ML12230A231

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Attachment 2 - L-12-287, Response to NRC Request for Additional Information Regarding 10 CFR 50.46, 30-Day Report
ML12230A231
Person / Time
Site: Beaver Valley  FirstEnergy icon.png
Issue date: 08/15/2012
From:
FirstEnergy Nuclear Operating Co
To:
NRC Region 1
Shared Package
ML122300367 List:
References
L-12-287, TAC ME8409, TAC ME8410
Download: ML12230A231 (49)


Text

Attachment 2 L-12-287 Response to NRC Request for Additional Information Regarding 10 CFR 50.46, 30-Day Report (Nonproprietary Version)

Page 1 of 43 By letter dated March 16, 2012 (Accession No. ML12079A111), FirstEnergy Nuclear Operating Company (FENOC) submitted a response to a Nuclear Regulatory Commission (NRC) information request made pursuant to 10 CFR 50.54(f) for Beaver Valley Power Station, Unit Nos. 1 and 2 (Accession No. ML120400672). By letter dated May 4,2012 (Accession No. ML121150501), the NRC requested additional information (RAI) to complete its review of FENOC's March 16, 2012 response. The NRC staff requests are presented below in bold type, followed by a nonproprietary version of the response. The Westinghouse Electric Company LLC proprietary information that would have otherwise been contained within the brackets, has been removed from this attachment so that it may be decontrolled.

1. For BVPS, Unit 1, provide a table of data that includes the following Automated Statistical Treatment of Uncertainty Method (ASTRUM) inputs for the Analysis of Record (AOR) and integrated analyses: (1) AOR Run #,

(2) TCD Run #, (3) PCT, (4) Time of PCT, (5) heat flux hot channel factor (Fq), (6) enthalpy rise hot channel factor (FdH), (7) Cycle Burnup, (8) PCT, and time of PCT, for Cases A and B.

Table 1: Beaver Valley Unit 1 thermal conductivity degradation (TCD) Evaluation Run Data a, C

Nonproprietary L-12-287 Page 2 of 43 a,c

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Nonproprietary L-12-287 Page 4 of 43 Table 2: Beaver Valley Unit 1 AOR Run Data a,c

Nonproprietary L-12-287 Page 5 of 43 a,c

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2. For BVPS, Unit 1, please highlight the limiting cases in the ASTRUM run matrices and explain how these cases were chosen. Provide details and explain the approach used to estimate: (1) the effects of TCD, and (2) the compensating model changes. Justify the selection of the number of WCOBRAITRAC cases that were re-executed, as opposed to a larger number of cases.

The cases from the Beaver Valley Unit 1 ASTRUM run matrix that were chosen to assess the effects of TCD are highlighted in the response to NRC RAI question 1.

From the AOR, [

Nonproprietary Attachment 2 L-12-287 Page 9 of 43

] a,e As described in Reference 1, three sets of calculations were performed:

  • Case A: Execute [ ] a,e with reduced peaking factors.
  • Case B: Execute [ ] a,e with the reduced peaking factors assumed in Case A, and TCD fuel parameters. [

] a,e A total of 24 WCOBRAfTRAC runs was performed.

  • Case C: Execute [ ] a,e with TCD fuel parameters and all offsetting margins (reduced peaking factors as assumed in cases A and B, reduced SGTP, and increased containment pressure). [

] a,e A total of 24 WCOBRAITRAC runs was performed.

The effect of TCD on PCT was estimated as the difference between the maximum PCT result of the Case B runs and the maximum PCT result of the Case A runs:

hoPCTTCD =PCTMax,B - PCTMax,A For Beaver Valley Unit 1, hoPCTTeo = 156°F as reported in Reference 1.

The effect of the margins assumed in the evaluation on PCT was estimated from the maximum PCT result of the Case C runs which included all margins, the AOR PCT, and the PCT effect of TCD:

hoPCTMargin = PCTMaX,e - PCTAOR - hoPCTTeO For Beaver Valley Unit 1, hoPCTMargin = -485°F as reported in Reference 1.

As noted above, run117 [

] a,e Selected comparison plots for this case are shown below.

Nonproprietary Attachment 2 L-12-287 Page 10 of 43 a,c In this evaluation, engineering judgment was applied to select a small subset of limiting cases for the purpose of evaluating the effects of the design input margins and TeO on the Beaver Valley Unit 1 large break loss-of-coolant accident peT. The evaluation of TeO and peaking factor burndown supports the full life of the fuel operation.

Nonproprietary L-12-287 Page 11 of 43 a,c Figure 1: Beaver Valley 1 TCD Evaluation, AOR Run117 WCOBRAITRAC Peak Cladding Temperature, 0-500 Seconds After Break

Nonproprietary L-12-287 Page 12 of 43 a,c Figure 2: Beaver Valley 1 TCD Evaluation, AOR Run117 WCOBRAITRAC Peak Cladding Temperature, 0-100 Seconds After Break

Nonproprietary L-12-287 Page 13 of 43 a,c Figure 3: Beaver Valley 1 TCD Evaluation, AOR Run117 Lower Plenum Collapsed Liquid Level

Nonproprietary L-12-287 Page 14 of 43 a,c Figure 4: Beaver Valley 1 TeO Evaluation, AOR Run117 Total Vessel Fluid Mass

Nonproprietary Attachment 2 L-12-287 Page 15 of 43

3. For BVPS, Unit 1, justify the containment pressure changes made to obtain margin. Provide reference to excerpts from the applicable methodologies to clarify the response.

For Beaver Valley Unit 1, WCOBRAITRAC containment pressure boundary condition input changes were made to obtain margin consistent with the other design input updates. With the reduction in maximum SGTP assumed (from 22 percent to 5 percent), the mass and energy releases to the containment correspondingly increased. The COCO code (Reference 2) was used to develop conservatively low containment pressure input in accordance with WCAP-16009-P-A (Reference 3) Sections 11-3-1, 11-4-11, and 12-3-4. WCAP-16009-P-A Section 12-4-2 references application of the COCO code in an ASTRUM analysis. For Beaver Valley Unit 1, the COCO code was used to generate the conservatively low containment pressure response considering first the mass and energy releases from [

] a,e The final WCOBRAITRAC containment pressure input used in the evaluation is conservatively low considering the reduced level of steam generator tube plugging.

4. For BVPS, Unit 2, justify the evaluation of reduced peaking factors at beginning-of-life conditions to obtain analytic margin to offset the TCD effect. Show that peaking factor reductions affect PCT in a manner that is substantially independent of fuel burnup.

The maximum peaking factors considered in the Large Break LOCA (LBLOCA) analysis exceeded the allowable operating values documented in the core operating limits report (COLR). As such, a reduction of the peaking factors to the plant operation limits was readily available margin to offset the impact of fuel pellet TCD since the plant could not operate at the analyzed power peaking.

