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{{#Wiki_filter:August 8, 2006Mr. Glenn O. Steiger, General ManagerMassachusetts Municipal Wholesale Electric Company Moody Street, Post Office Box 426 Ludlow, MA 01056
{{#Wiki_filter:August 8, 2006 Mr. Glenn O. Steiger, General Manager Massachusetts Municipal Wholesale Electric Company Moody Street, Post Office Box 426 Ludlow, MA 01056


==SUBJECT:==
==SUBJECT:==
RESPONSE TO YOUR LETTER CONCERNING ELECTRICAL LOADCONTINGENCY PROTOCOL AND ITS IMPACT ON SEABROOK STATION
RESPONSE TO YOUR LETTER CONCERNING ELECTRICAL LOAD CONTINGENCY PROTOCOL AND ITS IMPACT ON SEABROOK STATION


==Dear Mr. Steiger:==
==Dear Mr. Steiger:==


I am responding to your letter dated May 24, 2006, concerning the repeated downpowering ofSeabrook Station. In your letter, you expressed concerns about the design and operationalimpacts of these downpowers, and how the Town of Hudson, Light and Power Department (HL&PD), along with the Massachusetts Municipal Wholesale Electric Company (MMWEC),
I am responding to your letter dated May 24, 2006, concerning the repeated downpowering of Seabrook Station. In your letter, you expressed concerns about the design and operational impacts of these downpowers, and how the Town of Hudson, Light and Power Department (HL&PD), along with the Massachusetts Municipal Wholesale Electric Company (MMWEC),
have a significant financial interest in the safe and reliable operation of Seabrook Station. Younoted that between October 19, 2005, and April 20, 2006, the Independent System Operator,New England (ISO-NE) mandated downpowers of Seabrook Station from full power to levels at or below 1,200 Megawatts-Electric (MWe) on 27 separate occasions. The ISO-NE mandated these downpowers at the request of the New York Independent System Operator (NYISO) inresponse to reliability concerns in the New York Central East region.The NRC's primary mission is to regulate the safe use of radioactive material for civilianpurposes to ensure the protection of public health and safety and the environment. The NRC achieves its safety mission, in part, by licensing individuals and organizations to use radioactive materials for beneficial civilian purposes, and ensuring that the safety performance of these "licensees" meets acceptable levels.To ensure that Seabrook operates safely, the licensee must comply with all conditions of itsoperating license, which includes the plant's Technical Specifications and design bases. The Technical Specifications include requirements relative to plant thermal transients and the offsite power source. The Seabrook Station Technical Specifications reference the number of times selected safety-related structures, systems, and components can be subject to thermaltransients. The downpowers that you described in your letter were from a full output of about 1,250 MWe to about 1,200 MWe, a change of 4% rated thermal power. These changes in power are relatively minor and do not challenge the transient limits described in the Seabrook Technical Specifications or design bases. While undesirable from an economic standpoint for Seabrook, these small transients are fully within Seabrook's design bases, therefore, the NRC does not impose any restrictions or limits on such small power changes.With respect to ensuring a reliable offsite power source, we must rely on other agencies andentities to govern and oversee safe grid operations due to our lack of regulatory authority in this area. In this respect, we would encourage Seabrook Station to continue to work with ISO-NE, 2G. SteigerNYISO, and the U.S. Federal Energy Regulatory Commission (FERC) through establishedprocesses to try to eliminate the need for such frequent downpowers in the future.Sincerely,/RA/ Marc Dapas signed forSamuel J. CollinsRegional Administrator 3G. SteigerMr. Glenn O. Steiger, General ManagerMassachusetts Municipal Wholesale Electric CompanyMoody Street, Post Office Box 426Ludlow, MA 01056
have a significant financial interest in the safe and reliable operation of Seabrook Station. You noted that between October 19, 2005, and April 20, 2006, the Independent System Operator, New England (ISO-NE) mandated downpowers of Seabrook Station from full power to levels at or below 1,200 Megawatts-Electric (MWe) on 27 separate occasions. The ISO-NE mandated these downpowers at the request of the New York Independent System Operator (NYISO) in response to reliability concerns in the New York Central East region.
The NRCs primary mission is to regulate the safe use of radioactive material for civilian purposes to ensure the protection of public health and safety and the environment. The NRC achieves its safety mission, in part, by licensing individuals and organizations to use radioactive materials for beneficial civilian purposes, and ensuring that the safety performance of these "licensees" meets acceptable levels.
To ensure that Seabrook operates safely, the licensee must comply with all conditions of its operating license, which includes the plants Technical Specifications and design bases. The Technical Specifications include requirements relative to plant thermal transients and the offsite power source. The Seabrook Station Technical Specifications reference the number of times selected safety-related structures, systems, and components can be subject to thermal transients. The downpowers that you described in your letter were from a full output of about 1,250 MWe to about 1,200 MWe, a change of 4% rated thermal power. These changes in power are relatively minor and do not challenge the transient limits described in the Seabrook Technical Specifications or design bases. While undesirable from an economic standpoint for Seabrook, these small transients are fully within Seabrooks design bases, therefore, the NRC does not impose any restrictions or limits on such small power changes.
With respect to ensuring a reliable offsite power source, we must rely on other agencies and entities to govern and oversee safe grid operations due to our lack of regulatory authority in this area. In this respect, we would encourage Seabrook Station to continue to work with ISO-NE,
 
