Monday, February 08, 2016

NRC Response to me: "Belgium Cracks in US Reactor Vessel"?

Basically the NRC wanted to publically respond to Belgium situation. The NRC seems to say they couldn't respond unless outsiders raised the question. The agency thanked for providing them the opportunity to respond.

My job is to get the agency to put down information so the public could see it. I think the agency answered me pretty thoroughly. As I told them, would I actually give you a "A" plus on this paper. I disagree with much of their analysis. But it is now on the record and I am very happy.     
Last updated 2014-02-24

The Swedish Radiation Safety Authority has issued the decision that OKG AB (OKG) and Forsmarks Kraftgrupp AB (FKA) must examine the reactor vessels of the Oskarshamn 3 and Forsmark 3 reactors. OKG and FKA operate the nuclear power plants at Oskarshamn and Forsmark, respectively. The situation is a consequence of the manufacturing flaws discovered at two nuclear power reactors in Belgium in the summer of 2012.


UNITED STATES OF AMERICA
NUCLEAR REGULA TORY COMMISSION
OFFICE OF NUCLEAR REACTOR REGULATION
William M. Dean, Director
[7590-01-P]
Proposed DD-XX-XX
In the Matter of

Docket Nos. 50-271 and 50-305
ENTERGY NUCLEAR OPERATIONS, INC.
DOMINION ENERGY KEWAUNEE, INC.
Vermont Yankee Nuclear Power Station and
Kewaunee Power Station
License Nos. DPR-28 and DPR-43

PROPOSED DIRECTOR'S DECISION UNDER 10 CFR 2.206
I. Introduction
By letter dated March 25, 2014 [sic] (Agencywide Documents Access and Management System (ADAMS) Accession No. ML 15090A487), Michael Mulligan (the petitioner) filed a petition under Title 10 of the Code of Federal Regulations (10 CFR) 2.206, "Requests for Action under this Subpart," related to the Vermont Yankee Nuclear Power Station (VY) and the Kewaunee Power Station (KPS).
The petition was supplemented by e-mails dated July 7, 2015 (ADAMS Accession No. ML 15198A091 ), and September 9, 2015 (ADAMS Accession No. ML 15286A003). 
Actions Requested for the March 25, 2014 [sicJ, Petition

The petitioner requested that the U.S. Nuclear Regulatory Commission (NRC or the Commission) take a number of actions with regard to VY and KPS, which have been permanently shut down and are currently undergoing decommissioning, to include:

• Conduct exigent and immediate full-scale ultrasonic inspections on the VY and the KPS reactor pressure vessels (RPVs), with similar or better technology, as conducted on the RPVs at Doel 3 and Tihange 2, which revealed thousands of cracks.

• Take large borehole samples out of both the VY and KPS RPVs and transport them to a respected metallurgic laboratory for comprehensive offsite testing.

• Issue an immediate NRC report and hold a public meeting on any identified vulnerabilities.

• Ultrasonically test all RPVs in U.S. plants within 6 months if distressed and unsafe results are discovered at VY or KPS.

As the basis for this request, the petitioner states that the requested actions should be taken to determine whether foreign operating experience (OpE)-specifically several thousand cracks that have been discovered during testing on the Doel 3 and Tihange 2 RPVs-could have implications on U.S. operating reactors. The petitioner also requested several related actions of the NRC, such as, collaboration with the Belgian regulator, and posed several questions related to water chemistry and the discovered cracks.

The petitioner met with the petition review board on May 19, 2015, to clarify the bases for the petition. The transcript of this meeting was treated as a supplement to the petition (ADAMS Accession No. ML 15181A 127) and is available for inspection at the NRC's Public Document Room (PDR), located at One White Flint North (01 F21 ), 11555 Rockville Pike (first floor), Rockville, Maryland 20852. Publicly available documents created or received at the NRC are accessible electronically through ADAMS in the NRC Library at http://www.nrc.gov/reading-rm/adams.html. Persons who do not have access to ADAMS or who encounter problems in accessing the documents in ADAMS should contact the NRC's PDR reference staff by telephone at 1-800-397-4209, or 301-415-4737, or by e-mail to pdr.resource@nrc.gov.

The NRC's acknowledgement letter to the petitioner for the March 25, 2014 [sic], petition dated August 20, 2015 (ADAMS Accession No. ML 15181A099), informed the petitioner that his request for conducting exigent and immediate full-scale ultrasonic inspections on the VY and the KPS RPVs was denied and that the remaining issues in the petition were being referred to the Office of Nuclear Reactor Regulation (NRR) for appropriate action. The NRC denied the petitioner's request to conduct immediate ultrasonic inspections at VY and KPS for the following reasons. The identified facilities have ceased operations and there is no safety concern at those facilities that justifies enforcement-related action (i.e., to modify, suspend, or revoke the license) in order for the NRC to have reasonable assurance of the adequate protection of public health and safety. Furthermore, with respect to the operating fleet, the NRC issued Information Notice (IN) 2013-19, "Quasi-Laminar Indications in Reactor Pressure Vessel Forgings," dated September 22, 2013 (ADAMS Accession No. ML 13242A263). The purpose of IN 2013-19 was to inform industry of the quasi-laminar indications that were identified in 2012 at two European commercial nuclear power plants during the ultrasonic inspections of those RPV forgings.

11. Discussion

Disposition of the March 25, 2014 [sic]. Petition Under the 10 CFR 2.206(b) petition review process, the Director of the NRC office with responsibility for the subject matter shall either institute the requested proceeding or shall advise the person who made the request in writing that no proceeding will be instituted, in whole or in part, with respect to the request, and the reason for the decision. Accordingly, the decision of the NRR Director is provided below.

