ML040090435

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Draft IR 05000335-03-002 and IR 05000389-03-002 on 03-10-28/03, St. Lucie Nuclear Plant, Units 1 and 2. Violations Noted
ML040090435
Person / Time
Site: Saint Lucie  NextEra Energy icon.png
Issue date: 12/22/2003
From: Ogle C
NRC/RGN-II/DRS/EB
To: Stall J
Florida Power & Light Co
References
FOIA/PA-2003-0358 IR-03-002
Download: ML040090435 (52)


See also: IR 05000335/2003002

Text

May XX, 2003

Florida Power and Light Company

ATTN: Mr. J. A.[Stall, Senior Vice President

Nuclear and Chief Nuclear Officer

P. 0. Box 14000

Juno Beach, FL 33408-0420

SUBJECT: ST. LUCIE NUCLEAR PLANT - NRC TRIENNIAL FIRE PROTECTION

INSPECTION REPORT 50-335/03-02 AND 50-389/03-02

Dear Mr. Stall: -)

On March 28, 2003, the U.S. Nuclear Regulatory Commission (NRC) completed an inspection

at your St. Lucie Nuclear Plant Units 1 and 2. The enclosed inspection report documents the

inspection findings, which were discussed on March 28, 2003, with Mr. D. Jernigan and other

members of your staff.

The inspection examined activities conducted under your license as they relate to safety and

compliance with the Commission's rules and regulations and with the conditions of your license.

The inspectors reviewed selected procedures and records, observed activities, and interviewed

personnel.

This report documents a finding concerning silicon oil filled transformers in the B Switchgear

Room which had not been considered or evaluated in the licensee's fire hazards analysis.

Additionally, a finding was identified concerning the crediting of manual operator actions outside

the main control room in lieu of physical protection of cables and equipment relied on to achieve

safe shutdown during a fire, without prior NRC approval, for areas designated as 10 CFR 50

Appendix R,Section III.G.2. These findings involved violations of NRC requirements. These

findings collectively have potential safety significance greater than very low significance.

However, a safety significance determination has not been completed. These findings did not

present an immediate safety concern. In addition, the report documents one NRC-identified

finding of very low safety significance (Green), which was determined to involve a violation of

NRC requirements. However, because of the very low safety significance and because it was

entered into your corrective action program, the NRC is treating this as a non-cited violation

(NCV) consistent with Section V.A of -the NRC Enforcement Policv. Additionalltwo.iicensee

identified yiolations Whic Were'determ&ned to.b verJow

e 'f safety' sUgificandarelisd

report. If you contest any NCV in this report, you should provide a response within 30 days of

the date of this inspection report, with the basis for your denial, to the Nuclear Regulatory

Commission, ATTN.: Document Control Desk, Washington DC 20555-0001; with copies to the

Regional Administrator Region II; the Director, Office of Enforcement, United States Nuclear

- Regulatory Commission, Washington, DC 20555-0001; and the NRC Resident Inspector at St.

Lucie Nuclear Plant. - - -

FP&L 2

In accordance with 10 CFR 2.790 of the NRC's "Rules of Practice," a copy of this letter and its

enclosure, and your response (if any) will be available electronically for public inspection in the

NRC Public Document Room or from the Publicly Available Records (PARS) component of

NRC's document system (ADAMS). ADAMS is accessible from the NRC Web site at

http://www.nrc.pov/readina-rm/adams.html (the Public Electronic Reading Room).

Sincerely,

Charles R. Ogle, Chief

Engineering Branch 1

Division of Reactor Safety

Docket Nos. 50-335, 50-389

License Nos. DPR-67, NPF-16

Enclosure: Inspection Report 50-335, 389/03-02

w/Attachment: Supplemental Information

cc w/encl: (See page 3)

FP&L 3

cc:

Senior Resident Inspector

St. Lucie Plant Mr. Don Mothena

U.S. Nuclear Regulatory Commission - Manager, Nuclear Plant Support Services

P.O. Box 6090 Florida Power & Light Company

Jensen Beach, Florida 34957 P.O. Box 14000

Juno Beach, FL 33408-0420

Craig Fugate, Director

Division of Emergency Preparedness Mr. Rajiv S. Kundalkar

Department of Community Affairs Vice President - Nuclear Engineering

2740 Centerview Drive Florida Power & Light Company

Tallahassee, Florida 32399-2100 P.O. Box 14000

Juno Beach, FL 33408-0420

M. S. Ross, Attorney

Florida Power & Light Company Mr. J. Kammel

P.O. Box 14000 Radiological Emergency

Juno Beach, FL 33408-0420 Planning Administrator

Department of Public Safety

Mr. Douglas Anderson 6000 SE. Tower Drive

County Administrator Stuart, Florida 34997

St. Lucie County

2300 Virginia Avenue Attorney General

Fort Pierce, Florida 34982 Department of Legal Affairs

The Capitol

Mr. William A. Passetti, Chief Tallahassee, Florida 32304

Department of Health

Bureau of Radiation Control Mr. Steve Hale

2020 Capital Circle, SE, Bin #C21 St. Lucie Nuclear Plant

Tallahassee, Florida 32399-1741 Florida Power and Light Company

- 6351 South Ocean Drive

Mr. Donald E. Jernigan, Site Vice President Jensen Beach, Florida 34957-2000

St. Lucie Nuclear Plant

6501 South Ocean Drive -Mr. Alan P. Nelson

Jensen Beach, Florida 34957 Nuclear Energy Institute

.1776 I Street, N.W.,'Suite 400

Mr. R. E. Rose Washington, DC 20006-3708

Plant General Manager APN@NEI.ORG

St. Lucie Nuclear Plant

6501 South Ocean Drive David Lewis - , -

Jensen Beach, Florida 34957 Shaw Pittman, LLP

2300 N Street, N.W.

Mr. G. Madden Washington, D.C. 20037

Licensing Manager

St. Lucie Nuclear Plant Mr. Stan Smilan

6501 South Ocean Drive 5866 Bay Hill Cir.

Jensen Beach, Florida 34957 Lake Worth, FL 33463

-L

- F .11

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U. S. NUCLEAR REGULATORY COMMISSION

REGION II

Docket Nos: 50-335, 50-389

License Nos: DPR-67, NPF-16

Report No: 50-335/03-02, 50-389/03-02

Licensee: Florida Power and Light Company (FPL)

Facility: St. Lucie Nuclear Plant, Units 1 & 2

Location: 6351 South Ocean Drive

Jensen Beach, FL 34957

Dates: March 10-28, 2003

Inspectors: R. Deem, Consultant, Brookhaven National Laboratory

P. Fillion, Reactor Inspector

F. Jape, Senior Project Inspector

M. Thomas, Senior Reactor Inspector (Lead Inspector)

S. Walker, Reactor Inspector

G. Wiseman, Senior Reactor Inspector

Approved by: Charles R. Ogle, Chief

Engineering Branch 1

Division of Reactor Safety

SUMMARY OF FINDINGS

IR 05000335/2003-002, 05000389/2003-002; Florida Power and Light Company; 03/10 -

28/2003; St. Lucie Nuclear Plant, Units 1 and 2; Triennial Fire Protection.

The report covered a'two-week period of inspection by regional inspectors and a consultant.

Three Green non-cited violations (NCVs) and one unresolved item'with potential safety

significance greater than Green were identified. The significance of most findings is indicated

by their color (Green, White, Yellow, Red) using Inspection Manual Chapter (IMC) 0609,

"Significance Determination Process" (SDP). Findings for which the SDP does not apply may

be Green or be assigned a severity level after NRC management review. The NRC's program

for overseeing the safe'operation of commercial nuclear power reactors is described in NUREG 1649, "Reactor Oversight Process," Revision 3, dated July 2000.

A. NRC-Identified and Self-Revealing Findings

Cornerstone: Initiating Events

TBD. The team identified a violation of 10 CFR 50.48 and the St. Lucie Nuclear

Plant (PSL) Unit 2 Operating License Condition (OLC) 2.C.(20), Fire Protection.

The fire hazards analysis'(FHA) failed to consider and evaluate the combustibility

of 380 gallons of transformer silicone dielectric insulating fluid in each of six

transformers (installed in three Unit 2 fire areas) as contributors to fire loading

and effects on safe shutdown (SSD) capability, as required by Fire Protection

Program (FPP) commitments.

This finding is greater than minor because it affected the objective of the initiating

events cornerstone to limit the likelihood of those events that could upset plant

stability and challenge critical safety functions relied upon for SSD during a fire.

The six previously unidentified silicone oil-filled transformers represented an

increase in the ignition frequency of the'associated fire areas/zones. This

finding is unresolved pending completion of a significance determination. Also,

when assessed with other findings identified in this report, the significance could

be greater than very low significance. (Section 1R05.02)

Cornerstone: Mitigating Systems

TBD. A violation of 10 CFR 50, Appendix R,'Section Ill.G.2, was Identified for

failure to ensure that one train-of equipment necessary to achieve and maintain

safe shutdown would be free of fire damage. Train A 480 volt (V)vital load

center 2A5 and associated electrical'cables were located in the Train B

switchgear room (fire area C)without adequate spatial separation or fire barriers.

This load center.powered redundant equipment (via motor control center 2A6

which powered boric acid makeup pumps 2A and 2B) required for SSD in the

event of a fire. In lieu of providingWadequate physical protection for load center

2A5 and the'associated electrical cables, manual operator actions outside the

main control'rooim (MCR) were relied on and credited, without prior NRC

approval, for achieving and maintaining SSD.

2

This finding was greater than minor because fire damage to the unprotected

cables could prevent operation of the equipment from the MCR and challenge

the operators' ability to maintain adequate reactor coolant system (RCS)

inventory and reactor coolant pump (RCP) seal flow for SSD during a fire in the

B switchgear room.

Green. A non-cited violation of 10 CFR 50, Appendix R, Section III.G.2 was

identified concerning a lack of spacial separation or barriers to protect cables

against fire damage in containment could result in spurious opening of the

pressurizer power operated relief valve (PORV).

This finding is greater than minor because it affected the mitigating system

cornerstone objective of equipment reliability, in that, spurious opening of the

PORV during post-fire safe shutdown would adversely affect systems intended to

maintain hot shutdown. The finding is of very low safety significance because

the initiating event likelihood was relatively low, manual fire suppression

capability remained unaffected and all mitigating systems except for the PORV

and block valve were unaffected. (Section 40A5)

B. Licensee-Identified Violations

One violation for which the significance has not been determined and two violations of

very low safety significance, which were identified by the licensee and entered in the

corrective action program, were reviewed by the inspection team. (Section 40A7)

physical protection of cables for equipment relied on for SSD during a fire,

without obtaining prior NRC approval for these deviations from the approved fire

protection program. This condition applied to numerous fire areas, including the

areas selected for this inspection. This reliance on large numbers of local

manual actions, in place of the required physical protection of cables, could

potentially result in an increased risk of loss of equipment that was relied upon

for SSD from a fire. (Se1ction1R05.05)

A violation of PSL Unit 2 (OLC) 2.C.(20) and the Fire Protection Program was

identified. However, this finding is unresolved pending completion of a

significance determination. The finding is greater than minor because it could

potentially result in an increased risk of loss of equipment that was relied upon

for SSD from a fire. (lecntion ta05t.aXed)

Other violations of very low safety significance, which were identified by the licensee,

have been reviewed by the team. Corrective actions taken or planned by the licensee

have been entered into the licensee's corrective action program. These violations and

corrective action tracking numbers are listed in Section 4A07.