The effect of peaking factors is integral to the burnup of the fuel, due to the decrease in maximum peaking that can be achieved by an assembly with increasing burnup. Beginning with the AOR, the maximum peaking factors were reduced (values shown in Reference 1) to establish a baseline for estimation purposes. The estimate of effect for fuel pellet TCD then considered continuous functions of peaking factors versus burnup (values shown in Reference 1), starting at the reduced values for beginning-of-life (BOL). This approach was used to explicitly and appropriately consider the peaking factor limits as a function of burnup, rather than treating the peaking factor reductions independently of burnup.

Nonproprietary L-12-287 Page 16 of 43

5. The submittal dated March 16, 2012, references a March 7, 2012, letter sent by Westinghouse Electric Company (Westinghouse) to the NRC 1
  • Regarding this letter, please answer the following:
a. The final paragraph on Page 2 of 9 of the Enclosure (L TR-NRC-12-27 NP[P]-

Enclosure) refers to small differences in fuel characteristics that were claimed to be compared. The paragraph also discusses confirmatory evaluations concluding that other operating characteristics were acceptable. Provide the results of this comparison for BVPS, Units 1 and 2, including the relevant conclusions and the technical basis supporting those conclusions. For any conclusion that differences in a particular fuel or operating characteristic are offset by other conservatisms, list those conservatisms and provide a quantitative estimate of each conservatism, as well as a brief description of the rigor associated with that estimate.

The key fuel parameters used for fuel temperature analyses were compared to a TCD analysis of a representative rod type. [

] a,e The specifics of the comparison for Beaver Valley Units 1 and 2 are as follows.

Table 3: Beaver Valley Units 1 and 2 Comparison of Plant B and Beaver Valley PAD Data Parameters

~c The Westinghouse letter, and a non-proprietary version of its enclosure, may be found at ADAMS Accession No. ML12072A035.

Nonproprietary L-12-287 Page 17 of 43 a,c

Nonproprietary L-12-287 Page 18 of 43

b. Please provided the values for the coefficients used in the PAD 4.0+ TeO uranium dioxide thermal conductivity equation.

The functional form used to model TeO [

] a,e is as follows:

a,c

Nonproprietary Attachment 2 L-12-287 Page 19 of 43

c. Please explain any error corrections, code improvements, and miscellaneous code cleanup between the WCOBRAITRAC and HOTSPOT code versions used in the TCD evaluations and those used in the plant's AOR.

Responses to questions 5c and 5d are provided together.

d. What is the thermal conductivity model impact of code version changes in HOTSPOT, as described on page 5 of 9 of the. Enclosure (L TR-NRC-12-27 NP-Enclosure)?

Responses to questions 5c and 5d are provided together.

For Beaver Valley Unit 1, the WCOBRAITRAC and HOTSPOT code versions used in the evaluation of fuel pellet TCD do not include any error corrections, code improvements, or model changes from the AOR code versions.

For Beaver Valley Unit 2, the error corrections, code improvements, and miscellaneous code cleanup between the WCOBRAfTRAC and HOTSPOT code versions used in the AOR versus the evaluation of fuel pellet TCD are described in Table 4. The addition of a fuel conductivity model appropriate for the TCD evaluations was incorporated into WCOBRAITRAC and HOTSPOT as discussed in LTR-NRC-12-27 (Reference 4).

For Beaver Valley Unit 2, the error corrections and code improvements referenced in the prior paragraph do not impact the thermal conductivity model. It is more appropriate to estimate the effect of TCD using code versions with these changes because the impact of TCD on the PCT may be affected by the corrections in the updated code versions (for example, the fuel relocation model correction in HOTSPOT).

Table 4: Beaver Valley Unit 2 Error Corrections and Code Improvements Background Estimated Effect 1 WCOBRAITRAC allows metal structures to be modeled Best Estimate WCOBRAITRAC as either a heated conductor in which axial conduction calculation models do not use heated is calculated or as an unheated conductor in which conductors with tube geometry. This error axial conduction is assumed to be relatively does not occur for unheated conductors unimportant. The geometry of either conductor can be using the tube geometry type. Therefore, a wall, a tube, or a rod. In PWR models, heated no estimated PCT effect is required to be conductors with rod geometry are used for fuel rods assessed. This information was originally only. Other metal structures are modeled using provided in a Westinghouse report dated unheated conductor types. It has been discovered that April 8, 1998.

no heat is transferred to the inside channel of a heated conductor if it is modeled with a tube geometry. This was determined to be a non-discretionary change as described in Section 4.1.2 of WCAP-13451.

Nonproprietary Attachment 2 L-12-287 Page 20 of 43 Background Estimated Effect 2 A coding error has been identified in the initial outside The error was found to have no effect for oxidation thickness array used for fuel rods. The error standard BELOCA analyses that follow was an incorrect index for storage of the oxide the published guidance material for input thickness for each fuel rod. Coding used the rod of this variable. The error also did not number index instead of the rod type index. This issue affect any test simulations performed to was determined to be a non-discretionary change in support the licensing of the BE Evaluation accordance with Section 4.1.2 of WCAP-13451. Model. Thus, there was found to be no instance of use of erroneous oxidation thickness and there is no PCT impact for this error. This information was originally provided in a Westinghouse report dated March 13, 2002. The error has since been corrected.

3 An error was discovered in WCOBRAITRAC whereby At the beginning of the transient power used in normalization of moderator density calculation, the difference in weighted weighting factors was double-accounted for channels density is less than 1% for all plant types.

with multiple simulated rods. The error biases the This difference is similar to the density average moderator density to be slightly higher, difference between (2250 psia, 586°F) resulting in slightly higher power generation in the hot and (2250 psia, 588.8°F) thermodynamic rod. The error is qualitatively conservative, however, state points. The difference in average quantitatively insignificant. This issue was determined moderator density affects the reactivity.

to be a non-discretionary change in accordance with The difference in reactivity at the Section 4.1.2 ofWCAP-13451. beginning of the transient is negligible. As the transient progresses, with voiding of the core, the strong negative reactivity dominates. Therefore, it was estimated that the error has O°F PCT impact on plant calculations. This information was originally provided in a Westinghouse report dated March 13, 2002.

4 Section 6-3-6 of WCAP-12945-P-A indicates that the The homogeneous nucleation minimum film boiling temperature calculation for one- temperature exceeds the minimum film dimensional components is calculated as the maximum boiling temperature predicted by the Iloeje of the homogeneous nucleation temperature and that correlation for pressures less than about predicted by the 1I0eje correlation. The comparison of 100 psia. Therefore, this error could only these two correlations is made if a flag (ITMI N) is set potentially have an effect until the system greater than zero. Otherwise, the homogeneous pressure drops below about 100 psia, nucleation temperature is used. It was found that ITMIN which typically occurs within 20-30 was not initialized, resulting in the 1I0eje correlation not seconds. Examination of a typical PWR being considered. This error has the potential to affect transient indicated that the transition the heat transfer calculations in the steam generator boiling regime occurs in the steam tubes of the STGEN component. The coding was generator tubes for only a few seconds corrected to be consistent with the description in during blowdown. Given the short period Section 6-3-6. This coding change was determined to of time in the transition boiling regime, be a non-discretionary change in accordance with and relatively small difference between Section 4.1.2 ofWCAP-13451. the homogeneous nUcleation temperature and the Iloeje correlation results during this time period, it is concluded that the

Nonproprietary Attachment 2 L-12-287 Page 21 of 43 Background Estimated Effect effect of the error is small enough to be considered negligible. Therefore, the estimated effect of this error correction is OaF. This information was originally provided in a Westinghouse report dated March 7, 2003.

