|
---|
Category:CORRESPONDENCE-LETTERS
MONTHYEARML20217M8771999-10-25025 October 1999 Requests That Industry Studies on long-term Spent Fuel Pool Cooling Be Provided to R Dudley at Listed Mail Stop ML20217M4331999-10-19019 October 1999 Submits Rept 17, Requal Tracking Rept from Operator Tracking Sys. Rept Was Used by NRC to Schedule Requalification Exams for Operators & Record Requal Pass Dates ML20217F5841999-10-13013 October 1999 Requests Revocation of License OP-11038-1 for GE Kingsley. Individual Has Been Reassigned to Position within Naesco ML20217F5811999-10-13013 October 1999 Forwards Insp Data & Naesco Evaluation of a EDG Exhaust Insp Conducted on 990407.Insp Ensured That Unacceptable Wall Thinning Will Not Occur During 40-year Design Lifetime of Sys ML20217C7321999-10-0808 October 1999 Forwards Copy of Seabrook Station Videotape Entitled, Completion of Seal Barrier Installation. Videotape Documents Process of Selecting,Designing & Installing Seal Deterrent Barrier to Preclude Entrapment of Seals ML20217B8621999-10-0505 October 1999 Forwards Rev 28,change 1 to EPIP Er 1.1, Classification & Emergencies, Per 10CFR50.54(q).Rev to Procedure Does Not Decrease Effectiveness of Seabrook Station Radiological Emergency Plan ML20217B7471999-10-0101 October 1999 Provides Notification of Change in PCT of More than 50 F,Per Requirements of 10CFR50.46(a)(3)(i),(ii).Tabulation of Large Break LOCA PCT Margin Utilization Applicable to Seabrook Station,Encl ML20212J8271999-09-30030 September 1999 Informs of Completion of mid-cycle PPR of Seabrook Station. Staff Conducted Reviews for All Operating NPPs to Integrate Performance Info & to Plan for Insp Activities at Facility Over Next Six Months.Plant Issues Matrix & Insp Plan Encl ML20216J2381999-09-30030 September 1999 Responds to Re Enforcement Discretion for Nuclear Plants During Y2K Transition.Nrc Expects All Licensees to Operate Nuclear Facilities Safety IAW NRC Regulations & Requirements ML20216J2421999-09-30030 September 1999 Responds to Card Received in Aug 1999,providing Comments on NRC Interim Enforcement Policy Re Enforcement Discretion for Nuclear Plants During Y2K Transition.Informs That Naesc Reported Seabrook as Y2K Ready Prior to 990701 ML20216J2471999-09-30030 September 1999 Responds to Which Provided Comments on NRC Interim Enforcement Policy Re Enforcement Discretion for Nuclear Plants During Y2K Transition.Informs That Naesc Reported Seabrook as Y2K Ready Prior to 990701 ML20212K7921999-09-30030 September 1999 Confirms 990922 Telcon with J D'Antonio & T Grew Re Arrangements Made for NRC to Inspect Licensed Operator Requalification Program at Seabrook Facility ML20212J0301999-09-24024 September 1999 Forwards Insp Rept 50-443/99-10 on 990726-30 & 0809-13.No Violations Noted.Insp Discussed ML20212G5071999-09-21021 September 1999 Submits Complaint to NRC Re NRC Failure to Cite Seabrook Station NPP Operators for Failing to Periodically Calibrate & Establish Adequate Measures to Insure That Relay Equipment Met All Required Calibration Settings Prior to Installation ML20212C1881999-09-20020 September 1999 Ack Receipt of Which Raised Concerns Re NRC Enforcement Actions at Plant & Issuance of NCVs ML20212D1401999-09-17017 September 1999 Forwards SE Accepting Request to Use Proposed Alternative to Certain Weld Repair Requirements in ASME Boiling & Pressure Vessel Code ML20212B9511999-09-17017 September 1999 Forwards NRC Form 396 for MG Sketchley,License SOP-10685, Along with Supporting Medical Exam Info.Nrc Form 396 Has Been Superceded by Revised Version Dtd 971222,which Was Previously Submitted to NRC on 990812.Encl Withheld ML20212C3621999-09-15015 September 1999 Forwards Rev 34 to Seabrook Station Radiological Emergency Plan & Rev 85 to Seabrook Station Emergency Response Manual, Per 10CFR50,App E & 10CFR50.4 ML20212B5021999-09-14014 September 1999 Forwards Licensee Responses to EPA Questions Re Plant Seal Deterrent Barrier.Util Completed Installation of Subject Barriers on All Three Station Offshore Intake Structures on 990818.Barriers Will Preclude Entrapment of Seals ML20211Q8521999-09-0808 September 1999 Informs That Rl Couture,License SOP-11027,terminated Employment at Naesco on 990907.Revocation of License Requested ML20211N8781999-09-0303 September 1999 Forwards Response to 990820 RFI Re NRC Administrative Ltr 99-03, Preparation & Scheduling of Operator Licensing Exams ML20211J9291999-09-0303 September 1999 Forwards mark-ups & Retypes of Proposed Conforming License Changes Required in Connection with Transfers Being Sought in 990615 Application of Montaup Electric Co & New England Power Co for Transfer of Licenses & Ownership Interests ML20211M3221999-09-0202 September 