IR 05000461/1988009

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Insp Rept 50-461/88-09 on 880404-0518.No Violations Noted. Major Areas Inspected:Licensee Action on Previous Insp Findings & Onsite Followup of Written Repts of Nonroutine Events at Power Reactor Facilities
ML20155C911
Person / Time
Site: Clinton Constellation icon.png
Issue date: 06/08/1988
From: Cooper R
NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION III)
To:
Shared Package
ML20155C901 List:
References
50-461-88-09, 50-461-88-9, NUDOCS 8806140380
Download: ML20155C911 (29)


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U.S. NUCLEAR REGULATORY COMMISSION

REGION III

Report No. 50-461/88009(DRP)

Docket No. 50-461 License No. NPF-62 Licensee: Illinois Power Company 500 South 27th Street Decatur, IL 62525 Facility Name: Clinton Power Station Inspection At: Clinton Site, Clinton, Illinois Inspection Conducted: April 4 through May 18, 1988 Inspectors: P. Hiland S. Ray D. Calhoun Approved By: W. )$^

Cooper,hf*E&%

Chief r///#

Reactor Projects Section 3B _Date ' '

Inspection Summary

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Inspection on April 4 through May 18, 1988 (Report No. 50-461/88009(DRP))

Areas Inspected: Routine, unannounced safety inspection by the resident inspectors of licensee action on previous inspection findings;~onsite followup of written reports of nonroutine events at power reactor facilities; verification of containment integrity; operational safety verification; engineered safety feature system walkdown; monthly maintenance observation; monthly surveillance observation; training effectiveness; onsite followup of events at operating reactors; and environmental qualificatio Results: Of the 10 areas inspected, 3 4olations were identified in the area of operational safety verification and 1 ilation was identified in the area of engineered safety feature system walkdc- . The identified violations included: failure to perform a shiftly surveillance (Paragraph 5.a); failure to perform a required leak rate test following maintenance (Paragraph 5.b);

failure to maintain secondary containment integrity (Paragraph 5.c); and

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failure to take prompt corrective action for a condition adverse to plant i

safety (Paragraph 6.a.(8)). In addition to the identified violations, two unresolved items wc;:a identified in the area of environmental qualification:

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one unresolved item concerned Weed thermocouples lacking sealant (Paragraph 11.b); and the second unresolved item concerned Weed RTDs lacking sealant (Paragraph 11.c). All of the above violations and unresolved items are receiving licensee management attentio .

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DETAILS Personnel Contacted Illinois Powe. Company (IP)

W. Kelley, President W. Gerstner, Executive Vice President

  • D. Hall, Vice President, Nuclear K. Baker, Supervisor, I&E Interface
  • J. Brownell, Project Engineer / Specialist
  • E. Bush, Director, Nuclear Program Scheduling R. Campbell, Manager, Quality Assurance J. Cook, Manager, Nuclear Planning and Support
  • Corrigan, Director, Quality Engineering and Verification R. Freeman, Manager, Nuclear Station Engineering Department K. Graf, Director, Operations Monitoring Program D. Holesinger, Assistant Manager, Clinton Power Station
  • E. Kant, Director, Design and Analysis Engineering
  • A. Mcdonald, Director, Nuclear Program Assessment J. Miller, Manager, Scheduling & Outage Management J. Perry, Manager, Nuclear Program Coordination
  • R. Schultz, Director, Planning and Programming F. Spangenberg, Manager, Licensing & Safety
  • J. Weaver, Director, Licensing
  • J. Wilson, Manager, Clinton Power Station
  • R. Wyatt, Director, Nuclear Training Department Soyland/WIPC0 J. Greenwood, Manager, Power Supply

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Nuclear Regulatory Commission

  • P. Hiland, Senior Resident Inspector, Clinton
  • S. Ray, Resident Inspector, Clinton R. Knop, Chief, Branch 3, Region III R. Cooper, Chief, Section 3B, Region III D. Calhoun, Reactor Inspector, Region III
  • Denotes those attending the monthly exit meeting on May 18, 1988.

The inspectors also contacted and interviewed other licensee and contractor personne . Previously Identified Items (92701)(92702) (0 pen) Open Item (461/87031-01): Periodic Inspection of Seismic Monitoring Instrumentatio . .

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During this inspection period, the licensee received a letter from NRR staf f member J. Stevens to F. Spangenberg dated April 5,198 That letter described the findings and observations of a visit by NRR staff member G. Giese-Koch in regard to seismic monitoring instrumentation at Clinton Power Station. The letter requested a response addressing the actions which have been taken or are contemplated to improve the reliability of the seismic instrumentation and the plant response procedures. This item will remain open pending NRR review of the licensee's respons (Closed) Violation (461/87039-01): Two Examples of Failure to Meet Technical Specification Requirements. The licensee failed to meet the 2 hour2.314815e-5 days <br />5.555556e-4 hours <br />3.306878e-6 weeks <br />7.61e-7 months <br /> Action statement for an inoperable Containment and Reactor Vessel Isolation Control System (CRVICS) instrument. In addition, the licensee failed to maintain the Standby Gas Treatment System (SGTS) Exhaust High Range Radioactivity Monitor operable due to a missing particulate filter pape The licensee responded to the subject violation via IP letter U-601143, dated February 25, 1988, in a timely manner. During the report period, the inspectors reviewed the licensee's response to the subject violation as discussed belo (1) Upon recognition that the CRVICS instrument was inoperable, the licensee placed the instrument in a tripped condition and complied with the applicable Limiting Condition for Operation (LCO). The appropriate shift personnel were counselled on the

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error that had been made. In addition, plant operators were trained on the definitions of trip channel, system and functio The inspectors verified through review of training records that corrective action, as stated in the licensee's response was completed. The licensee reported this Technical Specification violation via LER 87-069-00 dated December 31, .

1987. The LER was closed in paragraph 3.h. of this repor (2) Upon recognition that the SGTS High Range Radioactivity Monitor was inoperable due to missing particulate filter paper, the licensee installed the particulate assembly and properly sealed the sample assembly. Plant procedures governing the calibration and monthly channel checks were revised to provide a signature verification of the filter installatio' The licensee reported this Technical Specification violation via LER 87-068-00 dated January 13, 198 The LER was closed in paragraph 3.b. of this repor Based on the inspectors' verification that corrective actions as stated in the licensee's response to this violation were completed, this item is close No violations or deviations were identifie . .-_- _ - - - - - _ . - - . -. ._

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' Onsite Followup Of Written Reports Of Nonroutine Events At Power Reactor Facilities (92700)

For the Licensee Event Reports (LERs) listed below, the inspector performed an onsite followup inspection to determine whether responses to the events were adequate and met regulatory requirements, license l conditions, and commitments and to determine whether the licensee had l taken corrective actions as stated in the LER (Closed) LER 87-021-00 (461/87021-LL): Automatic Isolation of Reactor Core Isolation Cooling System Due to Utility Personnel '

Erro This LER was previously reviewed in Inspection Report 50-461/88003, Paragraph 5.b. At the time of that inspection this LER remained open pending completion of corrective actions on LER No. 87-064-0 LER No. 87-064-00 was inspected and closed below in Paragraph l This resolves the inspectors' concerns on LER No. 87-021-00. This item is close ,

