Florida Power & Light Company; St. Lucie Plant, Unit No. 2, 24900-24903 [2016-09851]
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24900
Federal Register / Vol. 81, No. 81 / Wednesday, April 27, 2016 / Notices
criteria set forth in 10 CFR 2.309(d) and
(f).
If a hearing is requested by a person
whose interest is adversely affected, the
Commission will issue a separate Order
designating the time and place of any
hearings, as appropriate. If a hearing is
held, the issue to be considered at such
hearing shall be whether this Order
should be sustained.
In the absence of any request for
hearing, or written approval of an
extension of time in which to request a
hearing, the provisions specified in
Section V above shall be final 30 days
after issuance of this Order without
further order or proceedings. If an
extension of time for requesting a
hearing has been approved, the
provisions specified in Section V shall
be final when the extension expires if a
hearing request has not been received.
Dated at Rockville, Maryland, this 20th day
of April 2016.
For the Nuclear Regulatory Commission.
Patricia K. Holahan, Director,
Office of Enforcement.
[FR Doc. 2016–09917 Filed 4–26–16; 8:45 am]
BILLING CODE 7590–01–P
[Docket Nos. 52–017; NRC–2008–0066]
Dominion Virginia Power; North Anna,
Unit 3; Combined License Application
Nuclear Regulatory
Commission.
ACTION: Combined license application;
receipt.
AGENCY:
The U.S. Nuclear Regulatory
Commission (NRC) is giving notice once
each week for four consecutive weeks of
the North Anna Unit 3 combined license
(COL) application from Dominion
Virginia Power (Dominion).
DATES: April 27, 2016.
ADDRESSES: Please refer to Docket ID
NRC–2008–0066 when contacting the
NRC about the availability of
information regarding this document.
You may obtain publicly-available
information related to this document
using the following methods:
• Federal Rulemaking Web site: Go to
https://www.regulations.gov and search
for Docket ID NRC–2008–0066. Address
questions about NRC dockets to Carol
Gallagher; telephone: 301–415–3463;
email: Carol.Gallagher@nrc.gov. For
technical questions, contact the
individual listed in the FOR FURTHER
INFORMATION CONTACT section of this
document.
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SUMMARY:
17:29 Apr 26, 2016
FOR FURTHER INFORMATION CONTACT:
James Shea, Office of New Reactors,
U.S. Nuclear Regulatory Commission,
Washington, DC 20555–0001; telephone:
301–415–1388, email: James.Shea@
nrc.gov.
The
Virginia Electric and Power Company,
doing business as Dominion Virginia
Power (Applicant) has filed an
application for a COL with the NRC
under Section 103 of the Atomic Energy
Act of 1954, as amended, and part 52 of
title 10 of the Code of Federal
Regulations (10 CFR), ‘‘Licenses,
Certifications, and Approvals for
Nuclear Power Plants.’’ Through the
Application, which is currently under
review by the NRC staff, the Applicant
seeks to construct and operate an
Economic Simplified Boiling-Water
Reactor at the North Anna Power
Station, which is located in Louisa
County, Virginia. An applicant may seek
a COL in accordance with subpart C of
10 CFR part 52. The information
submitted by the applicant includes
certain administrative information, such
as financial qualifications submitted
pursuant to 10 CFR 52.77, as well as
technical information submitted
pursuant to 10 CFR 52.79. These notices
are being provided in accordance with
the requirements in 10 CFR 50.43(a)(3).
SUPPLEMENTARY INFORMATION:
NUCLEAR REGULATORY
COMMISSION
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• NRC’s Agencywide Documents
Access and Management System
(ADAMS): You may obtain publiclyavailable documents online in the
ADAMS Public Documents collection at
https://www.nrc.gov/reading-rm/
adams.html. To begin the search, select
‘‘ADAMS Public Documents’’ and then
select ‘‘Begin Web-based ADAMS
Search.’’ For problems with ADAMS,
please contact the NRC’s Public
Document Room (PDR) reference staff at
1–800–397–4209, 301–415–4737, or by
email to pdr.resource@nrc.gov. The
ADAMS accession number for each
document referenced (if it is available in
ADAMS) is provided the first time that
it is mentioned in this document.
• NRC’s PDR: You may examine and
purchase copies of public documents at
the NRC’s PDR, Room O1–F21, One
White Flint North, 11555 Rockville
Pike, Rockville, Maryland 20852.
Jkt 238001
Dated at Rockville, Maryland, this 21th day
of April, 2016.
For the Nuclear Regulatory Commission.
Ronaldo Jenkins,
Chief, Licensing Branch 3, Division of New
Reactor Licensing, Office of New Reactors.
[FR Doc. 2016–09847 Filed 4–26–16; 8:45 am]
BILLING CODE 7590–01–P
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NUCLEAR REGULATORY
COMMISSION
[Docket No. 50–389; NRC–2016–0085]
Florida Power & Light Company; St.
Lucie Plant, Unit No. 2
Nuclear Regulatory
Commission.
ACTION: Exemption; issuance.
AGENCY:
The U.S. Nuclear Regulatory
Commission (NRC) is issuing an
exemption in response to a December
30, 2014, request from Florida Power &
Light Company for the use of a different
fuel rod cladding material (AREVA
M5®).
SUMMARY:
Please refer to Docket ID
NRC–2016–0085 when contacting the
NRC about the availability of
information regarding this document.
You may obtain publicly-available
information related to this document
using any of the following methods:
• Federal Rulemaking Web site: Go to
https://www.regulations.gov and search
for Docket ID NRC–2016–0085. Address
questions about NRC dockets to Carol
Gallagher; telephone: 301–415–3463;
email: Carol.Gallagher@nrc.gov. For
technical questions, contact the
individuals listed in the FOR FURTHER
INFORMATION CONTACT section of this
document.