5 Section 5-3-5 of WCAP-12945-P-A indicates that Superheated liquid is not expected to be condensation in specified one-dimensional components present in the affected components for is suppressed if the pressure drops significantly below any significant portion of a large break the containment pressure, using Equation 5-95a. This LOCA. A sensitivity study was performed ramp was erroneously applied to the interfacial heat using a PWR model in which the transfer for superheated liquid, affecting the condensation ramp was applied. It was evaporation process as well as the condensation due to confirmed that the effect of the error subcooled liquid. The coding has been corrected, so correction on the peak cladding that it is applied to condensation conditions only. This temperature was negligible. Therefore, coding change was determined to be a non- the estimated effect of this error discretionary change in accordance with Section 4.1.2 correction is OaF. This information was of WCAP-13451. originally provided in a Westinghouse report dated March 7, 2003.

6 The cladding axial thermal expansion enters into the Rod internal pressures vary on the order calculation of the fuel rod internal pressure, via the of several hundred psi prior to burst, time-dependent gas plenum volume (Equation 7-46 of primarily as a result of changes in the WCAP-12945-P-A). Equation 7-39 shows how the temperatures of the various gas volumes cladding axial thermal expansion over the length of the (plenum, pellet-clad gap, effective rod is calculated. Table 7-1 shows that the cladding porosity, and so forth). Correction of the axial thermal expansion is based on a linear cladding axial thermal expansion error interpolation scheme over a temperature range of affects the rod internal pressure transient 1073-1273°K. The CALL statement for the interpolation by only a few psi. This change is subroutine had a typographical error in one of the considered negligible, and the estimated arguments, such that the axial thermal expansion was effect on plant calculations is OaF. This evaluated incorrectly. The error was corrected. This information was originally provided in a coding change was determined to be a non- Westinghouse report dated discretionary change in accordance with Section 4.1.2 March 7,2003.

of WCAP-13451 .

7 Equation 8-45 of WCAP-12945-P-A shows the neutron The neutron capture correction factor is a capture correction factor specified by the ANSI/ANS multiplier slightly larger than unity, which 5.1-1979 standard. The time after shutdown term, t, increases with time after shutdown. The was incorrectly programmed to use the total calculation error resulted in a longer time after time, including the steady state calculation. The coding shutdown, which is slightly conservative.

has been corrected so that it is defined as the time after The effect of the error correction was initiation of the break. This coding change was estimated by evaluating Equation 8-45 of determined to be a non- discretionary change in WCAP-12945-P-A, using typical analysis accordance with Section 4.1.2 of WCAP-13451. values. The results indicated that the G multiplier is reduced by about 0.4% with the correction, which would cause the total decay heat energy to be reduced by about 0.4%>. This change is considered negligible, and the estimated effect on

Nonproprietary L-12-287 Page 22 of 43 Background Estimated Effect plant calculations is OaF. This information was originally provided in a Westinghouse report dated March 7, 2003.

8 While modeling a pump suction leg break, it was Design basis analyses are performed for discovered that a divide by zero can occur if the pump the most limiting break location, which is speed goes to zero during the reversal. Logic was in the cold leg, between the pump and the added to branch to the reverse flow coding if the speed vessel inlet nozzle. The rotation of the is zero. Cold leg breaks, in which the flow is always pump is in forward direction for cold leg forward, are considered in design basis analyses. breaks, such that the rotation is not Therefore, this coding change was determined to be a reversed. Therefore, this error has no discretionary change in accordance with Section 4.1 .1 effect on PWR large break LOCA design of WCAP-13451. basis analyses. This information was originally provided in a Westinghouse report dated March 7, 2003.

9 WCOBRAITRAC contains an option to apply a built-in As noted above, the built-in decay heat decay heat uncertainty based on the ANSIIANS 5.1- uncertainty option is not used in the 1979 Standard. Use of this option resulted in the affected evaluation models. Therefore, application of the uncertainty to the prompt fission this error has no effect on PWR large energy in addition to the decay heat energy. The built- break LOCA design basis analyses. This in decay heat uncertainty option is not used in the information was originally provided in a current Westinghouse Best Estimate Large Break Westinghouse report dated LOCA Evaluation Models (1996 and 1999 versions). March 7, 2003.

However, it will be used in a future methodology improvement. Therefore, this coding change was determined to be a discretionary change in accordance with Section 4.1.1 of WCAP-13451.

10 Entrainment during downward flow is calculated as The nodalization used in PWR analyses described in Section 4-6-4 of WCAP-12945-P-A. An and the test simulations used to establish orifice entrainment model is used if the void fraction is code and model uncertainties precluded greater than 0.8, and if there is an area expansion of this error from occurring. Therefore, this greater than five percent in the downflow direction. error has no effect on PWR large break There was a coding error that would result in the orifice LOCA design basis*analyses. This entrainment model being bypassed if there was information was originally provided in a channel splitting (one channel above two or more Westinghouse report dated channels below). This error was corrected. A review of March 7,2003.

the nodalization used in PWR analyses and test simulations indicated that only the G-2 test predictions were potentially affected by this error. The G-2 test predictions were not used to establish any of the uncertainty distributions used in the methodology.

Therefore, this coding change was determined to be a discretionary change in accordance with Section 4.1.1 of WCAP-13451 .

Nonproprietary Attachment 2 L-12-287 Page 23 of 43 Background Estimated Effect 11 Input parameter MSIM identifies the last cell number in Plant specific calculations were each simultaneous solution group for the three- performed to estimate the PCT effect of dimensional vessel component. A survey of this error for the two analyses affected. It WCOBRAITRAC input decks identified two plant was confirmed that the fundamental models and one test simulation model in which the LOCA transient characteristics (for MSIM input value was less than the total number of example, blowdown cooling and reflood cells in the vessel. This resulted in an incomplete turnaround timing and behaviors) were solution matrix. An input diagnostic check has been unchanged by the error correction. The added to prevent future occurrences. This input reference double-ended guillotine break correction was determined to be a non-discretionary was used to develop the PCT change in accordance with Section 4.1.2 of WCAP- assessments for each plant. The test 13451. simulation model affected by this error was also corrected, and the transient calculation repeated. It was found that the error correction had no significant effect on the calculation results, and the prior validation conclusions remain valid. This information was originally provided in a Westinghouse report dated March 25, 2004.

