Bulletin 79-17: Revision 1, Pipe Cracks in Stagnant Borated Water Systems at PWR Plants
SSINS No.: 6820 Accession No.: 7908220137 UNITED STATES NUCLEAR REGULATORY COMMISSION OFFICE OF INSPECTION AND ENFORCEMENT WASHINGTON, D.C. 20555 October 29, 1979 IE Bulletin No. 79-17 Revision 1 PIPE CRACKS IN STAGNANT BORATED WATER SYSTEMS AT PWR PLANTS Description of Circumstances: IE Bulletin No. 79-17, issued July 26, 1979, provided information on R1 the cracking experienced to date in safety-related stainless steel R1 piping systems at PWR plants. Certain actions were required of all PWR R1 facilities with an operating license within a specified 90-day time R1 frame. R1 After several discussions with licensee owner group representatives and R1 inspection agencies it has been determined that the requirements of R1 Item 2, particularly the ultrasonic examination, may be impractical R1 because of unavailability of qualified personnel in certain cases to R1 complete the inspections within the time specified by the Bulletin. To R1 alleviate this situation and allow licensees the resources of improved R1 ultrasonic inspection capabilities, a time extension and clarifications R1 to the bulletin have been made. These are referenced to the affected R1 items of the original bulletin. R1 During the period of November 1974 to February 1977 a number of cracking incidents have been experienced in safety-related stainless steel piping systems and portions of systems which contain oxygenated, stagnant or essentially stagnant borated water. Metallurgical investigations revealed these cracks occurred in the weld heat affected zone of 8-inch to 10-inch type 304 material (schedule 10 and 40), initiating on the piping I.D. surface and propagating in either an intergranular or transgranular mode typical of Stress Corrosion Cracking. Analysis indicated the probable corrodents to be chloride and oxygen contamination in the affected systems. Plants affected up to this time were Arkansas Nuclear Unit 1, R. E. Ginna, H. B. Robinson Unit 2, Crystal River Unit 3, San Onofre Unit 1, and Surry Units 1 and 2. The NRC issued Circular No. 76-06 (copy enclosed) in view of the apparent generic nature of the problem. During the refueling outage of Three Mile Island Unit l which began in February of this year, visual inspections disclosed five (5) through-wall cracks at welds in the spent fuel cooling system piping and one (1) at a weld in the decay heat removal system. These cracks were found as a result of local boric acid buildup and later confirmed by liquid penetrant tests. This initial identification of cracking was reported to the NRC in a Licensee Event Report (LER) dated May 16, 1979. A preliminary metallurgical analysis was performed by the licensee on a section of cracked and leaking weld joint from the spent fuel-cooling system. R1 - Identifies those additions or revision to IE Bulletin No. 79-17 . IE Bulletin No. 79-17 October 29, 1979 Revision 1 Page 2 of 5 The conclusion of this analysis was that cracking was due to Intergranular Stress Corrosion Cracking (IGSCC) originating on the pipe I.D. The cracking was localized to the heat affected zone where the type 304 stainless steel is sensitized (precipitated carbides) during welding. In addition to the main through-wall crack, incipient cracks were observed at several locations in the weld heat affected zone including the weld root fusion area where a miniscule lack of fusion had occurred. The stresses responsible for cracking are believed to be primarily residual welding stresses in as much as the calculated applied stresses were found to be less than code design limits. There is no conclusive evidence at this time to identify those aggressive chemical species which promoted this IGSCC attack. Further analytical efforts in this area and on other system welds are being pursued. Based on the above analysis and visual leaks, the licensee initiated a broad based ultrasonic examination of potentially affected systems utilizing special techniques. The systems examined included the spent fuel, decay heat removal, makeup and purification, and reactor building spray systems which contain stagnant or intermittently stagnant, oxygenated boric acid environments. These systems range from 2 1/2-inch (HPCI) to 24-inch (borated water storage tank suction), are type 304 stainless steel, schedule 160 to schedule 40 thickness - respectively. Results of these examinations were reported to the NRC on June 30, 1979 as an update to the May 16, 1979 LER. The ultrasonic inspection as of July 10, 1979 has identified 206 welds out of 946 inspected having UT indications characteristic of cracking randomly distributed throughout the aforementioned sizes (24"-14"-12 If -10 11 811 2" etc.) of the above systems. It is important to note that six of the crack indications were reportedly found in 2 1/2-inch diameter pipe of