IR 05000416/2020010

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Biennial Problem Identification and Resolution Inspection Report 05000416/2020010
ML20077M348
Person / Time
Site: Grand Gulf 
(NPF-029)
Issue date: 03/19/2020
From: Ami Agrawal
Division of Reactor Safety IV
To: Emily Larson
Entergy Operations
Agrawal A
References
EPID I-2020-010-0007 IR 2020010
Download: ML20077M348 (16)


Text

March 19, 2020

SUBJECT:

GRAND GULF NUCLEAR STATION - BIENNIAL PROBLEM IDENTIFICATION AND RESOLUTION INSPECTION REPORT 05000416/2020010

Dear Mr. Larson:

On January 30, 2020, the U.S. Nuclear Regulatory Commission (NRC) completed a problem identification and resolution inspection at your Grand Gulf Nuclear Station and discussed the results of this inspection with you and other members of your staff. The results of this inspection are documented in the enclosed report.

The NRC inspection team reviewed the stations corrective action program and the stations implementation of the program to evaluate its effectiveness in identifying, prioritizing, evaluating, and correcting problems and to confirm that the station was complying with NRC regulations and licensee standards for corrective action programs. Based on the samples reviewed, the team determined that your staffs performance in each of these areas adequately supported nuclear safety.

The team also evaluated the stations processes for use of industry and NRC operating experience information and the effectiveness of the stations self-assessments and audits.

Based on the samples reviewed, the team determined that your staffs performance in each of these areas adequately supported nuclear safety.

Finally, the team reviewed the stations programs to establish and maintain a safety-conscious work environment and interviewed station personnel to evaluate the effectiveness of these programs. The NRC found that the station has established and maintains a work environment where staff employees indicated that they felt free to raise and pursue resolution of safety concerns without fear of retaliation. However, the team also found evidence of challenges within your primary contractor organizations safety-conscious work environment. These morale issues could have a deleterious effect on contractor performance if allowed to continue.

One finding of very low safety significance (Green) is documented in this report. This finding involved a violation of NRC requirements. We are treating this violation as a non-cited violation (NCV) consistent with Section 2.3.2 of the Enforcement Policy. If you contest the violation, or the significance or severity of the violation documented in this inspection report, 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, DC 20555-0001; with copies to the Regional Administrator, Region IV; the Director, Office of Enforcement; and the NRC Resident Inspector at Grand Gulf Nuclear Station.

If you disagree with a cross-cutting aspect assignment 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 U.S. Nuclear Regulatory Commission, ATTN: Document Control Desk, Washington, DC 20555-0001; with copies to the Regional Administrator, Region IV; and the NRC Resident Inspector at Grand Gulf Nuclear Station.

This letter, its enclosure, and your response (if any) will be made available for public inspection and copying at http://www.nrc.gov/reading-rm/adams.html and at the NRC Public Document Room in accordance with 10 CFR 2.390, Public Inspections, Exemptions, Requests for Withholding.

Sincerely, Ami N. Agrawal, Team Leader Inspection Program and Assessment Team Division of Reactor Safety Docket No. 05000416 License No. NPF-29

Enclosure:

As stated

Inspection Report

Docket Number:

05000416

License Number:

NPF-29

Report Number:

05000416/2020010

Enterprise Identifier: I-2020-010-0007

Licensee:

Entergy Operations, Inc.

Facility:

Grand Gulf Nuclear Station

Location:

Port Gibson, MS

Inspection Dates:

January 13, 2020, to January 30, 2020

Inspectors:

R. Azua, Senior Reactor Inspector

B. Correll, Reactor Inspector

H. Freeman, Senior Project Engineer

S. Hedger, Emergency Preparedness Inspector

T. Steadham, Senior Resident Inspector

Approved By:

Ami N. Agrawal, Team Leader

Inspection Program and Assessment Team

Division of Reactor Safety

SUMMARY

The U.S. Nuclear Regulatory Commission (NRC) continued monitoring the licensees performance by conducting a biennial problem identification and resolution inspection at Grand Gulf Nuclear Station in accordance with the Reactor Oversight Process. The Reactor Oversight Process is the NRCs program for overseeing the safe operation of commercial nuclear power reactors. Refer to https://www.nrc.gov/reactors/operating/oversight.html for more information.