, (Closed) LER 87-040-00 (461/87040-LL): Violation of the Plant's Technical Specifications Due to Utility Personnel Error and LER No. 87-068-00 (461/87068-LL): Error by Indeterminable Person Results in Inoperable Standby Gas Treatment System High Range Radioactivity Monitor Due to Missing Particulate Filter Pape LER No. 87-040-00 was previously reviewed in Inspection Report 50-461/87031, Paragraph 10.c.(2). At the time of that inspection, this event was considered a licensee identified violation for which no Notice of Violation was issued (461/87031-08). LER No. 87-068-00 was previously discussed in Inspection Report 50-461/87039, Paragraph 9.b.(2) and was one of two examples of a violation (461/87039-018). That violation was closed above in Paragraph Both of these events were similar and included many common corrective actions. The inspectors reviewed revisions to the particulate monitor calibration, sampling, and channel check procedures to verify that they had been changed to include signature verification of particulate filter presence during each of those evolutions. The inspectors also reviewed training records to verify that the lessons learned from these LERs had been emphasized to the appropriate personnel. These items are close (Closed) LER 87-059-00 (461/87059-LL): Reactor Core Isolation Cooling Isolation Resulting From Control and Instrumentation Technician Miswiring of Temporary Jumper Cabl This event was previously discussed in Inspection Report 50-461/87032, Paragraph 10.b.(12). The inspectors reviewed revised procedures discussed in the LER to verify that they had been changed to incorporate continuity checks and functional verifications of

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multiconductor cables used in temporary applications. The inspectors also reviewed training records of applicable personnel to verify training in the lessons learned from this even This item is close d. (Closed) LER 87-060-00 (461/87060-LL): Misoperation of Non-Class 1E 125 volts Direct Current Breaker By Utility Non-Licensed Operator Resulting in Automatic Reactor Tri This event was previously discussed in Inspection Report 50-461/87032, Paragraph 10.b.(13). The inspectors reviewed the Post Trip Review Report completed as a result of this trip and verified tMt the cause of the trip and the plant response was adequately understood prior to restar Corrective actions <erified by the inspectors included installing operator aid diagrams on Motor Control Centers 1DC16E and 10C17E and installiig le 's identifying the locations af the distribution panel me kers. With the above corrective actions completed, existing des and training lesson plans and qualification car / Jequate. This item is close e. (Closed) LER 87-062-00 (461/87062-LL): Unacceptable Leakage Rates Through Main Steam Isolation Valves (MSIVs).

This event was previously discussed in Inspection Report 50-461/87036, Paragraph 11.b.(2). During preplanned Local Leak Rate Testing (LLRT)

on the MSIVs after completion of the Clinton startup test program, the licensee identified leakage in excess of the Technical Specification allowable leakage rate of 28 standard cubic feet per hour per lin The licensee attributed the cause of this event to various anomalies in the seating surfaces of the affected inboard and outboard MSIV Six MSIVs were reworked by lapping the seats and machining the valve poppets. As documented in Inspection Report 50-461/87036, Paragraphs 7 and 8; and Inspection Report 50-461/87035, Paragraph 3.b.(2), the inspectors witnessed portions of the MSIV rework and performance of the post maintenance local ieak rate test Based on successful completion of the corrective action as stated in the LER, this item is close f. (Closed) LER No. 87-064-00 (461/87064-LL): Inadequate Procedure and Inadequate Electricai Technicians Impact Matrix for Undervoltage Relay Removal Results in Division 3 Diesel Generator Auto-Star This event was previously discussed in Inspection Report 50-461/87036, Paragraph 11.b.(4). The inspectors reviewed the licensee's training records to verify all applicable personnel had received training on the lessons learne The inspectors also reviewed the procedure being used at the time of the event as well as other similar procedures to verify revisions had been incorporated ,,hich should prevent similar actuations. This LER is close ..

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, (Closed) LER No. 87-066-00 (461/87066-LL): Failure of Junction Boxes to Meet Environmental Qualifications Due to Construction Contractor Failure to Install Drainage Opening This LER was a result of licensee inspections conducted as a result of a condition in one junction box discovered during an environmental qualification inspection conducted by regional specialist The single condition was made part of a severity level V violation (50-461/87026-03b). When licensee inspections indicated the missing weep hole condition existed in 156 junction boxes, the condition was included as part of an escalated enforcement package for which a conference with the licensee was held on March 31, 1988, at the regional office This event was also discussed in Inspection Report 50-461/87036, Paragraph 11.b.(6). The inspectors reviewed the LER for completeness and accuracy and verified by review of completed Maintenance Work Request C-45539, Field Alteration E-F007 and licensee training records that all corrective actions described in the LER had been complete This LER is close (Closed) LER 87-069-00 (461/87069-LL): Licensed Operator Oversight During Review of Surveillance Impact Matrix Results in Inoperable Containment Isolation Function of Valv This event was previously discussed in Inspection Report 50-461/87039, Paragraph 9.b.(1) where it was one of two examples of a violation (461/87039-01A). The violation was closed in Paragraph 2.b. of this repor The corrective actions in the LER were reviewed along with the response to the Notice of Violatio This item is close (Closed) LER 87-070-00 (461/87070-LL): Inadequate Research Into Surveillance Instrumentation Design Basis Results in Inoperable Drywell High Pressure Transmitters Due to Unqualified Material *

Installatio This event was previously discussed in Inspection Report 50-461/87039, Paragraph 9.b.(3). At the time of that inspection, the event was considered a licensee identified violation (461/87039-02) for which a Notice of Violation was not issue During this report period, the inspectors reviewed the licensee's corrective action as stated in the subject LE As discussed in the LER, a contributor to this event was the licensee's administrative procedure for the control of Temporary Modifications. At the time of event occurrence, Administrative Procedure CPS No. 1014.03, "Temporary Modifications" allowed the installation of a temporary modification prior to the "full" review and approval of the safety evaluatio Licensee's corrective action to this event included revising CPS No. 1014.03 to require the

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Facility Review Group (FRG) approval of the safety evaluation prior to installation of a temporary modificatio In addition, the licensee provided training to approoriate staff personnel on the

"lessons learned" from this even The inspectors verified that the corrective actions as stated in the LER were completed by review of CPS No. 1014.03, "Temporary Modifications", Revision 12, dated December 18, 1987, which required in Paragraph 8.2.3.1., the FRG approval of required safety evaluations prior to temporary modification installatio In addition, the inspectors verified through review of training records, that appropriate personnel had been trained on the lessons learned from this event. This item is close (Closed) LER No. 88-001-00 (461/88001-LL): Isolation of Reactor Water Cleanup System During Trending of Main Steamline Tunnel Temperatures Due to Random Failure of a Temperature Modul This event was previously discussed in Inspection Report 50-461/87039, Paragraph 9.b.(4). The inspectors reviewed completed Maintenance Work Request C-44135 which replaced the temperature module as stated in toe LER. The licensee also conducted extensive bench testing of the old module in an attempt to duplicate the proble During that testing, static electricity, mechanical or electrical noise and improper component upgrades were eliminated as possible causes of the actuation. One additional spurious trip occurred during bench testing but the exact cause beyond random component failure could not be established. The licensee contacted other plants which used similarly designed systems and determined that unexpected trips of this type of temperature module were not uncommon despite component upgrades which attempted to eliminate spurious trip The trips generally occurred when placing the READ / SET switch to the READ position. Some other plants had revised their procedures to utilize ,

the system bypass switches when reading the module outputs. The licensee's Nuclear Station Engineering Department recommended that CPS operating procedures be revised to utilize the system bypass switch when obtaining shiftly room temperature readings on one-out-of-one trip logic module The inspectors reviewed CPS No. 9000.010001, Revision 29, Control Room Operator Surveillance Log - Mode 1, 2, 3 Data Sheet, to verify that a caution concerning the use of the bypass switches and the requirement to log the repositioning of the bypass switches had been incorporated into the procedure. This item is close (Closed) LER No. 88-002-00 (461/88002-LL): Auto-Start of Standby Gas Treatment System Results From Spurious Electrical Spike of Process Radiation Monitor Output Due to Detector Tube Failur *

