ML17262A045: Difference between revisions

From kanterella
Jump to navigation Jump to search
(Created page by program invented by StriderTol)
(StriderTol Bot change)
 
Line 2: Line 2:
| number = ML17262A045
| number = ML17262A045
| issue date = 09/18/2017
| issue date = 09/18/2017
| title = 9/18/2017, Conversation Record with J. Harrison Et Al. Conference Call to Discuss the Status of the Review of the Letter Authorization Request for the Model Number RAJ-II (CAC No. L25239), Non-Proprietary Information. Conversation Held On.
| title = 9/18/2017, Conversation Record with J. Harrison Et Al. Conference Call to Discuss the Status of the Review of the Letter Authorization Request for the Model Number RAJ-II (CAC No. L25239), Non-Proprietary Information. Conversation Held on
| author name = Ahn T
| author name = Ahn T
| author affiliation = NRC/NMSS/DSFM/RMB
| author affiliation = NRC/NMSS/DSFM/RMB
Line 18: Line 18:


=Text=
=Text=
{{#Wiki_filter:NRC FORM 699       **.,,.. ...~.,.                       U.S. NUCLEAR REGULATORY COMMISSION        DATE OF SIGNATURE (03-2013)       f       ~d       ,**s
{{#Wiki_filter:U.S. NUCLEAR REGULATORY COMMISSION NRC FORM 699  
                ;            ':/_ !
**.,,..... ~.,.
                  '\.,
(03-2013) f  
                        ...... .J."               CONVERSATION RECORD                               1/f1(UJJIJ NAME OF PERSON(S) CONTACTED OR IN CO NTACT WITH YOU                           DATE OF CONTACT  TYPE OF CONVERSATION D    E-MAIL James Harri son. et al.                                                           08/ 16/20 17 E-MAIL ADDRESS                                                               TELEPHONE NUMBER 0    TELEPHONE D    INCOMING james. harrison@ge.com                                                         (9 10) 620-18 26      0    OUTGOING ORGANIZATION                                               DOCKET NU MBER(S)
~ d,**s DATE OF SIGNATURE
Globa l Nuclear Fuel - Ameri cas (GNF-A)                   07 109309 LICENSE NU MBER(S)                                         CONTROL NUMBER(S)
':/_!  
NA                                                         NA SUBJECT NON-P ROPRI ETA RY INFORMATIO ---8/ 16/2017, 10:00 AM CO FERENCE CA LL TO DISCUSS THE STATUS OF THE REV IEW OF THE LETTE R AUTHORIZATIO REQUEST FOR THE MODEL UM BER RAJ-II (CAC 0. L25239)
'\\.,  
.J."
CONVERSATION RECORD 1/f1(UJJIJ NAME OF PERSON(S) CONTACTED OR IN CONTACT WITH YOU James Harrison. et al.
E-MAIL ADDRESS james.harrison@ge.com ORGANIZATION Global Nuclear Fuel - Americas (GNF-A)
LICENSE NUMBER(S)
NA SUBJECT DOCKET NUMBER(S) 07109309 CONTROL NUMBER(S)
NA DATE OF CONTACT TYPE OF CONVERSATION 08/ 16/2017 TELEPHONE NUMBER (9 10) 620-1826 D
E-MAIL 0 TELEPHONE D
INCOMING 0 OUTGOING NON-PROPRI ETARY INFORMATIO ---8/ 16/2017, 10:00 AM CO FERENCE CALL TO DISCUSS THE STATUS OF THE REV IEW OF THE LETTER AUTHORIZATIO REQUEST FOR THE MODEL UM BER RAJ-II (CAC
: 0. L25239)  


==SUMMARY==
==SUMMARY==
Attendees:
Attendees:
NRC                                   GNF-A John Mc Ki rgan                       James Harri son Travi s Tate                         Ju stin Lamy Norma Garcia Santos                   Christopher Kmi ec Tae Ahn                               James Fawcett Andrew Barto                           Robert Rand Kim Yong                               Mine Yi lmaz Joseph Borowsky                       Brian Eber Cay lee Kenny                           Russ Fawcett Daniel Forsyth Continue on Page 2 ACTION REQUIRED (IF ANY)
NRC John McKi rgan Travis Tate Norma Garcia Santos Tae Ahn Andrew Barto Kim Yong Joseph Borowsky Caylee Kenny Daniel Forsyth Continue on Page 2 ACTION REQUIRED (IF ANY)
See umm ary.
See ummary.
Continue on Page 3 NAME OF PERSON DOCUMENTING CONVERSATION Norma Garcia Santos, et al.
Continue on Page 3 GNF-A James Harrison Justin Lamy Christopher Kmiec James Fawcett Robert Rand Mine Yi lmaz Brian Eber Russ Fawcett NAME OF PERSON DOCUMENTING CONVERSATION Norma Garcia Santos, et al.
SIGNATURE NRC FORM 699 (03-2013)                                                                               Page 1 of     3
SIGNATURE NRC FORM 699 (03-2013)
Page 1 of 3  