1999 Responds to NRC Re Violations Noted in Insp of License NPF-86 & Proposed Imposition of Civil Penalty. Corrective Actions:Conducted Prompt Review of Layoff Decision to Determine Relevant Facts DD-99-10, Informs That Time Provided by NRC Regulation within Which Commission May Act to Review Director'S Decision (DD-99-10) Expired.Commission Declined Review & Decision Became Final on 990830.With Certificate of Svc.Served on 9909021999-09-0202 September 1999 Informs That Time Provided by NRC Regulation within Which Commission May Act to Review Director'S Decision (DD-99-10) Expired.Commission Declined Review & Decision Became Final on 990830.With Certificate of Svc.Served on 990902 ML20211J8811999-09-0101 September 1999 Forwards Comments on Seabrook Station Review of Reactor Vessel Integrity Database (Rvid)(Version 2).Minor Discrepancies Were Noted.Proposed Changes Are Encl in Order to Correct Discrepancies ML20211J8411999-09-0101 September 1999 Forwards Updated NRC Form 396 for E Decosta,Nrc License OP-10655-1.Without Encl ML20211G9191999-08-27027 August 1999 Informs NRC That Name of New Company, Ref in Order Approving Application Re Corporate Merger Is Nstar Which Is Massachusetts Business Trust ML20211J0401999-08-26026 August 1999 Responds to 990819 Request,On Behalf of Gr Pageau & Williams Power Corp,For Addl Time in Which to Reply to Nov,Issued on 990803.Response Due to NRC by 991008 ML20211H0651999-08-25025 August 1999 Forwards Insp Rept 50-443/99-05 on 990621-0801.One Violation Re Failure to Include Multiple Components within Scope of ISI Test Program Was Identified & Being Treated as NCV, Consistent with App C of Enforcement Policy ML20211G7761999-08-24024 August 1999 Expresses Great Concern Re Lack of Enforcement Actions Against Seabrook Station Despite Citations NRC Has Issued for Violations of Seabrook Operating License ML20211J2171999-08-23023 August 1999 Expresses Disappointment with Lack of Enforcement Action Against Seabrook Station Despite Repeated Safety Violations ML20211J4971999-08-21021 August 1999 Submits Comments Re Violations Cited in Early Mar & 990509 Insps ML20211H8361999-08-19019 August 1999 Submits Concerns Re Violations at Seabrook Station ML20211F2681999-08-19019 August 1999 Discusses Former Chairman Jackson & 990602 Predecisional Enforcement Conference Re Findings of Ofc of Investigations Involving Allegations Raised by Contract Electrician.Determined That Allegations Not Supported ML20211J3241999-08-15015 August 1999 Expresses Disappointment in Apparent Failure of NRC to Cite Seabrook Station NPP for Recent Violations of Safety Regulations Uncovered During Recent Insps in Mar & May ML20211J1831999-08-15015 August 1999 Submits Concerns Over Serious Deficiencies at Seabrook Station That NRC Has Declined to Take Enforcement Actions Against ML20210T1601999-08-13013 August 1999 Informs That as Result of Staff Review of Licensee Responses to GL 92-01,rev,supp1 1, Reactor Vessel Structural Integrity, NRC Revised Info in Reactor Vessel Integrity Database & Is Releasing It as Rvid Version 2 ML20211J2071999-08-13013 August 1999 Expresses Concerns Re Violations Occurring Recently at Seabrook Nuclear Power Station.Requests Effort to See That Measures Taken to Stop Flagrant,Continuing Violations That Hold Danger to Workers & Community ML20210S9611999-08-13013 August 1999 Informs That NRC Received Encl Ltr from Pb Johnston Expressing Concern About Certain Impacts on Shareholders of New England Electric Sys with Respect to Nees Proposed Merger with Natl Grid Group ML20210S9511999-08-13013 August 1999 Responds to to Collins Expressing Concerns with Certain Terms of Proposed Merger Between New England Electric Sys & National Grid Group.Nrc Has No Authority to Interject Itself in Nees Merger with National Grid Group ML20210S2001999-08-12012 August 1999 Forwards NRC Forms 398 & 396 in Support of Applications for Renewal of Operator Licenses for Individuals Listed Below. Without Encls ML20210R8401999-08-11011 August 1999 Forwards Response to NRC Second RAI Re GL 95-07, Pressure Locking & Thermal Binding of SR Power-Operated Gate Valves ML20210S7331999-08-11011 August 1999 Submits Third Suppl to 980423 Application to Renew NPDES Permit NH0020338 for Seabrook Station.Suppl Provides Addl Info on Input Streams & Requests Increased Permit Limit for Chemical Used in Makeup Water Treatment Sys ML20210R9581999-08-11011 August 1999 Forwards ISI Exam Rept of Seabrook Station, for RFO 6, Period 3,for Insps Conducted Prior to & During Sixth Refueling Outage Concluded on 990510 ML20210Q7441999-08-11011 August 1999 Forwards Order Approving Indirect Transfer of Control of Canal Interest in Seabrook Station Unit 1 as Requested in