IR 05000275/2016301

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NRC Examination Report 05000275/2016301; 05000323/2016301
ML16159A330
Person / Time
Site: Diablo Canyon  Pacific Gas & Electric icon.png
Issue date: 06/07/2016
From: Vincent Gaddy
Operations Branch IV
To: Halpin E
Pacific Gas & Electric Co
References
50-275/16-301, 50-323/16-301
Download: ML16159A330 (19)


Text

UNITED STATES une 7, 2016

SUBJECT:

DIABLO CANYON POWER PLANT, UNITS 1 AND 2 - NRC EXAMINATION REPORT 05000275/2016301; 05000323/2016301

Dear Mr. Halpin:

On April 23, 2016, the U.S. Nuclear Regulatory Commission (NRC) completed an initial operator license examination at the Diablo Canyon Power Plant. The enclosed report documents the examination results and licensing decisions. The preliminary examination results were discussed on April 22, 2016, with Ms. P. Gerfen, Station Director, and other members of your staff. A telephonic meeting was conducted on May 9, 2016, with Mr. R. Fortier, Examination Developer, who was provided with the NRC licensing decisions. A telephonic exit meeting was conducted on May 11, 2016, with Ms. P. Gerfen, Station Director.

The examination included the evaluation of 6 applicants for reactor operator licenses, 5 applicants for instant senior reactor operator licenses, and 2 applicants for upgrade senior reactor operator licenses. The license examiners determined that 12 of the 13 applicants satisfied the requirements of 10 CFR Part 55 and the appropriate licenses have been issued.

There was one post-examination comment submitted by your staff. Enclosure 1 contains details of this report and Enclosure 2 summarizes post-examination comment resolution.

Additionally, the NRC identified one finding involving the Diablo Canyon Emergency Operating Procedure, EOP E-2, Faulted Steam Generator Isolation. The finding was evaluated under the risk significance determination process as having very low safety significance (Green).

Because of the very low safety significance and because it was entered into your corrective action program, the NRC is treating this finding as a non-cited violation, consistent with Section 2.3.2.a of the NRC Enforcement Policy. If you contest these violations or the significance of the non-cited violations, you should provide a response within 30 days of the date of this inspection report, with the basis for your denial, to the U.S. Nuclear Regulatory Commission, ATTN: Document Control Desk, Washington, D.C. 20555-0001, with copies to the Regional Administrator, U.S. Nuclear Regulatory Commission, Region IV, 1600 E. Lamar Blvd.,

Arlington, TX 76011-4125; the Director, Office of Enforcement, U.S. Nuclear Regulatory Commission, Washington, D.C. 20555-0001; and the NRC Senior Resident Inspector at the Diablo Canyon Power Plant. In addition, if you disagree with the cross-cutting aspect assigned to any finding in this report, you should provide a response within 30 days of the date of this inspection report, with the basis for your disagreement, to the Regional Administrator, Region IV, and the NRC Senior Resident Inspector at the Diablo Canyon Power Plant.

In accordance with 10 CFR 2.390 of the NRC's "Rules of Practice and Procedure," a copy of this letter and its enclosure will be available electronically for public inspection in the NRC Public Document Room or from the Publicly Available Records (PARS) component of NRCs Agencywide Documents Access and Management System (ADAMS). ADAMS is accessible from the NRC Web site at http://www.nrc.gov/reading-rm/adams.html (the Public Electronic Reading Room).

Sincerely,

/RA/

Vincent G. Gaddy, Chief Operations Branch Division of Reactor Safety Docket Nos. 50-275 and 50-323 License Nos. DPR-80 and DPR-82

Enclosures:

1. Examination Report 05000275/2016301; 05000323/2016301 w/Attachment:

Supplemental Information 2. NRC Review of Diablo Canyon Power Plant Written Post-Examination Comments

REGION IV==

Dockets: 05000275; 05000323 Licenses: DPR-80; DPR-82 Reports: 05000275/2016301; 05000323/2016301 Licensee: Pacific Gas and Electric Company Facility: Diablo Canyon Power Plant, Units 1 and 2 Location: 7 1/2 miles NW of Avila Beach Avila Beach, CA Dates: March 21 through May 11, 2016 Inspectors: C. Cowdrey, Chief Examiner, Operations Engineer B. Larson, Senior Operations Engineer T. Farina, Senior Operations Engineer M. Bloodgood, Operations Engineer M. Kennard, Operations Engineer Senior Reactor R. Deese, Senior Reactor Analyst Analyst:

Approved By: Vincent G. Gaddy Chief, Operations Branch Division of Reactor Safety Enclosure 1

SUMMARY

ER 05000275/2016301; 05000323/2016301; 03/21/2016 - 05/11/2016; Diablo Canyon Power

Plant, Units 1 and 2; Initial Operator Licensing Examination Report.

The NRC examiners evaluated the competency of six applicants for reactor operator licenses, five applicants for instant senior reactor operator licenses, and two applicants for upgrade senior reactor operator licenses at Diablo Canyon Power Plant, Units 1 and 2. One applicant for an upgrade senior reactor operator license withdrew from the examination after completing the written examination and two job performance measures (JPMs) as part of the operating test,

The licensee developed the examinations using NUREG-1021, Operator Licensing Examination Standards for Power Reactors, Revision 10. The written examination was administered by the licensee on April 15, 2016. The NRC examiners administered the operating tests on April 18 - April 23, 2016.

The examiners determined that 12 of the 13 applicants satisfied the requirements of 10 CFR Part 55 and the appropriate licenses have been issued.

NRC-Identified

Finding

Cornerstone: Barrier Integrity

Green.

The examiners identified a non-cited violation of 10 CFR Part 50, Appendix B,

Criterion V, Instructions, Procedures, and Drawings. Specifically, Procedure EOP E-2,

Faulted Steam Generator Isolation, does not contain sufficient procedural direction for isolating auxiliary feedwater flow to a faulted steam generator in the event that auxiliary feedwater control valves cannot be closed from the control room. Procedure EOP E-2,

Appendix HH, Isolated Faulted Steam Generator, Step 1.d, and its associated column,

Response Not Obtained, does not ensure that a faulted steam generator would remain isolated under all conditions. The Response Not Obtained column permits operators to either locally close auxiliary feedwater control valves OR secure the auxiliary feedwater pump feeding the faulted steam generator. However, due to the absence of pull-to-lock or hard stop switches for the auxiliary feedwater pumps, the possibility exists for an automatic restart of an auxiliary feedwater pump and a re-initiation of feedwater to a faulted steam generator.

The failure to ensure that Procedure EOP E-2 contained sufficient direction to isolate a faulted steam generator when auxiliary feedwater flow control valves cannot be closed from the control room was a performance deficiency. This performance deficiency was of more than minor safety significance because it was associated with the procedure quality attribute of the Barrier Integrity cornerstone (reactor coolant system and containment) and adversely affected the cornerstone objective of providing reasonable assurance that physical design barriers protect the public from radionuclide releases caused by accidents or events. Specifically, the re-initiation of feedwater to an isolated, faulted steam generator has the potential to adversely affect the reactor coolant system barrier by causing an additional unintended cooldown of the reactor coolant system, increased potential for pressurized thermal shock, and thermal stress to the steam generator u-tubes. Additionally, the containment barrier would be affected by the re-initiation of feedwater to a steam line break within containment. Using Inspection Manual Chapter 0609, Appendix A, The Significance Determination Process (SDP) for Findings At-Power, dated June 19, 2012, the team determined that the finding required a detailed risk evaluation due to the potential to affect the reactor coolant system boundary. A senior reactor analyst performed a bounding detailed risk evaluation and estimated the maximum increase in core damage frequency to be 5.9E-8/year, and therefore the finding was determined to be of very low safety significance (Green).