G. Steiger                                      2 NYISO, and the U.S. Federal Energy Regulatory Commission (FERC) through established processes to try to eliminate the need for such frequent downpowers in the future.
Sincerely,
                                                    /RA/ Marc Dapas signed for Samuel J. Collins Regional Administrator
 
G. Steiger                                                          3 Mr. Glenn O. Steiger, General Manager Massachusetts Municipal Wholesale Electric Company Moody Street, Post Office Box 426 Ludlow, MA 01056


==SUBJECT:==
==SUBJECT:==
RESPONSE TO YOUR LETTER CONCERNING ELECTRICAL LOAD CONTINGENCYPROTOCOL AND ITS IMPACT ON SEABROOK STATION
RESPONSE TO YOUR LETTER CONCERNING ELECTRICAL LOAD CONTINGENCY PROTOCOL AND ITS IMPACT ON SEABROOK STATION


==Dear Mr. Steiger:==
==Dear Mr. Steiger:==


I am responding to your letter dated May 24, 2006, concerning the repeated downpowering of Seabrook Station. Inyour letter, you expressed concerns about the design and operational impacts of these downpowers, and how theTown of Hudson, Light and Power Department (HL&PD), along with the Massachusetts Municipal Wholesale ElectricCompany (MMWEC), have a significant financial interest in the safe and reliable operation of Seabrook Station. Younoted that between October 19, 2005, and April 20, 2006, the Independent System Operator, New England (ISO-NE)mandated downpowers of Seabrook Station from full power to levels at or below 1,200 Megawatts-Electric (MWe) on27 separate occasions. The ISO-NE mandated these downpowers at the request of the New York IndependentSystem Operator (NYISO) in response to reliability concerns in the New York Central East region.The NRC's primary mission is to regulate the safe use of radioactive material for civilian purposes to ensure theprotection of public health and safety and the environment. The NRC achieves its safety mission, in part, bylicensing individuals and organizations to use radioactive materials for beneficial civilian purposes, and ensuring thatthe safety performance of these "licensees" meets acceptable levels.To ensure that Seabrook operates safely, the licensee must comply with all conditions of its operating license, whichincludes the plant's Technical Specifications and design bases. The Technical Specifications include requirementsrelative to plant thermal transients and the offsite power source. The Seabrook Station Technical Specificationsreference the number of times selected safety-related structures, systems, and components can be subject tothermal transients. The downpowers that you described in your letter were from a full output of about 1,250 MWe toabout 1,200 MWe, a change of 4% rated thermal power. These changes in power are relatively minor and do notchallenge the transient limits described in the Seabrook Technical Specifications or design bases. Whileundesirable from an economic standpoint for Seabrook, these small transients are fully within Seabrook's designbases, and therefore, the NRC does not impose any restrictions or limits on such small power changes.With respect to ensuring a reliable offsite power source, we must rely on other agencies and entities to govern andoversee safe grid operations due to our lack of regulatory authority in this area. In this respect, we would encourageSeabrook Station to continue to work with ISO-NE,Distribution
I am responding to your letter dated May 24, 2006, concerning the repeated downpowering of Seabrook Station. In your letter, you expressed concerns about the design and operational impacts of these downpowers, and how the Town of Hudson, Light and Power Department (HL&PD), along with the Massachusetts Municipal Wholesale Electric Company (MMWEC), have a significant financial interest in the safe and reliable operation of Seabrook Station. You noted that between October 19, 2005, and April 20, 2006, the Independent System Operator, New England (ISO-NE) mandated downpowers of Seabrook Station from full power to levels at or below 1,200 Megawatts-Electric (MWe) on 27 separate occasions. The ISO-NE mandated these downpowers at the request of the New York Independent System Operator (NYISO) in response to reliability concerns in the New York Central East region.