List of Findings and Violations

Failure to Correct Conditions Adverse to Quality Associated with Oil Traceability Cornerstone Significance Cross-Cutting Aspect Report Section Mitigating Systems Green NCV 05000416/2020010-01 Open

[P.3] -

Resolution 71152B The NRC inspectors identified a Green finding and associated non-cited violation of 10 CFR Part 50, Appendix B, Criterion XVI, Corrective Action, for the licensee's failure to restore the traceability of oil in safety-related components. Specifically, in September 2018 NRC inspectors had identified 10 safety-related components where the licensee failed to maintain adequate records of oil additions. In each case, maintenance records were missing the required issue tickets as a record of the source and quality of the oil that had been added. As of January 29, 2020, the inspectors determined that the licensee had failed to take corrective actions to restore the quality classification of the oil additions for 9 of the 10 components.

Additional Tracking Items

None.

INSPECTION SCOPES

Inspections were conducted using the appropriate portions of the inspection procedures (IPs)in effect at the beginning of the inspection unless otherwise noted. Currently approved IPs with their attached revision histories are located on the public website at http://www.nrc.gov/reading-rm/doc-collections/insp-manual/inspection-procedure/index.html.

Samples were declared complete when the IP requirements most appropriate to the inspection activity were met consistent with Inspection Manual Chapter (IMC) 2515, Light-Water Reactor Inspection Program - Operations Phase. The inspectors reviewed selected procedures and records, observed activities, and interviewed personnel to assess licensee performance and compliance with Commission rules and regulations, license conditions, site procedures, and standards.

OTHER ACTIVITIES - BASELINE

71152B - Problem Identification and Resolution Biennial Team Inspection (IP Section 02.04)

The inspectors performed a biennial assessment of the licensees corrective action program, use of operating experience, self-assessments and audits, and safety-conscious work environment.

  • Corrective Action Program Effectiveness: The inspectors assessed the corrective action programs effectiveness in identifying, prioritizing, evaluating, and correcting problems. The inspectors also conducted a 5-year review of condition reports associated with the station service water system. The inspectors reviewed approximately 150 condition reports from those that had been issued since the last biennial problem identification and resolution inspection completed in November 2018.
  • Operating Experience, Self-Assessments and Audits: The inspectors assessed the effectiveness of the stations processes for use of operating experience, self-assessments and audits. The inspectors reviewed 5 examples of industry operating experience that the licensee received during the assessment period and 15 examples of self-assessments and audits that had been performed during the assessment period.
  • Safety-Conscious Work Environment: The inspectors assessed the effectiveness of the stations programs to establish and maintain a safety-conscious work environment. The inspectors interviewed 39 licensee employees in focus group interviews of members from operations, engineering, radiation protection, and electrical maintenance. Additionally, the inspectors conducted seven additional focus groups and individual interviews with the primary contractor organization onsite (Day & Zimmerman). The inspectors interviewed the employee concerns coordinator and reviewed the results of the most recent safety-culture survey.

INSPECTION RESULTS

Assessment - Corrective Action Program Effectiveness 71152B Overall, based upon the condition reports reviewed and the meetings attended, the team concluded that the licensee's corrective action program met regulatory requirements and self-imposed standards that support nuclear safety. The team's overall impression is that performance has continued to improve over the past two assessments, but identified areas that may warrant management attention and action as deemed appropriate.

Effectiveness of Problem Identification:

Based on the samples reviewed, the team determined that the licensee was identifying and documenting problems at an appropriately low threshold that supported nuclear safety. Over the 15-month assessment period, the licensee had initiated over 12,500 condition reports - an average of about 830 per month. During the inspection, the team noted that the licensee typically documented potential deficiencies and observations that were identified during the inspection without hesitation when they could not promptly provide an answer or a basis for acceptability for the condition. However, the team did note that one observation regarding the acceptability of dissimilar connectors on a whitey valve could not be immediately answered in which the on-shift operating crew did not initiate a condition report until 4-days after being raised. While this delay did not meet the licensee managements expectations, ultimately, the team found the condition was acceptable.

Effectiveness of Prioritization and Evaluation:

The team found that the licensee was appropriately prioritizing issues in accordance with licensee standards. The team observed management appropriately providing guidance and oversight during the management performance review group (PRG) meetings. The team observed members raising questions about classifications and recommending actions during the PRG meetings without any apparent reservations. The team found that the licensee had classified just over 25 percent of the condition reports as adverse conditions. The team's review of sample of condition reports classified as non-adverse did not identify any that should have been classified as adverse and addressed under the corrective action program, as required.