the R1 high pressure injection lines inside containment. These lines are attached to the main coolant pipe and are nonisolable from the main coolant system except for check valves. All of the six crack indications were found in R1 two high pressure injection lines containing stagnated borated water. No R1 crack indications were found in high pressure injection lines which were R1 utilized for makeup operations. R1 Recent data reported from Three Mile Island Unit 1 indicates that the R1 extent of IGSCC experienced in stainless steel piping at that facility R1 may be more limited than originally stated above. Of the 1902 total R1 welds originally inspected 350 contained U.T. indications which required R1 further evaluation. These 350 welds have been reinspected with a second R1 U.T. procedure which pur- portedly provides better discrimination R1 between actual cracks and geometrical reflectors. Hence, the Licensee R1 now estimates that approximately 38 of the 350 welds contain IGSCC and R1 the remaining welds, including those in high pressure injection and R1 decay heat lines, contain only geometrical reflectors. Further R1 metallurgical analysis of these welds is required to verify the adequacy R1 of the U.T. procedures and to determine the nature of the cracking. R1 . IE Bulletin No. 79-17 October 29, 1979 Revision 1 Page 3 of 5 For All Pressurized Water Reactor Facilities with an Operating License: 1. Conduct a review of safety related stainless steel piping systems within 30 days of the date of this Bulletin (July 26, 1979) to identify R1 systems and portions of systems which contain stagnant oxygenated borated water. These systems typically include ECCS, decay/residual heat removal, spent fuel pool cooling, containment spray and borated water storage tank (BWST- RWST) piping. For this review, the term "stagnant, oxygenated borated water R1 systems" refers to those systems serving as engineered safeguards R1 having no normal operating functions and contain essentially air R1 saturated borated water where dynamic flow conditions do not exist R1 on a continuous basis. However, these systems must be maintained R1 ready for actuation during normal power operations. Where your R1 definition for stagnant differed from the one given above please R1 supplement your previous response within 30 days of this Bulletin R1 revision. R1 (a) Provide the extent and dates of the hydrotests, visual and volumetric examinations performed per 10 CFR 50.55a(g) (Re: IE Circular No. 76-06 enclosed) of identified systems. Include a description of the nondestructive examination procedures, procedure qualifications and acceptance criteria, the sampling plan, results of the examinations and any related corrective actions taken. (b) Provide a description of water chemistry controls, summary of chemistry data, any design changes and/or actions taken, such as periodic flushing or recirculation procedures to maintain required water chemistry with respect to pH, B, C1-, F-, 02. (c) Describe the preservice NDE performed on the weld joints of identified systems. The description is to include the applicable ASME Code sections and supplements (addenda) that were followed, and the acceptance criterion. (d) Facilities having previously experienced cracking in identified systems, Item 1, are requested to identify (list) the new materials utilized in repair or replacement on a system-by-system basis. If a report of this information and that requested above has been previously submitted to the NRC, please reference the specific report(s) in response to this Bulletin. 2. All operating PWR facilities shall complete the following inspectionR1 on the stagnant piping systems identified in Item 1 at the R1 earliest practical date but not later than twelve months from the R1 date of this bulletin revision. Facilities which have been R1 inspected in accordance with the original Bulletin, Sections 2(a) R1 and 2(b) satisfy the requirements of this Revision. R1 . IE Bulletin No. 79-17 October 29, 1979 Revision 1 Page 4 of 5 (a) Until the examination required by 2(b) is completed a visual R1 examination shall be made of all normally accessible welds of R1 the engineered safety systems at least monthly to verify R1 continued systems integrity. Similarly, the normally R1 inaccessible welds, shall be visually examined during each R1 cold shutdown. R1 The relevant provisions of Article IWA 2000 of ASME Code R1 Section XI and Article 9 of Section V are considered R1 appropriate and an acceptable basis for this examination. For R1 insulated piping, the examination may be conducted without the R1 removal of insulation. During the examination particular R1 attention shall be given to both insulated and noninsulated R1 piping for evidence of leakage and/or boric acid residues R1 which may have accumulated during the service period preceding R1 the examination. Where evidence of leakage and/or boric acid R1 residues are detected at locations, other than those normally R1 expected, (such as valve stems, pump seals, etc.) the piping R1 shall be cleaned (including insulation removal) to the extent R1 necessary to permit further evaluation of the piping condition.R1 In cases where piping conditions observed are not sufficiently R1 definitive, additional inspections (i.e., surface and/or R1 volumetric) shall be conducted in accordance with Item 2.