JAFP-18-0106, License Amendment Request: Proposed Change to the Technical Specifications to Remove Ultimate Heat Sink Bar Rack Heaters from Technical Specifications

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License Amendment Request: Proposed Change to the Technical Specifications to Remove Ultimate Heat Sink Bar Rack Heaters from Technical Specifications
ML18333A206
Person / Time
Site: FitzPatrick Constellation icon.png
Issue date: 11/29/2018
From: Jim Barstow
Exelon Generation Co
To:
Document Control Desk, Office of Nuclear Reactor Regulation
References
JAFP-18-0106
Download: ML18333A206 (25)


Text

10 CFR 50.90 JAFP-18-0106 November 29, 2018 U.S. Nuclear Regulatory Commission ATTN: Document Control Desk Washington, DC 20555-0001 James A. FitzPatrick Nuclear Power Plant Renewed Facility Operating License No. DPR-59 NRC Docket No. 50-333

Subject:

License Amendment Request - Proposed Change to the Technical Specifications to Remove Ultimate Heat Sink Bar Rack Heaters from Technical Specifications Pursuant to 10 CFR 50.90, "Application for amendment of license, construction permit, or early site permit," Exelon Generation Company, LLC (Exelon) proposes changes to the Technical Specifications (TS), Appendix A, of Renewed Facility Operating License No. DPR-59 for James A. FitzPatrick Nuclear Power Plant (JAF).

The proposed changes revise the JAF TS to remove Ultimate Heat Sink (UHS) bar rack heaters from the operability requirements of the UHS. Specifically, TS Limiting Condition for Operability (LCO) Condition B. requires that all divisions of the required deicing heaters are operable when the UHS temperature is < 37 degrees F. This amendment will remove this requirement from TS LCO 3.7.2.

A pre-submittal meeting was conducted on October 23, 2018 (ML 1829A525). The proposed changes have been reviewed by the JAF Plant Operations Review Committee in accordance with the requirements of the Exelon Quality Assurance Program. provides the Evaluation of Proposed Changes. Attachment 2 provides the Proposed TS Marked-Up Pages. Attachment 3 provides the Proposed Technical Specifications Bases Marked-Up Pages for information only.

Exelon requests approval of the proposed amendment by December 1, 2019. Once approved, the amendment shall be implemented within 30 days.

U.S. Nuclear Regulatory Commission License Amendment Request Ultimate Heat Sink Bar Rack Heater Removal Docket No. 50-333 November 29, 2018 Page 2 This amendment request contains no regulatory commitments.

Exelon has concluded that the proposed change presents no significant hazards consideration under the standards set forth in 10 CFR 50.92.

In accordance with 10 CFR 50.91 , "Notice for public comment; State consultation,"

paragraph (b), Exelon is transmitting a copy of this application and its attachments to the designated State Officials.

Should you have any questions concerning this submittal, please contact Christian Williams at (610) 765-5729.

I declare under penalty of perjury that the foregoing is true and correct. Executed on the 291h day of November 2018.

Respectfully, J~o:r4J~r Director - Licensing & Regulatory Affairs Exelon Generation Company, LLC Attachments:

1) Evaluation of Proposed Changes
2) Proposed Technical Specification Marked-Up Page
3) Proposed Technical Specification Bases Marked-Up Page cc: USNRC Region I, Regional Administrator w/attachments USNRC Senior Resident Inspector, JAF w/attachments USNRC Project Manager, JAF w/attachments A. L. Peterson, NYSERDA w/attachments

ATTACHMENT 1 License Amendment Request James A. FitzPatrick Nuclear Power Plant Docket No. 50-333 EVALUATION OF PROPOSED CHANGES Proposed Change to the Technical Specifications to Remove Ultimate Heat Sink Bar Rack Heaters from Technical Specifications 1.0

SUMMARY

DESCRIPTION 2.0 DETAILED DESCRIPTION

3.0 TECHNICAL EVALUATION

4.0 REGULATORY EVALUATION

4.1 Applicable Regulatory Requirements/Criteria 4.2 Precedent 4.3 No Significant Hazards Consideration 4.4 Conclusions

5.0 ENVIRONMENTAL CONSIDERATION

6.0 REFERENCES

License Amendment Request Attachment 1 Secondary Containment Personnel Access Door Openings Page 1 of 10 Docket No. 50-333 Evaluation of Proposed Changes 1.0

SUMMARY

DESCRIPTION Pursuant to 10 CFR 50.90, "Application for amendment of license, construction permit, or early site permit," Exelon Generation Company, LLC (Exelon) proposes changes to the Technical Specifications (TS), Appendix A, of Renewed Facility Operating License No. DPR-59 for James A. FitzPatrick Nuclear Power Plant (JAF).

The proposed changes revise the JAF TS to remove the requirement that the Ultimate Heat Sink (UHS) Bar Rack Heaters are operable to maintain the UHS operable. Specifically, TS Limiting Condition for Operability (LCO) Condition B. of TS 3.7.2 requires that all divisions of the required deicing heaters are operable when the UHS temperature is < 37 degrees F. This amendment will remove this requirement from TS LCO 3.7.2.

2.0 DETAILED DESCRIPTION The Emergency Service Water (ESW) and Residual Heat Removal Service Water (RHRSW) systems are designed to provide cooling water for the removal of heat from equipment served by those systems following a Design Basis Accident (DBA) or transient. The ability of the ESW and RHRSW systems to provide adequate cooling for this equipment is an implicit assumption for the safety analyses presented in updated Final Safety Analysis Report (FSAR) Chapters 5 and 14. The ESW system, together with the UHS, satisfies Criterion 3 of 10 CFR 50.36(c)(2)(ii).

