Similar Documents at Perry |
---|
Category:Letter
MONTHYEARL-24-208, License Renewal Application for the Perry Nuclear Power Plant - Responses to Request for Additional Information - Round 1 (Set 2)2024-10-0202 October 2024 License Renewal Application for the Perry Nuclear Power Plant - Responses to Request for Additional Information - Round 1 (Set 2) ML24134A1522024-09-17017 September 2024 Exemption from the Requirements of 10 CFR 50.71(e)(4) Final Safety Analysis Report Update Schedule (EPID L-2024-LLE-0005) - Letter L-24-207, License Renewal Application for the Perry Nuclear Power Plant-Response to Request for Additional Information - Set 12024-09-16016 September 2024 License Renewal Application for the Perry Nuclear Power Plant-Response to Request for Additional Information - Set 1 ML24225A0512024-09-13013 September 2024 Issuance of Alternative Request VR-9, Revision 0, Associated with the Fourth 10-Year Inservice Testing Interval ML24256A0872024-09-11011 September 2024 Fws to NRC, Concurrence with Endangered Species Act Nlaa Determinations for Perry License Renewal L-24-201, Spent Fuel Storage Cask Registration2024-09-0909 September 2024 Spent Fuel Storage Cask Registration ML24250A0412024-09-0606 September 2024 Fws to NRC, Perry Nuclear Plant, Unit 1, License Renewal List of Threatened and Endangered Species That May Occur in Your Proposed Project Location or May Be Affected ML24249A0882024-09-0606 September 2024 Letter to Rickey Armstrong, President_ Re. NOA of the Draft Site-Specific EIS and Finding of No Historic Properties Affected by Perry Plant Unit 1 Lr ML24249A0752024-09-0606 September 2024 Letter to Charles Diebold, Chief_ Re. NOA of the Draft Site-Specific EIS and Finding of No Historic Properties Affected by Perry Plant Unit 1 Lr ML24249A0782024-09-0606 September 2024 Ltr. to Kenneth Meshigaud, Chairperson, _ Re., NOA of the Draft Site-Specific EIS and Finding of No Historic Properties Affected by Perry Plant Unit 1 Lr ML24249A0862024-09-0606 September 2024 Letter to Regina Gasco-Bentley, Chairperson_ Re. NOA of the Draft Site-Specific EIS and Finding of No Historic Properties Affected by Perry Plant Unit 1 Lr ML24249A0762024-09-0606 September 2024 Letter to Douglas Lankford, Chief_ Re. NOA of the Draft Site-Specific EIS and Finding of No Historic Properties Affected by Perry Plant Unit 1 Lr ML24166A0172024-09-0606 September 2024 Ltr. to Glenna Wallace, Chief, Eastern Shawnee Tribe of Oklahoma; Re., NOA of the Draft Site-Specific EIS and Finding of No Historic Properties Affected by Perry Plant Unit 1 Lr ML24247A0212024-09-0606 September 2024 NRC Request for Concurrence with Endangered Species Act Determinations for Perry License Renewal, Issuance of Draft Supplemental Environmental Impact Statement, and Opportunity for Public Comment (Consultation Code: 2024-0006782) L-24-200, License Renewal Application for Revision to Supplement 4 for Editorial Corrections2024-09-0505 September 2024 License Renewal Application for Revision to Supplement 4 for Editorial Corrections ML24228A1702024-09-0303 September 2024 Ltr to Rod L. Penfield-Perry Nuclear Power Plant Unit 1-Notice of Avail of the Draft Supp 61 to the GEIS for License Renew of Nuclear Plants ML24228A1712024-09-0303 September 2024 Ltr to Brian Dickens, EPA-Perry Nuclear Power Plant Unit 1-Notice of Avail of the Draft Supp 61 to the GEIS for License Renew of Nuclear Plants ML24240A1482024-08-27027 August 2024 Notification of an NRC Biennial Licensed Operator Requalification Program Inspection and Request for Information L-24-188, Submittal of Quality Assurance Program Manual, Revision 302024-08-27027 August 2024 Submittal of Quality Assurance Program Manual, Revision 30 L-24-190, Spent Fuel Storage Cask Registration2024-08-26026 August 2024 Spent Fuel Storage Cask Registration ML24239A7782024-08-26026 August 2024 Aging Management Audit - Perry Unit 1 - License Renewal Application August 26 2024 IR 05000440/20240052024-08-22022 August 2024 Updated Inspection Plan for Perry Nuclear Power Plant (Report 05000440/2024005) L-24-186, Response to RAI for Exemption Request from 10 CFR 50.71(e)(4) Final Safety Analysis Update Schedule2024-08-15015 August 2024 Response to RAI for Exemption Request from 10 CFR 50.71(e)(4) Final Safety Analysis Update Schedule