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This event was previously discussed in inspection Report 50-461/87039, Paragraph 9.b.(6). Corrective actions stated in the LER consisted of repairing the failed detector and a review of the LER for lessons learned by operations and maintenance supervision. The inspectors verified that those actions had been completed. In the critique of this event, held by the Assistant Manager - Plant Operations, it was noted that neither monitor 1PR042A, which had a Maintenance Work Request (MWR) written on December 14, 1987, to correct a spurious spiking problem, nor IPR 0420, which had a MWR written on January 5, 1988, due to a failed channel functional test, had received adequate priority to expedite the repair The critique determined that one of the causes for the lack of priority was that the "Plant Impact" column for the "Significant Equipment Out of Service" section of the plant manager's Daily Activity Schedule was not being used. The Assistant Manager - Plant Operations directed that the "Plant Impact" column be used on the Daily Activity Schedule as a corrective action resulting from the critique. On April 25, 1988, the inspectors pointed out to the Assistant Manager - Plant Operations that the

"Plant Impact" column was still not being used. He took immediate actions to correct the situatio This item is close No violations or deviations were identifie . Verification of Containment Integrity (61715)

The inspectors conducted a walkdown of a sample of 10 containment penetrations prior to plant heatup above 200 degrees Fahrenhei Among the attributes inspected were the proper positions of valves, indications of automatic isolation valve operability, and securing in position of manual isolation valves required to be secured by Technical Specification The inspectors also witnessed the performance of several local leak rate tests (LLRTs) of the containment air locks. The following discrepancies were note . The Limitorque cover was loose on valve 1VP015A, Drywell Chill Water A Return Outboard Isolation. The inspectors informed the Supervisor - Plant Operations who had the cover tightened immediately, The handwheel retaf n: * ring was off on valve 1VP015B, Drywell Chill Water B Return Outboara Isolation, allowing the handwheel to ride up the valve operating shaf The valve had a dcficiency tag dated February 1988, identifying the condition. The inspectors questioned the operability of the valve and the operating crew demonstrated that the valve would still operate both manually and with the motor operato The lock wire was broken on valve IVPO44B, Chill Water Supply Heade B Test Connection. The inspectors noted that the condition was also discovered and corrected by operators conducting containment valve lineup surveillances shortly after the condition was noted by the inspector .- _ . . .-- . _

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. . . The outboard equalizing valve was ihoperable on the upper containment personnel air lock. The Supervisor - Plant Operations stated that they were aware of the condition and the' valve would be repaired prior to heatup. Although the valve was later repaired, the repairs involved disassembly and the overall air lock leakage test required by Technical Specification 4.6.1.3.b.2 was not conducted prior to establishing primary containment integrity. This event is discussed below in Paragraph While witnessing the door seal LLRT on the upper containment air lock inner door, the inspectors noted that the engineer performing the test had recorded one piece of data incorrectly. The engineer immediately corrected the data shee The inspectors noted that for the air lock door seal tests on both the upper and lower airlocks, there was no convenient source of service air for the LLRT rig. In the case of the upper air lock, hoses were run through a vital area door requiring a guard to be posted. For the lower air lock, the hose had to be run from the Low Pressure Core Spray Pump Room, which was a contaminated, radiation area. Since the door seal tests were normally run at least every three days on each door, these problems were significant inconveniences. The inspectors noted that the engineers had the LLRT rig modified to use a portable nitrogen supply instead of service air which eliminated these problem No violations or deviations were identifie . Operational Safety Verification (71707)

The inspectors observed control room operations, attended selected pre-shift briefings, reviewed applicable logs, and conducted discussions with control room operators during the inspection period. The inspectors verified the operability of selected emergency systems and verified tracking of LCOs. Routine tours of the auxiliary, fuel, containment, control, diesel generator, turbine buildings and the screenhouse were conducted to observe plant equipment conditions including potential for fire hazards, fluid leaks, and operating conditions (i.e., vibration,

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process parameters, operating temperatures, etc). The inspectors verified that maintenance requests had been initiated for discrepant l conditions observed. The inspectors verified by direct observation and

discussion with plant personnel that security procedures and radiation protection (RP) controls were being properly implemented.

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During the majority of this inspectior period, the plant was in l OPERATIONAL CONDITION 4 (Cold Shutdown) for a scheduled outag The l outage was entered on March 18, 1988 and was completed on May 5, 1988.

l The primary purpose of the outage was to conduct all outage surveillances which would have fallen due before the scheduled refueling outage in l

l January 1989, and to conduct other necessary maintenance items.

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During the outage, the status was tracked closely by supervisory personne The Director - Outage Maintenance Programs issued a daily report which was discussed in a daily staff meeting chaired by the Manager - Clinton Power Station. The Vice President - Nuclear held Manager's Status & Planning Meetings twice a wee The outage progress and significant activities were described twice weekly in the Nuclear Program News report which was distributed to all site employee Major work items completed during the outage included repairs to the "D" Main Steam Line Isolation Valves; cleaning, inspecting, and plugging of main condenser tubes; installing a condenser tube staking modification designed to eliminate tube failures due to vibrations; correcting problems with the Residual Heat Removal System Full Flow Test Return Valves which had prevented them from fully closing undt.r flow conditions; and conducting int 's on all three Emergency Diesel Generator A substantial amount 'he work performed was emergent work to correct conditions discovered after the start of the outag This work was the primary cause of the length of the outage extending nine days beyond the original schedul Inspections were routinely performed to ensure that the licensee conducted activities at the facility safely and in conformance with regulatory requirement The inspections focused on the implementation and overall effectiveness of licensee's control of operating activities, and the performance of licensed and nonlicensed operators and shift technical advisors. The following items were considered during these inspections:

  • Adequacy of plant staffing and supervisio * Control room professionalism including procedure adherence, operator attentiveness and response to alarms, events, and -

of f-normal condition * Operability of selected safety related systems including attendant alarms, instrumentation, and control * Maintenance of quality records and report On April 1, 1988, the licensee discovered that they had failed to perform the shiftly instrument channel checks of procedure CPS No. 9000.01000?, Control Room Operator Surveillance Log - Mode 4, 5 Data Sheet. That surveillance was required to be performed at least once per 12 hours1.388889e-4 days <br />0.00333 hours <br />1.984127e-5 weeks <br />4.566e-6 months <br /> in order to satisfy several Technical Specification requirements. Section 4.0.2. of CPS Technical l Specification required that each surveillance requirement shall be I performed within the specified time interval with a maximum allowable extension not to exceed 25% of the surveillance interva Surveillance procedure 9000.010002 was not completed between 12:25 l

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a.m. on April 1,1988 and 4:10 p.m. on April 1,198 This was a period of 16 hours1.851852e-4 days <br />0.00444 hours <br />2.645503e-5 weeks <br />6.088e-6 months <br /> and 15 minutes which was greater than the required 1; hour interval plus the allowed 3 hour3.472222e-5 days <br />8.333333e-4 hours <br />4.960317e-6 weeks <br />1.1415e-6 months <br /> extension. The licensee attributed the missed surveillance to personnel errors by utility licensed operators who failed to perform it due to cversight aggravated by the high level of activities in the main control roo Failure to perform the shiftly channel checks required by Technical Specifications within the specified time interval as extended was a violation (50-461/88009-01(DRP)).

