Information Notice 2012-21, Reactor Vessel Closure Head Studs Remain Detensioned During Plant Startup: Difference between revisions

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| issue date = 12/10/2012
| issue date = 12/10/2012
| title = Reactor Vessel Closure Head Studs Remain Detensioned During Plant Startup
| title = Reactor Vessel Closure Head Studs Remain Detensioned During Plant Startup
| author name = Dudes L A, McGinty T J
| author name = Dudes L, Mcginty T
| author affiliation = NRC/NRO/DCIP, NRC/NRR/DPR
| author affiliation = NRC/NRO/DCIP, NRC/NRR/DPR
| addressee name =  
| addressee name =  
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| page count = 6
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{{#Wiki_filter: ML12264A518 UNITED STATES NUCLEAR REGULATORY COMMISSION OFFICE OF NUCLEAR REACTOR REGULATION OFFICE OF NEW REACTORS WASHINGTON, DC  20555-0001 December 10, 2012   NRC INFORMATION NOTICE 2012-21: REACTOR VESSEL CLOSURE HEAD STUDS REMAIN DETENSIONED DURING PLANT STARTUP
{{#Wiki_filter:ML12264A518 UNITED STATES
 
NUCLEAR REGULATORY COMMISSION
 
OFFICE OF NUCLEAR REACTOR REGULATION
 
OFFICE OF NEW REACTORS
 
WASHINGTON, DC  20555-0001  
 
December 10, 2012  
 
NRC INFORMATION NOTICE 2012-21:  
REACTOR VESSEL CLOSURE HEAD STUDS
 
REMAIN DETENSIONED DURING PLANT
 
STARTUP


==ADDRESSEES==
==ADDRESSEES==
All holders of an operating license or construction permit for a nuclear power reactor under Title 10 of the Code of Federal Regulations (10 CFR) Part 50, "Domestic Licensing of Production and Utilization Facilities," except those who have permanently ceased operations and have certified that fuel has been permanently removed from the reactor vessel.
All holders of an operating license or construction permit for a nuclear power reactor under


All holders of or applicants for an early site permit, standard design certification, standard design approval, manufacturing license, or combined license under 10 CFR Part 52, "Licenses, Certifications, and Approvals for Nuclear Power Plants.
Title 10 of the Code of Federal Regulations (10 CFR) Part 50, Domestic Licensing of
 
Production and Utilization Facilities, except those who have permanently ceased operations
 
and have certified that fuel has been permanently removed from the reactor vessel.
 
All holders of or applicants for an early site permit, standard design certification, standard
 
design approval, manufacturing license, or combined license under 10 CFR Part 52, Licenses, Certifications, and Approvals for Nuclear Power Plants.


==PURPOSE==
==PURPOSE==
The U.S. Nuclear Regulatory Commission (NRC) is issuing this information notice (IN) to inform addressees of an event involving detensioned reactor vessel closure head studs at a boiling-water reactor that resulted in leakage from the reactor vessel during startup operations and a manual scram.  The NRC expects that recipients will review the information for applicability to their facilities and consider actions, as appropriate, to avoid similar problems. Suggestions contained in this IN are not NRC requirements; therefore, no specific action or written response is required.
The U.S. Nuclear Regulatory Commission (NRC) is issuing this information notice (IN) to inform
 
addressees of an event involving detensioned reactor vessel closure head studs at a
 
boiling-water reactor that resulted in leakage from the reactor vessel during startup operations
 
and a manual scram.  The NRC expects that recipients will review the information for
 
applicability to their facilities and consider actions, as appropriate, to avoid similar problems.
 
Suggestions contained in this IN are not NRC requirements; therefore, no specific action or
 
written response is required.


==DESCRIPTION OF CIRCUMSTANCES==
==DESCRIPTION OF CIRCUMSTANCES==
Brunswick Steam Electric Plant, Unit 2 On November 16, 2011, the Brunswick Steam Electric Plant, Unit 2 (Brunswick 2, a General Electric boiling-water reactor) was in power ascension following a mid-cycle maintenance outage, which required reactor vessel disassembly.  Following the outage, the reactor vessel was reassembled and operators commenced startup operations.  With the reactor in Startup Mode (Mode 2) and at normal operating pressure, operators noted increasing drywell floor drain leakage.  At 3:01 a.m. eastern standard time (EST), an Unusual Event was declared as a result of unidentified drywell leakage exceeding 10 gallons per minute (gpm).  At 3:09 a.m. EST, a manual reactor scram was initiated from approximately 7 percent of rated thermal power due to the continued increase in unidentified drywell leakage.  Following the scram, the reactor was depressurized and the unidentified leak rate decreased to less than 10 gpm within 1 hour.  At 1:45 p.m. EST on November 17, 2011, with the reactor in Cold Shutdown (Mode 4), leak investigation activities determined that the reactor vessel head studs were not fully tensioned during startup operations; therefore, an unanalyzed condition existed at Brunswick 2. Subsequently, it was determined that none of the 64 reactor vessel head studs were adequately tensioned. Reactor vessel head stud tensioning is accomplished by attaching a tensioning device to the stud's uppermost threads.  Hydraulic pressure is applied to the tensioning device, which
Brunswick Steam Electric Plant, Unit 2  
 
