ML060460035
ML060460035 | |
Person / Time | |
---|---|
Site: | Diablo Canyon |
Issue date: | 02/14/2006 |
From: | William Jones NRC/RGN-IV/DRP/RPB-B |
To: | Keenan J Pacific Gas & Electric Co |
References | |
IR-05-005 | |
Download: ML060460035 (60) | |
See also: IR 05000275/2005005
Text
February 14, 2006
John S. Keenan, Chief Nuclear Officer
Pacific Gas and Electric Company
Mail Code B32
P.O. Box 770000
San Francisco, California 94177-0001
SUBJECT: DIABLO CANYON POWER PLANT - NRC INTEGRATED INSPECTION
REPORT 05000275/2005005 AND 05000323/2005005
Dear Mr. Keenan:
On December 31, 2005, the U.S. Nuclear Regulatory Commission completed an inspection at
your Diablo Canyon Power Plant, Units 1 and 2, facility. The enclosed integrated report
documents the inspection findings that were discussed on January 12, 2006, with Mr. David
Oatley and members of your staff.
This inspection examined activities conducted under your licenses as they relate to safety and
compliance with the Commission's rules and regulations, and with the conditions of your
licenses. The inspectors reviewed selected procedures and records, observed activities, and
interviewed personnel.
There were two NRC-identified findings and two self-revealing findings of very low safety
significance (Green) identified in this report. These findings involved violations of NRC
requirements. In addition, licensee-identified violations which were determined to be of very low
safety significance are listed in the report. One additional NRC-identified finding was reviewed
under the NRC traditional enforcement process and determined to be a Severity Level IV
violation of NRC requirements. Because of their very low risk significance and because they
are entered into your corrective action program, the NRC is treating these five findings as
noncited violations (NCVs) consistent with Section VI.A of the NRC Enforcement Policy. 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 U.S. Nuclear Regulatory Commission,
ATTN: Document Control Desk, Washington, DC 20555-0001; with copies to the Regional
Administrator, U.S. Nuclear Regulatory Commission, Region IV, 611 Ryan Plaza Drive,
Suite 400, Arlington, Texas 76011-4005; the Director, Office of Enforcement, U.S. Nuclear
Regulatory Commission, Washington, DC 20555-0001; and the NRC Resident Inspector at the
Diablo Canyon Power Plant.
Pacific Gas and Electric Company -2-
In accordance with 10 CFR 2.390 of the NRC's "Rules of Practice," a copy of this letter and its
enclosure 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.gov/reading-
rm/adams.html (the Public Electronic Reading Room).
Sincerely,
/RA/
William B. Jones, Chief
Project Branch B
Division of Reactor Projects
Dockets: 50-275
50-323
Licenses: DPR-80
Enclosure:
Inspection Report 05000275/2005005
and 05000323/2005005
w/attachment: Supplemental Information
cc w/enclosure:
David H. Oatley, Acting
Chief Nuclear Officer
Diablo Canyon Power Plant
P.O. Box 56
Avila Beach, CA 93424
Donna Jacobs
Vice President, Nuclear Services
Diablo Canyon Power Plant
P.O. Box 56
Avila Beach, CA 93424
James R. Becker, Vice President
Diablo Canyon Operations and
Station Director, Pacific Gas and
Electric Company
Diablo Canyon Power Plant
P.O. Box 3
Avila Beach, CA 93424
Pacific Gas and Electric Company -3-
Sierra Club San Lucia Chapter
ATTN: Andrew Christie
P.O. Box 15755
San Luis Obispo, CA 93406
Nancy Culver
San Luis Obispo Mothers for Peace
P.O. Box 164
Pismo Beach, CA 93448
Chairman
San Luis Obispo County Board of
Supervisors
Room 370
County Government Center
San Luis Obispo, CA 93408
Truman Burns\Robert Kinosian
California Public Utilities Commission
505 Van Ness Ave., Rm. 4102
San Francisco, CA 94102-3298
Diablo Canyon Independent Safety Committee
Robert R. Wellington, Esq.
Legal Counsel
857 Cass Street, Suite D
Monterey, CA 93940
Ed Bailey, Chief
Radiologic Health Branch
State Department of Health Services
P.O. Box 997414 (MS 7610)
Sacramento, CA 95899-7414
Richard F. Locke, Esq.
Pacific Gas and Electric Company
P.O. Box 7442
San Francisco, CA 94120
City Editor
The Tribune
3825 South Higuera Street
P.O. Box 112
San Luis Obispo, CA 93406-0112
Pacific Gas and Electric Company -4-
James D. Boyd, Commissioner
California Energy Commission
1516 Ninth Street (MS 34)
Sacramento, CA 95814
Jennifer Tang
Field Representative
United States Senator Barbara Boxer
1700 Montgomery Street, Suite 240
San Francisco, CA 94111
Chief, Radiological Emergency
Preparedness Section
Oakland Field Office
Chemical and Nuclear Preparedness
and Protection Division
Department of Homeland Security
1111 Broadway, Suite 1200
Oakland, CA 94607-4052
Pacific Gas and Electric Company -5-
Electronic distribution by RIV:
Regional Administrator (BSM1)
DRP Director (ATH)
DRS Director (DDC)
DRS Deputy Director (RJC1)
Senior Resident Inspector (TWJ)
Branch Chief, DRP/B (WBJ)
Senior Project Engineer, DRP/E (RAK1)
Team Leader, DRP/TSS (RLN1)
RITS Coordinator (KEG)
V. Dricks, PAO (VLD)
J. Dixon-Herrity, OEDO RIV Coordinator (JLD)
ROPreports
DC Site Secretary (AWC1)
W. A. Maier, RSLO (WAM)
SUNSI Review Completed: _wbj___ADAMS: : Yes G No Initials: __wbj____
- Publicly Available G Non-Publicly Available G Sensitive : Non-Sensitive
R:\_REACTORS\_DC\2005\DC2005-05RP-TWJ.wpd
RIV:RI:DRP/B SRI:DRP/B C:DRS/PSB C:DRS/OB C:DRS/PEB
TAMcConnell TWJackson MPShannon ATGody LJSmith
E - WBJones E - WBJones /RA/ /RA/ GDReplogle for
2/10/06 2/10/06 2/13/06 2/13/06 2/13/06
C:DRS/EB C:DRP/B
JAClark WBJones
/RA/ /RA/
2/13/06 2/14/06
OFFICIAL RECORD COPY T=Telephone E=E-mail F=Fax
ENCLOSURE
U.S. NUCLEAR REGULATORY COMMISSION
REGION IV
Dockets: 50-275, 50-323
Report: 05000275/2005005
Licensee: Pacific Gas and Electric Company (PG&E)
Facility: Diablo Canyon Power Plant, Units 1 and 2
Location: 7 1/2 miles NW of Avila Beach
Avila Beach, California
Dates: October 1 through December 31, 2005
Inspectors: T. Jackson, Senior Resident Inspector
T. McConnell, Resident Inspector
R. Lantz, Senior Emergency Preparedness Inspector
R. Kopriva, Senior Project Engineer
L. Ricketson, PE, Senior Health Physicist
J. Adams, Reactor Inspector
L. Ellershaw, PE, Consultant
Approved By: W. B. Jones, Chief, Projects Branch B
Division of Reactor Projects
-1- Enclosure
TABLE OF CONTENTS
PAGE
SUMMARY OF FINDINGS . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 3
REACTOR SAFETY
1R01 Adverse Weather . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 8
1R04 Equipment Alignments . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 8
1R05 Fire Protection . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 9
1R06 Flood Protection Measures . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 10
1R07 Heat Sink Performance . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 10
1R08 Inservice Inspection Activities . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 11
1R11 Licensed Operator Requalification . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 17
1R12 Maintenance Effectiveness . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 17
1R13 Maintenance Risk Assessments and Emergent Work Control . . . . . . . . . . . . . 18
1R14 Personnel Performance Related to Nonroutine Plant Evolutions and Events . 19
1R15 Operability Evaluations . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 22
1R19 Postmaintenance Testing . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 25
1R20 Refueling and Outage Activities . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 27
1R22 Surveillance Testing . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 27
1EP2 Alert Notification System Testing . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 28
1EP3 Emergency Response Organization Augmentation Testing . . . . . . . . . . . . . . 29
1EP5 Correction of Emergency Preparedness Weaknesses and Deficiencies . . . . . 29
1EP6 Emergency Preparedness Evaluation . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 30
RADIATION SAFETY
2OS1 Access Control To Radiologically Significant Areas . . . . . . . . . . . . . . . . . . . . 30
OTHER ACTIVITIES
4OA1 Performance Indicator Verification . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 33
4OA2 Identification and Resolution of Problems . . . . . . . . . . . . . . . . . . . . . . . . . . . . 36
4OA3 Event Follow-up . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 42
4OA5 Other . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 45
4OA6 Management Meetings . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 46
4OA7 Licensee-identified Violations . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 42
ATTACHMENT: SUPPLEMENTAL INFORMATION
Key Points of Contact . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . A-1
List of Items Opened, Closed, and Discussed . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . A-1
List of Documents Reviewed . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . A-2
List of Acronyms Used . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . A-9
-2- Enclosure
SUMMARY OF FINDINGS
IR 05000275/2005-005, 05000323/2005-005; 10/1/05 - 12/31/05; Diablo Canyon Power Plant
Units 1 and 2; Personnel Performance Related to Nonroutine Plant Evolutions and Events, and
Problem Identification and Resolution, Access Control to Radiologically Significant Areas, and
Performance Indicator Verification.
This report covered a 13-week period of inspection by resident inspectors and announced
inspections in the areas of radiation protection and in-service inspections. Two self-revealing
and two NRC- identified, Green, noncited violations were identified. Additionally, a Severity
Level IV violation was identified. The significance of most findings is indicated by their color
(Green, White, Yellow, or Red) using Inspection Manual Chapter 0609 Significance
Determination Process. Findings for which the Significance Determination Process does not
apply may be Green or be assigned a severity level after NRC management review. The
NRCs 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: Mitigating Systems
- Green. A self-revealing noncited violation of 10 CFR 50.65(a)(4) was identified
for the failure of maintenance personnel to adequately assess and manage the
risk associated with maintenance on Startup Transformer 1-1. On November 19,
2005, when maintenance personnel were performing work on Startup
Transformer 1-1, they failed to conduct a circuit isolation plan which was a risk
management action required by Procedures AD7.DC8, Work Control,
Revision 20 and MA1.DC11, Risk Assessment, Revision 5A. The circuit
isolation plan would have provided an opportunity to identify the potential of
disrupting startup power to Unit 2, which occurred as a result of the maintenance
activities. This issue was entered into Pacific Gas and Electric
Companys corrective action program as Action Request A0652421.
The finding was greater than minor because it is related to Inspection Manual
Chapter 0612, Appendix B, Section 3(5)(I), in that maintenance personnel failed
to fully implement Procedures AD7.DC8 and MA1.DC11, which called for a
circuit isolation plan for medium- to high-risk maintenance activities as a risk
management action. The finding affected the Mitigating Systems Cornerstone.
Using Inspection Manual Chapter 0609, Appendix K, Maintenance Risk
Assessment and Risk Management Significance Determination Process,
Flowchart 2 - Assessment of Risk Management Actions, the incremental core
damage probability was less than 1E-6 and the incremental large early release
frequency was less than 1E-7. The finding was assessed as having very low
safety significance. The cause of the finding is related to the cross-cutting
element of human performance in that maintenance personnel failed to follow
procedures (Section 1R14).
-3- Enclosure
- Green. A self-revealing noncited violation of Technical Specification 5.4.1.a was
identified for the failure of operations personnel to properly implement
Procedure OP B-3B:I, Accumulators - Fill and Pressurize, Revision 23. On
November 27, 2005, operators failed to correctly align valves according to
Procedure OP B-3B:I in order to fill Safety Injection Accumulator 1-3. As a
result, the safety injection pumps injected into the reactor coolant system
causing the pressurizer heatup rate to be exceeded and contributing to the
safety injection discharge header pressurization due to perturbation of check
Valve SI-1-8948B. This violation was entered into Pacific Gas and Electric
Companys corrective action program as Action Request A0653564.
The finding is greater than minor because it is associated with the Mitigating
System Cornerstone attribute of configuration control and affects the associated
cornerstone objective to ensure the availability, reliability, and capability of
systems that respond to initiating events to prevent undesirable consequences.
Using the Inspection Manual Chapter 0609, "Significance Determination
Process," Appendix G, Checklist 4, the finding did not require quantitative
screening. Therefore, the finding was assessed as having very low safety
significance. The cause of the finding is related to the crosscutting element of
human performance in that operations personnel did not follow procedures
(Section 1R14).
- Green. An NRC-identified noncited violation of 10 CFR Part 50, Criterion XVI,
was identified for the failure to promptly correct emergency core cooling system
check valve back-leakage. Since 2000, Units 1 and 2 have experienced
emergency core cooling system check valve back-leakage. Pacific Gas and
Electric Company has failed to adequately take into consideration industry
experience and provide for timely corrective actions regarding emergency core
cooling system check valve back-leakage and its potential to cause gas-binding
of emergency core cooling system pumps and/or water hammer of emergency
core cooling system piping. This issue was entered into Pacific Gas and Electric
Companys corrective action program as Action Requests A0526037
and A0610421.
The finding is greater than minor because it is associated with the Mitigating
Systems Cornerstone attribute of equipment performance and affects the
associated cornerstone objective to ensure the availability, reliability, and
capability of systems that respond to initiating events to prevent undesirable
consequences. Using Inspection Manual Chapter 0609, Significance
Determination Process, Phase 1 Worksheet, the finding is determined to have
very low safety significance because it did not represent an actual loss of safety
function, represent an actual loss of safety function for a single train for greater
than the Technical Specification allowed outage time, or screen as potentially
risk significant due to seismic, fire, flooding, or severe weather initiating events.
The cause of the finding is related to the crosscutting element of problem
-4- Enclosure
identification and resolution in that Pacific Gas and Electric Company did not
adequately evaluate and implement timely corrective actions to emergency core
cooling system check valve back-leakage (Section 4OA2.2).
Cornerstone: Emergency Preparedness
- Severity Level IV. The inspector identified an noncited violation of 10 CFR 50.9
because Pacific Gas and Electric Company failed to provide complete and
accurate information in a submittal of data for the emergency preparedness drill
and exercise performance indicator. Specifically, Pacific Gas and Electric
Company staff failed to identify three missed opportunities for emergency
notification accuracy during the second calendar quarter of 2005. Pacific Gas
and Electric Company took prompt action to correct the second quarter data,
which resulted in the drill and exercise performance indicator color to cross from
GREEN to WHITE. Pacific Gas and Electric Company also initiated a
100 percent review of the second and third quarter drill and exercise
performance indicator data and discovered one additional administrative error in
the third quarter performance indicator data, which had been previously
evaluated, but not yet reported to the NRC. Pacific Gas and Electric Company
had previously initiated a root cause evaluation in its corrective action program to
determine the reason for the declining indicator and, subsequently, initiated
another root cause evaluation to determine the reason for the failure to
adequately evaluate and report the performance indicator data. The finding also
had human performance crosscutting aspects in that the reviews that were
performed were not adequate to identify the actual failures that had occurred.