This violation was very similar in circumstance to some of the examples cited in violation 50-461/87032-01, which was closed in Inspection Report 50-461/88004, Paragraph ,d . The corrective acti?n of using a tracking board for s periodicity surveillances should have prevented this event; ho 'ver, the board was not being used to track this particular surveillai.ne since it was so routin The licensee reported this event via LER 88-010-00 dated April 21, 198 The LER described the actions taken to correct the violation and to prevent recurrenc Immediate corrective action consisted of performing the required surveillanc Tnis was completed within 25 minutes of discovering the conditio Actions to prevent recurrence consisted of counselling the :ontrol room operator and assistant shift supervisor who missed the surveillance; a night order was written on the event which reinforced the authority of the controi room operators to limit centrol room activities; the practice of tracking completion of required surveillances on the main control room tracking board was initisted; and the assignment of the "B" control room operator as the person re ponsible for the completion of shift surveillances was established. The inspectors determined that these corrective actions were adequate and had been implemented. Based on the corrective actions taken by the licensee, '

the inspectors had no further concerns regarding this matter and this item is considered closed; consequently, no reply to this violation is reouire , On May 2, 1988, while conducting a closecut review of Maintenance l Work Request (MWR) C-46275, the licensee identified that the overall

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air lock leakage test on the 828' elevation containment air lock required as a result of the work performed under that MWR on April 30, 1988, had not been completed. Technical Specification 4.6.1.3.b.2. required that the overall air lock leakage rate test be performed prior to establishing PRIMARY CONTAINMENT INTEGRITY when l

i maintenance had been performed on the air lock that could affect the air lock sealing capabilit The licensee had established PRIMARY r

CONTAINMENT INTEGRITY and entered OPERATIONAL CONDITION 2 on May 2, l 1988. Entering OPERATIONAL CONDITION 2 without performing the

' required overall air lock leakage test was a v;olation of Technical l Specification 4.6.1.3.b.2 (50 461/88009-02(DRP)).

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A critique of the cause of this event determined that a deficient post maintenance test (PMT) evaluation had been conducted. The Shif t Technical Advisor (STA) assigned to conduct the evaluation had not been trained in methods of performing PMT evaltations. The STA incorrectly concluded that an interlock test was the only test required and presented his evaluation to the Shift Supervisor. The Shift Supervisor attempted to contact the cognizant technical ctaff engineer responsible for coordination of local leak rate testing, but he was unable to reach that individual. The Shift Supervisor then concurred in the evaluation performed by the STA. MWR C-46275 had included removal, disassembly, and reinstallat. ion of the equalizing valve on the outer door of the air loc This work could affect air lock sealing capabilit After determining that the air lock test had not been performed as required, the licensee locked the inner door of the air lock and conducted the overall air lock leakage tes The leakage test failed when the leakage rate was noted to be greater than 18,000 standard cubic centimeters per minute (sccm). The acceptance criteria was 2360 secm. The main leakage path appeared to be the seal on the outer door handwheel shaft and repairs were ordere The inspectors who witnessed the leakage test noted that CPS No. 9861.02, Appendix G1, Upper Air lock Barrel Leak Rate Test, and Appendix G3, Lower Air lock Barrel Leak Rate Test, allowed preliminary testing and repairs of individual air lock flange *,

seals and penetrations prior to conducting the overall air lock leakage test. Failures discovered while conducting these preliminary tests may not have been documented as surveillance failures, and "as found" overall leakage may not have been recorde The licensee corrected this procedural discrepancy with Procedure Deviation For Revision No.88-024 After tightening the shaft seals on the handwheel penetration failed to reduce the leakage to an acceptable value, the licensee disassembled and repaired the seal. A subsequent air lock leakage test on May 3, 1988, showed that the outer door handwhet1 shaft had been repaired but the overall air lock leakage was still unacceptable with leakage of about 11,000 sccm, most of which appeared to be through the inner door equalizing valve. The Manager - Clinton Power Station determined that since both the inner and outer door assemblies had unacceptable leakage, a significant secondary bypass leakage path had existed, and he ordered the ENS notification discussed in Paragraph 10.b.(9) of this repor The problem with the inner door equalizing valve was determined to be due to cracked / crumbled resilient sealing materials and repairs were mad Later on May 3,1988, the overall air lock leakage test on the 828' containment personnel air lock passed with a leakage rate of 1970 sccm and the air lock was declared operabl ,

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The Manager - Clinton Power Station ordered an increased frequency for overall air lock leakage tests and other measures to determine the reliability and failure mechanisms of the personnel airlock An overall air lock leakage test on the 737' containment personnel air lock conducted on May 4,1988, failed with a leak rate of 3000 secm. The 737' air lock was subsequently repaired but again failed a leakage test on May 18, 1988. The licensee was evaluating the cause of these failure c. On May 17, 1988, while operating at 100% power, the licensee performed corrective maintenance on a Secondary Containment Penetration Seal 1FB-0140. The need for corrective maintenance was originally identified on Condition Report 1-88-03-075, dated March 26, 1988, which identified damage to the "Bisco seal" on panetration 1FB-014 Penetration 1FB-0140 was the High Pressure Core Spray (HPCS) system full flow test return line to the Reactor Core Isolation Cooling (RCIC) storage tank. At Clinton, the RCIC storage tank is located outside of the secondary gas control boundary adjacent to the Fuel Buildin When corrective maintenance was commenced, the licensee had not recognized the penetration as a secondary containment penetration seal. Maintenance Work Request (MWR) C-45214, which directed the corrective maintenance, identified the penetration as a fire protection boundary onl This was apparently the result of an error in detail drawing M28-1001-08-A-BC which was used by the MWR job planner. Revision C of that drawing dated May 16, 1985, identified the Fuel Building wall adjacent to the RCIC storage tank as a "Fire Barrier" onl With the penetration designated as a Fire Barrier, work was authorized to be performed without consideration of the potential for impact on the integrity of the Secondary Containmen .

At sbout 11:30 a.m. on May 17, 1988, maintenance personnel removed the damaged Bisco seal from penetration 1FB-0140. Since the space between he RCIC stcrage tank and the fuel Building outside wall was enclosed, plant operators did not detect any appreciable change in secondary containment pressure which was maintained within the required Technical Specification limit of greater than .25 inches of vacuum water gauge (T.S. a.6.6.1.a.).