On November 16, 2011, the Brunswick Steam Electric Plant, Unit 2 (Brunswick 2, a General
 
Electric boiling-water reactor) was in power ascension following a mid-cycle maintenance
 
outage, which required reactor vessel disassembly.  Following the outage, the reactor vessel
 
was reassembled and operators commenced startup operations.  With the reactor in Startup
 
Mode (Mode 2) and at normal operating pressure, operators noted increasing drywell floor drain
 
leakage.  At 3:01 a.m. eastern standard time (EST), an Unusual Event was declared as a result
 
of unidentified drywell leakage exceeding 10 gallons per minute (gpm).  At 3:09 a.m. EST, a
 
manual reactor scram was initiated from approximately 7 percent of rated thermal power due to
 
the continued increase in unidentified drywell leakage.  Following the scram, the reactor was
 
depressurized and the unidentified leak rate decreased to less than 10 gpm within 1 hour.  At
 
1:45 p.m. EST on November 17, 2011, with the reactor in Cold Shutdown (Mode 4), leak investigation activities determined that the reactor vessel head studs were not fully tensioned
 
during startup operations; therefore, an unanalyzed condition existed at Brunswick 2.
 
Subsequently, it was determined that none of the 64 reactor vessel head studs were adequately
 
tensioned.
 
Reactor vessel head stud tensioning is accomplished by attaching a tensioning device to the
 
studs uppermost threads.  Hydraulic pressure is applied to the tensioning device, which
 
stretches the stud.  With the stud elongated by the tensioning device, personnel rotate the stud
 
nut until it makes firm contact with the washer on the head flange.  When the hydraulic pressure
 
is released, the nut maintains the tension and elongation in the stud, applying closure pressure
 
to the flanges of the reactor vessel and head.
 
The licensees investigation determined that this event was the result of errors made while
 
operating the reactor vessel head stud tensioning equipment and during the validation process
 
to ensure the head was properly tensioned.  Following the event, the licensee assessed the
 
stud tensioning process through equipment troubleshooting, review of the reactor vessel
 
reassembly procedure (Procedure 0SMP-RPV502), and interviews with refuel floor personnel.
 
The equipment was found to be fully functional.  However, the licensee determined that
 
personnel operating the stud tensioning equipment misinterpreted the digital display of the
 
hydraulic pressure being applied to elongate the studs.  Specifically, the licensee found that
 
personnel incorrectly believed that the actual hydraulic pressure being applied to the tensioning
 
device was a factor of ten greater than the pressure indicated on the device.  As a result, none
 
of the 64 studs were properly tensioned during the reactor vessel assembly process.
 
The Stud Elongation Measurement System (SEMS III) is used at Brunswick 2 to validate proper
 
stud elongation.  Based on interviews with personnel, the licensee determined that the refuel
 
floor crew incorrectly concluded that the target stud elongation value of 0.045 inches was
 
achieved when the elongation values indicated on the SEMS III device were only between
 
+/-0.004 inches.  The licensee attributed this error to the crew incorrectly assuming that the
 
elongation value of 0.045 inches was automatically deducted from the post-tensioned
 
elongation indication on the SEMS III device.  Furthermore, the elongation values of +/-0.004 inches, as indicated on the SEMS III device, correspond to the stud elongation tolerance
 
specified in Procedure 0SMP-RPV502.  Accordingly, the crew compared the low reading on the
 
SEMS III device to the stud elongation tolerance in the procedure and erroneously determined
 
that acceptable stud elongation had been achieved.  The quality control inspector concurred
 
with the consensus opinion of the crew.  As a result of these errors, the reactor vessel head
 
studs were tensioned to only approximately 10 percent of the required amount.  Therefore, Brunswick 2 reached Mode 2 with the head not properly tensioned.  The increase in leakage
 
and subsequent reactor scram were a direct result of this condition.
 
The licensee performed a post-event evaluation of the integrity of the reactor vessel closure
 
components.  The licensee concluded that no reactor coolant pressure boundary components
 
were damaged or overstressed as result of the event.  After completing the integrity evaluation, the reactor vessel was reassembled.  Prior to plant restart, a hydrostatic test was completed to
 
verify that proper head stud tensioning had been achieved. The licensee attributed the root cause of this event to the failure to provide proper training and
 
lack of procedure guidance to correctly interpret critical data used to validate that the reactor
 
vessel head studs are properly tensioned.  Specifically, the licensee concluded that the operator
 
errors that occurred during the reactor vessel reassembly evolution were due to an inadequate
 
understanding of the digital readings displayed on the hydraulic stud tensioning equipment and
 
the SEMS III stud elongation measurement device.  For both cases, the licensee determined
 
that the crews relied on erroneous assumptions that led to incorrect conclusions.
 
Licensee Corrective Actions
 
The licensee revised the reactor vessel reassembly procedure (Procedure 0SMP-RPV502) to
 
include detailed guidance on the proper use of the SEMS III stud elongation measurement
 
equipment and the interpretation of hydraulic pressure indications on the stud tensioning device.
 
