement to Request for License Amendment and Regulatory Exemptions for a Risk-Informed Approach to Address GSI-191 and Respond to GL 2004-02 (LDCN 19-0014) Project stage: Supplement ML21160A1482021-06-10010 June 2021 Acceptance of Requested Licensing Actions License Amendment and Regulatory Exemptions for a Risk Informed Approach to Address Generic Safety Issue 191 and Respond to Generic Letter 2004-02 Project stage: Acceptance Review ML21203A1922021-07-22022 July 2021 Request for License Amendment and Regulatory Exemptions for a Risk-Informed Approach to Address GSI-191 and Respond to GL-2004-02 (LDCN 19-0014) Project stage: Request ML21203A1932021-07-22022 July 2021 Request for License Amendment and Regulatory Exemptions for a Risk-Informed Approach to Address GSI-191 and Respond to GL-2004-02 (LDCN 19-0014) Project stage: Request ML21197A0632021-07-23023 July 2021 Audit Plan and Setup of Online Reference Portal for License Amendment Request Risk-Informed Approach for Closure of Generic Safety Issue-191 Project stage: Other ML21237A1352021-08-23023 August 2021 Amendment Request Regarding Risk-Informed Approach to Closure of Generic Safety Issue 191 Project stage: Request ML21237A1362021-08-23023 August 2021 Amendment Request Regarding Risk-Informed Approach to Closure of Generic Safety Issue 191 Project stage: Other ML21238A1382021-09-14014 September 2021 Audit Summary for License Amendment Request and Regulatory Exemptions for a Risk-Informed Approach to Address GSI-191 and Respond to GL 2004-02 Project stage: Other ML21280A3782021-10-0707 October 2021 Third Supplement to Request for License Amendment and Regulatory Exemptions for a Risk-Informed Approach to Address GSI-191 and Respond to GL-2004-02 (LDCN 19-0014) Project stage: Request ML21280A3792021-10-0707 October 2021 Third Supplement to Request for License Amendment and Regulatory Exemptions for a Risk-Informed Approach to Address GSI-191 and Respond to GL-2004-02 (LDCN 19-0014) Project stage: Supplement ML22027A8042022-01-27027 January 2022 Fourth (Post-Audit) Supplement to Request for License Amendment and Regulatory Exemptions for a Risk-Informed Approach to Address GSI-191 and Respond to GL 2004-02 (LDCN 19-0014) Project stage: Request ML22027A8052022-01-27027 January 2022 Fourth (Post-Audit) Supplement to Request for License Amendment and Regulatory Exemptions for a Risk-Informed Approach to Address GSI-191 and Respond to GL 2004-02 (LDCN 19-0014) Project stage: Supplement ULNRC-06721, Fifth (Post-Audit) Supplement Request for License Amendment and Regulatory Exemptions for a Risk-Informed Approach to Address GSI-191 and Respond to GL 2004-02 (LDCN 19-0014)2022-03-0808 March 2022 Fifth (Post-Audit) Supplement Request for License Amendment and Regulatory Exemptions for a Risk-Informed Approach to Address GSI-191 and Respond to GL 2004-02 (LDCN 19-0014) Project stage: Supplement ML22068A0292022-03-0808 March 2022 Response to Audit Question/Item 23 in NRC Letter Dated September 14, 2021 Project stage: Other ML22068A0272022-03-0808 March 2022 Fifth (Post-Audit) Supplement Request for License Amendment and Regulatory Exemptions for a Risk-Informed Approach to Address GSI-191 and Respond to GL 2004-02 (LDCN 19-0014) Project stage: Request ML22087A4022022-03-28028 March 2022 NRR E-mail Capture - Callaway - Draft RAIs - License Amendment and Regulatory Exemptions for a Risk-Informed Approach to Address Generic Safety Issue - 191 and Respond to Generic Letter 2004-02 (EPIDs L-2021-LLA-0059 and L-2021-LLE-0021) Project stage: Draft RAI ML22096A0232022-04-0505 April 2022 NRR E-mail Capture - Callaway Plant - Final RAIs - License Amendment and Regulatory Exemptions for a Risk-Informed Approach to Address Generic Safety Issue - 191 and Respond