This increase in core damage frequency was mitigated by the low probability of multiple equipment failures in the auxiliary feedwater system when combined with the low initiating event frequency of a faulted steam generator. Because the violation was of very low safety significance (Green) and the issue was entered into the licensees corrective action program as Notification 50847218, this violation is being treated as a non-cited violation consistent with Section 2.3.2.a of the Enforcement Policy:

NCV 05000275/2016301;05000323/2016301-01, Insufficient Procedural Direction Contained Within E-2, Faulted Steam Generator Isolation. This finding has a cross-cutting aspect in the area of human performance associated with resources because the organization did not ensure procedures are available and adequate to support nuclear safety (H.1). (Section 4OA5)

Licensee-Identified Violations

None

REPORT DETAILS

OTHER ACTIVITIES (OA)

4OA5 Other Activities (Initial Operator License Examination)

.1 License Applications

a. Scope

The NRC examiners reviewed all license applications submitted to ensure each applicant satisfied relevant license eligibility requirements. Examiners also audited three of the license applications in detail to confirm that they accurately reflected the subject applicants qualifications. This audit focused on the applicants experience and on-the-job training, including control manipulations that provided significant reactivity changes.

b. Findings

No findings were identified.

.2 Examination Development

a. Scope

NRC examiners reviewed integrated examination outlines and draft examinations submitted by the licensee against the requirements of NUREG-1021. The NRC examination team conducted an on-site validation of the operating tests.

b. Findings

One finding was identified.

Insufficient Procedural Direction Contained Within Procedure EOP E-2, Faulted Steam Generator Isolation

Introduction.

The examiners identified a non-cited violation of 10 CFR Part 50, Appendix B, Criterion V, Instructions, Procedures, and Drawings. Specifically, Procedure EOP E-2 does not contain sufficient procedural direction for isolating auxiliary feedwater flow to a faulted steam generator in the event that auxiliary feedwater control valves cannot be closed from the control room.

Description.

Step 1 of Procedure EOP E-2, Appendix HH, provides direction for operators to isolate a faulted steam generator. Step 1.d requires that turbine-driven and motor-driven auxiliary feedwater control valves be closed. In the Response Not Obtained (RNO) step for Step 1.d, the procedure directs operators to locally close the auxiliary feedwater control valves OR secure the auxiliary feedwater pump feeding any faulted steam generators. Diablo Canyon Power Plant is unique in that the auxiliary feedwater pumps do not have pull-to-lock or hard-stop switches. Therefore, a pump that is stopped to secure feed to a faulted generator has the potential to restart on a number of automatic signals. These signals include an anticipated transient without scram mitigating system actuation circuitry signal, low-low steam generator level, 12kV bus undervoltage, transfer to diesel generator, and a safety injection signal.

Should one of these signals be received, a pump that was secured in an effort to stop feeding a faulted steam generator would restart and reinitiate auxiliary feedwater to the faulted generator. The Westinghouse emergency operating procedure background document for Procedure EOP E-2 describes the purpose of isolating a faulted steam generator. Specifically, the step is intended to minimize the cooldown of the reactor coolant system and limit the mass and energy released into containment for a steamline break inside containment. Therefore, the re-initiation of auxiliary feedwater to a faulted, and potentially dry steam generator, has the potential to reinitiate another cooldown cycle that presents an additional pressurized thermal shock concern. Further, a pump restart would add additional mass and energy into containment should the steam generator be faulted inside containment. Finally, the addition of cold auxiliary feedwater to a dry steam generator has the potential to cause thermal shock to the steam generator u-tubes and increase the risk of a concurrent faulted and ruptured steam generator. The Westinghouse background document for Procedure EOP FR-H.1, Response to Loss of Secondary Heat Sink, states that care should be taken when re-initiating feedwater to a dry steam generator. If while isolating a faulted steam generator, operators decide to stop an auxiliary feedwater pump and not close the flow control valves manually, as is permitted by the Step 1.d RNO of Appendix HH, full auxiliary feedwater pump flow could potentially be directed into a dry steam generator upon auxiliary feedwater pump restart.

Procedure EOP E-3 for a steam generator tube rupture recognizes the potential for auxiliary feedwater pumps to restart after isolating a ruptured generator. Step 4.b RNO provides a note stating that an interlock device may be used. These interlock devices, called hutch interlocks at Diablo Canyon are physical devices that are placed on a control room switch to keep it in the OFF position. Additionally, Procedure EOP E-3 states that IF valves cannot be closed, THEN stop the auxiliary feedwater pump that is feeding the ruptured generator UNTIL manual valves can be shut. Therefore, Procedure EOP E-3 requires that operators eventually close the flow control valves, not simply stop the auxiliary feedwater pump. The guidance in Procedure EOP E-2 does not match the direction contained in EOP E-3 for isolating feedwater to an affected steam generator.

