IR 05000275/1996001

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Ack Receipt of Informing NRC of Steps Taken to Correct Violations Noted in Insp Repts 50-275/96-01 & 50-323/96-01 on 960411
ML16343A402
Person / Time
Site: Diablo Canyon  
Issue date: 07/09/1996
From: Gwynn T
NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION IV)
To: Rueger G
PACIFIC GAS & ELECTRIC CO.
References
EA-96-123, NUDOCS 9607120035
Download: ML16343A402 (24)


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I EA 96'-123 UNITED STATES NUCLEAR REGULATORY COMMISSION

REGION IV

611 RYAN PLAZA ORIVE, SUITE 400 ARLINGTON,TEXAS 76011 8064 JUL - 9 $96 Gregory H. Rueger, Senior Vice President and General Hanager Nuclear Power Generation Bus. Unit Pacific Gas and Electric Company Nuclear Power Generation, B14A 77 Beale Street.

Room 1451 P.O.

Box 770000 San Francisco, Cali fornia 94177 SUBJECT:

NRC INSPECTION REPORT 50-275/96-,01:

50-323/96-01

'ear Hr. Rueger:

Thank you for your letter of Hay 10, 1996, in response to our Inspection Report 50-275/96-01:

50-323/96-01.

dated April 11, 1996.

Our subsequent notice of violation dated June

~ 1996, did not require a response.

We have reviewed your reply and find it responsive to the concerns raised in our notice of violation.

We will review the implementation of your corrective actions during a future inspection to determine that full compliance has been achieved and will be maintained.

Sine rely Thomas P.

Gwynn, Dir tor Division of Rea to afet Docket Nos.:

50-275 50-323 License Nos.:

DPR-80 DPR-82 9607120035 960709 PDR ADOCK 05000275

PDR

Pacific Gas and Electric Company

-2-CC:

Dr. Richard Ferguson Energy Chair Sierra Club California 1100 11th Street.

Suite 311 Sacramento.

California 95814 Hs.

Nancy Culver San Luis Obispo Mothers for Peace P.O.

Box 164 Pismo Beach. California 93448 Hs. Jacquelyn C.

Wheeler P.O.

Box 164 Pismo Beach, California 93448 Managing Editor The County Telegram Tribune 1321 Johnson Avenue P.O.

Box 112 San Luis Obispo. California 93406 Chairman San Luis Obispo County Board of Supervisors Room 370 County Government Center San Luis Obispo. California 93408 Hr. Truman BurnshHr

. Robert Kinosian California Public Utilities Commission 505 Van Ness.

Rm. 4102 San Francisco, Cali fornia 94102 Robert R. Wellington, Esq.

Legal Counsel Diablo Canyon Independent Safety Committee 857 Cass Street.

Suite D

Monterey, California 93940

, Hr. Steve Hsu Radiologic Health Branch State Department of Health Services P.O.

Box 942732 Sacramento, California 94234

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Pacific Gas and Electric Company i-3-Peter H. Kaufman, Deputy Attorney General State of California 110 West A Street.

Suite 700 San Diego. Cali fornia 92101 Christopher J.

Warner, Esq.

Pacific Gas and Electric Company P.O.

Box 7442 San Francisco, California 94120 Warren H. Fujimoto, Vice President and Plant Manager Pacific Gas and Electric Company Diablo Canyon Power Plant P.O.

Box 56 Avila Beach, California 93424

Pacific Gas and Electric Company bcc to DMB ( IE04)

s bcc distrib. by RIV:

L. J. Callan G.

F. Sanborn, EO W. L. Brown, RC DRP Director OE:EA File. MS:7-H-5 Diablo Canyon Resident Inspector Senior Project Inspector (DRP/E, WCFO)

Leah Tremper (OC/LFDCB, MS:

TWFN 9E10)

DRS/PSB Security File (Goines)

RIV Docket File RIV Security File.