NRC FO RM 699                                                                                         U.S. NUCLEAR REGULATORY COMMISSION (03-2013)
NRC FORM 699 (03-2013)
CONVERSATION RECORD (continued )
U.S. NUCLEAR REGULATORY COMMISSION CONVERSATION RECORD (continued)  


==SUMMARY==
==SUMMARY==
: (Continued from page 1)                                                     I On August 16, 2017, NRC and G F-A participated on a phone call to discuss status of the rev iew of the letter authorization for the Model o. RAJ- II for transporting accident tolerant fuel (ATF) lead test assemb lies (LT As), ga in a co mm on understanding about the licensing action requested , co mmunicate chall enges associated with the revieJ, and di scuss a possible path fo rward to continue the review of the app li cation . The fo ll owing items summ arize the di scuss ion during the August 16 telephone ca ll.
: (Continued from page 1)
The staff started the meeting by go ing over the main as pects of the cover letter1submitted with the app li cation to ensu re th at the staff and the applican t had a comm on understanding of the li censi ng actions being requested. The pa11icipants agreed on the fol low ing:
I On August 16, 2017, NRC and G F-A participated on a phone call to discuss status of the review of the letter authorization for the Model
I. The li censing action request consisted of up to 16 ATF lead test rods in side of two G F2 fuel assembli es (a maximum of 8 ATF lead test rods per assembly) per package with a maximum of two packages per shipm ent.
: o. RAJ-I I for transporting accident tolerant fuel (ATF) lead test assemblies (LT As), gain a common understanding about the licensing action requested, communicate challenges associated with the revieJ, and discuss a possible path forward to continue the review of the application. The fo llowing items summarize the discussion during the August 16 telephone call.
: 2. The ATF rods may conta in Type A fissile fuel and th e G F2 fu el will contai n previously approved Type B quantity fuel.
The staff started the meeting by going over the main aspects of the cover letter1submitted with the application to ensure that the staff and the applicant had a common understanding of the licensing actions being requested. The pa11icipants agreed on the fol lowing:
: 3. The ATF will be transported in a Type B shipm ent.
I. The licensing action request consisted of up to 16 ATF lead test rods inside of two G F2 fuel assemblies (a maximum of 8 ATF lead test rods per assembly) per package with a maximum of two packages per shipment.
: 4. The app li cant is requestin g one shipm ent per year from 2017 to 2019.
: 2. The A TF rods may contain Type A fissile fuel and the G F2 fuel will contai n previously approved Type B quantity fuel.
In terms of the number of ATF assembli es to be shipped per year, on th e top of page 2 of the cover letter, the app li cant menti oned that there wo uld be max imum of 4 ATF lead tests assemblies per shipm ent. The statement on th e top of page 2 of the cover letter seemed to be in agreement with page 3 of the cover letter in which the applicant stated (in proposed condition 4) that "There sha ll be a maxi mum of two RAJ-II packages on single truck, each containing a maximum of two LT As." On th e propo ed condi ti on 5, th e app li cant mentioned that "RAJ- II packages with G F ATF LT As shall commingle with other RAJ- II packages ... " Therefore, it was not clear fo r the staff th e maximum number of ATF FeCrA I rods per package and the number of packages that will be shipped at any given time on a truck, including GNF ATF LTAs. The ap plicant indicated th at the fo llow ing:
: 3. The ATF will be transported in a Type B shipment.
: 4. The applicant is requesting one shipment per year from 2017 to 2019.
In terms of the number of A TF assemblies to be shipped per year, on the top of page 2 of the cover letter, the applicant mentioned that there would be maximum of 4 A TF lead tests assemblies per shipment. The statement on the top of page 2 of the cover letter seemed to be in agreement with page 3 of the cover letter in which the applicant stated (in proposed condition 4) that "There shall be a maximum of two RAJ-II packages on single truck, each containing a maximum of two LT As." On the propo ed condi tion 5, the applicant mentioned that "RAJ-II packages with G F A TF LT As shall commingle with other RAJ-II packages... " Therefore, it was not clear for the staff the maximum number of A TF FeCrA I rods per package and the number of packages that will be shipped at any given time on a truck, including GNF ATF L TAs. The applicant indicated that the following:
I. The maximum number of ATF rods in a package will be 16.
I. The maximum number of ATF rods in a package will be 16.
: 2. The maximum number of packages per truck (including the packages containing ATF LTAs) will be 13- 14 packages.
: 2. The maximum number of packages per truck (including the packages containing ATF L TAs) will be 13-14 packages.
: 3. The near term plan is to ship two RAJ-II packages containing ATF LTAs commingling with other packages co ntaining GNF fuel.
: 3. The near term plan is to ship two RAJ-II packages containing ATF L TAs commingling with other packages containing GNF fuel.
: 4. The applicant requested the fl ex ibili ty to ship GNF fuel with GNF fuel containing ATF FeCrAI rods .
: 4. The applicant requested the flexibility to ship GNF fuel with GNF fuel containing ATF FeCrAI rods.
The wording of the proposed Condition 4 was clea r th at a maximum of two packages could be loaded per truck. When one member of the applicant ' s organi zation mentioned that the condition did not prec lude addi tional packages on a truck . anoth er G F-A member ri ghtly stated that the word ing could be improved to ex press the app lication's clea r intenti on.
