ML20149J171
ML20149J171 | |
Person / Time | |
---|---|
Site: | Yankee Rowe |
Issue date: | 02/12/1988 |
From: | Haverkamp D NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION I) |
To: | |
Shared Package | |
ML20149J099 | List: |
References | |
50-029-87-16, 50-29-87-16, GL-87-09, GL-87-9, IEB-79-24, IEB-87-002, IEB-87-2, NUDOCS 8802220291 | |
Download: ML20149J171 (31) | |
See also: IR 05000029/1987016
Text
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U. S. NUCLEAR REGULATORY COMMISSION
REGION I
Report No.: 50-29/87-16
Docket No.: 50-29
Licensee No.: DPR-3
Licensee: Yankee Atomic Electric Company
1671 Worcester Road
Framingham, Massachusetts 01701
Facility Name: Yankee Nuclear Power Station
Inspection at: Rowe, Massachusetts !
Inspection Conducted: October 27, 1987 - January 19, 1988 [
Inspectors: Harold Eichenholz, Senior Resident Inspector
Cynthia A. Carpenter, esident Inspector
Approved By: // k m
Donald R. Haverkamp, Chief
m ~[ 2//a/Jr
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Reactor Projects Section No. 3C v !
Inspection Summary 1 Inspection on October 27, 1987 - January 19, 1987
(Report No. 50-29/87-16)
Areas Inspected: Routine onsite regular and backshift inspection by two
resident inspectors (250 hours0.00289 days <br />0.0694 hours <br />4.133598e-4 weeks <br />9.5125e-5 months <br />). Areas inspected included operational safety ,
verification, radiological controls, events requiring telephone notification to ,
the NRC, plant events, maintenance observations, surveillance observations,
emergency preparedness, organization and administration changes, licensee event :
reports, cold weather preparations, Nuclear Safety Audit and Review Committee
activities, on site review committee activities, and licensee response to NRC
Bulletins.
Results; One violation was found involving the failure to meet the require-
ments of 10 CFR 50.72(b)(1)(A), in that the NRC was not notified within one
hour of the initiation of plant shutdown as required by Technical Specification (TS) 3.0.3. Areas needing increased licensee attention include the need to:
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(1) strengthen administrative controls to assure timely performance and docu- ,
mentation of post-maintenance testing activities; (2) re-evaluate the emergency ;
action levels as an event evolves, and (3) review reliability and reportability r
concerns involving the nuclear alert system (Section 9). Fire protection and !
housekeeping and maintaining control room annunciators in a black-board status c
(Section 3) and a conservative approach to declaring an Unusual Event and man-
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ning the emergency response facilities (Section 9) were considered notable
strengths. A positive trend continues to be observed in improving the perform- i
ance of the Security Program (Section 3).
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TABLE OF CONTENTS
Page
1. Persons Contacted........................................... 1
2. Summa ry of Facili ty and NRC Acti vi tie s. . . . . . . . . . . . . . . . . . . . . . 1
3. Operational Safety Verification............................. 2
a. Daily Inspection....................................... 2
b. System Alignment Inspection............................ 5
c. Biweekly and Other Inspections. . . . . . . . . . . . . . . . . . . . . . . . . 5
d. Backshift Inspection................................... 8
4. Radiological Controls....................................... 8
5. Events Requiring Telephone Notification to the NRC. . . . . . . ... 9
6. Plant Events................................................ 10
a. Plant Shutdown Oue to No. 2 Non-Return Valve Low
Nitrogen Pressure.................................... 10
b. Inoperable Main Steam Line Low Pressure Switches....... 12
7. Maintenance Observations.................................... 12
8. Surveillance Qbservations................................... 14
9. Emergency Preparedness...................................... 18
a. Noti fication o f Unusual Event. . . . . . . . . . . . . . . . . . . . . . . . . . 18
b. Initiation of Plant Shutdown Required by Technical
Specifications....................................... 19
c. Nuclear Alert System Operability....................... 23
10. Organization and Administration Changes..................... 24
11. Licensee Event Reports...................................... 25
12. Cold Weather Preparations................................... 26
13. Nuclear Safety Audit and Review Committee Activities........ 27
14. On-Site Review Committee Activities......................... 28
15. Licensee Response to NRC Bulletins............. ............ 28
16. Management Meetings...................... .................. 29
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DETAILS
1. Persons Contacted
Yankee Nuclear Power Station
B.- Orawbridge,= Assistant Plant Superintendent
T. Henderson, Technical Direttor
N. St. Laurent, Plant Superintendent
Yankee Atomic Electric Company
R. Berry, 'echnical Assistant to Vice President and Manager of Operations
G. Papanic, Licensing Engineer
W. Riethle, Manager Radiation Protection Group
E. Wojnas, Senior Emergency Planning Engineer
The inspector also interviewed other licensee employees during the inspec-
tion, including members of the operations, radiation protection, chem-
istry, instrument and controi, maintenance, reactor engineering, security,
training, technical services and general office staffs.
2. Summary of Facility and NRC Activities
At the completion of the last resident inspection period on
October 26, 1987, the plant was at 100% of rated power. Plant conditions
remained stable until November 21, 1987, when the licensee commenced an
unplanned load reduction to Mode 2 (startup) from full power operation.