It is the policy of the NRC to have an effectively coordinated program to promptly and systematically review domestic and applicable international OpE information gained from the nuclear power industry, research and test reactors, and new reactor construction. The program supplies the means for assessing the significance of OpE information, offering timely and effective communication to stakeholders, and applying the lessons learned to regulatory decisions and programs affecting nuclear reactors. This program is referred to as the Reactor OpE Program, as described in the NRC Management Directive (MD) 8.7, "Reactor Operating Experience Program." Specific implementation of the Reactor OpE Program is addressed in NRR Office Instruction (01) LIC-401, "NRR-NRO [Office of New Reactors] Reactor Operating Experience Program."

One of the sources of OpE is the International Atomic Energy Agency (IAEA)/Nuclear Energy Agency (NEA) International Reporting System for Operating Experience (IRS). The Doel experience was reported to the IRS. Subsequently, the report was updated to include the Tihange experience. In accordance with the process described in 01 LIC-401, the NRC OpE program staff ensured that the appropriate technical experts within the NRC were aware of the issue and performing evaluations for relevance to the U.S. industry. In addition, the NRC has strong collaboration with the international community and was separately in contact with the Belgian regulatory authority, the Federal Agency for Nuclear Control (FANC), to discuss this issue.

The NRC staff has been following the issue and has taken numerous actions. Most recently, the NRC staff used its risk-informed decision-making process contained in NRR 01 LIC-504, "Integrated Risk-Informed Decision-Making Process for Emergent Issues," to evaluate this issue. The evaluation (ADAMS Accession No. ML 15282A218) is summarized below.

Description of the Issue

In July 2012, ultrasonic inspections of RPV ring forgings at the Doel 3 and Tihange 2 nuclear power plants in Belgium revealed thousands of indications.1 After extensive investigation the Belgian licensee, Electrabel, concluded the indications consisted of hydrogen flakes that originated during fabrication. Hydrogen flakes are planar discontinuities produced during fabrication in steels that have elevated hydrogen content before forging. In the Doel 3 and Tihange 2 inspections, the identified flakes were approximately circular disc-shaped cracks, were on average 10 millimeters in diameter, and were oriented approximately parallel to the vessel wall. Electrabel performed deterministic flaw evaluation and probabilistic fracture mechanics (PFM) analyses and concluded: (1) the indications would have been acceptable according to the requirements of the construction codes in effect when the vessels were fabricated (as well as the codes in effect today), and (2) the indications did not pose a challenge to RPV structural integrity. The licensee started a program of materials research and operational inspections to further validate the structural integrity determination of the RPV forgings. FANC initially approved restart of the two reactors in May of 2013. Information related to this issue is publicly available on the FANC Web site:

http://www. fanc. fgov. be/nl/page/dossier-pressure-vessel-doel-3-tihange-2/1488. aspx?L G =2.

In an ultrasonic examination, indications are features inside the inspection volume that reflect sound above a threshold that is established as part of the examination procedure. Generally, the inspection procedure will define thresholds of reflectivity that examiners use to categorize indications, with more reflective indications being categorized as more significant. Indications that reflect enough sound to be detected are termed "detectable." Detectable indications that reflect sound above a certain threshold such that the procedure requires them to be recorded are termed "recordable." Generally, recordable indications must be evaluated. Applicable codes and standards referenced in the procedure or design specification establish criteria to determine whether recorded indications are "acceptable" or "rejectable." Rejectable indications are termed "flaws," or "defects" that, per ASME (American Society of Mechanical Engineers] practice, must be repaired. Rejectable indications are "reportable" to the regulatory authority.
 
While the Doel 3 and Tihange 2 reactors were shut down for outages in 2014, the ring forgings were reinspected for quasi-laminar flaws. During the 2012-2013 campaign, the licensee quantified the number of recordable indications, but recognized that many indications were detected that returned signal responses below the procedurally established recording threshold. For the 2014 examination, the licensee adjusted the ultrasonic inspection procedure by changing recording thresholds and increasing sensor gain. The objective was to record essentially all detectable indications. Newly recorded indications included cases where multiple indications spaced closely together, that were previously recorded as one large indication, could now be distinguished as several discrete indications. Most of these newly recorded indications were detected but not recorded during the previous exam, because they were too small to meet the previously used recording criteria. After comparing the indications from the 2012 and the 2014 inspections, the Belgian licensee concluded that the actual number and size of detected indications did not change over the period.

In March 2014, results from the ongoing Electrabel materials investigation became available to the FANC. The results from one of the materials tested showed a greater amount of embrittlement than assumed in its safety case. Consequently, the licensee elected to place both Doel 3 and Tihange 2 into an early maintenance outage to conduct further investigation. The material with the higher-than-expected embrittlement was a modern steel made to a specification similar to that used for the Doel 3 and Tihange 2 RPVs. The component was a steam generator shell that had been rejected because of hydrogen flaking, and was, therefore, included as part of the Electrabel investigation. After the March 2014 results, Electrabel performed several materials irradiation experiments that included the steam generator material as well as other materials thought to be more representative of RPV steels in Doel 3 and Tihange 2.

On November 17, 2015, FANG reported that Electrabel demonstrated that the unexpected test results of March 2014 were probably due to the specific material properties of the sample. Tests on another material specimen with hydrogen flakes and on the material of the reactor vessels themselves have shown that prolonged irradiation has no abnormal effect on the mechanical properties of the reactor vessels of Doel 3 and Tihange 2. FANG concluded that the structural integrity of the reactor vessels of Doel 3 and Tihange 2 lies within the required safety standards and the presence of hydrogen flakes does not adversely affect the safety of the plants.

Initial Actions by the NRG and the U.S. Nuclear Industry

In September 2013, the NRG issued IN 2013-19 to inform industry of the quasi-laminar indications observed in the Belgian RPV forgings. Additionally, the NRG hosted a public meeting with industry and stakeholders on March 5, 2013, to discuss these indications (ADAMS Accession No. ML 13066A725). The industry presented plans to the NRG staff to investigate the type of ultrasonic examination techniques used during construction and to perform a PFM evaluation of the structural integrity effect on U.S. reactors of potentially undiscovered quasi-laminar indications.