• NRC’s Agencywide Documents
Access and Management System
(ADAMS): You may obtain publiclyavailable documents online in the
ADAMS Public Documents collection at
https://www.nrc.gov/reading-rm/
adams.html. To begin the search, select
‘‘ADAMS Public Documents’’ and then
select ‘‘Begin Web-based ADAMS
Search.’’ For problems with ADAMS,
please contact the NRC’s Public
Document Room (PDR) reference staff at
1–800–397–4209, 301–415–4737, or by
email to pdr.resource@nrc.gov. The
ADAMS accession number for each
document referenced (if it is available in
ADAMS) is provided the first time that
it is mentioned in this document.
• NRC’s PDR:You may examine and
purchase copies of public documents at
the NRC’s PDR, Room O1–F21, One
White Flint North, 11555 Rockville
Pike, Rockville, Maryland 20852.
FOR FURTHER INFORMATION CONTACT:
Perry H. Buckberg; telephone: 301–415–
1383; email: Perry.Buckberg@nrc.gov; or
Robert L. Gladney; telephone: 301–415–
1022; email: Robert.Gladney@nrc.gov.
Both are staff of the Office of Nuclear
Reactor Regulation, U.S. Nuclear
Regulatory Commission, Washington,
DC 20555–0001.
ADDRESSES:
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Federal Register / Vol. 81, No. 81 / Wednesday, April 27, 2016 / Notices
I. Background
Florida Power & Light Company (the
licensee) is the holder of Renewed
Facility Operating License No. NPF–16,
which authorizes operation of the St.
Lucie Plant, Unit No. 2 (PSL–2). The
license provides, among other things,
that the facility is subject to all rules,
regulations, and orders of the NRC now
or hereafter in effect. The facility
consists of a pressurized-water reactor
(PWR) located in St. Lucie County,
Florida.
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II. Request/Action
Pursuant to § 50.12, ‘‘Specific
exemptions,’’ of title 10 of the Code of
Federal Regulations (10 CFR), the
licensee, by letter dated December 30,
2014 (ADAMS Accession No.
ML15002A091), requested an exemption
from the requirements of 10 CFR 50.46,
‘‘Acceptance criteria for emergency core
cooling systems [ECCS] for light-water
nuclear power reactors,’’ and 10 CFR
part 50, Appendix K, ‘‘ECCS Evaluation
Models,’’ to allow the use of fuel rods
clad with the AREVA M5® zirconium
alloy in future core reload applications
for PSL–2. The regulations in 10 CFR
50.46 contain acceptance criteria for the
ECCS for reactors fueled with Zircaloy
or ZIRLOTM fuel rod cladding material.
In addition, Appendix K to 10 CFR part
50 requires that the Baker-Just equation
be used to predict the rates of energy
release, hydrogen concentration, and
cladding oxidation from the metal-water
reaction. The Baker-Just equation
assumes the use of a zirconium alloy,
which is a material different from the
M5® zirconium alloy. The licensee
requested the exemption because these
regulations do not have provisions for
the use of fuel rods clad in a material
other than Zircaloy or ZIRLOTM. Since
the material designations of M5®
zirconium alloy are different from the
designations for Zircaloy or ZIRLOTM, a
plant-specific exemption is required to
support the reload applications for PSL–
2.
The exemption request relates solely
to the cladding material specified in
these regulations (i.e., fuel rods with
Zircaloy or ZIRLOTM cladding material).
In its letter dated December 30, 2014,
the licensee stated that this exemption
was requested in order, ‘‘to allow the
use of a zirconium alloy other than
Zircaloy or [ZIRLOTM] for fuel cladding
material at St. Lucie Unit 2.’’ This
exemption would provide for the
application of the acceptance criteria of
10 CFR 50.46 and Appendix K to 10
CFR part 50 to fuel assembly designs
using M5® zirconium alloy fuel rod
cladding material.
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In addition to the exemption request
in the letter dated December 30, 2014,
the licensee also requested an
amendment to revise the Technical
Specifications (TSs) to allow for the use
of AREVA fuel at PSL–2. The NRC staff
has addressed the requested amendment
in separate correspondence dated April
19, 2016 (ADAMS Accession No.
ML16063A121).
III. Discussion
Pursuant to 10 CFR 50.12, the
Commission may, upon application by
any interested person, grant exemptions
from the requirements of 10 CFR part
50, which are authorized by law, will
not present an undue risk to the public
health and safety, and are consistent
with the common defense and security.
Paragraph (a)(2)(ii) of 10 CFR 50.12
states that the Commission will not
consider granting an exemption unless
special circumstances are present, such
as when application of the regulation in
the particular circumstance is not
necessary to achieve the underlying
purpose of the rule.
A. Special Circumstances
Special circumstances, in accordance
with 10 CFR 50.12(a)(2)(ii), are present
whenever application of the regulation
in the particular circumstances is not
necessary to achieve the underlying
purpose of the rule. The underlying
purpose of 10 CFR 50.46 and Appendix
K to 10 CFR part 50 is to establish
acceptance criteria for ECCS
performance. The regulations in 10 CFR
50.46 and Appendix K are not directly
applicable to M5® cladding material
because the M5® cladding material is
not specified in 10 CFR 50.46 or
presumed in the Baker-Just equation
required by paragraph I.A.5 of 10 CFR
part 50, Appendix K. The evaluations
described in the following sections of
this exemption, however, show that the
intent of the regulation is met in that
subject to certain conditions, the
acceptance criteria are valid for M5®
zirconium-based alloy cladding, the
material is less susceptible to
embrittlement, and the Baker-Just
equation conservatively bounds
scenarios following a loss-of-coolant
accident (LOCA) for rods with M5®
cladding material. Thus, a strict
application of the rule (which would
preclude the applicability of ECCS
performance acceptance criteria to, and
the use of, M5® clad fuel rods) is not
necessary to achieve the underlying
purposes of 10 CFR 50.46 and Appendix
K of 10 CFR part 50. The purpose of
these regulations is achieved through
the application of the requirements for
the use of M5® fuel rod cladding
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material. Therefore, the special
circumstances required by 10 CFR
50.12(a)(2)(ii) for the granting of an
exemption exist.