The load reduction was prompted by a low nitrogen pressure alarm on the
No. 2 non-return valve (NRV). The plant remained at 2% of rated power
until repair to the NRV was completed the next day; the plant then re-
turned to full power. An unusual event was declared to comply with plant
emergency action level criteria. The plant remained at full power until
December 3,1987, when the licensee determined that the No. 3 low steam
line pressure switch was inoperable. The inoperable channel was not
placed in the tripped condition within the one-hour time frame required by
the Technical Specifications and the licensee commenced a plant load re-
duction. At 98% of rated power, the channel was placed in the tripped
condition and the licensee returned the plant to full power. The plant
remained at full power until January 15, 1988, when the licensee commenced
a planned load reduction to approximately 65% of rated power to perform
re packing of the Na. I heater drain pump and other miscellaneous main-
tenance. The plent returned to normal full power operations on
January 17, 1988. On January 19, 1988, the licensee commenced a plant
shutdown to approximately 75% of rated power to perform maintenance on the
No. 1 boiler feed pump (BFP) outboard motor bearing due to an oil leak.
The plant remained at 75% of rated power for the remainder of the
inspection period pending repair to the BFp.
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An NRC Region I operationally oriented team inspection was conducted dur-
ing the period of January 10-15, 1988, to review activities in the area of
operations, maintenance, surveillance, modifications and engineering
support.
On November 8,1987 Mrs. C. Carpenter was assigned as Resident Inspector
at Yankee Nuclear Power Station. During the ;,eriod of November 12-26, 1987,
the Senior Resident Inspector participated in the NRC's initial event
response and an Augmented Inspection Team for the loss of offsite power
event that occurred on November 12, 1987, at the Pilgrim Nuclear Power
Station. On December 2-3, 1987, the Resident Inspectors participated in
the NRC Region I observation of the unannounced full participation emerg-
ency exercise conducted for the Vermont Yankee Nuclear Power Station.
3. Operational Safety Verification
a. Daily Inspection
During routine facility tours, the inspector checked the following
items: shif t manning, access control, adherence to procedures and
limiting conditions for operations (LCOs), instrumentation, recorder
traces, protective systems, control rod positions, containment tem-
perature and pressure, control room annunciators, radiation monitors,
radiation monitoring, emergency power source operability, control
room and shif t supervisor log, tagout log, backshif t inspection and
operating orders. Based upon a review of licensee activities in this
area, the inspector noted the following:
(1) On December 28, 1937, the inspector observed that the No. 3
control rod primary position indicator channel was inoperable,
in that the control rod position, as indicated on the primary
and secondary indicator channels could not be determined within
3 inches of each other as required by TS 3.1.3.2. Only one-
third of the 90 light emitting diode (LED) displays for this rod
were brightly illuminated, with one third dark and the remaining
one-third faintly illuminated. The control room operators first
observed this condition at 8:45 p.m. on December 21, 1987. Fol-
lowing unsuccessful maintenance activity in the vapor container,
the primary position indicator channel for the No. 3 control rod
was declared inopterable. The shif t turnover and control room
log documented that the plant operators recognized the applicable
TSs. The inspector verified that TS 3.1.3.2, Action Statement
a.1, was performed by the licensee until January 6,1988, which
was when the licensee declared the indication channel operable
after interim repair was completed. The action statement
required the licensee to determine the position of the non-
indicating rod indirectly by the movable incore detectors at
least once per 24 hours2.777778e-4 days <br />0.00667 hours <br />3.968254e-5 weeks <br />9.132e-6 months <br />,
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(2) On November 5 and 6, 1987, the operations department issued
special orders87-116 and 117 respectively, that described two
recent events at operating plants that involved failure of those t
licensees to preclude unlicensed personnel from manipulating
controls at their plants. The special orders re-emphasized the !
license #'s policy that only licensed operators or persons t
enrolleJ in a license training program are allowed under direct -
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supervision of licensed operators to operate the reactor con- ,
trols or other equipment that could affect reactor reactivity.
(3) During a tour of the control room, on January 6, 1988, the
inspector observed that the low pressure surge tank (LPST)
level indicator had a "Not Operating" sticker affixed to it. -
The inspector reviewed the status ' of the LPST level instrumen
tation and determined that it was declared inoperable on ;
December 31, 1987. This instrument is used by the control room
operators to record on an hourly basis, in Rowe _ Station Log
Sheet No. 2. , the level in the LPST. The inspector questioned -
the primary side control room operator on the mechanism they
were using to log the level indication. According to the oper- .'
ator, an auxiliary operator takes a reading from a local level
indicator and calls this information into - the control room.
However this is accomplished on a two-hour interval. The hourly
values missed were filled in by the control room inspector who
assumed that conditions have not changed from the most recent ;
data.
Inspector concerns in this area involved 1) the manner in which
operators were recording values for which no data were avail- !
able; 2) the log sheet was not being annotated in the remarks l
sections that local readings were being utilized; and 3) Rowe
Station Log Sheet No. 2, which is controlled by procedure
Ap-2007, Rev. 22, Maintenance of Operations Departmental Logs, ;
requires hourly readings, but no procedural change was initiated i
to cover shift personnel determinations that twice per hour
readings would be acceptable. There appears to be a point of
confusion with procedure AP-2007, in that, it >pecifies that !
temporary or permanent safety related logsheet changes will be
handled per procedure AP-0001, Plant Procedures and Instruc- !
tions, as if it was a procedure change. It would appear that
i this statement on procedure AP-2007 provides a mechanism for
i non-safety logsheet changes to occur without performing the
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procedure change requirements of procedure AP-0001. The inspec-
tor brought the conflicting condition to the attention of the
, technical services manager for resolution.
In response to the inspector's observations and concerns, the !
l plant operations manager issued a memorandum to all control room ,
l personnel on January 7,1988 that provided reinstruction on the !
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methods of providing log sheet readings of equipment that is out :
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of service. In addition, the technical services manager
informed the inspector that he would initiate action that will
revise procedure AP-2007 to be in conformance with. the proced-
ural change requirements of procedure AP-0001. The inspector "
had no further questions on this item.