Subsequently, the industry published a report of its findings, titled, "Materials Reliability Program [MRP]: Evaluation of the Reactor Vessel Beltline Shell Forgings of Operating U.S. PWRs [Pressurized Water Reactors] for Quasi-Laminar Indications (MRP-367)" (ADAMS Accession No. ML 14064A411 (nonproprietary version)). The objectives of the report were two-fold: (1) to evaluate whether RPV forgings in U.S. plants were likely to have indications similar to those found in Doel 3 and Tihange 2 and (2) to evaluate the structural significance of indications if they did exist in an RPV. The report concluded that the ultrasonic techniques used during construction of U.S. vessels were capable of detecting quasi-laminar indications, and the reporting requirements would have caused the indications to be recorded if they were present. The report included a PFM analysis of a set of conditions based on data from Dael 3 and Tihange 2. The industry concluded that even if quasi-laminar indications were present in a U.S. reactor vessel forging, the incremental increase in the vessel failure probability under pressurized thermal shock loading is negligible.

Summary of the NRC's Evaluation

The NRC staff's evaluation consisted of reviewing the analyses performed by the Belgian licensee, as well as the two-pronged approach performed by the industry. Specifically, the NRC staff reviewed evaluations of the nondestructive examination records performed by the U.S. industry to determine the likelihood of the presence of the quasi-laminar indications in U.S. RPVs. Furthermore, the NRC staff reviewed the structural evaluations performed to determine the safety significance, even if the quasi-laminar indications were present. This was followed by applying the approach to risk-informed decision-making, as outlined in NRR 01 LIC-504.

The Belgian licensee for Doe! 3 and Tihange 2 performed deterministic flaw evaluations, which concluded that the quasi-laminar flaws observed in the RPV ring forgings were acceptable and did not compromise the structural integrity of the vessel. The Belgian licensee's PFM analyses using very conservative assumptions returned a crack initiation frequency below the NRC threshold for through-wall cracking frequency (TWCF). The NRC staff reviewed the analyses and found the analyses provided reasonable assurance that even if a significant number of quasi-laminar indications existed in an RPV forging, the forging would be fully capable of performing its safety function with an extremely low probability of failure. The Electric Power Research Institute (EPRI) MRP performed a PFM analysis and concluded that the TWCF associated with quasi-laminar indications was sufficiently low that the TWCF would meet NRC-risk criteria. The NRC staff performed a high-level review of the industry analyses and concluded that the inputs were conservative with respect to flaw number and flaw size, at least relative to the information currently available concerning such flaws. The NRC staff has concluded that the EPRI analyses provided reasonable assurance that even if a significant number of quasi-laminar indications existed in an RPV forging, the forging would be capable of performing its safety function with an extremely low probability of failure.

The Pressurized Water Reactor Owners Group (PWROG) reviewed ultrasonic examinations performed during construction and determined the inspection equipment and techniques used at the time of construction were capable of detecting quasi-laminar indications. Furthermore, the PWROG determined that the inspection recording criteria required the presence of quasi-laminar indications to be documented on nondestructive examination reports. The PWROG submitted summaries of its assessments to the NRC staff in MRP-367. Based on its assessment of the available information related to construction ultrasonic examinations, the NRC staff agrees that the ultrasonic examination techniques would have detected quasi-laminar indications and, if present, indications would have been required to be recorded. The PWROG retrieved ultrasonic testing inspection records and concluded that the records indicated no quasi-laminar indications were recorded during fabrication examinations for any vessel beltline ring forging in U.S. nuclear power plants. The NRC staff reviewed a sampling of those records and verified that no quasi-laminar indications were recorded in the reviewed reports. From these results, along with the PWROG's report that its record exams found no quasi-laminar indications, the NRC staff concludes that it is unlikely that significant numbers of quasi-laminar indications exist in U.S. RPV forgings.

In February 2015, publications in The Energy Daily and a press release by Greenpeace cited concerns raised by two materials science professors, Professor W. Bogaerts of the University of Leuven in Belgium and Professor D. MacDonald of the University of California at Berkeley. Professors Bogaerts and MacDonald took issue with the initial findings from the  Belgian licensee and the assessment by the Belgian regulator that concluded that the quasi-laminar indications have been present from the time Doel 3 and Tihange 2 were fabricated, and that they are not evolving (that is, increasing in number or getting bigger) over time. Professors Bogaerts and MacDonald have suggested that continued hydrogen ingress to the quasi-laminar indications could cause them to grow over time. The NRC staff is aware of this crack growth mechanism being common in some environments (for example, down-hole service in the oil and gas industry). However, the NRC staff is not aware of any current scientific information that would suggest that the conditions characteristic of nuclear pressure vessel service could generate partial-pressures of hydrogen that are high enough to cause such evolution during the operation of a reactor vessel.

Although these evaluations provide useful information for the two specific vessels in question, to evaluate the effects of the potential existence of quasi-laminar indications in

• Principle 1: The proposed change must meet the current regulations unless it is explicitly related to a requested exemption or rule change.

• Principle 2: The proposed change shall be consistent with the defense-in-depth philosophy.

• Principle 3: The proposed change shall maintain sufficient safety margins.

• Principle 4: When the proposed changes result in an increase in core damage frequency (CDF) or risk, the increases should be small and consistent with the intent of the Commission's Safety Goals.

• Principle 5: Monitoring programs should be in place.