TS 3.7.2 ensures the minimum heat removal capability assumed in the safety analyses for the system to which the ESW supplies cooling water will be provided. TS LCO 3.7.2 Condition B requires operability of both divisions of the required deicing heaters in Modes 1, 2, and 3 when the UHS temperature is 37 degrees F. In Modes 4 and 5, the operability requirements of the ESW system and UHS are determined by the systems they support and, therefore, the requirements are not the same for all facets of operation in Modes 4 and 5.

TS surveillance requirement SR 3.7.2.3 requires periodic verification that the required deicing heater feeder current is within limits for each division of deicing heaters when the UHS temperature is 37 degrees F. TS surveillance requirement SR 3.7.2.5 requires periodic verification that the required deicing heater power is within limits for each division of deicing heaters when the UHS temperature is 37 degrees F. These surveillances help ensure that adequate heat is being provided at the bar racks to help ensure that frazil ice does not adhere to them. TS surveillance requirement SR 3.7.2.6 requires periodic verification that the required deicing heater resistance to ground is within limits for each division of deicing heaters when the UHS temperature is 37 degrees F. This surveillance is performed to monitor long-term degradation of the cable and heater insulations.

Description of Proposed Changes to TS and TS Bases Changes are proposed to the following parts of TS LCO 3.7.2.

1. Existing Condition B and proposed changes Condition B: One division of required deicing heaters inoperable.

AND UHS temperature 37ºF.

License Amendment Request Attachment 1 Secondary Containment Personnel Access Door Openings Page 2 of 10 Docket No. 50-333 Evaluation of Proposed Changes Required Action B.1: Restore the division of deicing heaters to OPERABLE status.

Completion Time: 7 days It is proposed that the above condition, required action, and completion time be deleted.

2. Existing Condition C and proposed changes Condition C: Required Action and associated Completion Time not met.

OR Both ESW subsystems inoperable for reasons other than Condition A.

OR UHS inoperable for reasons other than Condition B.

Required Action C.1: Be in MODE 3.

Completion Time: 12 hours1.388889e-4 days <br />0.00333 hours <br />1.984127e-5 weeks <br />4.566e-6 months <br /> Required Action C.2: Be in MODE 4.

Completion Time: 36 hours4.166667e-4 days <br />0.01 hours <br />5.952381e-5 weeks <br />1.3698e-5 months <br /> It is proposed that: (1) the above condition and required actions be renumbered to Condition B and Required Actions B.1 and B.2, respectively; and (2) the phrase for reasons other than Condition B be deleted from the Condition statement.

Changes are proposed to the following TS surveillance requirements.

1. Changes to deicing heater surveillance requirements SR 3.7.2.3: Verify the required deicing heater feeder current is within limits for each division of deicing heaters. (Note: Not required to be met if UHS temperature is > 37°F.)

Frequency: In accordance with the Surveillance Frequency Control Program.

SR 3.7.2.5: Verify the required deicing heater power is within limits for each division of deicing heaters. (Note: Not required to be met if UHS temperature is > 37°F.)

Frequency: In accordance with the Surveillance Frequency Control Program.

SR 3.7.2.6: Verify the required deicing heater resistance to ground is within limits for each division of deicing heaters. (Note: Not required to be met if UHS temperature is >

37°F.)

Frequency: In accordance with the Surveillance Frequency Control Program.

It is proposed that these three surveillance requirements be deleted.

2. Changes to other TS 3.7.2 surveillance requirements It is proposed that surveillance requirement SR 3.7.2.4 be renumbered to SR 3.7.2.3 and that surveillance requirement SR 3.7.2.7 be renumbered to SR 3.7.2.4.

Changes are proposed to TS Bases B 3.7.2.

1. In the Background section, the last paragraph will be deleted.

License Amendment Request Attachment 1 Secondary Containment Personnel Access Door Openings Page 3 of 10 Docket No. 50-333 Evaluation of Proposed Changes

2. In the LCO section, the last two sentences of the third paragraph (i.e., With UHS temperature 37ºF, conditions whenever UHS temperature is 37ºF.) will be deleted.
3. In the Actions section, Action B.1 will be deleted. Actions C.1 and C.2 will be renumbered to B.1 and B.2.
4. In the Surveillance Requirements section, surveillance requirements SR 3.7.2.3, SR 3.7.2.5, and SR 3.7.2.6 will be deleted. Surveillance requirement SR 3.7.2.4 will be renumbered to SR 3.7.2.3, and surveillance requirement SR 3.7.2.7 will be renumbered to SR 3.7.2.4.

3.0 TECHNICAL EVALUATION

Description of Intake Path The James A. FitzPatrick Nuclear Power Plant (JAF) draws cooling water from an intake structure located well below the surface of Lake Ontario the Ultimate Heat Sink (UHS) approximately 900 feet from the shore line. The total design intake flow is 435,000 gpm. The intake is a roofed structure which draws water in through four segmented shore-facing openings, each 22 feet wide and 8 feet high, that are protected with multiple 11-foot by 11-foot bar racks (two of which were removed in 2017 to address an ice buildup concern, as discussed below) to block the entrance of large debris. The top of the intake structure is at elevation 232.8 feet, approximately 14 feet beneath the lake surface, which typically varies from elevation 244 feet to 248 feet. (The intake opening begins approximately 2 feet below the top of the concrete members which form the intake structure.) This results in water being taken in at lower levels and prevents the formation of vortices at the surface, thus minimizing the possibility of floating ice being drawn down from the surface. The intake bar racks are provided with deicing heaters to inhibit the formation of frazil ice, which might otherwise accumulate on the bar racks and restrict the intake flow. A fish deterrence system is installed on top of the intake structure to prevent the impingement of alewives.