Because this issue affected the NRCs ability to perform its regulatory function, it
was evaluated using the traditional enforcement process. Supplement 7,
Section D.3, of the NRC Enforcement Policy describes this finding as a Severity
Level IV violation. The issue is significant because it indicates a declining trend
in the attention to detail shown by senior licensed operators in performing
emergency notifications to the state and local authorities. This issue is
documented in Pacific Gas and Electric Company's corrective action program as
Nonconformance Report N0002200 (Section 4OA1).
Cornerstone: Occupational Radiation Safety
- Green. The inspectors identified an noncited violation of 10 CFR 20.1902 for a
failure of Pacific Gas and Electric Company to post a radiation area.
Specifically, Pacific Gas and Electric Company did not post an area within
Vault 26 in which the radiation dose rates were approximately 30 millirem per
hour at 30 centimeters from the surfaces of radioactive material storage
containers. The finding was entered into Pacific Gas and Electric Companys
corrective action program as Action Request A0652226 and planned corrective
action were still being evaluated. The finding had crosscutting aspects in the
area problem identification and resolution (corrective actions), in that a similar
violation was previously identified in Inspection Report 050000275; 323/2002004.
-5- Enclosure
The finding was more than minor because it was associated with one of the
cornerstone attributes (exposure control and monitoring) and the finding affected
the Occupational Radiation Safety Cornerstone objective, in that uninformed
workers could unknowingly accrue additional radiation dose. The inspector
determined that the finding had no more than very low safety significance
because: (1) it did not involve ALARA planning and controls, (2) there was no
personnel overexposure, (3) there was no substantial potential for personnel
overexposure, and (4) the finding did not compromise Pacific Gas and Electric
Companys ability to assess dose (Section 2OS1).
B. Licensee-Identified Violations
Violations of very low safety significance, which have been identified by Pacific Gas and
Electric Company have been reviewed by the inspectors. Corrective actions taken or
planned by Pacific Gas and Electric Company have been entered into their corrective
action program. These violations and corrective actions are listed in Section 4OA7 of
this report.
-6- Enclosure
REPORT DETAILS
Summary of Plant Status
Diablo Canyon Power Plant Unit 1 began this inspection period at 100 percent power. On
October 15, 2005, Unit 1 was curtailed to 93 percent power due to the loss of hydrazine
injection into the secondary feedwater system. Unit 1 returned to 100 percent power following
the restoration of hydrazine on the same day. On October 22, Unit 1 was curtailed to
23 percent power as a precaution due to high storm ocean swells.
On October 23, 2005, operators commenced a Unit 1 reactor shutdown for Refueling
Outage 1R13 and entered Mode 3 (Hot Standby). Operators initiated a plant cooldown and
entered Mode 4 (Hot Shutdown) on October 23 and Mode 5 (Cold Shutdown) on October 24.
On October 28, Unit 1 entered Mode 6 (Refueling) when maintenance personnel de-tensioned
the reactor vessel head. Operators commenced core offload on October 30 and completed
core offload on November 1. Unit 1 remained de-fueled until November 17 when Unit 1 entered
Mode 6 as a result of operators reloading fuel into the reactor vessel. Unit 1 entered Mode 5 on
November 22 when maintenance personnel tensioned the reactor vessel head. Operators
began increasing reactor coolant temperature, and Unit 1 entered Mode 4 on November 26.
Operators continued to increase reactor coolant temperature, and Unit 1 entered Mode 3 on
November 28. On November 29, operators commenced a reactor startup, and Unit 1 reached
Mode 2 (Startup). Operators continued to increase reactor power, and Unit 1 entered Mode 1
(Power Operations) on December 2. On December 3, the Unit 1 main generator was paralleled
to the grid; ending Refueling Outage 1R13. Unit 1 reached 100 percent power on December 8.
On December 20, 2005, Unit 1 was curtailed to 25 percent power as a precaution due to high
ocean swells. Unit 1 was returned to 100 percent power on December 21. Unit 1 remained at
100 percent power for the duration of the inspection period.
Diablo Canyon Power Plant Unit 2 began this inspection period at 100 percent power. On
October 1, 2005, Unit 2 was curtailed to 87 percent power to support grid maintenance.
Following completion of this maintenance activity, Unit 2 was returned to 100 percent power on
October 2. On October 22, Unit 2 was curtailed to 23 percent power as a precaution due to
high ocean swells. Unit 2 was returned to 100 percent power on October 24. On November 9,
Unit 2 was curtailed to approximately 99 percent power for replacement of a feedwater heater
valve. Following valve replacement, Unit 2 was returned to 100 percent power on
November 12. On December 20, Unit 2 was curtailed to 25 percent power as a precaution due
to high ocean swells. Unit 2 was returned to 100 percent power on December 21. Unit 2
remained at 100 percent power for the duration of the inspection period.
1. REACTOR SAFETY
Cornerstones: Initiating Events, Mitigating Systems, and Barrier Integrity
-7- Enclosure
1R01 Adverse Weather (71111.01)
a. Inspection Scope
The inspectors completed a review of Pacific Gas and Electric Company's (PG&E)
readiness of seasonal susceptibilities involving extreme low temperatures. The
inspectors: (1) reviewed plant procedures, the Final Safety Analysis Report (FSAR)
Update, and Technical Specifications (TS) to ensure that operator actions defined in
adverse weather procedures maintained the readiness of essential systems; (2) walked
down portions of the one system listed below to ensure that adverse weather protection
features (heat tracing, space heaters, weatherized enclosures, etc.) were sufficient to
support operability, including the ability to perform safe shutdown functions; (3)
evaluated operator staffing levels to ensure PG&E could maintain the readiness of
essential systems required by plant procedures; and (4) reviewed thecorrective action
program to determine if PG&E identified and corrected problems related to adverse
weather conditions.
- December 22, 2005: Units 1 and 2, Vital Batteries
Documents reviewed by the inspectors included:
- Procedure Action Request (AR) PK15-09, Electrical Rooms Temp Monitor,
Revision 26
- Design Criteria Memorandum S-67, 125 and 250V DC System, Revision 2
The inspectors completed one sample.
b. Findings
No findings of significance were identified.
1R04 Equipment Alignments (71111.04)
Partial System Walkdowns
a. Inspection Scope
The inspectors: (1) walked down portions of the below listed risk-important system and
reviewed plant procedures and documents to verify that critical portions of the selected
systems were correctly aligned; and (2) compared deficiencies identified during the walk
down to the FSAR Update and CAP to ensure problems were being identified and
corrected.
- October 7, 2005: Unit 1, Auxiliary Saltwater Pump 1-1
-8- Enclosure
Documents reviewed by the inspectors included:
- Drawing 106717, Saltwater, Sheet 7, Revision 132
- Drawing 106717, Saltwater, Sheet 7A, Revision 138
The inspectors completed one sample.
b. Findings
No findings of significance were identified.
1R05 Fire Protection (71111.05)
.1 Quarterly Inspection
a. Inspection Scope
The inspectors walked down the two below listed plant areas to assess the material
condition of active and passive fire protection features and their operational lineup and
readiness. The inspectors: (1) verified that transient combustibles and hot work
activities were controlled in accordance with plant procedures; (2) observed the
condition of fire detection devices to verify they remained functional; (3) observed fire
suppression systems to verify they remained functional and that access to manual
actuators was unobstructed; (4) verified that fire extinguishers and hose stations were
provided at their designated locations and that they were in a satisfactory condition;
(5) verified that passive fire protection features (electrical raceway barriers, fire doors,
fire dampers, steel fire proofing, penetration seals, and oil collection systems) were in a
satisfactory material condition; (6) verified that adequate compensatory measures were
established for degraded or inoperable fire protection features and that the
compensatory measures were commensurate with the significance of the deficiency;
and (7) reviewed the FSAR Update to determine if PG&E identified and corrected fire
protection problems.
- November 7, 2005: Unit 1, Containment Fire Zones 1A, 1B, and 1C
- November 8, 2005: Unit 1, 154 foot Auxiliary Building, Detection Zone A-13
Documents reviewed by the inspectors are listed in the attachment.
The inspectors completed two samples.
b. Findings
No findings of significance were identified.
-9- Enclosure
1R06 Flood Protection Measures (71111.06)
Annual External Flooding
a. Inspection Scope
The inspectors: (1) reviewed the FSAR Update, the flooding analysis, and plant
procedures to assess seasonal susceptibilities involving external flooding; (2) reviewed
the FSAR Update and CAP to determine if PG&E identified and corrected flooding
problems; (3) inspected underground bunkers/manholes to verify the adequacy of
(a) sump pumps, (b) level alarm circuits, (c) cable splices subject to submergence, and
(d) drainage for bunkers/manholes; (4) verified that operator actions for coping with
flooding can reasonably achieve the desired outcomes; and (5) walked down the one
below listed area to verify the adequacy of: (a) equipment seals located below the
floodline, (b) floor and wall penetration seals, (c) watertight door seals, (d) common
drain lines and sumps, (e) sump pumps, level alarms, and control circuits, and
(f) temporary or removable flood barriers.
- December 28, 2005: Units 1 and 2, Turbine Building Louvers
Documents reviewed by the inspectors are listed in the attachment.
The inspectors completed one sample.
b. Findings
No findings of significance were identified.
1R07 Heat Sink Performance (71111.07)
a. Inspection Scope
The inspectors reviewed PG&Es programs, verified performance against industry
standards, and reviewed critical operating parameters and maintenance records for
Component Cooling Water Heat Exchangers 1-1 and 1-2. The inspectors verified that :
(1) performance tests were satisfactorily conducted for heat exchangers/heat sinks and
reviewed for problems or errors; (2) PG&E utilized the periodic maintenance method
outlined in EPRI NP-7552, Heat Exchanger Performance Monitoring Guidelines;
(3) PG&E properly utilized biofouling controls; (4) PG&Es heat exchanger inspections
adequately assessed the state of cleanliness of their tubes, and (5) the heat exchanger
was correctly categorized under the Maintenance Rule.
Documents reviewed by the inspectors included Procedure PEP M-234, CCW Heat
Exchanger Performance Test, Revision 9.
The inspectors completed one sample.
-10- Enclosure
b. Findings
No findings of significance were identified.
1R08 Inservice Inspection Activities (71111.08)
Inspection Procedure 71111.08 requires a minimum sample size of four (as identified in
Sections 02.01, 02.02, 02.03, and 02.04).
02.01: Performance of Nondestructive Examination Activities Other Than Steam Generator
Tube Inspections, Pressurized Water Reactor Vessel Upper Head Penetration
Inspections, Boric Acid Corrosion Control
a. Inspection Scope
The inspection procedure requires the review of nondestructive examination activities
consisting of two or three different types (i.e., volumetric, surface, or visual). The
inspectors observed the performance of ultrasonic examinations (volumetric) on eight
reactor vessel upper head penetration nozzles and radiographic examinations
(volumetric) on two emergency core cooling system pipe welds. In addition, the
inspectors observed three liquid penetrant examinations (surface) performed on residual
heat removal system components and reviewed liquid penetrant reports of two
examinations performed on emergency core cooling system pipe welds. The table
below identifies the above examinations, which were conducted using three methods
and two different examination types.
Component Identity Examination Examination
Type Method
Reactor Vessel Upper 30,31,33,36,37,43, 57, Volumetric Ultrasonic
Head Penetration and the vent line weld
Nozzles
Emergency Core Welds WIC 1 and WIC 2 Volumetric Radiography
Cooling System
Suction Void Header
Residual Heat 58N-49R (2 each) Surface Liquid Penetrant
Removal System Pipe
Support Lug welds
Residual Heat 58N-52A Surface Liquid Penetrant
Removal System Pipe
Support Bracket
Emergency Core Welds FW 25 and FW 26 Surface Liquid Penetrant
Cooling System Pipe-
To-Elbow welds
-11- Enclosure
For each of the nondestructive examination activities reviewed, the inspectors verified
that the examinations were performed in accordance with the specific site procedures
and the applicable American Society of Mechanical Engineers Boiler and Pressure
Vessel Code (ASME Code) requirements.
During review of each examination, the inspectors verified that appropriate
nondestructive examination procedures were used, examinations and conditions were
as specified in the procedure, and test instrumentation or equipment was properly
calibrated and within the allowable calibration period. The inspectors also verified the
nondestructive examination certifications of the personnel who performed the above
ultrasonic and radiographic examinations. Finally, the inspectors observed that
indications identified during the ultrasonic and radiographic examinations were
dispositioned in accordance with the ASME qualified nondestructive examination
procedures used to perform the examinations.
In addition to observation of ultrasonic examinations performed on the eight reactor
vessel upper head penetration nozzles identified in the table above, the inspectors
observed portions of the ultrasonic examination data analysis associated with the
following nine nozzle penetrations: 17, 21, 27, 31, 34, 35, 36, 40, and 74.
The inspection procedure requires review of one or two examinations with recordable
indications that were accepted for continued service to ensure that the disposition was
made in accordance with the ASME Code. The inspectors reviewed AR A0650500,
which documented identification of a flaw in the Loop 3 cold leg nozzle-to-safe end Weld
WIB-RC-3-18(SE). The flaw was identified and documented on November 6, 2005,
during an ultrasonic (volumetric) examination. PG&Es contractor (WesDyne
International) performed an indication sizing assessment on November 7, 2005, using
Procedure PDI-ISI-254-SE, Flaw Sizing, Revision 2. The result of the flaw sizing
evaluation, which showed that the flaw was acceptable, supported continued Unit 1
operation. The inspectors verified that the evaluation was performed in accordance with
the 1989 Edition of the ASME Code,Section XI, Tables IWB-3514-2 and IWB-3514-1,
which provide the specific rules for the performance of such evaluations.
One other instance was identified in which an indication was detected during liquid
penetrant (surface) examination of residual heat removal pipe support Bracket 58N-52A.
The 0.2 inch linear indication was evaluated in accordance with ASME Code
requirements and was found to meet the specified acceptance standards. PG&E
personnel documented the size and location of the indication in the liquid penetrant
examination report.
The inspection procedure further requires verification of one to three welds on Class 1
or 2 pressure boundary piping to ensure that the welding process and welding
examinations were performed in accordance with the ASME Code. The inspectors
verified through record review that welding and subsequent examinations performed on
the Class 2 emergency core cooling system suction void header Welds WIC 1, WIC 2,
FW 25, and FW 26 were performed in accordance with Sections V, IX, and XI of the
1989 Edition of the ASME Code. This included review of welding material issue slips to
establish that the appropriate welding materials had been used, verification of welder
-12- Enclosure
qualifications, verification that the welding procedure specification (WPS-51) had been
properly qualified, and verification that the applicable nondestructive examination
procedures used to perform the examinations had been qualified. The inspectors also
verified that weld filler materials were properly stored and controlled and that proper
administrative controls were being implemented with respect to issuance and return of
weld filler materials.