The NRC staff considered three options to address, for the U.S. fleet of operating nuclear reactors, the recent operational experience from the Doel 3 and Tihange 2 reactors in Belgium:

1. Evaluate, communicate, and follow developments with no other required actions.

2. Initiate actions to require ultrasonic examination for quasi-laminar indications.

3. Immediate shutdown of potentially affected plants.
 
Consideration of Option 1: This option would entail acquiring information from the FANC, Electrabel, U.S. industry, and other relevant sources as it becomes available. The information would be evaluated to assess whether quasi-laminar indications present a significant challenge to RPV structural integrity. If the risk is sufficiently small, then no other action would be required for NRC licensees. As part of this option, the NRC staff would continue its review of the industry conclusions concerning the nonexistence of such flaws in U.S. plants and of the industry conclusion that the risk associated with these flaws, were they to exist, is small. The NRC staff would use material property information available from surveillance programs to assess the potential for greater-than-expected embrittlement revealed in some tests reported by Electrabel. In addition, the NRC staff would continue to assess new information as it becomes available and communicate new information, subject to limitations imposed by proprietary information rights and other nondisclosure agreements.

Consideration of Option 2: This option would encompass the actions in Option 1, but adds a development effort to require licensees to perform ultrasonic inspections of RPV forgings. The time frame for inspection would depend on the potential for indications to exist and the risk significance if they did exist. If the risk significance were high, as determined using risk metrics such as large early release frequency (LERF) being greater than or on the order of 1 x10-4/year, licensees may be required to perform inspections at the next refueling outage, or even shut down and perform inspections immediately. If the risk significance were low, then licensees could wait to perform inspections during the next in-service examination outage.

Consideration of Option 3: This option would consist of shutting down some or all operating reactors until inspections and analyses are conducted to provide reasonable assurance that the calculated risk levels are acceptable. This option would be preferable if there was an immediate safety issue, such that the risk to operating plants was clearly demonstrated to be large and immediate.
 
As the estimated risk associated with quasi-laminar indications is less than 1x1 o-6/year, far below the 1x1 o-4/year LERF guideline in NRR 01 LIC-504, no immediate action was warranted and Option 3 was dismissed without an evaluation of the five principles of risk-informed decision-making.

Even if quasi-laminar indications similar to those discovered at Dael 3 and Tihange 2 existed in U.S. nuclear power plants, the indications are not expected to significantly affect RPV integrity under accident conditions. The basis for this conclusion is the industry analysis, as described in MRP-367 that indicates a vessel with 1 O times as many indications as observed in the worst forging at Dael 3 would have a risk of TWCF less than 1x1 o-6/year, far below the 1 x 10-4 /year LERF guideline2 in NRR 01 LI C-504 for immediate action and below the criteria for requiring additional action, contained in 10 CFR 50.61 a, "Alternate Fracture Toughness Requirements for Protection against Pressurized Thermal Shock Events." Based on the NRR 01 LIC-504 evaluation, the NRC staff concluded no additional testing is necessary at this time. The NRC staff considered that there was not a significant risk

2 By equating TWCF and LERF, it is possible to use the LERF risk guidelines in NRR 01 LIC-504 to conservatively identify an acceptable TVVCF. This is conservative because TWCF is an estimate of the frequency of cracks that leak. However, not all leaks lead to core damage. Furthermore, core damage does not always lead to large early release. As a result, TWCF is less than LERF. The fraction of time that core damage or large early release was prevented could be calculated, but it is conservative and computationally convenient to assume that all through wall cracks lead to large early release.
 
difference between Option 1 and Option 2. However, because Option 2 required physical activities associated with inspections, Option 2 requires increased expenditure of licensee resources and increased radiation exposure to plant personnel. Given two options having essentially equal risk with different resource needs, Option 1 was determined to be the more appropriate option. Given that no results were obtained that exceeded the NRC's risk guidelines, the NRC did not require all U.S. nuclear power plants be ultrasonically tested with the same or better technology. This addresses the petitioners first request, as well as, the petitioner's fourth request for testing of all operating reactors.

With respect to the petitioner's request-to take large borehole samples out of both the Vermont Yankee and Kewaunee RPVs and transport them to a respected metallurgic laboratory for comprehensive offsite testing-the NRC staff notes that acquisition and subsequent testing of irradiated and aged plant material from decommissioned plants could be a valuable research activity that might offer useful scientific information related to understanding the progress of aging mechanisms. However, harvesting of reactor vessel material from plants that have been permanently shut down can be a complex and radiation-dose intensive effort. The NRC, through its Office of Nuclear Regulatory Research, has previously obtained samples appropriate for testing from shutdown plants. With respect to this request, the NRC may, in the future, seek to purchase samples. However, the identified facilities have ceased operations and there is no safety concern at those facilities that justifies enforcement-related action (i.e., to modify, suspend, or revoke the license) in order to for the NRC to have reasonable assurance of the adequate protection of public health and safety. Therefore, the NRC will not require Vermont Yankee or Kewaunee to remove large boreholes from their reactor vessels.

The Petitioner requested that the NRC issue a report and hold a public meeting on the vulnerabilities. The NRC staff considers the NRR 01 LIC-504 evaluation (ADAMS Accession
No. ML 15282A218) as satisfying the request for the NRC to issue a report on the vulnerabilities.
Furthermore, the NRC already held a public meeting on this topic on March 5, 2013. The following information addresses the remaining requested actions and questions raised by the petitioner that appear in bold italic type:

How has the average concentration of hydrogen in the coolant changed over the recent decades? Would an increasing concentration of hydrogen in the coolant lead to more hydrogen ions getting injected into the vessel iron?

The average concentration of hydrogen in coolant has not changed significantly over the past several decades in PWRs. Doel 3 and Tihange 2 are PWRs. With no change in average hydrogen concentration, there would be no change in hydrogen ingress into PWR pressure beltline steel.

The average concentration of hydrogen in boiling-water reactors (BWRs) has increased over the past several decades to concentrations closer to those used in PWRs. However, this does not result in an appreciable increase in the hydrogen content in BWR reactor pressure steel.

Does noble chemistry increase or decrease this kind of corrosion? Are there other chemicals added to the coolant that could make this kind
corrosion worst?[sic]

Noble metal chemistry is a water chemistry technique used to suppress corrosion reactions that cause stress corrosion cracking in portions of BWR coolant systems. However, this does not result in an appreciable increase in the hydrogen content in BWR reactor pressure steel.