B. The Exemption Is Authorized by Law
This exemption would allow the use
of fuel rods clad with the AREVA M5®
fuel rod cladding material in future core
reload applications for PSL–2. Section
50.12 of 10 CFR allows the NRC to grant
exemptions from the requirements of 10
CFR part 50 provided that special
circumstances are present. The NRC
staff determined that granting the
licensee’s proposed exemption would
not result in a violation of the Atomic
Energy Act of 1954, as amended, or the
Commission’s regulations. Therefore,
the exemption is authorized by law.
C. The Exemption Presents No Undue
Risk to Public Health and Safety
Section 50.46 of 10 CFR requires that
each boiling or pressurized light-water
nuclear power reactor fueled with
uranium oxide pellets within
cylindrical Zircaloy or ZIRLOTM
cladding must be provided with an
ECCS that must be designed so that its
calculated cooling performance
following postulated LOCAs conforms
to the criteria set forth in paragraph (b)
of that section. The underlying purpose
of 10 CFR 50.46 is to establish
acceptance criteria for adequate ECCS
performance at nuclear reactors.
Framatome Cogema Fuels (AREVA)
submitted topical report BAW–10227P–
A, Revision 0, ‘‘Evaluation of Advanced
Cladding and Structural Material (M5®)
in PWR Reactor Fuel,’’ to the NRC for
review and approval by letter dated
September 30, 1997. The NRC staff
documented its approval of BAW–
10227P–A, Revision 0 in a safety
evaluation (SE) dated February 4, 2000
(ADAMS Accession No. ML003681490)
and concluded that 10 CFR 50.46 and 10
CFR part 50, Appendix K criteria are
applicable to M5® fuel cladding, subject
to compliance with specified burnup
conditions. The NRC-accepted version
of BAW–10227P–A, Revision 0 was
submitted to the NRC by letter dated
February 11, 2000 (ADAMS Accession
No. ML003685828). BAW–10227P–A,
Revision 1, dated June 2003, as noted by
letter dated April 19, 2004 (ADAMS
Accession No. ML15162B047), is a
subsequent revision to BAW–10227P–A,
Revision 0 and incorporated the portion
of the NRC’s approval provided in the
NRC SE for BAW–10186P–A, Revision
1, Supplement 1, ‘‘Extended Burnup
Evaluation,’’ dated June 18, 2003
(ADAMS Accession No. ML031700090),
in which the applicable restrictions on
burnup were removed. Additionally, in
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an SE dated May 5, 2004 (ADAMS
Accession No. ML041260560), the NRC
staff approved topical report BAW–
10240(P), ‘‘Incorporation of M5
Properties in Framatome ANP [AREVA]
Approved Methods,’’ which further
addressed M5® material properties with
respect to LOCA applications and
included specified conditions.
The specific conditions that address
the use of M5® under approved methods
that were provided in the SE for BAW–
10240(P) are: (1) The corrosion limit, as
predicted by the best-estimate model,
will remain below 100 microns for all
locations of the fuel; (2) all of the
conditions listed in the NRC SEs for all
AREVA methodologies used for M5®
fuel analysis will continue to be met; (3)
all AREVA methodologies will be used
only within the range for which M5®
data was acceptable and for which the
verifications discussed in the applicable
topical reports were performed; and (4)
the burnup limit for implementation of
M5® is 62 gigawatt-days per metric ton
uranium metal (GWd/MTU). The staff
determined that the licensee has
satisfied these conditions. The corrosion
limit stated in condition (1) is verified
by the licensee for each reload as
required by TS 6.9.1.11, ‘‘Core
Operating Limits Report (COLR).’’ The
conditions from NRC-approved SEs
stated in condition (2) are incorporated
as restrictions in AREVA design
procedures and guidelines that will
control the core reload designs for PSL–
2, which are also verified for each
reload as required by the COLR. The
restrictions on the use of AREVA
methodologies stated as condition (3)
are also incorporated as restrictions in
AREVA design procedures and
guidelines that will control the core
reload designs for PSL–2, which are also
verified for each reload as required by
the COLR. Finally, the burnup limit
stated in condition (4) is currently part
of AREVA’s design processes (as stated
by the licensee), and is also verified as
part of the cycle-specific reload analysis
as required by the COLR.
In the exemption granted for PSL,
Unit No. 1, for the application and use
of AREVA M5® fuel rod cladding
material, dated March 31, 2014
(ADAMS Accession No. ML14064A125),
the NRC staff described the applicable
results from the LOCA research program
completed at the Argonne National
Laboratory. The results showed that
cladding corrosion and associated
hydrogen pickup had a significant
impact on post-quench ductility. The
research also provided further evidence
of favorable corrosion and hydrogen
pickup characteristics of M5® as
compared with standard Zircaloy and
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that, due to its favorable hydrogen
pickup, fuel rods with M5® zirconiumbased alloy cladding are less susceptible
to hydrogen-enhanced beta layer
embrittlement, a new embrittlement
mechanism. In addition, the exemption
documented that the 10 CFR 50.46(b)
acceptance criteria (i.e., 2200 degrees
Fahrenheit and 17-percent equivalent
cladding reacted) remain conservative
up to the current burnup limit of 62
GWd/MTU and that the acceptance
criteria within 10 CFR 50.46 remain
valid for the M5® alloy material. As a
result, the NRC staff found that the
underlying purpose of the rule—to
maintain a degree of post-quench
ductility in the fuel cladding material
through ECCS performance criteria—
would be met if an exemption were
granted to allow those criteria to apply
to M5® clad fuel. This conclusion
remains valid for an exemption for PSL–
2 for the application and use of AREVA
M5® fuel rod cladding material.
In addition, as stated by the licensee
in its application, ‘‘FPL [Florida Power
& Light Company], in conjunction with
AREVA NP Inc. (AREVA), will utilize
NRC[-]approved methods for the reload
design process, for PSL–2 reload cores
containing M5® fuel rod cladding, to
ensure safety analysis limits are met for
operation within the operating limits
specified in the Technical
Specifications.’’ The licensee also stated
that it will ‘‘ensure compliance with the
respective acceptance criteria’’ and that
‘‘the intent of 10 CFR 50.46 and 10 CFR
50, Appendix K will continue to be
satisfied.’’ Therefore, for the reasons
stated above, granting the exemption
request will ensure that the underlying
purpose of the rule is achieved for PSL–
2.