to GL 2004-02 (EPIDs L-2021-LLA-0059 and L-2021-LLE-0021) Project stage: RAI ML22146A3392022-05-26026 May 2022 Enclosure 1: Ameren Missouri Response to NRC RAIs Project stage: Response to RAI ML22146A3372022-05-26026 May 2022, 27 May 2022 Response to Request for Additional Information Regarding Request for License Amendment and Regulatory Exemptions for Risk-Informed Approach to Address GSI-191 and Respond to Generic Letter 2004-02 (LDCN 19-0014) Project stage: Request ULNRC-06735, Response to Request for Additional Information Regarding Request for License Amendment and Regulatory Exemptions for Risk-Informed Approach to Address GSI-191 and Respond to Generic Letter 2004-02 (LDCN 19-0014).2022-05-27027 May 2022 Response to Request for Additional Information Regarding Request for License Amendment and Regulatory Exemptions for Risk-Informed Approach to Address GSI-191 and Respond to Generic Letter 2004-02 (LDCN 19-0014). Project stage: Response to RAI ML22182A4012022-08-23023 August 2022 Callaway - Environmental Assessment & Finding of No Significant Impact Requests for Amendment & Regulatory Exemptions for a Risk-Informed Approach to Address GSI-191 and Respond to GL 2004-02 (EPID L-2021-LLA-0059 & L-2021-LLE-0021) Project stage: Request ML22182A4062022-08-23023 August 2022 FRN - Environmental Assessment & Finding of No Significant Impact Requests for Amendment & Regulatory Exemptions for a Risk-Informed Approach to Address GSI-191 and Respond to GL 2004-02 (EPID L-2021-LLA-0059 & L-2021-LLE-0021) Project stage: Other ML22182A4112022-08-23023 August 2022 Letter - Environmental Assessment & Finding of No Significant Impact Requests for Amendment & Regulatory Exemptions for a Risk-Informed Approach to Address GSI-191 and Respond to GL 2004-02 (EPID L-2021-LLA-0059 & L-2021-LLE-00021) Project stage: Other ULNRC-06766, Correction of Text Contained in Enclosures Provided with Supplements to Request for License Amendment and Regulatory Exemptions for a Risk-Informed Approach to Address GSI-191 and Respond to GL 2004-02 (LDCN 19-0014)2022-09-0808 September 2022 Correction of Text Contained in Enclosures Provided with Supplements to Request for License Amendment and Regulatory Exemptions for a Risk-Informed Approach to Address GSI-191 and Respond to GL 2004-02 (LDCN 19-0014) Project stage: Supplement ML22220A1302022-10-21021 October 2022 Exemptions from the Requirements of 10 CFR 50.46 and 10 CFR Part 50 Appendix a, General Design Criteria 35, 38, and 41 (EPID L-2021-LLE-0021) (Cover Letter) Project stage: Other ML22220A1312022-10-21021 October 2022 Exemptions from the Requirements of Title 10 of the Code of Federal Regulations (10 CFR) Section 50.46, 10 CFR 50 Appendix a General Design Criteria 35, 38, and 41 (EPID L-2021-LLE-0021) (Exemptions) Project stage: Other ML22220A1322022-10-21021 October 2022 Issuance of Amendment No. 228 Re; Revise Technical Specifications to Address Generic Safety Isusue-191 and Respond to Generic Letter 2004-02 Using Risk-Informed Approach Project stage: Approval ML22220A1292022-10-25025 October 2022 Exemptions from the Requirements of Title 10 of the Code of Federal Regulations (10 CFR) Section 50.46, 10 CFR 50 Appendix a General Design Criteria 35, 38, and 41 (EPID L-2021-LLE-0021) (FRN) Project stage: Other 2021-09-14
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Category:Response to Request for Additional Information (RAI)