Analysis.

The failure to ensure that Procedure EOP E-2 contained sufficient direction to isolate a faulted steam generator was a performance deficiency. This performance deficiency was of more than minor safety significance because it was associated with the procedure quality attribute of the Barrier Integrity cornerstone (reactor coolant system and containment) and adversely affected the cornerstone objective of providing reasonable assurance that physical design barriers protect the public from radionuclide releases caused by accidents or events. Specifically, the re-initiation of feedwater to an isolated, faulted steam generator has the potential to adversely affect the reactor coolant system barrier by causing an additional unintended cooldown of the reactor coolant system, increased potential for pressurized thermal shock, and thermal stress to the steam generator u-tubes. Additionally, the containment barrier would be affected by the re-initiation of feedwater to a steam line break within containment.

Using Inspection Manual Chapter 0609, Appendix A, The Significance Determination Process (SDP) for Findings At-Power, dated June 19, 2012, the team determined that the finding required a detailed risk evaluation due to the potential to affect the reactor coolant system boundary. A senior reactor analyst performed the detailed risk evaluation by estimating the maximum core damage frequency which could result from the performance deficiency. For this estimate, the analyst determined the frequency of the conditions which would place the plant in an operational state where the auxiliary feedwater pumps would be secured and have the potential to restart and introduce water into a steam generator.

First, the analyst assumed the frequency of the initiating event to be that of a steam line break upstream of the main steam isolation valves. Feed breaks were not considered because auxiliary feed would be feeding the break location since the main and auxiliary feedwater systems share a common line. The analyst assumed this frequency to be 3.67E-4/year which was derived from Revision 8.23 of the Diablo Canyon standardized plant analysis risk (SPAR) model.

For the conditions of the performance deficiency to exist, after the steam generator faulted, the auxiliary feedwater control valves to the faulted steam generator would have to fail to close. The analyst assumed only one of these valves would have to fail to close and used the generic failure probability from the 2010 data update for NUREG/CR-6928 for a hydraulically operated valve failing to close. This probability was 1.20E-3.

When the auxiliary feedwater control valve to the faulted steam generator failed to close, the RNO column gave the operators two options - to locally close the control valve(s) to the faulted steam generator or to secure the auxiliary feedwater pump feeding the faulted steam generator. In assuming only one pump was feeding the faulted steam generator, operators would only have to close one valve locally in the plant. In performing the human reliability analysis for this basic event in SPAR-H, the analyst assumed that diagnosis and action were needed, that both were affected by high stress, and that operators had barely enough time. These assumptions resulted in the valve of the human reliability analysis basic event for locally closing one hydraulically operated valve to be 2.2E-1. On assuming that two or three auxiliary feedwater pumps were feeding the faulted steam generator, operators would have to close two or three valves locally. The analyst assumed complete dependence on closure of the second and third valves because the same crew would be performing it, at the same time, in the same location, and with no additional cues. This drove the human reliability basic event valve to 2.2E-1 for multiple local valve closures, or the same as for only one valve.

The second option in the RNO column was for operators to secure the auxiliary feedwater pump feeding the faulted steam generator. The analyst assumed that diagnosis and action were needed, that both were affected by high stress, and that operators had barely enough time. These assumptions resulted in the valve of the human reliability analysis basic event for securing an auxiliary feedwater pump to the faulted steam generator being 2.2E-1. The analyst assumed high dependence on securing an auxiliary feedwater pump because the same crew would be performing it, at the same time, in a different location, and with no additional cues. This drove the human reliability basic event to 6.1E-1.

The analyst assumed that operators would try to perform one of the actions in the RNO column and upon failure would try the other action. As a result, both failure to shut valve(s) and secure an auxiliary feedwater pump would have to occur for the procedural conditions for the performance deficiency to occur. Therefore to obtain the frequency for the plant state for which the performance deficiency would occur, the analyst multiplied the following together:

  • The probability of operators failing to close the auxiliary feedwater control valves locally, regardless of the number of valves needed to close (2.2E-1)

This produced a frequency for the plant state which would produce the performance deficiency of 5.9E-8/year. The maximum increase in core damage frequency would be 5.9E-8/year, regardless of what mitigating equipment was unavailable and therefore the finding was determined to be of very low safety significance (Green).