:S. Collins, RAM. Dapas, DRA,B. Holian, DRPA. Blough, DRSD. Lew, DRPM. Gamberoni, DRSP. Krohn, DRPJ. Rogge, DRSB. Norris, DRPG. Dentel, DRP, SRI - SeabrookD. Screnci, PAOG. Wilson, OIR. Barkley, ORAK. Farrar, ORASUNSI Review Complete: BSN (Reviewer's Initials
The NRCs primary mission is to regulate the safe use of radioactive material for civilian purposes to ensure the protection of public health and safety and the environment. The NRC achieves its safety mission, in part, by licensing individuals and organizations to use radioactive materials for beneficial civilian purposes, and ensuring that the safety performance of these "licensees" meets acceptable levels.
)DOCUMENT NAME: E:\Filenet\ML062210024.wpd After declaring this document "An Official Agency Record" it will be released to the Public.To receive a copy of this document, indicate in the box:
To ensure that Seabrook operates safely, the licensee must comply with all conditions of its operating license, which includes the plants Technical Specifications and design bases. The Technical Specifications include requirements relative to plant thermal transients and the offsite power source. The Seabrook Station Technical Specifications reference the number of times selected safety-related structures, systems, and components can be subject to thermal transients. The downpowers that you described in your letter were from a full output of about 1,250 MWe to about 1,200 MWe, a change of 4% rated thermal power. These changes in power are relatively minor and do not challenge the transient limits described in the Seabrook Technical Specifications or design bases. While undesirable from an economic standpoint for Seabrook, these small transients are fully within Seabrooks design bases, and therefore, the NRC does not impose any restrictions or limits on such small power changes.
" C" = Copy without attachment/enclosure   " E" = Copy with attachment/enclosure   " N" = No copyOFFICERI/DRPRI/DRSRI/DRPNRR *per teleconNAME PKrohn/BSNJRogge/BSNDLewGWilson / BSN for DATE8/3/0608/02/068/3/0608/02/06OFFICERI/ORARI/PAORI/RANAMERBarkley / RSBDScrenci / DPSSCollins/MLDDATE08/03/0608/03/068/8/06OFFICIAL RECORD COPY}}
With respect to ensuring a reliable offsite power source, we must rely on other agencies and entities to govern and oversee safe grid operations due to our lack of regulatory authority in this area. In this respect, we would encourage Seabrook Station to continue to work with ISO-NE, P. Krohn, DRP Distribution:                                                             J. Rogge, DRS S. Collins, RA                                                            B. Norris, DRP M. Dapas, DRA,                                                             G. Dentel, DRP, SRI - Seabrook B. Holian, DRP                                                            D. Screnci, PAO A. Blough, DRS                                                            G. Wilson, OI D. Lew, DRP                                                               R. Barkley, ORA M. Gamberoni, DRS                                                          K. Farrar, ORA SUNSI Review Complete:         BSN                 (Reviewers Initials)
DOCUMENT NAME: E:\Filenet\ML062210024.wpd After declaring this document An Official Agency Record it will be released to the Public.
To receive a copy of this document, indicate in the box: "C" = Copy without attachment/enclosure "E" = Copy with attachment/enclosure "N" = No copy OFFICE          RI/DRP                    RI/DRS                        RI/DRP                  NRR *per telecon NAME              PKrohn/BSN                JRogge/BSN                    DLew                    GWilson / BSN for DATE            8/3/06                    08/02/06                      8/3/06                  08/02/06 OFFICE          RI/ORA                    RI/PAO                        RI/RA NAME            RBarkley / RSB            DScrenci / DPS                SCollins/MLD DATE            08/03/06                  08/03/06                      8/8/06 OFFICIAL RECORD COPY}}