The licensee also provided training to refuel floor crew personnel on the proper operation of the
 
SEMS III and hydraulic stud tensioning equipment during reactor vessel reassembly.  The
 
licensee has revised its refuel floor training and qualification documents to include specific
 
discussion on the correct operation of the SEMS III equipment and how to properly interpret
 
hydraulic pressure indications on the stud tensioning device.  The licensee has also revised
 
Procedure 0SMP-RPV502 to require the necessary level of training regarding these activities, as provided in the revised training documents.  In addition, the licensee has modified
 
corporate-wide qualification programs for nuclear fleet refuel floor crew personnel to ensure that
 
all refuel floor personnel at Brunswick maintain the necessary qualifications for performing their
 
assigned activities and receive the necessary level of training on the SEMS III and stud
 
tensioning equipment, as provided in the revised training documents.
 
The licensee noted that, prior to the event, a decision was made that a post maintenance
 
reactor vessel pressure test was not necessary because there are no regulatory requirements to
 
conduct this test following mid-cycle maintenance outages.  Therefore, as a corrective action, the licensee revised plant procedures to require a pressure test of the reactor vessel following
 
mid-cycle maintenance outages that require reactor vessel reassembly.
 
NRC Special Inspection Team Findings
 
An NRC special inspection team reviewed the circumstances surrounding this event.  The
 
inspection team reviewed the licensees actions prior to the event and identified examples of
 
improper procedure adherence that contributed to the inadequate reactor vessel head stud
 
tensioning.  Specifically, the team determined that licensee personnel failed to properly
 
pressurize the reactor vessel head stud tensioning equipment to the value specified in
 
Procedure 0SMP-RPV502 because the tensioning equipment operators did not know how to
 
correctly interpret the hydraulic pressure reading on the tensioning equipment display.  The
 
inspection team also determined that quality control personnel failed to verify proper reactor
 
vessel stud elongation in accordance with stud elongation values specified in Procedure
 
0SMP-RPV502.  Further, the inspection team determined that nine of the twelve refuel floor
 
personnel performing reactor vessel reassembly did not have the necessary refuel floor support
 
training, as required by Procedure TRN-NGCC-1000, Conduct of Training.  Finally, based on
 
its review of Procedure 0PLP-20, Post Maintenance Testing Program, which specifies plant
 
equipment shall be tested consistent with their safety functions following maintenance activities that may have impaired proper functioning of the components, the inspection team determined
 
that the licensee failed to specify an adequate post maintenance test to verify the pressure
 
retaining capability of the reactor vessel following a mid-cycle maintenance outage.
 
The Brunswick Steam Electric Plant, Unit 2, Licensee Event Report (LER) 50-324/2-2011-002, dated January 16, 2012, contains further discussion of this event.  The LER is available on the


stretches the stud.  With the stud elongated by the tensioning device, personnel rotate the stud nut until it makes firm contact with the washer on the head flange.  When the hydraulic pressure is released, the nut maintains the tension and elongation in the stud, applying closure pressure to the flanges of the reactor vessel and head.
NRCs public Web site under Agencywide Documents Access and Management System


The licensee's investigation determined that this event was the result of errors made while operating the reactor vessel head stud tensioning equipment and during the validation process to ensure the head was properly tensioned.  Following the event, the licensee assessed the stud tensioning process through equipment troubleshooting, review of the reactor vessel reassembly procedure (Procedure 0SMP-RPV502), and interviews with refuel floor personnel. The equipment was found to be fully functionalHowever, the licensee determined that personnel operating the stud tensioning equipment misinterpreted the digital display of the
(ADAMS) Accession No. ML12031A167Additional information is available in NRC Special


hydraulic pressure being applied to elongate the studs.  Specifically, the licensee found that personnel incorrectly believed that the actual hydraulic pressure being applied to the tensioning device was a factor of ten greater than the pressure indicated on the device.  As a result, none of the 64 studs were properly tensioned during the reactor vessel assembly process.  The Stud Elongation Measurement System (SEMS III) is used at Brunswick 2 to validate proper stud elongation.  Based on interviews with personnel, the licensee determined that the refuel floor crew incorrectly concluded that the target stud elongation value of 0.045 inches was achieved when the elongation values indicated on the SEMS III device were only between +/-0.004 inches.  The licensee attributed this error to the crew incorrectly assuming that the elongation value of 0.045 inches was automatically deducted from the post-tensioned elongation indication on the SEMS III device.  Furthermore, the elongation values of +/-0.004 inches, as indicated on the SEMS III device, correspond to the stud elongation tolerance specified in Procedure 0SMP-RPV502.  Accordingly, the crew compared the low reading on the SEMS III device to the stud elongation tolerance in the procedure and erroneously determined that acceptable stud elongation had been achieved.  The quality control inspector concurred with the consensus opinion of the crew.  As a result of these errors, the reactor vessel head studs were tensioned to only approximately 10 percent of the required amount.  Therefore, Brunswick 2 reached Mode 2 with the head not properly tensioned.  The increase in leakage and subsequent reactor scram were a direct result of this condition.
Inspection Report 05000324/2011013, dated January 25, 2012, under ADAMS Accession