This finding has a cross-cutting aspect in the area of human performance associated with resources because the organization did not ensure procedures are available and adequate to support nuclear safety [H.1].

Enforcement.

Title 10 CFR Part 50, Appendix B, Criterion V, Instructions, Procedures, and Drawings, states, in part, that Instructions, procedures, or drawings shall include appropriate quantitative or qualitative acceptance criteria for determining that important activities have been satisfactorily accomplished.

Contrary to the above, prior to April 23, 2016, the licensee did not ensure that Procedure EOP E-2, Faulted Steam Generator isolation, contained appropriate quantitative or qualitative acceptance criteria for determining that important activities had been satisfactorily accomplished. Specifically, the licensee did not ensure that Procedure E-2 contained the necessary direction for isolating a faulted steam generator should the auxiliary feedwater flow control valves not close from the control room. To correct this issue, the licensee wrote Notification 50847218.

Because the violation was of very low safety significance (Green) and the issue was entered into the licensees corrective action program as Notification 50847218, this violation is being treated as a non-cited violation consistent with Section 2.3.2.a of the Enforcement Policy: NCV 05000275/2016301;05000323/2016301-01, Insufficient Procedural Direction Contained Within EOP E-2, Faulted Steam Generator Isolation.

c. Other Observations The NRC examiners provided outline, draft examination, and post-validation comments to the licensee. The licensee satisfactorily completed comment resolution prior to examination administration.

The NRC examiners determined the reactor operator written examination initially submitted by the licensee was not within the range of acceptability expected for a proposed examination. The NUREG-1021 standard for an acceptable submittal requires that 20 percent or fewer of the written examination questions must be classified as unsatisfactory based on criteria in Section ES-401; this criterion applies for the reactor operator portion, the senior reactor operator portion, or both. The statistics for the written examination were as follows:

Reactor Operator (RO) written examination (75 total questions)1. Sixteen questions were unsatisfactory (21 percent)2. Thirty-six questions required editorial changes (48 percent)

Senior Reactor Operator (SRO) written examination (25 total questions)1. Four questions were unsatisfactory (16 percent)2. Fifteen questions required editorial changes (60 percent)

Total written examinations (100 total questions)1. Twenty questions were unsatisfactory (20 percent)2. Fifty-one questions required editorial changes (51 percent)

Because the 20 percent threshold was exceeded for the reactor operator section of the written examination, it was classified as an unsatisfactory submittal. Also, based on the number of unsatisfactory questions and questions requiring additional enhancement, the written examinations required substantial work by the NRC Chief Examiner and Diablo Canyon examination writing staff in order to prepare the written examination for administration. The licensee wrote Notification 50847217 to address the issues with the unsatisfactory reactor operator written examination submittal. As required in NUREG-1021 for an unsatisfactory submittal, all future submittals should incorporate any lessons learned from this effort.

The NRC examiners determined the operating tests initially submitted by the licensee were within the range of acceptability expected for a proposed examination.

.3 Operator Knowledge and Performance

a. Scope

On April 15, 2016, the licensee proctored the administration of the written examinations to all 13 applicants. The licensee staff graded the written examinations, analyzed the results, and presented their analysis to the NRC on May 5, 2016.

The NRC examination team administered the various portions of the operating tests to all applicants on April 18 - April 23, 2016. One applicant withdrew from the remainder of the operating test after completing two JPMs and no simulator scenarios.

b. Findings

No findings were identified.

All 13 applicants passed the written examination and 12 of the 13 applicants passed all parts of the operating test. The final written examinations, the operating test, and post-examination analysis and comments may be accessed in the ADAMS system under the accession numbers noted in the attachment to Enclosure 1. The licensee requested and received approval by the NRC to withhold the written examinations from the public document room for 2 years after the administration date.