(b). R1 (b) An ultrasonic examination shall be performed on a R1 representative sample of circumferential welds in normally R1 accessible* portions of systems identified by 1 above. It is R1 intended that the sample number of welds selected for R1 examination include all pipe diameters within the 2 1/2- inch R1 to 24-inch range with no less than a 10 percent sampling being R1 taken. The approach to selection of the sample shall be based R1 on the following criteria: R1 (1) Pipe Material Chemistry - As a first consideration, those R1 welds in austenitic stainless steel piping (Types 304 and R1 316 ss) having 0.05 to 0.08 wt. % carbon content based on R1 available material certification reports. R1 (2) Pipe Size and Thickness - An unbiased mixture of pipe R1 diameters and actual wall thickness distributed among R1 both horizontal and vertical piping runs shall be includedR1 in the sample. R1 (3) System Importance - The sample welds shall focus the R1 examination primarily on those systems required to R1 function in the emergency core cooling mode and secondly, R1 on the containment spray system. R1 The U.T. examination sample may be focused on noninsulated R1 piping runs. The evaluation shall cover the weld root fusion R1 zone and a minimum of 112 inch on the pipe I.D. (counterbore R1 area) on each side of the weld. The procedure(s) for this R1 examination shall be essentially R1 *Normal accessible refers to those areas of the plant which can be R1 entered during reactor operation. R1 . IE Bulletin No. 79-17 October 29, 1979 Revision 1 Page 5 of 5 in accordance with ASME Code Section XI, Appendix III and R1 Supplements of the 1975 Winter Addenda, except all signal R1 responses shall be evaluated as to the nature of the R1 reflectors. Other alternative examination methods, combination R1 of methods, or newly developed techniques may be used provided R1 the procedure(s) have a proven capability of detecting stress R1 corrosion cracking in austenitic stainless steel piping. R1 For welds of systems included in the sample having pipe wall R1 thickness of 0.250 inches and below, visual and liquid R1 penetrant surface examination may be used in lieu of R1 ultrasonic examination. R1 (c) If cracking is identified during Item 2(a) and 2(b) R1 examinations, all welds in the affected system, shall be R1 subject to examination and repair considerations. In addition, R1 the sample welds to be examined on the remaining normally R1 accessible noninsulated piping shall be increased to 25 R1 percent using the criteria outlined in paragraph 2(b). In the R1 event that cracking is identified in other systems at this R1 sampling level, all accessible and inaccessible welds of the R1 systems identified in item 1 shall be subject to examination. R1 3. Identification of cracking in one unit of a multi-unit facility which causes safety-related systems to be inoperable shall require immediate examination of accessible portions of other similar units which have not been inspected under the ISI provisions of 10 CFR 50.55a(g) unless justification for continued operation is provided. 4. Any cracking identified shall be reported to the Director of the appropriate NRC Regional Office within 24 hours of identification followed by a 14 day written report. 5. Provide a written report to the Director of the appropriate NRC R1 Regional Office within 30 days of the date of this bulletin R1 revision addressing the results of your review if required by Item R1 1. Provide a schedule of your inspection plans in response to Item R1 2(b) in those cases in which the inspections have not been R1 completed. R1 6. Provide a written report to the Director of the appropriate NRC R1 Regional Office within 30 days of the date of completion of the R1 examinations required by Items 2(a) , 2(b), or 2(c) describing the R1 inspection results and any corrective actions taken. R1 7. Copies of the reports required by Items above shall also be provided to the Director, Division of Operating Reactors, Office of Inspection and Enforcement, Washington, D.C. 20555. Approved by GAO, 8180225 (R0072), clearance expires 7/31/80. Approval was given under a blanket clearance specifically for identified generic problems. Enclosures: 1. IE Circular No. 76-06 2. List of IE Bulletins Issued in the Last Six Months
Page Last Reviewed/Updated Tuesday, March 09, 2021
Page Last Reviewed/Updated Tuesday, March 09, 2021