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REPORT DETAILS

1. REACTOR SAFETY

Cornerstones: Initiating Events, Mitigating Systems and Barrier Integrity

1R05 FIRE PROTECTION

01. Systems Required to Achieve and Maintain Post-Fire Safe Shutdown

a. Inspection Scone

The team evaluated the licensee's fire protection program against applicable

requirements, including Operating License Condition (OLC) 2.C.20, Fire Protection; Title

10 of the Code of Federal Regulations Part 50 (10 CFR 50), Appendix R; 10 CFR 50.48;

Appendix A to Branch Technical Position (BTP) Auxiliary Systems Branch (ASB) 9.5-1,

Guidelines for Fire Protection for Nuclear Power Plants; related NRC Safety Evaluation

Reports (SERs); the St. Lucie Updated Final Safety Analysis Report (UFSAR); and plant

Technical Specifications (TS). The team evaluated all areas of this inspection, as

documented below, against these requirements. The team reviewed the licensee's

Individual Plant Examination for External Events (IPEEE) and performed in-plant walk

downs to choose three risk-significant fire areas for detailed inspection and review. The

three fire areas selected were:

  • Unit 2 Fire Area B - Cable Spreading Room (Fire Zone 52). A fire in this area

would involve alternate shutdown from outside the main control room (MCR).

  • Unit 2 Fire Area C - Train B Switchgear Room (Fire Zone 34) and Electrical

Equipment Supply Fan Room (Fire Zone 48). Fire Area C and the essential

equipment and cables within were evaluated by the licensee with respect to the

protection and separation criteria of 10 CFR 50, Appendix R, Section III.G.2, to

assure that the ability to safely shut down the plant was not adversely effected

by a single fire event. Safe shut down of Unit 2 from the MCR using Train A

equipment was credited for a fire in this area.

  • Unit 2 Fire Area I - Fire Zone 51 West (Cable Loft), Fire Zone 21 (Personnel

Rooms), Fire Zone 32 (PASS and Radiation Monitoring Room), Fire Zone

331 (Instrument Repair Shop), and Fire Zone 23 (Train B Electrical

Penetration Room). Fire Area I and the essential equipment and cables within

were evaluated by the licensee with respect to the protection and separation

criteria of 10 CFR 50, Appendix R Section III.G.2 to assure that the ability to

safely shut down the plant was not effected by a single fire event. Safe

shutdown from the MCR using Train A equipment was credited for a fire in this

area.

The team reviewed the licensee's fire protection program documented in the St. Lucie

UFSAR (Appendix 9.5A, Fire Protection Program Report); safe shutdown analysis

2

(SSA); fire hazards analysis (FHA); SSD essential equipment list; and system flow

diagrams to identify the components and systems necessary to achieve and maintain

safe shutdown conditions. The objective of this evaluation was to assure the safe

shutdown equipment and post-fire safe shutdown analytical approach were consistent

and satisfied the Appendix R reactor performance criteria for safe shutdown. For each

of the selected fire areas, the team focused on the fire protection features, and on the

systems and equipment necessary for the licensee to achieve and maintain safe

shutdown conditions in the event of a fire in those fire areas. Systems and/or

components selected for review included the pressurizer PORVs; boric acid makeup

pumps 2A and 2B and gravity feed valves V-2508, V-2509; auxiliary feedwater'(AFW);

charging pumps and volume control tank discharge valve V-2501; shutdown cooling;

heating, ventilation, and air conditioning (HVAC); atmospheric dump valves (ADVs); and

component cooling water. This review also included verifying that manual valves

operated during post fire safe shutdown were included in the licensee's maintenance

program.

b. Findings

No findings of significance were identified.

.02 Fire Protection of Safe Shutdown Capabilitv

a. Inspection Scope

For the selected fire areas, the team evaluated the frequency of fires or the potential for

fires, the combustible fire load characteristics and potential fire severity, the 'separation

of systems necessary to achieve SSD, and the separation of electrical components and

circuits' located within the same fire area to ensure that at least one train of redundant

safe shutdown systems was free of fire damrage. The team also inspected the fire

protection features to confirm they were installed in accordance with the codes of record

to satisfy the applicable separation and design requirements of 10 CFR 50, Appendix R,

Section III.G, and Appendix A of BTP ASB 9.5-1. The team reviewed the following

documents which establish the controls and practices to prevent'fires and to control

combustible fire loads and ignition sources to verify that the objectives established by

the NRC-approved fire protection piogram (FPP) were satisfied:

Program Report

  • Plant St. Lucie (PSL) Individual Plant Examination of External Events (IPEEE)
  • Administrative Procedure 1800022, Fire Protection Plan
  • Administrative Procedure 0010434, Plant Fire Protection Guidelines

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Electrical Maintenance Procedure 52.01, Periodic Maintenance of 4160 Volt

Switchgear

The team toured the selected plant fire areas to'observe whether the licensee had

properly evaluated in-situ compartment fire loads and limited transient fire hazards in a

manner consistent with the fire prevention and combustible hazards control procedures.

In addition, the team reviewed fire protection inspection reports, and corrective action

program condition reports (CRs) resulting from fire, smoke, sparks, arcing, and

equipment overheating incidents for the years 2001-2002 to assess the effectiveness of

the fire prevention program and to identify any maintenance or material condition

problems related to fire incidents.

The team reviewed. the fire brigade response procedures, training procedures, and drill

program procedures. The team reviewed fire brigade initial training and continuing

training course materials to verify appropriate training was being conducted for the

station firefighting personnel. In addition, the team evaluated fire brigade drill training

records for the operating shifts from August 2001- February 2003. The reviews were

performed to determine whether fire brigade drills had been conducted in high fire risk

plant areas and whether fire brigade personnel qualifications, drill response, and

performance met the requirements of the licensee's approved fire protection program.

The team walked down the fire brigade staging and dress-out areas in the turbine

buildings and fire brigade house to assess the condition of fire fighting and smoke

control equipment. The team examined the fire brigade's personal protective

equipment, self-contained breathing apparatuses (SCBAs), portable communications

equipment, and various other fire brigade equipment to determine accessibility, material

condition and operational readiness of equipment. Also, the availability of supplemental

fire brigade SCBA breathing air tanks, and the capability for refill, was evaluated.

Additionally, the team observed whether emergency exit lighting was provided for

personnel evacuation pathways to the outside exits as identified in the National Fire

Protection Association (NFPA) 101', Life Safety Code andOccupational Safety and

Health Administration (OSHA) Part 1910, Occupational Safety and Health Standards.

This review also included an examination of backup emergency lighting availability on

pathways to and within the dress-out and staging areas to support fire brigade

operations during a fire-induced power failure. The fire brigade self-contained breathing

apparatuses were examined and assessed for adequacy.

Team members walked down the selected fire areas to compare the associated fire

fighting pre-fire strategies and drawings with as-built plant conditions. This was done to

verify that fire fighting pre-fire strategies and drawings were consistent with the fire

protection features and potential fire conditions described in the UFSAR Fire Protection

Program Report. Also, the team performed a review of drawings and engineering

calculations for fire suppression caused flooding associated with the floor and

equipment drain systems for the Train B Switchgear Room, Electrical Equipment Supply

Fan Room, and Train B Electrical Penetration Room. The review focused on

'4

ensuring that those actions required for SSD would not be inhibited by fire suppression

activities or leakage from fire suppression'systems.

The team reviewed design control procedures to verify that plant changes were

adequately reviewed for the potential impact on the'fire protection program, SSD

equipment, and procedures as required by PSL Unit 2 Operating License Condition

2.C(20). Additionally, the team performed an independent technical review of the

licensee's plant change documentation completed in support of 2002 temporary

modification, TSA 2-02-006-3, that placed two exhaust fans on a fire damper opening

between the cable spreading room and the Train B switchgear room. This TSA was

evaluated in order to verify that modifications to the plant were performed consistent

with plant design control procedures.

b. - Findings

Inadequate Fire Hazards Analysis

Introduction: The team identified a Green non-cited violation (NCV) associated with

failure to meet the fire protection program plan requirements. The team found that six

silicone oil filled transformers installed in three Unit 2 fire zones [Fire Zone 37, Train A

Switchgear Room; Fire Zone 34, Train B Switchgear Room; and Fire Zone 47, Turbine

Building Switchgear Room] were not'evaluated in the Fire Hazards Analysis (FHA) as

contributors'to fire loading and effects on SSD capability as required by fire protection

program commitments.

Description: 'At PSL, the indoor medium voltage power transformers installed in Unit 1

were of the dry type. However, six of the indoor medium voltage power transformers in

Unit 2 were cooled and insulated by a silicone-type fluid. The licensee provided the

team with information from the transformer vendor which indicated that the transformer

insulating fluid was Dow Coming (DC) 561, a dimethyl silicone insulating fluid. The

team performed an independent technical review of the licensee's engineering

calculations and maintenance documen6tation, transformer vendor technical information

manual, insulating fluid'manufacturer-information, Underwriters Laboratory (UL) and

Factory Mutual (FM) listing agencies' documentation, and Institute of Electrical and

Electronics Engineers (IEEE) Standards.

The DC 561 technical manual described the DC 561 fluid as a silicone liquid that will

bum, but was less flammable than' paraffin-type insulating oils. The technical manual

also stated that the DC 561 fluid had a flash'point of 324 oC, a total heat release rate

(HRR) of 140 kw/m 2 (per ASTM E 1354-90), and a fire point of 357 "C. In their Fire

Hazard Analysis the licensee evaluated the adequacy of their fire'area/zone and

electrical raceway fire barrier system (ERFBS) enclosure barrier features based on the

combustible hazard content and overall fire loading (analyzed fire duration) present

within the associated area/zone. Based on the above, the team concluded that the

transformer insulating fluid was a in-situ combustible.liquid not accounted for nor

evaluated in'the PSL FHA. Additionally, the team noted that the licensee had conducted

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an UFSAR Combustible Loading Update, evaluation in 1997.. This evaluation was

documented in PSL-ENG-SEMS-97-070, but failed to identify that the transformers in

fire zone 37 contained combustible silicone insulating fluid. Also a PSL Triennial Fire

Protection Audit (documented in QA audit Report QSL-FP-01-07) conducted in 2001,

reviewed the FHA but did not identify any fire loading discrepancies.

The team determined that the previously unidentified six silicone oil-filled transformers

represented an increase in the ignition frequency of the associated fire areas/zones.

Also, the additional in-situ combustible fire load and fire severity represented by the

combustible transformer insulating fluid increased the likelihood of a sustained fire event

from a catastrophic failure of an effected transformer that may upset plant stability and

challenge critical safety functions during SSD operations.

The l-T-E Unit Substation Transformers Instruction Manual recommended that the

dielectric insulating fluid be sampled annually and the dielectric strength of the fluid be.

tested to ensure that it is at 26 KV or better. The licensee determined that except for

four tests conducted during the period 1990-1992, there were no records of the

transformers' fluid being sampled and tested. This issue was entered into the corrective

action program as CR 2003-0978 and will followed up by the NRC resident inspectors at

PSL.

Analysis: The team determined that this finding was associated with the "protection

against external factors" attribute and affected the objective of the initiating events

cornerstone to limit the likelihood of those events that could upset plant stability and

challenge critical safety functions relied upon for SSD from a fire, and is therefore

greater than minor. The six previously unidentified silicone oil-filled transformers in Unit

2 represented an increase in the ignition frequency of the associated fire areas/zones.