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(4) Throughout the inspection period, the inspector noted the return
to an excellent level of performance of the licensee in main-
- taining he control room annunciators in as close to a "black- -
board" status as possible.
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(5) During a control room tour on January 13, 1988, the inspector
noted a few downscale excursions on the recorder trace for the
No. 4 steam generator blowdown monitor ( RM-PRR-200) . The
inspector questioned a control room operator about this condi-
tion. The operator demonstrated an awareness of the observation
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and was monitoring the situation. Prior to the end of the
shift, maintenance request (MR) 88-90 was issued to initiate
maintenance activity to provide a mechanism to resolve this
item. *
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(6) The inspector noted on January 18, 1988 that the control room
annunciator N-A 35, Main Coolant Hot Leg High Temperature, was
illuminated. The 9:15 a.m. control room log entry attributed
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this condition to a high alarm on the No. 4 hot leg narrew range ;
! channel. Maintenance request (MR)88-115 was initiated to '
, resolve this high alarm condition on the narrow range channel.
Additionally, control room operators were trending the channel's
output on the safety parameter display system (SPDS). The SPOS
was indicating a value of approximately 562 F. The alarm set-
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point for the annunciator is 558 F, All other main coolant
- loops were indicating below the alarm setpoint. Plant operator
response to the alarm condition was in accordance to the alarm
l response Procedure OP-3534. Although the condition appeared to
only be an instrumentation problem, the inspector verified that
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i no core thermal limits were being exceeded. As a result of
I reviewing licensee activity on this item, the inspector noted a i
i weakness in control room operator's knowledge level pertaining '
- to the hot leg temperature indication system. Neither the con- ,
trol room log entry nor the MR reflected the fact that the wide
i range instrumentation channel was also involved, since it was i
- indicating a high temperature condition. Both the licensee's
- operator training manual and procedure OP-6201, Rev. 10, Main
- Coolant Hot Leg Narrow Range and Wide Range Temperature Channels
Calibration, indicate that the SPOS input is derived from the ,
- wide range channel. However, the inspector noted that the I&C [
- personnel involved in the troubleshooting activity were fully
l cognizant of all relevant information.
No violations or deviations were identified in the review of this .
program area, i
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b. System Alignment Inspection
Operating confirmation was made of selected piping system trains.
Accessible valve positions and status were examined. Power supply
and breaker alignments were checked. Visual inspection of major
components were performed. Operability of instruments essential to
system performance was assessed. The following systems were checked
during plant tours and control room panel status observations:
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Low pressure accumulator system.
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Non-return valves
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Charging system (control board status observations)
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Emergency diesel generator units
No violations or deviations were identified in the review of this
program area.
c. Biweekly and Other Inspections
(1) General Facility Observation
During plant tours, the inspector rustn ed shift turnovers,
compared boric acid tank sample ar,'yse' 5 <d tank Ir.vels to
Technical Specification requireneo., . ad rev ewed thre use of
radiation work permits and i a ..icn p o..ction procedures.
Area radiation levels and air m initw uw i operational status
were reviewed. Verification of .put : 4.r.u cated the action was
properly conducted. Based upon . rovim of licensee activities
in this area, the inspector noted , . .ollowing:
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On January 13, 1987 the inspector observed an inadequate
method of restraining a high pressure cylinder located in
the valve room of the upper primary auxiliary building
(PAB). The original wall mounted restraint had deterior-
ated, which resulted in licensee personnel attempting to
compensate for this condition by temporarily tying the
bottle to a rigid support, which subsequently became loose.
Licensee corrective action was initiated to address the
inspector's concern by removing the bottle from the area.
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During a tour of the post accident sampling cubicle in the
pAB on January 13, 1987, the inspector found two one gallon
plastic bottles of demineralized water to be in a frozen
state. This condition appeared to result from the
extremely cold outside temperatures and the location of the
water bottles near the cubicle floor. Smaller bottles of
demineralized water located higher in the cubicle space had
not frozen.
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Licensee procedure DP-9451, Rev. 1, Inventory of Post
Accident Sampling Materials and Equipment, lists these two
bottles as required inventory to successfully conduct post
accident sampling. The inspector brought this condition
to the attention of a chemistry department technician who
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was in the immediate area and requested corrective actions.
The inspector discussed the matter with the chemistry '
' department manager, who acknowledged the inspector's com-
ments and concerns and agreed that actions would be taken
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to preclude recurrence. Subsequently, the inspector
verified that the licensee's actions to preclude recurrence
were appropriate.and successful.
No violations or deviations were identified in the review of t
this program area, i
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(2) Fire Protection and Housekeeping L
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No inadequacies were noted regarding licensee housekeeping ;
practices. A strong commitment to proper housekeeping '
conditions and practices by the plant staff is routinely
observed by the inspector.
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Throughout the inspection, the licensee has experienced the ;
loss of fire protection - barriers, detection systems, and i
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firefighting features of the plant. The losses of function i
resulted from both preventive maintenance and unexpected
j- equipment inoperabilities. In all cases, the inspector has
i observed a rapid deployment of compensatory measures by the
operating staff. The licensee's performance in the area of
- fire protection and prevention continues to be viewed by
the inspector as a licensee strength. '
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On December 7, 1987, the inspector followed up on an off-
normal shift turnover log entry that involved switchgear
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and battery rooms fire detection system's backup batteries.
The licensee's I&C personnel considered the batteries sus-
pect because of erosion found on the battery terminals dur- ;
l ing the functional test of the detection system. The
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licensee issued MR 87-1535 to replace the batteries. On i
l November 21, 1987, MR 87-1916 was initiated to correct a '
series of battery trouble alarms on this system. As a
result of these two MRs, the I&C department considered the ;
batteries to be inoperable, control room personnel were !
informed and a shift turnover log entry was made. [
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The FSAR Section 229, Fire. Protection and Detection !