MONTHYEARULNRC-06824, Response to Request for Additional Information Regarding Operating Quality Assurance Manual (Oqam) Revision 36A2023-08-17017 August 2023 Response to Request for Additional Information Regarding Operating Quality Assurance Manual (Oqam) Revision 36A ULNRC-06821, Post-Audit Follow-Up Information in Support of Callaway'S License Amendment Request and Proposed Exemption to Allow Use of Framatome Gaia Fuel (LDCN 22-0002) (EPID L-2022-LLA-0150 and EPID L-2022-LLE-00301)2023-06-21021 June 2023 Post-Audit Follow-Up Information in Support of Callaway'S License Amendment Request and Proposed Exemption to Allow Use of Framatome Gaia Fuel (LDCN 22-0002) (EPID L-2022-LLA-0150 and EPID L-2022-LLE-00301) ML23156A6372023-06-0505 June 2023 Response to Request for Additional Information Regarding License Amendment Request for Permanent Extension of Type a and Type C Leak Rate Test Frequencies ML23129A7972023-05-0909 May 2023 Response to Audit Questions ML23088A1322023-03-29029 March 2023 Response to Request for Additional Information Regarding Results of Steam Generator Tube In-Service Inspection ML23052A0442023-02-21021 February 2023 Enclosure 2 - Supplement to License Amendment Request ML23052A0422023-02-21021 February 2023 Response to Request for Additional Information and Supplement to License Amendment Request Regarding Spent Fuel Storage (LDCN 22-0015) ML23052A0432023-02-21021 February 2023 Enclosure 1 - Response to Request for Additional Information ML22342B2662022-12-0808 December 2022 Enclosure - Ameren Missouri Response to NRC RAIs ML22335A4992022-11-16016 November 2022 Enclosure 1: Responses to Requested Information ML22244A1692022-09-0101 September 2022 Updated Response to RAT HFE-l ML22194A8032022-07-13013 July 2022 Enclosure 2: Ameren Missouri Verification Ofagreement Letters with State and EPZ Counties for Proposed Revision to Radiological Emergency Response Plan Regarding Response and Notification Goals ML22194A8022022-07-13013 July 2022 Enclosure 1: Ameren Missouri Response to NRC Requests for Additional Information ULNRC-06754, Response to Request for Additional Information Regarding Licensee Amendment Request for Adoption of Alternate Source Term and Revision of Technical Specifications2022-07-0505 July 2022 Response to Request for Additional Information Regarding Licensee Amendment Request for Adoption of Alternate Source Term and Revision of Technical Specifications ML22186A1052022-07-0505 July 2022 Response to Request for Additional Information Regarding Licensee Amendment Request for Adoption of Alternate Source Term and Revision of Technical Specifications ML22146A3392022-05-26026 May 2022 Enclosure 1: Ameren Missouri Response to NRC RAIs ML22068A0292022-03-0808 March 2022 Response to Audit Question/Item 23 in NRC Letter Dated September 14, 2021 ML21286A6822021-10-13013 October 2021 Response to Request for Additional Information Regarding License Amendment Request to Adopt 10 CFR 50.69, Risk-Informed Categorization and Treatment of Structures, Systems and Components for Nuclear Power Reactors ULNRC-06629, Response to Request for Additional Information Pertaining to Additional Request for Exemption from Specific Requirements of 10 CFR Part 26, Fitness for Duty Programs2021-01-0707 January 2021 Response to Request for Additional Information Pertaining to Additional Request for Exemption from Specific Requirements of 10 CFR Part 26, Fitness for Duty Programs ULNRC-06602, Response to Request for Addition Information Pertaining to Revision to Technical Specification (TS) 5.3.1 and Deletion of TS 5.3.1.1 and TS 5.3.1.2 -2020-09-0202 September 2020 Response to Request for Addition Information Pertaining to Revision to Technical Specification (TS) 5.3.1 and Deletion of TS 5.3.1.1 and TS 5.3.1.2 - ML20238C1072020-08-25025 August 2020 Response to Request for Additional Information (Redacted) ULNRC-06591, Supplemental Information for Response to March, 2012 Information Request, Seismic Probabilistic Risk Assessment for Recommendation 2.12020-07-10010 July 2020 Supplemental Information for Response to