L-24-174, Response to Perry Nuclear Power Plant License Renewal Environmental Report Severe Accident Mitigation Alternatives 2nd Round Request for Additional Information2024-08-15015 August 2024 Response to Perry Nuclear Power Plant License Renewal Environmental Report Severe Accident Mitigation Alternatives 2nd Round Request for Additional Information IR 05000440/20240022024-08-0808 August 2024 Integrated Inspection Report 05000440/2024002 L-24-178, License Renewal Application Revision O - Supplement 42024-08-0808 August 2024 License Renewal Application Revision O - Supplement 4 L-24-189, License Renewal Application for Revision O - Supplement 12024-08-0707 August 2024 License Renewal Application for Revision O - Supplement 1 L-24-171, Spent Fuel Storage Cask Registration2024-07-30030 July 2024 Spent Fuel Storage Cask Registration ML24150A2022024-07-25025 July 2024 Letter to Rod L. Penfield-Perry Nuclear Power Plant Unit 1-License Renewal Scoping Summary Rpt L-24-108, License Renewal Application, Revision 0 - Supplement 32024-07-24024 July 2024 License Renewal Application, Revision 0 - Supplement 3 L-24-168, Technical Specification Required Shutdown Due to Increase in RCS Unidentified Leakage2024-07-15015 July 2024 Technical Specification Required Shutdown Due to Increase in RCS Unidentified Leakage IR 05000440/20244012024-07-0909 July 2024 Security Baseline Inspection Report 05000440/2024401 L-24-155, Reactor Water Clean Up Leak Detection Loss of Safety Function2024-06-27027 June 2024 Reactor Water Clean Up Leak Detection Loss of Safety Function L-24-036, Annual 10 CFR 50.46 Report of Changes to or Errors in Emergency Core Cooling System Evaluation Models2024-06-27027 June 2024 Annual 10 CFR 50.46 Report of Changes to or Errors in Emergency Core Cooling System Evaluation Models L-24-020, License Renewal Application for the Perry Nuclear Power Plant Revision 0, Supplement 22024-06-27027 June 2024 License Renewal Application for the Perry Nuclear Power Plant Revision 0, Supplement 2 L-24-140, Operation of the Residual Heat Removal Loops B and C Alternate Keep Fill Configuration Was Prohibited by Technical Specifications and Resulted in an Unanalyzed Condition2024-06-20020 June 2024 Operation of the Residual Heat Removal Loops B and C Alternate Keep Fill Configuration Was Prohibited by Technical Specifications and Resulted in an Unanalyzed Condition IR 05000440/20240112024-06-17017 June 2024 Fire Protection Team Inspection Report 05000440/2024011 ML24157A3782024-06-0606 June 2024 – Revised Request for Information for NRC License Renewal Inspection: Inspection Report 05000440/2024010 ML24141A1632024-05-20020 May 2024 Information Request to Support the NRC Annual Baseline Emergency Action Level and Emergency Plan Changes Inspection L-24-116, Response to License Renewal Environmental Report Severe Accident Mitigation Alternatives Requests for Additional Information and Request for Clarification2024-05-16016 May 2024 Response to License Renewal Environmental Report Severe Accident Mitigation Alternatives Requests for Additional Information and Request for Clarification L-24-085, Nudear Power Plant, Submittal of Emergency Plan, Revision 622024-05-0606 May 2024 Nudear Power Plant, Submittal of Emergency Plan, Revision 62 L-24-103, Response to NRC Regulatory Issue Summary 2024-01, Preparation & Scheduling of Operator Licensing Exams2024-05-0202 May 2024 Response to NRC Regulatory Issue Summary 2024-01, Preparation & Scheduling of Operator Licensing Exams ML24117A1222024-04-26026 April 2024 Confirmation of Initial License Examination IR 05000440/20240012024-04-24024 April 2024 Integrated Inspection Report 05000440/2024001 L-24-097, Submittal of 2023 Annual Radiological Effluent Release Report2024-04-22022 April 2024 Submittal of 2023 Annual Radiological Effluent Release Report L-24-096, Submittal of Annual Radiological Environmental Operating Report2024-04-22022 April 2024 Submittal of Annual Radiological Environmental Operating Report ML24095A3282024-04-19019 April 2024 License Renewal Revised Schedule Letter L-24-066, Response to Request for Additional Information Regarding 10 CFR 50.55a Request Number VR-9, Feedwater Check Valve Exercising Test Frequency2024-04-15015 April 2024 Response to Request for Additional Information Regarding 10 CFR 50.55a Request Number VR-9, Feedwater Check Valve Exercising Test Frequency L-24-083, Response to License Renewal Environmental Report Requests for Additional Information and Request for Clarification2024-04-15015 April 2024 Response to License Renewal Environmental Report Requests for Additional Information and Request for Clarification ML24088A1922024-03-28028 March 2024 Request for Information for NRC License Renewal Inspection: Inspection Report 05000440/2024010 2024-09-09