The finding was considered to have very low safety significance (Green) because it did

not involve the impairment or degradation of NRC approved fire protection features and

the overall SSD capabilities for the areas were evaluated by the licensee's SSA as

adequate to ensure SSD capability. However, when assessed in combination with other

findings identified in this report, the significance could be greater than very low

significance.

Enforcement: 10 CFR 50.48 states, in part, "Each operating nuclear power plant must

-have a fire protection program that satisfies Criterion 3 of Appendix A to this part." PSL

Unit 2 Operating License NPF'16, Condition 2.C.(4) specifies, in part, that the licensee

implement and maintain in effect all provisions of the approved FPP as described in the

UFSAR for the facility and as approved by the NRC letter dated July 17, 1984, and

subsequent supplements. The approved FPP is maintained and documented in the

PSL UFSAR, Appendix 9.5A, Fire Protection Program Report.

The Fire Protection Program Report stated, in part, that the PSL fire protection program

implements.the philosophy of defense-in-depth protection against fire hazards and

effects of fire on safe shutdown equipment. The PSL fire protection program is guided

by plant fire hazard analyses and by credible fire postulations. It further stated that the

6:

FHA performed for PSL Unit 2 considered potential fire hazards and their possible effect

on safe shutdown capability.

PSL administrative fire protection procedure, 1800022, Section 8.3 states that the FHA

is an individual study of each plant's design,-potential fire hazards in the plant, potential

of those threats occurring, and the effect of postulated fires on safe shutdown capability.

Further, Section 8.7.1.A of this procedure stated that in-situ combustible features were

evaluated in the FHA as contributors to fire loading in the respective fire zones.

Contrary to the above, the FHA for fire zones 34, 37, and 47 was not adequate and did

not meet FPP commitments. Specifically, 380 gallons of in-situ combustible transformer

silicone dielectric insulating fluid in each of six transformers located in Unit 2 was not

considered nor evaluated in the FHA as contributors to fire loading and possible effects

on SSD capability. This condition was contrary to the requirements of the PSL FPP as

outlined in UFSAR, Section 9.5A, and therefore did not meet the requirements as set

forth in 10 CFR 50.48 and PSL OLC 2.C.(20).

Because the failure to evaluate in-situ combustible transformer silicone dielectric

insulating fluid as a contributor to fire loading in the FHA is of very low safety

significance and has been entered into the corrective action program as CR 2003-0637,

this violation is being treated as an NCV in accordance with Section VI.A.1 of the NRC's

Enforcement Policy. This item is identified as NCV 50-389103-02-OX, Failure to'

Evaluate In-situ Combustible Transformer Dielectric Insulating Fluid as a

Contributor to Fire Loading in the FHA.

.03 Post-Fire Safe Shutdown Circuit Analysis

a. Inspection ScoDe

The team reviewed how systems would be used to achieve inventory control, reactor

coolant pump seal protection, core'heat removal and reactor coolant system (RCS)

pressure control during and following a postulated fire in the fire areas selected for

review. Portions of the licensee's Appendix R Safe Shutdown Analysis Report which

outlined equipment and components in th'e chosen fire areas, power sources, and their

respective cable functions and system flow diagrams were reviewed.' Control circuit

schematics were analyzed to identify and evaluate cables important to safe shutdown.

The team traced the routing of cables through fire areas selected for review by using

cable schedule, and conduit and tray drawings. The team walked down these fire areas

to compare the actual plant configuration to the layout indicated on'the'drawings. The

team evaluated the above information to determine if the requirements for protection of

control and power cables were met. The licensee's circuit breaker and fuse coordination

study was reviewed for adequate electrical scheme protection of equipment necessary

for safe shutdown.' The following equipment arid components were reviewed during the

inspection:'

  • V1474 and V1475, Pressurizer PORVs

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  • V1476 and V1477, Pressurizer Isolation Block Valves
  • MV-09-03 and MV-09-04, Feedwater Bypass Valves
  • 2HVE-1 3B, Control Room Booster Fan
  • V2501, VCT Discharge Outlet Valve
  • HCV-3625, Safety Injection Block Valve
  • P1-1107/1108, Pressurizer Pressure for Hot Shutdown Panel
  • LI-1 104/1105, Pressurizer Level for Hot Shutdown Panel

MCC 2A5/2A6 and relative feeds, 480 Volt Motor Control Center

MCC 2B5/2B6 and relative feeds, 480 Volt Motor Control Center

  • Load Center 2A5 480 Volt Switchgear

b. Findings

No findings of significance were identified.

04. Alternative Post-Fire Safe Shutdown Capability

a. Insgection Scope

The cable spreading room, which was one of two alternate shutdown (ASD) fire areas

listed in the St. Lucie SSA for Unit 2, was selected for detailed inspection of post-fire

SSD capability. Emphasis was placed on verification that hot and cold shutdown from

outside the control room could be implemented; and that transfer of control from the

main control room to the hot shutdown control panel (HSCP) and other equipment.

isolation locations could be accomplished within the performance goals stated in 10

CFR 50, Appendix R,Section III.L.3.

Electrical diagrams of power, control, and instrumentation cables required for ASD were

analyzed for fire induced faults that could defeat operation from the MCR or the HSCP.

The team reviewed the electrical isolation and protective fusing in the transfer circuits of

components (e.g., motor operated valves) required for post-fire SSD at the HSCP to

verify that the SSD components were physically and electrically separated from the fire

area. The team also examined the electrical circuits for a sampling of components

operable at the HSCP to ensure that a fire in the B Switchgear Room would not

adversely affect safe shutdown capability from the MCR. The team's review was

performed to verify that adequate isolation capability of equipment used for safe

shutdown implementation was in place, accessible, and that the hot shutdown control

panel was capable of controlling all the required equipment necessary to bring the unit

to a safe shutdown condition. This also included a review to verify that the shutdown

process met the performance goals of 10 CFR 50,Appendix R, Section lll.L.3 and

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guidance in generic letter (GL) 86-10, by comparing it to the thermal hydraulic time line

analysis provided by the licensee.

b. Findings

No findings of significance were identified.

05. Operational Implementation of Post-Fire Safe Shutdown Canability

a. InsDection Scope

'The team reviewed off normal operating procedure 2-ONP-100.02, Control Room

Inaccessibility, Rev. 13B, the licensee's procedure for alternate safe shutdown, and

procedure 2-ONP-1 00.01, Response to Fire, Rev. 9, the licensee's operating procedure

for post-fire safe shutdown from the' MCR. The review focused on ensuring that all

required functions'for post-fire safe shutdown and the corresponding equipment

necessary to perform those functions were included in the procedures. The review also

examined the consistency between the operations shutdown procedures and other

procedure driven activities associated with post-fire safe shutdown (i.e., fire fighting

activities).

b. Findings -

The team noted that the licensee had identified that manual operator actions outside the

MCR were credited and used in lieu of physical protection of cables and equipment

relied on for SSD during a fire without obtaining prior NRC approval. Use of manual

operator actions outside the MCR for 10 CFR 50, Appendix R.Section III.G.2 areas

(Fire Area C and Fire Area I for this inspection) without prior NRC approval was not in

accordance with the licensee's approved Fire Protection Program. The licensee

identified this issue in CR 03-0153 prior to this inspection. This finding is More Than

Minor. This finding will be Unresolved pending completion of the SDP to determine the

risk associated with using manual operator'actions in lieu physical protection.' 10 CFR

50, Appendix R,Section II.G specified the need to identify equipment to achieve and

maintain safe shutdown functions; and the protection requirements for that equipment.

It also stated that one train of safe shutdown equipment should remain free of fire

damage for non-alternate shutdown' (l1l.G.2) designated fire areas. Two of the three fire

areas inspected were so designated. In these areas,. manual operator actions outside

the MCR were being used and credited in the SSA to achieve safe shutdown.

Determination of the licensinig basis and required NRC exemption to use manual

operations in lieu of protection for one shutdown train was addressed by another

inspection team member 'The in'spection team was also concerned whether all potential

spurious operations were properly accounted for in the shutdown procedures.

Subsequent review of the licensee's procedures for these-areas did demonstrate that

manual actions required to mitigate spurious signals on both units were properly

dispositioned. . -

I

9

06. Communications

a. Inspection Scooe

The team reviewed plant communications to verify that adequate communications were

available to support unit shutdown and fire brigade duties. This included verifying that

site paging (PA), portable radios, and sound-powered phone systems were available

consistent with the licensing basis. The team reviewed the licensee's communications

features to assess whether they were properly evaluated in the licensee's SSA

(protected from exposure fire damage) and properly integrated into the post-fire SSD

procedures. The team also walked down sections of the post-fire SSD procedures to

verify that adequate communications equipment would be available to support the SSD

process. The team also reviewed the periodic testing of the site fire alarm and PA

systems; maintenance checklists for the sound-powered phone circuits and amplifiers;

and inventory surveillance of post-fire SSD operator equipment to assess whether the

maintenance/surveillance test program for the communications systems was sufficient

to verify proper operation of the systems.

b. Findings

No findings of significance were identified.

07. Emergency Lighting

a. Inspection Scope

The team reviewed licensee emergency lighting against the requirements of 10 CFR 50,

Appendix R, Section lll.J, to verify that eight hour emergency lighting coverage was

provided in areas where manual operator actions were required during post-fire safe

shutdown operations, including the ingress and egress routes. The team's review also

included verifying that emergency lighting requirements were evaluated in the licensee's

SSA and properly integrated into the Appendix R safe shutdown procedures as

described in UFSAR Appendix 9.5A, Section 3.7. During plant walk downs of selected

areas where operators performed local manual actions defined in the post-fire SSD

procedures, the team inspected area emergency lighting units (ELUs) for.operability and

checked the aiming of lamp heads to determine if adequate illumination was available to

correctly and safely perform the actions required by the procedures. The team also

inspected emergency lighting features along access and egress pathways used during

SSD activities for adequacy and personnel safety. The team checked the ELUs' battery

power supplies to verify that they were rated with at least an 8-hour capacity. In

addition, the team reviewed the manufacturer's information and the licensee's periodic

maintenance tests to verify that the ELUs were being maintained and tested in

accordance with the manufacturer's recommendations.

.. b. Findings

10

No findings of significance were identified.

08. Cold Shutdown Repairs

a. Insgection Scone

The team reviewed the licensee's SSA and existing plant procedures to determine if any

repairs were necessary to achieve cold shutdown, and if needed, the equipment and

procedures required to implement those'repairs was available onsite.

b. Findings

No findings of significance were identified.'

.09 Fire Barriers and Fire Area/Zone/Room Penetration Seals

a. 'Inspection Scope'

The team walked down the selected fire zones/areas to evaluate the adequacy of the

fire resistance of barrier'enclosure walls, ceilings, floors,'and cable protection. The

team randomly selected several fire barrier features for detailed evaluation and

inspection to verify proper installation and qualification. This evaluation included fire

barrier penetration fire stop seals, fire doors, fire dampers, fire barrier partitions, and

Thermo-Lag electrical raceway fire barrier system (ERFBS) enclosures to ensure that at

least one train of SSD equipment would be maintained free of fire damage from a single

fire.

The team observed the material condition and configuration of the selected fire barrier

features and also reviewed construction details and supporting fire endurance tests for

the installed fire barrier features.r' This review was performed to compared the observed

fire barrier penetration seal and ERFBS configurations to the design drawings and

tested configurations. The team also compared the penetration seal and ERFBS ratings

with the ratings of the barriers in-which they were installed.

