ML20057F132

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Errata to Insp Rept 50-382/93-25 on 930909,correcting Errors Noted in 930928 Rept
ML20057F132
Person / Time
Site: Waterford 
Issue date: 09/09/1993
From: Westerman T
NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION IV)
To:
Shared Package
ML20057F115 List:
References
50-382-93-25, NUDOCS 9310140167
Download: ML20057F132 (17)


See also: IR 05000382/1993025

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APPENDIX B

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U.S. NUCLEAR REGULATORY COMMISSION

REGION IV

Inspection Report:

50-382/93-25

Operating License:

NPF-38

Licensee:

Entergy Operations, Inc.

Operations, Waterford

P.O. Box B

Killona, Louisiana

Facility Name: Waterford Steam Electric Station, Unit 3

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Inspection At: Waterford Steam Electric Station, Unit 3, Taft, Louisiana

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Inspection Conducted: July 26-30 and August 26, 1993

Inspectors:

C. J. Paulk, Reactor Inspector, Engineering Section

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Division of Reactor Safety

R. B. Vickrey, Reactor Inspector, Engineering Section

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Division of Reactor Safety

P. A. Goldberg, Retctor Inspector, Engineering Section

Division of Reactor Safety

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Approved:

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T. F. Westerman, Chie~f/) Engineering Section Date

Division of Reactor Sdfety

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Inspection Summary

Areas Inspected:

Special, unannounced inspection of activities within the -

engineering organizations and followup on previously identified items.

Results:

The inspectors found that the licensee, in general, has been performing

engineering activities in accordance with plant procedures. The

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inspectors did find that a nonsafety-related instrument setpoint was

changed without documentation of an engineering evaluation, and that

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actions recommended in a Problem Evaluation / Identification Request

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report were not completed.

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The licensee committed to performing a review of condition

identifications to determine if any were closed without ensuring that

related design documents had been revised as necessary (Section 3.3).

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9310140167 931006

PDR

ADOCK 05000382

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The licensee was implementing a design change to provide a method of

evaluating the corrosion rate inside the component cooling water heat

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exchangers (Section 3.13).

A violation, previously identified as an unresolved item, was identified

for the failure to implement procedures for the identification of the

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pressurizer code safety valves and the main steam safety valves

setpoints exceeding tolerances allowed by the Technical Specifications

(Section 2.2).

Summary of Inspection Findinos:

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Inspection Followup Item 382/9314-01 was closed (Section 2.1).

Unresolved Item 382/9314-04 was closed (Section 2.2).

Violation 382/9325-01 was opened (Section 2.2).

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Inspection Followup Item 382/9325-02 was opened (Section 3.3).

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Inspection Followup Item 382/9325-03 was opened (Section 3.13).

Inspection Followup Item 382/9325-04 was opened (Section 3.17).

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Attachment:

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Attachment - Persons Contacted and Exit Meeting

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DETAILS

1 PLANT STATUS

During this inspection, the plant was operating at 100 percent power.

2 FOLLOWUP (92701)

2.1

(Closed) Inspection Followuo Item 382/9314-01:

Identification of ASME

Code Boundaries

This item concerned a modification which cut and capped a number of drain

lines in the high and low pressure safety injection systems.

Each drain line

had a drain valve associated with it that was the piping safety class break

from ASME Class 2 or 3 to non-safety class piping. All of the pipe cuts were

to be performed on the downstream side of the seismic anchor with the

exception of two lines which required modifications to the non-safety seismic

portion of the piping. The licensee had indicated that some of the drain

valves were leaking and would not be repaired before they were capped. Due to

the fact that some of the valves were leaking and would be cut and capped

prior to the valves being repaired, the inspectors questioned whether the ASME

pressure boundary should be moved from the valve to the capped end and

modifications and repairs should come under the jurisdiction of the ASME

Section XI Code.

During NRC review of the followup item, the licensee stated that if leakage of

the drain valve was discovered during implementation of the modification the

valve would be repaired to ensure the integrity of the ASME code boundary.

The NRC staff position was that the valve was the code boundary and the cap

was a modification on the non-code section of the piping. The licensee stated

that the valves would be maintained in accordance with the commitments to the

ASME code requirements.

2.2

(Closed) Unresolved Item 382/9314-04:

Failure to Identify and Evaluate

Safety Valve Setooint Outside of Technical Soecification Limits

This item concerned the failure to initiate corrective actions to evaluate

as-found set pressures of pressurizer and main steam safety valves, which

exceeded the d3 percent tolerance allowed by the AEME Section III Code and

Technical Specifications.