The wording of the proposed Condition 4 was clear that a maximum of two packages could be loaded per truck. When one member of the applicant's organization mentioned that the condition did not preclude additional packages on a truck. another G F-A member rightly stated that the word ing could be improved to express the application's clear intention.
Based on the eva luation section of the cover letter, the staff asked ifthe appli cant was relying on the claddin g as th e containment boundary or not, since the evalu ation section mentions that the structural and thermal eva luations demonstrated that the G F FeCrA I fuel rods would not rupture. The applicant clarified that since th e app lication Ii i1i ts FeCrA I fue l rods to Type A fissile con tent, the app li cant is not relying on the cladding as the containment boundary , but as a barrier to maintai n the pellets in a safe geometry (i .e ..
Based on the evaluation section of the cover letter, the staff asked ifthe applicant was relying on the cladding as the containment boundary or not, since the evaluation section mentions that the structural and thermal evaluations demonstrated that the G F FeCrA I fuel rods would not rupture. The applicant clarified that since the application Ii i1its FeCrA I fuel rods to Type A fissile content, the applicant is not relying on the cladding as the containment boundary, but as a barrier to maintai n the pellets in a safe geometry (i.e..
for criticality safety purposes). The applicant also indi cated that it analyzed water entering into the pe ll et-c ladd ing gap. The staff mentioned that a concern was fa ilure of the cladding resu lting in pell ets getting out of the cladding and radioactive material reconfi gurati on. The applicant menti oned that ifthe cladding burst, the app licant does not have physica l data to indi cate that pell et migration outside of the rod is possible. The app li cant pointed out th at UREG/CR-1 I 458 and NU REG/CR-5892 document a transportation acc ident in vo lving a shipment ofG F fuel assembli es (in cluding a beyond design basis tire), whi ch caused a breach of the cladding. These NU REGs concluded that there was no fuel or pe ll et mi grat i n outsid e of the fuel rod and that a criti ca lity accident was not possible during the acc ident or after th e tire. The appli cant pointed out thi s was in cluded in Section 6.6.2.2 of th e Letter Authorizat ion Req uest. The appli cant pointed out that, currently, th e structural and thermal analyses do not support mi gration of pellets outs ide of the cladding under hypothetical acc ident conditions. Howeve r, staff had co mm ents/qu esti ons with th e structural and therm al analyses provided. The discussion below includes the staff s initial comm ents and questions related to th e appli cation.
for criticality safety purposes). The applicant also indicated that it analyzed water entering into the pellet-cladd ing gap. The staff mentioned that a concern was failure of the cladding resulting in pellets getting out of the cladding and radioactive material reconfiguration. The applicant mentioned that ifthe cladding burst, the applicant does not have physical data to indicate that pellet migration outside of the rod is possible. The applicant pointed out that UREG/CR-1 458 and NU REG/CR-5892 document a I
Materials Eva luation The staff pointed out that the FeCrAI material is a ferritic stee l. Therefore, the ta ff indi cated that the appli cant shou ld use Regu latory Guide 7. I I as mentioned in the pre-appli cation meeting. The sta ff asked if the ssessment of the cladd ing integrity was based on th e 9 meter drop test ass uming zirconium materi al. The appli cant respond ed that was correct. The staff also mentioned th at Figure 2-1 of Attachm ent 3 of the appl icati on includes a strain curve at -20 F. The appli cant tated th at test in g of th e FeCrAI materi al was performed at a strain rate of[withh eld per 10 CF R 2,390 (app licati on)], to which the staff comm ented th at it wa hi gh in compari son of a conventional stra in rate . The appli cant indi cated that the stra in rate was based on the fo llow ing:
transportation accident involving a shipment ofG F fuel assemblies (including a beyond design basis tire), which caused a breach of the cladding. These NUREGs concluded that there was no fuel or pellet migrati n outside of the fuel rod and that a criticality accident was not possible during the accident or after the tire. The applicant pointed out this was included in Section 6.6.2.2 of the Letter Authorization Request. The applicant pointed out that, currently, the structural and thermal analyses do not support migration of pellets outside of the cladding under hypothetical accident conditions. However, staff had comments/questions with the structural and thermal analyses provided. The discussion below includes the staffs initial comments and questions related to the application.
NRC FORM 699 (03-2013)                                                                                                     Page 2 of       3
Materials Evaluation The staff pointed out that the FeCrAI material is a ferritic steel. Therefore, the ta ff indicated that the applicant should use Regulatory Guide 7. I I as mentioned in the pre-application meeting. The staff asked if the ssessment of the cladd ing integrity was based on the 9 meter drop test assuming zirconium material. The applicant responded that was correct. The staff also mentioned that Figure 2-1 of of the appl ication includes a strain curve at -20 F. The applicant tated that testing of the FeCrAI material was performed at a strain rate of[withheld per 10 CFR 2,390 (application)], to which the staff commented that it wa high in comparison of a conventional strain rate. The applicant indicated that the strain rate was based on the fo llowing:
NRC FORM 699 (03-2013)
Page 2 of 3  


