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{{#Wiki_filter:May 3, 2018 Mr. Bryan C. Hanson Senior Vice President Exelon Generation Company, LLC President and Chief Nuclear Officer Exelon Nuclear Quad Cities Nuclear Power Station 4300 Winfield Road Warrenville, IL 60555 | {{#Wiki_filter:May 3, 2018 Mr. Bryan C. Hanson Senior Vice President Exelon Generation Company, LLC President and Chief Nuclear Officer Exelon Nuclear Quad Cities Nuclear Power Station 4300 Winfield Road Warrenville, IL 60555 | ||
==SUBJECT:== | ==SUBJECT:== | ||
| Line 24: | Line 24: | ||
==SUMMARY== | ==SUMMARY== | ||
2015-06, TORNADO MISSILE PROTECTION (EPID: L-2018-LLL-0010) | 2015-06, TORNADO MISSILE PROTECTION (EPID: L-2018-LLL-0010) | ||
==Dear Mr. Hanson:== | ==Dear Mr. Hanson:== | ||
By {{letter dated|date=March 23, 2018|text=letter dated March 23, 2018}} (Agencywide Documents Access and Management System (ADAMS) Accession No. ML18082A065), Exelon Generation Company, LLC, requested the U.S. Nuclear Regulatory Commission (NRC, the Commission) to extend the expiration date for the period of enforcement for Quad Cities Nuclear Power Station, Units 1 and 2 (QCNP), from June 10, 2018, to June 10, 2020, in accordance with information provided in Enforcement Guidance Memorandum (EGM) 15-002, Revision 1, Enforcement Discretion for Tornado Generated Missile Protection Non-Compliance, dated February 7, 2017 (ADAMS Accession No. ML16355A286). | |||
By letter dated March 23, 2018 (Agencywide Documents Access and Management System (ADAMS) Accession No. ML18082A065), Exelon Generation Company, LLC, requested the U.S. Nuclear Regulatory Commission (NRC, the Commission) to extend the expiration date for the period of enforcement for Quad Cities Nuclear Power Station, Units 1 and 2 (QCNP), from June 10, 2018, to June 10, 2020, in accordance with information provided in Enforcement Guidance Memorandum (EGM) 15-002, Revision 1, Enforcement Discretion for Tornado Generated Missile Protection Non-Compliance, dated February 7, 2017 (ADAMS Accession No. ML16355A286). | |||
Subsequently, the NRC staff has reviewed your letter in accordance with Commission direction as provided in EGM 15-002, Revision 1, and staff guidance provided in NRC Interim Staff Guidance, DSS-ISG-2016-01, Revision 1, Clarification of Licensee Actions in Receipt of Enforcement Discretion [per EGM 15-002], dated November 2017 (ADAMS Accession No. ML17128A344). | Subsequently, the NRC staff has reviewed your letter in accordance with Commission direction as provided in EGM 15-002, Revision 1, and staff guidance provided in NRC Interim Staff Guidance, DSS-ISG-2016-01, Revision 1, Clarification of Licensee Actions in Receipt of Enforcement Discretion [per EGM 15-002], dated November 2017 (ADAMS Accession No. ML17128A344). | ||
The NRC staff reviewed the information that you have provided and finds that the compensatory measures taken are consistent with EGM 15-002, Revision 1, and with interim staff guidance found in DSS-ISG-2016-01, Revision 1. Specifically, the staff found that QCNP has sufficiently described and evaluated the following six items described in DSS-ISG-2016-01, Revision 1, Appendix B: nonconformances applicable to the EGM, prompt compensatory actions, long-term compensatory actions, assessment of compensatory measures, need for additional enforcement discretion time, and timeline for restoring licensing basis compliance. The NRC staff has concluded that the actions taken by QCNP can be effectively implemented and justify extension of the enforcement discretion date to June 10, 2020, because QCNP has sufficiently described and documented compensatory measures for identified nonconforming structures, systems, and components (SSCs), provided assurance that compensatory measures will be effective and maintained through the extended period for enforcement discretion, and described | The NRC staff reviewed the information that you have provided and finds that the compensatory measures taken are consistent with EGM 15-002, Revision 1, and with interim staff guidance found in DSS-ISG-2016-01, Revision 1. Specifically, the staff found that QCNP has sufficiently described and evaluated the following six items described in DSS-ISG-2016-01, Revision 1, Appendix B: nonconformances applicable to the EGM, prompt compensatory actions, long-term compensatory actions, assessment of compensatory measures, need for additional enforcement discretion time, and timeline for restoring licensing basis compliance. The NRC staff has concluded that the actions taken by QCNP can be effectively implemented and justify extension of the enforcement discretion date to June 10, 2020, because QCNP has sufficiently described and documented compensatory measures for identified nonconforming structures, systems, and components (SSCs), provided assurance that compensatory measures will be effective and maintained through the extended period for enforcement discretion, and described | ||