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The' inspectors reviewed Procedure UNT-005-002, " Administrative Procedure

Condition Identification," Revision 10, which provided the method for

identifying and resolving hardware conditions adverse to quality. The

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procedure defined conditions adverse to quality as conditions affecting

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quality-related activities, which included failures, deficiencies, and

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deviations.

In accordance with this procedure, conditions adverse to quality

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shall be processed by preparing a nonconformance condition identification in

accordance with Section 5.3.1.2 of Procedure UNT-005-002.

Criterion V of

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Appendix B to 10 CFR Part 50 requires that activities affecting quality shall

be prescribed by documented procedures and shall be accomplished in accordance

with these procedures.

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The licensee's failure to initiate nonconforming condition identifications for

the out-of-tolerance as-found set pressures is identifiad as Violation

382/9325-01.

3 ENGINEERING AND TECHNICAL SUPPORT (37700)

The purpose of this inspection was to evaluate certain activities in the

design engineering department.

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3.1 Mountino of Safety-Related Transmitters

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The inspectors evaluated the adequacy of the seismic qualification of

safety-related transmitters which had been mounted with an incorrect grade of

bolting and with missing bolts.

The inspectors reviewed Report PRE-90-063, initiated October 31, 1990, which

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stated, that while installing a Barton transmitter, the licensee found that

the bolts did not meet the technical manual requirements since they were not

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the material grade recommended. The bolts sheared before they could be

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torqued to the recommended 27.1 N-m (20 lbf-ft). The licensee initiated

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NCI 271797 to document this nonconformance. A walkdown of the 26 accessible

transmitters had been performed by the licensee. The licensee determined that

incorrect bolt material had been used. The inspectors reviewed this NCI,

along with Work Authorization 01068976. The inspectors found that the

NCI/ work authorization installed the correct bolts in the Barton transmitters

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located in containment. The inspectors also noted that the bolts were torqued

to 27.1 N-m (20 lbf-ft) with quality assurance witness required.

Prior to

issuing the work authorization, the licensee had a computer printout generated

which identified all of the Barton pressure transmitters. The remaining

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Barton transmitters had the bolts replaced and torqued under Condition

Identifications (CIs) 271156, 271707, and 271793.

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The inspectors also reviewed Calculation EC-M90-065, " Evaluation of the

Mounting Details for the Barton Model 764 Differential Pressure Transmitters

Located in the Reactor Building," Revision 0.

The purpose of tne calculation

was to evaluate the structural integrity of the mounting of the transmitters

using the incorrect bolting material. The calculation demonstrated that the

existing bolting was adequate for seismically mounting the safety-related

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transmitters.

The inspectors concluded that the licensee had adequately

addressed the problem.

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A review of licensee documentation did not give any indication that bolting

had been found missing from the safety-related transmitters.

In addition, the

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inspectors checked with the former senior resident inspector at the Waterford

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Steam Electric Station, Unit 3, during this time frame regarding his knowledge

of any missing bolts. He was not aware of any cases of missing bolts on

safety-related transmitters. Additionally, the inspectors reviewed NRC

Inspection Report 50-382/90-18 which also addressed the issue of the bolting

material discrepancy.

The inspectors concluded that the licensee had properly addressed the

incorrect bolting material issue and did not find any evidence that

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safety-related transmitters had been found with missing bolts.

3.2 Replacement of Valve Positioners

The inspectors reviewed licensee documentation to determine if valve

positioners had been replaced by drawing revision notices (DRNs). The

inspectors reviewed DRN 191-01491, which was issued against Drawing 5617-6550.

The inspect 'rs found that DRN 191-01491 was initiated on May 8, 1991, to

revise the t swing to indicate the part number for a new positioner assembly.

The new assembly was selected because the original positioner was obsolete.

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The licensee had performed an evaluation of the acceptability of the new

positioner in Spare Parts Equivalency Evaluation Report 91-660, which was

initiated on May 7, 1991.

The licensee approved the replacement part on May 10, 1991. The DRN was not

approved until June 17, 1991. The inspectors noted that the licensee had

worked these documents in parallel; however, they did not make any changes

until approval was granted. The DRN was closed on August 21, 1991, after the

changes were made to the drawings.

The inspectors found that Procedure UNT-007-021, " Spare Parts Equivalency

Evaluation Report / Parts Quality Level Determination," Revision 7, which was in

effect at the time DRN 191-01491 was initiated, allowed for this sequence of

events.

The inspectors concluded that the licensee's actions were in accordance with

approved procedures in effect at the time.

