ML19339C117
| ML19339C117 | |
| Person / Time | |
|---|---|
| Site: | Shoreham File:Long Island Lighting Company icon.png |
| Issue date: | 08/01/1980 |
| From: | NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION I) |
| To: | |
| Shared Package | |
| ML19339C096 | List: |
| References | |
| 50-322-80-10, NUDOCS 8011170595 | |
| Download: ML19339C117 (2) | |
Text
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O 1-APPENDIX A NOTICE OF VIOLATION Long Island Lighting Company Docket No. 50-322 i
i This refers to the inspection conducted by representatives of the Region I (Philadelphia) office at the Shoreham Nuclear Po.4er Station, Unit 1, located at Shoreham, New York of activities authorized by NRC license No. CPPR-95.
During this inspection, conducted on June 17-20, 1980, the following apparent items of noncompliance were identified.
1 A.
10 CFR 50, Appendix B, Criterion III states, in part, that:
" Measures shall be established to assure that applicable regulatory requirements and design basis...are correctly translated into specifications, drawings, i
procedures and instructions...."
FSAR Section 11.4.1.1 states, in part, that:
" Sampling systems including isokinetic nozzles are designed in accordance with ANSI N13.1-1969."
Regulatory Guide 1.21, paragraph 6, states, in part, that:
"A sample should be representative of the bulk stream or effluent from which it is taken.
Provisions should be made to assure that representative samples are 4
obtained from well-mixed streams or volumes by selection of proper sampling equipment, proper location of sampling points....
The general principals for obtaining... valid samples...are contained in ANSI N13.1-1969."
Contrary to the above, on June 18, 1980,- the inspector observed that the process monitor sample point at elevation 75'-O'", azimuth 210* and samp1-ing lines extending from elevation 78'-7" to elevation 96'-0" did not incor-porate principles for airborne sampling identified in ANSI N13.1-1969.
This item is an infraction.
B.
10 CFR 50, Appendix 8, Criterion V, states in part, that:
" Activities affecting quality shall be prescribed by documented instructions...and shall be accomplished in accordance with these instructions...."
FSAR Section 17.1.5A states, in part, that:
"The LILCO QA program estab-lishes provisions for assuring that activities whicn affect the quality i
of safety-related... systems and components...are performed...in accordance with approved instructions...."
Specification SH1-159, Section 3.9.3.2 states, in part, that "...as a mini-mum... redundant conduit shall be separated vertically 5 ft. and horizontally 3
rt....
Where above criteria cannot be met...the exception shall be docu-mented by construction.
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N 2
Contrary to the above, on June 19, 1980 the inspector observed that the redundant safety-related conduit installation for system 1G33 did not meet the separation criteria of specification SH1-159; that this nonconformance had not been documented; and the conduit had not been tagged to show that i
it was nonconforming.
This ites is an infrar
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