B. Hanson | B. Hanson 2 | ||
an implementable plan for restoring SSCs to compliance within the extended period for enforcement discretion. Therefore, the request to extend enforcement discretion is granted. | |||
If you are unable to meet the extended enforcement discretion expiration date, you are requested to contact the NRC staff at least 90 days in advance. Please contact Greg Casto at (301) 415-0565. | If you are unable to meet the extended enforcement discretion expiration date, you are requested to contact the NRC staff at least 90 days in advance. Please contact Greg Casto at (301) 415-0565. | ||
Sincerely, | Sincerely, | ||
/RA/ | |||
Michael X. Franovich, Director Division of Risk Assessment Office of Nuclear Reactor Regulation Docket Nos. 50-254, 50-265 | Michael X. Franovich, Director Division of Risk Assessment Office of Nuclear Reactor Regulation Docket Nos. 50-254, 50-265 | ||
ML18106A596 | ML18106A596 | ||
* via-email OFFICE DRA/APLB DRA/APLB DSS/SCPB APLB DRA NAME AWu MPatterson* | |||
RDennig* | |||
GCasto* | |||
MFranovich DATE 04/11/2018 04/19/2018 04/19/2018 04/20/2018 05/ 03 /2018 | |||
May 3, 2018 Mr. Bryan C. Hanson Senior Vice President Exelon Generation Company, LLC President and Chief Nuclear Officer Exelon Nuclear Quad Cities Nuclear Power Station 4300 Winfield Road Warrenville, IL 60555 | |||
==SUBJECT:== | ==SUBJECT:== | ||
| Line 44: | Line 50: | ||
==SUMMARY== | ==SUMMARY== | ||
2015-06, TORNADO MISSILE PROTECTION (EPID: L-2018-LLL-0010) | 2015-06, TORNADO MISSILE PROTECTION (EPID: L-2018-LLL-0010) | ||
==Dear Mr. Hanson:== | ==Dear Mr. Hanson:== | ||
By {{letter dated|date=March 23, 2018|text=letter dated March 23, 2018}} (Agencywide Documents Access and Management System (ADAMS) Accession No. ML18082A065), Exelon Generation Company, LLC, requested the U.S. Nuclear Regulatory Commission (NRC, the Commission) to extend the expiration date for the period of enforcement for Quad Cities Nuclear Power Station, Units 1 and 2 (QCNP), from June 10, 2018, to June 10, 2020, in accordance with information provided in Enforcement Guidance Memorandum (EGM) 15-002, Revision 1, Enforcement Discretion for Tornado Generated Missile Protection Non-Compliance, dated February 7, 2017 (ADAMS Accession No. ML16355A286). | |||
By letter dated March 23, 2018 (Agencywide Documents Access and Management System (ADAMS) Accession No. ML18082A065), Exelon Generation Company, LLC, requested the U.S. Nuclear Regulatory Commission (NRC, the Commission) to extend the expiration date for the period of enforcement for Quad Cities Nuclear Power Station, Units 1 and 2 (QCNP), from June 10, 2018, to June 10, 2020, in accordance with information provided in Enforcement Guidance Memorandum (EGM) 15-002, Revision 1, Enforcement Discretion for Tornado Generated Missile Protection Non-Compliance, dated February 7, 2017 (ADAMS Accession No. ML16355A286). | |||
Subsequently, the NRC staff has reviewed your letter in accordance with Commission direction as provided in EGM 15-002, Revision 1, and staff guidance provided in NRC Interim Staff Guidance, DSS-ISG-2016-01, Revision 1, Clarification of Licensee Actions in Receipt of Enforcement Discretion [per EGM 15-002], dated November 2017 (ADAMS Accession No. ML17128A344). | Subsequently, the NRC staff has reviewed your letter in accordance with Commission direction as provided in EGM 15-002, Revision 1, and staff guidance provided in NRC Interim Staff Guidance, DSS-ISG-2016-01, Revision 1, Clarification of Licensee Actions in Receipt of Enforcement Discretion [per EGM 15-002], dated November 2017 (ADAMS Accession No. ML17128A344). | ||