12 Westinghouse submitted a revised treatment of At the time the error was identified, it was uncertainties for its Large Break LOCA evaluation determined that it had no effect on models, for NRC review and approval. The Automated existing analyses. This information was Statistical Treatment of Uncertainties Methodology is originally provided in a Westinghouse described in WCAP-16009-P. As part of the report dated March 25, 2004.

implementation of the revised methodology, enhancements were introduced that help to automate convergence of the steady state solution to the desired set of conditions, as well as automating the restart process for beginning the LOCA transient. These changes were determined to be discretionary changes in accordance with Section 4.1.1 of WCAP-13451.

13 A number of coding changes were made as part of None of these changes affect the results normal code maintenance. These include of design basis analyses. Therefore, the improvements in user flexibility for non-standard (non- estimated effect is zero. This information design basis) analyses, and enhancements in the was originally provided in a Westinghouse information available via output edits or for plotting report dated March 25, 2004.

purposes. All of these changes are considered to be discretionary changes in accordance with Section 4.1.1 of WCAP-13451.

Nonproprietary L-12-287 Page 24 of 43 Background Estimated Effect 14 Correction of modeling inconsistencies and input errors An estimate of the PCT effect of the in the LOFT input decks have resulted in a change in revised blowdown heatup CDF was the predicted peak cladding temperature transients. performed for the 1996 and 1999 Revised analyses of the LOFT and ORNL tests were evaluation models by calculating the performed using the current version of impact on the reference transient for WCOBRAITRAC. As a result of this re-analysis, revised representative 2-, 3-, and 4-loop plants.

blowdown heatup heat transfer coefficients were The estimates bound all of the 95 th developed and the revised cumulative distribution percentile HOTSPOT results. Estimates function (CDF) was programmed into a new version of of the effect of the revised overall code HOTSPOT. The revised CDF was previously reported uncertainty for blowdown were made on a to the NRC on February 3, 2004. The overall code plant-specific basis by repeating the uncertainty for blowdown was also recalculated and MONTECF analysis for those plants that programmed into a new version of MONTECF. The track the blowdown period. This overall code uncertainty for reflood was not affected. information was originally provided in a These corrections were determined to be Non- Westinghouse report dated Discretionary changes in accordance with Section 4.1.2 April 11, 2005.

of WCAP-13451.

15 The HOTSPOT code was modified to be compatible None of these changes affect the results with the Automated Statistical Treatment of Uncertainty of design basis analyses performed with Methodology (ASTRUM, described in WCAP-16009-P- these evaluation models. Therefore, the A). An option is used to trigger the ASTRUM estimated effect is O°F. This information HOTSPOT technique (single iteration mode) or the was originally provided in a Westinghouse Monte Carlo mode used in the previous Best Estimate report dated April 11, 2005.

Large Break LOCA evaluation models. These changes were considered to be discretionary changes in accordance with Section 4.1.1 of WCAP-13451.

16 A number of coding changes were made as part of None of these changes affect the results normal code maintenance. Examples include correction of design basis analyses. Therefore, the of debug plots not used in design analyses, and estimated effect is O°F. This information improved consistency between the HOTSPOT nominal was originally provided in a Westinghouse PCT (not used in the uncertainty analysis) and report dated April 11, 2005.

WCOBRAITRAC PCT. All of these changes are considered to be discretionary changes in accordance with Section 4.1.1 of WCAP-13451.

17 Under certain conditions, the iteration scheme to The prior inconsistencies between the calculate an average fuel temperature in HOTSPOT WCOBRAITRAC temperature and the converged slowly, exceeding the maximum iteration HOTSPOT average fuel temperature count. This led to an average fuel temperature always resulted in a higher HOTSPOT calculation that was inconsistent with the average fuel temperature. Therefore, a WCOBRAITRAC temperature for calculating the stored O°F impact is conservatively assigned for energy in the fuel. A revised iteration scheme, based 10 CFR 50.46 reporting purposes. This on a combination of a secant method and a parabolic information was originally provided in a interpolation with a bracketing scheme, was Westinghouse report dated implemented to resolve the non-convergence issue. March 16, 2006.

This change is considered to be a discretionary change in accordance with Section 4.1.1 of WCAP-13451.

Nonproprietary Attachment 2 L-12-287 Page 25 of 43 Background Estimated Effect 18 The radial power profile of fuel pellets was previously At the time the error was identified, it was assumed to be uniform when setting up the conduction determined that it had no effect on network over the fuel pellet in HOTSPOT. However, the existing analyses. This information was accuracy of this approximation decreases for highly originally provided in a Westinghouse burned fuel since the radial power profile tends to report dated March 16, 2006.

increase from the center towards the outside of the fuel pellet at higher burnups. As such, an option was added in HOTSPOT to use a non-uniform radial power profile consistent with the WCOBRAITRAC code. These changes were considered to be discretionary changes in accordance with Section 4.1.1 of WCAP- 13451.

19 A number of coding changes were made as part of None of these changes affect the results normal code maintenance. Examples include more of design basis analyses. Therefore, the descriptive file naming, improved automation in the estimated effect is O°F. This information ASTRUM codes, and improved input diagnostics in the was originally provided in a Westinghouse WCOBRAITRAC code. All of these changes are report dated March 16, 2006.

considered to be discretionary changes in accordance with Section 4.1.1 of WCAP-13451.

20 A number of coding changes were made as part of The nature of these changes leads to an normal code maintenance. Examples include additional estimated PCT impact of O°F. This information in code outputs, improved automation in the information was originally provided in a ASTRUM codes, increased WCOBRAITRAC code Westinghouse report dated May 15, 2007.

dimensions, and general code cleanup. All of these changes are considered to be discretionary changes in accordance with Section 4.1.1 of WCAP-13451.

21 In the axial node where burst is predicted to occur, a 1996 and 1999 BELOCA evaluation fuel relocation model in HOTSPOT is used to account models analyses were assessed on a for the likelihood that additional fuel pellet fragments plant-specific basis, via the HOTSPOT above that elevation may settle into the burst region. It reanalysis of a representative was discovered that the effect of fuel relocation on local WCOBRAITRAC case using the linear heat rate was being calculated but then cancelled corrected code version at the burst out later in the coding. This change represents a non- elevation/burst model enabled sub-case.

discretionary change in accordance with Section 4.1.2 The HOTSPOT 95% probability PCT of WCAP-13451. results were used to establish the plant-specific PCT penalty. This information was originally provided in a Westinghouse report dated May 15, 2008.

e. Explain the differences between the HOTSPOT and PAD thermal conductivity models and the impact of those differences. The NRC staff requests that graphs or other quantified descriptions that aid in explanation be provided.