NRC FORM 699                                                                                           U.S. NUCLEAR REGULA TORY COMMISSION (03-2013)
NRC FORM 699 (03-2013)
CONVERSATION RECORD (continued)
U.S. NUCLEAR REGULA TORY COMMISSION CONVERSATION RECORD (continued)
ACTION REQU IRE D (Continued from page 1)
ACTION REQUIRED (Continued from page 1)
I. the duration of the impact of the RAJ-II package in prev ious drop tests of zirconium all oy;
I. the duration of the impact of the RAJ-II package in previous drop tests of zirconium alloy;
: 2. the strain rate of th e claddi ng is "contro ll ed" by the package des ign (since th e package des ign did not change, th e appli ca nt ass um ed that th e strain rate did not change); and
: 2. the strain rate of the claddi ng is "controlled" by the package design (since the package design did not change, the applicant assumed that the strain rate did not change); and
: 3. the ass umpti on that th e des ign of the zirconium alloy and ATF LT A fu el bundl e designs are simil ar fo r th e limited number of FeC rAI rods in an ATF LTA.
: 3. the assumption that the design of the zirconium alloy and A TF LT A fuel bundle designs are similar for the limited number of FeCrAI rods in an ATF LTA.
The appli cant did not perfo rm phys ical dro p tests with FeCrAI rods and ass um ed th ese were bounded by (or equi va lent to) th e testing perfo rm ed wi th zirconium all oy rods. Therefore, the applicant's approach is to use th e testing to certi fy th e RAJ-II package fo r th e ATF appli cati on.
The applicant did not perform physical drop tests with FeCrAI rods and assumed these were bounded by (or equi valent to) the testing performed with zirconium alloy rods. Therefore, the applicant's approach is to use the testing to certi fy the RAJ-II package fo r the ATF application.
The staff indi cated that th e strain rate may be acceptable, but the staff still needs in fo rm ation to determine whether th ere may be a loca li zed effect related to the FeCrAI materi al. The appli cant noted th at the FeC rAI survi ved from a high stra in ra te tensil e test without a fracture. Th e staff pointed out that the cladding of the ATF FeCrAI rod is very thin and the staff wo uld need the fo llow in g:
The staff indicated that the strain rate may be acceptable, but the staff still needs information to determine whether there may be a localized effect related to the FeCrAI material. The applicant noted that the FeCrAI survi ved from a high strain rate tensile test without a fracture. The staff pointed out that the cladding of the A TF FeCrAI rod is very thin and the staff would need the fo l lowing:
I. confirm (fro m related literature data or testing) that th e slope of stress-stra in curve is hi gher fo r FeCrAI compared to that fo r zirca loy. (Oth erwise, FeC rAI rod s among zirconiu m alloy rods may be bul ged out or broken during dro p. Prov ide the stress-stra in curves fo r FeCrAI and zircal oy claddings so th at a compari son can be made.)
I. confirm (from related literature data or testing) that the slope of stress-strain curve is higher fo r FeCrAI compared to that for zircaloy. (Otherwise, FeCrAI rods among zirconium alloy rods may be bulged out or broken during drop. Provide the stress-stra in curves for FeCrAI and zircaloy claddings so that a comparison can be made.)
: 2. data re lated to mi crohardness testin g, fracture testin g, Charpy V-notch test, tc.;
: 2. data related to microhardness testing, fracture testing, Charpy V-notch test, tc.;
: 3. strai n curve at low temperature (to veri fy whether the strain rate is appropri ate fo r FeCrAI); and
: 3. strain curve at low temperature (to veri fy whether the strain rate is appropriate fo r FeCrAI); and
: 4. a temperature range to maintain th e integrity of the claddi ng.
: 4. a temperature range to maintain the integrity of the claddi ng.
The appli cati on contain s a requirement fo r the Young's Modulu s in Attachment 2 Table 2-5 (a lso repeated in A tt ac hm e nt ~ Tabl e 1-2) whi ch requires a minim um Modu lus of Elasti city for the G F FeCrAI materi al to be used. Th e app licant stated that th e lower temperature of the HA C is -40°C so that was the temperature th at th e test was perfo rm ed to bound th e necessary temperature range of operation. A Stress-Strain curve fo r th e GNF FeCrAI materi al at -40°C is provid e in Attachm ent 3 Figure 2-1 .
