ML19318C949

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Notice of Violation from Insp on 800407-0502
ML19318C949
Person / Time
Site: Dresden  
Issue date: 05/23/1980
From:
NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION III)
To:
Shared Package
ML19318C948 List:
References
50-010-80-09, 50-10-80-9, 50-237-80-08, 50-237-80-8, 50-249-80-12, NUDOCS 8007070074
Download: ML19318C949 (2)


Text

i Appendix A NOTICE OF VIOLATION

ommonwealth Edison Company Docket No.50-010 Based on the inspection conducted on April 7 - May 2, 1980, it appears that certain of your activities were in noncompliance with NRC require-ments, as noted below. These items are infractions.

1.

Unit 1 Technical Specifications, Section 6.2.B requires that radia-tion control procedures be maintained, made available to all station personnel, and adhered to.

Radiation Control Standards Procedure 37-1-E-3, " Work in Controlled Areas (Radiation Areas and High Radiation Areas)," requires that personnel not eat, drink, smoke, or chew in those controlled areas.

Contrary to the above,,on April 17, 1980, while making a routine tour of the Unit I turbine building (a posted radiation area), the NRC inspector observed evidence of eating, drinking, and smoking (i.e., the presence of numerous cigarette butts, empty soft drink cans, empty candy wrappers, and a half eaten hamburger) in this radiation area.

This is a repetitive item of noncompliance since the same problem was identified twice previously in NRC Inspection Reports No.

50-010/79-19, dated October 18, 1979, and No. 50-010/79-25, dated January 28, 1980.

2.

10 CFR 50, Appendix B, Criterion II requires activities affecting saality be accomplished under suitably controlled conditions, includ-ing adequate cleanness. The licensee's Quality Assurance Program, Section 2.2 requires _that the licensee adhere to all mandatory requirements of ANSI N18.7.

ANSI N18.7-1976, Section 5.2.10 requires quality housekeeping practices encompassing all activities related to control of fire prevention and protection, including disposal of combustible material and debris.

Contrary to the above, on April 17, 1980, during a routine tour of the Unit I sphere, the NRC inspector observed numerous oily rags / papers, a tipped over lube oil can, and scattered debris above the elevator shaft which were not being controlled and which repre-sented a fire hazard.

3.

Unit 1 Technical Specifications, Section 6.2.B requires that radia-l tion control procedures be maintained, made available to all station personnel, and ahered to.

Radiation Control Standards Procedure 800707e 7q o

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Appendix A 37-1-A-1 requires that contacinated clothing should be removed from controlled contaminated areas when not in use and, further, requires that clothing hampers marked " Deposit Contaminated Rubber Goods Here" and " Deposit Contaminated Canvas Goods Here" be placed~at the exits from all areas where protective clothing is required.

Contrary to the a'bove, on April 17, 1980, during a routine tour af the Unit I turbine building, the NRC inspector observed contaminated clothing lying inside a controlled contaminated area (Unit 1 condensate demineralizer control area) and that no clothing hampers were located at the exit of this area. This condition was determined to have existed for a period of two weeks.

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