3.3 Plant Modifications and Drawina Chanaes

The inspectors reviewed design engineering activities to determine if the

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licensee had performed plant modifications with DRNs and work authorizations

instead of design change packages. The inspectors also evaluated the

licensee's configuration control. The inspectors reviewed DRN I-9002977,

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CI 255672, CI 258712, Temporary Alteration Request (TAR)90-003, CI 272200,

DRN 190-03352, CI 267628, CI 267230, EC-M90-071, CI 267015, and EC-H89-074.

The inspectors reviewed Procedure PE-2-005, " Administrative Procedure

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Engineering Work Authorization Processing," Revision 9, August 2, 1988, which

provided guidelines for processing work authorizations. This procedure

allowed the use of work authorizations to perform a design change. The

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inspectors reviewed DRN 190-02977, which added an air regulator and tubing to

a drawing to reflect the as-built condition. The inspectors found that the

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air regulator had been previously deleted from the drawing in error and this

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DRN added it back onto the drawing. CI 255672 modified the incore nuclear

instrumentation system by plugging one of the incore nuclear instrumentation

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thimble tubes that had a broken coupling. This modification was initiated in

May 1988. However, CI 255672 failed to correct drawings and documents which

were affected by the design change. CI 258712 was initiated in February 1989

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to revise the drawings and documents that were affected by CI 255672. Since

CI 255672 had failed to update the necessary documents for the design change,

Mr. J. Hologa, Acting Director of Design Engineering, committed to sample the

design changes performed under CI/ work authorizations during that time frame

to determine if there were any other design changes where there may have been

a failure to revise affected documents.

The review of the licensees sample

and results was identified as Inspection Followup Item 382/9325-02.

The inspectors reviewed TAR 90-003, May 5,1991, which installed pressure caps

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on the guide tubes of the movable incores. A safety evaluation was performed

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for the temporary modification. TAR 90-003 was closed out by Design

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Change 3303, Revision 1.

The inspectors considered that the temporary

modification had been properly performed.

CI 272200, November 27, 1990, revised a drawing to reflect as-built

conditions. This CI also added a note to the tubing drawing which stated that

EC-90-071 justified the overspan condition for the tubing. The inspectors

reviewed the calculation and determined that the tubing was acceptable for the

overspan condition. DRN 190-03352 was part of CI 272200 and revised the

tubing drawing.

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CI 267628 addressed a tubing overspan condition. The disposition of this CI

was that no work was to be performed since Design Change 3195 had replaced the

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air-operated valves with motor-operated valves and the tubing was deleted with

the modification. The inspectors considered the design change to properly

address the CI.

CI 267230, December 6,1989, concerned a valve which had three unqualified

supports due to insuffiueat construction documentation. Report PRE-89-136

was prepared which declared the valve operable without the supports.

Calculation EC-90-044 qualified the supports as Seismic I.

The calculation

was dated August 14, 1990, and the CI was closed August 21, 1990. The

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inspectors considered that the unqualified supports had been properly

addressed.

Nonconforming CI 267015 concerning overspan conditions was reviewed by the

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inspectors. The overspan conditions were qualified by Calculation EC-li89-074,

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which was also reviewed by the inspectors and found acceptable.

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The inspectors concluded that the licensee implemented DRNs and work

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authorization in accordance with approved plant procedures. The inspectors

also concluded that the licensee's configuration control was in accordance

with plant procedures.

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3.4 Calibration of Instruments in Heated Cabinets

The inspectors reviewed the licensee's practice of calibrating instruments

(transmitters) in heated instrument cabinets. The inspectors also reviewed

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the operation of the heaters and blowers in the cabinets.

The inspectors found Problem Evaluation /Information Request (PEIR) 71193,

dated April 30, 1990, had been initiated to address the setpoints for the high

and low temperature alarms for the instrument cabinets. The inspectors did

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not identify any evidence of evaluations being performed until February 22,

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1992. The licensee received a letter from its contractor that stated there

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was sufficient conservatism in the setpoints to offset the effects of the

temperature differences. The licensee issued an inter-office memorandum on

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April 1,1992, regarding instrumentation calibration temperatures. This

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memorandum addressed the inclusion of conscrvatism in the setpoint

calculations for temperature effects.

It also established the lowest

calibration temperature limit for calibrating instruments in the reactor

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building, the reactor auxiliary building, the turbine building, the control

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room, the fuel handling building, and outdoors.

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The inspectors also found that the cabinets had heaters and blowers that both

energized when the cabinet temperature dropped below the temperature setpoint

range for the cabinet. These worked on a thermostat; and were energized only

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when the temperature dropped below the setpoint of the thermostat. The

licensee had controls in place in the calibration procedures to keep the

cabinet doors closed as long as possible to minimize the change of temperature

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within the cabinets. The temperature effect with the cabinet door open was

considered by the licensee to be minimal.