The team reviewed licensing documentation, engineering evaluations of-Generic Letter

86-10 fire barrier features, and NFPA code deviations to verify that the fire barrier

installations met design requirements and license commitments. In addition, the team'

reviewed surveillance and maintenance'procedures for selected fire barrier features to

verify the fire barriers were being adequately maintained.

b. Findings

No findings of significance were identified. - -

.10 Fire Protection Systems. Features, and Equipment -

11

a. Inspection Scone

The team reviewed flow diagrams, electrical schematic diagrams, periodic test

procedures, engineering technical evaluations for NFPA code deviations, operational

valve lineup procedures, and cable routing data for the power and control circuits of the

electric motor-driven fire pumps and the fire protection water supply system yard mains.

The review was performed to assess whether the common fire protection water delivery

and supply components could be damaged or inhibited by fire-induced failures of

electrical power supplies or control circuits and subsequent possible loss of fire water

supply to the plant. Additionally, team members walked down the fire protection water

supply system piping and actuation valves for the selected fire areas to assess the

adequacy of the system material condition, consistency of the as-built configuration with

engineering drawings, and operability of the system in accordance with applicable

administrative procedures and NFPA standards.

The team walked down accessible portions of the fire detection and alarm systems in

the selected fire areas to evaluate the engineering design and operation of the installed

configurations. The team also reviewed engineering drawings for fire detector spacing

and locations in the four selected fire areas for consistency with the licensee's fire

protection plan, engineering evaluations for NFPA code deviations, and the

requirements in NFPA 72A and 72D.

The team also walked down the selected fire zones/areas with automatic sprinkler

suppression systems installed to verify the proper type, placement and spacing of the

heads/nozzles and the lack of obstructions. The team examined vendor information,

engineering evaluations for NFPA code deviations, and design calculations to verify that

the required suppression system density for each protected area was available.

The team reviewed the manual suppression standpipe and fire hose system to verify the

adequacy of their design, installation, and operation for the selected fire areas. The

team examined design flow calculations and evaluations to verify that the required fire

hose water flow and sprinkler system density for each protected area were available.

The team checked a sample of manual fire-hose lengths to determine whether they

would reach the SSD equipment. Additionally, the team observed placement of the fire

- hoses and extinguishers to assess consistency with the fire fightingpre- Ian drawings.

b. Findings

No findings of significance were identified.

4. Other Activities

40A2 Problem Identification and Resolution

a. Inspection Scone

12 . [ .

The team reviewed a sample of licensee audits,'self-assessmeihts, and plant condition

reports (CRs) to verify that items related to fire protection and safe shutdown were

appropriately entered into the licensee's corrective action program in accordance with

the licensee's quality assurance program arid procedural requirements. The items

selected'were also reviewed for classification and appropriateness of the corrective '

actions taken or initiated to resolve the Items. - ,

The team reviewed the licensee's applicability evaluations'and corrective actions for';

selected industry experience issues related to fire protection. The operating experience-

reports were reviewed to verify that the licensee's review and actions were appropriate.

The reports are listed in the List of Documents Reviewed Section.

b. Findings

No findings of significance were identified

40A3 Everit Followup ' '

.1 (Closed) LER 50-335. 389/00-01, Outside Design Bases Appendix R Hi-Lo Pressure

Interface and Separation Issues. ' -

.~~~~~~~~~~~~~~~~~~~

~ ":,^'t.v ..:

On March 9, 2000, the licensee identified seven'cases where the' plan't was not in'

compliance with 10 CFR 50, Appendix R, Sections IlI.'G.2.d and III.G.2. f. The first-'

case, involving the pressurizer PORVs, applied to Units 1 and 2, and is-discussed in ' - ..

Section 4AO5 of this report. The 6ther'six cases apply to Unit 2 only, and are discussed

as follows.

Shutdown cooling valves

'Shutdown cooling valves V3652 and V3481 could spuriously open due to fire induced

cable-to-cable short circuits. The location 'of vulnerability was a pull box (JB-2031) in the

annulus region of containment. The valves are motor operated type valves which'are '-

de-energized by procedure'during normal plant operation. The problem however Is that

the power cables for both these-valves were'routed through a pull box together'with

other three-phase power cables. Therefore,'the potential existed for fire induced cable'

to cable short circuiting which 'could inadvertently energize the motors to open these' '

valves. Both valves-would have to open to have a problem. Opening of these valves

directly connects the RCS to piping that is not rated for RCS normal operating pressure.

Should the valves open when the RCS is at operating-'pressure, a pressure relief valve

would open 'and RCS coolant would flow from the RCS to the containment sump. This '

situation is essentially a large break LOCA. Valve V3545 is a normally open motor - ' *

operated valve in series with V3652 and V3481.' Theoretically, V3545 could be closed

by the operator to stop the outflow, but the cables for V3545 'could have been damaged ' '

by the same fire. The licensee resolved the'problemrn by installing new power cables -

using armored cable. This precluded the possibility-of cable to cable short circuits. -

I.

13

Inspectors confirmed implementation of the modification through review of plant

modification PCMIO1028.

The reported condition was a violation of Appendix R requirements of more than minor

significance because it could adversely affect the equipment reliability objective of the

cornerstones of mitigating systems and barrier integrity as described above. Using

techniques described in NRC Procedure 0609, Appendix F, the inspectors determined

that the finding was of very low safety significance (Green). Specifically the SDP

worksheet for large break LOCA was evaluated. The conclusion was supported

primarily by the negligible probability of the initiating event occurring and the fact that

cables for mitigating systems for LOCA are located outside containment. The

enforcement considerations for this violation are given in Section 40A7.

Pressurizer pressure instrumentation affected by tray-conduit interaction

Lack of 20-foot separation or a radiant heat shield between a cable tray and two

conduits in containment meant that a fire which could start in the cable tray due to cable

self ignition could result in damage to a number of pressurizer pressure instrumentation

loops. PT-1 105, PT-1 106 and PT-1 107 are in cable tray L2224; and PT-1 103, PT-1 104

and PT-1108 are in conduits 25018Y and 23091A. PT-1107 and PT-1108 were the

instruments specified in the post-fire shutdown procedure. These instruments also

provide input to alarms, automatically initiate automatic actions, provide permissives,

computer inputs, input to calculations and indications of pressure at various locations.

The inspector reviewed the consequences and ramifications of instruments failing either

high or low. Also reviewed, was which pressurizer pressure instrumentations remain

unaffected by the fire. This information was analyzed by the inspector, and it was

concluded that the affected instrumentation would not lead to any transient nor to

change in core damage frequency. The finding is therefore of very low safety

significance. As corrective action, conduits 25018Y and 23091A were protected by a

radiant heat shield for twenty feet either side of the tray L2224 by plant modification

PCM99104, Supplement 1. The licensee reports the fact that both channels of

pressurizer pressure instruments specified in the post-fire shutdown procedure could

have been affected by one fire represents a violation of 10 CFR 50, Appendix R, Section

ll, G, 2. Refer to Section 40A7 of this report for enforcement aspects.

Pressurizer level instrumentation affected by tray-conduit interaction

Lack of 20-foot separation or a radiant heat shield between a cable tray and two

conduits in containment meant that a fire which could start in the cable tray due to cable

self ignition could result in damage to all pressurizer level instrumentation loops. LT-

i11OX and LT-1105 are in tray L2213; and LT-I1 OY and LT-1104 are in conduits

23320D and 23090A. LT-1 I1 OX & Y were specified in the post-fire shutdown

procedure. - It was determined that the failure mode for a short-circuit between the.

twisted pair or open circuit caused by fire exposure of the signal wires was level fails

low. Level failing low initiates several automatic actions some of which tend to cause

level to rise and some of which cause level to fall. The de-energization of pressurizer

I'

14

heaters dominates the situation and results in falling level. This leads to a reactor trip

with safety injection on low pressurizer pressure. When the safety injection pumps start,

the level will rise. Since the operator cannot .see level, he may not turn off the safety.

injection pumps. So it follows that the pressurizer will go solid. The post-fire safe

shutdown procedure directs the operator to place the PORVs in override due to r.

concerns about spurious opening. Therefore, rising level and concomitant pressure rise "c,'. ...

would be relieved by the safety relief valves. To obtain the risk significance of the fire

induced failure of pressurizer level instrumentation, the SDP worksheet for stuck open

relief valve was evaluated. The results indicated the finding was of very low safety

significance (Green) for the same reasons mentioned in Section 4A05.1 which deals

with spurious opening of PORVs- The licensee 'reports the fact that both channels of' r .. "".

pressurizer level instruments specified'in the post-fire shutdown procedure could have

been affected by one fire represents a violation of 10 CFR 50, Appendix R, Section 1II,

G, 2. Refer to Section 40A7 of this report for enforcement aspects.

Pressurizer level instrumentation affected by conduit to conduit interaction

I'., '*'

Lack of 20-foot separation or a radiant heat shield between two conduits in containment

containing cables for redundant channels of pressurizer level instrumentation meant that

the separation requirements of Appendix R were not met. The location of the Interaction .

is in the annulus area at an elevation' where there are no ignition sources other than the

cables themselves. It is not considered credible that low voltage,; low energy,

.,A.

instrumentation circuits could self-induce' cable ignition, and even if such occurred within

a conduit, the fire' would not affect another conduit. The reported problem was a

violation of Appendix R requirements with regard to s'eiarationrof cables. 'The

inspectors determined that, given the particular configuration at issue, it could not

credibly adversely affect'any cornerstone. 'The licensee corrected the separation

problem by installing a radiant heat shield on'one of the conduits per plant modification ' .,'.',

PCM99104, Supplement 1 This licensee identified issue'constitutes a violation of minor

significance that is not subject to enforcement action in accordance with Section IV of

the NRC's Enforcement Policy.

Circuits related to automatic pressurizer pressure control affected by conduit to conduit

interaction '

Lack of separation or a radiant heat shield between ceitain conduits in containment

related to automatic pressurizer pressure control meant that the separation

requirements of Appendix R were not met. The circuits involved were for the PORV

and the auxiliary spray isolation valves. The concern was that, if one fire could affect

both these circuits, two diverse subsystems designed to reduce pressure when

necessary may not function. There are other ways to reduce pressure, but the above .

f.

mentioned ones were the systems'designated in the'post-fire shutdown procedure for

this function. The location of the interaction is in the annulus area at an elevation where

'there are no ignition sources other than the cables themselves. It is not'considered

credible that a fire starting within one conduit would expand to affect other nearby

conduits. The reported problem was a violationhof Appendix R requirements with regard

15

to separation of cables. The inspectors determined that, given the particular

configuration at issue, it could not credibly adversely affect any cornerstone. The

licensee corrected the separation problem by installing a radiant heat shield on a

sufficient number of the conduits per plant modification PCM99104, Supplement 2. This

licensee identified issue constitutes a violation of minor significance that is not subject to

enforcement action in accordance with Section IV of the NRC's Enforcement Policy.

Radiant heat shields not installed per Apoendix R accegted deviation

Inside containment in the area between the containment wall and the bioshield four

groups of cable trays are installed. There are five trays in each group. These trays run

horizontally along the circumference of the containment to carry cables from the

penetration area to their various ultimate destinations in the containment. Train B

cables are in trays near the containment wall, and Train A cables are in trays near the

bioshield. There is at least seven foot horizontal separation between these two sets of

trays in the area of interest. Both the Train A set and the Train B set consists of a group

running above the 45-foot elevation grating and a group running above the 23-foot

elevation grating. Examples of cable trays involved are instrumentation trays L2223

(Train A) and L2224 (Train B); or control trays C2223 (Train A) and C2224 (Train B).