The licensee performed a post-event evaluation of the integrity of the reactor vessel closure components. The licensee concluded that no reactor coolant pressure boundary components were damaged or overstressed as result of the event.  After completing the integrity evaluation, the reactor vessel was reassembled.  Prior to plant restart, a hydrostatic test was completed to verify that proper head stud tensioning had been achieved. The licensee attributed the root cause of this event to the failure to provide proper training and lack of procedure guidance to correctly interpret critical data used to validate that the reactor vessel head studs are properly tensioned.  Specifically, the licensee concluded that the operator errors that occurred during the reactor vessel reassembly evolution were due to an inadequate understanding of the digital readings displayed on the hydraulic stud tensioning equipment and the SEMS III stud elongation measurement device.  For both cases, the licensee determined
No. ML120250556; and NRC Inspection Report 05000324/2012007, dated April 20, 2012, under


that the crews relied on erroneous assumptions that led to incorrect conclusions.  Licensee Corrective Actions  The licensee revised the reactor vessel reassembly procedure (Procedure 0SMP-RPV502) to include detailed guidance on the proper use of the SEMS III stud elongation measurement equipment and the interpretation of hydraulic pressure indications on the stud tensioning device.  The licensee also provided training to refuel floor crew personnel on the proper operation of the SEMS III and hydraulic stud tensioning equipment during reactor vessel reassembly.  The licensee has revised its refuel floor training and qualification documents to include specific discussion on the correct operation of the SEMS III equipment and how to properly interpret hydraulic pressure indications on the stud tensioning device.  The licensee has also revised Procedure 0SMP-RPV502 to require the necessary level of training regarding these activities, as provided in the revised training documents.  In addition, the licensee has modified corporate-wide qualification programs for nuclear fleet refuel floor crew personnel to ensure that all refuel floor personnel at Brunswick maintain the necessary qualifications for performing their assigned activities and receive the necessary level of training on the SEMS III and stud tensioning equipment, as provided in the revised training documents.  The licensee noted that, prior to the event, a decision was made that a post maintenance reactor vessel pressure test was not necessary because there are no regulatory requirements to conduct this test following mid-cycle maintenance outages.  Therefore, as a corrective action, the licensee revised plant procedures to require a pressure test of the reactor vessel following mid-cycle maintenance outages that require reactor vessel reassembly.  NRC Special Inspection Team Findings  An NRC special inspection team reviewed the circumstances surrounding this event.  The inspection team reviewed the licensee's actions prior to the event and identified examples of improper procedure adherence that contributed to the inadequate reactor vessel head stud tensioning.  Specifically, the team determined that licensee personnel failed to properly pressurize the reactor vessel head stud tensioning equipment to the value specified in Procedure 0SMP-RPV502 because the tensioning equipment operators did not know how to correctly interpret the hydraulic pressure reading on the tensioning equipment display.  The inspection team also determined that quality control personnel failed to verify proper reactor vessel stud elongation in accordance with stud elongation values specified in Procedure 0SMP-RPV502.  Further, the inspection team determined that nine of the twelve refuel floor personnel performing reactor vessel reassembly did not have the necessary refuel floor support training, as required by Procedure TRN-NGCC-1000, "Conduct of Training."  Finally, based on its review of Procedure 0PLP-20, "Post Maintenance Testing Program," which specifies "plant equipment shall be tested consistent with their safety functions following maintenance activities that may have impaired proper functioning of the components," the inspection team determined that the licensee failed to specify an adequate post maintenance test to verify the pressure retaining capability of the reactor vessel following a mid-cycle maintenance outage.  The Brunswick Steam Electric Plant, Unit 2, Licensee Event Report (LER) 50-324/2-2011-002, dated January 16, 2012, contains further discussion of this event.  The LER is available on the NRC's public Web site under Agencywide Documents Access and Management System (ADAMS) Accession No. ML12031A167.  Additional information is available in NRC Special Inspection Report 05000324/2011013, dated January 25, 2012, under ADAMS Accession No. ML120250556; and NRC Inspection Report 05000324/2012007, dated April 20, 2012, under ADAMS Accession No. ML12114A036.
ADAMS Accession No. ML12114A036.


==DISCUSSION==
==DISCUSSION==
Section 50.120, "Training and qualification of nuclear power plant personnel," of 10 CFR states, in part, that the training program must incorporate the instructional requirements necessary to provide qualified personnel to operate and maintain the facility in a safe manner in all modes of operation.  Criterion V, "Instructions, Procedures, and Drawings," of Appendix B, "Quality Assurance Criteria for Nuclear Power Plants and Fuel Reprocessing Plants," to 10 CFR Part 50 states, in part, that instructions, procedures, or drawings shall include appropriate quantitative or qualitative acceptance criteria for determining that important activities have been satisfactorily accomplished.
Section 50.120, Training and qualification of nuclear power plant personnel, of 10 CFR states, in part, that the training program must incorporate the instructional requirements necessary to
 
provide qualified personnel to operate and maintain the facility in a safe manner in all modes of
 
operation.  Criterion V, Instructions, Procedures, and Drawings, of Appendix B, Quality
 
Assurance Criteria for Nuclear Power Plants and Fuel Reprocessing Plants, to 10 CFR Part 50  
states, in part, that instructions, procedures, or drawings shall include appropriate quantitative or
 
qualitative acceptance criteria for determining that important activities have been satisfactorily
 
accomplished.
 