The application contains a requirement for the Young's Modulus in Attachment 2 Table 2-5 (also repeated in A tt ac hm e nt
The Regul atory Guide 7. 11 requi rements are based off materia l that is 0.025 inch es and thi cker depend ing on th e catego ry class ifi cation. The fu el cladding wall thickness is below 0.025 inches fo r thi s a pl icati on. The appli cant stated th at the thin claddi ng wall provides an additional margin against brittl e fracture in the materi al relati e to the Regulatory Guide 7. 11 req uirements because th e stress states wo uld be geometri ca lly forced to be in pl ane stress loading which has a higher fracture toughness than the pl ane-stra in loading.
~ Table 1-2) which requires a minim um Modu lus of Elasticity for the G F FeCrAI material to be used. The applicant stated that the lower temperature of the HAC is -40°C so that was the temperature that the test was performed to bound the necessary temperature range of operation. A Stress-Strain curve fo r the GNF FeCrAI material at -40°C is provide in Attachment 3 Figure 2-1.
Creep Model Eva luation The staff noted th at it may have questions related to the fo ll ow ing topi cs:
The Regulatory Guide 7. 11 requi rements are based off material that is 0.025 inches and thicker depending on the category classification. The fuel cladding wall thickness is below 0.025 inches for this a pl ication. The applicant stated that the thin claddi ng wall provides an additional margin against brittle fracture in the material relati e to the Regulatory Guide 7. 11 requirements because the stress states would be geometrically forced to be in plane stress loading which has a higher fracture toughness than the plane-strain loading.
Creep Model Evaluation The staff noted that it may have questions related to the fo llowing topics:
I. bases for the allowable hoop stress of 65.2 mega pascals (MPa);
I. bases for the allowable hoop stress of 65.2 mega pascals (MPa);
: 2. reference and j ustifi cation of the generalized creep equati on;
: 2. reference and j ustification of the generalized creep equation;
: 3. so me in consistencies with units (e.g., kil o Jo ul e per mol (kJ/mol) versus kil o Joul e per Kelvin mol (kJ /K*km ol)] needs to be rev ised;
: 3. some inconsistencies with units (e.g., kilo Joule per mol (kJ/mol) versus kilo Joule per Kelvin mol (kJ/K *kmol)] needs to be revised;
: 4. demonstrate that the I0% creep stra in li mit is conservative and prov ide th e PeC rA I stress-strain curve at th e hi gh temperatures; and
: 4. demonstrate that the I 0% creep strain limit is conservative and provide the PeCrA I stress-strain curve at the high temperatures; and
: 5. discuss ion about how the hypotheti ca l acc ident condition therm al tests and analys is co nsider th e damage fro m other hypoth etica l acc ident condition tests (e.g., drop, impact). The staff asked simil ar questi ons in the recent rev ision to the Mode l No. RAJ-II (Ce11ificate of Comp liance, Rev ision 1 1) .
: 5. discussion about how the hypothetical accident condition thermal tests and analysis consider the damage from other hypothetical accident condition tests (e.g., drop, impact). The staff asked similar questions in the recent revision to the Model No. RAJ-I I (Ce11ificate of Compliance, Revision 11 ).
At the end of the meeting th e appli cant expressed interests on having additional phone ca ll s to di sc uss the staffs questi ons and a face-to-face meeting. Division of Spent Fuel Management staff and management noted that the app licant can also request a pu bli c 1
At the end of the meeting the applicant expressed interests on having additional phone calls to discuss the staffs questions and a face-to-face meeting. Division of Spent Fuel Management staff and management no 1ted that the applicant can also request a public meeting to have a detailed discussion of the staffs questions. The applicant al o requested that if a meeting were to be scheduled, having RC questions at least a week in advance would enhance the value of the meeting.
meeting to have a detailed discuss ion of the staffs questions. The app licant al o requested that if a meeting were to be schedul ed, hav ing RC questions at least a week in advance would enhance the va lue of th e meeting.
NRC FORM 699 (03-2013)
NRC FOR M 699 (03-2013)                                                                                                     Page 3 of         3}}
Page 3 of 3}}