According to the safety evaluation report each of the four groups should have had a

radiant heat shield installed directly below the group. This is actually an accepted

deviation, or exemption, from the requirement to have a heat shield between the

redundant cables. The licensee reported in the LER that the radiant heat shields below

the groups at the 45-foot elevation were not installed. The missing radiant heat shields

have now been installed per PCM01028.

The inspector evaluated the risk significance of the lack of radiant heat shield below the

45-foot elevation groups of trays. The conclusion of this evaluation was that the

problem was of very low safety significance (Green). Some of the dominant factors

considered were:

  • Fire brigade capability for a fire in containment was not impaired.
  • In-situ ignition sources were negligible, and transient ignition sources and

combustibles are not present during normal plant operation.

  • Only the top tray in each group contains power cables (480 volt) carrying

sufficient energy capable of self ignition of IEEE 383 flame tested cable. Most of

the power cables in containment are not energized during normal plant.

operation. These trays are solid metallic bottom and cover type trays. This

construction inherently limits the spread of internal tray fire, and effectively

provides a shield limiting the radiant heat energy.

  • The "target" cable trays have a minimum spatial separation of 15 feet vertical

and 7 feet horizontal from the potentially burning cable tray. The target trays

have solid metallic bottoms. Radiant energy flowing between source and target

16

is blocked to a great extent by intervening HVAC ducts, large pipes, tanks and

building steel. Hot gas layer is not a factor in the part of containment under

' consideration.'

  • The target cables would be instrumentation cables, and various scenarios

involving'damage to these same-instrumentation cables discussed Inrelation to

other findings within this report Section were shown to be of very low safety

significance.

A very similar configuration in the'Unit 1 containment was analyzed by the

'licensee and reviewed by the NRC in great detail, and found to be an acceptable

configuration from the fire protection viewpoint. The Unit I study had a safety

factor of at least two, which provides margin to account for geometry and other

unknown differences between the two units.

Failure to adhere to the configuration of cable trays and radiant heat shields described

in an exception to 10 CFR 50, Appendix R,Section III.G.2 represents a licensee'

identified violation. Refer to Section 4AO7 of this report for enforcement aspects.

.2 (Closed) LER 50-335/00-04, Pressurizer Level Instrumentation Conduit Separation

Outside Appendix R Design Bases

Lack of 20-foot separation or a radiant heat shield between a cable tray and a conduit in

Unit 1 containment meant that a fire which could start in the cable tray due to cable self

-ignition could result in damage to all pressurizer level instrumentation. The discussion

of risk'significance and requirements for this issue would be identical to the discussion

of essentially the same issue on Unit 2 in Section .1 above under the heading:

Pressurizer level instrumentation affected by tray-conduit interaction. Refer to Section

4AO7 of this report for enforcement aspects.

40A5 Other Activities

.1 (Closed) URI 335.389/99-08-03. PORV Cabling May Not be- Protected from Hot-Shorts

Inside Containment

Introduction: A Green NCV was identified for failure to comply with 10 CFR 50,

Appendix R,Section III, G, 2.d and f, related to spurious opening of the pressurizer

PORV. ' -.

Decriptiori: During conduct of an inspection in the area of fire protection (NRC

Inspection Report 50-335, 389/99-08, dated January 31, 2000) the inspectors identified

the possibility that the PORV cables inside containment were not protected from fire

induced cable to cable short circuits-'.The'Issue was identified through review of the

licensee's analysis. However, the analysis referred to a study which showed that the

cable to cable short circuit-leading to spurious opening of the PORV was not credible.

Since the study could not be located at the time of the inspection, an unresolved item

17

was initiated to track this issue. Subsequently LER 50-335, 389/00-01 reported that the

pressurizer PORVs could open due to fire induced short circuits that could occur in a

cable tray in containment. In addition, cables for the associated block valve were routed

in the same cable tray. This meant the block valve may not be available to counter the

spurious opening of the PORV. Cables for one PORV and its block valve were in a tray

near the containment wall and cables for the other set were in a tray near the bioshield.

The condition applied to both units.

The licensee resolved the problem by installing new PORV cables using armored cable.

This precluded the possibility of cable to cable short circuits. The potential for spurious

opening due to spurious pressure signal had already been offset by having the operator

place the control switch in override in response to a fire in containment. Inspectors

confirmed the modification was implemented through review of plant modification

package PCM00059 (Unit 1) and PCM99104, Rev 4 (Unit 2).

LER 00-01 mentioned above also reported licensee identified findings in the area of

Appendix R. In addition, Unit 1 LER 00-04 reported similar problems. Refer to Section

40A3 for discussion of these findings.

Analysis: The finding was a performance deficiency because it represented a violation of

Appendix R requirements. It was considered greater than minor because it could

adversely affect the cornerstones of mitigating systems and barrier integrity. It affects

mitigating systems in the sense that systems designated for post-fire shutdown would

be adversely affected by an open PORV during the early stages of post-fire shutdown.

It affects the cornerstone of barrier integrity in the sense that a spuriously open PORV

represents a breach of the RCS pressure boundary which is one of the barriers. Using

techniques described in NRC Procedure 0609, Appendix F, the inspectors determined

that the finding was of very low safety significance (Green). Specifically, the SDP

worksheet for stuck open relief valve was evaluated. A key factor leading to this

conclusion was that the initiating event likelihood was relatively low. It was less likely

than the likelihood for stuck open PORV due to non-fire induced causes. Manual

suppression of fires in the containment was in the normal state because the plant had

fire detectors, a fire plan and there were no automatic valves in the water source that

could be affected by the fire. Even though no credit could be given for the block valve,

other mitigating systems were unaffected. This was primarily due to the fact that the

associated cables were all outside containment.

Enforcement: Because this violation of 10 CFR 50, Appendix R, Section 1II,G.2.d. and f,

is of very low safety significance, has been entered into the CAP (CROO-0386) and the

problem has been corrected through a plant modification it is being treated as an NCV,

consistent with Section VL.A of the NRC Enforcement Policy. The number and title of

this NCV are: NCV 50-335, 389/03-02-01, Failure to Meet 10 CFR 50, Appendix R,

Section 1II,G, 2, for Protection of the PORV Cables in Containment.

40A6 Meetings

18

On March 28, 2003, the team presented the inspection results to Mr. D. Jemigan and

other members of your staff, who acknowledged the findings. The team confirmed that

proprietary information is included in this report.

40A7 Licensee-identified Violations

The following findings of very low safety significance (Green) were identified by the

licensee and are violations of NRC requirements which meet the criteria of Section VI of

the NRC Enforcement Policy, NUREG-1600, for being dispositioned as NCVs.

Requirements, Subpart G, Fire protection of safe shutdown capability, requires

that for cables, that could prevent operation or cause maloperation due to hot

shorts, open circuits or shorts to ground, of redundant trains of systems

necessary to achieve and maintain hot shutdown conditions and located inside

noninerted containments, one of the following fire protection means shall be

provided:

1. Separation of cables of redundant trains by a horizontal distance of more

than 20-feet with no intervening combustibles or fire hazards; or

2. - Separation of cables of redundant trains by a non-combustible radiant

energy shield.

Contrary to this, since the requirement became effective, the required fire

protection was not provided for the following redundant cables:

1. Shutdown cooling valves V3652 and V3481 on Unit 2.

2. Pressurizer pressure instrumentation PT-1 107 and PT-1 108 on Unit 2

3. Pressurizer level instrumentation LT-111OX and LT-11iOY on Units 1 & 2

4; Cables

.~~otle

contained. in

in

cable

a

trays L2223 (Train A) and L2224 (Train B4

2 -_Tan B

These findings have been entered into the CAP (CR 99-1963, Rev. 2, and CR

00-0386), corrected by plant modifications, and are of very low safety*

significance for reasons given in Sections 4AO3.1 and .2.

SUPPLEMENTAL INFORMATION

KEY POINTS OF CONTACT

Licensee Personnel  :  : -- - -

D. Albritton, Assistant Nuclear Plant Supervisor

19

P. Barnes, Fire Protection Engineering Supervisor

R. De La Esprella, Site Quality Manager

B. Dunn, Site Engineering Manager

K. Frehafer, Licensing Engineer

J. Hoffman, Design Engineering Manager

D. Jernigan, Site Vice President

G. Madden, Licensing Manager

R. Maier, Protection Services Manager

R. McDaniel, Fire Protection Supervisor

T. Patterson, Operations Manager

R. Rose, Plant General Manager

V. Rubano, Engineering Special Projects Manager

S. Short, Electrical Engineering Supervisor

NRC Personnel

C. Ogle, Branch Chief

R. Rodriguez, Nuclear Safety Intem (Trainee)

T. Ross, Senior Resident Inspector

S. Sanchez, Resident Inspector

List of Documnents and Drawings' Reviewedduring Inspection

2998-B-048.,Safe Shutdown-Analvsis Fire Area reDort:'

2998-B1049 .Essentia ulDment Listw ev 662/14/02

dated

Procedure 2-ONP-100.02; Control Room Inaccessibilitv". Rev.13B. dated 10/29/02.

Procedu'ire 2-ONP100.01 ,"Reso 6

nsd to Fire..Rev.9. ' 128/01-t

Elec6tirical

PS-'I FJM i-961-"""P..S-L'-I`RA'BPSL-i3

Equipment Et-~

-a0cR date-d-;1I2at

Rooms Ac Computer, model Data

Inputssand Outputs ,-Rev.1-, dated:10/5/92.; --- _ _

St Luciej;Unit2 Flow, Diagrams:

2998-G-078.SH1 a oumeControl System! Re l6.

2998-G-879.,SH 1&2.-'HVAC Flow'and Control Diararns, dated 10/20/89.

2998-G-079;' SH 1.'2'& 7.Main Steam Svstem. ,Rev.

2998-G-080. SH 2A'& 2B. .F~eedwat'rand Condens te Svstem.,,Rev 25.

2998-G-082, SH 1 & 2.-Circuiatinat and Intake Coolina WaterSystem,' Rev37

2998-G-083. SH '1& 2.'l-Coibonent Cooin' Water Svstem-. Rev'.28.

2998-'G-078. 'SH I07.-I108'.I09110.' Reictor Coolant Svstem.' Rev;1.

2998-G-0i8.' SH I 30A'I30B.1311 32.7SafetvIniection Svsteem;. Rev. 12.

2998-G-088, SH 1, 'Containmhent Spray and Refuelinrg Water System, Rev. 35.

1

.. ... !I..I ................. !

- ,

. -... - i-1:-"--

i -;:

. " I i-':'I

. -w I- -

-.- . 6::411

.. -., . 1 !.