Revision as of 15:21, 23 November 2019

Response to Mr. Glenn O. Steiger'S Letter Concerning Electrical Load Contingency Protocol and Its Impact on Seabrook Station
ML062210024
Person / Time
Site: Seabrook  NextEra Energy icon.png
Issue date: 08/08/2006
From: Collins S
Region 1 Administrator
To: Steiger G
Massachusetts Municipal Wholesale Electric Co
References
Download: ML062210024 (3)


Text

August 8, 2006 Mr. Glenn O. Steiger, General Manager Massachusetts Municipal Wholesale Electric Company Moody Street, Post Office Box 426 Ludlow, MA 01056

SUBJECT:

RESPONSE TO YOUR LETTER CONCERNING ELECTRICAL LOAD CONTINGENCY PROTOCOL AND ITS IMPACT ON SEABROOK STATION

Dear Mr. Steiger:

I am responding to your letter dated May 24, 2006, concerning the repeated downpowering of Seabrook Station. In your letter, you expressed concerns about the design and operational impacts of these downpowers, and how the Town of Hudson, Light and Power Department (HL&PD), along with the Massachusetts Municipal Wholesale Electric Company (MMWEC),

have a significant financial interest in the safe and reliable operation of Seabrook Station. You noted that between October 19, 2005, and April 20, 2006, the Independent System Operator, New England (ISO-NE) mandated downpowers of Seabrook Station from full power to levels at or below 1,200 Megawatts-Electric (MWe) on 27 separate occasions. The ISO-NE mandated these downpowers at the request of the New York Independent System Operator (NYISO) in response to reliability concerns in the New York Central East region.

The NRCs primary mission is to regulate the safe use of radioactive material for civilian purposes to ensure the protection of public health and safety and the environment. The NRC achieves its safety mission, in part, by licensing individuals and organizations to use radioactive materials for beneficial civilian purposes, and ensuring that the safety performance of these "licensees" meets acceptable levels.

To ensure that Seabrook operates safely, the licensee must comply with all conditions of its operating license, which includes the plants Technical Specifications and design bases. The Technical Specifications include requirements relative to plant thermal transients and the offsite power source. The Seabrook Station Technical Specifications reference the number of times selected safety-related structures, systems, and components can be subject to thermal transients. The downpowers that you described in your letter were from a full output of about 1,250 MWe to about 1,200 MWe, a change of 4% rated thermal power. These changes in power are relatively minor and do not challenge the transient limits described in the Seabrook Technical Specifications or design bases. While undesirable from an economic standpoint for Seabrook, these small transients are fully within Seabrooks design bases, therefore, the NRC does not impose any restrictions or limits on such small power changes.