Water is drawn through the intake and intake tunnel into the screenwell building. At the end of the intake tunnel in the screenwell building, there are trash racks (designed to stop large pieces of floating debris) and traveling screens (designed to prevent small pieces of debris and fish from entering the plant systems). After passing through the trash racks and traveling screens, the water is supplied to the Circulating Water pumps, Emergency Service Water (ESW) pumps, Residual Heat Removal Service Water (RHRSW) pumps, Normal Service Water (NSW) pumps, the Fire Protection system, and the Makeup Demineralizer system.

The screenwell is configured to allow for tempering, where a portion of the Circulating Water discharge is recirculated back to the entrance to the trash racks to prevent the buildup of ice or to improve condenser performance. Stray frazil ice which is drawn past the intake to the screenwell will then be melted by the tempering water. The screenwell is also configured to allow the flow of circulating water to be reversed in the intake and discharge tunnels to provide a source of suction water for the ESW and RHRSW pumps in the event that the intake pathway becomes blocked by large masses of ice.

License Amendment Request Attachment 1 Secondary Containment Personnel Access Door Openings Page 4 of 10 Docket No. 50-333 Evaluation of Proposed Changes The intake structure, bar racks, and deicing heaters are described in Section 12.3.7 of the Final Safety Analysis Report (FSAR).

Frazil Ice Problems and Removal of Two Bar Racks The formation of frazil ice on steel bar racks at intake structure openings is common in northern climates. This kind of ice is formed when meteorological conditions are such that the water is supercooled below its freezing point due to radiational cooling. (Supercooling requires a large rate of heat loss, almost always associated with low air temperatures, open water and windy conditions creating lake turbulence and preventing the formation of an ice layer.) Under these conditions, frazil ice can form on intake bar racks, or spongy masses of this ice, formed in other parts of the lake and carried past an intake by wind-driven currents, can adhere to the bar racks.

A buildup of frazil ice on intake bars can occur suddenly and can cause a significant reduction in the flow through an intake structure.

During power operation at JAF under cold weather conditions, the flow of water into the intake may draw in frazil ice. During plant shutdown conditions when the circulating water pumps are not operating, the flow velocity of water into the intake structure is so low that significant frazil ice is not drawn into the intake. If a rapid buildup of frazil ice on the intake bars were to begin while the circulating water pumps are in operation, the blockage of the intake could potentially challenge the ability of the ESW and RHRSW pumps to perform their safety functions if circulating water pumps were not secured and a manual SCRAM were not inserted in a timely fashion, as required by existing procedures.

Frazil ice will not form on, or adhere to, bar racks which are at a temperature slightly above the freezing point of water. To inhibit the formation of frazil ice, the original plant design included the installation of heating elements in each of the 88 individual bars which were grouped in eight bar racks, with a one-foot spacing between individual bars at the intake. Operability of two divisions of the required deicing heaters is required by JAF Technical Specification (TS) 3.7.2 when the Ultimate Heat Sink (UHS) temperature is 37 degrees F. The deicing heater capacity required for compliance with TS 3.7.2 is defined in TS Bases B 3.7.2 as at least 18 out of the 44 deicing heaters (each heater producing 1670 +/- 10% watts) in each electrical division.

The capacity of the heaters is such as to keep the temperature of the bars at 33 degrees F during periods when no supercooling occurs or above freezing when up to 1 degree F supercooling occurs. This is an adequate thermal margin to prevent frazil ice, grease ice, or slush build-up on the bars most of the time.

However, ice buildup can occur on the bars because, under extreme meteorological conditions, the amount of supercooling may exceed the thermal margin available. As frazil ice begins to accumulate on the bars under these conditions, the one-foot spacing between the individual bars is reduced, thereby restricting flow through the intake. There have been five events over the years of plant operation where the buildup of frazil ice on the intake bar racks restricted flow through the intake structure to the point that it caused a plant transient. Two of these events resulted in a lowering of screenwell water level such that a manual trip of the reactor was required. Operator action to downpower the reactor was successful in averting a trip during the other three events.

License Amendment Request Attachment 1 Secondary Containment Personnel Access Door Openings Page 5 of 10 Docket No. 50-333 Evaluation of Proposed Changes Following the most recent event (on January 23, 2016), operating procedures were revised to ensure that the potential for frazil ice formation is more closely monitored and that the necessary actions (e.g., tempering) are initiated when appropriate. The recirculation of condenser discharge water through tempering not only maintains the water temperature in the screenwell forebay at a level to eliminate ice in that area but also reduces the flow rate and velocity of the water flowing through the intake, thereby slowing the deposition of frazil ice on plant structures.

