ML19319D496

From kanterella
Jump to navigation Jump to search
Requests Statement Re Plans for Implementation of QA Controls Per ANSI N18.7-1976 & Reg Guides.Descriptive Changes Contained in Notes 1,5,6,7,9,10 & 12 of Encl Acceptable
ML19319D496
Person / Time
Site: Crystal River Duke Energy icon.png
Issue date: 01/25/1977
From: Stolz J
Office of Nuclear Reactor Regulation
To: Rodgers J
FLORIDA POWER CORP.
References
NUDOCS 8003170623
Download: ML19319D496 (2)


Text

.

g UNITED STATES

^

r'd db lon

.C-

[.s.

"g NUCLEAR REGULATORY COMMISslON WASHINGTON, D. C. 20535 Local PDR

\\,,. _ #

JAN 2 5 1977 LWR 1 File

[,

D. B. Vassallo F. J. Williams J. Stolz Docket No. 50-302 J. Ange!o E. Hylton ACRS (16)

IE (3)

H. Smith C. Nelson Florida Power Corporation ATTN: Mr. J. T. Rodgers, Assistant Vice President and Nuclear Project Manager bec: JRBuchanan, NSIC P. O. Box 14042 TBAbernathy, TIC St. Petersburg, Florida 33733 Gentlemen:

OPERATIONAL QA PROGRAM - CRYSTAL RIVER UNIT N0. 3 We have evaluated the enclosure transmitted with your September 22, 1976, letter.

The enclosure which documents your " comparison analysis" of the Operational QA Program for Crystal River Unit No. 3 (CR-3) with the requirements of ANSI N18.7 - 1976 does not provide the necessary information requested in W. Butler's June 25, 1976, letter to you.

We would like to emphasize again that all nuclear power stations have been requested to describe in the docket how their operational QA program satisfies either ANSI N18.7 - 1976 and Regulatory Guides Nos. 1.8. 1.30, 1.37, 1.38, 1.39,1.54,1.58,1.64 - Rev.1,1.74,1.88, and 1.94 or the WASH documents Nos.1283,1309, and 1284. The controls in these documents, which in the case of N18.7 is very recent, define acceptable ways to assure conformance with Appendix B criteria; provide a clear basis for NRC acceptance; and assure that the docketed QA program is consistent with good practice as defined in the appropriate industry standards.

Your September 22 response relative to our request for Florida Power Corporation (Crystal River Unit No. 3 - Docket No. 50-302) to commit to comply with ANSI 18.7 - 1976 and the Regulatory Guides (Nos. 1.8, 1.10, 1.37, 1.38,1.39,1.54,1.58,1.64 - Rev.1,1.74,1.88, and 1.94) which endorse the ANSI standards referenced in N18.7 - 1976 does not provide us with a sufficient understanding of the degree to which you will implement the controls in these documents. Accordingly, we request you provide us with a clear statement regarding the degree to which you will implement the controls in these documents by means of: A specific conmitment to comply with the above documents or to the WASH documents Nos. 1283,1309, and 1284, as previously addressed in our letter of June 25, 1976; and identification of any alternative controls, or exceptions, with appropriate supporting l

8003170(S3"[

Mr. J. T. Rodgers,.s,.'.

G77 informa tion.

In addition, the descriptive changes contained in " Notes" Nos.1, 5, 6, 7, 9,10, and 12 of the enclosure were found to be acceptable, and the appropriate sections of the FSAR should be amended accordingly. The above information should be submitted within 30 days following rec 6ipt of this letter.

We are available for a meeting to discuss this subject if you so desire.

Sincerely,

(

J9 n F. Stolz, Chief

-Eight Water Reactors Branch No. I Division of Project Management cc:

'ir. S. A. Brandimore Vice President and General Counsel P. O. Box 14042 St. Petersburg, Florida 33733 LWR 1

.,,,e s,

l

_agb Ifl'/77 s.- a rc.un e m., e.m AEGE 0240 1llP u. s.oovannassa? paintma opricas ten.su.ru