The examination team noted the following generic weaknesses during the operating tests:

1. When presented with a failed-open pressurizer power-operated relief valve (PORV) that initiated on a reactor trip, two of three crews failed to identify the open PORV prior to receiving a safety injection (SI) actuation. The SI actuation led to the pressurizer being filled and a subsequent rupture of the pressurizer relief tank into containment.

2. When presented with a ruptured steam generator with a failed open 10 percent steam dump valve that had been taken to manual and closed, two of four crews failed to manually control the ruptured steam generator pressure below the steam generator safety valve setpoint.

3. Several applicants failed to inform, or were slow to inform, the shift foreman when they had taken manual action to compensate for a component or system that should have actuated automatically.

4. On a simulator JPM that started in FR-C.1, Response to Inadequate Core Cooling, three applicants, in the absence of any available auxiliary feedwater pumps, chose to fully open all 10 percent steam dump valves. Eventually, the three applicants correctly established temporary core cooling via pressurizer PORVs and reactor vessel head vents.

The licensee wrote Notifications 50847245, 50847247, 50847248, and 50849195 to address the generic weaknesses.

Additionally, the licensee submitted one post-examination comment (Q3) that required review and disposition by the Chief Examiner. The Region IV Operations Branch Chief assigned a panel of examiners that were not part of the examination team effort at Diablo Canyon Power Plant to review the question challenge. The panel reviewed the question and recommended designating D as the only correct answer. The Chief Examiner and Operations Branch Chief concurred with the NRC regional panels recommendation that D should be considered the only correct answer for Question #3.

However, while administering the examination, the licensee provided clarification on the question stem to one applicant which led to the applicant choosing B (the original correct answer). The licensee failed to follow the guidance contained within NUREG-1021, ES-402 D.3.b, which states, Any question changes or clarifications shall be made on a chalk board or white board, if available, and called to the attention of all the applicants. The licensee wrote Notification 50848688 to address the failure to properly inform all applicants of the stem clarification. Therefore, the NRC has accepted B as the correct answer ONLY for the applicant who received the additional clarification. For all other applicants, D is considered the only correct answer. This grading decision was made in consultation with the NRC Headquarters operator licensing program office within the Office of Nuclear Reactor Regulation. More details are included in Enclosure 2 of this report and the entire licensees post-examination comments and analysis can be found in ADAMS using Accession Number ML16145A323. Copies of all individual examination reports were sent to the facility training manager for evaluation and determination of appropriate remedial training.

.4 Simulation Facility Performance

a. Scope

The NRC examiners observed simulator performance with regard to plant fidelity during examination validation and administration.

b. Findings

No findings were identified.

.5 Examination Security

a. Scope

The NRC examiners reviewed examination security for examination development during both the on-site preparation week and examination administration week for compliance with 10 CFR 55.49 and NUREG-1021. Plans for simulator security and applicant control were reviewed and discussed with licensee personnel.

b. Findings

/Observations No findings were identified.

4OA6 Meetings, Including Exit

Exit Meeting Summary

The Chief Examiner presented the preliminary examination results to Ms. P. Gerfen, Station Director, and other members of your staff on April 22, 2016. A telephonic exit was conducted on May 11, 2016, between Mr. C. Cowdrey, Chief Examiner, and Ms. P. Gerfen, Station Director, and other members of your staff.

The licensee did not identify any information or materials used during the examination as proprietary.

SUPPLEMENTAL INFORMATION

KEY POINTS OF CONTACT

Licensee Personnel

P. Gerfen, Station Director
D. Gouveia, Manager, Operations
H. Hamzehee, Manager, Regulatory Services
E. Werner, Manager, Operations Training
J. Becerra, Supervisor, Training
J. Morris, Supervisor, Regulatory Services
R. Fortier, Examination Developer
L. Toribio, Instructor, Operations Training
H. Matteson, Operations Procedure Writer

NRC Personnel

J. Reynoso, Senior Resident Inspector
M. Stafford, Resident Inspector

LIST OF ITEMS OPENED, CLOSED, AND DISCUSSED

Opened and Closed

05000275/2016301; NCV Insufficient Procedural Direction Contained Within
05000323/2016301-01 Procedure EOP E-2, Faulted Steam Generator Isolation (Section 40A5)

ADAMS DOCUMENTS REFERENCED