ML19347E152
| ML19347E152 | |
| Person / Time | |
|---|---|
| Site: | Crane |
| Issue date: | 01/14/1981 |
| From: | NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION I) |
| To: | |
| Shared Package | |
| ML19347E145 | List: |
| References | |
| 50-289-80-14, NUDOCS 8104240129 | |
| Download: ML19347E152 (2) | |
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' APPENDIX A NOTICE OF VIOLATION Metropolitan Edison Company Docket No. 50-289 License No. DPR-50 Based on the results of at NRC inspection conducted on June 2-4, and 16-18, 1980, it appears that certain of your activities were not conducted in full compliance with the conditions of your license as indicated below.
ItemsA and B are Infractions.
A.
Technical Specification 6.4, Training, states in part, "A retraining and replacement training program for the facility staff shall be maintained under the direction of the Supervisor of Training and shall meet or exceed the requirements and recommendations of Section 5.5 of ANSI N18.1-1971..."
Section 5.5 of ANSI-N18.1 requires that a training program be established to maintain the proficiency of the operating organization through periodic training exercises, instruction periods and reviews covering those items which relate to safe operation of the facility and recommends that means be provided for appropriate evaluation of its effectiveness. Section 5.5.1, of ANSI-N18.1 recommends changes in operating procedures be included in the retraining program.
Contrary to the above, as of June 3,1980, the established training and retraining prcoram e r radiation protection technicians was inadequate to maintain the proi;ciency of the operating organization in that no method was ineplace to assure that technicians had been trained in procedure changes, and new proceda ms, before the technicians carried out tasks involving the char.ged or new procedures.
B.
Technical Specification 6.11, Radiation Protection Program, states, " Procedures for personnel r adiation protection shall be prepared consistent with the requirements o; 10 CFR Part 20 and shall be approved, maintained and adhered to for all operations involving personnel radiation exposure."
1.
Unit 1 Radiological Control Procedure 1613, " Radiation Work Permits",
Revision 10, developed in accordance with the above, requires in Section 5.3.10, that prior to personnel entry to perform work under a radiation work pennit (RWP) they shall read the RWP, and initial in block #3 on the RWP Attachment sheet to signify they have read these documents and understand them.
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l f.ppendix A 2
l Contrary to the above, on June 3,1980, personnel entered to perfonn work on the following RWPs and did not initial block #3 of the Attachment l
Sheet to signify reading and understandinn of the documents:
'RWP No.
Number of' Individuals Not Initialing 6726 1
6766 1
6770 4
j 6778 1
l 2.
Unit 1 Radiological Controls Procedure ~614, Revision 1, " Control Point Instructions", developed in accordance with the above requires i
in Section 5.0, " Operating Instructions", that the Supervisor / Foreman Radiological Controls coordinate the activities of any Control Point with the Radiological Control Technician Staff including assuring that personnel who enter RWP areas meet the RWP requirements and have sufficient remaining exposure to do the task.
Procedure 1614, Section 5.5 requires Control Point Watch Standers to use current instructions while monitoring Control Point activities.
Further, Control Point Instruction No. 80-7, " Exposure Control", requires all Control Point Watch Standers to check not only the weekly exposure limit, but also the quarterly exposure limit.
Contrary to the above, at approximately 6:00 p.m. on June 2, 1980, an inspector entered the Unit 1 Auxiliary Building, an RWP area and the Radiological Control Technician Staff, includina the Control Point Watch Stander, did not check the inspector's weekly exposure or quarterly exposure to assure that the inspector had sufficient remaining exposure.
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