The licensee closed PEIR 71193 on September 9, 1992.

The recommended actions

were to eliminate the temperature alarms, the cabinet heaters and blowers, and

associated controls, which were not required for normal operations, for

cabinets located in the reactor building and the reactor auxiliary building.

This recommendations had not been implemented but the inspectors were informed

that a work authorization was being drafted. Additionally, the PEIR informed

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maintenance personnel of the importance of performing the calibrations in

accordance with the temperature limits established in the April 1992 inter-

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office memorandum, which accounted for the difference between operating

temperatures and the lowest acceptable calibration temperatures. The licensee

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had initiated a task in accordance with Procedure UNT-005-012, " Repetitive

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Task Identification," Revision 2.

This task documented ambient temperature in

containment during the current refuel cycle for planning review to ensure

calibration within the temperature limits of the April 1992 letter. The

inspectors verified that this task was documenting containment temperatures at

four locations on at least a daily frequency.

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The inspectors concluded that the licensee was addressing the issue of

temperature effects on instrument calibrations.

3.5 Maintenance of Solenoid-Operated Valves

The inspectors reviewed the replacement of age-sensitive materials in

solenoid-operated valves. The inspectors evaluated the licensee's maintenance

program to determine if the replacement of the age-sensitive materials on a

periodic basis was properly addressed.

The inspectors reviewed the licensee's procedures for maintenance of valves

manufactured by Target Rock, ASCO, and Valcor. The procedures were:

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ME-007-009, " Maintenance Procedure Target Rock Solenoid-0perated Valves,"

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Revision 5; ME-007-019, " Maintenance Procedure ASCO Solenoid Valve,"

Revision 4; and, ME-007-020, " Maintenance Procedure Valcor Solenoid-Operated

Valves," Revision 4.

The inspectors also reviewed the licensee's programs for

preventive maintenance and environmental qualification as they related to

solenoid-operated valves.

The inspectors concluded that the procedures, along with the preventive

maintenance program and the environmental qualification program, would ensure

the age-sensitive materials were replaced as required.

3.6 Overoressurization of Solenoid-0perated Valves

The inspectors reviewed the licensee's actions to determine if the effects of

overpressurization of solenoid-operated valves were evaluated. The inspectors

reviewed the licensee's response to NUREG 1275, " Operating Experience Feedback

Report Solenoid-0perated Valve Problems," as it related to the

overpressurization issue. The licensee identified 44 solenoid-operated air

valves in the instrument air system. Of the 44, 36 were safety-related with

maximum operating pressure differential limits less than 827.4 kPa (120 psig),

the maximum credible pressure for the air system.

The inspectors found that

the licensee recommended replacing the solenoid-operated valves with maximum

operating pressure differential rating less than 827.4 kPa (120 psig);

establishing unique identification numbers for the solenoid-operated valve

regulators and controlling the setpoints for the regulators; performing an

evaluation to determine which solenoid-operated valve applications did not

need regulators; and evaluating the suitability of the pressure switches on

the accumulators. The licensee had scheduled the completion of the

recommended actions by the end of Refueling Outage 6.

The inspectors concluded that the licensee was addressing the issue of

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overpressurization of solenoid-operated valves in a controlled manner as

information was obtained, and developed a comprehensive approach tc the issue.

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3.7 Calibration of Safety-Related Pressure Switches

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The inspectors reviewed documentation to determine if two safety-related

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pressure switches were calibrated with revised setpoint values.

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inspectors questioned whether or not the pressure switches on the accumulators

for two containment vacuum release valves, CVR-101 and CVR 201, were reset to

values in accordance with Setpoint-Change 91-011.

The inspectors reviewed the calibration history of the pressure switches on

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Valves CVR-101 and CVR-201 (CVRIPSS222A and CVRIPS52228, respectively). The

inspectors found that the pressure switch set points were not set in 1991

prior to the restart from a refueling outage. The licensee did issue,

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however, Standing Order 91-09 to provide special instructions, as interim

action, to the operators for those times when the instrument air header

pressure dropped below 586.1 kPa (85 psig) until the switches could be

calibrated. The pressure switches were calibrated in February 1992 with the

revised setpoints and the standing order was cancelled.

The inspectors concluded that the licensee made a conscious decision to defer

the calibration of these two switches, which were part of several instruments

that required recalibrations, until the next outage of sufficient time. The

licensee placed administrative controls in force to account for abnormal

operating conditions.

3.8 Class Breaks in Instrument Air Lines

The inspectors reviewed drawings to determine if class breaks were identified

on the B430 V drawings.