The root cause of this event was the failure to provide the necessary training and procedure
 
guidance to correctly interpret critical indications on the stud tensioning and stud elongation
 
measurement equipment for verifying that proper stud tensioning had been achieved.  The
 
failure to adequately tension the reactor vessel closure head studs during reactor vessel
 
reassembly undermined the integrity of the reactor coolant pressure boundary, one of the
 
primary barriers to fission product release, during startup operations.
 
In addition, a decision was made that a post maintenance reactor vessel pressure test was not
 
necessary because there are no regulatory requirements to conduct this test following mid-cycle
 
maintenance outages.  However, the reactor vessel head was removed and reinstalled during
 
this outage in the same fashion as during a refueling outage.  Therefore, this event highlights
 
the importance of conducting mid-cycle maintenance outage activities, particularly those that
 
require reactor vessel disassembly and reassembly, with the same level of rigor as scheduled
 
refueling outage activities.
 
This event also highlights the importance of human performance and oversight of maintenance
 
activities.  For example, operators of the stud tensioning equipment were not familiar with the
 
pressure display, yet they proceeded with tensioning based on an incorrect interpretation of
 
indicated tensioner pressure.  In addition, a licensee lead mechanic and a quality control


The root cause of this event was the failure to provide the necessary training and procedure guidance to correctly interpret critical indications on the stud tensioning and stud elongation measurement equipment for verifying that proper stud tensioning had been achievedThe failure to adequately tension the reactor vessel closure head studs during reactor vessel
inspector signed a procedure checklist for stud elongation measurements using flawed data, based on incorrect explanations by other members of the maintenance crewOther findings


reassembly undermined the integrity of the reactor coolant pressure boundary, one of the primary barriers to fission product release, during startup operations.  In addition, a decision was made that a post maintenance reactor vessel pressure test was not necessary because there are no regulatory requirements to conduct this test following mid-cycle maintenance outages.  However, the reactor vessel head was removed and reinstalled during this outage in the same fashion as during a refueling outage.  Therefore, this event highlights the importance of conducting mid-cycle maintenance outage activities, particularly those that require reactor vessel disassembly and reassembly, with the same level of rigor as scheduled refueling outage activities.  This event also highlights the importance of human performance and oversight of maintenance activities.  For example, operators of the stud tensioning equipment were not familiar with the pressure display, yet they proceeded with tensioning based on an incorrect interpretation of indicated tensioner pressure.  In addition, a licensee lead mechanic and a quality control inspector signed a procedure checklist for stud elongation measurements using flawed data, based on incorrect explanations by other members of the maintenance crew.  Other findings related to human performance can be found in the April 20, 2012, inspection report.
related to human performance can be found in the April 20, 2012, inspection report.


==CONTACT==
==CONTACT==
This IN requires no specific action or written response.  Please direct any questions about this matter to the technical contacts listed below or the appropriate Office of Nuclear Reactor Regulation (NRR) or Office of New Reactors project manager.   /RA/       /RA by JLuehman for/ Timothy J. McGinty, Director   Laura A. Dudes, Director Division of Policy and Rulemaking   Division of Construction Inspection Office of Nuclear Reactor Regulation     and Operational Programs       Office of New Reactors   Technical Contacts: Christopher R. Sydnor, NRR Molly J. Keefe, NRR 301-415-6065 301-415-5717 E-mail:  E-mail Christopher.Sydnor@nrc.gov Molly.Keefe@nrc.gov
This IN requires no specific action or written response.  Please direct any questions about this
 
matter to the technical contacts listed below or the appropriate Office of Nuclear Reactor
 
Regulation (NRR) or Office of New Reactors project manager.
 
/RA/  
 
/RA by JLuehman for/  
 
Timothy J. McGinty, Director
 
Laura A. Dudes, Director
 
Division of Policy and Rulemaking
 
Division of Construction Inspection
 
Office of Nuclear Reactor Regulation
 
and Operational Programs
 
Office of New Reactors
 
Technical Contacts: Christopher R. Sydnor, NRR
 
Molly J. Keefe, NRR
 
301-415-6065  
301-415-5717 E-mail:   
E-mail
 
Christopher.Sydnor@nrc.gov
 
Molly.Keefe@nrc.gov


Note:  NRC generic communications may be found on the NRC public Web site, http://www.nrc.gov, under NRC Library.
Note:  NRC generic communications may be found on the NRC public Web site, http://www.nrc.gov, under NRC Library.


==CONTACT==
ML12264A518                *via e-mail                  TAC No. ME8863 OFFICE
This IN requires no specific action or written response.  Please direct any questions about this matter to the technical contacts listed below or the appropriate Office of Nuclear Reactor Regulation (NRR) or Office of New Reactors project manager.
 
