IR 05000445/1986001

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Ack Receipt of 861013,1104 & s Informing NRC of Steps Taken to Correct Violations Noted in Insp Repts 50-445/86-01 & 50-446/86-01
ML20207R791
Person / Time
Site: Comanche Peak  Luminant icon.png
Issue date: 03/06/1987
From: Johnson E
NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION IV)
To: Counsil W
TEXAS UTILITIES ELECTRIC CO. (TU ELECTRIC)
References
NUDOCS 8703180141
Preceding documents:
Download: ML20207R791 (2)


Text

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. i In Reply Refer To: MAR - 6 INT

. Dockets: 50-445/86-01 ,

50-446/86-01 TU Electric ATTN: Mr. W. G. Counsil Executive Vice President 400 North Olive, L.B. 81 Dallas, Texas 75201 Gentlemen:

Thank you for your letters of October 13, 1986, November 4, 1986, and

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~ January 9,1987, in response to our letters dated August 29, 1906, and December 3, 1986. 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.

Sincerely

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OMut Ebe'#7?d U t, H. Johnso .

E. H. Johnson, Director Division of Reactor Safety and Projects cc:

TU Electric ATTN: G. S. Keeley, Manager i Nuclear Licensing Skyway Tower 400 North Olive Street Lock Box 81 Dallas, Texas 75201 Juanita Ellis President - CASE 1426 South Polk Street Dallas, Texas 75224 l

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TU Electric -2-Renea Hicks Assistant Attorney General Environmental Protection Division P. O. Box 12548 Austin, Texas 78711-2548 Administrative Judge Peter Bloch U.S. Nuclear Regulatory Consission Washington, D.C. 20555 Elizabeth Administrative Judge Oak Ridge National Laboratory P. O. Box X. Building 3500 Oak Ridge, Tennessee 37830 Dr. Kenneth A. McCollom 1107 West Knapp Stillwater, Oklahoma 74075 Dr. Walter H. Jordan 881 Outer Drive Oak Ridge, Tennessee 37830 Anthony Roisman, Esq.

Executive Director Trial Lawyers for Public Justice 2000 P. Street, N.W. Suite 611 Washington, D.C. 20036 Texas Radiation Control Program Director bectoDMB(IE01)

bec distrib. by RIV:

  • RPB * MIS System
  • RRI-0PS *RSTS Operator
  • RRI-CONST *R&SPB
  • T. F. Westerman, RSB DRSP V. Noonan, NRR R. Martin, RA L. Chandler, 0GC *RSB
  • RIV File J. Taylor, IE
  • D. Weiss, RM/ALF J. Conklin, IE
  • I. Barnes, CPTG * Project Inspector
  • R. Hall

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File # 10130 IR 86-01 TEXAS UTILITIES GENERATING COMPANY IR 86-01 NKYW AY TOWER = 400 NORTH OLIV E NTRE,T. l.B. 85 8) ALIAS. TEXAM 7520B January 9, 1987 - t

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WILLIAM G COUNSIL

,.e Mr. Eric H. Johnson, Director )c i 3 l 391R (glU U

i Division of Reactor Safety and Projects }.

U. S. Nuclear Regulatory Commission jl

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611 Ryan Plaza Driye, Suite 1000 Arlington, TX 76011 SUBJECT: COMANCHE PEAK STEAM ELECTRIC STATION (CPSES)

DOCKET NOS.: 50-445 AND 50-446 INSPECTION REPORT NOS. 50-445/86-01 AND 50-446/86-01 SUPPLEMENTAL RESPONSE TO NRC NOTICE OF VIOLATION (NOV)

ITEM A AND NOTICE OF DEVIATION (N00) ITEMS B AND C REF: 1. TUGC0 Letter TXX-5048 from W. G. Counsil to E. dated October 13, 1986.

2. TUGC0 Letter TXX-6070 from W. G. Counsil to E. dated November 3, 1986.

Dear Mr. Johnson:

We have reviewed your letter dated December 3,1986, requesting additional information to our responses referenced above regarding NOV 445/8601-V-12 and 446/8601-V-03 (Item A) and N0D 445/8601-D-17 (Item 8.1), 445/8601-0-20 (Item B.2), 445/8601-D-19 (Item B.3), and 445/8601-D-18 (Item C). We hereby respond to the request for supplemental information in the attachment to this letter.