March, 2012 Information Request, Seismic Probabilistic Risk Assessment for Recommendation 2.1 ML19325D6732019-11-21021 November 2019 Attachment 2 - Callaway Energy Center Seismic Probabilistic Risk Assessment in Response to 50.54(F) Letter with Regard to NTTF 2.1 Seismic - Supplemental Information ML19051A1372019-02-20020 February 2019 Attachment 1: Response to Request for Additional Information ULNRC-06482, Response to Request for Additional Information Pertaining to License Amendment Request for Addition of New Technical Specification 3.7.20, Class 1E Electrical Equipment Air Conditioning (A/C) System.2019-02-0808 February 2019 Response to Request for Additional Information Pertaining to License Amendment Request for Addition of New Technical Specification 3.7.20, Class 1E Electrical Equipment Air Conditioning (A/C) System. ML19039A3542019-02-0808 February 2019 RAI Questions and Responses ML19025A0712019-01-25025 January 2019 Response to Request for Additional Information Pertaining to Relief Request 14R-05 for Relief from Requirements of ASME Code Case N-770-2 Regarding Inspection Intervals for Reactor Vessel Nozzle Dissimilar Metal Welds ULNRC-06479, Attachment a - Mitsubishi Responses to NRC Wjp RAIs2019-01-25025 January 2019 Attachment a - Mitsubishi Responses to NRC Wjp RAIs ULNRC-06440, Response to Generic Letter 2016-01, Monitoring of Neutron-Absorbing Materials in Spent Fuel Pools - Request for Supplemental Information2018-05-31031 May 2018 Response to Generic Letter 2016-01, Monitoring of Neutron-Absorbing Materials in Spent Fuel Pools - Request for Supplemental Information ULNRC-06410, Callaway Plant, Unit 1 - Response to Request for Additional Information Concerning Proposed Revision of FSAR-Described Compliance with Regulatory Guide 1.106 Regarding MOV Thermal Overload Protection (Ldcn 16-0001)2018-02-0505 February 2018 Callaway Plant, Unit 1 - Response to Request for Additional Information Concerning Proposed Revision of FSAR-Described Compliance with Regulatory Guide 1.106 Regarding MOV Thermal Overload Protection (Ldcn 16-0001) ML18036A6762018-02-0505 February 2018 Enclosure 6: Response to Request for Additional Information (RAI) 1.d (MOV Performance Indicator Report for Cycle 21) ML18036A6742018-02-0505 February 2018 Enclosure 5: Response to Request for Additional Information (RAI) 1.d (MOV Performance Indicator Report for Cycle 20) ML18036A6732018-02-0505 February 2018 Enclosure 4: Response to Request for Additional Information (RAI) 1.d (MOV Performance Indicator Report for Cycle 19) ML18036A6722018-02-0505 February 2018 Enclosure 3: Response to Request for Additional Information (RAI) 1.c ULNRC-06410, Response to Request for Additional Information Concerning Proposed Revision of FSAR-Described Compliance with Regulatory Guide 1.106 Regarding MOV Thermal Overload Protection (LDCN 16-0001)2018-02-0505 February 2018 Response to Request for Additional Information Concerning Proposed Revision of FSAR-Described Compliance with Regulatory Guide 1.106 Regarding MOV Thermal Overload Protection (LDCN 16-0001) ML18036A6692018-02-0505 February 2018 Enclosure 1: Responses to Requests for Additional Information ML18036A6712018-02-0505 February 2018 Enclosure 2: Response to Request for Additional Information (RAI) Item 1.a ULNRC-06381, Spent Fuel Pool Evaluation Supplemental Report, Response to NRC Request for Information Pursuant to 10 CFR 50.54(F) Regarding Recommendation 2.1 of the Near-Term Task Force Review of Insights from the Fukushima Dai-ichi Accident2017-10-0303 October 2017 Spent Fuel Pool Evaluation Supplemental Report, Response to NRC Request for Information Pursuant to 10 CFR 50.54(F) Regarding Recommendation 2.1 of the Near-Term Task Force Review of Insights from the