Systems, specifies that to ensure reliability the fire i
detection system is supplied with its own 24-volt de bat- f
tery power in the event of an ac power interruption. As a ,
result of holding discussions with ~ plant operators, the t
inspector was unable to determine what actions would be -l
taken by these operators with regard to system inopera- !
bility and Technical Specifications requirements.
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The inspector discussed the matter with I&C personnel and ,
the plant's fire protection coordinator. The inspector ;
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learned that the batteries had successfully passed their t
eight-hour discharge test during the .last functional test i
of the detection system. However, the licensee was treat- !
ing the matter in a conservative manner by declaring the j
batteries inoperable. Notwithstanding these facts, the l
inspector informed the fire prot 9ction coordinator that is i
was appropriate to provide a written 10 CFR 50.59 review of- i
the current operating configuration and ensure that ,
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instructions are in place that would result in required ,
compensatory actions by the licensed operators in the event
this fire detection' system experiences a loss of ac event. .
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On December 7, 1987, the operations depa<tment issued i
special order 87-126, which prescribed the required opera- l
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tor response should ac power be lost to the switchgear room '
and battery rooms detection system. The inspector verified i
- that the stipulated operator response was appropriate and ;
considered the requirements of TS 3.3.3.4. Additionally, ;
, the fire protection coordinator issued a 10 CFR 50.59 i
i safety evaluation that provided the basis that operating <
l the system with the hatteries considered inoperable was not
l an unreviewed safety question,
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The inspector noted that a situation involving questionable !
i battery performance had occurred on a fire detection system
i in September, 1987. At that time the fire protection coor- [
] dinator initiated action that resulted in the issuance of a
special order, which insured proper operator response con- !
2l sistent with TS requirements would occur in the event there
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was a loss of ac to the detection system.
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! this program area. I
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(3) Observations of physical Security
Selected aspects of plant security were reviewed during regular
and backshift hours to verify that controls were in accordance
with the recurity plan and approved procedures. Based upon a
review of licensee activities in this area, the inspector noted
the following:
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There appears to be a problem with access control equipment
at the gatehouse, which involves alarm thresholds that are
overly sensitive. In response to the inspector's concerns,
the licensee is evaluating equipment performance and cali-
bration requirements.
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The inspector observed on January 13, 1987 poor attention
to detail by one of the gatehouse officers, as he performed
one of the access control activities required for personnel
entry to the protected area. Corrective measures were
expeditiously implemented following the inspector's iden-
tification of the problem. As a result of routinely re-
viewing security personnel performance in the area of
access control, the inspector concluded that the observa-
tion noted on this date was an isolated incident. The
inspector had no further questions of the licensee on this
matter.
With respect to security equipment maintenance, the licensee's
I&C department has expanded its departmental staffing by one
technician to be responsive to security program needs. The
inspector noted significant improvements in licensee oversight
that generally results in resolution of security system and
equipment malfunctions in a timely manner.
No violations or deviations were identified in the review of this
program area.
d. Backshift Inspection
The inspector conducted backshift, weekend or holiday inspections on
November 14, December 12, January 10, 16, 17 and 18. Operators and
shift supervisors were attentive and responded appropriately to
annunciators and plant conditions. No violations or deviations were
identified in the review of this program area.
4. Radiological Controls
Radiological controls were observed on a routine basis during the repor-
ting period. Standard industry radiological work practices and conform-
ance to radiological control procedure and 10 CFR Part 20 requirements
were observed. Independent surveys of radblogical boundaries and random
surveys of nonradiological areas throughout the facility were taken by the
inspector.
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During a routine tour of the plant, the inspector noted several discrep-
ancies in the licensee's radiological controls practices. In the pump
room (outside a controlled area), the top part of a multistage pump
impeller was noted to be wrapped in yellow polyethylene. In the upper
accumulator room, a crescent wrench was noted to be secured in the area
with a lanyard made of yellow and magenta contamination control ribbon.
Also, an item wrapped in yellow poly was noted in a trash can in the pump
room and a saw horse was noted outside the turbine building with yellow
poly on it. These items were discussed with the radiation protection
manager as an NRC concern; the use of yellow wrapping in an uncontrolled
area and the use of contamination control ribbon on an uncontaminated item
does not illustrate good work practices for a nuclear plant. The radia-
tion protection manager acknowledged the inspector's concerns and has
committed to review the policy of using yellow polyethylene and similar
material in uncontrolled areas. The inspector will follow this item
du.*ing future routine inspections.
No violations or radiation safety conuerns were identified in this program
area.
5. Events Requiring Telephone Notif; cation to the NRC
The circumstances surrounding the following events, which req ~ ired NRC
notification via the dedicated Emergency Notification System (RS) tele- '
phone line were reviewed. A summary of the inspector's review findings
follows or is documented elsewhere as noted below:
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At 9:05 a.m. on November 21, 1987 the NRC was notified in accordance
with 10 CFR 50.72(a)(1)(1) that an Unusual Event had been declared as '
a result of commencing an unplanned shutdown to Mode 2 (Startup) frem
full power operation. The shutdown was prompted by a low nitrogen
pressure alarm on the No. 2 NRV. This matter is discussed further
in Section 6 of this report.
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At 1: 40 p.m. on December 3,1987, the NRC was notified in accordance
with 10 CFR 50.72 (b)(1)(1)(A) of the initiation of plant shutdown as
required by Technical Specifications. Initiation of plant shutdown
was caused by the inability to place the channel No. I main steam
line pressure switch on the No. 3 steam line in the tripped condition
within one hour of declaring the pressure switch inoperable. The
pressure switch was declared inoperable at 10:40 a.m. and the plant
shutdown in accordance with TS 3.0.3 was initiated at 11: 40 a.m.