EVIB:NRR
 
AHPB:NRR
 
Tech Editor
 
BC:EVIB:NRR
 
BC:AHPB:NRR
 
NAME
 
CSydnor*
MKeefe*
CHsu*
SRosenberg*
UShoop*
DATE
 
11/27/12
11/27/12
10/11/12
11/27/12
11/27/12 OFFICE
 
D:DE
 
PM:PGCB:NRR
 
LA:PGCB:NRR
 
BC:PGCB:NRR
 
D:DCIP:NRO
 
NAME
 
PHiland (MCheok for) TAlexion
 
CHawes
 
DPelton (EBowman for) LDudes (JLuehman
 
for)  
DATE
 
11/27/12*
11/28/12
11/29/12
11/27/12*
12/03/12 OFFICE


/RA/      /RA by JLuehman for/ 
D:DPR:NRR
Timothy J. McGinty, Director    Laura A. Dudes, Director Division of Policy and Rulemaking  Division of Construction Inspection Office of Nuclear Reactor Regulation      and Operational Programs        Office of New Reactors


Technical Contacts: Christopher R. Sydnor, NRR Molly J. Keefe, NRR 301-415-6065 301-415-5717 E-mail:  E-mail:  Christopher.Sydnor@nrc.gov Molly.Keefe@nrc.gov
NAME


Note:  NRC generic communications may be found on the NRC public Web site, http://www.nrc.gov, under NRC Library.
TMcGinty


ADAMS Accession No.:  ML12264A518                *via e-mail                  TAC No. ME8863 OFFICE EVIB:NRR AHPB:NRR Tech Editor BC:EVIB:NRR BC:AHPB:NRR NAME CSydnor* MKeefe* CHsu* SRosenberg* UShoop* DATE 11/27/12 11/27/12 10/11/12 11/27/12 11/27/12 OFFICE D:DE PM:PGCB:NRR LA:PGCB:NRR BC:PGCB:NRR D:DCIP:NRO NAME PHiland (MCheok for) TAlexion CHawes DPelton (EBowman for) LDudes (JLuehman for) DATE 11/27/12* 11/28/12 11/29/12 11/27/12* 12/03/12 OFFICE D:DPR:NRR    NAME TMcGinty    OFFICE 12/10 /12      OFFICIAL RECORD COPY
OFFICE


}}
12/10 /12}}


{{Information notice-Nav}}
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Latest revision as of 22:24, 11 January 2025

Reactor Vessel Closure Head Studs Remain Detensioned During Plant Startup
ML12264A518
Person / Time
Issue date: 12/10/2012
From: Laura Dudes, Mcginty T
Division of Construction Inspection and Operational Programs, Division of Policy and Rulemaking
To:
Alexion, T
References
IN-12-20
Download: ML12264A518 (6)


ML12264A518 UNITED STATES

NUCLEAR REGULATORY COMMISSION

OFFICE OF NUCLEAR REACTOR REGULATION

OFFICE OF NEW REACTORS

WASHINGTON, DC 20555-0001

December 10, 2012

NRC INFORMATION NOTICE 2012-21:

REACTOR VESSEL CLOSURE HEAD STUDS

REMAIN DETENSIONED DURING PLANT

STARTUP

ADDRESSEES

All holders of an operating license or construction permit for a nuclear power reactor under

Title 10 of the Code of Federal Regulations (10 CFR) Part 50, Domestic Licensing of

Production and Utilization Facilities, except those who have permanently ceased operations

and have certified that fuel has been permanently removed from the reactor vessel.

All holders of or applicants for an early site permit, standard design certification, standard

design approval, manufacturing license, or combined license under 10 CFR Part 52, Licenses, Certifications, and Approvals for Nuclear Power Plants.

PURPOSE

The U.S. Nuclear Regulatory Commission (NRC) is issuing this information notice (IN) to inform

addressees of an event involving detensioned reactor vessel closure head studs at a

boiling-water reactor that resulted in leakage from the reactor vessel during startup operations

and a manual scram. The NRC expects that recipients will review the information for

applicability to their facilities and consider actions, as appropriate, to avoid similar problems.

Suggestions contained in this IN are not NRC requirements; therefore, no specific action or

written response is required.

DESCRIPTION OF CIRCUMSTANCES

Brunswick Steam Electric Plant, Unit 2

On November 16, 2011, the Brunswick Steam Electric Plant, Unit 2 (Brunswick 2, a General

Electric boiling-water reactor) was in power ascension following a mid-cycle maintenance

outage, which required reactor vessel disassembly. Following the outage, the reactor vessel

was reassembled and operators commenced startup operations. With the reactor in Startup

Mode (Mode 2) and at normal operating pressure, operators noted increasing drywell floor drain

leakage. At 3:01 a.m. eastern standard time (EST), an Unusual Event was declared as a result

of unidentified drywell leakage exceeding 10 gallons per minute (gpm). At 3:09 a.m. EST, a

manual reactor scram was initiated from approximately 7 percent of rated thermal power due to

the continued increase in unidentified drywell leakage. Following the scram, the reactor was

depressurized and the unidentified leak rate decreased to less than 10 gpm within 1 hour1.157407e-5 days <br />2.777778e-4 hours <br />1.653439e-6 weeks <br />3.805e-7 months <br />. At

1:45 p.m. EST on November 17, 2011, with the reactor in Cold Shutdown (Mode 4), leak investigation activities determined that the reactor vessel head studs were not fully tensioned

during startup operations; therefore, an unanalyzed condition existed at Brunswick 2.