Fukushima Dai-ichi Accident ML17138A2132017-05-18018 May 2017 Response to Request for Additional Information Concerning Revision of TS 5.6.5, Core Operating Limits Report (Colr), to Allow the Use of the Paragon and Nexus Core Design Methods (LDCN 16-0011) ULNRC-06357, Response to Request for Additional Information, 2016 Steam Generator Tube Inspections2017-03-23023 March 2017 Response to Request for Additional Information, 2016 Steam Generator Tube Inspections ULNRC-06321, Response to Request for Additional Information, Third 10-Year Interval Inservice Inspection Request for Relief No. I3R-082016-07-0707 July 2016 Response to Request for Additional Information, Third 10-Year Interval Inservice Inspection Request for Relief No. I3R-08 ULNRC-06275, Response to Request for Additional Information (RA) Related to Operating Quality Assurance Manual (Oqam), Revision 31, Oqam Change Notice 15-0022016-01-12012 January 2016 Response to Request for Additional Information (RA) Related to Operating Quality Assurance Manual (Oqam), Revision 31, Oqam Change Notice 15-002 ULNRC-06266, Response to Request for Additional Information, Third 10-Year Interval Inservice Inspection, Request for Relief No. 13R-112015-11-24024 November 2015 Response to Request for Additional Information, Third 10-Year Interval Inservice Inspection, Request for Relief No. 13R-11 ULNRC-06238, Response to Supplemental Request for Additional Information (RAI) Related to License Amendment Request for Emergency Action Level (EAL) Upgrade Adopting NRC-Endorsed NEI 99-01, Revision 62015-08-31031 August 2015 Response to Supplemental Request for Additional Information (RAI) Related to License Amendment Request for Emergency Action Level (EAL) Upgrade Adopting NRC-Endorsed NEI 99-01, Revision 6 ULNRC-06230, Response to Request for Additional Information (RAI) Related to License Amendment Request for Emergency Action Level (EAL) Upgrade Adopting NRC-Endorsed NEI 99-01, Revision 62015-07-16016 July 2015 Response to Request for Additional Information (RAI) Related to License Amendment Request for Emergency Action Level (EAL) Upgrade Adopting NRC-Endorsed NEI 99-01, Revision 6 ULNRC-06233, Submittal of Requested Information on FSAR Section 3.1.2., Per July 9, 2015 Telephone Call2015-07-13013 July 2015 Submittal of Requested Information on FSAR Section 3.1.2., Per July 9, 2015 Telephone Call ULNRC-06227, Response to Request for Additional Information Related to License Amendment Request for Emergency Action Level Upgrade Adopting NRC-Endorsed NEI 99-01, Rev 62015-07-0606 July 2015 Response to Request for Additional Information Related to License Amendment Request for Emergency Action Level Upgrade Adopting NRC-Endorsed NEI 99-01, Rev 6 2023-08-17
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Enclosure to ULNRC-06735 Ameren Missouri Response to NRC RAIs 9 pages
Enclosure to ULNRC-06735 Page 1 of 9 Ameren Missouri Response to NRC RAIs On March 31, 2021, Union Electric Company, dba Ameren Missouri, submitted a license amendment request (LAR), in combination with a request for regulatory exemptions, for adopting a risk-informed approach for resolving GSI-191 and responding to Generic Letter (GL) 2004-02, for Callaway Plant. In support of the initial submittal, a number of supplements have been submitted, as identified in the cover letter of this submittal. As the U.S. Nuclear Regulatory Commission (NRC) staff is continuing to review the application, it recently determined that additional information is required in order to complete the review of the subject LAR. The NRC staff's request for additional information (RAI), consisting of two individual requests, RAI No. 1 (with two parts) and RAI No. 2, was electronically transmitted on April 5, 2022.