Application & SER ML20210R7931999-08-10010 August 1999 Forwards Cycle 7 Startup Rept for Seabrook Station, IAW Requirements of TS 6.8.1.1 ML20210N9421999-08-0505 August 1999 Informs That North Atlantic Suggests Listed Revisions to 990730 Draft Revisions to Committee Rept & Order.Further Revs Consistent with What North Atlantic Proposed at 990608 Hearing ML20210N5721999-08-0303 August 1999 Discusses Investigations Rept 1-98-005 Conducted by OI at Naesco,Seabrook Station & Forwards NOV & Proposed Imposition of Civil Penalty - $55,000.Violation Re Failure to Promptly Correct Incorrectly Terminated Cables of Control Bldg Air ML20210P3361999-08-0303 August 1999 Discusses Investigation Rept 1-98-005 Conducted by Region I OI at Naesco,Seabrook Station & Forwards Nov.Violations Re Electrical Wiring in Control Panel for Control Bldg Air Conditioning Sys ML20210P3161999-08-0303 August 1999 Discusses Investigation Rept 1-98-005,conducted Between 980129 & 0527 at Seabrook Station & Forwards Nov.Violation Re Discrimination of Williams Power Corp,Contractor of Naesco,Against Electrician for Raising Safety Issues 1999-09-08
[Table view] Category:OUTGOING CORRESPONDENCE
MONTHYEARML20217M8771999-10-25025 October 1999 Requests That Industry Studies on long-term Spent Fuel Pool Cooling Be Provided to R Dudley at Listed Mail Stop ML20217M4331999-10-19019 October 1999 Submits Rept 17, Requal Tracking Rept from Operator Tracking Sys. Rept Was Used by NRC to Schedule Requalification Exams for Operators & Record Requal Pass Dates ML20212J8271999-09-30030 September 1999 Informs of Completion of mid-cycle PPR of Seabrook Station. Staff Conducted Reviews for All Operating NPPs to Integrate Performance Info & to Plan for Insp Activities at Facility Over Next Six Months.Plant Issues Matrix & Insp Plan Encl ML20212K7921999-09-30030 September 1999 Confirms 990922 Telcon with J D'Antonio & T Grew Re Arrangements Made for NRC to Inspect Licensed Operator Requalification Program at Seabrook Facility ML20216J2421999-09-30030 September 1999 Responds to Card Received in Aug 1999,providing Comments on NRC Interim Enforcement Policy Re Enforcement Discretion for Nuclear Plants During Y2K Transition.Informs That Naesc Reported Seabrook as Y2K Ready Prior to 990701 ML20216J2381999-09-30030 September 1999 Responds to Re Enforcement Discretion for Nuclear Plants During Y2K Transition.Nrc Expects All Licensees to Operate Nuclear Facilities Safety IAW NRC Regulations & Requirements ML20216J2471999-09-30030 September 1999 Responds to Which Provided Comments on NRC Interim Enforcement Policy Re Enforcement Discretion for Nuclear Plants During Y2K Transition.Informs That Naesc Reported Seabrook as Y2K Ready Prior to 990701 ML20212J0301999-09-24024 September 1999 Forwards Insp Rept 50-443/99-10 on 990726-30 & 0809-13.No Violations Noted.Insp Discussed ML20212C1881999-09-20020 September 1999 Ack Receipt of Which Raised Concerns Re NRC Enforcement Actions at Plant & Issuance of NCVs ML20212D1401999-09-17017 September 1999 Forwards SE Accepting Request to Use Proposed Alternative to Certain Weld Repair Requirements in ASME Boiling & Pressure Vessel Code DD-99-10, Informs That Time Provided by NRC Regulation within Which Commission May Act to Review Director'S Decision (DD-99-10) Expired.Commission Declined Review & Decision Became Final on 990830.With Certificate of Svc.Served on 9909021999-09-0202 September 1999 Informs That Time Provided by NRC Regulation within Which Commission May Act to Review Director'S Decision (DD-99-10) Expired.Commission Declined Review & Decision Became Final on 990830.With Certificate of Svc.Served on 990902 ML20211J0401999-08-26026 August 1999 Responds to 990819 Request,On Behalf of Gr Pageau & Williams Power Corp,For Addl Time in Which to Reply to Nov,Issued on 990803.Response Due to NRC by 991008 ML20211H0651999-08-25025 August 1999 Forwards Insp Rept 50-443/99-05 on 990621-0801.One Violation Re Failure to Include Multiple Components within Scope of ISI Test Program Was Identified & Being Treated as NCV, Consistent with App C of Enforcement Policy ML20211F2681999-08-19019 August 1999 Discusses Former Chairman Jackson & 990602 Predecisional Enforcement Conference Re Findings of Ofc of Investigations Involving Allegations Raised by Contract Electrician.Determined That Allegations Not Supported ML20210S9511999-08-13013 August 1999 Responds to to Collins Expressing Concerns with Certain Terms of Proposed Merger Between New England Electric Sys & National Grid Group.Nrc Has No Authority to Interject Itself in Nees Merger with National Grid Group ML20210S9611999-08-13013 August 1999 Informs That NRC Received Encl Ltr from Pb Johnston Expressing Concern