We requested and received an extension until January 9, 1987 in providing our response during a telephone conversation with Mr. T. F. Westerman on December 18, 1986.

Very truly yours, bh, hundl W. G. Coun il By:

G. S. Keeley

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Manager, Nuclear L ensing RSB/amb Attachment

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  • . '. TXX-6173 January 9, 1987 Page 2 of 2 c - NRC Region IV (0 + 1 copy)

Director, Inspection and Enforcement (15 copies)

U. S. Nuclear Regulatory Commission Washington, D. C. 20555 Mr. V. S. Noonan Mr. D. L. Kelley

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Attachment to TXX-6173

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January 9, 1987 Page 1 of 5 NOTICE OF VIOLATION ITEMS A.1 THROUGH A.6 (445/8601-V-12 AND 446/8601-V-03)

SUPPLEMENTAL REQUEST FOR INFORMATION With respect to Item A.1, you did not provide the " Reason for Violation" regarding your failure to implement the requirements of Procedure CP-QP-16.3 for Deviation Reports (DRs) which were generated for non-ASME components; e.g., HVAC equipment. Additionally, in regard to " Corrective Action Taken,"

please confirm that the review of DRs was not limited to just those associated with ASME equipment. With respect to Item A.4, staff review of Procedure CP-QAP-16.1, Revision 25, finds that the document literally requires that nonconforming items identified on nonconformance reports (NCRs) are to be clearly identified with signs, barriers, and/or hold tags. Accordingly, while we have no questions concerning the subsequent revision made to this procedure, we do not concur with your stated reason for disagreement with this finding. Therefore, please provide the information required by the NOV for this item.

With respect to Item A.6, your response indicates that you have restricted consideration of the violation to Comanche Peak Response Team (CPRT)

activities only. The fact that you acknowledged in the " Reason for Violation" for Item A.3, the existence of conditions outside of CPRT activities which were not documented on NCRs, supports the stated violation. Therefore, please provide the information required by the NOV for this item.

SUPPLEMENTAL RESPONSE TO ITEM A.1 The TUGC0 initial response to this item only addressed the failure to initiate NCR's for items falling under the ASME Section XI program since this was the only activity identified through the TUGC0 review of the QA/QC Coordinator's DR/NCR log where other than NCR's were written for DR's received from ERC.

NCR's were initiated for all ERC DR's generated for non-ASME components.

It appears that the absence of an NCR number in the QA/QC Coordinator's log led the NRC inspector to believe than an NCR was not intended to be initiated.

This was not the case. The DR number and date received were entered in QA/QC Coordinator's log upon receipt for tracking purposes and to assure action was taken. Subsequent to NCR issuance, the log was updated to reflect the corresponding NCR number, date issued and identification of the NCR initiator.

We acknowledge that during December 1985 and January 1986 some NCR's were not issued for up to 30 days after DR issuance. This was due primarily to the large number of DRs being generated and the holiday work schedule. We do not consider the delays to be excessive.

As you requested, TUGC0 confirms that its review of DR's encompassed all DR's rather than being limited to only those associated with ASME equipment.

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Attachment to TXX-6173 January 9, 1987 Page 2 of 5 NOTICE OF VIOLATION ITEMS A.1 THROUGH A.6 (445/8601-V-12 AND 446/8601-V-03)

SUPPLEMENTAL RESPONSE TO ITEM A.4 1. Reason for Violation:

Upon further review, TUGC0 agrees that a literal reading of the tagging criteria in CP-QAP-16.1, Revision 25, required the identification of all nonconforming items with signs, barriers, and/or hold tags. However, this was not the intent. The intent was to identify items not yet installed to prevent their inadvertent use or installation. It was not intended to identify items installed and functioning properly since the NCR provides adequate control of those items.

2. Corrective Action Taken:

CP-QAP-16.1, Revision 27, dated August 13, 1986, was issued to require the placement of hold tags on nonconforming items, where practicable, regardless of the stage of component processing. However, on December 22, 1986, a revision to the nonconformance identification and processing procedures was implemented by TUGCO. CP-QP-16.0, "Nonconformance", and its daughter instructions currently provide nonconformance identification requirements which include initial identification of nonconforming conditions on Construction Deficiency Reports (CDR). Tagging criteria is now contained in QI-QP-16.0-8, Revision 0, dated December 22, 1986.