Paragraph I.A.5 of Appendix K to 10
CFR part 50 states that the rate of energy
release, hydrogen concentration, and
cladding oxidation from the metal-water
reaction shall be calculated using the
Baker-Just equation. The approved
AREVA topical reports show that due to
the similarities in the chemical
composition of the advanced zirconiumbased M5® alloy and Zircaloy, the
application of the Baker-Just equation in
the analysis of the M5® clad fuel rods
will continue to conservatively bound
all post-LOCA scenarios. For the reasons
stated above, granting the exemption
request will ensure that the Baker-Just
equation can be applied to M5® clad
fuel and that the underlying purpose of
the rule is achieved for PSL–2.
Based upon results of metal-water
reaction testing and mechanical testing,
which ensure the applicability of 10
CFR 50.46 acceptance criteria and 10
CFR part 50, Appendix K, methods, the
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NRC staff finds it acceptable to grant an
exemption from the requirements of 10
CFR 50.46 and Appendix K to 10 CFR
part 50 to allow these regulations to
apply to, and enable the use of, fuel rods
with M5® zirconium-based alloy at
PSL–2. Therefore, the exemption
presents no undue risk to public health
and safety.
D. The Exemption Is Consistent With the
Common Defense and Security
The licensee’s exemption request is
only to allow the application of the
aforementioned regulations to an
improved fuel rod cladding material. In
its letter dated December 30, 2014, the
licensee stated that all the requirements
and acceptance criteria will be
maintained and that it would continue
to handle and control special nuclear
material in the fuel product in
accordance with its approved
procedures. This change to the reactor
core internals is adequately controlled
by NRC requirements and is not related
to security issues. Therefore, the NRC
staff has determined that this exemption
does not impact common defense and
security and is consistent with the
common defense and security.
E. Environmental Considerations
The NRC staff determined that the
exemption discussed herein meets the
eligibility criteria for the categorical
exclusion set forth in 10 CFR 51.22(c)(9)
because it is related to a requirement
concerning the installation or use of a
facility component located within the
restricted area, as defined in 10 CFR
part 20, and the granting of this
exemption involves: (i) No significant
hazards consideration, (ii) no significant
change in the types or a significant
increase in the amounts of any effluents
that may be released offsite, and (iii) no
significant increase in individual or
cumulative occupational radiation
exposure. Therefore, in accordance with
10 CFR 51.22(b), no environmental
impact statement or environmental
assessment need be prepared in
connection with the NRC’s
consideration of this exemption request.
The basis for the NRC staff’s
determination is discussed as follows
with an evaluation against each of the
requirements in 10 CFR 51.22(c)(9)(i)–
(iii).
Requirements in 10 CFR 51.22(c)(9)(i)
The NRC staff evaluated the issue of
no significant hazards consideration,
using the standards described in 10 CFR
50.92(c), as presented below:
1. Does the proposed exemption
involve a significant increase in the
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probability or consequences of an
accident previously evaluated?
The proposed changes for PSL–2
revise TS 5.3.1 to include M5® cladding,
delete the linear heat rate surveillance
requirement with W(z) in TS 4.2.1.3,
and include previously approved
AREVA topical reports in the list of
COLR methodologies in TS 6.9.1.11.
[Another] change is in TS License
Condition 3.N, which is related to future
analysis of the current fuel and is
considered an administrative change, all
as a result of changing the fuel supplier.
The fuel assembly design is not an
initiator to any accident previously
evaluated. Therefore, there is no
significant increase in the probability of
any accident previously evaluated.
However, the fuel design parameters
and the correlations used in the
analyses supporting the operation of
PSL–2 with the new proposed AREVA
fuel are dependent on the fuel assembly
design. All the analyses, potentially
impacted by the fuel design, have been
re-analyzed using the correlations and
the methodology applicable to the
proposed fuel design and previously
approved by the NRC for similar
applications. There are no changes to
any limits specified in the TSs. M5®
cladding to be used in the proposed
AREVA fuel design has been previously
approved by the NRC for PWR
applications, including the St. Lucie
Plant, Unit No. 1. The core design
peaking factors remain unchanged from
the current analyses values, except for
the large break LOCA, which is shown
to meet all the 10 CFR 50.46 criteria
with the increased peak linear heat rate
limit.
Therefore, the proposed changes do
not involve a significant increase in the
probability or consequences of an
accident previously evaluated.
2. Does the proposed exemption
create the possibility of a new or
different kind of accident from any
accident previously evaluated?
No new or different accidents result
from utilizing the proposed AREVA CE
[Combustion Engineering] 16x16 fuel
design [and M5® cladding]. Other than
the fuel design change, the proposed
exemption does not involve a physical
alteration of the plant or plant systems
(i.e., no new or different type of
equipment will be installed which
would create a new or different kind of
accident). The change to the linear heat
rate surveillance requirement, when
operating on excore detector monitoring
system, and the use of M5® cladding do
not affect or create any accident
initiator. There is no change to the
methods governing normal plant
operation and the changes do not
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impose any new or different operating
requirements. The core monitoring
system remains unchanged.
Therefore, the proposed change does
not create the possibility of a new or
different kind of accident from any
accident previously evaluated.
3. Does the proposed exemption
involve a significant reduction in a
margin of safety?
The changes proposed in this
exemption are related to the fuel design
with M5® cladding and the
methodology supporting the analysis of
accidents impacted by the fuel design
change. The analysis methods used are
previously approved by the NRC for
similar applications. The change to the
surveillance requirement for the linear
heat rate does not change any accident
analysis requirements. The fuel design
limits related to the DNBR [departure
from nucleate boiling ratio] and fuel
centerline melt remain consistent with
the limits previously approved for the
proposed fuel design change. The
overpressure limits for the reactor
coolant system integrity and the
containment integrity remain
unchanged. All of the analyses
performed to support the fuel design
change meet all applicable acceptance
criteria. The LOCA analyses, with the
peak linear heat rate limit increase,
continue to meet all of the applicable 10
CFR 50.46 acceptance criteria, and thus
the proposed changes do not affect
margin of safety for any accidents
previously evaluated.