The NRC staff reviewed the information that you have provided and finds that the compensatory measures taken are consistent with EGM 15-002, Revision 1, and with interim staff guidance found in DSS-ISG-2016-01, Revision 1. Specifically, the staff found that QCNP has sufficiently described and evaluated the following six items described in DSS-ISG-2016-01, Revision 1, Appendix B: nonconformances applicable to the EGM, prompt compensatory actions, long-term compensatory actions, assessment of compensatory measures, need for additional enforcement discretion time, and timeline for restoring licensing basis compliance. The NRC staff has concluded that the actions taken by QCNP can be effectively implemented and justify extension of the enforcement discretion date to June 10, 2020, because QCNP has sufficiently described and documented compensatory measures for identified nonconforming structures, systems, and components (SSCs), provided assurance that compensatory measures will be effective and maintained through the extended period for enforcement discretion, and described | The NRC staff reviewed the information that you have provided and finds that the compensatory measures taken are consistent with EGM 15-002, Revision 1, and with interim staff guidance found in DSS-ISG-2016-01, Revision 1. Specifically, the staff found that QCNP has sufficiently described and evaluated the following six items described in DSS-ISG-2016-01, Revision 1, Appendix B: nonconformances applicable to the EGM, prompt compensatory actions, long-term compensatory actions, assessment of compensatory measures, need for additional enforcement discretion time, and timeline for restoring licensing basis compliance. The NRC staff has concluded that the actions taken by QCNP can be effectively implemented and justify extension of the enforcement discretion date to June 10, 2020, because QCNP has sufficiently described and documented compensatory measures for identified nonconforming structures, systems, and components (SSCs), provided assurance that compensatory measures will be effective and maintained through the extended period for enforcement discretion, and described | ||
B. Hanson | B. Hanson 2 | ||
an implementable plan for restoring SSCs to compliance within the extended period for enforcement discretion. Therefore, the request to extend enforcement discretion is granted. | |||
If you are unable to meet the extended enforcement discretion expiration date, you are requested to contact the NRC staff at least 90 days in advance. Please contact Greg Casto at (301) 415-0565. | If you are unable to meet the extended enforcement discretion expiration date, you are requested to contact the NRC staff at least 90 days in advance. Please contact Greg Casto at (301) 415-0565. | ||
Sincerely, | Sincerely, | ||
/RA/ | |||
Michael X. Franovich, Director Division of Risk Assessment Office of Nuclear Reactor Regulation Docket Nos. 50-254, 50-265 | Michael X. Franovich, Director Division of Risk Assessment Office of Nuclear Reactor Regulation Docket Nos. 50-254, 50-265 | ||
ML18106A596 | ML18106A596 | ||
* via-email OFFICE DRA/APLB DRA/APLB DSS/SCPB APLB DRA NAME AWu MPatterson* | |||
RDennig* | |||
GCasto* | |||
MFranovich DATE 04/11/2018 04/19/2018 04/19/2018 04/20/2018 05/ 03 /2018}} | |||
Latest revision as of 00:16, 6 January 2025
| ML18106A596 | |
| Person / Time | |
|---|---|
| Site: | Quad Cities |
| Issue date: | 05/03/2018 |
| From: | Mike Franovich NRC/NRR/DRA |
| To: | Bryan Hanson Exelon Generation Co |
| Wu A | |
| References | |
| EPID L-2018-LLL-0010 | |
| Download: ML18106A596 (3) | |
Text
May 3, 2018 Mr. Bryan C. Hanson Senior Vice President Exelon Generation Company, LLC President and Chief Nuclear Officer Exelon Nuclear Quad Cities Nuclear Power Station 4300 Winfield Road Warrenville, IL 60555
SUBJECT:
REQUEST TO EXTEND ENFORCEMENT DISCRETION PROVIDED IN ENFORCEMENT GUIDANCE MEMORANDUM 15-002 FOR TORNADO-GENERATED MISSILE PROTECTION NON-CONFORMANCES IDENTIFIED IN RESPONSE TO REGULATORY ISSUE
SUMMARY
2015-06, TORNADO MISSILE PROTECTION (EPID: L-2018-LLL-0010)
Dear Mr. Hanson:
By letter dated March 23, 2018 (Agencywide Documents Access and Management System (ADAMS) Accession No. ML18082A065), Exelon Generation Company, LLC, requested the U.S. Nuclear Regulatory Commission (NRC, the Commission) to extend the expiration date for the period of enforcement for Quad Cities Nuclear Power Station, Units 1 and 2 (QCNP), from June 10, 2018, to June 10, 2020, in accordance with information provided in Enforcement Guidance Memorandum (EGM) 15-002, Revision 1, Enforcement Discretion for Tornado Generated Missile Protection Non-Compliance, dated February 7, 2017 (ADAMS Accession No. ML16355A286).
Subsequently, the NRC staff has reviewed your letter in accordance with Commission direction as provided in EGM 15-002, Revision 1, and staff guidance provided in NRC Interim Staff Guidance, DSS-ISG-2016-01, Revision 1, Clarification of Licensee Actions in Receipt of Enforcement Discretion [per EGM 15-002], dated November 2017 (ADAMS Accession No. ML17128A344).