With respect to ensuring a reliable offsite power source, we must rely on other agencies and entities to govern and oversee safe grid operations due to our lack of regulatory authority in this area. In this respect, we would encourage Seabrook Station to continue to work with ISO-NE,

G. Steiger 2 NYISO, and the U.S. Federal Energy Regulatory Commission (FERC) through established processes to try to eliminate the need for such frequent downpowers in the future.

Sincerely,

/RA/ Marc Dapas signed for Samuel J. Collins Regional Administrator

G. Steiger 3 Mr. Glenn O. Steiger, General Manager Massachusetts Municipal Wholesale Electric Company Moody Street, Post Office Box 426 Ludlow, MA 01056

SUBJECT:

RESPONSE TO YOUR LETTER CONCERNING ELECTRICAL LOAD CONTINGENCY PROTOCOL AND ITS IMPACT ON SEABROOK STATION

Dear Mr. Steiger:

I am responding to your letter dated May 24, 2006, concerning the repeated downpowering of Seabrook Station. In your letter, you expressed concerns about the design and operational impacts of these downpowers, and how the Town of Hudson, Light and Power Department (HL&PD), along with the Massachusetts Municipal Wholesale Electric Company (MMWEC), have a significant financial interest in the safe and reliable operation of Seabrook Station. You noted that between October 19, 2005, and April 20, 2006, the Independent System Operator, New England (ISO-NE) mandated downpowers of Seabrook Station from full power to levels at or below 1,200 Megawatts-Electric (MWe) on 27 separate occasions. The ISO-NE mandated these downpowers at the request of the New York Independent System Operator (NYISO) in response to reliability concerns in the New York Central East region.

The NRCs primary mission is to regulate the safe use of radioactive material for civilian purposes to ensure the protection of public health and safety and the environment. The NRC achieves its safety mission, in part, by licensing individuals and organizations to use radioactive materials for beneficial civilian purposes, and ensuring that the safety performance of these "licensees" meets acceptable levels.

To ensure that Seabrook operates safely, the licensee must comply with all conditions of its operating license, which includes the plants Technical Specifications and design bases. The Technical Specifications include requirements relative to plant thermal transients and the offsite power source. The Seabrook Station Technical Specifications reference the number of times selected safety-related structures, systems, and components can be subject to thermal transients. The downpowers that you described in your letter were from a full output of about 1,250 MWe to about 1,200 MWe, a change of 4% rated thermal power. These changes in power are relatively minor and do not challenge the transient limits described in the Seabrook Technical Specifications or design bases. While undesirable from an economic standpoint for Seabrook, these small transients are fully within Seabrooks design bases, and therefore, the NRC does not impose any restrictions or limits on such small power changes.

With respect to ensuring a reliable offsite power source, we must rely on other agencies and entities to govern and oversee safe grid operations due to our lack of regulatory authority in this area. In this respect, we would encourage Seabrook Station to continue to work with ISO-NE, P. Krohn, DRP Distribution: J. Rogge, DRS S. Collins, RA B. Norris, DRP M. Dapas, DRA, G. Dentel, DRP, SRI - Seabrook B. Holian, DRP D. Screnci, PAO A. Blough, DRS G. Wilson, OI D. Lew, DRP R. Barkley, ORA M. Gamberoni, DRS K. Farrar, ORA SUNSI Review Complete: BSN (Reviewers Initials)

DOCUMENT NAME: E:\Filenet\ML062210024.wpd After declaring this document An Official Agency Record it will be released to the Public.

To receive a copy of this document, indicate in the box: "C" = Copy without attachment/enclosure "E" = Copy with attachment/enclosure "N" = No copy OFFICE RI/DRP RI/DRS RI/DRP NRR *per telecon NAME PKrohn/BSN JRogge/BSN DLew GWilson / BSN for DATE 8/3/06 08/02/06 8/3/06 08/02/06 OFFICE RI/ORA RI/PAO RI/RA NAME RBarkley / RSB DScrenci / DPS SCollins/MLD DATE 08/03/06 08/03/06 8/8/06 OFFICIAL RECORD COPY