Therefore, the proposed changes do
not involve a significant reduction in a
margin of safety.
Based on the above, the NRC staff
concludes that the proposed exemption
presents no significant hazards
consideration under the standards set
forth in 10 CFR 50.92(c), and,
accordingly, a finding of no significant
hazards consideration is justified.
Requirements in 10 CFR 51.22(c)(9)(ii)
The proposed exemption would allow
the use of M5® fuel rod cladding
material in the PSL–2 reactor. M5® has
essentially the same properties as the
currently licensed Zircaloy fuel rod
cladding. The use of the M5® fuel rod
cladding material will not significantly
change the types of effluents that may
be released offsite, or significantly
increase the amount of effluents that
may be released offsite. Therefore, the
provisions of 10 CFR 51.22(c)(9)(ii) are
satisfied.
Requirements in 10 CFR 51.22(c)(9)(iii)
The proposed exemption would allow
the use of the M5® fuel rod cladding
material in the PSL–2 reactor core. M5®
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24903
has essentially the same properties as
the currently used Zircaloy cladding.
The use of the M5® fuel rod cladding
material will not significantly increase
individual occupational radiation
exposure, or significantly increase
cumulative occupational radiation
exposure. Therefore, the provisions of
10 CFR 51.22(c)(9)(iii) are satisfied.
IV. Conclusions
Accordingly, the Commission has
determined that, pursuant to 10 CFR
50.12, the exemption is authorized by
law, will not present an undue risk to
the public health and safety, and is
consistent with the common defense
and security. Also, special
circumstances, as required by 10 CFR
50.12(a)(2)(ii), are present. Therefore,
the Commission hereby grants the
licensee an exemption from the
requirements of 10 CFR 50.46 and
Appendix K to 10 CFR part 50, to allow
the use of M5® fuel rod cladding
material at PSL–2.
This exemption is effective upon
issuance.
Dated at Rockville, Maryland, this 19th of
April, 2016.
For the Nuclear Regulatory Commission.
Anne T. Boland,
Director, Division of Operating Reactor
Licensing, Office of Nuclear Reactor
Regulation.
[FR Doc. 2016–09851 Filed 4–26–16; 8:45 am]
BILLING CODE 7590–01–P
POSTAL REGULATORY COMMISSION
[Docket Nos. MC2016–123 and CP2016–156;
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New Postal Product
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Notice.
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ACTION:
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DATES: Comments are due: April 28,
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SUMMARY:
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E:\FR\FM\27APN1.SGM
27APN1
Agencies
[Federal Register Volume 81, Number 81 (Wednesday, April 27, 2016)]
[Notices]
[Pages 24900-24903]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2016-09851]
-----------------------------------------------------------------------
NUCLEAR REGULATORY COMMISSION
[Docket No. 50-389; NRC-2016-0085]
Florida Power & Light Company; St. Lucie Plant, Unit No. 2
AGENCY: Nuclear Regulatory Commission.
ACTION: Exemption; issuance.
-----------------------------------------------------------------------
SUMMARY: The U.S. Nuclear Regulatory Commission (NRC) is issuing an
exemption in response to a December 30, 2014, request from Florida
Power & Light Company for the use of a different fuel rod cladding
material (AREVA M5[supreg]).
ADDRESSES: Please refer to Docket ID NRC-2016-0085 when contacting the
NRC about the availability of information regarding this document. You
may obtain publicly-available information related to this document
using any of the following methods:
Federal Rulemaking Web site: Go to https://www.regulations.gov and search for Docket ID NRC-2016-0085. Address
questions about NRC dockets to Carol Gallagher; telephone: 301-415-
3463; email: Carol.Gallagher@nrc.gov. For technical questions, contact
the individuals listed in the FOR FURTHER INFORMATION CONTACT section
of this document.
NRC's Agencywide Documents Access and Management System
(ADAMS): You may obtain publicly-available documents online in the
ADAMS Public Documents collection at https://www.nrc.gov/reading-rm/adams.html. To begin the search, select ``ADAMS Public Documents'' and
then select ``Begin Web-based ADAMS Search.'' For problems with ADAMS,
please contact the NRC's Public Document Room (PDR) reference staff at
1-800-397-4209, 301-415-4737, or by email to pdr.resource@nrc.gov. The
ADAMS accession number for each document referenced (if it is available
in ADAMS) is provided the first time that it is mentioned in this
document.
NRC's PDR:You may examine and purchase copies of public
documents at the NRC's PDR, Room O1-F21, One White Flint North, 11555
Rockville Pike, Rockville, Maryland 20852.
FOR FURTHER INFORMATION CONTACT: Perry H. Buckberg; telephone: 301-415-
1383; email: Perry.Buckberg@nrc.gov; or Robert L. Gladney; telephone:
301-415-1022; email: Robert.Gladney@nrc.gov. Both are staff of the
Office of Nuclear Reactor Regulation, U.S. Nuclear Regulatory
Commission, Washington, DC 20555-0001.
[[Page 24901]]
I. Background
Florida Power & Light Company (the licensee) is the holder of
Renewed Facility Operating License No. NPF-16, which authorizes
operation of the St. Lucie Plant, Unit No. 2 (PSL-2). The license
provides, among other things, that the facility is subject to all
rules, regulations, and orders of the NRC now or hereafter in effect.
The facility consists of a pressurized-water reactor (PWR) located in
St. Lucie County, Florida.
II. Request/Action
Pursuant to Sec. 50.12, ``Specific exemptions,'' of title 10 of
the Code of Federal Regulations (10 CFR), the licensee, by letter dated
December 30, 2014 (ADAMS Accession No. ML15002A091), requested an
exemption from the requirements of 10 CFR 50.46, ``Acceptance criteria
for emergency core cooling systems [ECCS] for light-water nuclear power
reactors,'' and 10 CFR part 50, Appendix K, ``ECCS Evaluation Models,''
to allow the use of fuel rods clad with the AREVA M5[supreg] zirconium
alloy in future core reload applications for PSL-2. The regulations in
10 CFR 50.46 contain acceptance criteria for the ECCS for reactors
fueled with Zircaloy or ZIRLO\TM\ fuel rod cladding material. In
addition, Appendix K to 10 CFR part 50 requires that the Baker-Just
equation be used to predict the rates of energy release, hydrogen
concentration, and cladding oxidation from the metal-water reaction.