- . . .. - - --.. . r - - .. .

l- '. -.- -

2

LIST OF DOCUMENTS REVIEWED

3

ATTACHMENT 2

LIST OF ACRONYMS USED

AMP Aging Management Program

AMR Aging Management Review

ASME American Society of Mechanical Engineers

CASS Cast Austenitic Stainless Steel

CCW Component Cooling Water

CR Condition Report

CST Condensate Storage Tank

EDG Emergency Diesel Generator

EQ Environmental Qualification Program

FAC Flow Accelerated Corrosion

FPL Florida Power and Light Company

GALL Generic Aging Lessons Learned report

ICW Intake Cooling Water System

ILRT Integrate Leak Rate Test

ISI Inservice Inspection

LR License Renewal

LRA License Renewal Application

LRAMR License Renewal Aging Management Review report

LRBD License Renewal Basis Document

NRR NRC Office of Nuclear Reactor Regulation

OE Operating Experience

PM Preventive Maintenance

PMAI Plant Management Action Ite m

RAB Reactor Auxiliary Building

RAI Request for Additional Information

RCS Reactor Coolant System'

RV Reactor Vessel

RVH Reactor Vessel Head

RVI Reactor Vessel Internals

SSC Systems, Structures, and Components

SSMP Systems and Structures Monitoring Program

TCW Turbine Cooling Water

UFSAR Updated Final Safety Analysis Report

4

FORST;AUCIEINSPECTION REORO3O~f__,6

INPU

.Z - -~P 'ul tFill-bl

dateF

WORDS FOR-COVERkLETTER

The reDort documents one.,NRC-identified findn of~verv.low safetv sioni ican re

waadete~rmined t4, invlve ' iltino NRC. reurmns'5 oee. easio te.vr'lx...

i~t sia the entered into vourcorrective action'irooram and

the-NRC isttrbnaits as a non-cited-violation (NCV) co'sisttwlvhSection IVb

corre

t~ie, NRC +Enf&6orceent -. Polacy6Ei>,y~t~di1.6 identified victior

4807ofq~,repoj~

~ i~: Tin

i-5 acc psrppou'esuri

snpco

&~~~PR dnldad ~Self-Reveasafe shutdown wudavrl fet'yt neddt

dam<'a'ae;inecofnI

nrannt'oultreultin, atspurious,-openirnnioftt fthsiep

ornerstone 'a allgatgthe msan ex sepm

capabberrhaini n ededhb

6LVic~prdit6te

PORV!.durinafdtV sidnificance.s ensee'-ldrenbfiedwhich were,

aiolap lv. aftecens6inte Ons

have

Violations ofvrvlw' been'tiabn1aenthikd

aev was, relabvelv low. byi fien'

6't ><!,6,49.§.J in<1; 4,sy-*tr-t?,-iS~w.,,,^,1o.?~i'-~

-;v--.s-..,..= fica'te-dwhich 'werdnife ¢vth-1ese~a s<!$ ,^-,;<7; .

=IST.._OFITEMS.OPEN

i PaR~P~~S ED',. CLSDAD - DISCUSSED

. ~_-

...,---.. _... i-

5.

ed

3891030--2L0

FE7-33f5;,-T NCV .a~i~6 Meet-IO;CFR:50.'A~Defd* :S7ci Wl

o ectio~n'bf-the ?ORV-.ablei

E

slosed

o35  : 89I9-O8- I O3 .

F035F,33819-08-03- RI 'ORV.6linma .Not-be'F.'rotected ,from .t-Shots

nsd]otlmn (Scin:4A

50 5, 389i00-01 iitside iDesianiBases 'A~nedixlR Hi-Lo:Pi'.essur

utid6-b--,

aes nSparation - ssues J F .

(Section 4A3)

_O-:_335OO4, Jrssu~zrizeeveI strrentation CondULinSearatio32

Jusd4l~mnxRDsg Bssletonio3

L.IST

.. I~OF..DOUMEM,_SRE.'./EWEb

s.....e

F . R WED

Ss4AO3 Event lI6wW d 'Scti&ri 4AO4:Othei Atiitie

2998-G-0B4 g'Sv'nl'. .nitl2'.Elow.Diagram'Domezs~~~~~~~~~~~~~ .c' i .pp

~'eosz E R'eCnaimn~e

eraL

!

Psgian Ba'sis Docent

DonetFunctions folpreorizer Wid6 R e'P ressuire to 6&Se" ion7C?2;

ecitrument

om~ponent Functions~'for-rsneresat njei~lt onPO-bnturnnOX&Yt4o`ei6ri',7.823

[' ~~~~~.^ ~~~~~.'.6t" onttar Jrie'nt'Lo5o.:cS

fisceIlaneous

~~~ _126~~&@eto. @ oto~@ e~ gS~&TdLvl

4 ~ E,4~ .tf .g

corrective: action Droaram

ER

. de' ;of Fede Relations.

EEE nstitute of IE6tgc n EIe i gineers

KERv, icensee, event.repdort

LOCA

6

r

NRC U.S2:Nucleag&Ratoe&" Coemission

PvCI~~~~~~

lat n hnc aimficabon

WOR\ owrperated reli&,'IQl

RCS reactor _ooantsvst

p5 ~signl ce'determination process

7

FIRE PROTECTION BASELINE INSPECTIONl

St]ic P0WER STATION

INP.UTrF.ORINSPECTION REPORT'NOC: 5-335;'389/2OO3'02

INPETOR~i--.

r. P.roiect Matnae

t een

U~&6I~e~ib~ :~'TiN NIAi-,F.IRE-",PROTECTION

_  ; _ ~~~~~_

,BASELINE!INSPCIN

N PECTIONRPR]NU

WiPic

I S te

je dnicen-ar sproded

ype.8of

In'spection.idTsRIE ve'PRs2OT BASELIN waSPconE'CTedItON-e

patlria 6onitin~roblems rela~ted to ,fird'indidernt~.~Addition-IV t5.,hb~aMeviieWed

.protectionactorean tostfire roea.neptin krogram C bS§ipi t,:arid'

Oea ><,~tF:~,_,-¢,F-@!j,

e

ij_ ~bCt$ ~tvt tlj- s < jptlfllssb - t

iTindws

~ ,. tem V e rd6r.,_cess

se .yt):kW>1 a+,H , <

sb6disc6usseuthfit&?D6t6cti'o:'ersone:W6th remriecv exitiliohtinaWas~

Drotoi d~for 6etsnfibl'edts!Etior idethtifie .dithd

voriNithi eth. olwetei'cornsistents-w'ithigath' 6g temt'4

Fi'e!rhteam

iovn~ Wef,'SSd~scr ofand exatniiri'd 'ith6mdata

sheets foreewtoi~diu~6c currentheDleyenisrgeiicy Jighlnlsysem she;-co tained, water

8

powered unitsitThe i thebatte, rated'wth'at

least an

(,

8 h6 urcaicitvas

~~~~~~~- i required'.

j * ~v~;>4 ectio ll' ,' A

,;j.-..-\l - t* 1>_-!<1F>n%(* .E o

Kf.-

endix .Te team res iei

ceri6dic tes mianditeance-rocedures-and re t if.cdeute

su'r-v~eilan~-"e-dtn,~'cwvas' in~blcet6as'sret ftd'ELsj1

T firteat t iethee

wed

recordsmwere also reviewed to-ensfvthat the fire b'adD-fersonnelo'ualIfrcaii

alcense ddsapproved EPP

ad 66_

jesion 6ntrlt...~~~~~~~~~~~~~~~~~

=~bt d _a~As . t6'd'enfv th'at 'Dlant-chanaes.wereoadu

reviewedf t1ia bt on the FFPmSSD equipment and proeuresas'

eqdired byfe g e-ns bon

Audit Rep0i

_ .__ Mehnia M.~tnne Por~

,.~

PM'S

~~Fi~ ial F39:F1P&

2M00 187 Q c oz

___i"F-'"ec'ni'c, 'lten'nce^aj lte'rvnttvMiteacto

EOSP-15 10--Sel'otaie Em rrezinni Flow MsaiteRev:L

9

bodton pot-Q'Raingi p~rierncq

CR OOz1 514' failkr6f '5ooKVMa7rrasfdrier;'-SEN.215

R 01218577R~ir N218

Q01-.2459.r.4-kV Breaker~g~allure^SER.E'0n

PRLO2-1 6~19'> Potenitia! Problems wihWa olcor'.R nomto Notice .2002 24

po~ndition .Report

. ............

bR 02'20981,P. nSLChj'Cfiverl;i s - *

,R 0 , urttgbamR :Review of Se~veral Pio cedure Ch~ar~gs

I

10

FREPOTCION BASELINE NSETIN

ST., LUCIE

jSECTOR-1

Week 2b ojnj s' ~ f ~ o

T~~ofhi1pection,,,,TRIENNI.L ~F-IRE PROTETIN'BASELI NE INSPECTION:ir

REAC~~Fi~

2998 G411'.eacto Auxiliai Bu-dna -El',1 9'50, Codi.Lvu h .Rev

299WG'-.f'.ReacoruXiMfarv.Buildihca El' 90 %C6hd itC utt.~~ KrA5b.,R

2998-GL~ifzReactoiAuxil I rv.-Buildih'a"EI" 19'50 Condctlayu; W~RV

29981G-4 11--.Reabctoir Auk~ B'idr l.10 "bndii~Vuh  ;,1O.6VR~

2998'-G4~11i Rect6rAxiliaVvBbildinadEI'19' Codit aotfs. ~Rv

2~98~G~4W~a66iixiiaiy Bi i~di~ El 9'50,~ C a,4,tUshdit~T ,iReV

x i6--.~ EI"19'50,Codi Layot: h~ 8-,'.Rv

99 41*1-React - - 1A

29958-G:"4I1.'1.; R&6ctorAdxiliarv BuiJd~ El 1 50 Q.C-n-du-iftLavjt. sh.. Rey,

2998:G~4 1.1; ~Reaicto'r Aukiliary BLIild~n Electrical d~it:ravpt f.-8 W

29667.64"lO~Cable Vait';Trbvq.,- KeyPa sh6~Rv' -_____

2998- G-394'- Reactor Aui77~ bidnQE 4'OCnd

A dx; Ianq:E-A30 Cridit-;Trays.&Grounhihn-.sh,.l';XtRevi'2?7

2998:G392:, RedtorA~uxiii Iidino El- 196, Conduit Tas&rdhi si.~617

2998 G'-071:.GeneraPF~rr;ii~a~neehtei RebactoF&AH6N~ Au~fiP~iSet3~v2

29981-13272A- Comfbined Main"rafid:AL'jxiliarvOrhe Line, Diaqerarin.: RbV'.

29 8B37 IIbls~aii.ave V-1477T'-sh~. ,118:,Rev?.--1.4

2998,~ 3,.L3 27 res~siu'nz'eI'r Re'ief i66i'~~V6~'V-6 ,h.'1

ffb-51.-.Rv~ Rev:.14

29984.B-37.` LIPS Pbm -2A_Suction'aV6a.V~V344&;-. 131 Rew

2998~-327:~si:I6~c~it~oVaIVeHCV-3625"'.:~h.260R.v.,16

2~998b-B732,' e'ssujrze'r R'e~lie~f .;V"alve V- 475, s. 1630, Revl 0

  • 11

Unpe

dit ,R

~RSafe;Shutdown W:sis iFi ea Report

di~~~~Es~~~~nifueiC6di iio

rth'erb~ii~cents

~~b~D~iflr6at'ior~i EItrdic Cab P~ic1#LO'298.292.~;'dated ;,101~28/17j.____

/M-CE.91 7^,.xbo'ro .SDcific tionf 200 ControlSvsteniManuaI .79N-36291 'idated______

JB 3ESF-2 Feaue'cuto.vtm'.e.