In addition, an engineering study of the intake system and the hazard posed by icing of the intake bars was undertaken. The study noted that Lake Ontario in the vicinity of the intake is largely free of material that would likely be drawn into the intake structure and that, over the long plant operating life, accumulation of large debris on the intake bars has not been reported. The study noted that, during the warmer months, JAF has not experienced significant issues with screenwell water level, which would suggest that the intake system is relatively free of general debris and related blockage and that this has been confirmed by divers used biennially to inspect the intake. At the low intake velocities experienced during normal operation (< 2 ft/s through the bar racks), debris floating above the intake structure such as ice sheets or driftwood is not likely to be pulled down; similarly, heavy debris on the bottom of the lake is not likely to be sucked into the intake ports. The only debris threatening to enter the intake structure would be neutrally buoyant debris suspended in the water at the elevation of the intake ports such as grass or algae from the lake bottom, which the bar rack spacing could not prevent from passing through the intake opening. Debris smaller than the intake openings has always been able to enter the tunnel and is removed by the trash racks (for floating debris > 3 inches) and traveling screens (for small pieces of debris and fish). The existence of large debris has never been identified as a problem. Even if large debris were drawn into the intake structure, the trash racks and traveling screens would protect the pumps from damage from debris that enters the screenwell. Based on these considerations, the engineering study concluded that the potential for large debris entering the intake structure and causing damage or blockage was not considered credible and that there was no technical reason to justify the continued use of bars at the intake - particularly in light of their contribution to the intermittent but costly problem of frazil ice.

On the basis of the results of the engineering study, two of the original eight bar racks (including the deicing heaters for the bars in those bar racks) were removed under an engineering change (EC 621217). Each 11-foot x 11-foot bar rack is configured with 2-inch x 3-inch intake bars spaced at one-foot centers. With the removal of the two 11-foot x 11-foot bar racks, the restriction in the intake path at those locations increases from the 10-inch wide gap between adjacent bars in a bar rack to an 11-foot wide by 8-foot high spacing at each of the former bar rack locations. In addition to not providing a steel surface (i.e., the upstream face of the intake bars) for ice to deposit on, the removal of the bar racks also decreases the velocities through these large intake openings, decreasing the rate at which frazil ice would accumulate.

Furthermore, the removal of bar racks would require ice growth along a concrete surface which is less thermally conductive than the steel and therefore less conducive to frazil ice growth.

Although some frazil ice may still accumulate on the leading edge of the concrete intake structure, bridging of the ice across the very large openings (8 feet high) should not occur during the limited period of supercooling of the lake intake.

As result of the engineering change to remove two bar racks, in the worst-case scenario where complete ice blockage has occurred for the remaining bar racks, up to 25% of the intake would

License Amendment Request Attachment 1 Secondary Containment Personnel Access Door Openings Page 6 of 10 Docket No. 50-333 Evaluation of Proposed Changes remain unobstructed during a frazil ice event. As discussed in Section 12.3.7 of the FSAR, approximately 30,000 gpm is required for normal shutdown. Significantly less flow is required to respond to a design basis accident. Based on Section 9.7 of the FSAR, the design flowrates for 1 ESW pump (3,700 gpm) and 2 RHRSW pumps (4,000 gpm each) are more than sufficient to ensure an adequate cooling supply at the design basis temperature of 85 degrees F. Compared to the intake structure design flow of 435,000 gpm, only a small fraction of the intake needs to remain unobstructed to ensure safe shutdown. Therefore, based on engineering judgement, an adequate intake structure suction area, free of frazil ice, is available at all times to support operation of the ESW and RHRSW pumps.

Since the deicing heaters are no longer needed to ensure there is sufficient flow through the intake for the ESW and RHRSW systems to perform their accident mitigation functions as credited in the safety analyses, there is no need to have a TS limiting condition for operation (LCO) or surveillance requirements for the deicing heaters in the JAF Technical Specifications.

Therefore, the proposed change deletes the existing requirements for the deicing heaters from the technical specifications.

4.0 REGULATORY EVALUATION

4.1 Applicable Regulatory Requirements/Criteria The following regulatory requirements have been considered:

Paragraph 50.36(c)(2)(ii) of Title 10 of the Code of Federal Regulations (10 CFR) requires that a technical specification (TS) limiting condition for operation (LCO) be established for each item meeting one or more of four specified criteria [Ref. 1]. Criterion 3 of 10 CFR 50.36(c)(2)(ii) states: A structure, system, or component that is part of the primary success path and which functions or actuates to mitigate a design basis accident or transient that either assumes the failure of or presents a challenge to the integrity of a fission product barrier.

The Emergency Service Water (ESW) and Residual Heat Removal Service Water (RHRSW) systems are designed to provide cooling water for the removal of heat from equipment served by those systems following a Design Basis Accident (DBA) or transient. The ability of the ESW and RHRSW systems to provide adequate cooling for this equipment is an implicit assumption for the safety analyses presented in updated Final Safety Analysis Report (FSAR) Chapters 5 and 14.

As stated in TS Bases B 3.7.2 [Ref. 2], the ESW system, together with the ultimate heat sink (UHS), satisfies Criterion 3 of 10 CFR 50.36(c)(2)(ii). TS LCO 3.7.2, which ensures the functions of the ESW and UHS credited in the safety analyses will be accomplished, requires operability of both divisions of the required deicing heaters when the UHS temperature is 37ºF [Ref. 3].

TS surveillance requirements SR 3.7.2.3, SR 3.7.2.5, and SR 3.7.2.6 require periodic verification that the required deicing heater performance parameters are within limits for each division of deicing heaters when the UHS temperature is 37ºF.

The deicing heaters were installed in the intake bars as part of the original plant design to inhibit the formation of frazil ice on the steel bars, a condition which can occur under certain meteorological and plant operating conditions [Ref. 4]. A buildup of frazil ice on the bars could

License Amendment Request Attachment 1 Secondary Containment Personnel Access Door Openings Page 7 of 10 Docket No. 50-333 Evaluation of Proposed Changes cause a significant reduction in the flow through the intake structure, which could challenge the ability of the ESW and RHRSW pumps to perform their safety functions. Since continued flow through the intake is necessary for the ESW and RHRSW systems to perform their accident mitigation functions, the deicing heaters were a component that was part of the primary success path and which functions to mitigate a design basis accident or transient that either assumes the failure of or presents a challenge to the integrity of a fission product barrier.