The inspectors completed one sample under this section.
b. Findings
No findings of significance were identified.
02.02: Reactor Vessel Upper Head Penetration Inspection Activities
The inspection procedure requires this section to be performed after completion of
Temporary Instruction (TI) 2515/150. The TI had not been completed at the time of this
inspection; therefore, this section was not performed.
02.03: Boric Acid Corrosion Control Inspection Activities (Pressurized Water Reactors)
a. Inspection Scope
The inspectors evaluated the implementation of PG&Es boric acid corrosion control
program for monitoring degradation of those systems that could be deleteriously
affected by boric acid corrosion.
The inspection procedure requires review of a sample of boric acid corrosion control
walkdown visual examination activities through either direct observation or record
review. The inspectors reviewed the documentation associated with PG&Es boric acid
corrosion control walkdown as specified in Procedure ER1.ID2, Boric Acid Corrosion
Control Program, Revision 1. Samples of documented visual inspection records and
filmed results of inspections of components and equipment were also reviewed by the
inspectors.
Additionally, the inspectors performed independent observations of piping containing
boric acid during walkdowns of the containment building and the auxiliary building.
The inspection procedure requires verification that visual inspections emphasize
locations where boric acid leaks can cause degradation of safety significant
components. The inspectors verified through direct observation and program/record
review that PG&Es boric acid corrosion control inspection efforts are directed towards
locations where boric acid leaks can cause degradation of safety-related components.
The inspection procedure requires both a review of one to three engineering evaluations
performed for boric acid leaks found on reactor coolant system piping and components,
and one to three corrective actions performed for identified boric acid leaks. The
inspectors reviewed engineering evaluations associated with ARs A0649000, A0649209,
-13- Enclosure
and A0649215, which addressed boric acid leaks identified on a body-to-bonnet bolted
connection on a valve in the safety injection system and valve packing leaks on valves
in the reactor coolant system and the safety injection system. The evaluations
appropriately addressed the causes and corrective actions. Additionally, the inspectors
reviewed ARs A0649207 and A0649959 that identified minor boric acid leaks that did
not require formal engineering evaluations to effect corrective actions.
The inspectors completed one sample.
b. Findings
No findings of significance were identified.
02.04: Steam Generator Tube Inspection Activities
a. Inspection Scope
The inspection procedure specified performance of an assessment of in-situ screening
criteria to assure consistency between assumed nondestructive examination flaw sizing
accuracy and data from the Electric Power Research Institute (EPRI) examination
technique specification sheets. It further specified assessment of appropriateness of
tubes selected for in situ pressure testing, observation of in situ pressure testing, and
review of in situ pressure test results.
By letter dated October 28, 2005, the NRC issued Amendment 182 to Facility Operating
License DPR-80 and Amendment 184 to Facility Operating License DPR-82 for the
Diablo Canyon Power Plant, Units 1 and 2, respectively. These amendments consist of
changes to the TS and allow use of the steam generator tube W* (W-star) alternate
repair criteria for indications in the Westinghouse explosive tube expansion (WEXTEX)
region on a permanent basis. The W* alternate repair criteria allows axial primary stress
corrosion cracking in the WEXTEX region to remain in service provided the indication
remains below the bottom of the WEXTEX transition during the next operating cycle.
The length of the tube required to be inspected within the hot leg tubesheet is referred
to as the W* distance. While implementation of the W* alternate repair criteria
eliminated the current W* in-situ testing program, other requirements for in-situ testing
remain.
At the time of this inspection, no conditions had been identified that warranted in-situ
pressure testing. The inspectors did, however, review PG&Es report, Steam Generator
Degradation Assessment for Diablo Canyon Unit 1 Refueling Outage 1R13,
October 2005, Revision 0, dated October 28, 2005, and compared the in-situ test
screening parameters to the guidelines contained in the EPRI document, In Situ
Pressure Test Guidelines, Revision 2. This review determined that the remaining
screening parameters were consistent with the EPRI guidelines.
In addition, the inspectors reviewed both PG&E site-validated and qualified acquisition
and analysis technique sheets used during this refueling outage and the qualifying EPRI
examination technique specification sheets to verify that the essential variables
-14- Enclosure
regarding flaw sizing accuracy, tubing, equipment, technique, and analysis had been
identified and qualified through demonstration. The inspector-reviewed acquisition
technique and analysis technique sheets are identified in the Attachment.
The inspection procedure specified comparing the estimated size and number of tube
flaws detected during the current outage against the previous outage operational
assessment predictions to assess the licensees prediction capability. The inspectors
compared the previous outage operational assessment predictions with the flaws
identified thus far during the current steam generator tube inspection effort. Compared
to the projected damage mechanisms identified by PG&E, the number of identified
indications fell within the range of prediction and were quite consistent with predictions.
The number of circular outside diameter stress corrosion cracking flaws, however, was
higher than predicted. Thus, the number of tubes identified for plugging was higher than
expected. As a result, PG&E placed Steam Generators 1-1 and 1-2 in TS C-3 category
based on the total number of defective tubes identified during eddy current testing. The
consequence of entering C-3 category requires an increase in tube sample size for eddy
current examination, but since PG&E was already performing eddy current examinations
on 100 percent of the available tubes, it had no impact on sample size. The inspectors
determined that the flaw degradation severity levels found, thus far, were well within the
predicted expectations.
The inspection procedure specified confirmation that the steam generator tube eddy
current test scope and expansion criteria meet TS requirements, EPRI guidelines, and
commitments made to the NRC. The inspectors evaluated the recommended steam
generator tube eddy current test scope established by TS requirements and the Diablo
Canyon Power Plant Power Plant degradation assessment report. The inspectors
compared the recommended test scope to the actual test scope and found that PG&E
had accounted for all known flaws and had, as a minimum, established a test scope that
met TS requirements, EPRI guidelines, and commitments made to the NRC.
The inspection procedure specified, if new degradation mechanisms were identified,
verification that the licensee fully enveloped the problem in its analysis of extended
conditions including operating concerns and had taken appropriate corrective actions
before plant startup. To date, the eddy current test results had not identified any new
degradation mechanisms.
The inspection procedure requires confirmation that the licensee inspected all areas of
potential degradation, especially areas that were known to represent potential eddy
current test challenges (e.g., top-of-tubesheet, tube support plates, and U-bends). The
inspectors confirmed that all known areas of potential degradation were included in the
scope of inspection and were being inspected.
The inspection procedure further requires verification that repair processes being used
were approved in the TS. At the time of this inspection, it was estimated that a total of
approximately 108 tubes would be plugged using mechanically rolled plugs, none of
which had been installed. The inspectors verified that this particular plugging operation
was an NRC-approved repair process.
-15- Enclosure
The inspection procedure also requires confirmation of adherence to the TS plugging
limit, unless alternate repair criteria have been approved. The inspection procedure
further requires determination whether depth-sizing repair criteria were being applied for
indications other than wear or axial primary water stress corrosion cracking in dented
tube support plate intersections. The inspectors determined that the TS plugging limits
were being adhered to (i.e., 40 percent maximum through-wall indication).
If steam generator leakage greater than 3 gallons per day was identified during
operations or during post shutdown visual inspections of the tubesheet face, the
inspection procedure requires verification that the licensee had identified a reasonable
cause based on inspection results and that corrective actions were taken or planned to
address the cause for the leakage. The inspectors did not conduct an assessment
because this condition did not exist.
The inspection procedure requires confirmation that the eddy current test probes and
equipment were qualified for the expected types of tube degradation and an assessment
of the site-specific qualification of one or more techniques. The inspectors observed
portions of eddy current tests performed on the tubes in Steam Generators 1-1, 1-2, 1-3,
and 1-4. During these examinations, the inspectors verified that: (1) the probes
appropriate for identifying the expected types of indications were being used, (2) probe
position location verification was performed, (3) calibration requirements were adhered,
and (4) probe travel speed was in accordance with procedural requirements. The
inspectors performed a review of site-specific qualifications of the techniques being
used. These are identified in the Attachment.
If loose parts or foreign material on the secondary side were identified, the inspection
procedure specified confirmation that the licensee had taken or planned appropriate
repairs of affected steam generator tubes and that they inspected the secondary side to
either remove the accessible foreign objects or perform an evaluation of the potential
effects of inaccessible object migration and tube fretting damage. During this
inspection, three small pieces of wire (possibly from a wire brush) were identified in
Steam Generator 1-2 during foreign object search and retrieval (FOSAR) inspections.
These were removed.
Finally, the inspection procedure specified review of one to five samples of eddy current
test data if questions arose regarding the adequacy of eddy current test data analyses.
The inspectors did not identify any results where eddy current test data analyses
adequacy was questionable.
The inspectors completed one sample.
b. Findings
No findings of significance were identified.
-16- Enclosure
1R11 Licensed Operator Requalification (71111.11)
a. Inspection Scope
The inspectors observed testing and training of senior reactor operators and reactor
operators to identify deficiencies and discrepancies in the training, to assess operator
performance, and to assess the evaluators critique. The training scenario involved
reactor coolant system leakage, an earthquake, a loss-of-coolant accident, and a
radiological release from the containment.
Documents reviewed by the inspectors included Lesson ES 1213A, LOCA,
Revision 12.
The inspectors completed one sample.
b. Findings
No findings of significance were identified.
1R12 Maintenance Effectiveness (71111.12)
a. Inspection Scope
The inspectors reviewed the five below listed maintenance activities to: (1) verify the
appropriate handling of structure, system, and component (SSC) performance or
condition problems; (2) verify the appropriate handling of degraded SSC functional
performance; (3) evaluate the role of work practices and common cause problems; and
(4) evaluate the handling of SSC issues reviewed under the requirements of the
Maintenance Rule, 10 CFR Part 50, Appendix B, and the TS.
- October 5, 2005: Units 1 and 2, fan belts,
- December 12, 2005: Unit 1, Startup Transformer 1-1 Load Tap Changer,
- December 16, 2005: Unit 1, Seismic Monitor ENSTA3 and Trip Device Y-203,
- December 16, 2005: Units 1 and 2, Auxiliary Transformer 1-1 oil analysis,
Documents reviewed by the inspectors are listed in the Attachment.
The inspectors completed four samples.
b. Findings
No findings of significance were identified.
-17- Enclosure
1R13 Maintenance Risk Assessments and Emergent Work Control (71111.13)
.1 Risk Assessments and Management of Risk
a. Inspection Scope
The inspectors reviewed the below listed assessment activities to verify:
(1) performance of risk assessments when required by 10 CFR 50.65(a)(4) and PG&E
procedures prior to changes in plant configuration for maintenance activities and plant
operations; (2) the accuracy, adequacy, and completeness of the information
considered in the risk assessment; (3) that PG&E recognizes, and/or enters as
applicable, the appropriate risk category according to the risk assessment results and
PG&E procedures; and (4) PG&E identified and corrected problems related to
maintenance risk assessments.
- October 6, 2005: Unit 1, Component Cooling Water Pump 1-1 maintenance and
500 kV Breaker 532 replacement
Documents reviewed by the inspectors included Procedure AD7.DC6, On-line
Maintenance Risk Management, Revision 9.
The inspectors completed one sample.
b. Findings
No findings of significance were identified.
.2 Emergent Work
f. Inspection Scope
The inspectors: (1) verified that PG&E performed actions to minimize the probability of
initiating events and maintained the functional capability of mitigating systems and
barrier integrity systems; (2) verified that emergent work-related activities such as
troubleshooting, work planning/scheduling, establishing plant conditions, aligning
equipment, tagging, temporary modifications, and equipment restoration did not place
the plant in an unacceptable configuration; and (3) reviewed the FSAR Update to
determine if PG&E identified and corrected risk assessment and emergent work control
problems.
- October 24, 2005: Unit 1, Vital Inverter IY-13 trip
- November 6, 2005: Unit 2, spent fuel pool level drop
- November 23, 2005: Unit 2, Diesel Engine Generator 2-3 lube oil heater
contactor failure and pre-circulating lube oil pump vibration
Documents reviewed by the inspectors are listed in the Attachment.
-18- Enclosure
The inspectors completed three samples.
b. Findings
Section 4OA7 discusses findings of very low safety significance identified by PG&E.
1R14 Personnel Performance Related to Nonroutine Plant Evolutions and Events (71111.14)
a. Inspection Scope
The inspectors: (1) reviewed operator logs, plant computer data, and/or strip charts for
the below listed evolutions to evaluate operator performance in coping with non-routine
events and transients; (2) verified that operator actions were in accordance with the
response required by plant procedures and training; and (3) verified that PG&E has
identified and implemented appropriate corrective actions associated with personnel
performance problems that occurred during the non-routine evolutions sampled.
- October 12, 2005: Unit 1, Operators and engineers observed several nuclear
instrument spikes near the end of core life, as well as a half-step inward on the
controlling group control rods.
- November 19, 2005: Unit 2, While performing maintenance on Startup
Transformer 1-1, Sudden Pressure Relay 80MRST11 was actuated and resulted
in the opening of Breaker 212 in the 230 kV switchyard and the loss of startup
power to Unit 2.
- November 27, 2005: While performing a refill of Safety Injection
Accumulator 1-1 using the safety injection system pumps, the operators
inadvertently injected into the reactor coolant system.
Documents reviewed by the inspectors are listed in the Attachment.
The inspectors completed three samples.
b. Findings
(1) Loss of Startup Power to Unit 2
Introduction: A Green, self-revealing NCV was identified for the failure to
adequately assess and manage the risk associated with maintenance on Startup
Transformer 1-1, as required by 10 CFR 50.65(a)(4). Specifically, PG&E failed
to conduct a circuit isolation plan, which was a risk management action required
by procedures. As a result, startup power to Unit 2 was lost.
Description: On November 19, 2005, maintenance technicians were performing
a functional test of Relay 80MRST11 when a sudden pressure relay trip alarmed
on Startup Transformer 1-1 and Breaker 212, which provides startup power to
-19- Enclosure
both units, tripped open in the 230 kV switchyard. This resulted in a loss of
startup power to Unit 2. Unit 1 was not affected because startup power was
cleared for that unit. The Unit 2 diesel engine generators auto-started on the
loss of startup power but did not load because the associate vital buses
remained energized. The Unit 2 diesel generator engines were subsequently
shutdown by the operators. PG&E staff determined that Sudden Pressure
Relay 80MRST11 was not adequately isolated from the protective circuit for
Startup Transformer 1-1. Therefore, when the maintenance technician tested
the relay, a signal was sent to Breaker 212 to open.
The apparent cause was identified as a human performance error in failing to
review applicable drawings and take appropriate actions prior to relay actuation.
Additionally, the inspectors recognized that Procedure AD7.DC8, Work Control,
Revision 20, stated that any work with a performance frequency of greater than
quarterly shall be considered as non-routine and should be evaluated against
Procedure MA1.DC11, Risk Assessment, Revision 5A. Procedure MA1.DC11
required that a circuit isolation plan be developed for work that imposed medium-
to high -risk. The use of the circuit isolation plan would have added an
opportunity to identify the potential impact to Unit 2 startup power.