About Certain Impacts on Shareholders of New England Electric Sys with Respect to Nees Proposed Merger with Natl Grid Group ML20210T1601999-08-13013 August 1999 Informs That as Result of Staff Review of Licensee Responses to GL 92-01,rev,supp1 1, Reactor Vessel Structural Integrity, NRC Revised Info in Reactor Vessel Integrity Database & Is Releasing It as Rvid Version 2 ML20210Q7441999-08-11011 August 1999 Forwards Order Approving Indirect Transfer of Control of Canal Interest in Seabrook Station Unit 1 as Requested in Application & SER ML20210P3161999-08-0303 August 1999 Discusses Investigation Rept 1-98-005,conducted Between 980129 & 0527 at Seabrook Station & Forwards Nov.Violation Re Discrimination of Williams Power Corp,Contractor of Naesco,Against Electrician for Raising Safety Issues ML20210N5721999-08-0303 August 1999 Discusses Investigations Rept 1-98-005 Conducted by OI at Naesco,Seabrook Station & Forwards NOV & Proposed Imposition of Civil Penalty - $55,000.Violation Re Failure to Promptly Correct Incorrectly Terminated Cables of Control Bldg Air ML20210P3361999-08-0303 August 1999 Discusses Investigation Rept 1-98-005 Conducted by Region I OI at Naesco,Seabrook Station & Forwards Nov.Violations Re Electrical Wiring in Control Panel for Control Bldg Air Conditioning Sys ML20210J8421999-08-0303 August 1999 Forwards Order,Conforming Amend & SER in Response to Application Transmitted by Util Under Cover Ltr , & Suppl by Ltrs & 0407 Requesting Approval of Transfer of License NPF-86 ML20210K4911999-07-28028 July 1999 Responds to to Chairman Jackson Requesting Info on Concerns Raised by Constitutent a Menninger,Re Seabrook Nuclear Power Station Y2K Readiness IR 05000443/19990041999-07-26026 July 1999 Forwards Insp Rept 50-443/99-04 on 990510-0620.No Violations Noted.Emergency Preparedness Program Reviewed & Found to Be Acceptable ML20209G4711999-07-14014 July 1999 Informs That Unredacted Version of Supplemental Commercial & Financial Data for Baycorp Holdings,Ltd,Submitted in 990407 Application & Affidavit,Marked Proprietary Will Be Withheld from Public Disclosure,Per 10CFR2.790(b)(5) ML20196J7011999-06-30030 June 1999 Forwards Second Request for Addl Info Re GL 95-07, Pressure Locking & Thermal Binding of Safety-Related Power-Operated Gate Valves ML20209A6701999-06-25025 June 1999 Informs That NRC Ofc of NRR Reorganized Effective 990528.As Part of Organization,Div of Licensing Project Mgt Was Created.Organization Chart Encl IR 05000443/19990021999-06-21021 June 1999 Forwards Insp Rept 50-443/99-02 on 990321-0509.Violation Re Failure to Ensure That Critical Relay Calibr Characteristics Were Met Prior to Installation Was Identified ML20196G8421999-06-21021 June 1999 Forwards Copy of Notice of Consideration of Approval of Application Re Proposed Corporate Merger & Opportunity for Hearing Re 990315 Application Filed by Nepco ML20196J4451999-06-18018 June 1999 Ack Receipt of ,Following Up on .In Ltr of April 5,EJ Markey Highlighted Issue of EDG Reliability in Light of Recent Discovery of Defective AR Relays at Seabrook NPP in New Hampshire ML20212J2651999-06-17017 June 1999 Informs That Unredacted Version of Updated Financial Data for Baycorp Holdings,Ltd Will Be Withheld from Public Disclosure & Marked as Confidential Pursuant to 10CFR2.790(b)(5) & Section 103(b) of Atomic Energy Act ML20212H6661999-06-15015 June 1999 Forwards RAI Re 990315 Application Request for Approval of Proposed Indirect Transfer of Seabrook Station,Unit 1 License & Proposed Indirect Transfer of Millstone,Unit 3 License to Extent Held by Nepco ML20207B2221999-05-20020 May 1999 Forwards Insp Rept 50-443/99-03 on 990308-0408.Violations Identified & Being Treated as non-cited Violations ML20206K1811999-05-0707 May 1999 Responds to Re Event Notification from North Atlantic Energy Service Co Indicating That One of Seabrook Two EDG May Have Been Inoperable Since June 1997. NRC Insp of Problem Not Yet Completed ML20206N6811999-04-23023 April 1999 Ack Receipt of ,Re Potential Inoperability of Two Emergency Diesel Generators Since June 1997 at Seabrook Nuclear Power Station.Issue Under Ongoing Insp & Review by NRC ML20205R1171999-04-20020 April 1999 Ack Receipt of Ltr Requesting Action Under 10CFR2.206 Re Enforcement Action Against Individuals Alleged to Have Unlawfully Discriminated Against Contract Electrician. Request to Attend Enforcement Conference Denied.Frn Encl ML20206B3451999-04-20020 April 1999 Forwards Insp Rept 50-443/99-01 on 990207-0321.Violations Identified Involving Failure to Properly Test Primary Auxiliary Building for Test Failures & Inadequate C/A to Prevent Recurrence of Repeated Pab for Test Failures ML20205P1871999-04-0909 April 1999 