For the fuel TCD evaluation, PAD 4.0+ TCD was used to generate the initial maximum fuel average temperature input into WCOBRAfTRAC and HOTSPOT. The PAD 4.0+ TCD fuel thermal conductivity equation, for fuel at a nominal density of 95 percent theoretical density is

Nonproprietary L-12-287 Page 26 of 43 given in LTR-NRC-12-27 (Reference 4) with the coefficients provided in response to part b of this RAI and repeated below.

a,c For the TCD evaluation, WCOBRAffRAC and HOTSPOT used a fuel thermal conductivity model based on [

] a,e For fuel at a nominal density of 95 percent theoretical density, the model in WCOBRAffRAC and HOTSPOT is given in LTR-NRC-12-27 (Reference 4) and repeated below.

a,c

Nonproprietary L-12-287 Page 27 of 43 The functional form and units between the two models are different. For ease of comparison, the degradation terms (f(Bu) in both equations) are compared in Figure 5 at burnups of 20, 40 and 65 GWD/MTU. As seen from Figure 5, [

Figures 6 through 9 compare the overall fuel thermal conductivity models at burnups of 0, 20, 40 and 65 GWD/MTU, respectively. Also included in the figures is a comparison with the FRAPCON 3.4 thermal conductivity model (Reference 5). As seen from the figures, [

For a given maximum fuel average temperature and burnup, the differences between the PAD 4.0+ TCD and WCOBRAITRAC and HOTSPOT fuel thermal conductivity models [

] a,e Figure 5: Fuel Thermal Conductivity Degradation Model Comparison a,c

Nonproprietary L-12-287 Page 28 of 43 Figure 6: Fuel Thermal Conductivity Model Comparisons - 0 GWO/MTU a,c Figure 7: Fuel Thermal Conductivity Model Comparisons - 20 GWO/MTU a,c

Nonproprietary L-12-287 Page 29 of 43 Figure 8: Fuel Thermal Conductivity Model Comparisons - 40 GWO/MTU a,c Figure 9: Fuel Thermal Conductivity Model Comparisons - 65 GWO/MTU a,c

Nonproprietary L-12-287 Page 30 of 43

f. Please provide additional detail concerning the steady-state ASTRUM/CQD

[Code Qualification Document] initialization process. In particular, please explain what fuel characteristics are adjusted within the applicable models to obtain convergence among HOTSPOT, WCOBRA-TRAC, and PAD 4.0+TCD.

The following parameters in WCOBRAITRAC are used to determine steady-state convergence, as discussed in Section 20-5 of WCAP-12945-P-A (Reference 6) and Section 12-4-1 of WCAP-16009-P-A (Reference 3).

a,c

Nonproprietary L-12-287 Page 31 of 43 a,c

Nonproprietary L-12-287 Page 32 of 43 a,c

Nonproprietary L-12-287 Page 33 of 43 Table 5: Initial Gap Thickness and Average Fuel Temperature Comparison for Sample 17x17 Plant a, C Table 6: Initial Gap Thickness and Average Fuel Temperature Comparison for Sample 15x15 Plant a, C

Nonproprietary L-12-287 Page 34 of 43 Table 7: HOTSPOT and WCOBRAITRAC Steady-State Gap Heat Transfer Coefficient and Average Fuel Temperature Comparison for Sample 17x17 Plant a, C Table 8: HOTSPOT and WCOBRAITRAC Steady-State Gap Heat Transfer Coefficient and Average Fuel Temperature Comparison for Sample 15x15 Plant a,c

Nonproprietary L-12-287 Page 35 of 43 Figure 10: WCOBRAITRAC and HOTSPOT Cladding Temperature Comparison for 17x17 Plant a,c Figure 11: WCOBRAITRAC and HOTSPOT Cladding Temperature Comparison for 15x15 Plant a,c

Nonproprietary Attachment 2 L-12-287 Page 36 of 43

6. Please explain how the changed design values will be verified during operation of the plant, i.e., Technical Specification limits, Surveillances, etc. Also, explain what compensatory actions will be taken if a value is found to be outside of the limits assumed in the analysis.

As described in Reference 1, the following input parameter changes were included in the integrated evaluation to determine the impact of TCD for Beaver Valley Unit 1:

  • reduction in transient FQ, including uncertainties, from 2.52 to 2.4
  • reduction in steady-state FQ, without uncertainties, from 2.2 to 1.8
  • reduction in FDH, including uncertainties, from 1.75 to 1.62
  • corresponding reduction in hot assembly average power, including uncertainties
  • reduction in upper bound steam generator tube plugging from 22 percent to 5 percent
  • increase in the conservatively low assumed containment pressure boundary condition to address the decrease in steam generator tube plugging and existing margin For Beaver Valley Unit 2, the following input parameter changes were included in the integrated evaluation to determine the impact of TCD, as described in Reference 1:
  • reduction in transient FQ, including uncertainties, from 2.52 to 2.4
  • reduction in steady-state FQ, without uncertainties, from 2.1 to 1.8
  • reduction in FDH, including uncertainties, from 1.75 to 1.62
  • corresponding reduction in hot assembly average power, including uncertainties As stated in the response to RAI question 4 for Beaver Valley Unit 2 and applicable also to Beaver Valley Unit 1, the maximum peaking factors considered in the Large Break LBLOCA AOR exceeded the allowable operating limits of transient FQ equal to 2.40 and FDH equal to 1.62 documented in the COLR for each Beaver Valley Unit. As such, a reduction of the peaking factors to the plant operation limits was available margin used to offset the impact of TCD since the plant could not operate at the analyzed power peaking. Therefore, no changes to the COLRs were required to support these input parameter changes.

Of the fuel peaking factor design values, the transient FQ and FDH parameters have specific limits specified in the applicable COLR and Technical Specification surveillance requirements. If the surveillance limits were determined to not be met, the applicable action statements would be followed. This may involve a reduction in core power and reactor trip setpoints.

Nonproprietary Attachment 2 L-12-287 Page 37 of 43 The steady-state FQ and hot assembly average power parameters do not have associated COLR limits or surveillances but are confirmed to be met during the reload process. If any of these peaking factor limits were determined to be not met during the reload process, either an evaluation would be performed to determine the impact on the safety analyses or the core design would be changed to meet the limits.

An additional assumption regarding core design peaking factors was included in the evaluation of the impact of TCD. Since the TCD impact increases at higher core burnup conditions, it was necessary to evaluate the impact at burnups associated with those beyond the AOR conditions analyzed. The range of burnups evaluated encompasses that expected for higher power assemblies well into the second cycle of operation. At higher burnup conditions, the associated capability of the hottest assemblies to reach maximum peaking factor power levels is diminished due to the loss of reactivity in the fuel at high burnup conditions. Therefore, burnup limits were reduced as described in Reference 1 (peaking factor versus rod burnup) at the higher burnup conditions and used in the evaluation of the impact of TCD. These reduced peaking factors at high burnup conditions constitute a core design constraint and will be confirmed to be met during the core design process similar to other limits.