Analysis: The performance deficiency associated with this finding involved the
failure to adequately assess and manage the risk associated with maintenance
on the Startup Transformer 1-1 relay. The finding was greater than minor
because it is related to IMC 0612, Appendix B, Section 3(5)(I), for a failure to
implement any prescribed significance compensatory measures or failure to
effectively manage those issues. In this case, maintenance personnel failed to
fully implement Procedures AD7.DC8 and MA1.DC11, which called for a circuit
isolation plan for medium- to high-risk maintenance activities as a risk
management action. The finding affected the Mitigating Systems Cornerstone.
Using IMC 0609, Appendix K, Maintenance Risk Assessment and Risk
Management Significance Determination Process, Flowchart 2 - Assessment of
Risk Management Actions," the incremental core damage probability was less
than 1E-6 and the incremental large early release frequency was less than 1E-7.
The finding was assessed as having very low safety significance. The cause of
the finding is related to the crosscutting element of human performance in that
maintenance personnel failed to follow procedures.
Enforcement: 10 CFR 50.65(a)(4) requires, in part, that before performing
maintenance activities, the licensee shall assess and manage the risk that may
result from the proposed maintenance activities. Contrary to this, on
November 19, 2005, maintenance personnel failed to adequately assess and
manage the risk associated with protective relay maintenance on Startup
Transformer 1-1, which resulted in the loss of startup power to Unit 2.
Specifically, maintenance personnel failed to implement a risk management
action (circuit isolation plan), which would have provided an opportunity to
identify the potential loss of startup power to Unit 2. The corrective actions to
restore compliance included revision of the protective relay work orders requiring
circuit isolation plans, a review of work involving startup transformers, and
-20- Enclosure
additional training on protective relay work. Because the finding is of very low
safety significance and has been entered into the CAP as AR A0652421, this
violation is being treated as an NCV consistent with Section VI.A of the
Enforcement Policy: NCV 50-275/05-05-01, Failure to Adequately Assess and
Manage Risk Associated With Startup Transformer 1-1 Maintenance.
- Inadvertent Injection Into the Reactor Coolant System
Introduction: A Green, self-revealing NCV of Technical Specifications 5.4.1.a
was identified for improper implementation of Operating Procedure OP B-3B:I,
Accumulators- Fill and Pressurize, Revision 23. The failure to follow
Procedure OP B-3B:I resulted in exceeding the cooldown rate for the pressurizer
and contributing to safety injection discharger header pressurization due to
perturbation of check Valve SI-1-8948B.
Description: On November 27, 2005, operators were using Procedure OP B-3B:I
to align the safety injection system for filling Accumulator 1-3 using the safety
injection pumps. Procedure OP B-3B:I, step 6.1, directs the operators to
perform step 6.7 if primary plant pressure is at or near normal operating
pressure. Contrary to this, at the time of the evolution primary plant pressure was
lower than normal operating pressure. Operators aligned the safety injection
system according to Step 6.7, and the resultant alignment caused water to be
transferred into the reactor coolant system rather than Accumulator 1-3. The
increase in primary plant inventory raised pressurizer level from 40 to 72 percent,
or approximately 1800 gallons. The high pressurizer level alarm was received at
the 70 percent level setpoint. As a result of the change in level, the pressurizer
liquid space temperature decreased from 539EF to 370EF in 15 minutes. The
operators then energized all of the pressurizer heaters and restored the
pressurizer liquid temperature to the normal steady state temperature of 530EF
over the next hour. Equipment Control Guideline 7.5 specified a pressurizer
heat-up limit of 100EF in one hour. This heat-up was exceeded in approximately
15 minutes when liquid temperatures reached 471EF.
Additionally, as a result of the safety injection system misalignment, the first off
and second off emergency core cooling system check valves had become
unseated. Valve SI-1-8948B was later identified to be leaking. This leakage
from the primary to the safety injection system had two primary effects;
Accumulators 1-1 and 1-3 boron concentration was being diluted and the safety
injection header pressure was slowly being pressurized. These conditions
required additional procedures to be changed and implemented to assure that
boron concentration remained within TS limits, and the safety injection header
pressure did not pressurize to a point where the header relief valves would
actuate at 1750 psig. These conditions are identified in PG&Es CAP by
ARs A0653564, A0610421, and A0653644. Further discussion of historical
check valve performance is discussed in this report under Section 4OA2,
Identification and Resolution of Problems.
-21- Enclosure
Analysis: The performance deficiency associated with this finding involved
operations personnel failing to perform the appropriate sections of
Procedure OP B-3B:I with regard to existing plant conditions. The finding is
greater than minor because it was associated with the Mitigating System
Cornerstone attribute of configuration control and affects the associated
cornerstone objective to ensure the availability, reliability, and capability of
systems that respond to initiating events to prevent undesirable consequences.
Using IMC 0609, "Significance Determination Process," Appendix G, Checklist 4,
the finding did not require quantitative screening. Therefore, the finding was
assessed as having very low safety significance. The cause of the finding is
related to the crosscutting element of human performance in that operations
personnel did not follow procedures.
Enforcement: TS 5.4.1.a requires that written procedures be established,
implemented, and maintained covering the activities specified in Appendix A,
Typical Procedures for Pressurized Water Reactors and Boiling Water
Reactors, of Regulatory Guide 1.33, Quality Assurance Program Requirements
(Operation), dated February 1978. Regulatory Guide 1.33, Appendix A,
Section 3.d requires procedures for emergency core cooling systems.
Procedure OP B-3B:I, Accumulators- Fill and Pressurize, Revision 23, required
that operators go to Step 6.7 only if filling accumulators from about normal
pressure and level. Contrary to this, on November 27, 2005, operators failed to
implement the steps prior to Step 6.7 to properly align the safety injection system
when reactor coolant system pressure and level were not at normal values.
Improper alignment of the safety injection system allowed injection into the
reactor coolant system; exceeding the pressurizer heatup limits and contributing
to Valve 8948B back-leakage. PG&E has initiated actions to determined the
apparent cause and appropriate corrective actions. Because this finding is of
very low safety significance and it was entered into PG&Es CAP, it is being
treated as an NCV, consistent with Section VI.A.1 of the NRC Enforcement
Policy: NCV 50-275/05-05-02, Failure to Properly Implement Procedure for
Safety Injection System Operation.
1R15 Operability Evaluations (71111.15)
m. Inspection Scope
The inspectors: (1) reviewed plant status documents such as operator shift logs,
emergent work documentation, deferred modifications, and standing orders to
determine if an operability evaluation was warranted for degraded components;
(2) referred to the FSAR Update and design bases documents to review the technical
adequacy of the operability evaluations; (3) evaluated compensatory measures
associated with operability evaluations; (4) determined degraded component impact on
any TS; (5) used the SDP to evaluate the risk significance of degraded or inoperable
equipment; and (5) verified that PG&E has identified and implemented appropriate
corrective actions associated with degraded components.
-22- Enclosure
- October 5, 2005: Units 1 and 2, Fire protection and the potential loss of reactor
coolant pump seal cooling
- October 5, 2005: Units 1 and 2, Evaluation of Information Notice 2005-04, Non-
conservatism Leakage Detection Sensitivity"
- October 31, 2005: Unit 1, Auxiliary Feedwater Pump 1-2 inboard motor bearing
oil leak
- November 1, 2005: Unit 2, Particulate matter found in Centrifugal Charging
Pump 2-2 lube oil system
- November 4, 2005: Unit 1, Structural beam damage at Main Steam Lead 4 pipe
restraint
- November 8, 2005: Unit 1, Source Range Detector N31 intermittent alarm for
loss of detector voltage
December 15, 2005: Unit 1 and 2, TS Limiting Condition of Operation 3.4.1
TAVG limit inconsistent with current analysis
- December 15, 2005: Unit 1 and 2, Doppler acoustic sounder not functioning
b. Findings
Introduction: An unresolved item was identified to further evaluate the corrective actions
that were implemented following failures of auxiliary feedwater valve level control valves.
Description: Valve FW-1-LCV-107 is a discharge valve from the turbine-driven auxiliary
feedwater pump to Steam Generator 1-2. Its safety function is to close in order to
isolate auxiliary feedwater flow to that steam generator if it is faulted.
On November 3, 2005, operators were stroking Valve FW-1-LCV-107 per
Procedure STP V-2U2D, Exercising S/G No. 2 AFW Supply Valves LVC-107 and
LCV-111, Revision 4, after valve packing had been replaced. Valve FW-1-LCV-107
had been stroked open and closed successfully from the control room. Operational
control for the valve was then transferred to the hot shutdown panel, and the valve was
-23- Enclosure
opened, but not able to be shut. Several other attempts to shut the valve from the hot
shutdown panel and the control room were also unsuccessful. PG&E staff later
determined that the Limitorque valve actuators torque limit switch exhibited high
resistance across its contacts. This Limitorque actuator (Model SMB-000) used leaf-
spring contacts in a non-wiping configuration for the torque switch. A visual inspection
of the contacts revealed some particulates and dust laying about the contact fingers.
Maintenance records indicated that the contacts were burnished prior to valve packing
maintenance, providing an opportunity for maintenance to introduce the loose material
into the valve actuator.
Inspectors observed that the same torque limit switch had prevented
Valve FW-1-LCV-107 from operating 14 months previously. This failure, as described in
AR A0616766, also occurred after preventive maintenance to clean and lubricate the
valve actuator on August 19, 2004. The apparent cause in AR A0616766 stated the
DCPP [Diablo Canyon Power Plant] PM [preventive maintenance] program inadequately
inspects and cleans torque switch contacts. The close torque switch contacts for
Valve 1-LCV-107 were dirty and/or oxidized. PG&E staff had performed a search of
industry operating experience in AR A0616766 and found several events where dirty
torque switch contacts prevented a Limitorque actuator from functioning. The
recommended corrective action in AR A0616766 was to revise Procedure MP E-53.10A,
Preventive Maintenance of Limitorque Motor Operators, Revision 28, to require
inspecting the torque switch contact surfaces and cleaning contacts, if needed, during
the inspection and lubrication of the actuator. The response to the recommended
corrective actions in AR A0616766 stated that the procedure already contained a step to
inspect the condition and alignment of torque switch contacts. Subsequently, a step to
burnish the contacts of the torque switches was added to Procedure MP E-53.10A.
The inspectors observed an additional case where dirty contacts on a torque limit switch
may have prevented Valve FW-2-LCV-109 from closing on March 15, 2003.
Valve FW-2-LCV-109 is also a discharge valve for the turbine-driven auxiliary feedwater
pump on Unit 2. AR A0578562 stated that operators attempted to close
Valve FW-2-LCV-109 during a test of the turbine-driven AFW pump, but the valve failed
to close. However, the valve was opened before adequate troubleshooting could be
initiated to determine the cause. Therefore, PG&E could not determine the cause of the
actuator failure since the valve actuator performed appropriately thereafter. An
additional failure of Valve FW-1-LCV-108 occurred in February 2006.
Analysis: No analysis has been performed based on additional inspection is needed to
determine whether a performance deficiency exists. The inspection will consider any
common cause aspects between the three valves that have experienced failures.
Enforcement: No enforcement action has been identified. URI 50-275/05-05-03,
Corrective Actions to Prevent Repetitive Failures of Auxiliary Feedwater Limitorque
Valves (Section 1R15).
-24- Enclosure
1R19 Postmaintenance Testing (71111.19)
a. Inspection Scope
The inspectors selected the six below listed postmaintenance test activities of risk-
significant systems or components. For each item, the inspectors: (1) reviewed the
applicable licensing basis and/or design basis documents to determine the safety
functions; (2) evaluate the safety functions that may have been affected by the
maintenance activity; and (3) reviewed the test procedure to ensure it adequately tested
the safety function that may have been affected. The inspectors either witnessed or
reviewed test data to verify that acceptance criteria were met, plant impacts were
evaluated, test equipment was calibrated, procedures were followed, jumpers were
properly controlled, the test data results were complete and accurate, the test
equipment was removed, the system was properly re-aligned, and deficiencies during
testing were documented. The inspectors also reviewed the FSAR Update to determine
if PG&E identified and corrected problems related to postmaintenance testing.
- October 11, 2005: Unit 2, Tension hold-down bolts for Centrifugal Charging
Pump 2-1
- November 7, 2005: Unit 1, Battery 1-3 modified performance test
- November 23, 2005: Unit 2, Diesel Engine Generator 2-3 lube oil heater
contactor failure
- November 27, 2005: Unit 1, Repair of torn structural I-beam
- November 23, 2005: Unit 1, Diesel Engine Generator 1-2 breaker was slow to
close
- November 24, 2005: Unit 1, Component Cooling Water Pump 1-2 failed to start
on a safety injection signal
- December 19, 2005: Unit 1, Vital Battery Cells 37 and 60 replacement
Documents reviewed by the inspectors are listed in the Attachment.
The inspectors completed seven samples
b. Findings
(1) Vital Battery Cells 37 and 60 Replacement
10 CFR Part 50, Appendix B, Criterion II, Quality Assurance Program, requires,
in part, that the quality assurance program shall provide for indoctrination and
training of personnel performing activities affecting quality as necessary to
assure that suitable proficiency is achieved and maintained. Contrary to this, on
November 16, 2005, PG&E failed to provide for adequate indoctrination and
-25- Enclosure
training of personnel for Vital Battery 1-2 cell replacement in order to assure that
suitable proficiency is achieved and maintained. Specifically, step 5.12.4 of
Procedure TQ2.ID4, Training Program Implementation, Revision 8, required
maintenance personnel to document the circumstances for requiring the use of
an unqualified worker given that a subject matter expert was providing work
oversight. The vital battery system engineer provided oversight of unqualified
workers to replace Cells 37 and 60 on Vital Battery 1-2 since qualified staff were
unavailable to perform the work. However, maintenance personnel failed to
document the circumstances for requiring the use of the unqualified workers to
perform the work and the system engineer (subject matter expert) to oversee the
work. Using IMC 0612, Appendix B, this issue was determined to be a minor
violation of NRC requirements because the failure to provide documentation did
not affect the capability of Vital Battery 1-2 to perform its safety function.
Furthermore, critical aspects of the cell replacement were adequately performed.
The finding has been entered into PG&Es CAP as AR A0655870.
(2) Agastat ETR Time-Delay Relay Failures
Introduction: An unresolved item was identified regarding Agastat ETR time-
delay relays and how they caused the slow feeder breaker closure for DEG 1-2
and the failure of CCW 1-2 to start on a safety injection signal. Resolution is
pending upon completion of the relay failure analysis performed by PG&E and
the vendor.
Description. While performing surveillance test STP M-13G, 4kV Bus G Non-SI
Auto-Transfer Test, Revision 28A, on November 21, 2005, PG&E staff noted
that DEG 1-2 feeder breaker closed at 23 seconds versus the 17-second
acceptance criteria in the test procedure. Engineers and maintenance
technicians subsequently performed troubleshooting and determined that
Relay 62HG3B was the source of the slow breaker closure. Relay 62HG3B was
an Agastat ETR14D time-delay relay. Maintenance technicians bench-tested the
relay and found that it exhibited considerable drift from its time-delay setpoint of
17 seconds (as-found was 19.98 seconds). Maintenance technicians replaced
the relay, and operators successfully reperformed STP M-13G.