Although the shutdown was terminated at 11:45 a.m., a 10 CFR 50.72
event requiring notification had occurred, but a timely NRC notifica-
tion was not made. Subsequently, the assistant plant superinten-
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dent's review of the events resulted in a determination that the ENS '
reportable event had occurred. The licensee attributed this notifi-
cation failure to personnel error on the part of the shift supervisor
to make the required determination of reportability. Further dis-
cussion of this event is documented in Section 8 of this report. ,
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In a previous event on May 31, 1987 the licensee failed to make a
timely notification to the NRC in accordance with 50.72(b)(2)(11),
as documented in Inspection Report 50-29/87-06. The failure to make-
the required report, in each case, was determined by the NRC to be a
licensee identiftad violation. The May 31 event also involved
personnel error on the part of the shift supervisor, and corrective
actions were not effective in preventing recurrence as evidenced by
the December 3 repetitive violation.
Therefore, the licensee's failure to make a timely notification of
the required one-hour report on December 3,1987 is considered a
licensee-identified violation for which enforcement discretion is not
being taken (50-29/87-02-01).
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At 4:40 p.m. on January 14, 1988, the NRC was notified in accordance
with 50.72 (b)(1)(v) that the safety parameter display system (SPOS)
would be out-of-service for a period greater than 8 hours9.259259e-5 days <br />0.00222 hours <br />1.322751e-5 weeks <br />3.044e-6 months <br />. This
condition was the result of a hardware problem.
6. Plant Events
a. plant Shutdown Due to No. 2 Non-Retu*n Valve Low Nitrogen pressure
At 6:15 a.m. on November 21, 1987, a low nitrogen pressure alarm for
the main steam system's No. 2 NRV was received, and at 7:10 a.m., the
NRV was declared inoperable. Plant shutdown was initiated at 7:10
a.m. to take the plant offline into Mode 2, close the valve and con-
duct troubleshooting. The licensee declared an Unusual Event es a
result of commencing plant shutdown to Mode 2. With the plant stable
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at less than 2% of rated power, the NRV was shut and the licensee
l secured from the Unusual Event. The unusual event is discussed
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further in Section 9 of this report,
, Troubleshooting revealed that after receipt of the low nitrogen
l pressure alarm, the low accumulator pressure switch on the No. 2 NRV
l had subsequently f ailed. The accumulator pressure was found to be
l 1790 psig (charging pressure should have been greater than 2000 psig,
depending on ambient temperature), and the pressure switch was
replaced. The nitrogen accumulator was charged using plant proced-
ures and the NRV opened; the low accumulator pressure alarm did not
i clear as expected. The NRV was closed and the accumulators pressure
l was measured and determined to be 1800 psig. The accumulator was
charged a second time, the sequence repeated, with unsatisfactory
results. The nitrogen accumulator was again charged, but this time
using test equipment instead of the charging instruments, the valve
was re-opened and the low pressure alarm cleared.
!
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l The NRV's are hydraulically opened and nitrogen closed main steam l
l isolation valves in the steam generator discharge lines. The actua- >
tor consists of a hydraulic cylinder with a stored energy system to j
provide emergency closure of the NRV. The energy to operate the ;
! valve is stored in the form of coreressed nitrogen contained in the
- upper head on one end of the actuator cylinder. The lower volume of
the cylinder, on the other side of the piston, is filled with
hydraulic fluid. This serves three purposes - to be throttled ,
j through a control system to control the closing speed, to provide a ;
method to reopen the valve, and to hold 'the unit in the "stand-by" !
position. When the actuator extends to close the valve, hydraulic l
- fluid flows from the cylinder into the hydraulic control system. A ;
'
pump is used to reopen the valve.
The nitrogen pressure that is used to close the valves is supplied i
( by the nitrogen stored in the accumulator for each valve. The accum-
ulator is pre-charged with nitrogen with the valve closed and the
'
4
nitrogen pressure is further increased when hydraulic fluid is pumped i
under the operating piston to open the valves. The valves are !
located in a free standing enclosure immediately outside the vapor i
container. The accumulator is pre-charged, by procedure OP-4259, i
Rev. 4, NRV Main Accumulator and Thermal Accumulator Nitrogen Charg- !
ing and Gauging, to a value in accordance with the pre-charge press- i
ure/ temperature graph provided. The higher the ambient temperature !
in the NRV enclosure, the greater the pre-charge pressure (in psi). !
A temperature gauge provided in the center of the enclosure is used !
to determine ambient air temperature. After several unsuccessful !
attempts to clear the accumulator low pressure alarm, localized !
temperatures were taken near the existing temperature gauge and over
l the affected accumulators. The temperature differential between ,
,
ambient on the local temperature gauge (normally used) and over the !
'
accumulator showed greater than 25 degrees F difference. l
l I
l Additionally, pressurization of the accumulator is done by increasing .
l the regulator setting while observing outlet pressure on a pressure i
gauge on a manifold. During troubleshooting, a test pressure gauge :
was attached directly to the affected No. 2 NRV accumulator and I
observed during pre-charge, opening and closure of the valve. The !
pressure on the pressure gauge board was found to be reading approxi- [
mately 60 pounds lower than the pressure gauge attached to the ;
accumulator, indicating that the accumulator was not being fully I
pre-charged to the required setpoint. Therefore, when the valve was !
stroked open, the pressure did not reach the setpoint required to !
clear the alarm. l
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_ _ _ _ j
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12
.