[Table view] Category:Notice of Violation
MONTHYEARIR 05000440/20170102017-08-24024 August 2017 EA-17-043 Perry Nuclear Power Plant - Final Significance Determination of a White Finding and Notice of Violation; NRC Inspection Report 05000440/2017010 and Assessment Follow-Up Letter ML15341A0992015-12-0404 December 2015 IR 05000440/2015010, August 27, 2015 Through November 23, 2015, Perry Nuclear Power Plant Routine Baseline Inspection IR 05000440/20110142011-08-25025 August 2011 EA-11-148, Perry Nuclear Power Plant, Final Significance Determination of White Finding with Assessment Followup and Notice of Violation, NRC Inspection Report No. 05000440-11-014 IR 05000440/20100082010-07-30030 July 2010 IR 05000440-10-008 and Notice of Violation on 07/16/10 for Perry Nuclear Power Plant, Unit 1 IR 05000440/20050072005-03-29029 March 2005 EA-04-214, Perry Nuclear Power Plant, Final Significance Determination for a White Finding and Notice of Violation (NRC Inspection Report No. 05000440-05-007(DRS)) ML0505600262005-02-24024 February 2005 EA-01-082; EA-04-172, Williams Power, Notice of Violation ML0409701602004-04-0101 April 2004 EA-03-208, Perry, Notice of Violation IR 05000440/20040062004-03-12012 March 2004 EA-04-020, Perry Nuclear Power Plant, Notice of Violation for IR 05000440-04-006 IR 05000440/20040052004-01-28028 January 2004 Final Significance Determination for a White Finding - NRC IR 05000440-04-005) IR 05000440/20040032004-01-23023 January 2004 Re Final Significance Determination for a White Finding and Notice of Violation (NRC Inspection Report No. 05000440-04-03) IR 05000440/20020082003-03-0404 March 2003 Final Significance Determination for a White Finding and Notice of Violation (IR 05000440-02-008) ML0233706952002-11-27027 November 2002 IA-02-052, Mcgrath, Notice of Violation Perry, Unit 1 Fire Alarm on 04/16/2002 2017-08-24
[Table view] |
Inspection Report - Perry - 2004003 |
---|
|
|
Text
ary 23, 2004
SUBJECT:
PERRY NUCLEAR POWER PLANT FINAL SIGNIFICANCE DETERMINATION FOR A WHITE FINDING AND NOTICE OF VIOLATION (NRC INSPECTION REPORT NO. 50-440/04-03)
Dear Mr. Kanda:
The purpose of this letter is to provide you with the final results of our significance determination of the preliminary White finding identified in Inspection Report No. 50-440/03-06.
The inspection finding was assessed using the significance determination process and was preliminarily characterized as White (i.e., a finding with low to moderate increased importance to safety, which may require additional NRC inspections). This preliminary White finding concerned the failure to follow the requirements of the Perry Emergency Plan during an Alert level event on April 24, 2003.
The finding involved an undue delay in declaring an actual emergency condition on April 24, 2003, when the shift manager did not properly classify the event in a timely manner in accordance with your emergency plan when damage to irradiated fuel caused a high alarm on the fuel handling building ventilation exhaust gaseous radiation monitor. This finding was preliminarily classified as White because it involved a failure to implement a risk significant planning standard. This preliminary White finding was associated with an apparent violation of 10 CFR 50.47.
In our letter dated October 30, 2003, transmitting the inspection report, we provided FirstEnergy Nuclear Operating Company (FENOC) an opportunity to request a Regulatory Conference or provide a written response. At your request, a Regulatory Conference was held on December 9, 2003, at the Region III Office in Lisle, IL. A copy of the handout you provided at the conference has been entered in the NRCs document system (ADAMS) and is accessible from the NRC Web site at http://www.nrc.gov/reading-rm/adams.html, ADAMS accession number ML033500224.