Discusses 990225 PPR & Forwards Plant Issues Matrix & Insp Plan.Advises of Planned Insp Effort Resulting from Plant PPR Review ML20205N4991999-04-0808 April 1999 Responds to Requesting Copy of OI Rept 1-1998-005,or in Alternative Summary of Investigation Rept. Request for Copy of Investigation Rept,Denied at This Time, Because NRC Did Not Make Final Enforcement Decision ML20205C1891999-03-24024 March 1999 Refers to Naesco 981030 Request for Approval of Alternative Inservice Exam to That Specified by ASME BPV Code,Section XI,1983 edition/1983 Summer Addenda.Forwards SE Supporting Proposed Relief Request IR-8,Rev 1 ML20204E4191999-03-16016 March 1999 Informs of Results of Investigation Conducted at Seabrook Nuclear Generating Station by NRC OI & Requests Participation at Predecisional Enforcement Conference in King of Prussia,Pa Relative to Investigation 1-98-005 ML20204F3101999-03-16016 March 1999 Discusses Investigation Conducted at Plant by OI Field Ofc, Region 1.Purpose of Investigation to Determine Whether Certain Activities Conducted Per NRC Requirements.Synopsis of IO Investigation Rept 1-98-005 Encl ML20210U2281999-03-16016 March 1999 Refers to Apparent Violation of NRC Requirements Prohibiting Deliberate Misconduct by Individuals & Discrimination by Employers Against Employees Who Engage in Protected Activities,Investigation Rept 1-98-005 ML20207C2991999-02-26026 February 1999 Forwards Insp Rept 50-443/98-11 on 981228-990207.No Violations Noted.Inspectors Identified Several C/A Program Deficiencies Involving Timeliness of Reviews & Effectiveness of Previous C/As ML20203A2811999-01-28028 January 1999 Forwards Insp Rept 50-443/98-10 on 981115-1227.No Violations Noted.Operators Performed Well During Two Reactor start-ups & Response to Plant Trip on December 22.Radioactive Waste Mgt Program Properly Implemented ML20198Q7391998-12-21021 December 1998 Informs That Review of Licensee Response to GL 97-05, SG Tube Insp Techniques, Did Not Identify Any Concerns with SG Insp Techniques Employed at Seabrook That Would Indicate That Naesco Not in Compliance with Licensing Basis ML20198S1661998-12-17017 December 1998 Final Response to FOIA Request for Documents.Records Encl & Identified in App C & D.App E Records Withheld in Part & App F Records Withheld in Entirety (Ref FOIA Exemption 5) & App G Records Withheld in Entirety (Ref FOIA Exemptions 4 & 5) ML20198D1341998-12-16016 December 1998 Forwrds Ltr from J Bean Transmitting Final Exercise Rept for 981020,MS-1,out of Sequence Drill for Elliot Hosp in Manchester,Nh.Assistance Being Requested to Offsite Officials to Address & Resolve Identified Arca Timely ML20198C1131998-12-11011 December 1998 Forwards Insp Rept 50-443/98-09 on 981004-1114 & Notice of Violation.Nrc Identified That Safety Equipment Removed from Service at Beginning of Forced Outage Without Appropriate Monitoring of Status of Equipment as Required ML20197K1931998-12-0909 December 1998 Forwards RAI Re Utilities Participation in WOG Response to GL 97-01, Degradation of Crdm/Cedm Nozzle & Other Vessel Closure Head Penetrations. Response Requested within 90 Days of Submittal Date 1999-09-30
[Table view] |
Text
.
June 4, 1997 ,
l l
Mr. Ted i Executive Vice President and Chief Nuclear Officer Northeast Utilities Service Company c/o Mr. Terry L. Harpster P.O. Box 128 Waterford, CT 06385 i SUBJECT: INSPECTION REPORT NO. 50-443/96-10
Dear Mr.~ Feigenbaum:
This letter refers to your January 23,1997 correspondence, in response to our December 14,1996 letter.
l Thank you for informing us of the corrective and preventive actions documented in your l letter. These actions will be examined during a future inspection of your licensed program, l
l Your cooperation with us is appreciated.
l l
Sincerely, Original Signed By:
Richard J. Conte, Chief '
Projects Branch 8 Division of Reactor Prcjects Docket No. 50-443 cci w/o cv of Licensee's Response Letter B. D. Kenyon, President - Nuclear Group D. M. Goebel, Vice President - Nuclear Oversight F. C. Rothen, Vice President - Work Services J. K. Thayer, Vice President - Recovery Officer, Nuclear Engineering & Support Officer B. L. Drawbridge, Executive Director - Services & Senior Site Officer l A. M. Callendrello, Licensing Manager - Seabrook Station l
j W. A. DiProfio, Nuclear Unit Director - Seabrook Station R. E. Hickok, Nuclear Training Manager - Seabrook Station ;
! L. M. Cuoco, Senior Nuclear Counsel
.
! I
,
4 9706160077 970604 bfN.!!.ffllllfhN,fflll
., '
.
PDR ADOCK 05000443 ' ( fp 'e , Ol i O PDR i
. . . - - -. . . . - . . _ - . - - ~ _ _ - _ - _ . - - . - - _ - - - - . _ - --
.
l
- <
l Mr. Ted cc: w/cv of Licensee's Res9onse Letter D. C. McElhinney, RAC Chairman, FEMA Rl, Boston, Mass.