The team did note several instances where the use of effectiveness reviews was not conducted in an expected manner. Effectiveness reviews are specified by the licensee's program to evaluate whether corrective actions to prevent recurrence (CAPR) for significant conditions adverse to quality are effective. Examples include a few effectiveness reviews that accepted less than 100 percent (i.e., 90 percent) as being acceptable. The team concluded this was inconsistent with the purpose of measuring the effectiveness of a corrective action to prevent recurrence. The team found one effectiveness review that was not performed (i.e. cancelled), because as it stated, the effectiveness review was not based upon a CAPR and was therefore not required; however, the assignee did not obtain management's approval to cancel the action. Finally, the team noted some effectiveness reviews that were not completed in the time-frame or frequency that had been specified by management. The team concluded that none of the examples impacted the evaluation to correct conditions adverse to quality.

Effectiveness of Corrective Actions:

Based upon the samples reviewed, the team found that the corrective actions associated with adverse conditions were generally appropriate and implemented in a timeframe appropriate to the significance of the condition. However, the team did find examples where the licensee's corrective actions did not adequately address the condition. As documented in NRC Inspection Report 05000416/2019004, the licensee missed a number of opportunities to adequately correct a condition adverse to quality associated with containment airlock inner door (NCV 05000416/2019004-04). As documented in that inspection, the inspectors found that the work performed to correct previously identified conditions were inadequate to correct the identified conditions. Additionally, the team documented a finding in this report where the licensee failed to promptly identify and correct a condition adverse to quality associated with oil traceability. These types of findings indicate a need for increased management oversight to ensure conditions adverse to quality are appropriately addressed.

Assessment - Operating Experience, Self-Assessments and Audits 71152B The inspectors found that the licensee routinely shared operating experience with all departments as part of the weekly PRG meetings. The licensee typically assigned operating experience that may have an impact on the station to specific organizations for relevance and evaluation. The inspectors concluded that the licensees use of operating experience was appropriate.

The inspectors found that the self-assessments that were reviewed were critical, identified weaknesses and issues, and corrective actions were taken.

Assessment - Safety-Conscious Work Environment 71152B The licensee had established and maintained a work environment where staff employees felt free to raise and pursue resolution of safety concern using a variety of options including: the condition report process, supervision, open-door policy, employee concerns program, ethics hotline, and the NRC. Nearly all indicated that they had never found a need to go beyond the condition reporting process or to their supervision to get an issue resolved. Many individuals expressed confidence that the plants performance was headed in the right direction under the current leadership's oversight and that management focus was on the safe operation of the plant rather than the perception from previous years where that focus was on production.

However, the team also found some work environment challenges within the primary contractor workforce (Day and Zimmerman). Through interviews with the contractor staff employees, the team identified morale issues in some of the departments. These issues seem to stem from a perception that contractor management would take actions against them for such things as reporting work issues outside of their management chain-of-command, for appearing to be sitting idle in their breakroom, or for slowing down a work effort (even if the reason was for personnel or equipment safety). The team brought these observations to senior plant managements attention. While the team did not identify any safety issue that had not or would not be raised by the contractor workforce during these interviews, the team concluded that if not addressed, contractor staff morale could negatively impact performance in this area.

Overall, the team concluded that all the licensee work groups interviewed at the Grand Gulf Nuclear Station maintained a healthy safety-conscious work environment. However, the inspectors found that morale issues within the contractor workforce could have a deleterious effect on staff performance and potentially on plant safety if allowed to continue.

Failure to Correct Conditions Adverse to Quality Associated with Oil Traceability Cornerstone Significance Cross-Cutting Aspect Report Section Mitigating Systems Green NCV 05000416/2020010-01 Open

[P.3] - Resolution 71152B The NRC inspectors identified a Green finding and associated non-cited violation of 10 CFR Part 50, Appendix B, Criterion XVI, Corrective Action, for the licensee's failure to restore the traceability of oil in safety-related components. Specifically, in September 2018 NRC inspectors had identified 10 safety-related components where the licensee failed to maintain adequate records of oil additions. In each case, maintenance records were missing the required issue tickets as a record of the source and quality of the oil that had been added. As of January 29, 2020, the inspectors determined that the licensee had failed to take corrective actions to restore the quality classification of the oil additions for 9 of the 10 components.