What are they talking about here: "However, as Belgian[ sic] continues to debate the fate of the reactors, prolonged studies on the steel used in the construction of the reactors revealed unprecedented embrittlement -unusual swelling - that can compromise the integrity of the plant and possibly cause ruptures, spewing dangerous radioactive material equivalent to an atomic bomb."

The NRG and nuclear industry are well aware of embrittlement of the steel used in RPV fabrication. It is the primary factor that limits both the operable lifetime and the operating safety of the RPV. This embrittlement is caused by exposure to neutron irradiation, which occurs as an unavoidable consequence of the production of steam by nuclear fission to generate electricity. The nuclear industry uses several means to ensure that the RPV steel maintains adequate toughness throughout its operating lifetime. These are as follows:

1. The degree of neutron embrittlement is tracked throughout the operating lifetime of the plant. This is achieved using a surveillance program in which small samples (coupons) of the RPV steel are exposed to neutron irradiation inside the reactor.

2. The NRG establishes screening criteria on the degree of embrittlement allowed and on plant operating temperatures and pressures. Several NRG rules and regulatory guides, as well as Section XI of the American Society of Mechanical Engineers Code, collectively limit the combinations of embrittlement and operating temperatures and pressures so as to ensure safe nuclear power plant operations.

I understand all US nuclear plants have coupons and I consider them irrelevant to this problem.

The NRG staff recognizes the coupons are not relevant to the possibility of quasi-laminar indications.

Request the NRC coordinate with the Belgian Federal Agency for Nuclear Control (FANC).

The NRC staff is actively coordinating with Fan.
Request detailed inspection on the condition of the reactor cladding and an explanation of any defects.

By way of this director's decision and the references provided within, the NRC staff considers this request met.

Additionally, in the supplement dated September 9, 2015, the Petitioner requested thNRC staff to consider,

"As part of the NRC review and approval of IPEC 3 [Indian Point Nuclear Generating Unit No. 3) Reactor Vessel Heatup and Coo/down curves, in ML 15226A 159 dated 9-3-15, was[ sic] the possible adverse effects of this change considered in regard to IN 2013-19 Quasi Laminar Indications in RPV Forgings?"

The IPEC 3 RPV beltline is fabricated from rolled plates, not forgings. Because the manufacturing process used to produce plates differs from those used to produce forgings, any indications remaining after the manufacturing process in a vessel fabricated from plates would be laminar (that is, fully parallel to the plate surface), not quasi-laminar. As a result of this difference in orientation, any indications in the IPEC 3 would have no detrimental effect on the operating safety of the reactor vessel. Thus, the IPEC 3 Reactor Vessel Heatup and Cooldown curves are not affected by quasi-laminar indications.

Ill. Conclusion

Based on the above, the NRR Director will not be instituting the proceeding requested by the petitioner, either in whole or in part. The NRC staff will continue to evaluate, communicate, follow developments and take appropriate action if deemed necessary As provided in 10 CFR 2.206(c), a copy of this director's decision will be filed with the Secretary of the Commission for the Commission to review. As provided for by this regulation, the decision will constitute the final action of the Commission 25 days after the date of the decision unless the Commission, on its own motion, institutes a review of the decision within that time.

Dated at Rockville, Maryland, this day of 2016.
For the U.S. Nuclear Regulatory Commission.
William M. Dean, Director,
Office of Nuclear Reactor Regulation

ANO-Entergy Is Down to 68% With a Army of NRC Inspectors on Site?

Arkansas Nuclear 2 is down to 68% power today. They sent out a team of 25 inspectors to look over the corrective action in the stator drop accident and all the flooding violations.

They have been at reduced power since Feb 6.


It is really bad news with all these NRC on site.

The inspection began a little less than two weeks ago. Are they all still on site? Who the hell would want all those inspectors breathing down your throat with a new problem developing on the site.

Did the NRC force them to down power? 

River Bend: Another Special Inspection ( Another Entergy Runaway Plant)

Something smells funny here. Why did the NRC wait all this time from Jan 10 to today to call a special inspection. It would have been much more effective to tell Entergy to keep the plant down till we complete our special inspection. Must have had their shredders going on at full speed.

These guys had the Mike Mulligan Special inspection at the beginning of 2015 over poor vessel level control, then another with breaker quality issues. Now another one?

Last year the NRC just didn't go deep enough into the problems with River Bend and Entergy to make new the organization. River Bend is thumping their noses at this weak agency. 

This is a bad symtom, all this wasted capacity factor. Once being started up, not quickly being able to get up to 100% power.  
Jan 11, 2016 Special Inspection in 2015 Didn't Fix a Thing at Crap Plant River Bend

Who Wants River Bend’s Junk Capacity Factor?

NRC: Proof I instigated The 2014 Christmas River Bend plant Scram Special Inspection


2/8/2016: NRC Begins Special Inspection at River Bend Station
The Nuclear Regulatory Commission has begun a special inspection at the River Bend
Station nuclear power plant to review circumstances surrounding events that occurred following an unplanned reactor shutdown on Jan. 9. The plant, operated by Entergy Operations, Inc., is located in St. Francisville, La.
The plant was operating at full power when a lightning strike caused a momentary surge in the plant’s offsite power supply, triggering an unplanned shutdown. Operators subsequently took appropriate actions to place the plant in a safe shutdown condition. The following day, operational errors led to a one hour loss of shutdown cooling.
“The purpose of this special inspection is to better understand the circumstances surrounding the loss of shutdown cooling, determine if operator response was appropriate, and review the licensee’s corrective actions to ensure that the cause of the event, including associated equipment problems and any contributing operator actions have been effectively addressed,” NRC Region IV Administrator Marc Dapas said. 
Several NRC inspectors will spend about a week on site evaluating the licensee’s root cause analysis, maintenance of some plant systems and adequacy of corrective actions. An inspection report documenting the team’s findings will be publicly available within 45 days of the end of the inspection. 