R. Backus, Esquire, Backus, Meyer and Solomon, New Hampshire S. Choi, Director, Nuclear Safety, Massachusetts Emergency
'
Management Agency F. W. Getman, Jr., Vice President and General Counsel - Great Bay Power Corporation Cmomonwealth of Massachusetts, SLO Designee R. Hallisey, Director, Dept. of Public Health, Commonwealth of Massachusetts l Seacoast Anti-Pollution League l State of New Hampshire, SLO l D. Tefft, Administrator, Bureau of Radiological Health, State of New Hampshire l S. Comley, Executive Director, We the People of the United States i
i l Distribution w/cv of Licensee Resoonse Letter l Region i Docket Room (with concurrences)
'
Nuclear Safety information Center (NSIC)
PUBLIC NRC Resident inspector D. Screnci, PAO R. Conte, DRP M. Conner, DRP C. O'Daniell, DRP
! W. Dean, OEDO P. Milano, PD l-3, NRR A. DeAgazio, PD l-3, NRR R. Correia, NRR (RPC)
F. Talbot, NRR D. Screnci, PAO, ORA Inspection Program Branch, NRR (IPAS)
l
( i
'
l t
DOCUMENT NAME: G:\ BRANCH 7\REPLYLTR\sb96-10.rpy To receive e copy of thne document, indicate in the box: 'C' = Copy without ettschment/ enclosure "E" = Copy with attachment / enclosure *N* = No copy OFFICE Rl/DRP Rl/DRP / l NAME EConner fyF RConte&f, DATE (f ////97 6At/97 /
) OFFICIAL RECORD COPY
.
I
. _ . _ . _ _ _ . _ - _ _ . _ ._ _______ .. . . _ . _ _ _ _ _ _ . _ -
e
.- , *
u,,,
'
North
'
North Atlantic Energy Service Corporation P.O. Box 300 Atlantic
, .
seahreet, Nii O3874 I
(603) 474-9521 The Northeast Utilitics System January 23,1997 Docket No. 50-443 NYN-97009
,
United States Nuclear Regulatory Commission Attention: Document Control Desk Washington, D.C. 20555 ;
i Seabrook Station Reniv to a Notice of Violation In a letter dated December 24,1996' the NRC described a violation for failing to perform a 10 CFR l
50.59 safety evaluation prior to changing a Station procedure governing operation of the startup feedwater pump. Accordingly, the enclosure provides North Atlantic Energy Service Corporation's l
(North Atlantic) response to this violation.
North Atlantic is making certain commitments in response to this violation. The conunitments are fully described in the enclosure to this letter.
j l
Should you have any questions concerning this response, please contact Mr. Anthony M.
Callendrello, Licensing Manager, at (603) 773-7751.
Very truly yours,
NORTH ATL - EN Y SERVICE CORP,
'
t
. C. Feignba%
/ A C ?? Y// ,
'
cc: 'HlJ._MillerjRegiornal Adminisrator A. W. De Agazio, Sr. Project Manager
- J. B. Macdonald, NRC Senior Resident Inspector
!
l
' NRC Inspection Report 96-10, dated December 24,1996, J. F. Rogge to T. C. Feigenbaum.
il&vY Sk S'P
/
,a2 .._ _ .aA -Ja - _ .. 4w__ _m .-_ .-. J-m.. .w ru -u 4 _,_. 4_.# A -Aa. .s Ea _h.m..d.am.a2= A.._ - mmh... WM
f g a e
!
l
,
!
ENCLOSURE 1 TO NYN-97009
!
!
l l
l
,
.
- _- - - - -
.
.- .
.
.
REPLY TO A NOTICE OF VIOLATION NRC Inspection Report 96-10 described a violation for failing to perform a 10 CFR 50.59 safety evaluation prior to changing a Station procedure governing operation of the startup feedwater pump. North Atlantic's response to this violation is described below.
i
! L Descrintion of Violation The following is a restatement of the violation VIO 96-10-02:
!
10 CFR 50.59, Changes, tests and experiments, allows changes to be made to the facility as
,
described in the fmal safety analysis report, without prior Commission approval, provided that l l the proposed change does not involve an unreviewed safety question or a change in technical l specifications incorporated in the license. The North Atlantic Regulatory Compliance Manual Chapter 3.0, Section 3.0 contains the station specific requirements and process for performing l
and documenting safety evaluations to determine if an unreviewed safety question exists pursuant to the requirements of 10 CFR 50.59.
l
Contrary to the above, on January 27,1994, the licensee implemented Change 1 to Revision 07
!
to station procedure, OS 1035.02 "Startup Feed Pump Operation," that authorized a system configuration during normal plant operations in which feedwater flow to the steam generators could be established through the emergency feedwater system, with steam generator level being maintained by throttling the emergency feedwater system flow control and isolation valves without first performing a safety evaluation as required by 10 CFR 50.59 to determine if an unreviewed safety question or a change in technical specifications was involved.
This is a Severity Level IV violation. (Supplement I)
l 11. Reason for the Violation Background i North Atlantic agrees with this violation. The condition described in the violation was l previously described in LER 96-04-00, " Emergency Feedwater System Valve Closure,"
l which was submitted to the NRC via North Atlantic letter NYN-96049. This reply provides l supplementary information to that described in the LER.
Root Causes North Atlantic performed a Barrier Analysis to identify the root causes for the condition described in the violation and to develop appropriate corrective actions. Four root causes were identified:
\
! I i
. _
.