Paragraph 3.4 of this procedure requires that " hold tags" be placed on deficient items if:

a. The item is not installed; or, b. Correction of the deficiency without QC witness would preclude proper reinspection.

3. Action to Prevent Recurrence:

The clarification of the procedure requirements provided by CP-QAP-16.1, Revision 27, and implementation of the current nonconformance reporting / identification requirements prevents recurrence of this '

violation.

4. Date of Full Compilance:

CPSES is currently in compitance.

SUPPLEMENTAL RESPONSE TO ITEM A.6 1. Reason for Violation:

The TUGC0 initial response to this item was restricted to consideration of CPRT-related activities because of the limited number of three-part memos initiated by IPC involving nonconforming conditions. The reason for IPC personnel issuing three-part memos in lieu of NCR's was the result of the controlling IPC procedure (IPC-P3) not requiring that NCR's be issued when the inspectors noted a deficiency that was out-of-scope from the inspection checklist.

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Attach:ent to TXX-6173 January 9, 1987 Page 3 of 5 NOTICE OF VIOLATION -

ITEMS A.1 THROUGH A.6 (445/8601-V-12 AND 446/8601-V-03)

SUPPLEMENTAL RESPONSE TO ITEM A.6 CONT'D 2. Corrective Action Taken:

As identified on NCR E86-200637, 53 out-of-scope three-part memos were initiated by IPC. Quality engineering evaluation of those memos determined that 30 of them documented nonconforming conditions which should have been documented on NCR's. The nonconforming conditions described on the 30 three-part memos have been documented on individual NCR's and included in the monthly trend analysis report. All NCR's were issued on or before 4/30/86. The initial failure to include those 30 items in the monthly trend analysis report did not impact the validity of the monthly reports. This conclusion is based on the unrelated nature of the nonconforming conditions and the relatively small number of the NCRs as compared to the average number of 1300 NCR's trended each month.

3. Action to Prevent Recurrence:

As stated in the response to Item A.3, the Inspection Surveillance Program required the initiation of an NCR for all discrepancies or concerns noted during surveillance activities. However, on December 22, 1986, a revision to the nonconformance identification and processing procedures was implemented by TUGCO. CP-QP-16.0, "Nonconformances", and its daughter instructions currently provide nonconformance identification requirements which includes initial identification of nonconforming conditions on Construction Deficiency Reports (CDR).

4. Date of Full Compliance:

CPSES is currently in compliance.

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Attachment to TXX-6173 January 9, 1987 Page 4 of 5 NOTICE OF DEVIATION ITEM B.1 (445/8601-D-17)

ITEM B.2 (445/8601-0-20)

ITEM B.3 (445/8601-D-19)

SUPPLEMENTAL REQUEST FOR INFORMATION With respect to items B.1, B.2, and B.3, please identify what specific documented actions were taken to prevent recurrence for each of the three stated examples.

SUPPLEMENTAL RESPONSE TO ITEMS 8.1, B.2, AND B.3 With respect to Items B.1, B.2, and B.3, documentation of action to prevent recurrence is contained in appropriate ERC files. The specific documented actions taken are meetings and discussions that took place between the affected inspector and the lead inspector, overview inspector or the QA/QC Population engineer. These documents are available for NRC review.

Additionally, an Overview Inspection Program was implemented to reinspect a sample of each inspector's work. Results of the Overview Inspection Program

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are complete and available for NRC review. The inspector for Verification Package No. I-M-LBC0-038 had an overall error rate of 0.19%. The inspector for Verification Package No. I-M-LBC0-144 had an overall error rate of 2.68%.

Based on these results and the documented discussions stated above, no further action to prevent recurrence is required.

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Attachment to TXX-6173 January 9, 1987 Page 5 of 5 NOTICE OF DEVIATION ITEM C (445/8601-D-18)

SUPPLEMENTAL REQUEST FOR INFORMATION Please clarify whether surveillance and/or audits have specifically addressed the work activities of the QA/QC engineer applicable to this deviation.

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SUPPLEMENTAL RESPONSE TO ITEM C With respect to Item C, ERC QA surveillance number II 85-20 specifically addressed the work activities of the QA/QC engineer applicable to the Large Bore Piping Configuration (LBC0) population. This surveillance is available for NRC review.

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