The root cause was attributed by the licensee to be low nitrogen
precharge resulting from the suspected pressure and temperature
instrumentation inaccuracies. There was no detectable leakage of
nitrogen discovered during the investigation. The nitrogen pressures
of all four NRV accumulators were checked. The No. 1 NRV nitrogen
pressure was also found to be lower than expected. Only the No.1
and No. 2 accumulators were charged using the same charging rig and
instrumentation during the past refueling outage. Corrective action
by the licensee includes changing the procedure used to charge
nitrogen to the NRV's accumulator to provide for the use of more
accurate instruments during its performance, and to provide for the
use of test instruments during its performance,
A subsequent engineering evaluation determined that the available
pressure in the accumulator would have been adequate to close the NRV
and maintain it closed in the event of an automatic initiation from a
,
steam line break initiation signal.
The inspector noted that during the trouble shooting of the NRV,
engineering support and quality assurance personnel were not evident.
Oversight of the work was performed by the I&C Supervisor. No viola-
tions or deviations were identified in the review of this event.
b. Inoperable Main Steam Line Low pressure Switches
.
On December 3,1987, station personnel identified equipment problems
with the steam line low pressure switches that provide reactor
protection and engineered safeguards system input signals.
,
j As a result, the plant initiated a shutdown from full power opera-
tions due to the inability to accompitsh a one-hour TS action state-
ment requirement. This event and inspection details are contained in
Sections 5, 8, and 9 of this report
!
7. Maintenance Observations
The inspector observed and reviewed maintenance and problem investigation
activities to verify compliance with regulations, administrative and main-
tenance procedures, codes and standards, proper QA/QC involvement, safety
tag use, equipment alignment, jumper use, personnel qualification, radio-
logical controls for worker protection, fire protection, retest require-
ments and reportability per Technical Specifications. The following
activities were included:
--
Maintenance Request (MR) 85-1503, Thermocouple connections on south
east spare show signs of leakage
--
MR 87-217, Liquid tight connector disconnected at SI-MOV-24 junction
box
,
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MR 87-1535, Switchgear room fire system panel battery terminal
corrosion
--
MR 87-1916, Fire system trouble alarm - switchgear room
--
MR 88-118, No. 1 BFP (boiler feed pump) outboard motor bearing oil
leak
--
MR 88-115, Loop No. 4 THNR (temperature hot narrow range) reads high
--
MR 87-852, No. 2 NRV air pump continues to pump af ter valve is open,
hydraulic oil level low
--
MR 87-560, Overhaul of main steam NRV and actuators
--
MR 87-1915, No. 2 NRV accumulator low pressure (nitrogen)
--
MR 87-1980, Main steam NRV low pressure switch MS-PS-13 failed to
operate
--
MR 87-1984, Main steam NRV low pressure switch MS-PS-31 failed to
operate
--
MR 87-2075, Control rod No. 3 position indication-loss of lights
Based upon a review of licensee activities in this area the inspector
noted the following:
--
Inspector review of the maintenance activities associated with MRs
87-1535 and 87-1916 is contained in Section 3 of this report.
--
Regarding MRs 85-1503 and 87-217, the inspector noted that the retest
section of these MRs was still open as of November 14, 1987. The
work was completed on the MRs on September 9,1987 and May 28, 1987,
respectively. Licensee weakness in the process of specifying and
controlling post maintenance retest activity was identified in NRC
inspection report 50-29/86-17. Based upon discussions with licensee
personnel, the inspector concluded that the problem involves a fail-
ure to document retest and not a failure to perform retest. Proced-
ure AP-0205, Rev. 12, Maintenance Request, specifies retest is to be
performed and requires thc individual performing the retest to com-
plete the applicable portion of the MR. It was not clear to the
inspector as to how the licensee insures that retest responsibilities
are delegated.
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_________ ______ ______ _ __ _ - _ _ __-_
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14
.
The inspector held discussions with licen:ee representatives about
the issue and inspector concerns. The licensee informed the inspec-
tor that their MR Task Force was developing new administrative con-
trols to address the aforementioned and related problems. Current
planning includes the development and issuance by the end of March,
1988 of a new maintenance procedure to control post-maintenance
retest. This document, when implemented, will provide a program to
improve pre-job planning, provide more consistent retest require-
ments, and improve the documentation of the actual activities that
are performed. The inspector informed the licensee that a major
cornerstone for this new program to function as envisioned will
require improved interdepartmental cooperation, especially between
the operations and maintenance departments. In the area of retest
activities, the inspector has determined that interdepartmental
cooperation between these two groups do not represent a licensee
strength.
The inspector will continue to review post-maintenance testing
activities and licensee progress to resolve NRC concerns in this area
during routine inspections in this area.
--
The inspector reviewed the licensee's repair activities associated
with MR 87-1915, which covered the corrective maintenance for the low
nitrogen pressure condition in the accumulator of the No. 2 NRV. The
inspector's review is documented in Sectica 6 of this report.
--
The inspector reviewed the licensee's repair activities associated
with MRs 87-1980 and 87-1984, which covered the corrective mainten-
ance for the failure of main steam NRV low pressure switches MS-PS-13
and MS-PS-31 to operate. The inspector's review is documented in
Section 8 of this report.
No violations or deviations were identified in the review of this program
area.
8. Surveillance Observations
The inspector observed tests or parts of tests to assess rerformance in
accordance with approved procedures and LCO's, test results (if completed),
removal and restoration of equipment, and deficiency review and resolu-
tion. The following test results and procedures were reviewed.