The Baker-Just equation assumes the use of a zirconium alloy, which is
a material different from the M5[supreg] zirconium alloy. The licensee
requested the exemption because these regulations do not have
provisions for the use of fuel rods clad in a material other than
Zircaloy or ZIRLO\TM\. Since the material designations of M5[supreg]
zirconium alloy are different from the designations for Zircaloy or
ZIRLO\TM\, a plant-specific exemption is required to support the reload
applications for PSL-2.
The exemption request relates solely to the cladding material
specified in these regulations (i.e., fuel rods with Zircaloy or
ZIRLO\TM\ cladding material). In its letter dated December 30, 2014,
the licensee stated that this exemption was requested in order, ``to
allow the use of a zirconium alloy other than Zircaloy or [ZIRLO\TM\]
for fuel cladding material at St. Lucie Unit 2.'' This exemption would
provide for the application of the acceptance criteria of 10 CFR 50.46
and Appendix K to 10 CFR part 50 to fuel assembly designs using
M5[supreg] zirconium alloy fuel rod cladding material.
In addition to the exemption request in the letter dated December
30, 2014, the licensee also requested an amendment to revise the
Technical Specifications (TSs) to allow for the use of AREVA fuel at
PSL-2. The NRC staff has addressed the requested amendment in separate
correspondence dated April 19, 2016 (ADAMS Accession No. ML16063A121).
III. Discussion
Pursuant to 10 CFR 50.12, the Commission may, upon application by
any interested person, grant exemptions from the requirements of 10 CFR
part 50, which are authorized by law, will not present an undue risk to
the public health and safety, and are consistent with the common
defense and security. Paragraph (a)(2)(ii) of 10 CFR 50.12 states that
the Commission will not consider granting an exemption unless special
circumstances are present, such as when application of the regulation
in the particular circumstance is not necessary to achieve the
underlying purpose of the rule.
A. Special Circumstances
Special circumstances, in accordance with 10 CFR 50.12(a)(2)(ii),
are present whenever application of the regulation in the particular
circumstances is not necessary to achieve the underlying purpose of the
rule. The underlying purpose of 10 CFR 50.46 and Appendix K to 10 CFR
part 50 is to establish acceptance criteria for ECCS performance. The
regulations in 10 CFR 50.46 and Appendix K are not directly applicable
to M5[supreg] cladding material because the M5[supreg] cladding
material is not specified in 10 CFR 50.46 or presumed in the Baker-Just
equation required by paragraph I.A.5 of 10 CFR part 50, Appendix K. The
evaluations described in the following sections of this exemption,
however, show that the intent of the regulation is met in that subject
to certain conditions, the acceptance criteria are valid for M5[supreg]
zirconium-based alloy cladding, the material is less susceptible to
embrittlement, and the Baker-Just equation conservatively bounds
scenarios following a loss-of-coolant accident (LOCA) for rods with
M5[supreg] cladding material. Thus, a strict application of the rule
(which would preclude the applicability of ECCS performance acceptance
criteria to, and the use of, M5[supreg] clad fuel rods) is not
necessary to achieve the underlying purposes of 10 CFR 50.46 and
Appendix K of 10 CFR part 50. The purpose of these regulations is
achieved through the application of the requirements for the use of
M5[supreg] fuel rod cladding material. Therefore, the special
circumstances required by 10 CFR 50.12(a)(2)(ii) for the granting of an
exemption exist.
B. The Exemption Is Authorized by Law
This exemption would allow the use of fuel rods clad with the AREVA
M5[supreg] fuel rod cladding material in future core reload
applications for PSL-2. Section 50.12 of 10 CFR allows the NRC to grant
exemptions from the requirements of 10 CFR part 50 provided that
special circumstances are present. The NRC staff determined that
granting the licensee's proposed exemption would not result in a
violation of the Atomic Energy Act of 1954, as amended, or the
Commission's regulations. Therefore, the exemption is authorized by
law.
C. The Exemption Presents No Undue Risk to Public Health and Safety
Section 50.46 of 10 CFR requires that each boiling or pressurized
light-water nuclear power reactor fueled with uranium oxide pellets
within cylindrical Zircaloy or ZIRLO\TM\ cladding must be provided with
an ECCS that must be designed so that its calculated cooling
performance following postulated LOCAs conforms to the criteria set
forth in paragraph (b) of that section. The underlying purpose of 10
CFR 50.46 is to establish acceptance criteria for adequate ECCS
performance at nuclear reactors.
Framatome Cogema Fuels (AREVA) submitted topical report BAW-10227P-
A, Revision 0, ``Evaluation of Advanced Cladding and Structural
Material (M5[supreg]) in PWR Reactor Fuel,'' to the NRC for review and
approval by letter dated September 30, 1997. The NRC staff documented
its approval of BAW-10227P-A, Revision 0 in a safety evaluation (SE)
dated February 4, 2000 (ADAMS Accession No. ML003681490) and concluded
that 10 CFR 50.46 and 10 CFR part 50, Appendix K criteria are
applicable to M5[supreg] fuel cladding, subject to compliance with
specified burnup conditions. The NRC-accepted version of BAW-10227P-A,
Revision 0 was submitted to the NRC by letter dated February 11, 2000
(ADAMS Accession No. ML003685828). BAW-10227P-A, Revision 1, dated June
2003, as noted by letter dated April 19, 2004 (ADAMS Accession No.