Reactivity and power distribution measurements are performed periodically during the cycle as required by Technical Specifications 3.1.2, "Core Reactivity," 3.2.1, "Heat Flux Hot Channel Factor FQ(Z)," and 3.2.2 , "Nuclear Enthalpy Rise Hot Channel Factor (F N~H)," to verify that core reactivity and peaking factors are within their respective design limits. Measured power distributions and core reactivity are also compared against predicted power distributions and core reactivity. These comparisons, when coupled with startup physics testing results following refueling, are used to verify the core design model and to demonstrate the core is operating as designed. This confirmation provides confidence in the predictive capability of the core design model used to verify LBLOCA accident analysis input assumptions and its ability to predict core performance. If the core is determined to not be operating as designed, an evaluation would be performed to assess analysis margins, understand the reasons for the deviation, and make appropriate adjustments on a case-by-case basis to plant operations or setpoints to ensure operation within LBLOCA analysis limits.

For Beaver Valley Unit 1, the maximum upper bound steam generator tube plugging assumption was changed. This input parameter has no associated Technical Specification limit or surveillance requirement. Technical Specification 5.5.5, "Steam Generator (SG) Program," addresses steam generator tube structural integrity and leakage criteria only. Adherence to safety analysis assumptions regarding the number of tubes plugged is confirmed during the core reload process. At the beginning of each reload design cycle, the Westinghouse core design team issues a questionnaire to FENOC that includes a request for information regarding plant changes planned for the upcoming cycle. One of the parameters requested is the anticipated steam generator

Nonproprietary Attachment 2 L-12-287 Page 38 of 43 tube plugging levels for the specific design cycle. A response is provided by FENOC and reviewed by Westinghouse during the reload process for impact on the LOCA analyses. If the steam generator tube plugging was projected to exceed the analyzed limits, then additional analyses may be required to support the core reload safety evaluation for that and future cycles. Additionally, the steam generator tube plugging limits are documented on the steam generatoftubesheet drawings that track which tubes are plugged and the total number of tubes plugged. The drawings contain a reference to identify the basis for the tube plugging limit.

Also for Beaver Valley Unit 1, the containment pressure boundary condition was changed (increased) for the integrated evaluation. The containment boundary condition in the AOR contained margin from the actual COCO containment code output. Since increasing the containment pressure boundary condition has a beneficial effect on PCT, it was decided to recover a portion of this margin for this evaluation to show a more realistic result. Additionally, the assumption of lower steam generator tube plugging also has the effect of increasing the containment pressure profile and this was also included in the evaluation as discussed in the response to RAI question 3. There are no associated Technical Specification limits or surveillance requirements for containment pressure boundary conditions other than initial conditions in Technical Specifications 3.6.4, "Containment Pressure," and 3.6.5, "Containment Air Temperature," and associated surveillance requirements. In addition to containment initial conditions, there are many parameters that make up the conservative back pressure analysis, which provides input to the LBLOCA analyses. Control of the inputs is maintained through design control processes, which require interface between design organizations for all plant changes. Changes, for example, which may impact the inventory of structural heat sinks in the containment and impact LBLOCA pressure boundary conditions, would be evaluated by FENOC to determine if a re-analysis is needed. Typically, these types of changes would only result from planned plant changes during refueling outages and no periodic surveillance is warranted.

7. At the bottom of Pages 1 and 5 of Attachment 2 to the letter dated March 16, 2012, it is stated that "FirstEnergy Nuclear Operating Company and its vendor Westinghouse, utilize processes which ensure that the LBLOCA [Large Break Loss-of-Coolant Accident] analysis input values conservatively bound the as-operated plant values for those parameters."

Please explain these processes.

FENOC and its vendor, Westinghouse Electric Company LLC, ensure the LOCA analysis input values conservatively bound the as-operated plant values for the relevant parameters via the fuel reload process. The purpose of the fuel reload process is to evaluate the plant changes resulting from the loading of different or new fuel into the core. As described in WCAP-9272-P-A (Reference 7), the evaluations performed for the fuel reload support a licensing approach under the regulation of 10 CFR 50.59.

Nonproprietary L-12-287 Page 39 of 43 Safety analyses generally analyze the relevant parameters in a bounding direction compared to the expected operational values. The generic fuel reload evaluation approach relies upon the bounding approach in which safety analyses are performed to accommodate the plant changes resulting from different or new fuel in the core without requiring new safety analyses.

As part of the reload evaluation, the LOCA analyst generates a list of important parameters to the LBLOCA analysis that show a fuel reload dependency and identifies the values of those parameters supported by the LBLOCA licensing basis analyses and evaluations. The parameters are confirmed to support the reload core design or are evaluated with respect to the LBLOCA analysis.

Separate from the fuel reload process, plant changes that may impact the LBLOCA analysis are identified to Westinghouse as needed, and 10 CFR 50.46 evaluations are performed as necessary. During the reload process, a summary of plant changes that have occurred since the previous cycle and changes planned for the upcoming cycle is provided by FENOC to Westinghouse. Westinghouse reviews those changes identified by FENOC to ensure the non-reload related parameters analyzed in the LBLOCA analysis, and therefore the LBLOCA analysis, remain applicable. For example, steam generator tube plugging level is one such non-reload related parameter reviewed as part of the reload analysis to ensure that the LBLOCA analysis remains applicable.

8. Based on the NRC's review of the March 16, 2012, submittal it appears that the licensee has revised inputs to a method of evaluation as described in the final safety analysis report (as updated) used in establishing the design bases or in the safety analyses.

Revision 1 to [Nuclear Energy Institute] NEI 96-07, "Guidelines for 10 CFR 50.59 Implementation," Section 3.8, "Input Parameters," provides clarifying information concerning whether an input parameter is considered to be an element of a methodology for the purposes of addressing the applicable requirements found at 10 CFR 50.59, "Changes, Tests, and Experiments."

Address whether the methodology permits the licensee to establish how to select the value of an input parameter to yield adequately conservative results and whether the revised value is more conservative than that required by the selection method.

Also, address whether any of the changes (i.e., to the U02 thermal conductivity equation) constitutes a change in the calculation framework used for evaluating behavior or response of a system, structure or component. Explain whether, and how, 10 CFR 50.59(c)(4) might apply to such a change.