Latest revision as of 10:29, 8 January 2025

9/18/2017, Conversation Record with J. Harrison Et Al. Conference Call to Discuss the Status of the Review of the Letter Authorization Request for the Model Number RAJ-II (CAC No. L25239), Non-Proprietary Information. Conversation Held on
ML17262A045
Person / Time
Site: 07109309
Issue date: 09/18/2017
From: Tae Ahn
Renewals and Materials Branch
To: Harrison J
Global Nuclear Fuel
Garcia-Santos N
Shared Package
ML17262A085 List:
References
Download: ML17262A045 (3)


Text

U.S. NUCLEAR REGULATORY COMMISSION NRC FORM 699

    • .,,..... ~.,.

(03-2013) f

~ d,**s DATE OF SIGNATURE

':/_!

'\\.,

.J."

CONVERSATION RECORD 1/f1(UJJIJ NAME OF PERSON(S) CONTACTED OR IN CONTACT WITH YOU James Harrison. et al.

E-MAIL ADDRESS james.harrison@ge.com ORGANIZATION Global Nuclear Fuel - Americas (GNF-A)

LICENSE NUMBER(S)

NA SUBJECT DOCKET NUMBER(S) 07109309 CONTROL NUMBER(S)

NA DATE OF CONTACT TYPE OF CONVERSATION 08/ 16/2017 TELEPHONE NUMBER (9 10) 620-1826 D

E-MAIL 0 TELEPHONE D

INCOMING 0 OUTGOING NON-PROPRI ETARY INFORMATIO ---8/ 16/2017, 10:00 AM CO FERENCE CALL TO DISCUSS THE STATUS OF THE REV IEW OF THE LETTER AUTHORIZATIO REQUEST FOR THE MODEL UM BER RAJ-II (CAC

0. L25239)

SUMMARY

Attendees:

NRC John McKi rgan Travis Tate Norma Garcia Santos Tae Ahn Andrew Barto Kim Yong Joseph Borowsky Caylee Kenny Daniel Forsyth Continue on Page 2 ACTION REQUIRED (IF ANY)

See ummary.

Continue on Page 3 GNF-A James Harrison Justin Lamy Christopher Kmiec James Fawcett Robert Rand Mine Yi lmaz Brian Eber Russ Fawcett NAME OF PERSON DOCUMENTING CONVERSATION Norma Garcia Santos, et al.