Subsequently, it was determined that none of the 64 reactor vessel head studs were adequately

tensioned.

Reactor vessel head stud tensioning is accomplished by attaching a tensioning device to the

studs uppermost threads. Hydraulic pressure is applied to the tensioning device, which

stretches the stud. With the stud elongated by the tensioning device, personnel rotate the stud

nut until it makes firm contact with the washer on the head flange. When the hydraulic pressure

is released, the nut maintains the tension and elongation in the stud, applying closure pressure

to the flanges of the reactor vessel and head.

The licensees investigation determined that this event was the result of errors made while

operating the reactor vessel head stud tensioning equipment and during the validation process

to ensure the head was properly tensioned. Following the event, the licensee assessed the

stud tensioning process through equipment troubleshooting, review of the reactor vessel

reassembly procedure (Procedure 0SMP-RPV502), and interviews with refuel floor personnel.

The equipment was found to be fully functional. However, the licensee determined that

personnel operating the stud tensioning equipment misinterpreted the digital display of the

hydraulic pressure being applied to elongate the studs. Specifically, the licensee found that

personnel incorrectly believed that the actual hydraulic pressure being applied to the tensioning

device was a factor of ten greater than the pressure indicated on the device. As a result, none

of the 64 studs were properly tensioned during the reactor vessel assembly process.

The Stud Elongation Measurement System (SEMS III) is used at Brunswick 2 to validate proper

stud elongation. Based on interviews with personnel, the licensee determined that the refuel

floor crew incorrectly concluded that the target stud elongation value of 0.045 inches was

achieved when the elongation values indicated on the SEMS III device were only between

+/-0.004 inches. The licensee attributed this error to the crew incorrectly assuming that the

elongation value of 0.045 inches was automatically deducted from the post-tensioned

elongation indication on the SEMS III device. Furthermore, the elongation values of +/-0.004 inches, as indicated on the SEMS III device, correspond to the stud elongation tolerance

specified in Procedure 0SMP-RPV502. Accordingly, the crew compared the low reading on the

SEMS III device to the stud elongation tolerance in the procedure and erroneously determined

that acceptable stud elongation had been achieved. The quality control inspector concurred

with the consensus opinion of the crew. As a result of these errors, the reactor vessel head

studs were tensioned to only approximately 10 percent of the required amount. Therefore, Brunswick 2 reached Mode 2 with the head not properly tensioned. The increase in leakage

and subsequent reactor scram were a direct result of this condition.

The licensee performed a post-event evaluation of the integrity of the reactor vessel closure

components. The licensee concluded that no reactor coolant pressure boundary components

were damaged or overstressed as result of the event. After completing the integrity evaluation, the reactor vessel was reassembled. Prior to plant restart, a hydrostatic test was completed to

verify that proper head stud tensioning had been achieved. The licensee attributed the root cause of this event to the failure to provide proper training and

lack of procedure guidance to correctly interpret critical data used to validate that the reactor

vessel head studs are properly tensioned. Specifically, the licensee concluded that the operator

errors that occurred during the reactor vessel reassembly evolution were due to an inadequate

understanding of the digital readings displayed on the hydraulic stud tensioning equipment and

the SEMS III stud elongation measurement device. For both cases, the licensee determined

that the crews relied on erroneous assumptions that led to incorrect conclusions.

Licensee Corrective Actions

The licensee revised the reactor vessel reassembly procedure (Procedure 0SMP-RPV502) to

include detailed guidance on the proper use of the SEMS III stud elongation measurement

equipment and the interpretation of hydraulic pressure indications on the stud tensioning device.

The licensee also provided training to refuel floor crew personnel on the proper operation of the

SEMS III and hydraulic stud tensioning equipment during reactor vessel reassembly. The

licensee has revised its refuel floor training and qualification documents to include specific

discussion on the correct operation of the SEMS III equipment and how to properly interpret

hydraulic pressure indications on the stud tensioning device. The licensee has also revised

Procedure 0SMP-RPV502 to require the necessary level of training regarding these activities, as provided in the revised training documents. In addition, the licensee has modified

corporate-wide qualification programs for nuclear fleet refuel floor crew personnel to ensure that

all refuel floor personnel at Brunswick maintain the necessary qualifications for performing their

assigned activities and receive the necessary level of training on the SEMS III and stud

tensioning equipment, as provided in the revised training documents.

The licensee noted that, prior to the event, a decision was made that a post maintenance

reactor vessel pressure test was not necessary because there are no regulatory requirements to

conduct this test following mid-cycle maintenance outages. Therefore, as a corrective action, the licensee revised plant procedures to require a pressure test of the reactor vessel following

mid-cycle maintenance outages that require reactor vessel reassembly.