The NRC staff reviewed the information that you have provided and finds that the compensatory measures taken are consistent with EGM 15-002, Revision 1, and with interim staff guidance found in DSS-ISG-2016-01, Revision 1. Specifically, the staff found that QCNP has sufficiently described and evaluated the following six items described in DSS-ISG-2016-01, Revision 1, Appendix B: nonconformances applicable to the EGM, prompt compensatory actions, long-term compensatory actions, assessment of compensatory measures, need for additional enforcement discretion time, and timeline for restoring licensing basis compliance. The NRC staff has concluded that the actions taken by QCNP can be effectively implemented and justify extension of the enforcement discretion date to June 10, 2020, because QCNP has sufficiently described and documented compensatory measures for identified nonconforming structures, systems, and components (SSCs), provided assurance that compensatory measures will be effective and maintained through the extended period for enforcement discretion, and described
B. Hanson 2
an implementable plan for restoring SSCs to compliance within the extended period for enforcement discretion. Therefore, the request to extend enforcement discretion is granted.
If you are unable to meet the extended enforcement discretion expiration date, you are requested to contact the NRC staff at least 90 days in advance. Please contact Greg Casto at (301) 415-0565.
Sincerely,
/RA/
Michael X. Franovich, Director Division of Risk Assessment Office of Nuclear Reactor Regulation Docket Nos. 50-254, 50-265
- via-email OFFICE DRA/APLB DRA/APLB DSS/SCPB APLB DRA NAME AWu MPatterson*
RDennig*
GCasto*
MFranovich DATE 04/11/2018 04/19/2018 04/19/2018 04/20/2018 05/ 03 /2018
May 3, 2018 Mr. Bryan C. Hanson Senior Vice President Exelon Generation Company, LLC President and Chief Nuclear Officer Exelon Nuclear Quad Cities Nuclear Power Station 4300 Winfield Road Warrenville, IL 60555
SUBJECT:
REQUEST TO EXTEND ENFORCEMENT DISCRETION PROVIDED IN ENFORCEMENT GUIDANCE MEMORANDUM 15-002 FOR TORNADO-GENERATED MISSILE PROTECTION NON-CONFORMANCES IDENTIFIED IN RESPONSE TO REGULATORY ISSUE
SUMMARY
2015-06, TORNADO MISSILE PROTECTION (EPID: L-2018-LLL-0010)
Dear Mr. Hanson:
By letter dated March 23, 2018 (Agencywide Documents Access and Management System (ADAMS) Accession No. ML18082A065), Exelon Generation Company, LLC, requested the U.S. Nuclear Regulatory Commission (NRC, the Commission) to extend the expiration date for the period of enforcement for Quad Cities Nuclear Power Station, Units 1 and 2 (QCNP), from June 10, 2018, to June 10, 2020, in accordance with information provided in Enforcement Guidance Memorandum (EGM) 15-002, Revision 1, Enforcement Discretion for Tornado Generated Missile Protection Non-Compliance, dated February 7, 2017 (ADAMS Accession No. ML16355A286).
Subsequently, the NRC staff has reviewed your letter in accordance with Commission direction as provided in EGM 15-002, Revision 1, and staff guidance provided in NRC Interim Staff Guidance, DSS-ISG-2016-01, Revision 1, Clarification of Licensee Actions in Receipt of Enforcement Discretion [per EGM 15-002], dated November 2017 (ADAMS Accession No. ML17128A344).
The NRC staff reviewed the information that you have provided and finds that the compensatory measures taken are consistent with EGM 15-002, Revision 1, and with interim staff guidance found in DSS-ISG-2016-01, Revision 1. Specifically, the staff found that QCNP has sufficiently described and evaluated the following six items described in DSS-ISG-2016-01, Revision 1, Appendix B: nonconformances applicable to the EGM, prompt compensatory actions, long-term compensatory actions, assessment of compensatory measures, need for additional enforcement discretion time, and timeline for restoring licensing basis compliance. The NRC staff has concluded that the actions taken by QCNP can be effectively implemented and justify extension of the enforcement discretion date to June 10, 2020, because QCNP has sufficiently described and documented compensatory measures for identified nonconforming structures, systems, and components (SSCs), provided assurance that compensatory measures will be effective and maintained through the extended period for enforcement discretion, and described
B. Hanson 2
an implementable plan for restoring SSCs to compliance within the extended period for enforcement discretion. Therefore, the request to extend enforcement discretion is granted.
If you are unable to meet the extended enforcement discretion expiration date, you are requested to contact the NRC staff at least 90 days in advance. Please contact Greg Casto at (301) 415-0565.
Sincerely,
/RA/
Michael X. Franovich, Director Division of Risk Assessment Office of Nuclear Reactor Regulation Docket Nos. 50-254, 50-265
- via-email OFFICE DRA/APLB DRA/APLB DSS/SCPB APLB DRA NAME AWu MPatterson*
RDennig*
GCasto*
MFranovich DATE 04/11/2018 04/19/2018 04/19/2018 04/20/2018 05/ 03 /2018