SIGNATURE NRC FORM 699 (03-2013)

Page 1 of 3

NRC FORM 699 (03-2013)

U.S. NUCLEAR REGULATORY COMMISSION CONVERSATION RECORD (continued)

SUMMARY

(Continued from page 1)

I On August 16, 2017, NRC and G F-A participated on a phone call to discuss status of the review of the letter authorization for the Model

o. RAJ-I I for transporting accident tolerant fuel (ATF) lead test assemblies (LT As), gain a common understanding about the licensing action requested, communicate challenges associated with the revieJ, and discuss a possible path forward to continue the review of the application. The fo llowing items summarize the discussion during the August 16 telephone call.

The staff started the meeting by going over the main aspects of the cover letter1submitted with the application to ensure that the staff and the applicant had a common understanding of the licensing actions being requested. The pa11icipants agreed on the fol lowing:

I. The licensing action request consisted of up to 16 ATF lead test rods inside of two G F2 fuel assemblies (a maximum of 8 ATF lead test rods per assembly) per package with a maximum of two packages per shipment.

2. The A TF rods may contain Type A fissile fuel and the G F2 fuel will contai n previously approved Type B quantity fuel.
3. The ATF will be transported in a Type B shipment.
4. The applicant is requesting one shipment per year from 2017 to 2019.

In terms of the number of A TF assemblies to be shipped per year, on the top of page 2 of the cover letter, the applicant mentioned that there would be maximum of 4 A TF lead tests assemblies per shipment. The statement on the top of page 2 of the cover letter seemed to be in agreement with page 3 of the cover letter in which the applicant stated (in proposed condition 4) that "There shall be a maximum of two RAJ-II packages on single truck, each containing a maximum of two LT As." On the propo ed condi tion 5, the applicant mentioned that "RAJ-II packages with G F A TF LT As shall commingle with other RAJ-II packages... " Therefore, it was not clear for the staff the maximum number of A TF FeCrA I rods per package and the number of packages that will be shipped at any given time on a truck, including GNF ATF L TAs. The applicant indicated that the following:

I. The maximum number of ATF rods in a package will be 16.

2. The maximum number of packages per truck (including the packages containing ATF L TAs) will be 13-14 packages.
3. The near term plan is to ship two RAJ-II packages containing ATF L TAs commingling with other packages containing GNF fuel.
4. The applicant requested the flexibility to ship GNF fuel with GNF fuel containing ATF FeCrAI rods.

The wording of the proposed Condition 4 was clear that a maximum of two packages could be loaded per truck. When one member of the applicant's organization mentioned that the condition did not preclude additional packages on a truck. another G F-A member rightly stated that the word ing could be improved to express the application's clear intention.

Based on the evaluation section of the cover letter, the staff asked ifthe applicant was relying on the cladding as the containment boundary or not, since the evaluation section mentions that the structural and thermal evaluations demonstrated that the G F FeCrA I fuel rods would not rupture. The applicant clarified that since the application Ii i1its FeCrA I fuel rods to Type A fissile content, the applicant is not relying on the cladding as the containment boundary, but as a barrier to maintai n the pellets in a safe geometry (i.e..

for criticality safety purposes). The applicant also indicated that it analyzed water entering into the pellet-cladd ing gap. The staff mentioned that a concern was failure of the cladding resulting in pellets getting out of the cladding and radioactive material reconfiguration. The applicant mentioned that ifthe cladding burst, the applicant does not have physical data to indicate that pellet migration outside of the rod is possible. The applicant pointed out that UREG/CR-1 458 and NU REG/CR-5892 document a I

transportation accident involving a shipment ofG F fuel assemblies (including a beyond design basis tire), which caused a breach of the cladding. These NUREGs concluded that there was no fuel or pellet migrati n outside of the fuel rod and that a criticality accident was not possible during the accident or after the tire. The applicant pointed out this was included in Section 6.6.2.2 of the Letter Authorization Request. The applicant pointed out that, currently, the structural and thermal analyses do not support migration of pellets outside of the cladding under hypothetical accident conditions. However, staff had comments/questions with the structural and thermal analyses provided. The discussion below includes the staffs initial comments and questions related to the application.

