ML18139B523

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Advises That Util Will Implement Specific Loss of All Ac Power Procedures from Westinghouse Owners Group Guidelines & Complete Retraining of Personnel on Station Blackout Events by End of Oct 1981
ML18139B523
Person / Time
Site: Surry  Dominion icon.png
Issue date: 09/08/1981
From: Leasburg R
VIRGINIA POWER (VIRGINIA ELECTRIC & POWER CO.)
To: Harold Denton, Varga S
Office of Nuclear Reactor Regulation
References
530, GL-81-04, GL-81-4, NUDOCS 8109150578
Download: ML18139B523 (1)


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VIRGINIA ELECTRIC AND POWER COMPANY RICHMOND~ VIRGINIA 23261 September 8, 1981 R.H. LEASBURG VICE PRESIDENT NUCLEAR OPERATIONS Mr. Harold R. Denton, Director Office of Nuclear Reactor Regulation Attn:

Mr. Steven A. Varga, Chief Operating Reactors Branch No. 1 Division of Licensing U. S. Nuclear Regulatory Commission Washington, D. C. 20555 Gentlemen:

Serial No. 530 NO/DWL:acm Docket Nos. 50-280 50-281 License Nos. DPR-32 DPR-37 SURRY POWER STATION STATION BLACKOUT EVENT PROCEDURES In our response to Generic Letter 81-04 dated June 3, 1981 (Serial No. 341),

it was stated that the Surry Power Station did not have procedures in effect to deal with a complete loss of all ac power.

However, it was stated that such procedures were being developed through Vepco' s participation in the Westinghouse Owners Group (WOG).

Currently, a final version of the WOG generic procedure guideline for the loss of all ac power has been developed, reviewed and approved by the WOG Pro-cedures Subcommittee.

It is our intent to develop and implement Surry specific loss of all ac power procedures from the approved WOG guideline before the end of October, 1981.

Also, in this time frame, Vepco will have attended the WOG training seminar on emergency procedures (including loss of all ac power) and will have completed the program for retraining of operations personnel on station blackout events.

We understand and appreciate the NRC' s concern regarding station blackout events.

We have and will continue to follow the lead of. the Westinghouse Owners Group in the emergency procedure development program.

We believe that this program (specifically regarding the loss of all ac power procedure guidelines) is responsive to and consistent with the urgency applied to the need for station blackout procedures.

If you have any questions regarding our implementation effort discussed above, please contact us at your convenience.

cc:

Mr. James P. O'Reilly, Director Office of Inspection & Enforcement Region II

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'PDR Very truly yours,

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R.H. Leasburg fi-oso s

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