NRC Special Inspection Team Findings

An NRC special inspection team reviewed the circumstances surrounding this event. The

inspection team reviewed the licensees actions prior to the event and identified examples of

improper procedure adherence that contributed to the inadequate reactor vessel head stud

tensioning. Specifically, the team determined that licensee personnel failed to properly

pressurize the reactor vessel head stud tensioning equipment to the value specified in

Procedure 0SMP-RPV502 because the tensioning equipment operators did not know how to

correctly interpret the hydraulic pressure reading on the tensioning equipment display. The

inspection team also determined that quality control personnel failed to verify proper reactor

vessel stud elongation in accordance with stud elongation values specified in Procedure

0SMP-RPV502. Further, the inspection team determined that nine of the twelve refuel floor

personnel performing reactor vessel reassembly did not have the necessary refuel floor support

training, as required by Procedure TRN-NGCC-1000, Conduct of Training. Finally, based on

its review of Procedure 0PLP-20, Post Maintenance Testing Program, which specifies plant

equipment shall be tested consistent with their safety functions following maintenance activities that may have impaired proper functioning of the components, the inspection team determined

that the licensee failed to specify an adequate post maintenance test to verify the pressure

retaining capability of the reactor vessel following a mid-cycle maintenance outage.

The Brunswick Steam Electric Plant, Unit 2, Licensee Event Report (LER) 50-324/2-2011-002, dated January 16, 2012, contains further discussion of this event. The LER is available on the

NRCs public Web site under Agencywide Documents Access and Management System

(ADAMS) Accession No. ML12031A167. Additional information is available in NRC Special

Inspection Report 05000324/2011013, dated January 25, 2012, under ADAMS Accession

No. ML120250556; and NRC Inspection Report 05000324/2012007, dated April 20, 2012, under

ADAMS Accession No. ML12114A036.

DISCUSSION

Section 50.120, Training and qualification of nuclear power plant personnel, of 10 CFR states, in part, that the training program must incorporate the instructional requirements necessary to

provide qualified personnel to operate and maintain the facility in a safe manner in all modes of

operation. Criterion V, Instructions, Procedures, and Drawings, of Appendix B, Quality

Assurance Criteria for Nuclear Power Plants and Fuel Reprocessing Plants, to 10 CFR Part 50

states, in part, that instructions, procedures, or drawings shall include appropriate quantitative or

qualitative acceptance criteria for determining that important activities have been satisfactorily

accomplished.

The root cause of this event was the failure to provide the necessary training and procedure

guidance to correctly interpret critical indications on the stud tensioning and stud elongation

measurement equipment for verifying that proper stud tensioning had been achieved. The

failure to adequately tension the reactor vessel closure head studs during reactor vessel

reassembly undermined the integrity of the reactor coolant pressure boundary, one of the

primary barriers to fission product release, during startup operations.

In addition, a decision was made that a post maintenance reactor vessel pressure test was not

necessary because there are no regulatory requirements to conduct this test following mid-cycle

maintenance outages. However, the reactor vessel head was removed and reinstalled during

this outage in the same fashion as during a refueling outage. Therefore, this event highlights

the importance of conducting mid-cycle maintenance outage activities, particularly those that

require reactor vessel disassembly and reassembly, with the same level of rigor as scheduled

refueling outage activities.

This event also highlights the importance of human performance and oversight of maintenance

activities. For example, operators of the stud tensioning equipment were not familiar with the

pressure display, yet they proceeded with tensioning based on an incorrect interpretation of

indicated tensioner pressure. In addition, a licensee lead mechanic and a quality control

inspector signed a procedure checklist for stud elongation measurements using flawed data, based on incorrect explanations by other members of the maintenance crew. Other findings

related to human performance can be found in the April 20, 2012, inspection report.

CONTACT

This IN requires no specific action or written response. Please direct any questions about this

matter to the technical contacts listed below or the appropriate Office of Nuclear Reactor

Regulation (NRR) or Office of New Reactors project manager.

/RA/

/RA by JLuehman for/

Timothy J. McGinty, Director

Laura A. Dudes, Director

Division of Policy and Rulemaking

Division of Construction Inspection

Office of Nuclear Reactor Regulation

and Operational Programs

Office of New Reactors

Technical Contacts: Christopher R. Sydnor, NRR

Molly J. Keefe, NRR

301-415-6065

301-415-5717 E-mail:

E-mail

Christopher.Sydnor@nrc.gov

Molly.Keefe@nrc.gov

Note: NRC generic communications may be found on the NRC public Web site, http://www.nrc.gov, under NRC Library.

ML12264A518 *via e-mail TAC No. ME8863 OFFICE

EVIB:NRR

AHPB:NRR

Tech Editor

BC:EVIB:NRR

BC:AHPB:NRR

NAME

CSydnor*

MKeefe*

CHsu*

SRosenberg*

UShoop*

DATE

11/27/12

11/27/12

10/11/12

11/27/12

11/27/12 OFFICE

D:DE

PM:PGCB:NRR

LA:PGCB:NRR

BC:PGCB:NRR

D:DCIP:NRO

NAME

PHiland (MCheok for) TAlexion

CHawes

DPelton (EBowman for) LDudes (JLuehman

for)

DATE

11/27/12*

11/28/12

11/29/12

11/27/12*

12/03/12 OFFICE

D:DPR:NRR

NAME

TMcGinty

OFFICE

12/10 /12