At about 2:15 a.m. on May 18, 1988, whila performing routine plant tours, an auxiliary operator identified the missing Bisco seal from penetration 1FB-0140. Upon verification that the penetration was a secondary containment aoundary, the Shift Supervisor declared the ,

secondary containment inoperable and .1irected that maintenance personnel complete repairs that had been started the previous da In addition, the Shift Supervisor directed that Technical Specification surveillance 4.6.6.1.c be performed to verify Standby Gas Treatment (VG) was still capable of drawing down secondary

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containment within the Technical Specification required limit Both 'Fi subsystems were able to meet the Technical Specification acceptance criteri The inspectors witnessed portions of the repair to the penetration and verified adherence to Technical Specification 3.6.6.1 Action "A" which required restoration of secondary containment integrity within four hours. Repairs to penetration 1FB 0140 were completed and secondary containment was restored to an operable condition at about 6:00 a.m. on May 18, 198 The inspectors noted that upon recognition of the missing Bisco seal from penetration 1F8-0140, the licensee's actions were in accordance with the appropriate Technical Specification; however, as defined in Technical Specification 1.3.8.e. secondary containment integrity would have existed when the sealing mechanism associated with each secondary containment penetration was operable. Removal of the Bisco seal from secondary containment penetration IFB-0140 at 11:30 a.m. on May 17, 1988, while in Operational Condition 1 made the secondary containment inoperable. Failure of the licensee to restore secondary containment integrity to an operable status within four hours as required by Technical Specification 3.6.6.1. Action was a violation (50-461/88009-03 DRP).

In addition to the above, the inspectors review of CR 1-88-03-075 noted that the damagad Bisco seal was originally identified as

"cracked and leaking". The engineering evaluation of that stated condition was that secondary containment integrity was

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not jeopardized due to satisfactory completion of a secondary containment integrity test per Technical Specification Surveillance 4.6.6.1.c (i.e. Standby Gas Treatment Drawdown Test).

As discussed above, the Fuel Building penetration for the HPCS full flow test return line exits the Fuel Building and travels about 20 feet to the RCIC storage tan The area between the RCIC storage '

tank and the Fuel Building is enclosed; however, neither that enclosure nor the RCIC storage tank were designed as Seismic Category I structures (ref: Clinton FSAR Table 3.2).

Clinton Final Safety Analysis Report (FSAR) Section 6.2.3 detailed the design basis for secondary containment. In that section it stated that the secondary containment was a Seismic Category I design and that design inleakage was limited to 1500 standard cubic feet per minute at 0.25-inch water gauge differential pressur The inspectors noted that the licensee's original engineering evaluation of the damaged Bisco seal concluded that secondary containment integrity was not jeopardized based solely on a successful surveillance test. It was not apparent to the inspectors that the engineering evaluation had considered the design basis described in the Clinton FSAR to conclude that secondary containment integrity would not be jeopardized with the damaged Bisco seal following a seismic event. It appeared to the inspectors that the successful

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surveillance test of Standby Gas Treatment was in part due to the tightness of the "non-Seismic Category I" RCIC storage tank and its surrounding enclosure which may not remain functional following a seismic event. The inspectors requested the licensee to review the adequacy of the engineering evaluation provided in CR 1-88-03-075 which concluded that the secondary containment integrity was not jeopardized by the damaged Bisco seal. The inspector will review that evaluation concurrent with the licensee's responte to the above violation (88009-03). The status of Main Control Room annunciators, instruments, and recorders was previously documented in Inspection Report 50-461/88004, Paragraph At the time of that inspection, the licensee was intending to make a significant reduction in the number of those problems during the 1988 Spring outage. The inspectors noted the conditions in the control room with the plant operating at 100%

power on May 17, 1988, after the outage. The inspectors noted improvements in the number of discrepant conditions in all areas listed below. Licensee management was continuing to provide significant attention to control room problems at the conclusion of this report perio THIS REPORT LAST REPORT PERIOD PERIOD Total Lighted Annunciators: 38 53 Total OOS/ Disabled Annunciators: 17 32 Total 005 Instruments / Recorders: 2 3 Total Reduced Service Instr./ Record.: 8 17 Prior to plant startup from the Spring 1988 outage, the licensee reviewed the controls in place for scaffolds that were erected in seismic buildings. Administrative Procedure CPS No. 1050.01,

"Control of Transient Equipment / Materials" detailed the controls of scaffolds that remained erected in seismic areas during plant operatio The inspectors reviewed the requirements of CPS No. 1050.01 and verified by direct field observation that the eight scaffolds remaining in seismic areas after plant startup were erected and controlled in accordance with CPS No. 1050.0 The inspectors noted that two scaffolds were erected in the Auxiliary Building to allow personnel access to perform shif tly checks of chlorine monitor In addition, several scaffolds were being used as tool racks to store refueling equipment. The remaining scaffolds were temporary installations for personnel access to perform post maintenance inspections with the plant at operating pressure and temperatur The inspectors concluded that the licensee was adequately controlling the erection of scaffolds in seismic structure Three violations were identifie _ _ .

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  • Engineered Safety Feature System Walkdown (71710)

The inspectors performed a walkdown of the High Pressure Core Spray System (HPCS), Division III Shutdown Service Water System (SX), Division

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, III Switchgear Heat Removal System (VX), and the Division III Diesel Generator (DG) and Support Systems during the report period to verify the system status. At the time the walkdown was performed, the licensee had identified-the HPCS, SX, VX, and the DG and their' support systems as operable Engineered Safety Feature systems meeting all the requirements of the plant's Technical Specification For the purpose of this walkdown, the inspectors utilized the following system drawings and checklists contained in the system Operating and Surveillance Procedure * CPS No. 3309.01V001, "High Pressure Core Spray Valve Lineup",

Revision 4

Revision 3

Revision 6

  • CPS No. 3211.01V002, "Shutdown Service Water Instrument Valve Lineup", Revision 1

Revision 6

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  • CPS No. 3412.01V001, "Essential Switchgear Heat Removal Valve Lineup", Revision 5
  • CPS No. 3412.01V002, "Essential Switchgear Heat Removal Instrument Valve Lineup", Revision 2
  • CPS No. 3412.01E001, "Essential Switchgear Heat Removal Electrical Lineup", Revision 5
  • CPS No. 3506.01V001, "Diesel Generator and Support Systems Valve Lineup", Revision 3
  • CPS No. 3506.01V002, "Diesel Generator and Support Systems Instrument Valve Lineup", Revision 1
  • CPS No. 3506.01E001, "Diesel Generator and Support Systems Electrical Lineup", Revision 4

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  • P&ID M05-1115, Sheet 3. "Essential Switchgear Heat Removal System (VX)", Revision K
  • P&ID M05-1035, Sheet 3, "Diesel Generator Aux System (DG) (Starting Air, Exhaust, & Combustion System)", Revision U
  • P&ID M05-1036, Sheet 2, "Diesel Generator Fuel Oil System (DO)",

Revision R During the walkdown, the following discrepancies were noted:

(1) The label for valve 1E22-F337 was missin (2) The location given for valves 1E22-F361A, 1E22-F3618, 1E22-F373, and IE22-F375 in CPS No. 3309.01V002 should have been elevation 731' instead of elevation 712'.