SEiieeinqSfdtV

m y-Qd

_ V~bbaK Revr.k;Or~der

II.eobtTll

P'C/M~zi 74-295MRerbuteo'ftCable'21 702 :,-'Rev.:1' ,TIdat dŽ10/29/95

N.O3100661301 . TS/8/ 040ASDG02Rdev22 2 ibiatioi8dte01

i 0 '044BaS/G'-2B 0/1 OTdS.Y tdatedi1 1/1

N'O3'8734101221t ','S' 21.Carqinc 'PrDFozaibr'ir.dt' t2102

Nfi\012210t'iT.S41cil . ...InqPtiumn'Dis'darePi-22l2

.. Calibr fion, dj 01

at

W~9'.3i3200736501S S'Ts; Le'V','(P.1 i 108/l fdat'10 03

03 ~~~~~~~~~~~~~~~~~~~

Nt)-e3'0093JTSn

ies-'ve il: fO11 8?is ).Clbaio' adJ20

N.-oX665290p-g~a.~k.^.>. jii.Z-X,e<CO;-.3  ;(Ll0il~'l~

.te-uB-  ;< -; w__~3:3

-r-BS_

j~echnical~pei f:c. ons, S- Unit 2~SR o-

=~~~~~~~~~~~~~~~~~ll_,

4.3.35.-1 J :5 i.2

Docuenttsom~o

12

?I'M- . ,,

!4FSAR"86'606'n- -'Ele'btfibbl,-P6W&

- -_:a

13

FIRE 'PROTECTION BASELINE INSPECTIONi

ST. LUCIE POWER STATION

INPUT FOR IINSPECTION REPORT NO.: 50-335, 389/2003-02

INSPECTOR:. 'Gerry Wisernan

Sr. Reactor Ins ecor-Fire Protection Systems

Engineering Branch, DRS

INSPECTION DATES: Wee'k,1 of onsite inspection - March 10 - 14, 203

d. We~j~ek 2 of onsite inspection - March24 28,2003-

Tpe of. Inspection: TRIENNIAL FIRE PROTECTION BASELINE INSPECTION'. Fire

Protection Features and Post-Fire SSafe Shutdown tapability

A. INSPECTION REPORT INPUT

A. Insctor ]etifiedFindins

';e Green., The Fire Hazards Analysis' (FHA) forthree Plant St.,Lucie (PSL) Unit 2 fire

areas/zones was inadeauate, Th~e PSELFHSAfaied to consider and evaluat:e the

combustibilitv of 380 qallons of transformer silicone dielectric insulatinq fluid, in each of

six'.transformers installed in three rUnit 2 fire zones Iascontributorslto fire loadino and

effcts onSSD, capabil~ityas required by Fire Protection Program (FPP) commitments.

A n~on-cited violation of 10 CFR. 50.48 and jPS L; Unit 2cOeratinq License Condition

6OiLC;2'`C.(20), was identified. The fin:dina is greater than minor because itwas.

associated with the `protection ,aqainst external factors' attribute and affected the

Obi"e'ctive of the initiatinqeevents cornerstone to limit the likelihood of those events that

could upset plant stability and challende critical safety functions relied upon for SSD

from afire.. The previously unidentified six silicone oil-filled transformers represented an

in an increase in the iqnition freauency of the associated fire areas/zones. The finding

was considered to have verY low safetv siqnificance (Green) because it did not involve

thef impairment or dedradation of NRC fire nrotection features and the overall

,aoroved

SSD capabilities for the areas were evaluated by the licesee's SSIA as adequate to

ensure SSD capability. (Secion 1R05.02)

f. TBD. Manv local manual ooerator actions were used in Dlace of the reouired

Dhvsical Drotection of cables for ecuiDmentrelied on for SSD durina a fire.

without obtainina NRC aDDroval for these deviations from the aworoved fire

Drotection Droaram. This condition aoolied to all areas that were insoected. This

reliance on large numbers of local manual actions, in place of the required

14

ohysicalg~~~iRW orotectiortof .x.,egi cabiesi

ZZ

lt;-&- could ootentlaliv result-ilz-itiea,3-g>

,~s. :>67aTe.#-

.as2v.1 in an increased rlsk'~of loss ~eos-;4

A.idlatI6n of. i'S Unit.2;I6i C)2,C.(20)'and the' Fire Protection Proaranfwas

of ul~mbnt izdr#,f!ssoeumn~f

Idntfld.Hoevr.li~fndnaisunresolved Dndrna'comolel i ~__a-

sianlifca'nce.det rn~in'tlon'.JThe~ fijidino Is areater..than minor because it couild

no>ewta ~tesultij,,,,,~s~,rsrk oflos ,~ eEpmn tha, t wat r~elied" 6ij

io rSDfro .~fre (Section .1RO5XXX

rnerstoness:. I-,nitiatig. Eve nts;' Mitigating;Systems and B.rier,,lntet

n_

R0 IRE PROTECTION

S. ~e

r~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~~ Z4

fieddvd, .edbbho'fe

.rddulf d'd entI

crmDneft~S-5fld~rC~itS?,IOCtedWit M ifl; 6

fAe.the nbuA-b1

k otnriir~eiy oinvercaatnstsn

Brane'elchtireAPCasB 9.1 $Thetearneautethrevwe Theuenv flowinirs-orcte-Doentlah f

p atcope anspecbo

aond Iriti onintsion ai circu'is ~ ef~ locatedcwitthen..the,

HN 6fiRWns i1 same'

~6ffiWdaae;tlld~~a firesratfesrtta

t es o

tirs' om fire;d ra'teristio c and 6MDtentoI'flethbefseaoe

- s:rfl,s~t*the--- -il~eyrovi',c,, .c4,3,.fr ,,'d-';Vat -rdnc.

manerconsestozeiit'wi,o~asvth~fect6iplnt~lreaA' ~ entonicand seuralon-.an

(1O~C P) bdes th-enII* tiremnt;-f. IIT

cnbre

Rn';Seetii'

irand.nditi x~Atofea Brevnewe Tchical Pose~ih~r~i(Tec utibnreor andPowrerctive' acior

ganoredth C1ndmitiotrafe'o P votemse, Os1Or4e Pftfire _rbTeteon  :,al __

P~ Prbq~arfi Re ion( ret.,,n

15

eauiDment overheatin 'incidents for the Vears,200i-2002 to assess the effectiveness of

the fire Prevention Drocram and to identify any maintenance or material condition

problems relatedjto fire incidents.

The team reviewed the fire.briaade response procedures. traininino procedures, and drill

proaram6' rocedures. The tejamreviewed Fire Briaade Initial Traininqan d Fire Briaade

Continuina Trainino course materials to verify mDoropriate trainina was beinq conducted

for the station firefiqhtinq pDersonnel., In addition, the team evaluated fire briaade drill

trainina report records for the oieratinq shifts from Auoust 2001- February 2003. The

Sreviews were..~erformed to determine whether fire briqade drills had :been conducted in

hiah fire ~risk plant areas and whether fire bri ade oersonnel qualifications, drill

response, and p~erforjm~ance met the tsof tlicensee's approved fire

protection~ program'.'.'

The'team walked down' the fire briqade staqina and dress-out areas in the turbine

buildinqs and fire briqade house to assess the, condition of fire fiahtind and ssmoke

chntrol equiment. 'The team examined the fire bnrqade's personal protective

eduipmrent. self-contained bre(athina apparatusk (SCBA). portable communications

eauipment, and various'other fire briqade eauipment to determine accessibilitvy. material

conditionrand operational readiness of equipment. Also, the availabilityof supplemental

fire bri'qade SCBA breathind air tanks, and the capability for refill was- evaluated,

AdditionallY.' the team observed whether, emermency exit iihtin was provided for

personnel evacuation pathwavs to the outside exits as identified in the National Fire

Protection Association fNFP.A) 101. Life Safety Code and Occupational Safety and

Health Administration (OSHA) Part 191 0. OccuDational Safetv and Health Standards.

This review aiso included an examrination of backup emeraencv liahtina availability on

pathways to and within the dress-out and staainoq areas to support fire briqade

operations durina a fire-induced power failure., The fire brigade self-contained breathing

apparatuses were examined and assessed for adequacy.:

er

... wa I.ke ., ., s .,o co . h , . i ...

,...,,

......

,f?..

re;........

te

Team members walked down the selected fire areas to compare the associated-fire

fiqhtina pre-.fire strateies and; dravwinqs with as-built Plant conditions. This was done to

verfy that fire fiqhtinq pre-fire strateqies and drawinas were consistent with the fire

protiction features and potential fire conditions described in the UFSAR Fire Protection

Proqram 'Report.' Also,o the team rerformed a review of drawinas and enaineering

calculations for fire suppression caused floodina associated with the floor and

'equipment drain systems for the Train "B"Switchqear Room, Electrical Euipjment

Suz~lv Fan :Roomi',and iTrain "B"Electrical Penetration Room. The review focused on

ensurng thati those, actions required for SSD would not be inhibited by fire suppression

activities or leakage from fire suppression systems.

The team reviewed desian control procedures to verify that plant chanaes were

adeauately reviewed forthe' potential impact on the fire protection rroaram. SSD

eauipment, and orocedures as reauired bv PSL Unit 2 Operatina License Condition

2.C(20). Additionaliv, the team performed an independent technical review of the

licensee's plant change documentation completed in support of 2002 temporary

16

modification. TSA 2-02-006-3. that placed two exhaust fans on a fire damp~er opening

between the cable spreadina room andtkhe Train B switchkcear room. This chanae

implemented by the licensee was evaluated in order to verifv that mbodification to the

plant were performed consistent with plant design control procedures.

b jFindings

Inadequate Fire iHazards Analysis

Introduction: The'team identified a Green non-cited violation MNMV) associated with.

failure to meet the fire pr~otection broaram plan reauirements contained in the 10 CFR

50.48 and PSL Unit 2 Operatina License Condition (OL 12.0G.420. The team ound

that six silicone oil filled transformers installed in three 2fire zones Wire Zone 37,.

2Unit

TrainA Switchaear Room. Fire ZOne:34, Traiin B Switchqear Room B.and Fire Zone 47,

Turbine Buildina Switchaear Rooml]were ~not evaluated in the Fire 0Hazards Anaiysis

fFHA) as contributors to fire loadina and effects on safeIshutdown (SSD) capability as

required by Fire Protection .pProgram commitments.

,,

.ire ,,  ; . .. Pr gra

Descrip tion: At PSL the indoorbmedium voltacie power transformers installed in Unit 1

are of ithe dry tye.; However, six of the indoor medium ivoltacie oower transformers in

Unit,2 are cooled: and in'sulated' by a silicone-tvye fluid. The licensee provided to the

team information from the transformer manufacturer that the transformer ,insulating flu'id

was Dow Comnin O(DC) 561. a dimethvl silicone insulatina fluid.: The team oerformed an

independent technical review of the licensee's enciineerina calculations-and

maintenance documentation. transformer vendor technical information manual,

insulatinci fluid manufacturer information. Underwriters Laboratorv (UL) and FactorY

M~f'utual (FMlistinc., aciencies' documentation, andInstitute of Electrical and Electronics

Engineers l(IEEED Standards. Documents reviewed are listedl in the Attachment.

The DC 561 technical manual 'described the DC 561 fluidJ as. a silicone-liauid that will

burnbut was Iless flammable than paraffin-tvye insulating oils. The tenical manual

also stated that the DC561 fluid had a flash point of 324 o'C:a total heat release rate

(HRR) o~f; 140 WIm2 (ber ASTM E 1354-90), and a fire point iof 357 oC. In their Fire

Hazard Analvsis thealicensee evaluated the adeauacv o7f their fire area/zone and

electrical racewav fire barrier svstem (ERFBS) enclosure barrier features based on the

combustible hazard content and overall fire loadind (ainalvzed fire duration) oresent

within the associated area/zone. Based on the above, the team concluded that the

transformer insulatin fluid was a in-situ combustible liauid not 'accounted for nor

evaluated in the PSL FHA. Additionallv, the team noted that the licensee' had conducted

an UFSAR Combustible Loadinq Update evaluation in 1997. This evaluation was

documented in PSL-ENG-SEMS-97-070,. but failed to identifv that the transformers in

fire zone 37 contained combustible silicone insulatina fluid. Also a PSL Triennal Fire

Protection Audit (documented in QA audit Report QSL-FP-01-07) conducted in 2001,

reviewed the FHA but did not identify any fire loading discrepancies.

