Consideration of the Results of NRC-Sponsored Tests of Motor-Operated Valves (Generic Letter 89-10, Supplement 3)
October 25, 1990 TO: ALL LICENSEES OF OPERATING NUCLEAR POWER PLANTS AND HOLDERS OF CONSTRUCTION PERMITS FOR NUCLEAR POWER PLANTS SUBJECT: GENERIC LETTER 89-10, SUPPLEMENT 3, "CONSIDERATION OF THE RESULTS OF NRC-SPONSORED TESTS OF MOTOR-OPERATED VALVES" BACKGROUND In Generic Letter 89-10 (June 28, 1989), "Safety-Related Motor-Operated Valve Testing and Surveillance," the staff of the U.S. Nuclear Regulatory Commission (NRC) requested holders of operating licenses and construction permits to establish a program to provide for the testing, inspection, and maintenance of safety-related motor-operated valves (MOVs) and certain other MOVs in safety-related systems. Supplement 1 to Generic Letter 89-10 (June 13, 1990) provides the results of public workshops held to discuss the generic letter and to answer questions on the staff positions regarding its implementation. In Supplement 2 (August 3, 1990) the NRC staff stated that inspections of program descriptions would not commence until January 1, 1991, and, thus, the program descriptions need not be available on site until that date. In parallel with the NRC staff's activities leading to Generic Letter 89-10, the staff performed tests of MOVs as part of an ongoing research effort. The tests were conducted on 6-inch and 10-inch gate valves typically used to provide containment isolation in the steam supply lines of the High Pressure Coolant Injection (HPCI) and Reactor Core Isolation Cooling (RCIC) systems, and in the supply line for the Reactor Water Cleanup (RWCU) system at boiling water reactor (BWR) nuclear power plants. On June 5, 1990, the staff issued Information Notice 90-40, "Results of NRC-Sponsored Testing of Motor-Operated Valves." As discussed in Information Notice 90-40, the NRC-sponsored tests revealed that, regardless of fluid conditions, the tested valves required more thrust for opening and closing under various differential pressure and flow conditions than would have been predicted from standard industry calculations using typical friction factors. Thus, although the NRC-sponsored tests focused on the HPCI, RCIC and RWCU containment isolation valves at BWR plants, the information obtained from those tests may be applicable to valves used in other systems at BWR and pressurized water reactor (PWR) plants. For example, calculations using low valve friction factors may underestimate thrust requirements for opening and closing valves. 9010220146 . - 2 - October 25, 1990 In response to a staff request, the BWR Owners' Group obtained information from the BWR licensees regarding the capability of MOVs used to provide containment isolation in the steam lines of the HPCI and RCIC systems, and in the supply line of the RWCU system. The staff's review of the NRC-sponsored test results and the MOV data provided by the BWR Owners' Group indicates that deficiencies might exist in those MOVs. DISCUSSION In Generic Letter 89-10, the NRC staff requested that licensees and construction permit holders complete the programs established in response to the generic letter (excluding the periodic verification of MOV switch settings) by June 28, 1994, or within 3 refueling outages after December 28, 1989 (or operating license issuance for construction permit holders), whichever is later. While recommending that licensees and permit holders consider the safety significance of MOVs in developing their programs, the staff did not have sufficient information at that time to recommend that licensees and permit holders establish any particular priority for MOVs within the generic letter program. The information recently obtained from the NRC-sponsored tests, however, may affect the priorities being established by licensees and permit holders for implementing their generic letter programs. From its evaluation of the MOV data provided by the BWR Owners' Group and the results of the NRC-sponsored tests, the staff has determined that correction of any deficiencies in the HPCI, RCIC and RWCU MOVs described herein need to be given high priority in the implementation of generic letter programs. While such deficiencies may not need to be corrected immediately, the staff has determined by means of a safety assessment (Enclosure 1) that any MOV deficiencies should be corrected within 18 months or by the end of the first refueling outage, following issuance of this generic letter supplement, whichever is later. The staff's review of a generic safety assessment performed by the BWR Owners' Group (Enclosure 2) confirmed that this time period is acceptable for correcting any deficiencies in those MOVs. If a BWR licensee believes that there are MOVs with potential deficiencies at its facility that have greater safety significance than the HPCI, RCIC, and RWCU MOVs described herein, the licensee should determine the appropriate priority for completing the generic letter program for those valves. REQUESTED ACTIONS BWR licensees are requested to assess the applicability of the data from the NRC-sponsored MOV tests, to