Description:

As described in NRC Inspection Report 05000416/2018004 (ML19038A437), NRC inspectors had identified that the licensee failed to maintain adequate quality records of oil additions to 10 safety-related components in 4 different systems. At that time, the licensee entered the issue into their corrective action program as Condition Report CR-2018-10179, and performed an adverse condition analysis which identified 19 corrective actions to address the programmatic and human performance causes that contributed to the improper oil additions. The inspectors reviewed the licensee's corrective actions for this non-cited violation.

Because the original issue was related to oil contamination of the reactor core isolation cooling (RCIC)turbine, the licensees corrective actions had focused on restoring the oil quality in the RCIC turbine only. For the other nine components (residual heat removal pumps, standby service water pumps, emergency diesel generators), the licensee verified that the predictive maintenance levels were within specification (contaminants and viscosity). The licensee did not implement any corrective actions to restore the quality level of the oil in these remaining components. The inspectors noted that while oil sample results for contaminants and viscosity are important in determining component operability, they do not reestablish either traceability or quality.

The inspectors reviewed the work order history for the residual heat removal pumps (since the last untraceable oil addition in each pump), and did not identify any instances where the licensee completely drained and filled the systems with traceable oil. The licensee confirmed that, except for the RCIC turbine, none of the other nine identified components have been drained and filled with traceable oil.

Corrective Actions: Licensee corrective actions included entering the issue into their corrective action program.

Corrective Action References: Condition Report CR-GGN-2020-00915

Performance Assessment:

Performance Deficiency: The failure to restore the traceability of oil in safety-related components is a performance deficiency.

Screening: The inspectors determined the performance deficiency was more than minor because if left uncorrected, it would have the potential to lead to a more significant safety concern. Specifically, the quality level requirements of the oil ensure that components important to safety are properly lubricated. The failure to maintain those quality requirements in the absence of interim corrective actions adversely affects equipment reliability and thus could have the potential to create a more significant safety concern.

Significance: The inspectors assessed the significance of the finding using Appendix A, The Significance Determination Process (SDP) for Findings At-Power. Since the finding does not represent a loss of system function, the finding screens to a Green significance.

Cross-Cutting Aspect: P.3 - Resolution: The organization takes effective corrective actions to address issues in a timely manner commensurate with their safety significance.

Enforcement:

Violation: As required by 10 CFR Part 50, Appendix B, Criterion XVI, Corrective Action, measures shall be established to assure that conditions adverse to quality, such as deficiencies and deviations, are promptly identified and corrected.

Contrary to the above, from September 2018 through January 29, 2020, the licensee failed to promptly correct conditions adverse to quality. Specifically, the licensee failed to either restore or implement plans to restore the required quality level of oil after it was identified that oil of unknown quality (undocumented) had been added to the following safety-related components:

Observations - Corrective Action Program Observations 71152B During the inspection, the team had the following observations associated with the implementation of the corrective action program that warrant additional management attention:

1. Accuracy of Documents - The team noted examples within one root cause evaluation

associated with a secondary containment door that had either inconclusive or inaccurate information within the evaluation. The inspectors found that the root cause was inclusive because it did not specifically identify the cause of the failure, but left it to the reader as to infer whether the failure was due to the design of the hinge(s) or to an unorthodox installation. Root causes should specify the cause so a CAPR can be developed to address the cause. A second example within this root cause evaluation concluded that a contributing cause was that air pressure differences caused the door to open uncontrollably hitting the door stops and causing subsequent impact vibrations. The inspectors review of the door's layout revealed that the door stop was too low to hit the personnel access door (the personnel access door is located within a larger equipment door) even if the door could swing far enough to reach it (prevented by the closing device). Because the document was a high-level document with management oversight, this should have been caught and addressed during the review process. The licensee wrote Condition Report CR-2020-00873.

2. Identification and verification - During the walk down of the secondary containment

door, the team noted that the mounting hardware of the bottom hinge was different than the upper hinges. This was apparently caused during the repair process and was not an approve design change. The licensee wrote Condition Report CR-2020-00916.

3. Address Issues as Documented - The team identified a cause evaluation of a failed

component stating that the failure was likely to have been caused by a manufacturing defect, but the condition report did not address or evaluate the need to issue a Part 21 notification. The failed part had been in service for a number of years, but apparently was disposed of before it could be evaluated. When identified by the NRC, the licensee re-evaluated the statement and chose to remove it because the part's operating history. During the inspection, the team noted that the licensee staff did identify other issues during PRG meetings that should be evaluated for Part 21 notification.

None of these observations impacted the licensees overall evaluations or implementation of corrective actions.