17

The team determined that the breviouslv unidentified six silicone 'oil-filled transformers

represented an in an increase> in the 'inition freauency of the associated fire

areaslzones. Also,: the'additional in-s'itu 0combustible fire6 load and fire severity

represented by the;combustible traansformer insulating fldid increased the likelihood of a

sustained fire' event from a catastrophic failure4of an effected transformer that may upset

I

plant stability and challenge ritical safety functions during SSD operations.

The i-T-E Unit Substatio Transformerst Instruction Manua-lrecommended tha the

dielectric insuiatina fluid be sampled annually and the dielectric strencth of the fluid 'be

tested to ensure that it is at 26 KV or better. The licensee determined that except`for

four tests conducted durina the beriod 1990-1992 there woereno records of the

transformersj fluid beina sampled and tested. This issue was entered into the corrective

actionprogram asCR 2003-0978 and willfollow p b th

staff.

Analysis: The team determined that this findinq was associated with the botection

aoains't.external factor.s" aftribute zandaffected the'obiective of'the initiatino events

cornerstone to limit the likelihood of those events that could uoset plant stability and

challende critical safetv functions relied. u6on for SSD from a fire, and is therefore

oreater than minor. The previouslv unidentified six silicone oil-filled transformers in Unit

2,represented an in an increase in the ignition freouenc of the associated fire

areas/zones. The findinci was considered to have verv low safety siqnificance 4(Green)

because it did not involve .the impairment, or deqradation of NRC aPbroved fire

protection features and the overall SSID capabilities for the areas were evaluated bv the

licensee s SSA as adeauate to ensure SSDI capabilitv. However. when assessed in

combination with other findings identified in this' report, the ,significance could be greater

th..n vr low significance.

Enforcement: 10 CFR 50.48 states, in part. "Each operatins 'nuclear Power: lant must

have a fire protection prrooram -that satisfies Criterion 3 of Appendix A to this part." PSL

Unit 2 Operatinq License NPF-16. Condition 2.C.(4) specifies. in part, that the licensee

implement and maintain in effect all provisions of the approved FPP as described in the

UFSAR for the facilitv'and as awcroved by the NRC letter dated JuIY 17,1984, and

subseauent suppblements. ' The approved FPP is maintained and documented in the

PSL UFSAR, Appendix 9.5A, Filre Protection Program Report.

TheU FSAR. Fire Protection Procram Report, states, in rart. that the: PSL Fire

Protection Prooram described in the report imple ments the philosoDhv of defense-in-

depath Drotection acainst fire hazards and effects of fire on safe shutdown eauipment.

The PSL fire protection proaram is auided bv Dlant fire hazard analvses and by credible

fire postulations. Itfurther stated that the Fire Hazard Analvses performed for St. Lucie

iUnit 2 considered potential fire hazards and their possible effect on safe shutdown

capability.

PSL administrative fire protection procedure, 1800022. Section 8.3 states that the FHA

for Unit 2 are individual studies of each plant's designs, potential fire hazards in the

18

lanb'Dt,nil of l~hbsveithreats: o'ccurrn th ebzff66t 6f. 66tltdfielo~a

hutdo cabilitv Further. this sttthat insit

bou'tUsteb e features.u aal'cottpldr:toflarezavd

loading inthe'res Ve~firezoneso

e FPP commin S cfiaaiI.38b aii& f in-sitLI ornbUblelrmeL

silicoI'dllct

n f eachof locatedin;UnW2Vsiitanf6

was no

cnsideran elute~dir I the ;HA~hs,'.contnibutors §tofire.Ioadi Qaa O~beefc

on

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- ATTACHMENT

ENGINEERING BRANCH 1 FIRE PROTECTION INSPECTION DEBRIEF

Inspection of: St. Lucie Nuclear Plant Report Number: 50-335,389/03-02

Inspection Dates: March 10-14 and 24-28, 2003 (onsite inspection)

Type of Inspection: TRIENNIAL FIRE PROTECTION BASELINE INSPECTION: Fire

Protection Features and Post-Fire Safe Shutdown Capability.

Inspectors: M. Thomas, Lead/Operations Inspector; G. Wiseman, Fire Protection Inspector; S.

Walker, Electrical Inspector; P. Fillion, Electrical Inspector (Open Items Followup); F. Jape,

Operations Inspector (Training);'R. Deem, Contractor (Mechanical Systems/Operations);

Accompanying'Personnel: R. Rodriguez, Nuclear Reactor Safety Intern, will be in training and

support the open items followup/Electrical areas.

Inspection Scope: This inspection was conducted in accordance with revised Inspection

Procedure 71111.05, Fire Protection, dated 03/23/01, and the NRC Reactor Oversight

Process. The inspection team focused their review on the separation of the systems and

equipment necessary to achieve and maintain safe shutdown and fire protection features of

these plant areas. The team used IPEEE data, with assistance from the RII Senior Risk

Analyst, to identify risk significant plant areas and components among those with the

highest CDFs and CCDPs. The fire areas/fire zones chosen for review during this

inspection are:

3. Unit 2 Fire Area B - Cable Spreading Room (Fire Zone 52). A fire in this area could

result in evacuation of the Unit 2 main control room (MCR) and the plant could be brought

to cold shutdown from a remote location even with the loss of all unprotected equipment

and cables in Fire Zone 52. Use of Train "A" equipment is credited for a fire in this area.

2. Unit 2 Fire Area C - Dual elevation fire 'areaencompassing Fire Zone 34 (Train "B"

Switchgear Room) and Fire Zone 48 (Electrical Equipment Supply Fan Room). Fire

Area C and the essential equipment and cables within, have been evaluated with respect to

the protection and separation criteria of Appendix R, Section IlI.G.2 to assure that the

ability to safely shut down the plant is not adversely effected by a single fire event. Safe

shut down of Unit 2 from the MCR using Train KAn equipment is credited for a fire in this

area.

3. Unit 2 Fire Area I consists of Fire Zone 51 West (Cable Loft), Fire Zone 21

(Personnel Rooms), Fire Zone 32 (PASS and Radiation Monitoring Room), Fire Zone

331 (Instrument Repair Shop), and Fire Zone 23 (Train "B" Electrical Penetration,'

Room). Fire Area I and the essential equipment and cables within, have been evaluated

with respect to the protection and separation criteria of Appendix R Section III.G.2 to

assure that the ability to safely-shut down the plant is not effected by a single fire event.

ATTACHMENT

Safe shut down of Unit 2 from the MCR using Train "A" equipment is credited for a fire in

this area.

INSPECTION RESULTS: Two Findings were identified.

Finding No. 1

Silicone oil filled transformers in Unit 2 fire areas were not evaluated in the Fire Hazards

Analysis (FHA) as, required by the Fire Protection Program commitments. The affected fire

areas were Fire Area A (Fire Zone 37, A SWGR Rm); Fire Area C (Fire Zone 34, B SWGR

Rm); and Fire Area QQ (Fire Zone 47, Turbine Bldg SWGR Rm). This finding is More

Than Minor. The 380 gallons of transformer silicone dielectric cooling fluid In each

transformer was not evaluated in the FHA as contributors to fire loading and effects on SSD

In FZ 34, 37 or 47.

Note: This finding affects:

1. Existing fire protection licensing bases (deviations to Appendix R granted by the NRC)

2. Current engineering evaluations allowed under GL 86-10 for fire protection barriers or

systems not submitted to the NRC (CR 02-0396, Derated Thermo-Lag fire barrier wall

partition separating the CSR and B Switchgear Room)

3. IPEEE Risk Analysis for Fire Events (the transformers were likely not accounted for in ISDS

and could affect total CDF for the fire areas.

4. The maintenance and surveillance programs for transformer related fluid sampling and

condition evaluations. (Note: Will be followed up by Resident inspectors).

The licensee initiated CRs 03-0637 and 03-0978 to address this finding

Missed Ognortunities For Identification:

  • In 1997 the licensee conducted an UFSAR Combustible Loading Update evaluation

documented in PSL-ENG-SEMS-97-070 but failed to identify that the transformers in fire

zone A37 contained combustible silicone fluid.

  • PSL Triennal FP Audit in 2001 documented in QA audit Report QSL-FP-01-07 reviewed

the FHA but did not identify any fire loading discrepancies.

Finding No. 2

Use of Manual Operator actions outside the MCR for Ill.G.2 areas (Fire Area C and Fire Area I)

without prior NRC approval. Many manual operator actions were used id lieu of physical

protection of cables and equipment relied on for SSD during a fire. This was a deviation

ATTACHMENT

from the approved Fire Protection Program. The licensee identified this issue in CR 03-

0153 prior to this inspection. This finding is More Than Minor. This finding will be

Unresolved pending completion of the SDP to determine the risk associated with using the

manual operator actions in lieu physical protection. (NOTE: The NRC and the Nuclear

industry are working to resolve this issue on a generic basis).'

In addition to the two findings, eight condition reports (CRs) were written as a result of

this inspection. The CRs were evaluated against and determined to meet the NRC

criteria for minor issues and will not be discussed in the report details.

CR 03-0847 Hot shutdown repairs using tools to achieve safe shutdown in the event of a

fire

CR 03-0888 Update UFSAR to delineate that Deviation C6 previously approved bythe

NRC for fire areas A & C is no longer required

CR 03-0942 Discrepancies between the safe shutdown analysis (SSA), essential

equipment list (EEL), and the breaker/fuse coordination study

CR 03-0964 Rubatex insulation installed on instrument lines in the U2 intake (fire area R-

R)is not considered in the FHA

CR 03-0965 Combustible fire load for Ul and U2 intake fire areas same in the field but

different values listed each unit's FHA

CR 03-0966 Temp Mod (installation of fans between cable spreading room and B SWGR

room) did not sufficiently evaluate potential impact on fire protection

CR 03-0986 Discrepancies between SSA and EEL. Determined that EEL was in error

CR 03-1010 Cold shutdown repairs identified in licensee procedures, but UFSAR states

that no credit is taken for post-fire repair of cold shutdown equipment

Open Items Reviewed: Three open items assigned to EB1 were -reviewed for closure.

URI 50-335,389/99-08-03, PORV Cabling May Not Be Protectedfrom Hot Shorts Inside . .

Containment (Closed - Green NCV) -

LER 50-335,389/00-001, Outside Design Bases Appendix R Hi-Lo Pressure Interface and

Separation Issues

LER 50-335/00-004, Pressurizer Level Instrumentation Conduit Separation Outside Appendix R

Design Bases

. . .. . . , ~~~~~

ATTACHMENT

I

LESSONS LEARNED: -

Successes:

  • Followed up on three open items
  • Experience/knowledge of Fire Protection Inspector
  • Resident inspector followup of licensee's sampling of transformer oil

Challenges:

  • Better coordination by team leader with licensee for open item followup
  • Completing SDP for the open items
  • Effect of fire on instrumentation needs to be reviewed in more depth and detail

ATTACHMENT