RAI No. 1 (RAI-1):
Regulatory Requirement: Section 51.30(a) of Title 10 of the Code of Federal Regulations requires, in part, that an environmental assessment include a brief discussion of the environmental impacts of the proposed action and alternatives, as appropriate.
Background:
In reviewing Ameren Missouris Callaway, Unit 1, Fourth (Post-Audit)
Supplement to Request for License Amendment and Regulatory Exemptions for Risk-Informed Approach to Address GSI-191 and Respond to GL 2004-02, dated January 27, 2022 (ADAMS Accession No. ML22027A804), NRC staff has determined that environmental impacts (specifically, additional worker dose and radiologically contaminated waste) could occur in association with the No Action Alternative (i.e., complete compliance with the existing provisions in 10 CFR 50.46(a)(1) and the relevant General Design Criteria), should the subject exemptions and associated license amendment request not be granted. NRC requires this dose and waste information to inform its environmental review.
Request: a) Enclosure 1 of Ameren Missouris Fourth Supplement, i.e., Request for Exemptions for Callaway Risk-Informed Approach to Resolution for Generic Letter 2004-02, states that the minimum dose associated with replacement of insulation in containment is estimated to be greater than 50 person-rem. In order to support the staffs evaluation of potential worker dose impacts, NRC requests that Ameren Missouri provide a more definitive value or upper range for this estimate.
b) Enclosure 1 also states that compliance with 10 CFR 50.46(a)(1) and the relevant General Design Criteria would entail removal and disposal of significant amounts of insulation. In order to support the staffs evaluation of potential waste management impacts, NRC requests that Ameren Missouri provide the estimated volume (cubic feet) of radiologically contaminated waste that would be generated from the replacement of the existing insulation addressed in Enclosure 1.
Ameren Response:
a) Ameren planning documents prepared in 2010 (per References RAI-1.1 and RAI-1.2 on page 4 of this enclosure) estimate a total worker dose of between 350 and 400 person-Rem for complete fiber removal and replacement with reflective metallic insulation. A present-day
Enclosure to ULNRC-06735 Page 2 of 9 estimate would likely be higher because of the intervening 12 years of continuous plant operation. At the time the dose estimate was performed, it was considered to be in line with other utilities impacted by this same issue. The Callaway dose estimate is based on extrapolation of the dose incurred to install reflective metal insulation (RMI) on the new steam generators installed in Refuel 14, but detailed ALARA work plans for every affected area may yield a higher total dose assessment. See the description of insulated pipes given in Response RAI-1b (as follows).
b) Figures RAI-1.1 and RAI-1.2 (on the following pages) illustrate the low-density fiber glass (LDFG) insulation present in the Callaway containment building. Gold-colored jackets denote NukonTM insulation, and tan-colored jackets denote ThermalWrapTM insulation (mostly applied to top segments of the Main Steam and Feedwater lines). These images are produced from the CAD model used/described in Enclosure 1 to the March 31, 2021 LAR (identified above and as Ref. RAI-1.3 on page 4) to address the "RoverD" risk attributed to fiber insulation. The figures illustrate that fiber insulation is present in every region of containment, including locations difficult to access that would prolong worker exposure and high-dose areas such as the Regenerative Heat Exchanger and the Letdown Valve Cubicles that are presently managed as locked high-radiation areas.
There are 5023.5 ft3 of NukonTM and 436.1 ft3 of ThermalWrapTM in containment, giving a total LDFG inventory of approximately 5460 ft3. Assuming a manufactured density of 2.4 lbm/ft3, this volume corresponds to a total potential debris mass of 13,103 lbm, or 6.6 tons.
Most of the removed insulation would be disposed of as low-level radioactive waste with varying degrees of radiation contamination and associated hazards.