In January 2016, the buildup of frazil ice on the intake bars resulted in a lowering of screenwell water level such that a manual trip of the reactor was required [Ref. 5]. Following that event, operating procedures were revised to ensure the potential for frazil ice formation is more closely monitored and that the necessary actions (e.g., tempering, where a portion of the Circulating Water discharge is recirculated back to the entrance to the trash racks to prevent the buildup of ice on the trash racks and traveling screens, downstream of the intake bars) are initiated when appropriate. In addition, an engineering study of the intake system and the hazard posed by icing of the intake bars was undertaken [Ref. 6]. The study concluded that the potential for large debris entering the intake structure and causing damage or blockage was not considered credible and that there was no technical reason to justify the continued use of bars at the intake

- particularly in light of their contribution to the intermittent but costly problem of frazil ice.

On the basis of the results of the engineering study and the improved procedural guidance, two of the original eight bar racks were removed under an engineering change (EC 621217) [Ref. 7].

With the removal of the two bar racks, an adequate intake structure suction area, free of frazil ice, is available at all times to support operation of the ESW and RHRSW pumps. Since the deicing heaters are not needed to ensure there is sufficient flow through the intake for the ESW and RHRSW systems to perform their accident mitigation functions, the deicing heaters do not satisfy Criterion 3 of 10 CFR 50.36(c)(2)(ii).

4.2 Precedent A NRC Agencywide Documents Access and Management System (ADAMS) search was conducted. Only Nine Mile Point Unit 2 was identified as having technical specification requirements for deicing heaters. Ginna has deicing heaters, but there are no technical specification requirements for them. No precedent was found for removal of a similar technical specification at another facility.

4.3 No Significant Hazards Consideration The proposed changes revise the JAF TS to remove the requirement that the UHS Bar Rack Heaters are operable to maintain the UHS operable. Specifically, TS Limiting Condition for Operability (LCO) Condition B. of TS 3.7.2 requires that all divisions of the required deicing heaters are operable when the UHS temperature is < 37 degrees F. This amendment will remove this requirement from TS LCO 3.7.2.

Exelon has evaluated whether or not a significant hazards consideration is involved with the proposed amendment by focusing on the three standards set forth in 10 CFR 50.92, "Issuance of amendment," as discussed below:

1. Does the proposed amendment involve a significant increase in the probability or consequences of an accident previously evaluated?

License Amendment Request Attachment 1 Secondary Containment Personnel Access Door Openings Page 8 of 10 Docket No. 50-333 Evaluation of Proposed Changes Response: No.

The proposed changes have been evaluated to determine the effect on the ability of the UHS to mitigate the consequences as previously evaluated. The resulting evaluation determined that the ability of the UHS to mitigate the consequences of an accident previously evaluated is not reduced by this change. The consequences of an accident previously evaluated with a subsequent loss of the Bar Rack Heaters are no different than the consequences of an accident with the Bar Rack Heaters available and in service. As a result, the consequences of an accident previously evaluated are not significantly increased.

Therefore, the proposed changes do not involve a significant increase in the probability or consequences of an accident previously evaluated.

2. Does the proposed amendment create the possibility of a new or different kind of accident from any accident previously evaluated?

Response: No.

The proposed change does not alter the protection system design, create new failure modes, or change any modes of operation. The proposed change does not involve a physical alteration of the plant; and no new or different kind of equipment will be installed. Consequently, there are no new initiators that could result in a new or different kind of accident.

Therefore, the proposed changes do not create the possibility of a new or different kind of accident from any accident previously evaluated.

3. Does the proposed amendment involve a significant reduction in a margin of safety?

Response: No.

The proposed changes remove the requirement of a support system to be operable to maintain operability of the Ultimate Heat Sink. The Ultimate Heat Sink is required to provide a source of cooling water for the purpose of long term decay heat removal.

Based on Engineering Analysis, there is adequate flow area available, with or without the deicing heaters in service, to provide adequate flow for this purpose. The removal of the Bar Rack Heaters does not significantly impact the ability of the UHS to provide adequate flow of cooling water for decay heat removal. Therefore, the safety function of the Ultimate Heat Sink is not affected.

Therefore, the proposed changes do not involve a significant reduction in a margin of safety.

Based on the above, Exelon concludes that the proposed amendment does not involve a significant hazards consideration under the standards set forth in 10 CFR 50.92(c) and, accordingly, a finding of no significant hazards consideration is justified.

License Amendment Request Attachment 1 Secondary Containment Personnel Access Door Openings Page 9 of 10 Docket No. 50-333 Evaluation of Proposed Changes

5.0 ENVIRONMENTAL CONSIDERATION

A review has determined that the proposed amendment would change a requirement with respect to installation or use of a facility component located within the restricted area, as defined in 10 CFR 20, or would change an inspection or surveillance requirement. However, the proposed amendment does not involve (i) a significant hazards consideration, (ii) a significant change in the types or significant increase in the amounts of any effluent that may be released offsite, or (iii) a significant increase in individual or cumulative occupational radiation exposure.

Accordingly, the proposed amendment meets the eligibility criterion for categorical exclusion set forth in 10 CFR 51.22(c)(9). Therefore, pursuant to 10 CFR 51.22(b), no environmental impact statement or environmental assessment need be prepared in connection with the proposed amendment.