ML15162B047), is a subsequent revision to BAW-10227P-A, Revision 0 and
incorporated the portion of the NRC's approval provided in the NRC SE
for BAW-10186P-A, Revision 1, Supplement 1, ``Extended Burnup
Evaluation,'' dated June 18, 2003 (ADAMS Accession No. ML031700090), in
which the applicable restrictions on burnup were removed. Additionally,
in
[[Page 24902]]
an SE dated May 5, 2004 (ADAMS Accession No. ML041260560), the NRC
staff approved topical report BAW-10240(P), ``Incorporation of M5
Properties in Framatome ANP [AREVA] Approved Methods,'' which further
addressed M5[supreg] material properties with respect to LOCA
applications and included specified conditions.
The specific conditions that address the use of M5[supreg] under
approved methods that were provided in the SE for BAW-10240(P) are: (1)
The corrosion limit, as predicted by the best-estimate model, will
remain below 100 microns for all locations of the fuel; (2) all of the
conditions listed in the NRC SEs for all AREVA methodologies used for
M5[supreg] fuel analysis will continue to be met; (3) all AREVA
methodologies will be used only within the range for which M5[supreg]
data was acceptable and for which the verifications discussed in the
applicable topical reports were performed; and (4) the burnup limit for
implementation of M5[supreg] is 62 gigawatt-days per metric ton uranium
metal (GWd/MTU). The staff determined that the licensee has satisfied
these conditions. The corrosion limit stated in condition (1) is
verified by the licensee for each reload as required by TS 6.9.1.11,
``Core Operating Limits Report (COLR).'' The conditions from NRC-
approved SEs stated in condition (2) are incorporated as restrictions
in AREVA design procedures and guidelines that will control the core
reload designs for PSL-2, which are also verified for each reload as
required by the COLR. The restrictions on the use of AREVA
methodologies stated as condition (3) are also incorporated as
restrictions in AREVA design procedures and guidelines that will
control the core reload designs for PSL-2, which are also verified for
each reload as required by the COLR. Finally, the burnup limit stated
in condition (4) is currently part of AREVA's design processes (as
stated by the licensee), and is also verified as part of the cycle-
specific reload analysis as required by the COLR.
In the exemption granted for PSL, Unit No. 1, for the application
and use of AREVA M5[supreg] fuel rod cladding material, dated March 31,
2014 (ADAMS Accession No. ML14064A125), the NRC staff described the
applicable results from the LOCA research program completed at the
Argonne National Laboratory. The results showed that cladding corrosion
and associated hydrogen pickup had a significant impact on post-quench
ductility. The research also provided further evidence of favorable
corrosion and hydrogen pickup characteristics of M5[supreg] as compared
with standard Zircaloy and that, due to its favorable hydrogen pickup,
fuel rods with M5[supreg] zirconium-based alloy cladding are less
susceptible to hydrogen-enhanced beta layer embrittlement, a new
embrittlement mechanism. In addition, the exemption documented that the
10 CFR 50.46(b) acceptance criteria (i.e., 2200 degrees Fahrenheit and
17-percent equivalent cladding reacted) remain conservative up to the
current burnup limit of 62 GWd/MTU and that the acceptance criteria
within 10 CFR 50.46 remain valid for the M5[supreg] alloy material. As
a result, the NRC staff found that the underlying purpose of the rule--
to maintain a degree of post-quench ductility in the fuel cladding
material through ECCS performance criteria--would be met if an
exemption were granted to allow those criteria to apply to M5[supreg]
clad fuel. This conclusion remains valid for an exemption for PSL-2 for
the application and use of AREVA M5[supreg] fuel rod cladding material.
In addition, as stated by the licensee in its application, ``FPL
[Florida Power & Light Company], in conjunction with AREVA NP Inc.
(AREVA), will utilize NRC[-]approved methods for the reload design
process, for PSL-2 reload cores containing M5[supreg] fuel rod
cladding, to ensure safety analysis limits are met for operation within
the operating limits specified in the Technical Specifications.'' The
licensee also stated that it will ``ensure compliance with the
respective acceptance criteria'' and that ``the intent of 10 CFR 50.46
and 10 CFR 50, Appendix K will continue to be satisfied.'' Therefore,
for the reasons stated above, granting the exemption request will
ensure that the underlying purpose of the rule is achieved for PSL-2.
Paragraph I.A.5 of Appendix K to 10 CFR part 50 states that the
rate of energy release, hydrogen concentration, and cladding oxidation
from the metal-water reaction shall be calculated using the Baker-Just
equation. The approved AREVA topical reports show that due to the
similarities in the chemical composition of the advanced zirconium-
based M5[supreg] alloy and Zircaloy, the application of the Baker-Just
equation in the analysis of the M5[supreg] clad fuel rods will continue
to conservatively bound all post-LOCA scenarios. For the reasons stated
above, granting the exemption request will ensure that the Baker-Just
equation can be applied to M5[supreg] clad fuel and that the underlying
purpose of the rule is achieved for PSL-2.
Based upon results of metal-water reaction testing and mechanical
testing, which ensure the applicability of 10 CFR 50.46 acceptance
criteria and 10 CFR part 50, Appendix K, methods, the NRC staff finds
it acceptable to grant an exemption from the requirements of 10 CFR
50.46 and Appendix K to 10 CFR part 50 to allow these regulations to
apply to, and enable the use of, fuel rods with M5[supreg] zirconium-
based alloy at PSL-2. Therefore, the exemption presents no undue risk
to public health and safety.
D. The Exemption Is Consistent With the Common Defense and Security
The licensee's exemption request is only to allow the application
of the aforementioned regulations to an improved fuel rod cladding
material. In its letter dated December 30, 2014, the licensee stated
that all the requirements and acceptance criteria will be maintained
and that it would continue to handle and control special nuclear
material in the fuel product in accordance with its approved
procedures. This change to the reactor core internals is adequately
controlled by NRC requirements and is not related to security issues.
Therefore, the NRC staff has determined that this exemption does not
impact common defense and security and is consistent with the common
defense and security.