Materials Evaluation The staff pointed out that the FeCrAI material is a ferritic steel. Therefore, the ta ff indicated that the applicant should use Regulatory Guide 7. I I as mentioned in the pre-application meeting. The staff asked if the ssessment of the cladd ing integrity was based on the 9 meter drop test assuming zirconium material. The applicant responded that was correct. The staff also mentioned that Figure 2-1 of of the appl ication includes a strain curve at -20 F. The applicant tated that testing of the FeCrAI material was performed at a strain rate of[withheld per 10 CFR 2,390 (application)], to which the staff commented that it wa high in comparison of a conventional strain rate. The applicant indicated that the strain rate was based on the fo llowing:

NRC FORM 699 (03-2013)

Page 2 of 3

NRC FORM 699 (03-2013)

U.S. NUCLEAR REGULA TORY COMMISSION CONVERSATION RECORD (continued)

ACTION REQUIRED (Continued from page 1)

I. the duration of the impact of the RAJ-II package in previous drop tests of zirconium alloy;

2. the strain rate of the claddi ng is "controlled" by the package design (since the package design did not change, the applicant assumed that the strain rate did not change); and
3. the assumption that the design of the zirconium alloy and A TF LT A fuel bundle designs are similar for the limited number of FeCrAI rods in an ATF LTA.

The applicant did not perform physical drop tests with FeCrAI rods and assumed these were bounded by (or equi valent to) the testing performed with zirconium alloy rods. Therefore, the applicant's approach is to use the testing to certi fy the RAJ-II package fo r the ATF application.

The staff indicated that the strain rate may be acceptable, but the staff still needs information to determine whether there may be a localized effect related to the FeCrAI material. The applicant noted that the FeCrAI survi ved from a high strain rate tensile test without a fracture. The staff pointed out that the cladding of the A TF FeCrAI rod is very thin and the staff would need the fo l lowing:

I. confirm (from related literature data or testing) that the slope of stress-strain curve is higher fo r FeCrAI compared to that for zircaloy. (Otherwise, FeCrAI rods among zirconium alloy rods may be bulged out or broken during drop. Provide the stress-stra in curves for FeCrAI and zircaloy claddings so that a comparison can be made.)

2. data related to microhardness testing, fracture testing, Charpy V-notch test, tc.;
3. strain curve at low temperature (to veri fy whether the strain rate is appropriate fo r FeCrAI); and
4. a temperature range to maintain the integrity of the claddi ng.

The application contains a requirement for the Young's Modulus in Attachment 2 Table 2-5 (also repeated in A tt ac hm e nt

~ Table 1-2) which requires a minim um Modu lus of Elasticity for the G F FeCrAI material to be used. The applicant stated that the lower temperature of the HAC is -40°C so that was the temperature that the test was performed to bound the necessary temperature range of operation. A Stress-Strain curve fo r the GNF FeCrAI material at -40°C is provide in Attachment 3 Figure 2-1.

The Regulatory Guide 7. 11 requi rements are based off material that is 0.025 inches and thicker depending on the category classification. The fuel cladding wall thickness is below 0.025 inches for this a pl ication. The applicant stated that the thin claddi ng wall provides an additional margin against brittle fracture in the material relati e to the Regulatory Guide 7. 11 requirements because the stress states would be geometrically forced to be in plane stress loading which has a higher fracture toughness than the plane-strain loading.

Creep Model Evaluation The staff noted that it may have questions related to the fo llowing topics:

I. bases for the allowable hoop stress of 65.2 mega pascals (MPa);

2. reference and j ustification of the generalized creep equation;
3. some inconsistencies with units (e.g., kilo Joule per mol (kJ/mol) versus kilo Joule per Kelvin mol (kJ/K *kmol)] needs to be revised;
4. demonstrate that the I 0% creep strain limit is conservative and provide the PeCrA I stress-strain curve at the high temperatures; and
5. discussion about how the hypothetical accident condition thermal tests and analysis consider the damage from other hypothetical accident condition tests (e.g., drop, impact). The staff asked similar questions in the recent revision to the Model No. RAJ-I I (Ce11ificate of Compliance, Revision 11 ).

At the end of the meeting the applicant expressed interests on having additional phone calls to discuss the staffs questions and a face-to-face meeting. Division of Spent Fuel Management staff and management no 1ted that the applicant can also request a public meeting to have a detailed discussion of the staffs questions. The applicant al o requested that if a meeting were to be scheduled, having RC questions at least a week in advance would enhance the value of the meeting.

NRC FORM 699 (03-2013)

Page 3 of 3