ENS 51057
ENS Event | |
|---|---|
19:15 May 7, 2015 | |
| Title | Inadvertent Introduction of Alcohol Into the Protected Area |
| Event Description | On May 7, 2015, at 1515 hours0.0175 days <br />0.421 hours <br />0.0025 weeks <br />5.764575e-4 months <br />, B&W NOG-L Security management determined alcohol had been inadvertently introduced into the Protected Area through the shipping and receiving process. 10 CFR 26.719(b)(1) requires that the licensee report to the Operations Center within 24 hours2.777778e-4 days <br />0.00667 hours <br />3.968254e-5 weeks <br />9.132e-6 months <br /> of discovery, the use, sale distribution, possession, or presence of illegal drugs, or the consumption or presence of alcohol within a protected area. The item in question was a six pack of bottled beer which was part of a box of promotional items personally delivered by a sales representative from Graybar Electric.
The B&W employee addressee first became aware of the package through an email and voicemail left by the salesman advising of a package delivery and indicating the presence of alcohol in the package. The B&W employee immediately contacted Shipping and Receiving management at approximately 1300 hrs. in an effort to intercept the package before delivery; however the package had already been processed into the Protected Area. Shipping and Receiving Management contacted the delivery driver via radio and instructed the driver not to deliver the package. The delivery driver separated the package from the delivery items. The package was removed from the Protected Area and returned to the Shipping and Receiving Manager located in the Owner Controlled Area at approximately 1500 hrs. The package was returned unopened. B&W Security Management was notified of the incident at approximately 1515 hrs. All items processed through Shipping and Receiving undergo security x-ray inspection. Containers of liquid are commonly processed items and therefore did not create an elevated level of suspicion which would have led to the officers conducting a visual inspection. B&W NOG-L Management will conduct an evaluation of the incident to include root cause analysis and corrective actions to prevent recurrence. The NRC Resident Inspector has been informed. |
| Where | |
|---|---|
| B&W Nuclear Operating Group, Inc. Lynchburg, Virginia (NRC Region 2) | |
| License number: | SNM-42 |
| Reporting | |
| 10 CFR 26.719, FFD Reporting Requirements | |
| Time - Person (Reporting Time:+15.78 h0.658 days <br />0.0939 weeks <br />0.0216 months <br />) | |
| Opened: | Tony England 11:02 May 8, 2015 |
| NRC Officer: | Charles Teal |
| Last Updated: | May 8, 2015 |
| 51057 - NRC Website | |
B&W Nuclear Operating Group, Inc. with 10 CFR 26.719, FFD Reporting requirements | |
WEEKMONTHYEARENS 518532016-04-06T18:15:0006 April 2016 18:15:00
[Table view]10 CFR 26.719, FFD Reporting requirements Fitness for Duty ENS 514712015-10-15T12:30:00015 October 2015 12:30:00 10 CFR 26.719, FFD Reporting requirements Alcohol Discovered Inside the Protected Area ENS 510572015-05-07T19:15:0007 May 2015 19:15:00 10 CFR 26.719, FFD Reporting requirements Inadvertent Introduction of Alcohol Into the Protected Area ENS 481422012-07-30T10:43:00030 July 2012 10:43:00 10 CFR 26.719, FFD Reporting requirements Failed Pre-Access Fitness for Duty Test ENS 472482011-09-07T04:00:0007 September 2011 04:00:00 10 CFR 26.719, FFD Reporting requirements Fitness for Duty Report Related to Introduction of Alcohol Into Protected Area ENS 455692009-12-15T12:55:00015 December 2009 12:55:00 10 CFR 26.719, FFD Reporting requirements Fitness for Duty - Supervisor Tested Positive for Alcohol ENS 450782009-05-18T18:00:00018 May 2009 18:00:00 10 CFR 26.719, FFD Reporting requirements False Positive Error on a Blind Sample 2016-04-06T18:15:00 | |