EXIT MEETINGS AND DEBRIEFS

The inspectors verified no proprietary information was retained or documented in this report.

  • On January 30, 2020, the inspectors presented the biennial problem identification and resolution inspection results to Mr. E. Larson and other members of the licensee staff.

DOCUMENTS REVIEWED

Inspection

Procedure

Type

Designation

Description or Title

Revision or

Date

71152B

Calculations

Calculation

PRA-GG-01-001

GGNS Level-1 Model Revision 3 PSA Summary Report

XC-N1111-01007

GGNS Level 1 PSA, Revision 2

Corrective Action

Documents

Condition Reports

(CR-GGN-)

2015-04067, 2015-07209, 2016-00572, 2016-02950,

2016-03178, 2016-04834, 2016-08997, 2017-01559,

2017-03404, 2017-06021, 2017-06705, 2018-01595,

2018-04934, 2018-06543, 2018-07783, 2018-09679,

2018-09705, 2018-10179, 2018-10441, 2018-10852,

2018-10947, 2018-11276, 2018-11371, 2018-11492,

2018-11960, 2018-12031, 2018-12069, 2018-12101,

2018-12103, 2018-12302, 2018-13032, 2018-13038,

2018-13042, 2018-13050, 2018-13206, 2018-13234,

2019-00042, 2019-00096, 2019-00222, 2019-00223,

2019-00285, 2019-00485, 2019-00710, 2019-00968,

2019-01048, 2019-01049, 2019-01050, 2019-01051,

2019-01052, 2019-01504, 2019-02009, 2019-02309,

2019-02489, 2019-02717, 2019-03060, 2019-03562,

2019-03822, 2019-03877, 2019-03940, 2019-03971,

2019-04821, 2019-05198, 2019-05538, 2019-05539,

2019-05936, 2019-06009, 2019-06159, 2019-06252,

2019-06295, 2019-06699, 2019-07477, 2019-09175,

2019-09528, 2019-09810, 2019-09933, 2019-10084,

20-00280, 2020-00794, 2020-00802, 2020-00968,

20-00978, 2020-00984

Corrective Action

Documents

Resulting from

Inspection

Condition Reports

(CR-GGN-)

20-00358, 2020-00375, 2020-00380, 2020-00389,

20-00448, 2020-00481, 2020-00509, 2020-00512,

20-00557, 2020-00736, 2020-00853, 2020-00873,

20-00879, 2020-00888, 2020-00915, 2020-00916,

20-00933, 2020-00958, 2020-00968, 2020-00974,

20-00984

Engineering

Evaluations

PSA-GGNS-01

Grand Gulf Nuclear Station Probabilistic Risk Assessment

Summary Report

Inspection

Procedure

Type

Designation

Description or Title

Revision or

Date

PSA-GGNS-08-

GGNS PRA Model Corrections and Refinements for

Revision 4B

Miscellaneous

Fire Drill Report, Date: 6-28-19, Time: 14:00, Shift/Team: C

6/28/2019

Operations High Intensity Oversight Plan, Grand Gulf

Nuclear Station Operations Department

7/13/2017

Grand Gulf Nuclear Station Standard Audit Template, Audit:

Emergency Preparedness Program QA-7-2019-GGNS-01

9.10,

Organizational &

Programmatic

Screening

CR Number: CR-GGN-2019-1052, Title: NCV for Failure to

Follow Emergency Plan

3/25/2019

Combustible

Control Permit

Number: 978

Unit 1, Building: SSW A (Pump House, Valve Room, Basin),

Fire Area: 64

1/30/2020

Combustible

Control Permit

Number: 979

Unit 1, Building: SSW B (Pump House, Valve Room, Basin),

Fire Area: 65

1/30/2020

CR Number CR-

GGN-2019-10364

Condition Analysis, Event Title: Security Equipment

Preventative Maintenance Strategies

CR-GGN-2016-

00572

Apparent Cause Evaluation, Event Title: Inadequate

Procedures Lead to NRC-Identified Performance Deficiency

CR-GGN-2016-

2950

Root Cause Evaluation, Event Title: Startup from RF 20 "B"

Phase Current Differential Relay Scram

2, 3, 4

CR-GGN-2016-

04834

Root Cause Evaluation, Event Title: OPRM Reactor Scram;