Elaine Koup (NRR/DRPM/SGB, MS: 9D24)

MIS System DRS AI 96-G-0076 DOCUMENT NAME:

G:tDRSLTRS'tDC601AK.DWS To receive copy of document, tndlcate In box: "C" ~ Copy without enclosures

"E" Copy wit enctosures "N"= No copy SS:

PSB E

C:PSB EO D:DR DWSchaefer

96 BMMurra

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Pacific Gas and Electric Company bcc to DMB (IE04)

bcc distrib.

by RIV:

L. J. Callan G.

F. Sanborn, EO W. L. Brown, RC DRP Director OE:EA File, MS:7-H-5 Diablo Canyon Resident Inspector Senior Project Inspector (DRP/E, WCFO)

Leah Tremper (OC/LFDCB, MS:

TWFN 9E10)

DRS/PSB Security File (Goines)

RIV Docket File RIV Security File Elaine Koup (NRR/DRPM/SGB, MS: 9D24)

MIS System DRS AI 96-6-0076 DOCUMENT NAME:

G:NDRSLTRSNDC601AK.DWS To receive copy of document, indicate In box: "C" = Copy without enciosures

"E" "Copy wit enctosures "N" = No copy SS:

PSB E

C:PSB EO D:DR DWSchaefer

96 BMMurra

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Pacific Gas and Electric Company DISTRIBUTION:

PDR SECY JTaylor, EDO (0-17G21)

LChandler, OGC (0-15B18)

WRussel1, NRR (0-12G18)

SBloom, NRR Enforcement Coordinators, LNorton, OIG (T-5D28)

EJordan, AEOD (T-4D18)

OE:RRosano (0-7H5)

NUDOCS RIV DISTRIBUTION:

Hard copies:

RIV files GSanborn/EA file MIS Coordinator DRS Files E-mail copies:

LJCallan RWise MHammond DKunihiro LWilliamson AHowell KPerkins KBrockman DSchaefer LPDR CA JMilhoan, DEDR (0-17G21)

JGoldberg, OGC (0-15B18)

RZimmerman, NRR/ADP (0-12G18)

C, Central Fi.les RI, RII, RIII JGilliland, PA 0-2G4)

GCaputo, OI (0-3E4)

LTremper, OC/LFDCB (T-9E10)

OE:EA (2) (0-7H5)

Elaine Koup, NRR/DRPM/PSGB(0-9D24)

SJCollins BHenderson CHackney WBrown JDyer HWong TPGwynn BMurray MTschiltz, SRI, Diablo Canyon Document Name:

G:iEALLDRAFT'iEA96123.DFT To receive co f document, indicate inbox: "C" ~ Copy without enclosures

"E" ~ Copy with enclosures

"N" ~ No copy EO C:PSB

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UNITEDSTATES NUCLEAR REGULATORY COMMISSION

REGION IV

811 I1vAN PLAzA DnIvE, SUITE 4oo

SUBJECT:

NOTICE OF VIOLATION (NRC INSPECTION REPORT 50-275/96-01; 50-323/96-01)

Dear Hr. Rueger:

This is in reference to your letter dated Hay 10, 1996, in which you submitted Pacific Gas

& Electric's (PG&E) response to an apparent violation described in the referenced NRC inspection report, issued April 11, 1996.

As described in detail in the inspection report, the apparent violation involved a failure on the part oF PG&E to consider all pertinent background information before granting a contract employee unescorted access to the Diablo Canyon Nuclear Power Plant (Diablo Canyon).

PG&E discovered and reported this incident to the NRC in accordance with 10 CFR 73, Appendix G, paragraph I(b), on October 11, 1995, and in Licensee Event Report 95-S02-00, dated November 9, 1995.

The letter transmitting the April 11, 1996 inspection report stated that the NRC was considering escalated enforcement action for this apparent violation and requested a written response from PG&E prior to an enForcement decision being made.'G&E's Hay 10, 1996, response acknowledged that a violation occurred, but stated that PG&E did not believe the violation should be subject to escalated enforcement action in light oF similar violations and NRC actions in other cases.

PG&E cited NRC enforcement actions against Philadelphia Electric (Limerick), Georgia Power (Vogtle),

and Duke Power (Catawba, HcGuire and Oconee)

in support of its position.

In addition, PG&E stated that the violation at Diablo Canyon was:

1) the result of inadequate communication within the contractor's access control group and between the contractor and PG&E; 2) self-identified, isolated and of low safety significance; and 3)

promptly and comprehensively corrected.

The corrective actions described by PG&E included suspending the individual's access; directing the contractor (Westinghouse)

to review access information for all of its employees with unescorted access to Diablo Canyon; suspending the contractor's access

'he NRC's letter gave PG&E the option of responding in writing or requesting a predecisional enforcement conference.

PG&E elected.to respond in p 0 writing.

Im< RI.E CEHEB ~V I

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Pacific Gas and Electric Company authorization program pending satisfactory resolution of identified discrepancies; auditing the contractor's access authorization program; and revising Diablo Canyon procedures relevant to this incident.