E. Environmental Considerations
The NRC staff determined that the exemption discussed herein meets
the eligibility criteria for the categorical exclusion set forth in 10
CFR 51.22(c)(9) because it is related to a requirement concerning the
installation or use of a facility component located within the
restricted area, as defined in 10 CFR part 20, and the granting of this
exemption involves: (i) No significant hazards consideration, (ii) no
significant change in the types or a significant increase in the
amounts of any effluents that may be released offsite, and (iii) no
significant increase in individual or cumulative occupational radiation
exposure. Therefore, in accordance with 10 CFR 51.22(b), no
environmental impact statement or environmental assessment need be
prepared in connection with the NRC's consideration of this exemption
request. The basis for the NRC staff's determination is discussed as
follows with an evaluation against each of the requirements in 10 CFR
51.22(c)(9)(i)-(iii).
Requirements in 10 CFR 51.22(c)(9)(i)
The NRC staff evaluated the issue of no significant hazards
consideration, using the standards described in 10 CFR 50.92(c), as
presented below:
1. Does the proposed exemption involve a significant increase in
the
[[Page 24903]]
probability or consequences of an accident previously evaluated?
The proposed changes for PSL-2 revise TS 5.3.1 to include
M5[supreg] cladding, delete the linear heat rate surveillance
requirement with W(z) in TS 4.2.1.3, and include previously approved
AREVA topical reports in the list of COLR methodologies in TS 6.9.1.11.
[Another] change is in TS License Condition 3.N, which is related to
future analysis of the current fuel and is considered an administrative
change, all as a result of changing the fuel supplier.
The fuel assembly design is not an initiator to any accident
previously evaluated. Therefore, there is no significant increase in
the probability of any accident previously evaluated. However, the fuel
design parameters and the correlations used in the analyses supporting
the operation of PSL-2 with the new proposed AREVA fuel are dependent
on the fuel assembly design. All the analyses, potentially impacted by
the fuel design, have been re-analyzed using the correlations and the
methodology applicable to the proposed fuel design and previously
approved by the NRC for similar applications. There are no changes to
any limits specified in the TSs. M5[supreg] cladding to be used in the
proposed AREVA fuel design has been previously approved by the NRC for
PWR applications, including the St. Lucie Plant, Unit No. 1. The core
design peaking factors remain unchanged from the current analyses
values, except for the large break LOCA, which is shown to meet all the
10 CFR 50.46 criteria with the increased peak linear heat rate limit.
Therefore, the proposed changes do not involve a significant
increase in the probability or consequences of an accident previously
evaluated.
2. Does the proposed exemption create the possibility of a new or
different kind of accident from any accident previously evaluated?
No new or different accidents result from utilizing the proposed
AREVA CE [Combustion Engineering] 16x16 fuel design [and M5[supreg]
cladding]. Other than the fuel design change, the proposed exemption
does not involve a physical alteration of the plant or plant systems
(i.e., no new or different type of equipment will be installed which
would create a new or different kind of accident). The change to the
linear heat rate surveillance requirement, when operating on excore
detector monitoring system, and the use of M5[supreg] cladding do not
affect or create any accident initiator. There is no change to the
methods governing normal plant operation and the changes do not impose
any new or different operating requirements. The core monitoring system
remains unchanged.
Therefore, the proposed change does not create the possibility of a
new or different kind of accident from any accident previously
evaluated.
3. Does the proposed exemption involve a significant reduction in a
margin of safety?
The changes proposed in this exemption are related to the fuel
design with M5[supreg] cladding and the methodology supporting the
analysis of accidents impacted by the fuel design change. The analysis
methods used are previously approved by the NRC for similar
applications. The change to the surveillance requirement for the linear
heat rate does not change any accident analysis requirements. The fuel
design limits related to the DNBR [departure from nucleate boiling
ratio] and fuel centerline melt remain consistent with the limits
previously approved for the proposed fuel design change. The
overpressure limits for the reactor coolant system integrity and the
containment integrity remain unchanged. All of the analyses performed
to support the fuel design change meet all applicable acceptance
criteria. The LOCA analyses, with the peak linear heat rate limit
increase, continue to meet all of the applicable 10 CFR 50.46
acceptance criteria, and thus the proposed changes do not affect margin
of safety for any accidents previously evaluated.
Therefore, the proposed changes do not involve a significant
reduction in a margin of safety.
Based on the above, the NRC staff concludes that the proposed
exemption presents no significant hazards consideration under the
standards set forth in 10 CFR 50.92(c), and, accordingly, a finding of
no significant hazards consideration is justified.
Requirements in 10 CFR 51.22(c)(9)(ii)
The proposed exemption would allow the use of M5[supreg] fuel rod
cladding material in the PSL-2 reactor. M5[supreg] has essentially the
same properties as the currently licensed Zircaloy fuel rod cladding.
The use of the M5[supreg] fuel rod cladding material will not
significantly change the types of effluents that may be released
offsite, or significantly increase the amount of effluents that may be
released offsite. Therefore, the provisions of 10 CFR 51.22(c)(9)(ii)
are satisfied.
Requirements in 10 CFR 51.22(c)(9)(iii)
The proposed exemption would allow the use of the M5[supreg] fuel
rod cladding material in the PSL-2 reactor core. M5[supreg] has
essentially the same properties as the currently used Zircaloy
cladding. The use of the M5[supreg] fuel rod cladding material will not
significantly increase individual occupational radiation exposure, or
significantly increase cumulative occupational radiation exposure.
Therefore, the provisions of 10 CFR 51.22(c)(9)(iii) are satisfied.
IV. Conclusions
Accordingly, the Commission has determined that, pursuant to 10 CFR
50.12, the exemption is authorized by law, will not present an undue
risk to the public health and safety, and is consistent with the common
defense and security. Also, special circumstances, as required by 10
CFR 50.12(a)(2)(ii), are present. Therefore, the Commission hereby
grants the licensee an exemption from the requirements of 10 CFR 50.46
and Appendix K to 10 CFR part 50, to allow the use of M5[supreg] fuel
rod cladding material at PSL-2.
This exemption is effective upon issuance.
Dated at Rockville, Maryland, this 19th of April, 2016.
For the Nuclear Regulatory Commission.
Anne T. Boland,
Director, Division of Operating Reactor Licensing, Office of Nuclear
Reactor Regulation.
[FR Doc. 2016-09851 Filed 4-26-16; 8:45 am]
BILLING CODE 7590-01-P