--
OP-4656, Rev. 5, Functional Test of the NRV Main Steam Line Pressure
Channels
--
OP-7105, Rev. 11, Normal Operation of the Incore Flux Mapping System
--
OP-2167, Rev. 12, Boric Acid Mix Tank Makeup
--
OP-4716, Rev. 8, Vapor Container Personnel Hatch and CA-V-755 Leak
Test
- _ _ _ _ _ _ _ _ _ _ _
.
15
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--
OP-4656, Rov. 6, NRV Pressure Switch Functional Test of the NRV Main
Steam Line Pressure Channels
--
OP-4272, Rev. 1, Accident Monitoring Instrumentation Channel Check
--
OP-4232, Rev.17, Vapor Container Inspection
--
OP-4202, Rev. 10, Control Rod Operability Check
--
OP-6201, Rev. 11. Main Coolant Hot Leg Narrow Range and Wide Range
Temperature Channels Calibration.
Based upon a review of licensee activities in this area, the inspector
noted the following:
a. The inspector reviewed post-makeup surveillance activity for the
boric acid mix tank (BAMT). Operations department procedure OP-2167,
Rev. 12, BAMT Makeup, controls the process, requires sampling to be
performed, and stipulates requirements to provide appropriate control
log entries. These entries provide documentation that the plant
ope ators are aware of the applicable TS action statement involving
an inoperable BAMT because of unknown percent-weight boric acid solu-
tion in the tank. The chemistry department implements procedures
OP-9416, Rev. 9, Chemistry Control of Primary Auxiliary Systems and
OP-9201, Rev 9, Titrimetric Analysis for Chloride, Boron, Chromate,
P and M (phenolphtalein and mixed indicator) alkalinity, to control
their activities. Documentation of the sample results are trans-
ferred to the control room each shift that analyses are completed by
use of the Chemistry Data Transfer Log, APF-9003.1. This transfer
log, and reporting out of specification chemical analysis resul*.s to
the control room, are described in chemistry procedure AP-9003,
Rev. 6, Chemistry Instructions, Reports and Records.
Based upon a review of activities in this area, the inspector con-
cluded that the licensee has developed and implemented procedural
controls that assure proper performance of personnel, as well as aid
in providing proper interdepartmental communications,
b. During the performance of OP-4656 on December 3,1987 to accomplish
the routine monthly Technical Specification surveillance requirement,
MS-PS-13 (Channel 1, No. 3 steam header pressure switch) failed to
actuate. At 10:40 a.m., MS-PS-13 was declared inoperable. These
switches are part of the engineered safeguards and reactor protection
systems. The licensee entered TS action statements No. 6 of Table
3.3.2 and No. 8 of Table 3.3.1 to place the inoperable channel in the
tripped condition within one hour. A temporary change request (TCR)
was prepared to accomplish the required action statement, but due to
m
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the time required to obtain PORC concurrence on the TCR (No.87-442),
the inoperable channel was not placed in the tripped condition within
the one hour time interval. At 11:40 a.m. with the first jumper
request approved but not yet implemented, the licensee initiated
plant shutdown per TS 3.0.3. At 11:45 a.m. with the plant at 98% of
rated power, the channel was placed in the tripped condition and the
licensee began returning the plant to full power operation. The
'
switch was replaced, the channel trip removed, and an ENS notifica-
tion to the NRC was made in accordance with 10 CFR 50.72(b)(1)(1)(A) ,
at 1:40 p.m. !
Subsequent surveillances on the remaining main steam line pressure
switches revealed that three additional switches were found outside
TS setpoint requirements (MS-PS-24, MS-PS-33, MS-PS-34). Four addi-
tional switches were found out of the established administrative
limits, but within TS limits. These switches were adjusted back to
the required trip setpoint. A second failed switch, MS-PS-31 was
found, the channel was placed in the tripped condition per TCR 87-444
within the required one hour time frame, and subsequently replaced.
Each pressure switch was tested independently, subsequently adjusted
as necessary or replaced, and returned to service before proceeding
to the next pressure switch in sequence. ,
The inspector noted the following. The TS setpoint requirement for
the main steam header pressure switches is greater than or equal to a
pressure of 262.5 psig. On the No. 3 steam line, the first pressure
switch failed to operate. The second and third channels actuated at
293 psig and 240 psig, respectively. On low steam line pressure, the ,
NRV would not have 1sulated until pressure dropped to 240 psig, 22.5
psig below TS setpoint requirements. On the No. 4 stears line, the l
pressure switches actuated at 296.5 psig. 260 psig and 240 psig. On
this steam line, main steam isolation also would have occurred below l
TS setpoint requirements. The main steam isolation trip closes the
main steam line NRVs and causes a direct reactor trip which reduces f
the severity of cooldown and the ensuing transient effects resulting i
from a main steam if ne break. This trip also serves to assure the
availability of a secondary system heat sink. Although main steam
isolation TS setpoint limit is 262.5 psig, the analyzed safety
envelope for this system is 200 psig. The assumed setpoint on the
Final Safety Analysis Report for calculation of the main steam line '
isolation trip is 200 psig. Therefore, although the No. 3 steam line
would not have isolated until a steam line pressure of 240 psig, this
is still within the analyzed safety envelope of 200 psig. The
licensee attributes the cause of the out-of-tolerance setpo3nt
settings to instrument drift for the three re-adjusted switches (LER ,
50-29/87-15).
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The inspector had several concerns in this area. First, it was noted
that the reason MS-PS-13 was not placed in the tripped condition
within the required one-hour time interval was due to the time
required to process and obtain PORC review of the TCR. The TS action
statement requires the inoperable channel be placed in the tripped
condition, and, therefore, the NRC does not consider this action to
be an unanalyzed plant condition or an unroviewed safety question
requiring further PORC review. Licensee administrative controls,
that preclude o- inhibit the required performance of a TS action
statement, as developed in procedure AP-0018 are inappropriate.