On November 23, 2005, while performing surveillance test STP M-15,
Integrated Test of Engineered Safeguards and Diesel Generators,
Revision 38A, CCW Pump 1-2 failed to start on a safety injection signal.
Engineers and maintenance technicians performed troubleshooting and found
that Relay 2HG12/TD (Agastat ETR14D time-delay relay) failed to actuate.
Technicians subsequently replaced the relay, and operators were able to
successfully run CCW Pump 1-2 from a safety injection signal.
PG&E staff reviewed industry operating experience on the Agastat ETR14D
time-delay relays and found approximately 25 issues in the past 21 years. Most
of the issues involved poor solder connections. The inspectors also reviewed
operating experience on the Agastat ETR14D time-delay relays but did not find
any applicable experience. Most operating experience associated with Agastat
-26- Enclosure
time-delay relays has been associated with the electro-pneumatic models. A
subsequent search of operating experience with the relays at Diablo Canyon
Power Plant showed only four reliability issues, with only one issue in the past
year. Currently, PG&E does not consider the two relay failures to be indicative of
a larger problem with the Agastat ETR14D time-delay relays based on good
performance from the relays in the past and successful testing of the other
relays on Unit 1 during Refueling Outage 1R13.
PG&E planned to send the two failed relays to the vendor for failure analysis.
The inspectors will review the failure analysis upon its completion.
Analysis: The safety significance of any performance issues identified upon
review of PG&Es failure analysis will be determined at that time.
Enforcement: This issue remains unresolved pending NRC review of the relay
failure analysis: URI 50-275/05-05-04; Assess Failure of Agastat ETR Time-
Delay Relays.
1R20 Refueling and Outage Activities (71111.20)
a. Inspection Scope
The inspectors reviewed the following risk-significant refueling items or outage activities
to verify defense-in-depth commensurate with the outage risk control plan, compliance
with the TS, and adherence to commitments in response to Generic Letter 88-17, Loss
of Decay Heat Removal: (1) the risk control plan; (2) tagging/clearance activities;
(3) reactor coolant system instrumentation; (4) electrical power; (5) decay heat removal;
(6) spent fuel pool cooling; (7) inventory control; (8) reactivity control; (9) containment
closure; (10) reduced inventory or midloop conditions; (11) refueling activities;
(12) heatup and cooldown activities; (13) restart activities; and (14) identification and
implementation of appropriate corrective actions associated with refueling and outage
activities. The inspectors containment inspections included observations of the
containment sump for damage and loose material; and supports, braces, and snubbers
for evidence of excessive stress, water hammer, or aging. Documents reviewed by the
inspectors included the Unit 1 Refueling Outage 1R13 Outage Safety Plan.
The inspectors completed one sample.
b. Findings
No findings of significance were identified.
1R22 Surveillance Testing (71111.22)
a. Inspection Scope
The inspectors reviewed the FSAR Update, procedure requirements, and TS to ensure
that the three below listed surveillance activities demonstrated that the SSCs tested
-27- Enclosure
were capable of performing their intended safety functions. The inspectors either
witnessed or reviewed test data to verify that the following significant surveillance test
attributes were adequate: (1) preconditioning; (2) evaluation of testing impact on the
plant; (3) acceptance criteria; (4) test equipment; (5) procedures; (6) jumpers; (7) test
data; (8) testing frequency and method demonstrated TS operability; (9) test equipment
removal; (10) restoration of plant systems; (11) fulfillment of ASME Code requirements;
(12) updating of performance indicator data; (13) engineering evaluations, root causes,
and bases for returning tested SSCs not meeting the test acceptance criteria were
correct; (14) reference setting data; and (15) annunciators and alarm setpoints. The
inspectors also verified that PG&E identified and implemented any needed corrective
actions associated with the surveillance testing.
- October 7, 2005: Unit 1 - Inservice Test, Procedure STP V-3F1, Exercising
Valve FCV-495, ASW Pump 2 Crosstie Valve, Revision 21
Transfer Test, Revision 28A
- November 22, 2005: Unit 2, Procedure STP M-15, Integrated Test of
Engineered Safeguards and Diesel Generators, Revision 38A
The inspectors completed three samples.
b. Findings
No findings of significance were identified.
Cornerstone: Emergency Preparedness
1EP2 Alert Notification System Testing (71114.02)
a. Inspection Scope
The inspector discussed with PG&E staff the status of offsite siren and tone alert radio
systems and PG&E changes to the siren testing methodology to determine the
adequacy of PG&E methods for testing the alert and notification system in accordance
with 10 CFR Part 50, Appendix E. PG&Es alert and notification system testing program
was compared with criteria in NUREG-0654, Criteria for Preparation and Evaluation of
Radiological Emergency Response Plans and Preparedness in Support of Nuclear
Power Plants, Revision 1; Federal Emergency Management Agency (FEMA) Report
REP-10, Guide for the Evaluation of Alert and Notification Systems for Nuclear Power
Plants; and PG&Es current FEMA-approved alert and notification system design report.
The inspector completed one sample.
b. Findings
No findings of significance were identified.
-28- Enclosure
1EP3 Emergency Response Organization Augmentation Testing (71114.03)
a. Inspection Scope
The inspector reviewed the following documents related to the emergency response
organization augmentation system to determine PG&Es ability to staff emergency
response facilities in accordance with PG&Es emergency plan and the requirements of
10 CFR Part 50, Appendix E:
- OM10.DC2, ERO on-call, Revision 4
- OM10.ID4, ERO Management, Revision 7
- Evaluations for call-in and drive-in drills conducted in 2005
The inspector completed one sample.
b. Findings
No findings of significance were identified.
1EP5 Correction of Emergency Preparedness Weaknesses and Deficiencies (71114.05)
a. Inspection Scope
The inspector reviewed the following documents related to PG&Es corrective action
program to determine PG&Es ability to identify and correct problems in accordance with
10 CFR 50.47(b)(14) and 10 CFR 50, Appendix E:
- EPG 01, Problem Identification, May 17, 2002
- Summaries of all corrective actions assigned to the emergency preparedness
department during calendar years 2004 and 2005
- Procedure OM7.ID1, Problem Identification and Resolution - Action Requests,
Revision 20A
- Details of 42 selected actions requests
- Five quality assurance audits and assessments
- Three drill and exercise drill reports
The inspector completed one sample.
-29- Enclosure
b. Findings
No findings of significance were identified.
1EP6 Emergency Preparedness Evaluation (71114.06)
a. Inspection Scope
For the one below simulator-based training evolution contributing to Drill/Exercise
Performance and Emergency Response Organization Performance Indicators, the
inspectors: (1) observed the training evolution to identify any weaknesses and
deficiencies in classification, notification, and Protective Action Recommendation
development activities; (2) compared the identified weaknesses and deficiencies against
PG&E identified findings to determine whether PG&E is properly identifying failures; and
(3) determined whether PG&E performance is in accordance with the guidance of the
NEI 99-02, Voluntary Submission of Performance Indicator Data, acceptance criteria.
- November 10, 2005: Unit 1, Shift Manager classification and declaration of
separate events involving main turbine damage, high effluent discharge,
anticipated transient without scram, steam generator tube rupture, fuel assembly
damage, and a tsunami
Documents reviewed by the inspectors included:
- Procedure EP G-3, Emergency Notification of Off-Site Agencies, Revision 44
- Diablo Canyon Power Plant Emergency Plan, Revision 4
The inspectors completed one sample.
b. Findings
No findings of significance were identified.
2. RADIATION SAFETY
Cornerstone: Occupational Radiation Safety [OS]
2OS1 Access Control To Radiologically Significant Areas (71121.01)
a. Inspection Scope
This area was inspected to assess PG&Es performance in implementing physical and
administrative controls for airborne radioactivity areas, radiation areas, high radiation
areas, and worker adherence to these controls. The inspector used the requirements in
10 CFR Part 20, the TSs, and PG&Es procedures required by TSs as criteria for
determining compliance. During the inspection, the inspector interviewed the radiation
-30- Enclosure
protection manager, radiation protection supervisors, and radiation workers. The
inspector performed independent radiation dose rate measurements and reviewed the
following items:
- Performance indicator events and associated documentation packages reported
by PG&E in the Occupational Radiation Safety cornerstone
- Controls (surveys, posting, and barricades) of three radiation, high radiation, or
airborne radioactivity areas
- Radiation work permits, procedures, engineering controls, and air sampler
locations
- Conformity of electronic personal dosimeter alarm set points with survey
indications and plant policy; workers knowledge of required actions when their
electronic personnel dosimeter noticeably malfunctions or alarms
- Adequacy of PG&Es internal dose assessment for any actual internal exposure
greater than 50 millirem committed effective dose equivalent
- Physical and programmatic controls for highly activated or contaminated
materials (non-fuel) stored within spent fuel and other storage pools
- Self-assessments, audits, licensee event reports, and special reports related to
the access control program since the last inspection
- Corrective action documents related to access controls
- PG&E actions in cases of repetitive deficiencies or significant individual
deficiencies
- Radiation work permit briefings and worker instructions
- Adequacy of radiological controls such as, required surveys, radiation protection
job coverage, and contamination controls during job performance
- Dosimetry placement in high radiation work areas with significant dose rate
gradients
- Changes in PG&E procedural controls of high dose rate - high radiation areas
and very high radiation areas
- Controls for special areas that have the potential to become very high radiation
areas during certain plant operations
- Posting and locking of entrances to all accessible high dose rate - high radiation
areas and very high radiation areas
- Radiation worker and radiation protection technician performance with respect to
radiation protection work requirements
-31- Enclosure
Either because the conditions did not exist or an event had not occurred, no
opportunities were available to review the following items:
- Barrier integrity and performance of engineering controls in airborne radioactivity
areas
The inspector completed 21 of the required 21 samples.
b. Findings
Introduction: The inspector identified a NCV of 10 CFR 20.1902 because PG&E failed
to post a radiation area. The violation had very low safety significance.
Description: On November 15, 2005, the inspector toured the 115-foot yard area.
Inside Vault 26, the inspector identified, through independent measurements, an area in
which the radiation dose rates were approximately 30 millirem per hour at
30 centimeters from the surfaces of radioactive material containers. The dose rate was
confirmed by a radiation protection technician using an ion chamber radiation detection
device. The inspector observed that neither the discrete area nor the open entrance to
Vault 26 was posted with a radiation area warning sign, although the auxiliary building
doorway to the yard was posted as a radiation area.
The inspector reviewed the applicable guidance in NUREG/CR-5569, Revision 1, Health
Physics Positions 036, Posting of Entrances to a Large Room or Building as a
Radiation Area, and 066, Guidance for Posting Radiation Areas. Because the yard
area was large and very little of it was a radiation area, the inspector concluded that
posting on the doorway to the yard rather than the discrete areas was not sufficient to
inform radiation workers of radiological hazards in their work areas.
Analysis: The failure to post a radiation area is a performance deficiency. The finding
was more than minor because it was associated with one of the cornerstone attributes
(exposure control and monitoring) and the finding affected the Occupational Radiation
Safety cornerstone objective, in that, uninformed workers could unknowingly accrue
additional radiation dose. Because the finding involved the potential for unplanned,
unintended dose resulting from conditions that were contrary to NRC regulations, the
finding was evaluated using the Occupational Radiation Safety Significance
Determination Process. The inspector determined that the finding had no more than
very low safety significance because: (1) it did not involve American Society of
Mechanical Engineers (ALARA) planning and controls, (2) there was no personnel
overexposure, (3) there was no substantial potential for personnel overexposure, and
(4) the finding did not compromise PG&Es ability to assess dose. The finding also has
cross-cutting aspects related to problem identification and resolution, in that, a similar
violation was previously identified during Inspection 05000275/2002004;
Enforcement: 10 CFR 20. 003 defines a radiation area as an area, accessible to
individuals, in which radiation levels could result in an individual receiving a dose
equivalent in excess of 5 millirem in an hour at 30 centimeters from the radiation source
or from any surface that the radiation penetrates. 10 CFR 20. 902 requires each
radiation area be posted with a conspicuous sign or signs. PG&E violated this
requirement when it did not post the discrete area or the open entrance to Vault 26.
-32- Enclosure
This violation is in PG&Es CAP as AR A0652226. Because this finding is of very low
safety significance and it was entered into PG&Es corrective action program, it is being
treated as a non-cited violation, consistent with Section VI.A.1 of the NRC Enforcement
Policy: NCV 05000275; 323/2005-05-05, Failure to Post a Radiation Area.
4. OTHER ACTIVITIES
4OA1 Performance Indicator(PI) Verification (71151)
.1 Emergency Preparedness Cornerstone
a. Inspection Scope
The inspector sampled PG&E submittals for the PIs listed below for the period of
October 1, 2004, through September 30, 2005. The definitions and guidance of Nuclear
Engineering Institute 99-02, Regulatory Assessment Indicator Guideline, Revisions 2
and 3, were used to verify PG&Es basis for reporting each data element in order to
verify the accuracy of PI data reported during the assessment period. PG&E PI data
were also reviewed against the requirements of Procedure AWP EP-001, Emergency
Preparedness Performance Indicators, Revision 5.
- Drill and Exercise Performance
- Emergency Response Organization Participation
- Alert and Notification System Reliability
The inspector reviewed a 100 percent sample of drill and exercise scenarios and
licensed operator simulator training sessions, notification forms, and attendance and
critique records associated with training sessions, drills, and exercises conducted during
the verification period. The inspector reviewed selected emergency responder
qualification, training, and drill participation records. The inspector reviewed the
evaluation of the June 14, 2005, Tsunami event. The inspector reviewed alert and
notification system testing procedures and a 100 percent sample of siren test records.
The inspector also interviewed PG&E personnel responsible for collecting and
evaluating PI data.
The inspector completed three samples.
b. Findings
Introduction: A Severity Level IV NCV of 10 CFR 50.9 was identified because PG&E
failed to provide complete and accurate PI information to the NRC. Specifically, the
inspector identified two errors in the second quarter 2005 drill and exercise performance
PI opportunities evaluated by PG&E and, when the PI was recalculated, the drill and
exercise performance PI crossed the Green-to-White performance band threshold for
the second quarter of 2005.
Description: During review of the second quarter 2005 drill and exercise performance PI
documentation, the inspector identified two emergency notification forms that were
incorrectly annotated as emergency vice drill. Neither of these errors had been
evaluated as a missed opportunity for the drill and exercise performance PI, and both
had been reported as successful opportunities. Both of these drill and exercise
-33- Enclosure
performance opportunities were from the 2005 annual licensed operator requalification
operating tests in the plant control room simulator. When the drill and exercise
performance PI data for second quarter 2005 was re-evaluated with these two
corrections, the indicator crossed the Green-to-White threshold. PG&E subsequently
identified a third example of the same error.