The inspectors found that the licensee had

identified, as early as January 25, 1989, that class breaks were not always

identified on the drawings. The licensee initiated Work Authorization 261147

on January 25, 1989, for the inspection of instrument tubing that appeared to

be non-safety-related. Also, CI 261147 was initiated on January 25, 1989, for

engineering to evaluate the questionable tubing. On May 10, 1989, PElR 61167

was initiated to address the class breaks not being identified on the B430 V

drawings.

The issue was also identified in PEIR 71149 dated August 24, 1989.

The licensee closed PEIR 61167 by reference to PEIR 71149 on August 24, 1989.

As part of the actions taken under the work authorization, the licensee

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performed inspections of the questionable tubing and determined that the issue

was larger than first anticipated. The scope was expanded to address all air-

operated valves listed in the Final Safety Analysis Report Table 3.9-9.

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result of the expanded scope, 20 nonconformance identification documents were

initiated.

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The inspectors found that the design criteria for the air supplies to non-

safety-related valves, or to safety-related valves whose failure to the " safe"

position was acceptable post-accident, was to have the tubing be totally non

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safety.

For those valves that were required to stroke or modulate post-

accident, air or nitrogen accumulator systems were designed as Seismic

Category I.

Additionally, stainless steel tubing was to be run from the

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isolation (check) valve upstream of the accumulator, to the actuator

component (s) requiring an air supply. This tubing was to be ASME material and

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installed in accordance with a Seismic Class I design.

The licensee closed CI 261147 on June 12, 1990, on the basis of the evaluation

of the inspection results and the engineering evaluation that determined the

classification of the various tubing. The licensee also commenced a long-term

corrective action to revise all of the B430 V drawings, as necessary, to show

class breaks in accordance with plant procedures.

On September 28, 1990, PEIR 71149A was initiated to raise the issue again.

The licensee voided this PEIR on the basis that a program was in place to

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correct the drawings.

Additionally, the program included assigning unique

identification numbers to all components that previously had none.

The inspectors concluded that the licensee was properly identifying and

addressing the issue of class breaks in instrument tubing.

3.9 Scaffoldina Inside Containment Durina Plant Operations

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The inspectors reviewed Procedure NOCP-207, " Construction Procedure Erecting

Scaffold," Revision 5, which established the system for evaluating, erecting,

maintaining, removing, and inspecting scaffolding. The procedure stated that

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if scaffolding is installed in containment during operation, system

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engineering concurrence must be obtained. The procedure also required that an

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evaluation of scaffold built above safety-related equipment not tagged

out-of-service be performed.

In addition, only previously approved

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scaffolding shall remain in containment during plant operation.

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The inspectors asked the licensee if there had ever been erected scaffolding

inside containment when the plant was operating. The licensee stated that

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scaffolding had been erected near one of the reactor coolant pumps and was

left in place during plant operation.for inspection, rework, and surveillance

purposes in early 1991. The inspectors reviewed the evaluation for this

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installation. The evaluation, "2 over 1 evaluation for scaffold request 9061,

scaffolding for RCP 2A Boron Leak," dated October 11, 1990, had a

comprehensive 2 over 1 evaluation performed.

The inspectors concluded that the licensee had followed their scaffolding

procedure when leaving scaffolding erected inside containment during this

period.

3.10 ' Plant Protection System Groundina

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The inspectors reviewed drawings to determine if the grounding system for the

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plant protection system or the process analog cabinets was annotated properly.

The licensee identified problems with the plant protection grounding system in

PEIR 60885, dated March 1, 1988.

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The inspectors reviewed the PEIR and found it described the grounding problems

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in great detail. The inspectors found the personnel in the Design Engineering

Organization to have been knowledgeable of the grounding systems. The

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licensee developed Design Change 3301 to replace cables for resistance

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temperature detector circuits.

Revision I was initiated to install isolation

cards in the process analog cabinets. The licensee initiated Revision 2 to

properly install the shield leads for the instrument circuits. These changes

addressed the noise problems in the instrument circuits due to system ground

differences. The licensee stated that there had been approximately six other

design changes that could be associated with the instrument grounding system.

The inspectors reviewed these changes and determined that they were not

associated with the instrument grounding system. The inspectors reviewed two

other design changes that were associated with the instrument grounding

system. The inspectors determined that these changes had been implemented in

accordance with plant procedures.

The inspectors reviewed the licensee's documents for grounding drawings for

the plant protection system and the process analog instrument circuits. The

inspectors found the specifications for the grounding systems in

Specification 00000-ICE-3001, " General Engineering Specification for Plant

Protection System," Revision 3, and Specification 9270-ICE-3001, "Waterford 3

Engineering Specification for Plant Protection System," Revision 3.