Nonproprietary Attachment 2 L-12-287 Page 40 of 43 Westinghouse currently employs two best estimate Evaluation Model (EM) methodologies for analysis of the LBLOCA in pressurized water reactors (PWRs) at Beaver Valley:

.. 1996 Westinghouse Best Estimate LBLOCA Evaluation Model (Code Qualification Document (CQD) EM, Reference 6)

.. 2004 Westinghouse Realistic LBLOCA Evaluation Model using ASTRUM (Automated Statistical Treatment of Uncertainty Method) (ASTRUM EM, Reference 3)

In application of a Westinghouse best estimate large break LOCA methodology to a plant analysis, Westinghouse works with the licensee to establish several parameter values input to the specific analysis per the NRC - approved evaluation model requirements (including applicability restrictions specified by the NRC in their safety evaluation reports (SERs)). The licensee is permitted to establish the values of these parameters on the basis of plant-specific considerations; as such they are input to the methodology and not part of the methodology, as defined in NEI 96-07 Revision 1 (Reference 8) Section 3.8. The input parameter values may be selected conservatively in order to support current plant operation, as well as accommodate expected future changes or otherwise at the discretion of the licensee. Table 9 summarizes the selected design input changes evaluated in conjunction with the execution of the TCD evaluation(s) performed as described in the Reference 1 submittal, and relevant governing topical report references identifying how these values are to be selected.

In the evaluations of design input changes performed as described in the Reference 1 submittal, the changes to design input values were made to more closely represent current plant operation. Selection of the revised input parameter values was made in accordance with the approved EM. Therefore, the design input changes reflect reduction in the conservatism of these values and are considered an input parameter change and not a change to the methodology, consistent with Reference 8 Section 3.8.

As such, the design input changes have been evaluated under 10 CFR 50.59 and are being processed for inclusion in the UFSAR. As described in response to RAI question 7, Westinghouse and FENOC utilize processes that ensure the LBLOCA analysis input values conservatively bound the as-operated plant values for these parameters.

In the evaluations of TCD and design input changes for Beaver Valley Unit 1, as described in the Reference 1 submittal, analysis input conservatism in the containment pressure input was reduced in order to recover PCT margin. The as-approved ASTRUM EM specifies that a conservative containment backpressure will be used. The degree of conservatism is not specifically defined by the EM or constrained by the NRC SER. The magnitude of the conservatism may vary between analyses due to (1) different plant operating parameter ranges considered in each analysis (such as

Nonproprietary L-12-287 Page 41 of 43 steam generator tube plugging and vessel average temperature), (2) different licensee requirements to accommodate expected containment changes, (3) and/or different engineering judgment during the analysis execution regarding the need to reduce the input conservatism and recover associated PCT margin in the analysis. This discretionary input parameter conservatism may be recovered while remaining in accordance with the as-approved EM.

This type of analysis conservatism in the containment backpressure input was not evaluated for Beaver Valley Unit 2.

Fuel pellet TCD and peaking factor burndown were not explicitly considered in the as-approved Westinghouse best estimate LBLOCA EMs. In order to evaluate the PCT effect of TCD and peaking factor burndown as described in the Reference 1 submittal, evaluation techniques were used that are outside of the as-approved EMs. This was necessary to explicitly consider the fuel performance effects of TCD, and to adequately evaluate the burnup-dependent aspects of the fuel performance changes considering TCD. Specifically, the following aspects of the TCD evaluation(s) were outside of the as-approved best estimate LBLOCA EM:

a,c

Nonproprietary Attachment 2 L-12-287 Page 42 of 43 a,c 10 CFR 50.46 establishes criteria for reporting and for action regarding changes or errors involving methods for loss-of-coolant analyses. For the estimation and reporting of PCT impact, the changes to the LBLOCA EM to explicitly consider the fuel performance effects of TCD and to adequately evaluate the burnup-dependent aspects of the fuel performance are governed by 10 CFR 50.46. Consistent with 10 CFR 50.59(c)(4) and Reference 8 Section 4.1.1, the provisions of 10 CFR 50.59 do not apply for the LBLOCA EM changes for estimation and reporting of PCT impact because the 10 CFR 50.46 regulation establishes more specific criteria for reporting and action for changes involving methods for loss-of-coolant accidents.

In summary, in the estimation of PCT impact of TCD and design input changes as described in the Reference 1 submittal, two types of changes were made:

  • Design input values were changed to more closely represent plant operation, or analysis input changes were made to reduce conservatism in as-analyzed values. The licensee is permitted to establish the value of these parameters on the basis of plant-specific considerations; as such these are changes to the input of the methodology and are not part of the methodology. Therefore, the design input changes reflect reduction in the conservatism of these values and are considered an input parameter change and not a change to the methodology. As such, the design input changes have been evaluated under 10 CFR 50.59 and are being processed for inclusion in the UFSAR.
  • Techniques to appropriately account for the burn up-dependent effects of TCD were used in the estimations, which are outside of the as-approved EMs. These changes to the calculational framework (as defined in 10 CFR 50.46(c)(2)) were required to assess the TCD phenomena that are not explicitly accounted for in the as-approved EMs. The provisions of 10 CFR 50.59 do not apply for the LBLOCA EM changes for estimations and reporting of PCT impact because the

Nonproprietary Attachment 2 L-12-287 Page 43 of 43 10 CFR 50.46 regulation establishes more specific criteria for reporting and for action for changes involving methods for loss-of-coolant accidents.

Table 9: Applicable Evaluation Model Reference(s) for Selection of the Design Input Parameters Modified in TCD Evaluations for Beaver Valley Units 1 and 2 Design or Analysis Relevant Section(s) of ASTRUM Relevant Section(s) of Input Change Topical Report CQD Topical Report (Reference 3) (Reference 6)

Applicable for Applicable for Beaver Valley Unit 1 Only Beaver Valley Unit 2 Only Specification of Section 1-2-11 Section 21-2-1 peaking factors Table 1-10 Section 26-3-2 Section 26-4-2-2 Section 27-1-1 Steam generator Section 1-2-11 Not applicable tube plugging range Section 11-3-1 Containment Section 11-3-1 Not applicable pressure input Section 11-4-11 Section 12-3-4

References:

1. Letter from Paul A. Harden (FENOC) to NRC, "Response to Nuclear Regulatory Commission Information Request Pursuant to 10 CFR 50.54(f) and Associated 10 CFR 50.46 Report for Evaluation of Fuel Pellet Thermal Conductivity Degradation (TAC No. M99899)," March 16,2012, Accession No. ML12079A111.
2. WCAP-8327 (Proprietary), WCAP-8326 (Non-Proprietary), "Containment Pressure Analysis Code (COCO)," 1974.
3. WCAP-16009-P-A (Proprietary), "Realistic Large-Break LOCA Evaluation Methodology Using the Automated Statistical Treatment of Uncertainty Method (ASTRUM)," January 2005.
4. LTR-NRC-12-27, "Westinghouse Input Supporting Licensee Response to NRC 10 CFR 50.54(f) Letter Regarding Nuclear Fuel Thermal Conductivity Degradation (Proprietary/Non-Proprietary)," March 7, 2012.
5. NUREG/CR-7022, Volume 1 / PNNL-19418, Volume 1, "FRAPCON-3.4: A Computer Code for the Calculation of Steady-State Thermal-Mechanical Behavior of Oxide Fuel Rods for High Burnup," March 2011.
6. WCAP-12945-P-A (Proprietary), Volume 1 (Revision 2) and Volumes 2 through 5, Revision 1, "Code Qualification Document for Best Estimate LOCA Analysis," March 1998.
7. WCAP-9272-P-A, "Westinghouse Reload Safety Evaluation Methodology," July 1985.
8. NEI 96-07 Revision 1, "Guidelines for 10 CFR 50.59 Implementation," November 2000.