The operating tests had been identified for evaluation of emergency preparedness PIs,
and operations department learning services training personnel conducted the
evaluations. Documentation of the evaluations was then provided to the Emergency
Preparedness Department staff, who then reviewed the evaluations and summarized the
quarterly results for reporting of the PIs. For the entire second quarter, 33 drill and
exercise performance opportunities were identified, and 25 were originally evaluated
and reported as successful. Following the inspectors identification of two inaccurate
notification forms, PG&E performed a review and identified an additional inaccurate
notification form with the same error as identified by the inspector. As an immediate
corrective action to the errors noted in the second quarter evaluations, PG&E also
conducted a review of the third quarter PI data, which had been prepared for
submission, to verify the accuracy of the evaluation of the 162 opportunities that had
been performed in the third quarter. One additional error was identified on a notification
form where an error had been identified and corrected with the time of the declaration;
however, the method of correction did not meet accuracy standards of the facility and;
therefore, the notification opportunity was reevaluated as a missed opportunity.
Historically, the drill and exercise performance PI at Diablo Canyon Power Plant was
approximately 95 percent. After the second quarter 2005 performance was added to the
PI, the indicator dropped to 90.8 percent (before correction). PG&E took corrective
action in the third quarter by conducting refresher training and job performance measure
evaluations with all shift manager qualified senior licensed operators. This resulted in
162 PI opportunities for the third quarter.
The inspector reviewed the performance deficiencies associated with the missed drill
and exercise performance PI opportunities. During the second quarter evaluations, two
classification opportunities were missed because of late classifications of a site area
emergency, and the remaining nine missed opportunities were accuracy errors on the
emergency notification form. During the third quarter evaluations, six missed
classifications were identified, and 12 inaccurate notification forms were identified. The
inspector observed that over 80 percent of the missed opportunities during the second
quarter 2005 were due to inaccurate emergency notification forms and that over
65 percent of the missed opportunities during the third quarter were because of
inaccurate emergency notification forms with the same errors being made in both
quarters. The inspector noted that the refresher training conducted prior to the job
performance measures as a corrective action for the second quarter performance
deficiencies was only partially successful but did not correct the error rate to historical
facility standards. The inspector concluded that attention to detail errors being made on
the notification forms by the senior licensed operators had increased significantly as
compared to pre-2005 historical performance.
PG&E submitted corrected second quarter PI data on October 21, 2005, as well as the
third quarter PI data. Both quarters indicated the drill and exercise PI as in the White
performance band.
-34- Enclosure
Analysis: The failure to accurately report the drill and exercise performance PI data for
the second calendar quarter of 2005 was a performance deficiency that was more than
minor because it was associated with a cornerstone attribute and affected the
emergency preparedness cornerstone objective (to ensure the adequate protection of
the public health and safety). The finding had human performance cross-cutting
aspects that involved the failure to accurately assess and report the results of evaluated
emergency drills, which, if accurately calculated and reported, would have caused the
NRC to perform an additional inspection in 2005. This issue was not suited for
significance determination process analysis and was evaluated in accordance with
NRCs Enforcement Policy. Supplement 7, Section D.3, to the NRC Enforcement Policy
describes this finding as a Severity Level IV violation.
Enforcement: 10 CFR 50.9 requires, in part, that information provided to the
Commission . . . by a licensee . . . shall be complete and accurate in all material
respects. Contrary to this, PG&E failed to report complete and accurate information for
the second calendar quarter of 2005 and that the drill and exercise performance PI had
crossed the threshold from the Green into the White performance band. The
NRC considers errors in PI data reporting that cause a PI to cross the Green-to-White
threshold to be more than minor because such errors have the potential for impacting
the NRCs ability to perform its regulatory function, which was in this case to perform a
supplemental inspection. This Severity Level IV violation is being treated as an NCV,
consistent with Section VI.A.1 of the NRC Enforcement Policy (NCV 05000275;
323/05-05-06, Failure to Accurately Assess and Report Performance Indicator Data).
This violation is in PG&Es CAP as ARs A0648578 and A0648581 and Nonconformance
Reports N0002199 and N0002200. PG&Es corrective actions included correction of the
second quarter 2005 drill and exercise PI data and initiation of a root cause analysis.
.2 Occupational and Public Radiation Safety Cornerstone
a. Inspection Scope
Occupational Radiation Safety Cornerstone
- Occupational Exposure Control Effectiveness
The inspector reviewed PG&Es documents from October 2004 through
September 2005. The review included corrective action documentation that identified
occurrences in locked high radiation areas (as defined in PG&Es technical
specifications), very high radiation areas (as defined in 10 CFR 20. 003), and unplanned
personnel exposures (as defined in NEI 99-02). Additional records reviewed included
ALARA records and whole body counts of selected individual exposures. The inspector
interviewed PG&E personnel that were accountable for collecting and evaluating the PI
data. In addition, the inspector toured plant areas to verify that high radiation, locked
high radiation, and very high radiation areas were properly controlled. PI definitions and
guidance contained in NEI 99-02, "Regulatory Assessment Indicator Guideline,"
Revision 3, were used to verify the basis in reporting for each data element.
Public Radiation Safety Cornerstone
- Radiological Effluent Technical Specification/Offsite Dose Calculation Manual
Radiological Effluent Occurrences
-35- Enclosure
The inspector reviewed PG&E documents from October 2004 through September 2005.
PG&E records reviewed included corrective action documentation that identified
occurrences for liquid or gaseous effluent releases that exceeded PI thresholds and
those reported to the NRC. The inspector interviewed PG&E personnel that were
accountable for collecting and evaluating the PI data. PI definitions and guidance
contained in NEI 99-02, "Regulatory Assessment Indicator Guideline," Revision 3, were
used to verify the basis in reporting for each data element.
b. Findings
No findings of significance were identified.
4OA2 Identification and Resolution of Problems (71152)
.1 Routine Review of Identification and Resolution of Problems
a. Inspection Scope
The inspectors performed a daily screening of items entered into PG&Es CAP. This
assessment was accomplished by reviewing ARs and event trend reports, and attending
daily operational meetings. The inspectors: (1) verified that equipment, human
performance, and program issues were being identified by PG&E at an appropriate
threshold and that the issues were entered into the CAP; (2) verified that corrective
actions were commensurate with the significance of the issue; and (3) identified
conditions that might warrant additional followup through other baseline inspection
procedures.
b. Findings
No findings of significance were identified.
.2 Selected Issue Follow-up Inspection
a. Inspection Scope
In addition to the routine review, the inspectors selected the one below listed issue for a
more in-depth review. The inspectors considered the following during the review of
PG&Es actions: (1) complete and accurate identification of the problem in a timely
manner; (2) evaluation and disposition of operability/reportability issues;
(3) consideration of extent of condition, generic implications, common cause, and
previous occurrences; (4) classification and prioritization of the resolution of the
problem; (5) identification of root and contributing causes of the problem;
(6) identification of corrective actions; and (7) completion of corrective actions in a timely
manner.
- November 29, 2005: Unit 1, ECCS check valve back-leakage
Documents reviewed by the inspectors are listed in the Attachment.
-36- Enclosure
b. Findings
Introduction: The inspectors identified a Green, NCV of 10 CFR Part 50, Criterion XVI,
for the failure to promptly evaluate ECCS check valve back-leakage and identify
appropriate corrective actions to prevent recurrence. Since 2000, Units 1 and 2 have
experienced ECCS check valve back-leakage which provided a pathway for reactor
coolant to enter the safety injection discharge header and accumulators, or the outflow
of accumulator liquid into the safety injection discharge header. Industry experience has
shown that ECCS check valve back-leakage has the potential to cause gas
accumulation in ECCS piping that can lead to gas-binding of ECCS pumps and/or water
hammer of ECCS piping.
Description: The ECCS is designed with at least two check valves in series to isolate
the high pressure reactor coolant system (RCS) from lower pressure ECCS
components. The check valves that are in series from the four loops of the RCS to the
safety injection system are Valves SI-1-8948A/B/C/D (first-off check valves) and
Valves SI-1-8819A/B/C/D (second-off check valves). Valves 8948A-D were 10-inch,
Darling swing check valves, and Valves 8819A-D are 2-inch Rockwell, Y-pattern, piston
Beginning in November 1999, PG&E began to observe pressurization of the safety
injection system discharge header on Unit 2. At that time, PG&E staff believed the
pressurization was a result of back-leakage of the first- and second-off check valves for
the safety injection system, although leakage tests of the valves in the previous outage
showed no leakage. Beginning in August 2000, PG&E staff noted that the Unit 1 safety
injection discharge header also began to pressurize. PG&E staff surmised that the
pressurization was the result of back-leakage of the first- and second-off check valves
from the RCS. For both Units 1 and 2, the safety injection discharge header would
pressurize above the accumulator pressure of approximately 650 psig, which would
conclude that back-leakage through the 8948 and 8819 valves was occurring. On
occasions, operators would have to relieve pressure in the safety injection discharge
header to prevent any challenges to the safety injection discharge header relief valve,
which was set at 1750 psig.
The inspectors reviewed industry operating experience associated with ECCS check
valve back-leakage. In particular, NRC Information Notice 97-40, Potential Nitrogen
Accumulation Resulting from Backleakage From Safety Injection Tanks, discussed
nitrogen gas that had come out of solution in low-pressure safety injection systems and
caused water hammers at two plants. The nitrogen gas came from water in the safety
injection tanks that had arrived at the discharge headers of the safety injection systems
due to back-leakage of ECCS check valves. In dealing with the safety injection
discharge header pressurization, PG&E acknowledged in AR A0496806 that there was
industry operation experience regarding ECCS check valve back-leakage and the
potential for gas-binding of pumps and/or water hammer. However, no voiding of ECCS
piping or pumps were found in Units 1 or 2 safety injection discharge headers. PG&E
had also evaluated other industry operating experience in AR A0636984, and it also
covered situations where nitrogen gas could cause voiding in ECCS piping and pumps if
nitrogen-saturated water was allowed into lower pressure piping due to back-leakage of
ECCS check valves. The inspectors observed that there was no current ECCS check
valve back-leakage into the RHR system discharge header for either unit.
-37- Enclosure
Although some maintenance was performed on the ECCS check valves since 2000,
pressurization of the safety injection discharge header was experienced each operating
cycle, on both units, since the first occurrence in 1999/2000. Specifically,
Valves 8948A-D received pressure isolation valve leak testing each refueling outage, as
well as diagnostic testing once every 4th outage. The inspectors found that
Valves 8819A-D have not received diagnostic or any internal inspection since their initial
installment before plant operation. Valves 8819A-D receive pressure isolation valve
leak testing each refueling outage. The inspectors noted that PG&E tested the first- and
second-off ECCS check valves following each outage and the majority of the valves
exhibited zero recorded leakage. On November 29, 2005, at the exit of Refueling
Outage 1R13, PG&E noted in AR A0610421 that the Unit 1 safety injection discharge
header was pressurizing to over 1000 psig. The inspectors observed in the subsequent
days that operators, at times, were venting the safety injection discharge header twice a
shift in order to prevent the pressurization from challenging the safety injection
discharge header relief valve. The inspectors also observed that PG&E staff was
monitoring for voids in the safety injection discharge header piping and no voids were
found. PG&E staff was developing plans to try and seat the first- and/or second-off
check valves between the RCS and the safety injection discharge header in order to
prevent pressurization. PG&E staff was also developing long-term corrective actions to
prevent future safety injection discharge header pressurization.
The inspectors determined that PG&E staff failed to adequately evaluate and develop
corrective actions for implementation to correct the ECCS check valve back-leakage
that continued to pressurize the safety injection discharge headers on both Units 1
and 2. Specifically, the inspectors noted that, in the past, ECCS check valves would
only receive maintenance if their leakage provided a significant burden to operations.
The inspectors also noted that maintenance on ECCS check valves in the past had
addressed ECCS check valve back-leakage issues. Although the majority of ECCS
check valves exhibited zero leakage at the end of refueling outages, both Units 1 and 2
have continued to experience ECCS check valve back-leakage since 2000. In
assessing the corrective actions for ECCS check valves, the inspectors have not
identified were PG&E has evaluated the adequacy of maintenance and testing to
determine the corrective actions needed to address the long-standing issue of ECCS
check valve back-leakage.
Analysis: The performance deficiency associated with this finding involved the failure to
promptly evaluate ECCS check valve back-leakage and identify appropriate corrective
actions to prevent recurrence as required by 10 CFR Part 50, Criterion XVI. The finding
is greater than minor because it is associated with the Mitigating Systems Cornerstone
attribute of equipment performance and affects the associated cornerstone objective to
ensure the availability, reliability, and capability of systems that respond to initiating
events to prevent undesirable consequences. Using IMC 0609, Significance
Determination Process, Phase 1 Worksheet, the finding is determined to have very low
safety significance because it did not represent an actual loss of safety function,
represent an actual loss of safety function for a single train for greater than the TS
allowed outage time, or screen as potentially risk significant due to seismic, fire,
flooding, or severe weather initiating events. The cause of the finding is related to the
crosscutting element of problem identification and resolution in that PG&E did not
adequately evaluate and implement timely corrective actions to ECCS check valve back-
leakage.
-38- Enclosure
Enforcement: 10 CFR Part 50, Criterion XVI, Corrective Actions, requires, in part, that
measures shall be established to assure that conditions adverse to quality are promptly
identified and corrected. Contrary to this, ECCS check valve back-leakage has existed
on both units since 2000, and PG&E has failed to promptly evaluate and implement
corrective actions for the back-leakage. The ECCS check valve back-leakage added
operator burden and increased the potential for gas voiding of ECCS components. At
this time, PG&E has not been able to accurately determine which valves have back-
leakage and what has caused the leakage. Corrective actions to restore compliance
included verification of ECCS operability, troubleshooting, and evaluation of possible
future actions to prevent ECCS check valve back-leakage. Because this finding is of
very low safety significance and has been entered into PG&Es CAP as ARs A0526037
and A0610421, this violation is being treated as an NCV, consistent with Section VI.A of
the NRC Enforcement Policy: NCV 50-275; 323/05-05-07, Failure to Promptly Evaluate
Emergency Core Cooling System Check Valve Back-leakage and Identify Appropriate
Corrective Actions to Prevent Recurrence.