Based on the NRC's review of its inspection findings and the information provided by PG&E in response to the apparent violation, the NRC has determined that a violation of access authorization requirements occurred.

The violation is described in the enclosed Notice of Violation.

Consistent with past practice, and in accordance with the "General Statement of Policy and Procedure for NRC Enforcement Actions," (Enforcement Policy),

NUREG-1600, this violation has been classified at Severity Level III because it resulted in granting unescorted access to an individual who would not have been granted unescorted access at that time had all pertinent background information been considered (Enforcement Policy, Supplement III).

As to your position that the violation should not be subject to escalated enforcement action in light of NRC enforcement actions at other facilities, the NRC has reviewed the specific cases that PG&E cited and has determined that escalated action in the Diablo Canyon case, i.e.,

the issuance of a Severity Level III violation, is proper.

The other actions that PG&E cited all involved violations of access authorization requirements, but lacked a

significant factor present in the Diablo Canyon case, i.e., that derogatory information about an individual had been developed and was available, and the individual would not have been granted unescorted access had the derogatory information been considered.

In accordance with the Enforcement Policy, a civil penalty (base value,

$ 50,000)

is considered for a Severity Level III violation.

Because your facility has been the subject of escalated enforcement within the last

years,'he NRC considered whether credit was warranted for Identification and Corrective Action in accordance with the civil penalty assessment process in Section VI.B.2 of the Enforcement Policy.

As discussed in the NRC's inspection report, PG&E's contractor identified this problem, resulting in PG&E taking prompt action to correct it.

In addition, the NRC views PG&E's corrective actions, described above, as both prompt and comprehensive.

Therefore, to encourage prompt identification and prompt and comprehensive correction of violations, I have been authorized, after consultation with the Director, Office of Enforcement, not to propose a civil penalty for the Severity Level III violation described in the enclosed Notice of Violation.

The NRC has concluded that information regarding the reason for the violation, the corrective actions taken and planned to correct the violation and prevent recurrence, and the date when full compliance was achieved, is already adequately addressed on the docket in your letter dated Hay 10, 1996 (PG&E

'n January 25, 1996, PG&E was fined

$50,000 for a Severity Level III problem related to an October 25, 1995 electrical transformer fire and loss of off-site power supplies to Unit 1.

Pacific Gas and Electric Company Letter OCL-96-103).

Therefore PG8E is not required to respond to this Notice of Violation unless the description in its May 10, 1996 letter does not accurately reflect its corrective actions or its position.

In that case, or if you choose to respond, you should follow the instructions in the enclosed Notice of Violation.

In accordance with 10 CFR 2.790 of the NRC's "Rules of Practice,"

a copy of this letter, its enclosure, and any response you choose to submit will be placed in the NRC Public Oocument Room (PDR).

Sincerely, L.

Re

. Callan onal Administrator Dockets:

50-275; 50-323 Licenses:

DPR-80; OPR-82 Enclosure:

Notice of Violation cc w/enclosure:

Sierra Club California ATTN:

Or. Richard Ferguson Energy Chair 1100 11th Street, Suite 311 Sacramento, California 95814 San Luis Obispo Mothers for Peace ATTN:

Ms. Nancy Culver P.O.

Box 164 Pismo Beach, California 93448 Ms. Jacquelyn C. Wheeler P.O.

Box 164 Pismo Beach, California 93448 The County Telegram Tribune ATTN:

Managing Editor 1321 Johnson Avenue P.O.

Box 112 San Luis Obispo, California 93406 San Luis Obispo County Board of Supervisors ATTN:

Chairman Room 370 County Government Center San Luis Obispo, California 93408

Pacific Gas and Electric Company California Public Utilities Commission ATTN:

Mr. Truman Burns(Mr. Robert Kinosian 505 Van Ness, Rm.

4102 San Francisco, California 94102 Diablo Canyon Independent Safety Committee Attn:

Robert R. Wellington, Esq.

Legal Counsel 857 Cass Street, Suite D

Monterey, California 93940 Radiologic Health Branch State Department of Health Services ATTN:

Mr. Steve Hsu P.O.

Box 942732 Sacramento, California 94234 State of California ATTN:

Mr. Peter H. Kaufman Deputy Attorney General 110 West A Street, Suite 700 San Diego, California 92101 Pacific Gas and Electric Company ATTN:

Christopher J.

Warner, Esq.

P.O.