determine the "as-is" capability of the HPCI, RCIC, and RWCU MOVs described herein, and to identify any deficiencies in those MOVs. Where applicable, BWR licensees should also evaluate the MOVs used for containment isolation in lines to the isolation condensers. Elements that a BWR licensee may consider in determining whether the NRC-sponsored test data are inapplicable to its HPCI, RCIC and RWCU MOVs include valve size, type and manufacturer; disk type; design-basis differential pressure and flow conditions; internal dimensions and clearances; and disk and guide surface materials. . - 3 - October 25, 1990 BWR licensees are requested to perform a plant-specific safety assessment to verify that the generic safety assessments performed by the NRC staff and the BWR Owners' Group are applicable. In performing the plant-specific safety assessment, BWR licensees should address factors such as consideration of functional valve test results; operating procedures and emergency operating procedures; the conduct of training; current torque switch bypass settings including the potential for motor overload on a first attempt to close the valve; leak detection capabilities; inspection programs for erosion-corrosion and intergranular stress corrosion cracking (including response to Generic Letter 88-01, "NRC Position on IGSCC in BWR Austenitic Stainless Steel Piping"); water-hammer prevention practices; the environmental qualification of the MOVs and other nearby equipment; radiological consequences both on and off the plant site that could result from a pipe leak or break; and probabilistic risk considerations. Where applicable, BWR licensees should include in their plant-specific safety assessments MOVs used for containment isolation in lines to the isolation condensers. If a BWR licensee believes that there are MOVs with potential deficiencies at its facility that have greater safety significance than the HPCI, RCIC and RWCU MOVs (and the MOVs in the isolation condenser lines) described herein, the licensee should justify as part of its plant-specific safety assessment the prioritization of its effort to identify and correct MOV deficiencies. BWR licensees should consider the implementation of short-term corrective actions. For example, BWR licensees should evaluate the feasibility of increasing torque switch settings where the motor, actuator, and valve are designed to accommodate such an increase. BWR licensees should develop procedures and provide training for plant personnel to respond to a pipe leak or break in a line containing a deficient MOV, particularly if the deficiency cannot be corrected in the short term. BWR licensees may accomplish these recommendations as part of an accelerated response to Generic Letter 89-10 for the applicable MOVs. For example, BWR licensees could complete the design-basis reviews for those MOVs and could establish torque switch settings as described in Recommended Actions a and b of the generic letter, respectively. Recommended Action c of the generic letter requests that the MOVs be tested in situ under design-basis differential pressure and flow conditions, where practicable. For those instances where design-basis testing in situ is not practicable and an alternative to such testing cannot be justified at this time, the staff recommends that the BWR licensee use the "two-stage" approach discussed in Generic Letter 89-10 and Supplement 1. Following that approach, the BWR licensee would determine the operating requirements of the MOV using the best data currently available and then obtain applicable data as soon as possible. While the reporting requirements below are addressed to BWR licensees, all licensees and construction permit holders should consider the applicability of the information obtained from the MOV tests and the staff evaluation of the . - 4 - October 25, 1990 test results to other MOVs within the scope of Generic Letter 89-10. In addition, all licensees and permit holders should consider this information in the development of priorities for implementing the generic letter program. REPORTING REQUIREMENTS In order for the NRC to determine whether any BWR operating licenses should be modified, suspended or revoked, BWR licensees shall provide written information, signed under oath or affirmation pursuant to Section 182 of the Atomic Energy Act of 1954, as amended, and 10 CFR 50.54(f), as follows: 1. Within 30 days of the receipt of this letter, BWR licensees shall notify the NRC staff that a plant-specific safety assessment report addressing, as a minimum, the factors described herein, is available on site for staff review. BWR licensees shall also notify the NRC staff whether they believe that there are MOVs with deficiencies of greater safety significance than the MOVs used to provide containment isolation in the steam supply lines of the HPCI and RCIC systems, in the supply line of the RWCU system, and in the line to the isolation condenser. 