Brunswick: LOOP, Explosion, Fire and Alert at Another US Nuclear Plant

Too much problems in nuclear plant's switchyards...

Their diesel generators are ratty.

 "1326, Brunswick Unit 1 declared an Alert under EAL HA 2.1 due to an explosion/fire in the Balance of Plant 4 kV switchgear bus area. Prior to the Alert declaration, the operators initiated a manual SCRAM due to an unexpected power decrease from 88% to 40%."

Power ReactorEvent Number: 51715
Facility: BRUNSWICK
Region: 2 State: NC
Unit: [1] [ ] [ ]
RX Type: [1] GE-4,[2] GE-4
NRC Notified By: SAMI JAZIRI
HQ OPS Officer: DANIEL MILLS
Notification Date: 02/07/2016
Notification Time: 13:46 [ET]
Event Date: 02/07/2016
Event Time: 13:26 [EST]
Last Update Date: 02/07/2016
Emergency Class: ALERT
10 CFR Section:
50.72(a) (1) (i) - EMERGENCY DECLARED
50.72(b)(2)(iv)(B) - RPS ACTUATION - CRITICAL
50.72(b)(3)(iv)(A) - VALID SPECIF SYS ACTUATION
Person (Organization):
RANDY MUSSER (R2DO)
SCOTT MORRIS (NRR)
BERNARD STAPLETON (IRD)
CATHY HANEY (R2RA)
JOHN LUBINSKI (NRR)

UnitSCRAM CodeRX CRITInitial PWRInitial RX ModeCurrent PWRCurrent RX Mode
1M/RY88Power Operation0Hot Shutdown
Event Text
MANUAL SCRAM AND ALERT DECLARATION DUE TO ELECTRICAL FAULT RESULTING IN FIRE/EXPLOSION

At 1346 EST the licensee reported that at 1326, Brunswick Unit 1 declared an Alert under EAL HA 2.1 due to an explosion/fire in the Balance of Plant 4 kV switchgear bus area. Prior to the Alert declaration, the operators initiated a manual SCRAM due to an unexpected power decrease from 88% to 40%. The licensee has visually verified that there is no ongoing fire and is investigating the initial cause of the event. Offsite power is available to the site, but EDGs 1 and 2 are running and supplying Unit 1 loads. The MSIVs shut and HPCI/RCIC are being used to maintain vessel level. At 1412 EST, NRC decided to remain in Normal Mode.

At 1704 EST the licensee reported the following:

"At 1313 hours Eastern Standard Time (EST) a manual reactor scram was initiated due to loss of both recirculation system variable speed drives as a result of an electrical fault. At this time, a Startup Auxiliary Transformer (SAT) experienced a lockout fault; interrupting offsite power to emergency buses 1 and 2. Emergency Diesel Generators (EDGs) 1, 2, 3, and 4 automatically started and EDGs 1 and 2 synchronized to emergency buses 1 and 2 per design. The power interruption resulted in closure of the Main Steam Isolation Valves, per design. The manual scram also resulted in closure of Group 2, 6, and 6 Containment Isolation Valves.

"The Reactor Core Isolation Cooling (RCIC) system was manually started and is being used to control reactor water level. The High Pressure Coolant Injection (HPCI) system was manually started and is being used for pressure control.

"The Plant response to the event was per design.

"Unit 2 is not directly affected by the event, however, due to the shared electrical distribution system is in a Technical Specification Action statement due to the Inoperable Unit 1 SAT.

"The public health and safety is not impacted by this event."

At 1751 EST, the licensee reported that the emergency declaration had been downgraded to an Unusual Event at 1730 because the plant no longer meets the criteria for an Alert, but does meet the criteria for an Unusual Event due to a "loss of all offsite power to Emergency 4 kV buses E1 (E3) and E2 (E4) for greater than or equal to 15 minutes."

The NRC Resident Inspector has been notified.

The licensee has notified the State and Local governments.

Notified DHS, FEMA, USDA, HHS, DOE, DHS NICC, EPA EOC, FEMA NWC (via email), FDA EOC (via email) and Nuclear SSA (via email).


* * * UPDATE FROM MARTY IRWIN TO DANIEL MILLS AT 1825 ON 2/07/16 * * *

At 1814 EST the emergency declaration was terminated because offsite power was restored.

The NRC Resident Inspector has been notified.

The licensee has notified the State and Local governments.

Notified R2DO (Musser), NRR EO (Morris), IRD MOC (Stapleton), R2RA (Haney), NRR ET (Lubinski), NRR ET (Dean), DHS, FEMA, USDA, HHS, DOE, DHS NICC, EPA EOC, FEMA NWC (via email), FDA EOC (via email) and Nuclear SSA (via email).

Why is Pilgrim at 12% Power

Entergy's Pilgrim nuclear power plant is shut as snowstorm envelops Massachusetts

Washington (Platts)--8 Feb 2016 453 pm EST/2153 GMT
Operators at Entergy's 728-MW Pilgrim nuclear plant in Plymouth, Massachusetts, shut the unit early Monday morning as a precautionary measure, while a snowstorm swept through the state, a plant spokesman said.

Pilgrim spokesman Patrick O'Brien said operators began to reduce the unit's power from 100% at 9 pm EST (0200 GMT) Sunday, noting the "weather might be an issue, with loss of power" possible. Pilgrim shut automatically in January 2015 and in February 2014 during snowstorms when offsite power, provided by a local utility, was interrupted.

The unit was operating at 12% of capacity just prior to being shut, according to the US Nuclear Regulatory Commission's daily reactor status report Monday.

O'Brien declined to estimate when Pilgrim will restart and return to 100% capacity, saying this information "is market sensitive."
Article continues below...
Are they going down in power or going up in power?

Sounds like blizzard preparation, shutting down because they are not safe a 100%.

Maybe a SRV is leaking?

The Pilgrim guys say its because of the blizzard...