Enclosure A to FENOC Letter L ..12-287 10 CFR 2.390 Affidavit for Westinghouse Electric Company, LLC (Five Pages Follow)

CAW-12-3514 AFFIDAVIT COMMONWEALTH OF PENNSYLVANIA:

ss COUNTY OF BUTLER:

Before me, the undersigned authority, personally appeared B. F. Maurer, who, being by me duly sworn according to law, deposes and says that he is authorized to execute this Affidavit on behalf of Westinghouse Electric Company LLC (Westinghouse), and that the averments of fact set forth in this Affidavit are true and correct to the best of his knowledge, information, and belief:

B. F. Maurer, Manager ABWR Licensing Sworn to and subscribed before me this L !1' day of IJ ()G (JST 2012 Notary ublic COMMONWEALTH Of PENNSVLVANIA NOTARIAL SEAL Renee Giampble, Notary Publlo Penn Township, Westmoreland County My Commission Expires Septdmber 25, 2013

2 CAW-12-3514 (1) I am Manager, ABWR Licensing, in Nuclear Services, Westinghouse Electric Company LLC (Westinghouse), and as such, I have been specifically delegated the function of reviewing the proprietary information sought to be withheld from public disclosure in connection with nuclear power plant licensing and rule making proceedings, and am authorized to apply for its withholding on behalf of Westinghouse.

(2) I am making this Affidavit in conformance with the provisions of 10 CFR Section 2.390' of the Commission's regulations and in conjunction with the Westinghouse Application for Withholding Proprietary Information from Public Disclosure accompanying this Affidavit.

(3) I have personal knowledge of the criteria and procedures utilized by Westinghouse in designating information as a trade secret, privileged or as confidential commercial or financial information.

(4) Pursuant to the provisions of paragraph (b)(4) of Section 2.390 of the Commission's regulations, the following is furnished for consideration by the Commission in determining whether the information sought to be withheld from public disclosure should be withheld.

(i) The information sought to be withheld from public disclosure is owned and has been held in confidence by Westinghouse.

(ii) The information is of a type customarily held in confidence by Westinghouse and not customarily disclosed to the public. Westinghouse has a rational basis for determining the types of information customarily held in confidence by it and, in that connection, utilizes a system to determine when and whether to hold certain types of information in confidence. The application of that system and the substance of that system constitutes Westinghouse policy and provides the rational basis required.

Under that system, information is held in confidence if it falls in one or more of several types, the release of which might result in the loss of an existing or potential competitive advantage, as follows:

(a) The information reveals the distinguishing aspects of a process (or component, structure, tool, method, etc.) where prevention of its use by any of

3 CAW-12-3514 Westinghouse's competitors without license from Westinghouse constitutes a competitive economic advantage over other companies.

(b) It consists of supporting data, including test data, relative to a process (or component, structure, tool, method, etc.), the application of which data secures a competitive economic advantage, e:g., by optimization or improved marketability .

(c) Its use by a competitor would reduce his expenditure of resources or improve his competitive position in the design, manufacture, shipment, installation, assurance of quality, or licensing a similar product.

(d) It reveals cost or price information, production capacities, budget levels, or commercial strategies of Westinghouse, its customers or suppliers.

(e) It reveals aspects of past, present, or future Westinghouse or customer funded development plans and programs of potential commercial value to Westinghouse.

(f) It contains patentable ideas, for which patent protection may be desirable.

There are sound policy reasons behind the Westinghouse system which include the following:

(a) The use of such information by Westinghouse gives Westinghouse a competitive advantage over its competitors. It is, therefore, withheld from disclosure to protect the Westinghouse competitive position.

(b) It is information that is marketable in many ways. The extent to which such information is available to competitors diminishes the Westinghouse ability to sell products and services involving the use of the information.

(c) Use by our competitor would put Westinghouse at a competitive disadvantage by reducing his expenditure of resources at our expense.

4 i

f"'

(d) Each component of proprietary information pertinent to a particular competitive advantage is potentially as valuable as the total competitive advantage. If competitors acquire components of proprietary information, anyone component may be the key to the entire puzzle, thereby depriving Westinghouse of a competitive advantage.

(e) Unrestricted disclosure would jeopardize the position of prominence of Westinghouse in the world market, and thereby give a market advantage to the competition of those countries.

(f) The Westinghouse capacity to invest corporate assets in research and development depends upon the success in obtaining and maintaining a competitive advantage.

(iii) The information is being transmitted to the Commission in confidence and, under the provisions of 10 CFR Section 2.390, it is to be received in confidence by the Commission.

(iv) The information sought to be protected is not available in public sources or available information has not been previously employed in the same original manner or method to the best of our knowledge and belief.

(v) The proprietary information sought to be withheld in this submittal is that which is appropriately marked in First Energy Nuclear Operating Company Letter L-12-287 Attachment 1, "Supplement to Response to Nuclear Regulatory Commission Request for Additional Information Regarding the Estimated Effect on Peak Cladding Temperature Resulting from Thermal Conductivity Degradation in the W estinghouse~Fumished Realistic Emergency Core Cooling System Evaluation (TAC Nos. ME8409 and ME8410)" (Proprietary), for submittal to the Commission, being transmitted by First Energy Nuclear Operating Company Letter L-12-287 and Application for Withholding Proprietary Information from Public Disclosure, to the Document Control Desk. The proprietary information as prepared by Westinghouse is that associated with fuel thermal conductivity degradation, and may be used only for that purpose.

5 CAW-12-3514 This information is part of that which will enable Westinghouse to:

(a) Assist customers in providing responses to RAls dealing with the 10 CFR 50.46, 30-day report.

Further this information has substantial commercial value as follows:

Provide licensing support with respect to thermal cotiductivitydegradation.

(b) The information requested to be withheld reveals the distinguishing aspects of a methodology which was developed by Westinghouse.

Public disclosure of this proprietary information is likely to cause substantial harm to the competitive position of Westinghouse because it would enhance the ability of competitors to provide similar fuel design and licensing defense services for commercial power reactors without commensurate expenses. Also, public disclosure of the information would enable oth~rs to use the information to meet NRC requirements for licensing documentation without purchasing the right to use the information.

The development of the technology described in part by the information is t4e result of applying the results of many years of experience in an intensive Westinghouse effort and the expenditure of a considerable sum of money.

In order for competitors of Westinghouse to duplicate this information, similar technical programs would have to be performed and a significant manpower effort, having the requisite talent and experience, would have to be expended.

Further the deponent sayeth not.