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inspectors also found that the grounding for the plant protection system was

shown on Drawing 5817

" Plant Protection System Simplified Functional

Diagram," Sheets 8443, 8444, 8445, and 8447. The grounding for the process

analog system was provided in Vendor Manual 457000013, Volumes I and II,

" Westinghouse Process Controls 7300 System"; on Drawing B351, " Instrument

Ground Cabling Schematic," Sheets 14, 15, and 16; and, on Drawing Series B425,

" Process Loop Diagrams."

The inspectors concluded that the licensee did have drawings to identify the

grounding for the plant protection system and the process analog system.

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These drawings may not have been in one convenient location; however, they

were available for use.

3.11 Control of Electrolytic Capacitors

The inspectors reviewed the licensee's program for the replacement and control

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of electrolytic capacitors. This issue had been previously identified in NRC

Inspection Report 50-382/85-27.

The inspectors found that, on January 15, 1386, the licensee had initiated an

internal commitment (A11593) to track the issue of electrolytic capacitor

replacement.

The licensee initiated a prograa in September 1987 to address

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the degradation of electrolytic capacitors both on the shelf and in use. The

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NRC closed the item identified in 1985 in NRC inspection Report 50-382/89-15

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and the licensee continued in its efforts to improve its program.

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In October 1990, the licensee developed an action plan to identify all

safety-related electrolytic capacitors in use, identify nonsafety-related

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electrolytic capacitors in use and in the warehouse, and develop a program to

systematically replace all electrolytic capacitors in use before reaching the

end of the component service life.

In May 1993, the licensee re-evaluated

these initiatives and developed new initiatives which would place greater

emphasis on the safety-related electrolytic capacitors. These initiatives

vere to identify all components containing electrolytic capacitors that were

necessary to activate to safely shut down the reactor or to allow

post-accident monitoring systems to function; identify _ service and shelf life

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for electrolytic capacitors in the components in-use and on the shelf;

identify the age of electrolytic capacitors in plant systems and their

associated spares in the warehouse; develop a method to systematically replace

electrolytic capacitors or components containing electrolytic capacitors

before the service or shelf life identified above was exceeded; and, expand

the replacement program to other components as warranted due to plant

reliability concerns.

The inspectors reviewed Administrative Procedure UNT-005-017, " Control of

Electrolytic Components," Revision 1; and Maintenance Procedures HE-013-015,

" Battery Charger Capacitor Replacement," Revision 6; and ME-013-016, " Inverter

Capacitor Replacement," Revision 3.

The inspectors found that the procedures

were well written and adequately addressed the replacement of electrolytic

capacitors for those components.

The inspectors concluded that the licensee had developed a program as early as

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1987 for the replacement of electrolytic capacitors and that the licensee has

continued to refine and improve its program.

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3.12 Enaineerina Evaluation of Setooint Chanaes

The inspectors reviewed documentation to determine if Setpoint Change

Document 88-02 was changed without performing an engineering evaluation. The

setpoint affected by this change was the lo-lo level alarm for the blowdown

tank that alerts the operator that the diverse circuitry to stop the blowdown

pumps had failed. This is a nonsafety-related circuit.

The inspectors reviewed the change document and found that no engineering

evaluation had been documented in Setpoint Change Document 88-02. The

inspectors found that the engineer claimed to have performed the evaluation,

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but did not document the evaluation. The licensee did document an evaluation-

as part of its setpoint and loop uncertainty calculations in 1992

(Calculation EC-192-029) that the inspectors found to support the value

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selected in Setpoint Change Document 88-02.

The licensee's setpoint and loop uncertainty calculation program was reviewed

in 1989 and documented in NRC Inspection Report 50-382/89-39. The inspectors

concluded, in that report, the program should produce accurate and auditable

calculations.

The licensee has refined and increased the scope of the initial

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effort and was upgrading the program even further.

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The inspectors concluded that the licensee had a program for addressing

instrument calculations and was upgrading their calculations based on safety

significance.

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3.13 Component Coolina Water Heat Exchanaer Corrosion

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The inspectors reviewed the acceptability of the component cooling water heat

exchanger due to corrosion of the carbon steel internal supports and the

existence of chemical water treatment prior to 1984.

The inspectors reviewed Request SMR-007, " Corrosion Rate Monitoring of CCW

[ Component Cooling Water] Heat Exchangers," Revision 0, dated March 27, 1990,.

which recommended a corrosion rate monitoring system for the component cooling

water heat exchangers to determine the effectiveness of the chemical

treatment. The station modification request recommended that a coupon rack

should be installed inside the heat exchanger, which would be removed

periodically to analyze for corrosion rate. Attachment 3 to the station

modification request stated that a fiber optic video tape inspection of the

A train heat exchanger shell side had been performed during Refueling

Outage 3.