Saturday, February 06, 2016

New Indian Point Radioactive Water Leak: 8 Million Picocuries Per Liter

Update 2/7: Insider comment trying to straighten me out. My wife says its hopeless. It obviously is a Republican?  
"Tritium can be counted in their high tech radioactive counters pretty fast. Strontium and cobalt takes a lot longer count. It will take a few days to weeks to count the really nasty radioactivity. You got much more than tritium under the plant. Need the name of the system the water came from?

I think this is mis leading.

I think fundamentally A simple rad detector will detect any gamma radiation.  You can do a couple other things to determine if there is beta, alpha or neutron.

But I do not see where it takes more time to count 2 marbles vs 100 marbles, or 5 micro curries vs 5 curries.  The time may be affected by the time it takes you to changing the scale range.

What takes time is determining what isotope is emitting the radiation.  One way is determining  the decay half life.  Obviously, Co60 with a half life of appx 5 to 10 years takes a little time to determine the decay rate.

But, a rad leak is a rad leak.  Higher rad levels are leaking out from the plant.  The leak is causing higher rad levels than the natural rad levels around the plant.  The next concern, what is it, is it Uranium, or plutonium? Is it a toxic chemical?  Or will it linger for years?


If you are speeding in a 30 mph speed zone, does it matter if you are driving a Honda motorcycle, or a Corvette, or a big mf pickup?  (Does it matter sound a lot like 4 Americans in Benghazi are
already dead, does it matter, does it matter anymore?)"

Vermont Yankee's highest reading was about seven million. I do have a knack for timing. Bet you this will elevate my status with the NRC. 

Here is the 2.206 submitted two days ago. Do you think its related?

Gets to show you how powerless the governor is. Gov Cuomo looks so weak.

Tritium can be counted in their high tech radioactive counters pretty fast. Strontium and cobalt takes a lot longer count. It will take a few days to weeks to count the really nasty radioactivity. You got much more than tritium under the plant. Need the name of the system the water came from?

Most leaks come from secondary water are laced with tritium. Hydrogen can almost leak through anything, the atoms are so small. There is a filtering process that takes out most of the really bad radioactivity with the secondary water. Greater than 95% of the escaped water based tritium comes from the more benign secondary system. The water that never directly come in contact with the core. You are going to be very sorry if Indian Point had fuel pin leaks... If it is reactor coolant, there is going to be much more radioactivity.

What system did the leaking water come from. This is very important information...      
Radioactive material found below nuclear plant
February 7, 2016
BUCHANAN, N.Y. — An apparent overflow at a nuclear power plant north of New York City spilled highly radioactive water into an underground monitoring well, but nuclear regulators said the public isn’t at risk.
Officials at the Indian Point Energy Center in Buchanan, 40 miles north of Manhattan, reported on Friday that water contaminated by tritium leaked into the groundwater under the facility. The contamination has remained contained to the site, said Democratic Gov. Andrew Cuomo, who ordered the state’s environmental conservation and health departments to investigate.
“Our first concern is for the health and safety of the residents close to the facility and ensuring the groundwater leak does not pose a threat,” Cuomo said Saturday in a statement.
The leak occurred after a drain overflowed during a maintenance exercise while workers were transferring water, which has high levels of radioactive contamination, said Neil Sheehan, a spokesman for the Nuclear Regulatory Commission. Normally, a sump pump would take the water and filter it into another treatment system, but the pump apparently was out of service, Sheehan said. After the drain overflowed, the water seeped out of the building into the groundwater.
It was unclear how much water spilled, but samples showed the water had a radioactivity level of more than 8 million picocuries per liter, a 65,000 percent increase from the average at the plant, Cuomo said. The levels are the highest regulators have seen at Indian Point, and the normal number is about 12,300 picocuries per liter, Cuomo said.
Contaminated groundwater would likely slowly make its way to the Hudson River, Sheehan said, but research has shown that water usually ends up in the middle of the river and is so diluted that the levels of radioactivity are nearly undetectable.
“We don’t believe there’s any concern for members of the public,” Sheehan said. “First of all, this water’s not going anywhere immediately … and, again, because of the dilution factor, you wouldn’t even be able to detect it were you to take a direct sample.”
A spokesman for Entergy Corp., the New Orleans-based company that operates Indian Point, said the overflow was “likely the cause of the elevated tritium levels.”
“Tritium in the ground is not in accordance with our standards, but I think people should keep in mind there’s no health or safety consequences,” spokesman Jerry Nappi said. “There is no impact on drinking water on or off site.”
There has been a history of groundwater contamination at Indian Point. A federal oversight agency issued a report after about 100,000 gallons of tritium-tainted water entered the groundwater supply in 2009, and elevated levels of tritium also were found in two monitoring wells at the plant in 2014. Officials said then the contamination likely stemmed from an earlier maintenance shutdown.
An Associated Press investigation in 2009 showed three-quarters of America’s 65 nuclear plant sites have leaked tritium, a radioactive form of hydrogen that poses the greatest risk of causing cancer when it ends up in drinking water.

Brattleboro Reformer Actively Participating in NG Power plant Scam

Update 2/9

Now today Don Cambell works for, "represents the Vermont-based Stonewall Energy Advisors LLC." That is three different companies he owned or represents. 
Vernon residents will be asked if they 'support a gas-fired electric generation plant'
By Chris Mays
Posted:   02/08/2016 05:04:24 PM EST
| Updated:   about 11 hours ago
"To me, this has always been about the community," said Don Campbell, who represents the Vermont-based Stonewall Energy Advisors LLC, which is evaluating the potential project. "It all comes back to the community. If it's not the right thing, then that's really all. It's only a question."

Update 2/7/2016

Our Buddy Don Campbell was president of American Generation Partners in 2014 and working on a Vernon biomass plant? He seems shaky to me. Aren't the Vernon folks nothing but a bunch of kookies and government hater teabaggers.

Is Don a front for another interest?

