Resolution of TMI Action Item II.k.3.5, "Automatic Trip of Reactor Coolant Pumps" (Generic Letter No. 83-10b)
UNITED STATES NUCLEAR REGULATORY COMMISSION WASHINGTON, D.C. 20555 February 8, 1983 TO ALL LICENSEES WITH COMBUSTION ENGINEERING (CE) DESIGNED NUCLEAR STEAM SUPPLY SYSTEMS (NSSSs) SUBJECT: RESOLUTION OF TMI ACTION ITEM II.K.3.5, "AUTOMATIC TRIP OF REACTOR COOLANT PUMPS" (GENERIC LETTER NO. 83-10b) Gentlemen: The purpose of this letter is to inform you of (1) the staff's conclusions regarding the analysis of LOFT Test L3-6 submitted by the CE Owners Group, (2) the continued acceptability of the CE ECCS evaluation model for predicting small break LOCAs with Reactor Coolant Pump (RCP) operation and (3) criteria for resolution of TMI Action Item II.K.3.5, "Automatic Trip of Reactor Coolant Pumps." We have completed our evaluation of the analyses of LOFT Test L3-6 performed by the CE Owners Group and conclude that the evaluations acceptably predict the test results. Therefore, we find the currently approved CE evaluation model for small break LOCAs in continued conformance with Appendix K to 10 CFR 50 for the case of limited RCP operation after reactor trip and for the range of licensed CE reactor designs. We have reviewed industry analyses and performed our own analyses to determine whether RCP trip is necessary during LOCAs, and evaluated the desirability of continued RCP operation during non-LOCA transients and accidents, including steam generator tube ruptures. We have concluded that there is a wide range of transients and LOCAs where it is beneficial for the operators to maintain forced circulation cooling and mixing through operation of the RCPs. However, some of the calculations show that for certain small break LOCAs, primarily those with only one of the two High Pressure Safety Injection (HPSI) Pumps assumed available, continued operation of the RCPs or continued operation of the RCPs followed by delayed RCP trip could lead to core damage. Some uncertainty in these conclusions remains. Specifically, there is a complex interrelationship among break size, break location, RCP trip delay time, available safety systems, and peak cladding temperature (PCT) for each type of NSSS design. Moreover, although the staff's and each vendor's calculational models adequately predicted LOFT test L3-6, there appear to be subtle differences embedded in the computer models which, when applied to large, commercial, PWR designs, yield differing results regarding the necessity for RCP trip during small LOCAs. 8302090072 . CE - 2 - Because of this, we place substantial weight on the views of the reactor designers and the utilities which are almost unanimous in asserting that for some small LOCAs with less than the maximum available HPSI flow, delayed RCP trip could lead to core damage. Some utilities indicated their preference to keep the RCPs running for all events; however, this view appeared to be based solely on the desire to maintain forced circulation and did not consider the consequences of delayed RCP trip. While acknowledging the industry's general conclusion that the RCPs should be tripped for small LOCAs, both the staff and the industry recognized that there are other accident sequences of much higher probability than the small LOCA where the absence of forced circulation makes the operator's job more difficult and can increase the likelihood of operator errors. For this reason, we believe that a balance should be struck between the competing risks associated with tripping the RCPs early and leaving them running following transient and accident events. Based on our discussions with both licensees and the reactor manufacturers, and our internal evaluations, we believe that appropriate pump trip setpoints can be developed by the industry that would not require RCP trip for those transients and accidents where forced circulation and pressurizer pressure control is a major aid to the operators, yet would alert the operators to trip the RCPs for those small LOCAs where continued operation or delayed trip might result in core damage. In summary, we have concluded that the need for RCP trip following a transient or accident should be determined by each licensee on a case-by-case basis, considering the Owners Group input. However, the staff must ensure that whatever decision is made regarding pump operation, it will result in safe, reliable operation of reactors and will not adversely affect the ability of licensees to comply with the Commission's rules and regulations. The enclosure to this letter provides guidance for the development of either (1) satisfactory setpoints for RCP trip or (2) the technical bases for allowing continued RCP operation in the event of a small LOCA at a licensee's facility. As stated in the enclosure, manual tripping of the RCPs for a LOCA can be allowed under certain conditions. We recognize that possible differences exist between the requirements of 10 CFR 50.46, which assure ample core cooling capacity, and the approaches described in the enclosure which are based upon assuring proper operator/ system response under conditions that may be faced during accidents and transients. Accordingly, in such cases, we will consider a request for exemption from specific requirements of 10 CFR 50.46 pursuant to 10 CFR 50.12. . CE - 3 - For the purpose of providing uniformity of setpoints and methods and for minimizing potential confusion that could arise because of diverse actions by individual licensees, we strongly urge that licensees work collectively with owners of similar plants (i.e., Owners Group) and propose setpoints and methods consistent with other licensees. If a licensee elects to trip RCPs, when RCP trip setpoints are developed which are believed to substantially meet the guidance provided in the enclosure, we encourage licensees to begin implementation of these new setpoints at operating plant(s)*. We caution that careful judgment should be used when developing proposed methods and setpoints in accordance with the guidance in the enclosure. If RCPs are to be tripped, we recommend that the licensees utilize event trees to systematically evaluate RCP trip setpoints to minimize the potential for undesirable consequences due to a misdiagnosed event. Specifically, we recommend the setpoints be evaluated for events where the RCPs could be tripped when it is preferable they remain operational. We further recommend the setpoints also be evaluated for the case when the RCPs are not tripped early in the event and for which a delayed trip may lead to undesirable consequences. We are not requiring a formal submittal of the analyses which support either RCP trip setpoints or the decision to leave the RCPs operational for all events. However, once the technical bases for the decision are established, we intend to conduct inspections of individual licensees led by Regional personnel. During these inspections, we will examine the translation of the 10 CFR 50, Appendix K, and RCP operation mode evaluations into plant procedures. We would expect the evaluations to include consideration of the guidance contained in the enclosure to this letter. Copies of these evaluations should be made available to the staff at these inspections. Alternatively, an applicant may choose to make either an individual submittal or reference a generic (i.e., Owners Group) submittal which provides the technical justification for treatment of RCPs during transients and accidents. In that case, an inspection would not be necessary. The requirements set forth in this letter supersede the actions required in IE Bulletins 79-05C and 79-06C. _______________ *Unless implementation entails a change to technical specifications or an unreviewed safety question, which require NRC approval prior to implementation. . CE - 4 - Accordingly, within 60 days following receipt of this letter, please provide your plans and schedules for resolution of this issue for your facility. You should also indicate whether you desire to make a submittal concerning this issue. If you cannot respond within 60 days, you should indicate within 30 days when your schedule will be submitted. The information requested should be sent to Mr. D. G. Eisenhut, Director, Division of Licensing, Washington, D.C. 20555, pursuant to 10 CFR 50.54(f). This request for information was approved by the Office of Management and Budget under clearance number 3150-0065 which expires May 31, 1983. Comments on burden and duplication may be directed to the Office of Management and Budget, Reports Management, Room 3208, New Executive Office Building, Washington, D. C. 20503. If you believe further clarification regarding this issue is necessary or desirable, please contact Dr. B. Sheron (301-492-7460). Sincerely, Darrell G. Eisenhut, Director Division of Licensing Enclosure: Resolution of TMI Action Item II.K.3.5 cc w/enclosure: Service Lists
Page Last Reviewed/Updated Tuesday, March 09, 2021
Page Last Reviewed/Updated Tuesday, March 09, 2021