Abstract
This paper is mainly based on Det Norske Veritas (DNV) Rules of January 1996, Part 4, Chapter 2, Section 4 -- Gas Turbines, and is intended to at least open the dialogue between the gas turbine industry and DNV. There is a need for design approval and manufacturing inspection process systematic and testing procedures to match the standards of the industry. The role and expectations imposed by owners, the authorities, insurance agencies, etc. needs to be understood. These expectations often have technical implications that may go against the normal procedures and practices of the gas turbine industry, and could have cost impacts. The question of DNV acceptance criteria has been asked many times, with respect to gas turbines. DNV relies a great deal on the manufacturer to provide the basis for the design criteria, manufacturing, and testing criteria of the gas turbine. However, DNV adds its knowledge and experience to this, and checks that the documentation presented by the manufacturer is technically acceptable. Generally, a high level of the state-of-the-art theoretical documentation is required to support the design of modern gas turbines. A proper understanding of the rule philosophy of DNV could prove to be useful in developing better gasmore » turbines systems, which fulfill the rule requirements, and at the same time save resources such as money and time. It is important for gas turbine manufacturers to understand the intent of the rules since it is the intent that needs to be fulfilled. Further, the rules do have the principle of equivalence, which means that there is full freedom in how one fulfills the intent of the rules, as long as DNV accepts the solution.« less
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