The results of the fiber optic inspection, although limited and

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inconclusive, indicated that there was some corrosion on the carbon steel

surfaces and some indication of microbiological induced corrosion, which did

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not appear to be active.

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The inspectors also reviewed Design Change 3311. " Corrosion Rate Monitoring of

CCW and ACCW [ Auxiliary Component Cooling Water] Heat Exchangers A & B,"

Revision 1, dated April 9, 1993. This design change added corrosion

monitoring equipment to the ACCW and CCW systems. A corrosion test loop with

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a coupon rack and corrater (sic) connection was added in each heat exchanger

room to monitor the corrosion on the shell side of the heat exchanger.

Additionally, the modification installed a corrosion test loop with a coupon

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rack and corrater (sic) connection to the CCW system non-essential sample and

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cleanup loop. The licensee indicated that the modification was not fully

installed, but should be in approximately 1 month. The licensee indicated

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that the coupons would be examined about every 3 months and the corrosion rate

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would be trended by the chemistry department. Examination of coupons,

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however, was not proceduralized at the time of the inspection.

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During Refueling Outage 4, on April 5, 1991, ultrasonic thickness measurements

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were taken of both CCW heat exchanger shells to determine if corrosion had

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reduced the wall thickness below the minimum allowable. The heat exchanger

shells are made of carbon steel. The inspectors reviewed the ultrasonic wall

thickness reports for the two heat exchangers and noted that the minimum wall

measured was greater than the minimum allowable. The wall thickness

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measurements were performed in accordance with Work Authorizations 01074080

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and 01074108.

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On February 18, 1992, the licensee performed an acoustic inspection along the

length of each heat exchanger to determine baseline vibrations. The licensee

stated that the inspection would be performed again to determine if there was

any degradation from the previous inspection since corrosion could cause a

change in the vibration measurement. The acoustic inspection was not

proceduralized.

The inspectors reviowed CCW heat exchanger chemical water treatment control

and noted that the licensee had performed a flush and hydrostatic test of the

system in 1982. The water used in this process was stated to have been

treated with hydrazine. The licensee stated that, prior to 1984, the

chemistry department's technical procedures controlled the hydrazine

concentration in the system.

Since 1984, the CCW heat exchangers at the

Waterford Steam Electric Station, Unit 3, have been treated by products

manufactured by Calgon Corporation. This was documented in Attachment 3 to

Request SMR-007.

The inspectors reviewed Procedure CE-2-003, " Maintaining Wet

Cooling Tower Chemistry," Revision 0, February 7, 1983, which provided

instructions for maintaining chemistry control in the ACCW system wet cooling

towers.

The inspectors concluded that there had been chemistry controls prior to 1984,

when the system was declared operational. The inspectors also considered the

results of the Refueling Outage 3 fiber optic inspection of the CCW Heat

Exchanger A Shell Side to have been limited and inconclusive. The evaluation

of the results of the corrosion monitoring program was identified as an

inspection followup item (382/9325-01).

3.14 Safety Evaluations Performed for Drawina Revision

The inspectors chose 17 DRNs prepared during the 1990 and 1991 timeframe and

reviewed them to determine if safety evaluations had been performed. The DRNs

reviewed were 190-01628, 190-01769, 190-02550, 190-02571, 190-02601,

190-02566, 191-00099, 191-00167, 191-00168, 191-00169, 191-00613, 191-00614,

~191-00808, 191-00809, 191-00810, 191-00811, and 191-00812. Each DRN reviewed

had the nuclear safety review block checked either for " Prepared for

Initiating Document" or "Not Required." Most of the DRNs had the safety

review block checked for prepared for initiating document. The inspectors

reviewed the initiating documents which were Design Changes 3299, Revision 0;

3195, Revision 1; and 3309, Revision 0.

Each des 19n change had a safety

evalun Mn screening or a safety evaluation attached to it and each design

chvp i, d the applicable DRNs listed.

. m ors concluded that the DRNs did not require an additional specific

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. uation since scme had been pr m red for the initiating document in

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with plant procedures.

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3.15 Desion Chanae Calculation Imoact on Technical Specifications

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The inspectors reviewed a calculation performed for Design Change 3098, "CVAS

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[ Control Ventilation Air System] Modulating Make Up Dampers." The inspectors

reviewed Calculation EC-190-004, " Loop Error Calculation for CVAS and FHB

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[ Fuel Handling Building] Negative Pressure Control Systems," Revision 0.