Enclosure to ULNRC-06735 Page 3 of 9 Figure RAI-1.1. First view of Callaway fiber insulation (NukonTM in gold, ThermalWrapTM in tan).
Enclosure to ULNRC-06735 Page 4 of 9 Figure RAI-1.2. Second view of Callaway fiber insulation (NukonTM in gold, ThermalWrapTM in tan).
RAI-1
References:
- 1. RFR 201006483, "GL 2004-02 Containment Debris Reduction"
- 2. Design Scoping Study IWA EDP-ZZ-04015 (Internal Draft)
- 3. Enclosure 1 to ULNRC-06526, "Request for License Amendment and Regulatory Exemptions for a Risk-Informed Approach to Address GSI-191 and Respond to GL 2004-02 (LDCN 19-0014)," dated March 31, 2021 (ADAMS Accession No. ML21090A184)
Enclosure to ULNRC-06735 Page 5 of 9 RAI No. 2 (RAI-2):
Regulatory Requirement: 10 CFR 40.46 requires that plants maintain the ability to provide long-term core cooling following any initial LOCA response. To ensure that this cooling is available, licensees demonstrate that flashing will not occur at the ECCS strainer so that flow to the ECCS pumps is not interrupted.
Background:
In Enclosure 3 of the submittal dated March 31, 2021, the licensee provided the methodology used to demonstrate that flashing would not occur. The NRC discussed this information with the licensee during an audit conducted virtually from August 10 to August 12, 2021 (ADAMS Accession No. ML21238A138), and the licensee submitted additional information regarding the flashing analysis in a submittal dated January 27, 2022 (ADAMS Accession No. MLML22027A804). In this submittal, the licensee stated that approximately 10 percent of the available pressure in containment is required to prevent flashing at the strainer for the large break loss of coolant accident (LBLOCA). The NRC staff agrees that the need to credit only 10 percent of the available pressure, based on a design basis calculation, demonstrates that there is large margin to flashing. However, the long-term cooling period spans a period during which the pool temperature and containment pressure change significantly. The NRC staff could not determine how the 10 percent value was derived.
Request: Clarify whether the 10 percent value is based on the time at which the minimum margin to flashing occurs and that it is based on the pressure predictions for the LBLOCA, not the main steam line break. If it is not based on the time of minimum margin, provide the margin to flashing based on the time at which the margin to flashing is at its minimum.
Ameren Response:
Overpressure credit is based on containment pressure predictions for LBLOCA, not for a main steam line break. Estimates of overpressure credit required to suppress flashing do consider time-dependent containment pressure while pool temperature exceeds 212°F, including the time at which the margin to flashing is at its minimum, as illustrated in the following discussion. The discussion also clarifies: 1) the percentage of available containment pressure associated with the baseline overpressure credit of 1.7 psi, and 2) the overpressure credit associated with 10%
of available containment pressure.
Figure RAI-2.1 (next page) displays containment pressure available for a LBLOCA with minimum and maximum safeguards configurations from the time of ECCS switchover until the time when sump temperature reduces below 212 °F. Containment pressure available equals calculated absolute containment pressure reduced by saturation pressure and reduced by an additional 1.8 psi. Saturation pressure is required to maintain the fluid as a liquid, and thus, it is not available for containment overpressure credit. The further reduction of 1.8 psi is determined by reducing the calculated containment pressure of the design basis analysis from a Technical Specification maximum of 1.5 psig [References RAI-2.1 and RAI-2.2 on page 9] to the Technical Specification minimum of -0.3 psig [Ref. RAI-2.1]. In the minimum safeguards configuration, available containment pressure reaches a minimum at approximately 50 min.
Ref RAI-2.4 states that 1.7 psi of overpressure credit is needed to suppress flashing at the top of the strainer for LBLOCA under the conservative assumption of maximum constant pump flow.