Maybe he is trying to block or sabotage another project?

The Vernon folks hate the Brattleboro Reformer. Are they maliciously punking the Brattleboro Reformer?   
Those involved with the proposal, including a Winhall man who is president of American Generation Partners LLC, acknowledge that the proposal is in its infancy and would have to overcome significant financing and regulatory hurdles -- not to mention acquisition of property from Yankee owner Entergy Corp.
He believes he can assemble a team and help procure financing to push the project forward. For example, Campbell said he has had serious discussions with Starwood Energy Group Global, a private equity investment firm headquartered in Greenwich, Conn.
"I'm semiretired, but I live up in Stratton, so I'm a Vermont resident," Campbell said, adding that, "I'm not like a developer who says, 'Sign this agreement, trust me, you'll get the money.' I'm somebody who comes to you with the money.
I called and made a complaint to the newspaper. Asked them to withdraw the newspaper article.  
Vernon prepares for gas plant vote

Developers say community response will affect whether they move forward

 By Chris Mays
cmays@reformer.com @CMaysBR on Twitter

Posted: 02/04/2016 01:02:14 PM EST0

Developer Don Campbell, of Transitional Transmission Partners, said details provided at the forum were arrived at by looking at data, preexisting infrastructure and plans for a pipeline. More transparency could be expected after the vote, he told attendees, and public buy-in would lead to his group going to private investors.
The idea with these scammer is go to a town that is distressed or in a depression condition. They propose a biomass or natural gas plant, get others to finance it, grease the pockets of the state regulator to get massively expensive long term power contracts. They take a huge cut of the project in management fees. Probably then sell the site. Whereby the new owners figure out the whole project was never economic from the conception of the project…    
 TRANSITIONAL TRANSMISSION PARTNERS, INC.

This profile contains information from public web pages. 

 Company Profile

 Company Name

TRANSITIONAL TRANSMISSION PARTNERS, INC. 


 Entity Number

E0058222009-7

Status

Revoked

Business Type

Domestic Corporation

Business ID

NV20091346172

File Date

2/5/2009

List Of Officers Due

3/31/2009

Agent Information

Nine Mile Point: I Approve Reduction Of Testing Frequency On SRVs

 “Clinton 2009 safety evaluation: Dikkers Model G-471 SRVs have shown exemplary test history.
If we take it at face value the NWS testing facility is ethical, I thinking maybe Nine Mile Point deserves the reduction in SRV testing. I am surprised I am coming to this conclusion. It’s surprising there was no corrosion bonding of the seat and disc.

See what I say, if saying drastically changes, something has changed to create the different outcome. The site has tested the SRVs onsite and they used nitrogen as the testing medium. Now its tested at NWS and they use saturated steam.

I am disappointed the NRC used an incomplete framework with this safety evaluation. They didn’t explicitly state NMP had inaccuracies in the past and they solved the problem. I am just concern bad actor plants would use the safety evaluation to loosen testing without making a change that solves the problem.

What the hell:  “Clinton 2009 safety evaluation: The installed Dikkers Model G-471 SRVs have shown exemplary test history.” So we know there are companies and valves out there.

Jesus, the miracle SRV and MSSV…the Dikker valves
NMP: Supplement 1 to Licensee Event Report 2011-001, As-Found Safety Relief Valve Lift Setpoints Exceed Technical Specification Allowable Values 
On April 1, 2011, Nine Mile Point Nuclear Station, LLC (NMPNS) determined that, based on the results of completed as-found testing, four (4) of eighteen (18) Main Steam Safety Relief Valves (SRVs) mechanically actuated at pressures that exceeded the allowable Technical Specification (TS) limit, which is the TS specified setpoint plus or minus 3 percent. These 18 SRVs had been removed and replaced with pre-tested, certified SRVs during the 2010 Nine Mile Point Unit 2 (NMP2) refueling outage. NMP2 TS 3.4.4 requires the safety function of sixteen (16) SRVs to be operable in reactor operating modes 1, 2, and 3. Since the as found testing determined that 4 of the 18 SRVs were inoperable for an indefinite period of time during the operating cycle that preceded the 2010 refueling outage, it is probable that NMP2 operated longer than the TS allowed Completion Time. 
The immediate cause for this reportable condition is out-of-tolerance lift pressures that exceeded the TS-allowed values for 4 of 18 SRVs, and which existed for longer than the TS allowed Completion Time. The 4 SRVs that failed the as-found test were disassembled and inspected at NWS Technologies in Spartanburg, SC, using the guidance provided in the Dikkers instruction manual and Electric Power Research Institute (EPRI) TR-1 05872, "Safety and Relief Valve Testing and Maintenance Guide." There was no evidence of degradation, corrosion, binding, rubbing, foreign material intrusion, or parts out of adjustment noted during the inspections, and no test method irregularities at the NWS test facility were identified that would account for the test failures. The cause for the 4 as-found test failures is attributed to inaccurate as-left lift pressure settings that resulted from the use of nitrogen as the test medium for SRV testing performed prior to the 2010 refueling outage. Onsite nitrogen testing of the NMP2 SRVs was conducted from 1997 to 2008. Prior to commencing nitrogen testing, NMPNS performed analyses to establish a nitrogen-steam correlation that, when combined with a 95% confidence limit, would provide conservative nitrogen pressure limits for establishing an equivalent SRV steam set pressure within the TS as-left set pressure tolerance limit of plus or minus 1 percent. The analyses considered the concerns expressed in General Electric Service Information Letter (SIL) No. 577, "Nitrogen Setting of the Dikkers SRV," and incorporated the implementation considerations described in the SIL. The testing of the 18 SRVs removed during the 2010 refueling outage, performed at NWS Technologies using saturated steam as the test medium, indicates that all of the lift pressures were greater than the nominal TS setpoint values; therefore, it appears that the nitrogen-steam correlation was not sufficiently conservative. Onsite nitrogen testing of the NMP2 SRVs is no longer being performed.