(3) The position for pump ISX01PC control switch in CPS n .01E001 should have.been "auto-after-stop" instead of

"pull-to-lock" in the normal standby lineu (4) During a valve lineup performed by the licensee on June 14, 1987 in accordance with CPS No. 3412.01V001, it was noted that the procedure reflected the incorrect (OPEN) position for valve 1RG606 The inspector noted that this discrepancy had not I been corrected in the valve lineup procedure; however, the

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valve was positioned correctly. If valve IRG606C were ,

opened, release of freon to the switchgear room could occu (5) The positions for the following fans and dampers in CPS N .01E001 should have been as follows for the normal standby lineup:

  • IVXO3CC, AUTO-AFTER STOP e IVX0340, CLOSED
  • IVX044C, OPENED
  • IVX05CC, AUTO-AFTER START Although these components were properly positioned per the normal standby lineup, the lineup procedure requires revision to ensure that the system is properly aligned during future system lineup _ _ - -

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(6) Valve 1D0604B is locked opened but its companion valve, 100604A is not locke (7) The tags for valves 10G611 and IDG652 were on a support instead of on the actual valve (8) The tornado missile doors for valve 100011C and the other fuel oil tank fill valves, were open and had existed that way for some time. Section 9.5.4.3. of the Final Safety Analysis Report stated that the outside portion of the fuel storage tank fill line is protected from missile On March 16, 1988, CPS Condition Report (CR) No. 1-88-03-041 was written to document a condition discovered in which the fuel oil fill adapters had not been removed from the fill lines in accordance with step 8.1.6.8. of CPS No. 3506.01, Diesel Generator and Support Systems. The CR also noted that the missile doors were not shut. In fact, the missile doors could not be shut with the fill adapters installe The CR was dispositioned on the same day by removing the fill adapters but the missile doors were not closed. On April 19, 1988, the inspectors pointed out to the QA department staff that the missile doors were still ope QA Department investigation determined that CR 1-88-03-041 was improperly dispositioned and they wrote a revision to the OR stating that the missile doors were still ope On May 12, 1988, the inspectors noted that the missile doors were still open and informed the Manager - Clinton Power Station who took immediate action to close and bolt the door Failure to promptly correct an identified condition adverse to plant safety and/or quality was a violation of 10 CFR 50, Appendix B, Criterion XVI and IP Operational Quality Assurance Manual, Chapter 16 (50-461/88009-04(DRP)).

(9) The position for DG 1C control switch in CPS No. 3506.01E001 -

should have been "Auto with a blue light" instead of "Normal

< with a white light" to match the actual switch position indicatio (10) The position for the Generator Voltage Regulator in CPS No. 3506.01E001 should have been "Neutral" instead of

"Normal" to match the actual positio For items (1) through (10) above, the inspectors determined that the discrepancies had not affected system operability. Item (8) had the potential to render the diesel generators inoperable had tornado missile damage to the fuel oil fill lines allowed water or debris to enter the fuel oil tank b. In conjunction with the above, the inspectors reviewed the results of current surveillances on the HPCS system to verify Technical Specification requirements were met. The most recent of the following surveillance test results were reviewed:

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Surveillance N CPS No. 9051.01 HPCS System Pump Operability, Revision 23 CPS No. 9051.02 HPCS Valve Operability, Revision 25 CPS No. 9051.03 HPCS System Functional Test, Revision 23 CPS No. 9051.05 HPCS Discharge Header Filled and Flow Path Verification, Revision 21 No discrepancies were noted in the surveillance One violation was identifie . Monthly Maintenance Observation (62703)

Selected portions of the plant maintenance activities on safety-related systems and components were observed or reviewed to ascertain that the activities were performed in accordance with approved procedures, regulatory guides, industry codes and standards, and that the parformance of the activities conformed to the Technical Specifications. The inspection included activities associated w!th preventive or corrective maintenance of electrical, instrumentation and control, mechanical equipment, and system The following items were considered during these inspections: the limiting conditions for operation were met while components or systems were removed from service; approvals were obtained prior to initiating the work; activities were accomplished using approved procedures and were inspected as applicable; functional testing and/or calibration was performed prior to returning the components or systems to service; parts and materials that were used were properly certified; and maintenance of appropriate fire prevention, radiological, and housekeeping condition The inspectors observed / reviewed the following work activities:

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Maintenance Work Procedt.'e N Activity MWR C-46275, Revision 2 Repair Shaft Seals on 828' Containment Air Lo MWR C-49630 Field Alteration RHF003 MWR C-45214 Repair of Bisco Seal in Penetration 1FB-0140 As discussed above in Paragraph 5.c., work performed in accordance with MWR C-45214 resulted in a violation of Technical Specification requirements for secondary containment. Inspectors' observation of that maintenance activity documented in this paragraph noted that after recognition of the degraded secondary containment, the licensee complied with the action statement of the applicable Technical Specificatio No violations or deviations were identifie '

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. Monthly Surveillance Observation (61726)

An inspection of inservice and testing activities was performed to ascertain that the activities were accomplished in accordance with applicable regulatory guides, industry codes and standards, and in conformance with regulatory requirement Items which were considered during the inspection included whether adequate procedures were used to perform the testing, test instrumenta-l tion was calibrated, test results conformed with Technical Specifications and procedural requirements, and that tests were performed within the required time limit The inspector determined that the test results were reviewed by someone other than the personnel involved with the l performance of the test, and that any deficiencies identified during the testing were reviewed and resolved by appropriate management personne The inspectors observed / reviewed the following activitie Surveillance / Test Procedure N Activity CPS No. 9443.03 Leak Detection System Orywell Air Particulate, Iodine, and Gas Radiation Monitor Calibratio CPS No. 9861.020003 Local Leak Rate Test CPS No. 9861.020004 Local Leak Rate Test No violations or deviations were identifie . Training and Qualification Effectiveness (41400 & 41701) ,

The effectiveness of training programs for licensed and nonlicensed personnel was reviewed by the inspector during the witnessing of the licensee's performance of routine surveillance, maintenance, and operational activities and during the review of the licensee's response to events which occurred during the months of April /May 1988. Personnel appeared to be knowledgeable of the tasks being performe The inspectors participated in the licensce's annual Emergency Preparedness Exercise on April 27, 1988. The exercise included participation by the NRC Region.III site and base teams as well as NRC observers. Comments from those inspectors were documented in Inspection Report 50-461/8801 The inspectors participated in the licensee's training program by attending the Radiation Self Monitoring course. The inspectors noted that the training classes were well organized and the material presented was accurate and complet No violations or deviations were identifie _. . .