.3 Semiannual Trend Review
b. Inspection Scope
The inspectors completed a semi-annual trend review of repetitive or closely-related
issues that were documented in action requests, system and component health reports,
quality assurance audits, trend reports, Diablo Canyon Power Plant internal PIs, and
NRC inspection reports to identify trends that might indicate the existence of more
safety-significant issues. The inspectors review consisted of the 6-month period of
July 1 to December 31, 2005. When warranted, some of the samples expanded beyond
those dates to fully assess the issue. The inspectors also reviewed corrective action
program items associated with turbine building high-energy line break (HELB) louvers
and safety-related check valves. The inspectors compared and contrasted their results
with the results contained in PG&Es quarterly trend reports. Corrective actions
associated with a sample of the issues identified in PG&Es trend report were reviewed
for adequacy. Documents reviewed by the inspectors are listed in the attachment.
b. Findings
The inspectors reviewed two equipment reliability trends as part of the semiannual
trending of problem identification and resolution. Specifically, the inspectors reviewed
documents and observed the condition of safety-related check valves and turbine
building HELB louvers. With respect to the turbine building HELB louvers, the
inspectors noticed that the louvers were installed in 1996. In 1998, PG&E staff began to
find the louvers hard to open due to corrosion at the vanes and bearings. At this time, a
preventive maintenance program was developed to ensure the mobility of the louver
vanes. The louvers were required to be able to freely open to relieve pressure from a
main steam line break inside the turbine building in order to prevent potential structural
damage to the building. PG&E staff later determined that the louvers were sticking in
the closed position because of galvanic corrosion. The louver vanes and frame were
constructed of aluminum, and the vane bearings were constructed of copper. The two
dissimilar metals, along with moisture from the marine environment, provided for the
galvanic corrosion.
-39- Enclosure
In 2002, PG&E staff issued a design change to permanently fix the louvers in the open
position for functionality during an HELB. However, during the rainy season, rain would
blow into the turbine building through the open louvers and as much as 100 gallons of
water may accumulate in the turbine building and potentially impact plant equipment
such as the Unit 2 hydrogen seal oil skid. Subsequently, PG&E instituted a temporary
modification in 2003 and 2004 to return some of the louvers on the Unit 2 side of the
turbine building to their original capability to freely open and close, in order to mitigate
the rainwater intrusion into the building. The temporary modification required monthly
surveillance of the louvers to ensure that they would open freely. At the end of the rainy
season the louvers would again be fixed in the open position. In 2005, a design change
replaced the temporary modification but executed the same actions; namely unfixing a
portion of the Unit 2 louvers during the rainy season, instituting the monthly surveillance
of the louvers, and returning them to their fixed open position after the rainy season.
In 2001, PG&E developed Long-Term Plan 2001-S080-015 to address the long-term
issue regarding the louvers and rainwater intrusion. As of December 31, 2005, funding
and work for Long-Term Plan 2001-S080-015 is scheduled for 2008.
The inspectors also reviewed the problem identification and resolution aspects
associated with check valve reliability and maintenance at Diablo Canyon Power Plant.
In AR A0637470, PG&E and other outside industry reviewers noted several areas in the
plant where long-standing check valve reliability issues posed operator burden and/or
reduced safety system operational margin. Examples of such issues include:
- Auxiliary feedwater discharge check valve back-leakage (AR A0612683)
- Unit 2 reactor coolant pump seal leak-off return line failed its local leak rate test
7 times in the last 10 outages (AR A0540712)
- Centrifugal charging pump recirculation check valve back-leakage
(ARs A0586882, A0597376, and A0615708)
- Diesel engine generator lube oil check valve back-leakage that could introduce
lube oil into the cylinders (ARs A0601386 and A0601388)
The apparent causes of these long-standing check valve issues were the result of a
check valve preventive maintenance program that needed optimization, roles and
responsibilities regarding the check valve program were not clearly defined or
understood, and trending mechanisms and metrics were inconsistent and not reflective
of the check valve problems. PG&E had initiated corrective actions to address each of
these causes.
The inspectors noted that ECCS check valves were another set of check valves that
have historically added operator burden and had the potential to impact safety system
performance. Specifically, the pressure isolation check valves between the reactor
coolant system, the accumulators, and the safety injection system have experienced
back-leakage on both Units 1 and 2 since 1999. A finding associated with the back-
leakage of ECCS check valves is discussed in Section 4OA2.2.
-40- Enclosure
.4 Inservice Inspection
a. Inspection Scope
Section 02.05 of Inspection Procedure 71111.08 requires review of a sample of
problems associated with inservice inspections documented by the licensee in the CAP
for appropriateness of the corrective actions.
The inspectors reviewed nine action requests which dealt with inservice inspection
activities and found that the corrective actions were appropriate. From this review the
inspectors concluded that PG&E had an appropriate threshold for entering issues into
the CAP and has procedures that direct a root cause evaluation when necessary.
PG&E also had an effective program for applying industry operating experience.
b. Findings
No findings of significance were identified.
.5 Emergency Preparedness Annual Sample Review
a. Inspection Scope
The inspector selected 42 action requests for detailed review. The reports were
reviewed to ensure that the full extent of the issues were identified, an appropriate
evaluation was performed, and appropriate corrective actions were specified and
prioritized. The inspector evaluated the condition reports against the requirements of
Procedure OM7.ID1, Problem Identification and Resolution - Action Requests,
Revision 20A; and Emergency Planning Guide EPG 01, Problem Identification,
Revision May 17, 2002.
b. Findings
No findings of significance were identified.
.6 Radiation Protection
a. Inspection Scope
Section 2OS1 evaluated the effectiveness of PG&Es problem identification and
resolution processes regarding access controls to radiologically significant areas and
radiation worker practices. The inspector reviewed corrective action documents for root
cause/apparent cause analysis against PG&Es problem identification and resolution
process.
b. Findings
Section 2OS1 describes an NRC identified finding, which involved the failure to post a
radiation area. The finding was the same as described in NCV 50-275/02-04-02.
-41- Enclosure
.7 PI&R Crosscutting Aspects
Section 1R14 identified a problem identification and resolution crosscutting aspect for
the failure to conduct a circuit isolation plan, which was the repeat of a similar
performance deficiency described in NRC Inspection Report 05000275; 323/2005004.
Section 2OS1 identified a problem identification and resolution crosscutting aspect for
the failure of radiation protection personnel to post a radiation area and the violation was
similar to a violation previously identified in NRC Inspection Report 050000275;
323/2002004.
Section 4OA2.2 identified a problem identification and resolution crosscutting aspect for
the failure of PG&E to adequately evaluate and implement timely corrective actions to
ECCS check valve back-leakage.
4OA3 Event Follow-up (71153)
.1 (Closed) Licensee Event Report 05000323/2005001-00, TS 3.4.10 Not Met During
Pressurizer Safety Valve Surveillance Testing Due to Random Lift Spread
On January 27, 2005, during scheduled testing of Unit 2 pressurizer safety valves,
PG&E identified two of three pressurizer safety valves outside the TS 3.4.10 lift setting
of >2460 and <2510 psig.
In NRC Inspection Report 05000275; 323/2005003, an NRC-identified, Green NCV of
10 CFR Part 50, Criterion XVI, was identified for this issue. PG&E documented the
problem in Nonconformance Report N0002197. No new information that would change
the disposition of this issue was provided in this LER. This LER is closed.
4OA5 Other
.1 TI 2515/160 - Pressurizer Penetration Nozzles and Steam Space Piping Connections in
U.S. Pressurized Water Reactors
a. Inspection Scope
The inspectors reviewed PG&Es actions regarding the inspection and repair associated
with Alloy 82/182/600 material that may have been used in pressurizer penetration
nozzles, steam space piping connections, heads, and shells. Specifically, the inspectors
reviewed PG&Es response to NRC Bulletin 2004-01, Inspection of Alloy 82/182/600
Materials Used in the Fabrication of Pressurizer Penetrations and Steam Space Piping
Connections at Pressurized Water Reactors. PG&E documented in their response to
the bulletin that no Alloy 82/182/600 material was used in the construction or welds of
the Unit 1 pressurizer. PG&E did not commit to, or perform, any nondestruction
examination methods for the Unit 1 pressurizer. PG&E did perform a boric acid
walkdown of the pressurizer, and the inspectors performed an independent boric acid
inspection of pressurizer.
The activities required in TI 2515/160 for Diablo Canyon Power Plant Unit 1 have been
completed. This temporary instruction is closed for Unit 1.
-42- Enclosure
b. Findings
No findings of significance were identified.
.2 TI 2515/150 - Reactor Pressure Vessel Head and Vessel Head Penetration Nozzles
(NRC Order EA-03-009)
a. Inspection Scope
This area was inspected to verify that PG&Es reactor pressure vessel head and vessel
head penetration nozzle inspection activities are implemented in accordance with the
requirements of First Revised NRC Order EA-03-009 (NRC Accession
No. ML040220391) issued on February 20, 2004, and the Relaxation of Requirements
regarding alternate examination coverage for reactor pressure vessel head penetration
nozzles authorized by NRC letter dated October 26, 2005.
The inspectors observed and reviewed PG&Es activities associated with the volumetric
(ultrasonic) examinations of the reactor pressure vessel head and vessel head
penetration nozzles.
The temporary instruction requires the inspectors to provide a qualitative description of
the effectiveness of PG&Es examinations which, at a minimum, would consist of a
response to the following questions with a brief description of inspection scope and
results.
(1) For each of the examination methods used during the outage, was the
examination:
(a) Performed by qualified and knowledgeable personnel?
For the inspector-observed ultrasonic examinations performed on the
penetration nozzles identified in the Table in Section 1R08,
paragraph 02.01.a, above, the inspectors verified the nondestructive
examination certifications of the four personnel who performed those
examinations. Discussions with those examiners during the course of the
examinations allowed the inspectors to determine that the examiners
were well qualified and knowledgeable in that examination method.
(b) Performed in accordance with demonstrated procedures?
The inspectors verified that the examinations were performed in
accordance with the site-specific demonstrated and qualified procedures
and the applicable ASME Code requirements
(c) Able to identify, disposition, and resolve deficiencies?
The inspectors observed that indications identified during the ultrasonic
examinations were dispositioned in accordance with the acceptance
criteria identified in the ASME Code qualified nondestructive examination
procedure used to perform the examinations.
-43- Enclosure
(d) Capable of identifying the primary water stress-corrosion cracking and/or
reactor pressure vessel head corrosion phenomena described in the
Order?
The nondestructive examination personnel and the procedure used to
perform the ultrasonic examinations were qualified (through
demonstration) to detect primary water stress-corrosion cracking and
reactor pressure vessel head corrosion indications.
(2) What was the physical condition of the reactor vessel head (e.g., loose material,
insulation, dirt, boron from other sources, physical layout, viewing obstructions)?
The inspectors were able to view, via remote camera, the physical condition of
the reactor vessel head and concluded that there were no viewing obstructions
that could adversely impact performance of the volumetric examination.
(3) Could small boron deposits, as described in the Bulletin 01-01, be identified and
characterized?
The inspectors did not review the bare metal examination of the reactor vessel
head because that part of Temporary Instruction 2515/150 was performed
earlier.
(4) What material deficiencies (i.e., cracks, corrosion, etc.) were identified that
required repair?
At the time of this inspection, no material deficiencies had been identified that
required repair.
(5) What, if any, impediments to effective examinations, for each of the applied
methods, were identified (e.g., centering rings, insulation, thermal sleeves,
instrumentation, nozzle distortion)?
PG&E submitted, by letter to the NRC dated May 27, 2005, a request for
relaxation of examination coverage requirements because of vessel head
penetration nozzle end geometry. Specifically, the bottom end of these nozzles
are externally threaded, or internally tapered, or both. This nozzle end geometry
makes inspection difficult and would involve increased personnel radiation dose.
PG&E proposed an alternative inspection that was found to be acceptable and
authorized by NRC letter dated October 26, 2005.
The inspectors noted during the observed examinations that actual examination
coverage was greater than initially expected.
(6) What was the basis for the temperatures used in the susceptibility ranking
calculation, were they plant-specific measurements, generic calculations (e.g.,
thermal hydraulic modeling, instrument uncertainties), etc.?
Information pertaining to the susceptibility calculation is contained in NRC
Inspection Report 50-275;323/04-03.
-44- Enclosure
(7) Was the disposition of indications consistent with the guidance provided in
Appendix B of this Temporary Instruction during nonvisual examinations? If not,
was a more restrictive flaw evaluation guidance used?
At the time of this inspection, no material deficiencies had been identified that
required repair.
(8) Did procedures exist to identify potential boric acid leaks from pressure-retaining
components above the reactor pressure vessel head?
The inspectors did not review the examination of pressure-retaining components
above the reactor pressure vessel head.
(9) Did the licensee perform appropriate follow-on examinations for indications of
boric acid leaks from pressure-retaining components above the reactor pressure
vessel head?
The inspectors did not review the examination of pressure-retaining components
above the reactor vessel head.
This completes the inspection activities required in Temporary Instruction 2515/150,
Revision 3, and this Temporary Instruction is closed with respect to Diablo Canyon
Power Plant Unit 1 (50-275).
b. Findings
No findings of significance were identified.
40A6 Management Meetings
Exit Meeting Summary
On October 20, 2005, the inspectors presented the results of the emergency
preparedness inspection results to Mr. J. Purkis, Acting Station Director, and other
members of his staff who acknowledged the findings.
On November 11, 2005, the inspectors presented the results of the in-service inspection
to Mr. D. Taggart, Manager of Quality Verification Department, and other members of
PG&E staff. PG&E acknowledged the inspection findings.
On November 17, 2005, the inspectors presented the access controls inspection results
to Mr. P. Roller, Director, Operations Services, and other members of his staff who
acknowledged the findings.
The resident inspection results were presented on January 12, 2006, to Mr. David
Oatley, Vice President and General Manager, Diablo Canyon Power Plant and other
members of PG&E management. PG&E acknowledged the findings presented.
The inspectors asked PG&E whether any materials examined during the inspection
should be considered proprietary. Proprietary information was reviewed by the
inspectors and left with PG&E at the end of the inspection.
-45- Enclosure
4OA7 Licensee-Identified Violations
The following violations of very low safety significance (Green) were identified by PG&E
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.
- 10 CFR Part 50, Criterion XVI, Corrective Actions, requires, in part, that
measures be established to assure that conditions adverse to quality, such as
failures, malfunctions, deficiencies, deviations, defective material and equipment,
and nonconformances are promptly identified and corrected. Contrary to this, on
November 3, 2005, PG&E staff discovered deformation and web tearing at the
end connection of the I-beam for Pipe Support 1029-9R. The root cause of the
degradation was determined by PG&E to be friction loads with thermal
movement of the piping exceeding the shear resistance of the I-beam end
connection as it was designed. However, in AR A0653829, PG&E identified the
structural maintenance rule walkdowns in 1997 and 2003 as missed
opportunities for identifying the degraded I-beam; even though the degradation
was determined to have existed at that time. Other missed opportunities
included the post-earthquake walkdowns following the Deer Canyon Earthquake
on October 18, 2003, the San Simeon Earthquake on December 23, 2003, and
the Parkfield Earthquake on September 28, 2004. This finding was determined
to be of very low safety significance since Main Steam Lead 4 was determined to
be able to retain its structural integrity as a result of any design basis accident.
Specifically, structural analysis without the I-beam demonstrated little loss of
design margin.
- A self-revealing noncited violation of TS 5.4.1.a. was identified for the failure to
appropriately implement the procedure for spent fuel pool skimmer filter
replacement. On November 6, 2005, operators restored to service the spent fuel
pool skimmer system using Section 6.3.2 of Procedure OP B-7:III, Spent Fuel
Pool System - Shutdown and Clearing and Filter Replacement, Revision 16.