License Amendment Request Attachment 1 Secondary Containment Personnel Access Door Openings Page 10 of 10 Docket No. 50-333 Evaluation of Proposed Changes

6.0 REFERENCES

1. 10 CFR 50.36, Technical specifications
2. JAF TS Bases B 3.7.2
3. JAF TS 3.7.2
4. JAF Updated FSAR Section 12.3.7
5. Root Cause Evaluation for CR-JAF-2016-00243
6. WorleyParsons Report FITZ-1-LI-308008-00186-ALL-0001-R0
7. EC 621217, Removal of Existing Intake Structure Bar-Racks

ATTACHMENT 2 License Amendment Request James A. FitzPatrick Nuclear Power Plant Docket No. 50-333 Proposed Change to the Technical Specifications to Remove Ultimate Heat Sink Bar Rack Heaters from Technical Specifications Proposed Technical Specification Marked-Up Page TS Pages 3.7.2-1 3.7.2-2 3.7.2-3 3.7.2-4

ESW System and UHS 3.7.2 3.7 PLANT SYSTEMS 3.7.2 Emergency Service Water (ESW) System and Ultimate Heat Sink (UHS)

LCO 3.7.2 Two ESW subsystems and UHS shall be OPERABLE.

APPLICABILITY: MODES 1, 2, and 3.

ACTIONS CONDITION REQUIRED ACTION COMPLETION TIME A. One ESW subsystem ----------------NOTE-------------------

inoperable. Enter applicable Conditions and Required Actions of LCO 3.8.1, AC Sources -

Operating, for emergency diesel generator subsystem made inoperable by ESW.

A.1 Restore the ESW 7 days subsystem to OPERABLE status.

B. One division of B.1 Restore the division of 7 days required deicing deicing heaters to heaters inoperable. OPERABLE status AND UHS temperature

< 37oF (continued)

JAFNPP 3.7.2-1 Amendment 274XX

ESW System and UHS 3.7.2 ACTIONS (continued)

CONDITION REQUIRED ACTION COMPLETION TIME CB. Required Action and CB.1 Be in MODE 3. 12 hours1.388889e-4 days <br />0.00333 hours <br />1.984127e-5 weeks <br />4.566e-6 months <br /> associated Completion Time not met. AND OR CB.2 Be in MODE 4. 36 hours4.166667e-4 days <br />0.01 hours <br />5.952381e-5 weeks <br />1.3698e-5 months <br /> Both ESW subsystems inoperable for reasons other than Condition A.

OR UHS inoperable for reasons other than Condition B.

SURVEILLANCE REQUIREMENTS SURVEILLANCE FREQUENCY SR 3.7.2.1 Verify the water level in the ESW pump screenwell In accordance with is > 236.5 ft mean sea level. the Surveillance Frequency Control Program SR 3.7.2.2 Verify the average water temperature of UHS In accordance with is < 85°F. the Surveillance Frequency Control Program (continued)

JAFNPP 3.7.2-2 Amendment 301XXX

ESW System and UHS 3.7.2 SURVEILLANCE REQUIREMENTS (continued)

SURVEILLANCE FREQUENCY SR 3.7.2.3 ---------------------------NOTE--------------------------------

Not required to be met if UHS temperature is > 37oF.

Verify the required deicing heater feeder current is In accordance with within limits for each division of deicing heaters. the Surveillance Frequency Control Program SR 3.7.2.43 ---------------------------NOTE--------------------------------

Isolation of flow to individual components does not necessarily render ESW System inoperable.

Verify each ESW subsystem manual, power operated, In accordance with and automatic valve in the flow paths servicing safety the Surveillance related systems or components, that is not locked, Frequency Control sealed, or otherwise secured in position, is in the Program correct position.

SR 3.7.2.5 ---------------------------NOTE--------------------------------

Not required to be met if UHS temperature is > 37oF.

Verify the required deicing heater power is within limits In accordance with for each division of deicing heaters. the Surveillance Frequency Control Program (continued)

JAFNPP 3.7.2-3 Amendment 301XXX

ESW System and UHS 3.7.2 SURVEILLANCE REQUIREMENTS (continued)

SURVEILLANCE FREQUENCY SR 3.7.2.6 ---------------------------NOTE--------------------------------

Not required to be met if UHS temperature is > 37oF.

Verify the required deicing heater resistance to ground In accordance with is within limits for each division of deicing heaters. the Surveillance Frequency Control Program SR 3.7.2.47 Verify each ESW subsystem actuates on an actual or In accordance with simulated initiation signal. the Surveillance Frequency Control Program JAFNPP 3.7.2-4 Amendment 301XXX

ATTACHMENT 3 License Amendment Request James A. FitzPatrick Nuclear Power Plant Docket No. 50-333 Proposed Change to the Technical Specifications to Remove Ultimate Heat Sink Bar Rack Heaters from Technical Specifications Proposed Technical Specification Bases Marked-Up Page (for information only)

Bases Pages B 3.7.2-2 B 3.7.2-3 B 3.7.2-4 B 3.7.2-5 B 3.7.2-6 B 3.7.2-7

ESW System and UHS B 3.7.2 BASES BACKGROUND eight side openings. Six of the openings are protected with bar racks (continued) spaced at 1 ft centers to block the entrance of large debris. This results in water being taken in at lower levels and prevents the formation of vortices at the surface, thus minimizing the possibility of floating ice being drawn down from the surface. The side intake area is approximately 620 ft2. During normal operation, with a maximum nominal operating flow of 435,000 gpm from three circulating water pumps and two normal service water pumps, the average intake velocity is approximately 1.6 ft per second across the intake bar racks. However, during safe shutdown conditions with only two Residual Heat Removal Service Water (RHRSW) pumps and one ESW pump in operation, the maximum nominal flow is reduced to 10,000 gpm, corresponding to an average intake velocity of 0.04 ft per second.