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10. Onsite Followup of Events at Operating Reactors (93702) General The inspectors performed onsite followup activities for events which occurred during the inspection period. Followup inspection included one or more of the following: reviews of operating logs, procedures, condition reports; direct observation of licensee actions; and interviews of licensee personnel. For each event, the inspectors reviewed one or more of the following: the sequence of actions; the functioning of safety systems required by plant conditions; licensee actions to verify consistency with plant procedures and license conditions; and the nature of the even Additionally, in some cases, the inspectors verified that licensee investigation had identified root causes of equipment malfunctions and/or personnel errors and the licensee was taking or had taken appropriate corrective actions. Details of the events and licensee corrective actions noted during the inspectors' followup are provided in Paragraph b. below, Details (1) ESF Actuation - Isolation of Containment Instrument Air Due to Lif ting of Wrong Lead During a Surveillance [ ENS No. 11913]

On April 1, 1988, the licensee reported an unexpected containment instrument air isolation of valves IIA 006 and 11A007. The event was caused by utility Control and Instrumentation (C&I) technicians lifting the wrong lead while performing maintenance procedure CPS No. 8630.31, Nuclear System Protection System (NSPS) Untested Island Load Driver, for the Division II Residual Heat Removal System. The cause of this event was attributed to personnel error in that the lead to be lifted was identified only on the surveillance impact

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matrix form, which was not an approved work documen Use of the impact matrix, intended only to provide information, bypassed the normal procedural review process. The C&I technicians who prepared the impact matrix used an improper drawing to determine the lead to be lifted and thus listed the wrong lead on the form. In addition to the ENS notification, the licensee reported this event as LER No. 88-009-00 dated May 2, 198 (2) Inattentive Watchman [ ENS No. 11940]

On April 4,1988, the licensee reported that they had discovered an inattentive watchman who nad been posted as a compensatory measure at a vital area access. This event was the subject of Inspection Report 50-461/88011 by regional specialists for which Notice of Violation EA 88-111 was issue .

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(3) Significant loss of Offsite Notification Ability [ ENS No. 11949]

On April 5, 1988, the licensee reported that 12 of 41 sirens in their Alert and Notification System (ANS) had failed to actuate during a routine monthly test of the system. This was preliminary data and further investigations determined that 30 of 41 sirens had not activated. With the assistance of the system vendor, it was determined that the probable cause of the failure for most of the sirens was that the amplitude of the encoder output signal of the transmitter encoder unit in the Clinton Fire Department was too low. The exact cause of the low output could not be determined, but was believed to have been caused by natural aging of the components. A compounding cause of the failures was that the activation signal transmitting antenna was located at the Clinton Fire Department which is located about 7.5 miles from the center of the 10 mile ANS grid. Two of the sirens would not have activated in any case because they were found with their utility line fuse switches open. This was believed to be due to recent electrical storm After adjusting the gain of the transmitter and completing an inspection of all 30 sirens which had not activated, the licensee declared the ANS operable on April 8, 1988. The licensee initiated Centralized Commitment Tracking (CCT) #47627 to evaluate imprnvements to the siren activation system. In the next regularly scheduled test performed on May 3, 1988, 100% of the sirens activate (4) Reactor Coolant System Leak Detection System Not Installed in Accordance With Design (ENS No. 11975]

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On April 7, 1988, the licensee reported that they had discovered that the Drywell Cooler Condensate Flow Rate Turbine Meters, a part of the Reactor Coolant System Lcak Detection *

System, had been installed backward Subsequent to the ENS notification, the licensee determined that the flow rate turbines would work equally well installed in either configuration but that both the Drywell Cooler Condensate Flow Rate Turbine Meters were inoperable due to clogged inlet line The inlet lines were clogged with debris consisting of tape, plastic, and mud. The flow meters had been inoperable for an indeterminate period of time but the licensee believed it may have been since construction. Technical Specification 3.4.3.1 required that grab samples of drywell atmosphere be taken periodically when the drywell air cooler condensate flow rate meters are inoperable if the drywell atmosphere gaseous radioactivity monitoring system is also inoperable. These grab samples were required in OPERATIONAL CONDITIONS 1, 2 and 3. On March 11, 1988, while in Condition 1,

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the drywell atmosphere gaseous radioactivity monitoring system was taken out of service due to a failed surveillanc Since the licensee was unaware of the inoperability of the cooler condensate flow meters at that time, no grab samples were taken between March 11, 1988, and March 19, 1988, when the plant was placed in OPERATIONAL CONDITION 4 for a scheduled outage. At that point the Technical Specification was no longer applicable. The licensee reported the event as LER 88-011-00 dated May 6, 198 (5) Contaainated Water Spill [ ENS No. 12006]

On April 13, 1988, the licensee reported a press release concerning a spill of approximately 500 to 1000 gallons of contaminated water from the Residual Heat Removal (RHR) syste The spill had occurred on April 12, 1988, and had resulted in contamination of the Low Pressure Core Spray Pump Room. One employee received some low level contamination on his shoes and one hand and another employee received some contamination on

,his clothin The spill was caused by RHR valve manipulations while restoring from a local leak rate test which released water from a dead leg inside the boundaries of a tagout for repairs on the RHR train A test return valve to the suppression pool (1E12-F024A). The root cause of the spill was inadequate isolation and draining of the boundaries of the 1E12-F024A repair job and inadequate control of valve manipulations inside the tagout boundaries. A followup of the licensee's corrective action for this event will be performed by a Region III specialist inspecto Results of that inspection will be documented in a separate repor (6) Weed Thermocouples Not Environmentally Qualified (ENS No. 12084]

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On April 22, 1988, the licensee reported that some Weed thermocouples did not meet their environmental qualification requirements due to damaged insulation and missing sealan This event is discussed below in Paragraph 1 (7) Plant Shutdown Required By Technical Specifications

[ ENS No. 12156]

On April 30, 1988, the licensee reported that they had performed a plant shutdown from Mode 2 to Mode 4 after they discovered that dampers in their Standby Gas Treatment System had not been cycled in accordance with environmental qualification requirements. After placing the plant in Mode 4, the licensee performed the required cycling and no failures were indicated. This event is discussed below in Paragraph 1 _ _ _ _ ___ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ . _ _ _ _ _ _ _ _ _ - _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _

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(8) Unexpected Actuation of Instrument Air Containment Isolation Valves (ENS No. 12159]

On April 30, 1988, the licensee reported that instrument air containment isolation valves IIA 005 and IIA 008 had closed while performing a routine surveillance. The closure was caused by a spurious trip of the Division I Reactor Vessel Water Low Level Analog Trip Module (ATM) during a surveillance involving an adjacent ATM, Division I Drywell Pressure. An investigation determined the cause of the trip was due to a faulty card select decoder card in the Division I ATM cabinet. The faulty card was replaced and sent to the vendor for analysis. In addition to the ENS notification, the licensee reported this event via LER 88-013-00 dated May 18, 198 (9) Significant Secondary Containment Bypass Leakage

[ ENS No. 12186]

On May 3, 1988, the licensee reported that they had determined that a significant secondary containment bypass leakage path existed due to a simultaneous failure of a shaft packing in the outer bulkhead of the containment 828' personnel air lock and a failure of the equalizing valve on the inner bulkhead of the same air lock. The leakage rate was in excess of the 5 standard cubic feet per hour total air lock leakage. allowed by Technical Specifications. The leakage was discovered during the performance of the air lock barrel leak rate tests discussed above in paragraph The packing and equalizing valves were repaired and the air lock retested satisfactorily later the same da Ho violations or deviations were identifie '