Enclosure to ULNRC-06735 Page 6 of 9 Figure RAI-2.1 illustrates that during most of the minimum safeguards LBLOCA history, 1.7 psi of overpressure credit is approximately 15% of containment pressure available (1.7psi/11psi 15%). For approximately 30 minutes, 1.7 psi is more than 15% of the available containment pressure and reaches a maximum credit of approximately 22% at the minimum-safeguards-LBLOCA minimum available containment pressure (1.7psi/7.7psi 22%). When consideration is given to pump flow timing, required overpressure is reduced to approximately 10%, or less, of available containment pressure for the duration of the accident scenario (presented below).
Figure RAI-2.1. Containment-pressure-available history for LBLOCA.
Conservative pump-flow timing assumptions are presented in the last column of Table RAI-2.1 (next page), which consolidates calculation assumptions from Ref. RAI-2.4 and compares actual plant conditions to values implemented in the 1.7-psi baseline analysis.
( Cont.)
Enclosure to ULNRC-06735 Page 7 of 9 Table RAI-2.1. LBLOCA conservative timing assumptions applied for flashing analysis.
Variable Prior to Containment After Containment Implemented in 1.7-Spray Switchover Spray Switchover psi baseline analysis Static Pressure 0.2 psi 0.4 psi 0.2 psi Clean Screen 0.1 psi 0.2 psi 0.3 psi Pressure Loss at 4,800 gpm & 212 °F at 8,750 gpm & 212 °F at 8,750 gpm & 140 °F Debris Bed 0.4 psi 1.1 psi 1.5 psi Pressure Loss at 4,800 gpm at 8,750 gpm at 10,000* gpm
& 119 °F** & 120 °F** & 120 °F
- 10,000 gpm was the modeled test flow rate for the debris bed head loss test to add additional conservatism. The maximum strainer plant flow rate is 8,750 gpm. The conservative debris bed head loss of 1.5 psi was implemented for all analyses.
- These conditions were examined during flow sweeps of the strainer head loss test [Ref.
RAI-2.3].
Accounting for the more detailed static pressure and strainer pressure losses shown in Table RAI-2.1 above results in an overpressure credit needed to suppress flashing of 0.4 psi prior to containment spray (CS) switchover and 1.0 psi after CS switchover (reduced from the stated 1.7-psi baseline credit). These values for required overpressure credit remain conservatively high because debris-induced pressure drop measured at cooler laboratory test temperature was not adjusted (reduced) to account for actual higher pool temperatures existing at the time of minimum available overpressure.
Figures RAI-2.2 and RAI-2.3 (next page) display the containment-pressure-available transient for minimum and maximum safeguards configurations, respectively, including the design basis accident sump switch over time of 51 min and 20 min, for minimum and maximum safeguards configurations, respectively. Application of the refined inputs that account for event timing results in an overpressure credit of approximately 10% (or less) of the available containment pressure for the entire duration of the LBLOCA. For the more limiting minimum safeguards configuration illustrated in Fig RAI-2.2, the required credit is approximately 0.4psi/7.7psi5%
prior to CS switchover and 1psi/11psi9% following CS switchover.
Enclosure to ULNRC-06735 Page 8 of 9 Figure RAI-2.2. Refined examination of LBLOCA containment-pressure-available history under Minimum Safeguards configuration.
Figure RAI-2.3. Refined examination of LBLOCA containment-pressure-available history under Maximum Safeguards configuration.
Enclosure to ULNRC-06735 Page 9 of 9
RAI-2
References:
- 1. Technical Specification 3.6.4, Containment Pressure, Amendment No. 202
- 2. Calculation ZZ-525, Revision 001, Addendum 5, Containment Temperature-Pressure Sensitivities During Main Steam Line Break and Large Break Loss of Coolant Accident for Containment Cooler Energy Removal Capability (CAR #201208648), October 8, 2013
- 3. 1162CECGSI-R2-00, Callaway Energy Center Head Loss Technical Report - Revision 00, March 20, 2017
- 4. ALION-CAL-CEC-9345-004, Strainer Head-Loss Analysis Report, Revision 1, July 6, 2018