After completion of the procedure the spent fuel pool level was noted by
watchstanders to be lower than previous readings. PG&E staff later identified
Valve SFS-2-8765 was not fully shut. This finding impacted the Initiating Events
Cornerstone and was considered more than minor using Example 5.a of
IMC 0612. Specifically, Valve SFS-2-8765 was not operated correctly due to the
reach rod operator interfering with the valve body before the valve was fully shut.
Additionally, operators had two opportunities to identify the mispositioning of
Valve SFS-2-8765 but failed to identify the condition. The mis-positioned valve
resulted in a loss of approximately 2600 gallons of water from the spent fuel
pool. The loss of inventory did not cause level to exceed the TS minimum limits.
Therefore, this finding was determined to be of very low safety significance.
ATTACHMENT: SUPPLEMENTAL INFORMATION
-46- Enclosure
SUPPLEMENTAL INFORMATION
KEY POINTS OF CONTACT
PG&E personnel
J. Becker, Vice President - Diablo Canyon Operations and Station Director
S. Chesnut, Director, Engineering Services
S. David, Manager, Operations
J. Fledderman, Director, Site Services
R. Hite, Manager, Radiation Protection
D. Jacobs, Vice President - Nuclear Services
S. Ketelsen, Acting Director, Nuclear Quality, Analysis, and Licensing
M. Lemke, Manager, Emergency Preparedness
D. Oatley, Acting Chief Nuclear Officer
J. Purkis, Director, Maintenance Services
P. Roller, Director, Operations Services
D. Taggart, Manager, Quality Verification
LIST OF ITEMS OPENED, CLOSED, AND DISCUSSED
Opened
05000275/2005-05-04 URI Assess Failure of Agastat ETR Time-Delay Relays
05000275/2005-05-03 URI Corrective Actions to Prevent Repetitive Failures of
Auxiliary Feedwater Limitorque Valves (Section 1R15)
Opened and Closed
05000275/2005-05-01 NCV Failure to Adequately Assess and Manage Risk
Associated With Startup Transformer 1-1 Maintenance
(Section 1R14)
05000275/2005-05-02 NCV Failure to Properly Implement Procedure for Safety
Injection System Operation (Section 1R14)
050000275; NCV Failure to Post a Radiation Area (Section 2OS1)
323/2005-05-05
050000275; NCV Failure to Accurately Assess and Report Performance
323/2005-05-06 Indicator Data (Section 4OA1)
050000275; NCV Failure to Promptly Correct Emergency Core Cooling
323/2005-05-07 System Check Valve Back-Leakage (Section 4OA2.2)
A-1 Attachment
Closed
05000323/2005001-00 LER Technical Specification 3.4.10 Not Met During Pressurizer
Safety Valve Surveillance Testing Due to Random Lift
Spread
LIST OF DOCUMENTS REVIEWED
Section 1R05: Fire Protection
Documents
AR PK10-10, Fire Detected, Revision 13
OP -2C, Fire Protection Computer Operation and Response Procedure, Revision 17 and 18
CP 6, Fire, Revision 28
H-5, Containment and Ventilation Systems, Revision 14
Drawings
225054, RCP 1-1 Fire Protection Header, Revision 1
225055, RCP 1-2 Fire Protection Header, Revision 2
225056, RCP 1-3 Fire Protection Header, Revision 1
225057, RCP 1-4 Fire Protection Header, Revision 1
504472, Area F Oil Drip Pan Locations, Revision 6
504473, Area G Oil Drip Pan Locations, Revision 7
Action Requests
A0504285 A0647847
Section 1R06: Flood Protection (71111.06)
Action Requests
A0503193 A0503272 A0503276 A0505617 A0514634 A0563252
A0563325 A0594436 A0595233 A0597321 A0628776 A0628908
A0635208 A0635209 A0639615 A0638953 A0646852
Other Documents
Quality Evaluation Q0012233, Turbine Building Louvers Issues
Long Term Plan 2001-S080-015, Redesign and Replace Turbine Building HELB Louvers,
Units 1 and 2"
A-2 Attachment
Section 1R08: Inservice Inspection Activities (71111.08)
Procedures
Number Title Revision
ER1.ID2 Boric Acid Corrosion Control Program 1
ISI ADD Inservice Inspection Procedure, Additional and Successive 1
SUCCESS Inspections
NDE ET-7 Eddy Current Examination of Steam Generator Tubing 7
NDE PT-1 Solvent Removable Visible Dye Liquid Penetrant Examination 1
Procedure
NDE RT-1 ASME Code Radiography Procedure 8
STP M-SGT1 Steam Generator Tube Inspection 11
TQ1.ID12 Qualification and Certification of NDE Personnel 2
WDI-ET-003 Intraspect Eddy Current Imaging Procedure for Inspection of 8
Reactor Vessel Head Penetrations
WDI-UT-010 Intraspect Ultrasonic Procedure for Inspection of Reactor 11, with
Vessel Head Penetrations, Time of Flight Ultrasonic, FCN01
Longitudinal Wave and Shear Wave
WDP-9.2 Qualification and Certification of Personnel in Nondestructive 6
Examination
WPS 51 Welding of P8 Materials With GTAW and/or SMAW, ASME III, 8
Examination Technique Specification Sheets (ETSS)
Diablo Canyon Power Plant ETSS Qualifying EPRI ETSSs
ETSS #1 (Bobbin) 96001.1, 96004.1, 96005.2, 96007.1, 96008.1,
96012.1, 24013.1, and SG-SGDA-02-41
ETSS #2 (Three Coil Plus Point, 20510.1, 20511.1, 21409.1, 21410.1, 96703.1,
except U-bend) 22401.1, and 22842.3
A-3 Attachment
ETSS #3 (Three Coil Plus Point, 96511.2 and 21409.1
U-bend)
ETSS #4 (Three Coil Plus Point, 99997.1
U-bend High Frequency)
Action Requests
Work Orders
WO C0197316/04 - ASME Code Section III, Class 2, Install New ECCS Suction Void Header
and Associated Piping and Valves
Miscellaneous
Training and testing qualification/certification packages for NDE personnel
Document 51-1264530-12, Diablo Canyon EPRI Appendix H Eddy Current Site Validation,
dated November 2, 2005
EPRI Technical Report 1007904, Steam Generator In Situ Pressure Test Guidelines, Revision 2
Steam Generator Degradation Assessment for Diablo Canyon Unit 1 Refueling Outage 1R13
October 2005, Revision 0, dated 10-28-05
Technical Specification 5.5.9, revised in Amendment 182 to Facility Operating License DPR-80
(Unit 1) and Amendment 184 to Facility Operating License DPR-82 (Unit 2)
Letter from W. Rice to J. Portney, "Pacific Gas and Electric Company Diablo Canyon Units 1
and 2, Pressurizer Weld Material for Unit 1," December 19, 2003
Design Calculation -289, "Calculate Effective Degradation Years for Reactor Heads to Determine
Examination Requirements," Revision 1
PG&E Letter DCL-05-067, "Relaxation Request for NRC Issuance of First Revised Order
(EA-03-009) Establishing Interim Inspection Requirements for Reactor Pressure Vessel Heads at
Pressurized Water Reactors," May 27, 2005
October 26, 2005, NRC Letter to D. H. Oatley, Diablo Canyon Power Plant, Unit No. 1 -
Relaxation of Requirements Associated with First Revised Order (EA-03-009) dated February 20,
2004, Regarding Alternate Examination Coverage for Reactor Pressure Vessel Head Penetration
Nozzles (TAC No. MC7071)
Eddy Current Qualification Record, Site Specific Performance Demonstration for Eddy Current
Analysis of Steam Generator Tubing - November 2005, for the 85 eddy current analysts on site
A-4 Attachment
Section 1R12: Maintenance Effectiveness (71111.12)
Action Requests
A0647478 A0647480 A0647811 A0648515
A0648533 A0648727 A0649118
Other Documents
Procedure MA1.ID17, Maintenance Rule Monitoring Program, Revision 15
Procedure AD7, Work Control, Revision 2
Drawing 102036, Reactor Seismic Trip System, Revision 95
Section 1R13: Maintenance Risk Assessments and Emergent Work Control (71111.13)
Action Requests
A0648949 A0648950 A0648952 A0650443
A0652959 A0653884 A0653953
Work Orders
C0195685
Section 1R14: Operator Performance During Nonroutine Evolutions and Events (71111.14)
Action Requests
A0644160 A0652421 A0653564
Procedures
AD7.DC8, Work Control, Revision 20
MA1.DC11, Risk Assessment, Revision 5A
OP B-3B:I, Accumulators- Fill and Pressurize, Revision 23
Section 1R15: Operability Evaluations (71111.15)
Action Requests
A0639938 A0641553 A0643132 A0644041 A0646914 A0649118
A0649293 A0647625 A0655600
Drawings
107708, Centrifugal Charging Pump 2-2 Lube Oil & Gear Oil Piping, Revision 84
A-5 Attachment
Other Documents
Diablo Canyon Operability Evaluation Log Number 2005-251
Nonconformance Report N0002201
Section 1R19: Postmaintenance Testing (71111.19)
Action Requests
A0650404 A0652664 A0652942 A0655870
Procedures
STP M-11B, Station Battery Condition Monitoring, Revision 25
STP M-12A, Vital Station Battery Modified Performance Test, Revision 14
TQ2.ID4, Training Program Implementation, Revision 8
Work Orders
C0194440 C0198349 C0201145 R0259657
Section 1EP3: Emergency Response Organization Augmentation Testing (71114.03)
Procedures
TQ1, Personnel Training and Qualification, Revision 3
TQ1.ID3, Non-accreditied Training Program Management, Revision 5
OM10.ID4, ERO Management, Revision 7
OM10.DC2, ERO On-Call, Revision 4
Other Documents
Emergency Preparedness Program of Instruction, Revision 11
Section 1EP5: Correction of Emergency Preparedness Weaknesses and Deficiencies
(71114.05)
Action Requests
A0580115 A0613085 A0616080 A0620097 A0620357 A0620468
A0631130 A0631196 A0632271 A0632697 A0632846 A0632991
A0634215 A0634219 A0634256 A0634259 A0634357 A0634611
A0634615 A0634630 A0634635 A0635338 A0635418 A0635423
A0637082 A0637084 A0638648 A0638761 A0638764 A0638766
A0640630 A0641643 A0642334 A0642429 A0645720 A0646245
A0646274 A0646316 A0646830 A0647271 A0648069 A0648572
Nonconformance Reports
N0002199, ERO Drill/Exercise Performance Not Meeting Station Goals, 10/13/2005.
N0002200, Inaccurate EP Drill/Exercise Performance Indicator Data, 10/21/2005.
A-6 Attachment
Procedures
OM10.ID1, Maintaining Emergency Preparedness, Revision 5
OM10.ID2, Emergency Plan Revision and Review, Revision 9
AWP EP-004, 10 CFR 50.54(q) Guidance, Revision 1
AWP EP-005, Determining Compensatory Measures for Equipment Affecting the Implementation
of the DCPP Emergency Plan, Revision 0
Self-Assessment Reports
Interim Compensatory Measures 1st Quarter 2005 Tabletop Drill
Charlie Team 3/12/2005 Rapid Response Tabletop Drill
Bravo Team 2nd Quarter 2005 Health Physics Drill
EPSA 2004-1, Self Assessment of Emergency Action and Classification Levels
EPSA 2004-2, Self Assessment of Palo Verde June 14, 2004 Event
Quality Assurance Assessments
Assessment No. 050200005, 2005 50.54(t) Audit
Quality Performance Assessment Reports
QPAR (2nd Period) June 1 - October 24, 2004
QPAR (3rd Period) October 25 - December 31, 2004
QPAR (1st Period) January 1 - March 31, 2005
QPAR (2nd Period) April 1 - June 30, 2005
Section 2OS1: Access Controls to Radiologically Significant Areas (71121.01)
Corrective Action Documents
A0622516, A0622930, A0624274, A0638745, A0646778, A0649943, A0649193, A0649226,
A0649316, A0649325
Audits and Self-Assessments
Quality Performance Assessment Reports: Third Period 2004, First Period 2005, Second
Period 2005
2R12 Radiation Protection Assessment Report
Radiation Work Permits
05-0010 Operations Activities
05-1031 1R13 Regen HX Room Work
05-1042 1R13 Primary SG Manway Work
05-1050 1R13 RCP Pump Maintenance
A-7 Attachment
Procedures
RCP D-211 Control of Work in Radiologically Significant Areas, Revision 2
RCP D-220 Control of Access to High, Locked High, and Very High Radiation Areas,
Revision 31
RCP D-240 Radiological Posting, Revision 16
RCP D-500 Routine and Job Coverage Surveys, Revision 21
Section 4OA1: Performance Indicator Verification (71151)
Procedures
AWP O-003, NRC Performance Indicators: Occupational Exposure Control Effectiveness,
Revision 3
OM10.DC1, Emergency Preparedness Drills and Exercises, Revision2A
AWP EP-001, Emergency Preparedness Performance Indicators, Revision 5
EP G-3, Emergency Notification of Off-Site Agencies, Revision 43, Attachment 6.1, Instructions
for the DCPP Emergency Notification Form
EP R-2, Release of Airborne Radioactive Materials Initial Assessment, Revision 23
EP RB-10, Protective Action Recommendations, Revision 11
Other Documents
2005 Emergency Drill Schedule
Medical Services/ Evacuee Monitoring/Decontamination May 17-19, 2005
Annual Medical Drill, May 19, 2005
Alpha Team Dress Rehearsal, September 22, 2004
Alpha Team 2004 Plume Phase Ingestion Pathway Exercise, December 8, 2004
Section 4OA2: Identification and Resolution of Problems (71152)
Action Requests
A0496806 A0513448 A0526037 A0528837 A0559173 A0587674
A0609629 A0609710 A0610421 A0610937 A0636258 A0636984
A0637470 A0641418 A0653564 A0653644 A0654587 A0654716
Drawings
047284, Piping Specification S2", Revision 16
106709 - Sheet 2, Safety Injection, Revision 44
A-8 Attachment
Procedures
PEP V-PIV, Cumulative RCS Pressure Isolation Valve (PIV) Leakage, Revisions 0 and 1
TP TB-0522, Determination of Leak Path for SI Header Pressurization, Revision 0
Other Documents
Operational Decision Making Report, Unit 1 Safety Injection pump discharge header pressure is
increasing above accumulator pressure, dated November 30 and December 21, 2005
LIST OF ACRONYMS
ADAMS agency document and management system
AR action request
ASME American Society of Mechanical Engineers
CAP corrective action program
CFR Code of Federal Regulations
EPRI Electric Power Research Institute
ECCS Emergency Core Cooling System
FSAR Final Safety Analysis Report
HELB high-energy line break
IMC Inspection Manual Chapter
LER Licensee Event Report
NCV noncited violation
NEI Nuclear Energy Institute
NRC Nuclear Regulatory Commission
PG&E Pacific Gas and Electric Company
SDP Significance Determination Process
SSC structure, system, and component
TS Technical Specifications
WEXTEX Westinghouse explosive tube expansion
A-9 Attachment