Operator Response to Equipment Failure Evaluation

1, 2, 3, 4, 5

CR-GGN-2018-

10441

Root Cause Evaluation, Event Title: Manual RX Scram from

Heater Drain System

CR-GGN-2019-

06699

Human Performance Evaluation, Title: Unexpected Door

Alarm/Secure Area Boundary Violation

9/11/2019

CR-GGN-2019-

9175

Adverse Condition Analysis, Event Title: Green NCV on

EN-DC-161 Implementation

Effectiveness

Review

(LO-GLO-)

2018-00193, 2018-00194, 2019-0009

Inspection

Procedure

Type

Designation

Description or Title

Revision or

Date

ES-04

Electrical Terminations and Splices

FLP-GM-

MNTFUND

Maintenance Fundamentals

GLP-SEC-

PERSCH

Personnel Searches

GNRO-

2019/00033

Supplemental Licensee Event Report 2018-009-01, Reactor

Manual Shutdown Due to Feedwater Level Control Changes

Grand Gulf Nuclear Station, Unit 1, Docket No. 50-416,

License No. NPF-29

8/7/2019

GPCS-EM-INIT

Electrical Maintenance Training Program Description

GPCS-IC-INIT

I&C Maintenance Training Program Description

GSMS-LOR-

285

Conservative Decision-Making Scenario 1

LO-CA# LO-GLO-

2016-0009, CA-

CR# CR-GGN-2016-04834

11/13/2018

LO-CA# LO-GLO-

2016-0009,

CA-37

CR# CR-GGN-2016-04834

10/18/2018

LO-CA# LO-GLO-

2016-0009-CA-

34/35

CR# CR-GGN-2016-04834

LO-CA# LO-GLO-

2018-00081 CA

CR# CR-GGN-2016-02950

6/11/2019

LO-CA# LO-GLO-

2018-80 CA-15

CR# CR-GGN-2016-02950

2/26/2019

OE-NOE-2019-

267

[OE review of...] NRC-2-2017-032-IA-19-027, Confirmatory

Order Mechanical Planner at Vogtle was the Subject of

Employment Discrimination

OE-NOE-2019-

269

[OE review of...] CR-WF3-2018-00054 - NCV GREEN

Failure to Meet RG 1.9 Emergency Diesel Testing

Requirements during Surveillance Test Results in

Missed Surveillance

Inspection

Procedure

Type

Designation

Description or Title

Revision or

Date

OE-NOE-2019-

2

[OE review of...] NRC Information Notice 2019-09: Spent

Fuel Cask Movement Issues

Procedure

Request

(PR-PRGGN-)

2015-00777

SEG-04

System Engineering Strategy

006

Standing Order

18-0023

Procedure Changes Associated with 12/12/2018 Reactor

Scram

0, 1

Work Tracker

Document

(WT-WTGGN-)

2018-0311

Procedures

01-S-11-10

GGNS Employee's Security Responsibilities

055

2-S-01-27

Operations Section Procedure - Operation's Philosophy

04-1-01-E51-1

System Operating Instruction, Reactor Core Isolation Cooling

System

141

05-1-02-I-1

Reactor Scram

26

05-1-02-V-018

Electrical System Grounds

05-1-02-V-019

Loss of 125 VDC

05-1-02-V-020

Loss of Control Room Annunciators

05-1-02-V-21

Reactor Pressure Control Malfunctions

06-OP-1T48-M-

0003

Secondary Containment Integrity Check

2

11-S-51-3

Personnel, Packages, and Vehicle Searches

14-S-02-21

Preparer's Guide for Simulator Evaluation Scenarios

EN-DC-115

Engineering Change Process

EN-DC-117

Post-Modification Testing and Special Instructions

EN-DC-151

PSA Maintenance and Update

6, 7

EN-DC-159

System and Component Monitoring

EN-FAP-LI-001

Performance Improvement Review Group (PRG) Process

13, 14

EN-LI-102

Corrective Action Program

35, 38

EN-LI-104

Self-Assessment and Benchmark Process

14, 15

EN-LI-118

Cause Evaluation Process

28, 30

EN-LI-121

Trending and Performance Review Process

25, 26

Inspection

Procedure

Type

Designation

Description or Title

Revision or

Date

EN-MA-100

Maintenance Fundamentals Program

EN-NS-232

General Employee Security Responsibilities

EN-OM-126

Management and Oversight of Supplemental Personnel

EN-OM-126-3

Qualification of Supplemental Supervisors

EN-TQ-125

Fire Brigade Drills

8, 9, 10

Self-Assessments LO-GLO-2019-

00198-CA-1

Pre-NRC IP 92723 Inspection Assessment

10/10/2019