The formation of frazil ice on the steel bar racks at the intake structure openings is common in northern climates. This kind of ice is formed when meteorological conditions are such that the water is supercooled below its freezing point due to radiational cooling. Under these conditions, frazil ice can form on intake bar racks or spongy masses of this ice, formed in other parts of the lake and carried past an intake by wind-driven currents, can adhere to the bar racks.

Sufficient transport velocity exists to move buoyant frazil ice from the lake surface to the intake structure during normal operation, but not under safe shutdown conditions. If ice formation does occur on the bar racks during normal operation, sufficient local erosion velocities will develop to limit total ice accumulation such that the remaining net clear intake area would be sufficient to meet required safe shutdown flows. In an effort to suppress the formation of frazil ice on the bar racks, each of the 66 rack bars is heated by a deicing heater. Each deicing heater is rated at 1670 +/- 10% watts and is normally energized. Thirty three heaters are powered by one division while the remaining 33 heaters are powered by the other division. The deicing heaters are not adequately sized to prevent frazil ice formation under extreme supercooling conditions, although they will minimize frazil ice formation most of the time.

APPLICABLE Since Lake Ontario is the UHS, sufficient water inventory is SAFETY ANALYSES available for all ESW System post LOCA cooling requirements for a 30 day period. The OPERABILITY of the ESW System is assumed in evaluations of the equipment required for safe reactor shutdown

__________________________________________________________________(continued)

JAFNPP B 3.7.2-2 Revision

ESW System and UHS B 3.7.2 BASES APPLICABLE presented in the UFSAR, Chapters 5 and 14 (Refs. 2 and 3, SAFETY ANALYSES respectively). These analyses include the evaluation of the long term (continued) primary containment response after a design basis LOCA.

The ability of the ESW System to provide adequate cooling to the identified safety equipment is an implicit assumption for the safety analyses evaluated in References 2 and 3. The ability to provide onsite emergency AC power is dependent on the ability of the ESW System to cool the EDGs. The long term cooling capability of RHR and core spray pumps is dependent on the capability of the ESW System to provide cooling to the EDGs as well as the crescent area coolers.

The ESW System, together with the UHS, satisfy Criterion 3 of 10 CFR 50.36(c)(2)(ii) (Ref. 4).

LCO The ESW subsystems are independent of each other to the degree that each has separate controls, power supplies, and the operation of one does not depend on the other. In the event of a DBA, one subsystem of ESW is required to provide the minimum heat removal capability assumed in the safety analysis for the system to which it supplies cooling water. To ensure this requirement is met, two subsystems of ESW must be OPERABLE. At least one subsystem will operate, if the worst single active failure occurs coincident with the loss of offsite power.

A subsystem is considered OPERABLE when it has an OPERABLE UHS, one OPERABLE pump, and an OPERABLE flow path capable of taking suction from the intake structure and transferring the water to the appropriate equipment. OPERABILITY of equipment cooled by the ESW System is based on heat transfer, not flow rates; OPERABILITY of the ESW pumps is based on measured performance remaining within allowable IST Program acceptance criteria.

The OPERABILITY of the UHS is based on having a minimum water level in the screenwell of 236.5 ft mean sea level and a maximum water temperature of 85°F. With UHS temperature 37°F, conditions become increasingly favorable for the formation of frazil ice on the intake structure bar racks during normal operation. Therefore, in an effort to suppress the formation of frazil ice on the intake structure bar racks, at least 18 out of the 33 deicing heaters (each heater producing 1670 +/- 10% watts) in each electrical division are maintained OPERABLE whenever UHS temperature is 37°F.

(continued)

JAFNPP B 3.7.2-3 Revision

ESW System and UHS B 3.7.2 BASES LCO The isolation of the ESW System to components or systems may (continued) render those components or systems inoperable, but does not affect the OPERABILITY of the ESW System.

APPLICABILITY In MODES 1, 2, and 3, the ESW System and UHS are required to be OPERABLE to support OPERABILITY of the equipment serviced by the ESW System. Therefore, the ESW System and UHS are required to be OPERABLE in these MODES.

In MODES 4 and 5, the OPERABILITY requirements of the ESW System and UHS are determined by the systems they support and therefore, the requirements are not the same for all facets of operation in MODES 4 and 5. Thus, LCO 3.7.4, "Control Room AC System," and LCO 3.8.2, "AC Sources - Shutdown," which require the ESW System to be OPERABLE, will govern ESW System operation in MODES 4 and 5.

ACTIONS A.1 With one ESW subsystem inoperable, the ESW subsystem must be restored to OPERABLE status within 7 days. With the plant in this condition, the remaining OPERABLE ESW subsystem is adequate to perform the heat removal function. However, the overall reliability is reduced because a single active component failure in the OPERABLE ESW subsystem could result in loss of ESW function.

The 7 day Completion Time is based on the redundant ESW System capabilities afforded by the OPERABLE subsystem, the low probability of an accident occurring during this time period, and is consistent with the allowed Completion Time for restoring an inoperable EDG subsystem.

Required Action A.1 is modified by a Note indicating that the applicable Conditions of LCO 3.8.1, "AC Sources - Operating," be entered and Required Actions taken if the inoperable ESW subsystem results in an inoperable EDG subsystem. This is in accordance with LCO 3.0.6 and ensures the proper actions are taken for this component.