2. Within 120 days of the receipt of this letter, BWR licensees shall provide to the NRC staff the following: a. Criteria, reflecting operating experience and the latest test data, that were applied in determining whether deficiencies exist in the HPCI, RCIC and RWCU MOVs described herein, in the MOVs in isolation condenser lines, and in any MOVs considered to be more safety significant, as applicable; b. The identification of any MOVs found to have deficiencies; and c. A schedule for any necessary corrective action. 3. Subsequent to the determination of necessary corrective actions or the establishment of the schedule for completion of those actions, BWR licensees shall inform the NRC staff of any changes to the planned actions or schedule. As noted above, based on the generic safety assessments prepared by the NRC staff and the BWR Owners' Group, the staff believes that justification exists for individual plants to which those safety assessments are applicable to take 18 months or to the end of the first refueling outage, following issuance of this generic letter supplement, whichever is later, to resolve any deficiencies in the HPCI, RCIC and RWCU MOVs described herein. However, if a BWR licensee determines that a more limited time is mandated by its plant-specific safety assessment, the licensee should utilize the more restrictive time. If additional time is needed to complete the corrective actions, BWR licensees should submit the plant-specific safety assessment and obtain staff approval for the corrective action schedule. . - 5 - October 25, 1990 BACKFIT DISCUSSION Based on operating experience and research results, the staff determined several years ago that MOV tests beyond those previously acceptable are necessary to satisfy the NRC regulations. As that determination constituted a backfit, the staff prepared Generic Letter 89-10 in accordance with NRC procedures for the issuance of staff guidance containing backfit provisions. Supplement 3 represents a further backfit in that the staff is requesting BWR licensees to advance the schedule for Generic Letter 89-10 with respect to specific MOVs at BWR plants. This limited advancement of the Generic Letter 89-10 schedule is the result of the information obtained from NRC-sponsored MOV tests indicating that deficiencies might exist in certain MOVs installed to perform containment isolation functions at BWR plants. The staff has determined that the issuance of Supplement 3 to Generic Letter 89-10 is necessary to provide confidence that BWR facilities are in compliance with their safety analyses and NRC regulations such as described in 10 CFR Part 50, Appendix A, Criteria 54 and 55. More specifically, because deficiencies might exist in the MOVs described herein, the staff does not have adequate confidence that (1) as required by Criterion 54, the applicable piping systems which penetrate containment have been provided with leak detection, isolation, and containment capabilities having redundancy, reliability, and performance capabilities which reflect the importance to safety of isolating these piping systems, or have been designed with the capability to test periodically the operability of the isolation valves and associated apparatus or (2) as required by Criterion 55, appropriate requirements, such as higher quality in design, fabrication, and testing, to minimize the probability or consequences of an accidental rupture of lines which are part of the reactor coolant pressure boundary and penetrate reactor containment have been provided as necessary to assure adequate safety. Therefore, the staff has determined that the backfit provisions of this generic letter supplement are justified under 10 CFR 50.109 (a)(4)(i). Based on its safety assessment, the staff determined that no immediate corrective actions are needed and that BWR licensees may proceed to resolve any deficiencies in the MOVs described herein as recommended in this letter. This request is covered by Office of Management and Budget Clearance Number 3150-0011, which expires December 31, 1991. The estimated average burden hours are 150 person-hours per licensee response, including assessment of the new recommendations, searching data sources, gathering and analyzing the data, performing data evaluations, and preparing the required letters. (These estimated average burden hours pertain only to the identified response-related matters and do not include the time for actual implementation of the requested action.) Send comments regarding this burden estimate or any other aspect of this collection of information, including suggestions for reducing . - 6 - October 25, 1990 this burden, to the Information and Records Management Branch, Division of Information Support Services, Office of Information Management, U.S. Nuclear Regulatory Commission, Washington, D.C., 20555; and to the Paperwork Reduction Project (3150-0011), Office of Management and Budget, Washington, D.C. 20503. James G. Partlow Associate Director for Projects Office of Nuclear Reactor Regulation Enclosures: As stated TECHNICAL CONTACT: Thomas G. Scarbrough (301) 492-0794 LEAD PROJECT MANAGER: Anthony T. Gody, Jr. (301) 492-1387
Page Last Reviewed/Updated Tuesday, March 09, 2021
Page Last Reviewed/Updated Tuesday, March 09, 2021