-
..
a. Insufficient awareness of the impact of actions on safety The preparer and reviewer of the change to procedure OS 1035.02 "Startup Feed Pump Operation," did not recognize the safety implications of operating the Emergency Feedwater (EFW) system in the subject configuration. As a result, they were reluctant to accept the need for l a 10 CFR 50.59 evaluation as was requested by the Nuclear Safety Audit Review Committee (NSARC). Instead, the preparer and reviewer of the procedure change believed that the subject configuration wasjustified by a Technical Clarification.
b. Methods allow procedure changes without written basis for 10 CFR 50.59 applicability screening questions
!
Existing administrative procedures do not require the preparer of procedures or procedure changes to provide a written basis for whether 10 CFR 50.59 is applicable. This is an exception to the requirements for all other 10 CFR 50.59 applicability screenings. If the bases for the applicability review screening were documented, the need for a 10 CFR 50.59 evaluation may have been more apparent.
l c. Responsibility of personnel was not well defined / personnel were not held accountable During the resolution of this issue, the responsibility for completing the 10 CFR 50.59 evaluation was assigned to four different entities over the course of two years and the completion dates were extended each time with the concurrence of NSARC. The NSARC Chairman did nat !
aggressively pursue closure of this matter by requesting direct involvement by senior management. The NSARC Operations Subcommittee did not enter their concern for a lack of a 10 CFR 50.59 evaluation in the corrective action program in a timely manner. An Adverse i
Condition Report (ACR) was eventually generated, however, this occurred approximately two l years after the concern was first raised. Overall, a lack of ownership and willingness to accept responsibility was illustrated throughout the period in question.
The NSARC currently receives for review all procedures and procedure changes for which a 10 CFR 50.59 evaluation was prepared. If through the 10 CFR 50.59 applicability screening process the preparer incorrectly determines that a 10 CFR 50.59 evaluation is not necessary, then l
'
NSARC would not receive the procedure for review. Additionally, at present, the extension of due dates for NSARC action items is at the discretion of the NSARC Chairman and no formal policy exists to limit the number or duration of extensions.
d. Insufficient 10 CFR 50.59 refresher training Although preparers or reviewers of 10 CFR 50.59 applicability screenings / evaluations are
, required to be trained and qualified, the fact that a Technical Clarification was used as a
substitute for a thorough screening for the subject procedure change indicates that requalification or refresher training is warranted.
_ _. . _ _ _ _ . . _ _ _ _ _ . _ . _ . - _ . _ _ _ _ _ _ _ _ _ - _ _ _
.
-
..
I
.
II. Corrective Actions The subject of this violation is described in LER 96-004-00 and is similar to that of one contained in NRC Inspection Report 96-08. In response to VIO 96-08-01, North Atlantic '
committed to certain corrective actions, some of which are germane to VIO 96-10-02. A '
reference is provided below to those corrective actions that are contained in other docketed correspondence.
1.
North Atlantic previously revised procedure OS 1035.02, "Startup Feed Pump Operation," to eliminate the option of operating the Startup Feedwater Pump in Modes 1, 2, or 3, with the Startup Feedwater Pump aligned to the steam generators via the EFW pump discharge header. (Reference LER 96-04-00).
2. Technical Clarification TS-148 regarding operability of the EFW system was revised to clearly state that closing and/or throttling of the EFW flow control valves to feed the steam generators in Modes 1,2, or 3, renders the EFW system inoperable.
3. North Atlantic has reviewed other Operations procedures that could potentially place the plant into a configuration similar to that of OS 1035.02. (Reference LER 96-04-00). The appropriate procedures were revised to preclude the EFW flow control valves from either being throttled or closed in Modes 1,2, or 3. Note that North Atlantic had previously issued a Standing Operations Order stating that the EFW flow control valves should not
!
be throttled or closed in Modes 1,2, or 3 during normal operation. This ensured that the subject configuration was not utilized during the time that procedure reviews and revisions were being implemented.
4. The North Atlantic Regulatory Compliance Manual (NARC) will be revised to:
Provide additional guidance for performing the determination of applicability for 10 CFR 50.59 evaluations for manual / procedure revisions and intent changes.
Require the conclusions of the determination of applicability for 10 CFR 50.59 '
evaluations for manual / procedure revisions and intent changes to be supported by a written basis and to include a list of UFSAR chapters and/or related documents that were reviewed while performing the applicability determination.
Require that each 10 CFR 50.59 cvaluation that includes a safety evaluation to state !
and provide a basis for whether or not the UFSAR requires an update to reflect the effects of the change, test or experiment. l i
! It is anticipated that these procedure changes will be implemented by February 28,1997.
j (Reference VIO 96-08-01).
! 5. North Atlantic will provide periodic refresher training on 10 CFR 50.59 evaluations. It is
!
' anticipated that the first periodic training session will be completed by August 31,1997.
(Reference VIO 96-08-01).
..
- _ _- - - _ . _. - - .. . - - - - . - ~ -
1 ..
,
.
.
.
6. North Atlantic will revise administrative requirements to ensure that supervisors and managers that approve procedures and procedure changes receive 10 CFR 50.59 training.
It is anticipated that the appropriate administrative requirements will be revised by February 28,1997. (Reference VIO 96-08-01).