B.1 With one division of deicing heaters inoperable, the deicing heaters (continued)

JAFNPP B 3.7.2-4 Revision

ESW System and UHS B 3.7.2 BASES ACTIONS B.1 (continued) must be restored to OPERABLE status within 7 days. With the plant in this condition, the remaining OPERABLE division of deicing heaters is adequate to perform the required function. However, the overall reliability of the deicing heaters is reduced.

The 7 day Completion Time is based on the redundant capabilities afforded by the OPERABLE division of deicing heaters, the low probability of an accident occurring during this time period, and is consistent with the allowed Completion Time for restoring an inoperable EDG subsystem.

C.1 and C.2B.1 and B.2 If the ESW subsystem cannot be restored to OPERABLE status within the associated Completion Time, or both ESW subsystems are inoperable, or the UHS is determined inoperable the plant must be placed in a MODE in which the LCO does not apply. To achieve this status, the plant must be placed in at least MODE 3 within 12 hours1.388889e-4 days <br />0.00333 hours <br />1.984127e-5 weeks <br />4.566e-6 months <br /> and in MODE 4 within 36 hours4.166667e-4 days <br />0.01 hours <br />5.952381e-5 weeks <br />1.3698e-5 months <br />. The allowed Completion Times are reasonable, based on operating experience, to reach the required plant conditions from full power conditions in an orderly manner and without challenging plant systems.

SURVEILLANCE SR 3.7.2.1 REQUIREMENTS This SR verifies the water level in the screenwell to be sufficient for the proper operation of the ESW and RHRSW pumps (net positive suction head and pump vortexing are considered in determining this limit). The Surveillance Frequency is controlled under the Surveillance Frequency Control Program SR 3.7.2.2 Verification of the UHS temperature ensures that the heat removal capability of the ESW System is within the assumptions of the DBA analysis. The Surveillance Frequency is controlled under the Surveillance Frequency Control Program (continued)

JAFNPP B 3.7.2-5 Revision

ESW System and UHS B 3.7.2 BASES SURVEILLANCE SR 3.7.2.3, SR 3.7.2.5, and SR 3.7.2.6 REQUIREMENTS (continued) These SRs are modified by a NOTE indicating that these SRs are not required to be met if UHS temperature is > 37°F. Industry experience has shown that frazil ice will not adhere to the bar racks that are above freezing temperatures. Therefore at these elevated temperatures, blockage of the intake is unlikely and the deicing heaters are not required to be OPERABLE.

Verification of the required deicing feeder current in SR 3.7.2.3 and the required deicing heater power in SR 3.7.2.5 will help ensure that adequate heat is being provided at the bar racks to help ensure that frazil ice does not adhere to them. Verification of the required deicing heater resistance to ground in SR 3.7.2.6 is performed to monitor long term degradation of the cable and heater insulations. SR 3.7.2.3 can be performed by measuring the current in all three phases of the feeder cables to each division and ensuring the total current is within limits to confirm that at least 18 deicing heaters are OPERABLE in each division. SR 3.7.2.5 is performed to verify that at least 18 deicing heaters in each division are each dissipating at least 1503 watts (from Vendor Specification 1670 +/-10% watts). The Surveillance Frequency is controlled under the Surveillance Frequency Control Program.

SR 3.7.2.4SR 3.7.2.3 Verifying the correct alignment for each manual, power operated, and automatic valve in each ESW subsystem flow path provides assurance that the proper flow paths will exist for ESW operation. This SR does not apply to valves that are locked, sealed, or otherwise secured in position, since these valves were verified to be in the correct position prior to locking, sealing, or securing. A valve is also allowed to be in the nonaccident position, and yet considered in the correct position, provided it can be automatically realigned to its accident position within the required time. This SR does not require any testing or valve manipulation; rather, it involves verification that those valves capable of being mispositioned are in the correct position. This SR does not apply to valves that cannot be inadvertently misaligned, such as check valves.

(continued)

JAFNPP B 3.7.2-6 Revision

ESW System and UHS B 3.7.2 BASES SURVEILLANCE SR 3.7.2.4SR 3.7.2.3 (continued)

REQUIREMENTS This SR is modified by a Note indicating that isolation of the ESW System to components or systems may render those components or systems inoperable, but does not necessarily affect the OPERABILITY of the ESW System. As such, when all ESW pumps, valves, and piping are OPERABLE, but a branch connection off the main header is isolated, the ESW System may still be considered OPERABLE.

The Surveillance Frequency is controlled under the Surveillance Frequency Control Program.

SR 3.7.2.7SR 3.7.2.4 This SR verifies the automatic start capability of the ESW pump in each subsystem. This is demonstrated by the use of an actual or simulated initiation signal associated with each EDG. In addition, the proper positioning of the ESW supply header isolation valves and the ESW minimum flow valves, upon actual or simulated ESW lockout matrix logic actuation, must be demonstrated in this SR. The LOGIC SYSTEM FUNCTIONAL TEST performed in LCO 3.3.7.3 overlaps this Surveillance to provide complete testing of the assumed safety function. ESW will not be supplied to the Reactor Building Closed Loop Cooling System during the performance of this test to avoid contaminating this system with lake water.

The Surveillance Frequency is controlled under the Surveillance Frequency Control Program.

REFERENCES 1. UFSAR, Section 9.7.1.

2. UFSAR, Chapter 5.
3. UFSAR, Chapter 14.
4. 10 CFR 50.36(c)(2)(ii).

JAFNPP B 3.7.2-7 Revision