1 Environmental Qualification (71707/93702)

During this report period, the licensee identified a number of

"as-installed" conditions that required corrective action to restore equipment to the requirements of the licensee's Environmental Qualification (EQ) program, Background While performing planned preventive maintenance (PEM15A379) on Main Steam Isolation Valve Leakage Control System (IS) motor operated valve 1E32F002J, the licensee identified water in the limit switch compartment. The licensee initiated Condition Report (CR)

i 1-88-04-018, dated April 4, 1988, to initiate corrective action on the identified condition and to investigate the root cause ( sour e of the water). The IS motor operated valve (1E32F002J) was located in the main steam tunnel which was a high humidity i

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. environment during plant operation. The licensee's root cause investigation identified discrepancies between the as-installed configuration of electrical equipment and the programatic EQ requirements as detailed belo b. Weed Thermocouple Following identification of water in the limit switch compartment for IS valve IE32F002J, the licensee performed an inspection of electrical equipment in the main steam tunnel. During the inspection of Weed thermocouples, the licensee identified insulation damage to the field and internal wiring which was most probably due to the installation techniqu In addition, the licensee identified that sealant was not applied to the thermocouple gasket before its installation nor was sealant applied to the threads of the terminal head body and ca The licensee initiated Condition Report (CR) 1-88-04-095, Revision 0, dated April 20, 1988, to provide for corrective action and investigation of the root cause for the damaged wire. On April 22, 1988, the licensee identified that required sealant was not installed (e.g., thermocouples not potted) on the Weed thermocouple per the EQ progrcm requirements and initiated CR 1-88-04-114 to initiate an investigatio The licensee reported the identified condition to the NRC operations center via the ENS in accordance with 10 CFR 50.72 on April 22, 1988. The ENS notification was documented above in Paragraph 10. The licensee's justification for the as-installed configuration of  ;

Weed thermecouples was provided to the inspectors and Region II "

Calculation No. CQO-039466, dated April 25, 1988, performed an evaluation of the as-installed Weed thermocouple by similarity to Pyco temperature measuring devices. That evaluation conciuded that '

the Weed thermocouples installed at Clinton were qualified in the as-installed configuration. The inspectors noted that the subject Weed thermocouples were potted at the terminal block during the report period in accordance with the EQ requirement At the conclusion of the report period, a Region III specialist was reviewing the evaluation presented by the licensee to justify the as-installed configuration of the Weed thermocouples. The subject of Weed thermocouples meeting the requirements of 10 CFR 50.49 will remain an Unresolved Item pending completion of that review (461/88009-05),

c. Weed Resistance Temperature Detectors (RTDs)

As part of the initial root cause investigation initiated in response to the water found in motor operated valve 1E32F002J, the licensee inspected RTDs installed in high humidity environments.

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That inspection identified 42 Weed RTDs that were not potted at the terminal blocks as recommended by the vendor's installation instructions. The licensee initiated revision 01 to CR 1-88-04-095 on April 27, 1988, to document the identified discrepancies, provide corrective action, and to evaluate the root caus The Weed RTDs that had not been potted at the terminal blocks were part of the Containment Monitoring System (CM) and were passive instruments which provided input to temperature recorders for the Suppression Pool Water Temperature (8), Drywell Atmosphere (8),

Containment Atmosphere (8), ECCS/RCIC Pump Rooms (9), Auxillary Building Atmosphere (3), Reactor Water Cleanup Pump Room (3), and Main Steam Tunnel (3).

The licensee completed immediate corrective action by potting all 42  ;

Weed RTDs prior to plant restart on May 5, 1988. At the conclusion of this report period, the licensee had not completed their evaluation of the operational impact for the as-installed condition of these 42 Weed RTD The subject of "unpotted" Weed RTDs will remain an Unresolved Item pending the inspectors' review of the licensee's evaluation (461/88009-06),

d. EQ Program Review In response to the deficiencies discussed above, the licensee performed a review of EQ Manual maintenance requirement That review initiated CR 1-88-04-141 dated April 29, 1988, which

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identified a failure to perform stroking of ITT General Controls damper actuators a minimum of ten times every 90 days.

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The licensee identified the affected damper actuators to be in the Standby Gas Treatment System (SGTS). Since the required stroking was not performed in accordance with the licensee's EQ preventative maintenance program, the licensee declared both .

trains of SGTS inoperable and complied with the applicable Technical Specification by conducting a plant shutdown. The shutdown was reported to the NRC Operations Center via the ENS as discussed above in Paragraph 10.b.(7).

The immediate corrective action to the identified damper stroking deficiency was to stroke the affected dampers ten times. That was successfully accomplished under maintenance work request (MWR)

C-50713 on April 30, 198 As documented in CR 1-88-04-141, the licensee's investigation identified seven issues for which a corresponding EQ maintenance requirement had not existed:

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MS-02.00 Number Requirement MEQ-CLO22-09 Inspect 1E51-F040 valve internals MEQ-CLO24-11 Cycle valve 1FC-048 each refueling outage MEQ-CLO34A-02 Change IRM teflon connector each 1.5 years MEQ-CLO34B-01 Calibrate power range detectors every 1000 EFPH and perform life expectancy MEQ-CLO44-01 THRU 06 Cycle VG systen, dampers every 90 days MEQ-CLO76-01 Rotate SLC pumps every 3 months MEQ-CLO91-01 THRU 03 Energize hydrogen ignitors monthly and verify igniter operating temperature Ths licensee's evaluation of the above issues identified that Item 4 (MEQ-CLO348-01) and Item 6 (MEQ-CLO76-01) were being satisfied by existing plant surveillance procedures and the licensee's ISI program respectively. The remaining Items (1,2,3,5 & 7) were evaluated by the licensee and proposed EQ changes were initiated to delete those requirements from the scope of the EQ progra At the conclusion of the report period, the inspectors were reviewing with Region III specialists the justification provided by *

the licensee for changes made in the EQ maintenance program. The EQ change packages promulgated in CR 1-88-04-141 will remain an Open Item pending completion of the inspectors' review (461/88009-07).

Two unresolved items and one open item were identifie . Open Items Open items are matters which have been discussed with the licensee, which will be reviewed further by the inspector, and which will involve some action on the part of the NRC or the licensee or both. One open item disclosed during the inspection was discussed in Paragraph 1 . Unresolved Items Unresolved items are matters about which more information is required in order to ascertain whether they are acceptable items, violations, or deviations. Two unresolved items disclosed during this inspection were discussed in Paragraphs 11.b and 1 _

e ~ e e . Exit P9etings (30703)

The inspectors met with licensee representatives (denoted in Paragraph 1)

throughout the inspection and at the conclusion of the inspection on

., May 18, 1988. The inspectors summarized the scope and findings of the inspection activitie The licensee acknowledged the inspection finding The inspectors also discussed the likely informational content of the inspection report with regard to documents or processes reviewed by the inspector during the inspection. The licensee did not identify any documents / processes as proprietary.

The inspectors attended exit meetings held between regional / headquarters based inspectors and the licensee as follows:

Inspector Date W. Kropp 4/6/88 J. Belanger 4/8/88 B. Mendelsohn 4/8/88 P. Rescheske 4/15/88 J. Patterson 4/27/88 J. Foster 4/28/88 M. Huber 4/29/88 J. Kramer 5/12/88 R. Westberg 5/12/88

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