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inspectors did not identify anything in the calculation that would have caused

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the Technical Specification limits to have been exceeded. The inspectors

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noted that the calculation had been performed, reviewed, and approved in

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accordance with the licensee's procedures. Additionally, the inspectors found

that the design change had been voided and never implemented.

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3.16 Desion Chance Review

The inspectors reviewed Design Change 3295, " Steam Generator No. 2 Blowdown

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System," including reviews performed by plant engineering, in accordance with

Entergy Nuclear Operations Engineering and Construction Procedure N0ECP-303,

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" Design Change Packages".

..ie inspectors did not identify technical problems

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with the package and concluded that the nonsafety-related design change had

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been prepared and approved in accordance with plant procedures.

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3.17 PEIRs Closure

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The inspectors reviewed PEIRs 10509, 10515, and 10528, which had been issued

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in the 1988-1991 time frame. The inspectors found that the actior-

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recommended in PEIR 10515 and 10528 had been completed. The actions for

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PEIR 10509, however, had not been completed. The inspectors observed that the

computer data base for moael and manual numbers had been revised as

recommended, but the vendor technical manuals had not.

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'icensee's procedure for PEIRs, NOAP-018, " Problem Evaluation /Information

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" Revision 1, did not contain any steps to ensure the recommended

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a re implemented.

The inspectors considered thic to be a weakness in

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the procedure. The licensee stated that a review of the PEIR process would be

performed to evaluate how implementation of recommended actions should be

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addressed. NRC review of the licensee's evaluation of the PEIR process is

identified as Ir.spection Followup Item 382/9325-04.

3.18 Oualifications of Personnel Performina Enaineerino Work

The inspectors reviewed the degree and experience level of personnel in the

Design and Systems Engineering Groups between 1988 and 1991. The licensee's

requirements for personnel performing engineering work without 4-year

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engineering or related science degrees were in accordance with

ANSI /ANS-3.1-1978, "American National Standard for Selection and Training of

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Nuclear Power Plant Personnel."

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The inspectors found that there were 13 individuals that did not have 4-year

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engineering degrees. None of these individuals held the title of engineer and

were classified as engineering assistants, technical specialists, or

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engineering technicians. The individuals had at least 9 years of experience.

Section 4.7.2 of ANSI /ANS-3.1-1978 allows for at least 8 years of experience

in lieu of a 4-year engineering or related science degree and 3 years of

experience.

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The inspectors reviewed the licensee's descriptions for the engineering

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assistant and technical specialist positions. The inspectors found that the

engineering assistants were permitted to provide technical support in the

areas of project management, technical design activities, and engineering

studies. The technical specialist was capable of performing technical support

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activities of an engineering nature.

This may include maintenance,

modifications, design engineering, and system engineering.

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The inspectors concluded that these individuals met the requirements set forth

by the licensee to perform the level of work assigned.

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ATTACHMENT

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1 PERSONS CONTACTED

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1.1 Licensee Personnel

  1. R. Azzarello, Director, Design Engineering

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  • R. Burski, Director, Nuclear Safety and Regulatory Affairs
  • A. Cilluffa, Maintenance Engineering Supervisor

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  • D. Dormandy, Technical Assistant, Design Engineering
    • T. Gates, Licensing Engineer
  • T. Gaudet, Operational Licensing Supervisor

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  • J. Hologc, Acting Director, Design Engineering

J.-Houghtaling, Director, Plant Modification and Construction

  • P. Helangon, Reactor Engineering and Performance Supervisor
  • J. Messina, Chemistry Engineer
  • D. Packer, General Manager, Plant Operations
    • P. Prasankumar, Manager, Design Engineering, Electrical / Instrumentation and

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B. Proctor, Supervisor, Hechanical Systems, Design Engineering

  • R. Thweatt Engineering Programs

F. Titus, Vice President Engineering, Entergy Operations, Inc.

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  1. D. Vinci, Operations Superintendent

G. Wilson, Technical Support Coordinator

1.2 NRC Personnel

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  • E. Ford, Senior Resident Inspector, Waterford 3

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J. Dixon-Herrity, Resident Inspector, Waterford 3

W. Smith, Senior Resident Inspector, River Bend Station

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In addition to the personnel listed above, the inspectors contacted other

personnel during this inspection.

  • Denotes personnel that attended the exit meeting on July 30, 1993.
  1. Denotes personnel that attended the exit meeting on August 26, 1993.

2 EXIT MEETING

Exit meetings were conducted on July 30, 1993, and August 26, 1993.

During

these meetings, the inspectors reviewed the scope and findings of the report.

The licensee did not identify as proprietary any information provided to, or

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reviewed by, the inspectors.

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