During the conference, you agreed with the NRCs preliminary assessment of the violation and use of the significance determination process, however you requested that the NRC use discretion in determining the significance of the violation. You also believed that the significance would be more appropriately characterized as Green since: (1) actions had been taken to protect onsite personnel; (2) the duration of the building ventilation radiation monitor alarm was short (less than one minute); (3) the building ventilation radiation monitor was in close proximity to the bubbles from the damaged fuel (from which you concluded the exhaust air that activated the alarm may not have been a representative sample of the buildings air);
(4) the technicians inspecting the fuel did not associate bubbles from the damaged fuel to the building alarms (due to many past similar occurrences); (5) there was no significant release to pose a threat to the public health and safety; and (6) your root cause evaluation and corrective actions taken were thorough.
Your presentation and slides identified the results of your root cause evaluation issues which included: (1) the failure to communicate timely information concerning the failed fuel to the control room; (2) the lack of adequate roles and responsibilities for the fuel handling building activities; and (3) the shift managers ineffective assessment of plant conditions and delayed response to those conditions. The presentation also included slides of the event timeline, your root cause evaluation, corrective actions, regulatory and radiological considerations.
The NRC acknowledges that: (1) there was no impact on actions to protect public health and safety; (2) actions were taken to protect onsite personnel; (3) there was no significant radiological impact to onsite personnel; and (4) your root cause evaluation appeared to capture the major factors of the event. However, the NRC concludes that your emergency classification system was not properly used during the event. After completing safety actions, as appropriate (i.e., area evacuations and ensuring safe plant conditions), the shift manager did not carry out his continuing responsibilities to review emergency action levels, classify the event, and fulfill the duties of the Emergency Coordinator. Specifically, once the possibility that there was fuel damage was brought to his attention 20 to 30 minutes into the event, the shift manager failed to promptly use the emergency classification scheme as required by the Perry Emergency Plan in accordance with 10 CFR 50.47 (b)(4), and consequently, the event classification was unnecessarily delayed.
With respect to your position that there was no safety significance to this event, the NRC recognizes that the safety significance of this particular event was low. Per the emergency preparedness SDP (during an actual event), significance is based on the event classification level, and whether or not there was a failure to implement a risk significant planning standard.
During the time period noted above, the shift manager failed to implement a risk significant planning standard during an Alert condition. The failure to implement a risk significant planning standard is important to safety, since the emergency classification is the trigger for ensuring that emergency response personnel and equipment are quickly in place if it becomes necessary to implement actions to protect the public health and safety. In addition, timely emergency classification allows the state and surrounding counties the time necessary to assess conditions, staff their facilities, and make informed decisions for protecting public safety. Such a finding is considered White in accordance with IMC 0609, Appendix B, and has low to moderate importance to safety.
After considering the information developed during the inspection and at the Regulatory Conference, the NRC has concluded that the inspection finding is appropriately characterized as White (i.e., an issue with low to moderate increased importance to safety, which may require additional NRC inspections). You have 30 calendar days from the date of this letter to appeal the staffs determination of significance for the identified White finding. Such appeals will be considered to have merit only if they meet the criteria given in NRC Inspection Manual Chapter 0609, Attachment 2.
The NRC has also determined that the failure to properly implement the standard emergency classification and action level scheme resulting in an undue delay in declaring an actual emergency is a violation of 10 CFR 50.47(b)(4), as cited in the enclosed Notice of Violation (Notice). The circumstances surrounding the violation are described in detail in the subject inspection report. In accordance with the NRC Enforcement Policy, NUREG-1600, the Notice of Violation is considered escalated enforcement action because it is associated with a White finding.
Because plant performance for this issue has been determined to be in the regulatory response band, we will use the NRC Action Matrix, to determine the most appropriate NRC response for this event. We will notify you, by separate correspondence, of that determination.
In accordance with 10 CFR 2.790 of the NRC's "Rules of Practice," a copy of this letter, its enclosure, and your response, if any, will be made available electronically for public inspection in the NRC Public Document Room or from the NRCs document system (ADAMS), accessible from the NRC Web site at http://www.nrc.gov/reading-rm/adams.html. To the extent possible, your response should not include any personal privacy, proprietary, or safeguards information so that it can be made available to the Public without redaction. The NRC also includes significant enforcement actions on its Web site at www.nrc.gov; select What We Do, Enforcement, then Significant Enforcement Actions.
Sincerely,
/RA by Geoffrey Grant Acting for/
James L. Caldwell Regional Administrator Docket No. 50-440 License No. NPF-58 Enclosure: 1. Notice of Violation 2. Licensee Presentation ADAMS Accession #033500224 3. Regulatory Conference Attendance List See Attached Distribution