7. The Station Director will reinforce management's expectations to the preparers, reviewers, and approvers of 10 CFR 50.59 evaluations regarding the thoroughness of 10 l CFR 50.59 applicability reviews and evaluations. It is anticipated that this will be completed by January 31,1997. (Reference VIO 96-08-01).
8. The North Atlantic Management Manual procedure NM 11250, "NSARC Operation,"
will be revised to require periodic NSARC sponsored audits of 10 CFR 50.59
'
,
'
applicability determinations for procedures and procedure changes. It is anticipated that this procedure will be revised by February 28,1997, i
9. North Atlantic Directors will emphasize to their respective organizations in writing the need for timely and comprehensive responses to action items associated with independent
,
oversight or third party audit organizations. It is anticipated that this will be completed l by February 15,1997.
l 10. The North Atlantic Management Manual will be revised to include a new directive that l will provide executive management expectations regarding responses to independent
! oversight or third party audit organizations including resolutions to professional differences of opinion, policy regarding the number and duration of extensions for NSARC action items, and guidance on the withdrawal of procedures for which a third party issue exists. It is anticipated that this manual will be revised by March 31,1997.
11. The NSARC Chairman has provided written expectations to NSARC uembers and alternate members that ACRs are to be initiated promptly for cases where NSARC ,
reviewers have identified an issue that meets the ACR threshold criteria specified in the i Seabrook Station Operating Experience Manual.
III. Discussion of Weaknesses Identified in Insnection Report 96-10 The cover letter to NRC Inspection Report 96-10 requested that, in addition to the response to the aforementioned violation, North Atlantic address the following: ;
e Controls and processes that have been established to ensure prompt and comprehensive t
responses to independent oversight or third party audit bodies such as NSARC.
,
i e Controls to ensure that changes such as procedure revisions are supported by safety
'
evaluations based on technical and design and licensing based information.
!
'
. How corrective action processes ensure that issues of technical or safety concern are objectively evaluated while differing technical views are being addressed.
l
_ -.
_ _
.
.. . .
.
A number of corrective actions specified above address the first issue. Specifically, these include documentation of management's expectations regarding the need for timely and comprehensive responses to issues identified by independent or third party audit organizations via the l management directive to be added to North Atlantic Management Manual, and the transmission of these expectations to the organization. Additionally, North Atlantic has taken actions to l ensure that expectations are clear regarding the need to promptly enter those NSARC issues that meet the ACR threshold criteria into the corrective action program. Currently, North Atlantic believes that other independent oversight or third party audit action items are adequately entered l into the corrective action program. North Atlantic believes that these collective actions in conjunction with the implememation of the current corrective action program will ensure prompt and comprehensive responses to independent oversight or third party audit bodies such as NSARC. Aspects of the first issue are also addressed via implementation of the current l
corrective action program as described in response to the third issue, below.
Regarding the second issue, North Atlantic is taking actions to provide controls to ensure that changes such as procedure . revisions are supported by safety evaluations based on technical and design and licensing based information. Specifically, these actions include the new requirement l l
to document the conclusions of the determination of applicability .for 10 CFR 50.59 evaluations for manual / procedure revisions and intent changes and to include a list of UFSAR chapters :
and/or related documents that were reviewed while performing the applicability determination.
These actions will encourage more rigorous review and verification of the applicable design and licensing bases documentation during the development of the change and during the review process. Refresher training on 10 CFR 50.59 evaluations will also be provided to appropriate personnel. This will help reinforce the need to base 10 CFR 50.59 evaluations on technical and design and licensing bases information.
Regarding the third issue, the various levels of review, wide distribution of documentation and open discussion ofissues by the Management Review Team (MRT) and/or SORC inherent in the l existing corrective action processes provide ample opportunity for objective evaluation of issues while differing technical reviews are being addressed. Specifically, the MRT, which is comprised of a cross-section of top Station management personnel, reviews, prioritizes, assigns a significance factor, and determines what type of evaluation is necessary for every ACR that is initiated. The goal of the MRT is to foster a self-critical and questioning attitude in reviewing ACRs to aid in the effective resolution of the causes prior to the development of an adverse trend. The MRT review includes the completed evaluations, causes, and corrective actions for each ACR. Additionally, the MRT specifies those completed ACR evaluations that should be l
'
reviewed by SORC, i.e., those that would benefit from such a technical interdisciplinary review.
North Atlantic believes that the current structure of the MRT ensures that technical and safety concerns are objectively evaluated.
In the particular case of the issues involved with the violation, the corrective action processes were not effective since a resolution to the differing technical views was pursued outside of the
formal corrective action program for an extended period of time and, once the formal system was used, the assoc! ' action items were not effectively managed. Several actions described above address these tit ass and effectiveness issues and also establish management's expectations
l l
. .
'
. , . .
i l
,
.
on prompt and comprehensive responses to independent oversight or third party audit bodies such as NSARC, including resolution of differing technical views. Regarding NSARC's untimely use of the corrective action program, as stated above, North Atlantic will implement actions to ensure that NSARC members promptly initiate ACRs for issues that meet the ACR threshold criteria.
IV. Date When Full Cornpliance Will be Achieved North Atlantic is currently in compliance with regulatory requirements.
l i
\
l i
j i
6