ML19320D768
| ML19320D768 | |
| Person / Time | |
|---|---|
| Site: | Big Rock Point, Palisades File:Consumers Energy icon.png |
| Issue date: | 06/10/1980 |
| From: | James Keppler NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION III) |
| To: | Dewitt R CONSUMERS ENERGY CO. (FORMERLY CONSUMERS POWER CO.) |
| References | |
| NUDOCS 8007220188 | |
| Download: ML19320D768 (1) | |
Text
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4 UNITED STATES 8'
I NUCLEAR REGULATORY COMMISSION REGION lli Q,
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GLEN ELLYN, ILLINOIS 60137 Docket No. 50-155 JUN.1 0' W i Docket No. 50-255 Consumers Power Company ATTN:
Mr. R. B. DeWitt Vice President Nuclear Operations 212 West Michigan Avenue Jackson, MI 49201 Gentlemen:
This Information Notice is being forwarded to you for information.
No written response to this information notice is required.
If you have any questions related to the subject, please contact this office.
Sincerely, c'
, /fi
., # - [mes G. Keppler Director
Enclosure:
IE Information Notice No. 80-26 cc w/ enc 1:
Mr. D. P. Hoffman, Nuclear Licensing Administrator Mr. C. J. Hartman, Plant Superintendent Mr. J. G. Lewis, Manager Central Files Director, NRR/DPM Director, NRR/ DOR PDR Local PDR NSIC TIC Ronald Callen, Michigan Public Service Commission Iyron M. Cherry, Chicago 8007220ggg
UNITED STATES SSINS No.:
6835 NUCLEAR REGULATORY COMMISSICH Accession No.:
OFFICE OF INSPECTION AND ENFORCEMENT 8005050064 WASHINGTON, D.C.
20555 r-D 1 9 /A June 10, 1980 J,
,k g IE Information Notice No. 80-26 To All Part 50 Licensees EVALUATION OF CONTRACTOR QA PROGRAMS Description of Circt.mstances:
Appendix B to 10 CFR 50 requires that each applicant and licensee establish and execute a Quality Assurance Program, and that each licensee "shall require contractors or subcontractors to provide a quality assurance program".
Further Appendix B requires each applicant and licensee to regularly review the status and adequacy of subcontractor programs.
The NRC is becoming increasingly concerned by continuing evidence that many holders of construction permits and operating licenses are not properly implementing these facets of their quality assurance programs.
Examples of this lack of effectiveness of contractor QA program implementation, ild inadequacy of licensee overview of contractor QA program implementation are appearing in every facet of project activity.
Instances have been observed where architect engineers have released documents for procurement with inanpropriate material specifications.
Nuclear steam system suppliers have overlooked erroneous assumptions in analysis of instrument system response to design basis transients.
Other cases have been observed where both AE's and NSSS have not followed through on commitments to review vender detailed designs.
Vendors' quality assurance programs have been founc. to contain errors of both omission and commission.
A :ontd nment tendon installation contract was awarded to a specialty contractor.
During a licensee audit some three months after work started it appeared that a contractor inspector was falsifying records by initialing inspection points not actually observed.
A subsequent investigation by the licensee revealed that the contractor had required that QC inspections be performed only on a random basis even though all records had QC signatures.
The signatures could mean that the activity was inspected or that record signoffs by others were reviewed; or that the data were recorded by the QC inspector.
It is apparent that the licensee had not appropriately reviewed the contractor's inspection program prior to the star. of work.
In another instance, after completion and acceptance of a major structural steel installation, the licensee found that significant rework would be required to correct construction quality problems.
NRC inspection at the contractors fabrication facility disclosed that in addition to work for that licensee. the contractor had contracts for "high density" fuel storage racks from several operating licensees.
None of the NRC licensees had inspected the contractor's shop or examined his quality assurance programs.
Response to Information Notice No. 80-26 is not required.
The NRC expects appropriate action from all licensees and organizations engaged in nuclear activities and actions will be examined in the ongoing NRC inspection program.
4 IE Information Notice No. 80-26 Enclosure June 10, 1980 RECENTLY ISSUED IE INFORMATION NOTICES Information Subject Date Issued To Notice No.
Issued 80-25 Transportation of 5/30/80 Material Licensee in Pyrophoric Uranium Priority / Categories II-A, II-D, III-I and IV-DI; Agreement State Licensees in equivalent categories 80-24 Low Level Radioactive 5/30/80 All NRC and Agreement Waste Burial Criteria State Licensees 80-23 Loss of Suction to 5/29/80 All power reactor to Emergency facilities with an OL or CP 80-22 Breakdown In Contamination 5/28/80 All power reactor Control Programs OLs and near term cps 80-21 Anchorage and Support of 5/16/80 All power reactor Safety-Related Electrical facilities with an Equipment OL or CP 80-20 Loss of Decay Heat Removal 5/8/80 All light water reactor Capability at Davis-Besse facilities holding Unit 1 While in a Refueling power reactor OLs or cps Mode 80-19 NIOSH Recall of Recircu-5/6/80 All holders of a power lating-Mode (Closed-Circuit) reactor OL, Research Self-Contained Breathing Reactor License, Fuel Apparatus (Rebreathers)
Cycle Facility License and Priority I Material License 80-18 Possible Weapons Smuggling 5/5/80 All power reactor Pouch facilities with an OL, fuel fabrication and processir;g facilities and Materials Priority I licensees (processors and distributors) 80-17 Potential Hazards Associated 5/5/80 All radiography With Interchangable Parts Licenses On Radiographic Equipment