Box 7442 San Francisco, California 94120 Pacific Gas and Electric Company Diablo Canyon Power Plant ATTN:

Warren H. Fujimoto, Vice President and Plant Manager P.O.

Box 56 Avila Beach, California 93424

t, V

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.NOTICE OF VIOLATION Pacific Gas 5 Electric Company Diablo Canyon Nuclear Power Plant Dockets 50-275; 50-323 Licenses:

DPR-80; DPR-82 EA 96-123 During an NRC inspection conducted January 8 through March 29, 1996, a

violation of NRC requirements was identified.

In accordance with the "General Statement of Policy and Procedure for NRC Enforcement Actions," NUREG-1600, the violation is listed below:

License Condition 2.E of the licensee's facility operating licenses require, in part, that the licensee fully implement and maintain in effect all provisions of the Commission approved Physical Security Plan, including amendments made pursuant to the authority of 10 CFR 50.54(p).

Paragraph 1.4.

1 (Personnel Reliability) of the licensee's Physical Security Plan, Revision 18, dated November 2, 1994, states that

"Personnel screening for unescorted security access at the Diablo Canyon Power Plant meets the requirements of 10 CFR 73.57, and all elements of Regulatory Guide 5.66 (June 1991),

Access Authorization Program for Nuclear Plants, have been implemented to satisfy the requirements of

CFR 73.56."

i

CFR 73.56(b) requires in part, that the licensee establish and maintain an access authorization program with the objective of providing high assurance that individuals granted unescorted access authorization are trustworthy and reliable, and do not constitute an unreasonable risk to public health and safety, including the potential to commit radiological sabotage.

This program must include a background investigation designed to identify past actions which are indicative of an individual's future reliability within a protected or vital area of a nuclear power reactor, including development of information concerning an individual's employment and credit history.

The licensee shall base its decision to grant unescorted access authorization on review and evaluation of all pertinent information developed.

CFR 73.56(a)(4)

requires in part, that if a licensee accepts an access authorization program used by its contractor, the licensee is responsible for granting, denying, or revoking unescorted site access authorization to employees of that contractor.

Contrary to the above, on October 5, 1995, the licensee granted a

contract employee unescorted access to the Diablo Canyon Nuclear Power Plant without evaluating all pertinent background information developed.

Specifically, the licensee granted unescorted access to an employee of the Westinghouse Electric Corporation (Westinghouse),

a licensee contractor whose access authorization program had been accepted by the licensee, based on an October 2, 1995 request for unescorted access authorization that stated that the individual's background investigation met the requirements of the Westinghouse access authorization program, and that a full 5-year background investigation had been satisfactorily completed.

In fact, as of October 2, 1995, Westinghouse had verified

II

substantial derogatory information about the individual (alcohol use/abuse; previous employment terminations for cause; trustworthiness issues from previous employers; and derogatory credit inFormation)

and this derogatory information was not provided to the licensee until October 9, 1995, during a telephone call.

This is a Severity Level III violation (Supplement III).

The NRC has concluded that information regarding the reason for the violation, the corrective actions taken and planned to correct the violation and prevent recurrence, and the date when full compliance was achieved, is already adequately addressed on the docket in the licensee's letter dated Hay 10, 1996 (PGSE Letter DCL-96-103).

Therefore PGFE is not required to respond to this Notice of Violation.

However, PG&E is required to submit a written statement or explanation pursuant to

CFR 2.201 if the description in its Hay 10, 1996 letter does not accurately reflect its corrective actions or its position.

In that case, or if you choose to respond, clearly mark your response as

"Reply to a Notice of Violation," and send it to the U.S. Nuclear Regulatory Commission, ATTN:

Document Control Desk, Washington, D.C.

20555 with a copy to the Regional Administrator, Region IV, 611 Ryan Plaza Drive, Suite 400, Arlington, Texas 76011, and a copy to the NRC Resident Inspector at the facility that is the subject of this Notice, within 30 days of the date of the letter transmitting this Notice of Violation (Notice).

Under the authority of Section 182 of the Act 42 U.S.C.

2232, any response submitted shall be submitted under oath or aFfirmation.

Because any response you choose to submit will be placed in the NRC Public Oocumen';~ Room (PDR), to the extent possible it should not include any personal privacy, proprietary, or safeguards information so that it can be placed in the PDR without redaction.

However, if you find it necessary to include such information, you should clearly indicate the specific information that you desire not to be placed in the PDR, and provide the legal basis to support your request for withholding the information from the public.

Dated at Arlington, Texas this 7th day of June 1996

I