Licensee corrective actions to correct this condition are warranted.
The licensee has experienced previous problems with the steam line
pressure switches and subsequently replaced the switches. These
events were reviewed in two previous inspection reports (50-29/85-15
and 50-29/85-24). In 1985, two ASCO pressure switches were found to
operate outside the TS limit (one at 120 psig and the other at 78
psig) on two separate occasions. The first occurrence was attributed
to "instrument drif t" and the second was attributed to manufacturer
applied lubricant dried and seized around the switch actuaticn
plunger, inhibiting free motion of the plunger. Both pressure
switches were replaced upon discovery of operating outside TS set-
point requirements. Upon completion of a licensee tecnnical evalua-
tion, the remaining pressure switches were replaced during the 1985
refueling outage and four ASCO pressure switches were sent to a
laboratory testing service for evaluation of a possible common mode
failure. It was determined that the switches were experiencing ran-
dom aging reactions as a result of exposure to combinations of steam,
heat and/ or pressure. It was recommended in licensee memoranda that
to reduce the possibility of further aging-related failure, that:
1) syphons should be added between the switches and their test
valves; and 2) a replacement schedule should be established to assure
that the transducer units remain in service no longer than four
years, and the replacements should be staggered such that all of the
redundant transducer units are not of the same age.
These recommendations were accepted by senior licensee management on
June 13, 1986 and at PORC meeting 86-56 on September 4,1986, PORC
agreed to initiate a program to replace the switches. The licensee,
in an ettempt to begin implementation of these recommendations,
l
planned to replace five of the pressure switches during the 1987
'
refueling outage. However, this did not occur due to the lead time
required to obtain spare switches. Yankee Atomic letters dated
September 10 and 16, 1987 indicate that the licensee is still evalua-
ting modifications to the sensing lines but has not implemented this
recommendation. The licensee appears to consider the sensing line,
i.e., the perculation of water up into the line, rather than the
instrument itself, to be the major contributor to the problem of the
short switch service life.
,- - - - _ _ - - _ _ - - . - - - - - - - . - - - . - - - - - - - - - - - - - - . - .
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The previous problems with the ASCO pressure switches occurred in ,
1985, with recommendations made and approved by licensee management, t
,. As late as September 1987, the licensee was still evaluating correc- l
tive actions to resolve the problem of random aging reactions to the !
pressure switches. The inspector is concerned about licensee per-
manent corrective action to determine the root cause of the most !
recent pressure switch problem and to prevent recurrent problems with
-
!
the pressure switches. This ' tem is to be followed up in NRC Inspec- t
tion Report 50-29/88-02. Temporary corrective actions for the recent !
'
pressure switch failures included ordering and having available more
spare pressure switches, determining the root cause of the most f
recent failure of the two pressure switches, and shortening the TS ;
surveillance testing interval on the pressure switches from monthly '
to semi-monthly. During this event, the licensee discovered a mal- i
function in the heat tracing on the sensing line, which occurred t
during cold weather. This loss of heat tracing on the pressure i
switch sensing lines may have been a contributor to the possible '
common mode failure of the pressure switches. The licensee is also i
evaluating whether replacement of the switches with another type is !
necessary. l:
1
Soon after the identification of the switch failures, the licensee's
station personnel had verbally requested Yankee Nuclear Services
Division (fNSD) project engineering group to arrange for a failure !
analysis to be performed on the two switches that were replaced. As !
of the end of the inspection period, these switches were still wait- r
ing for resolution as to where and when to send the switches for the .!
analysis. The inspector was concerned that the licensee had not i
placed an appropriate priority on the failure analysis effort. This
concern was discussed with licensee representatives, who acknowledged
the inspectors concerns, and indicated that a letter requesting the i
switch manuf acturer's assistance to perform the analysis would be i
transmitted shortly and the process expedited to address the NRC !
concerns. With the exception of ensuring the timely conduct of a ,
failure analysis on the failed switches, the licensee has demon- !
strated an appropriate level of concern and progress in providing l;
solutions that shojld result in improved reliability of the main
steam line low pressure switches. l
!
No violations or deviations were identified in the review of this program f
area. I
!
l
a. Notification of Unusual Event I
y
.
At 8:34 a.m. on November 21, 1987, the licensee declared an Unusual J
Event in response to an inoperable NRV and subsequently commenced a i
plant shutdewn to Mode 2 (see Section 6 for details of the event). I
The Unusual Event was declared to conply with plant emergency pro- !
cedures, which specify that an Unusual Event be declared when a mode l
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19
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change is required by TS, concurrent with a loss of engineered safe-
guards. With the plant stable at less than 2% of rated power, the 1
'
NRV was shut and the licensee secured from the Unusual Event at 10:14
a.m. Appropriate state and NRC notifications were made in a timely
manner. ,
Although not required, the technical support center (TSC) was manned
and a minimal staff of 2 coordinators assembled in the emergency
operations facility (f0F) to check out equipment. The licensee's
Emergency Plan only requires the T!C coordinator and the E0F coor-
dinators to report, in response to an Unusual Evert; the TSC and 10F
are not activated. Additionally, the plant Technical Specifications
require each main steam NRV to be operable or closed within four
hours The licensee classified and declared the Unusual Event prior .
to the expiration of the allowed four hours to have the valve closed. '
Both items above demonstrate licensee management's conservative
approach and philosophy toward events that may have an effect on
public health and safety.
No violations oi deviations were identified in the review of this
event,
~
b. Initiation of Plant Shutdown Required by Technical Specifications
During an NRC team inspection conducted dudng the week of
January 10-15, 1983, a team inspector identified concerns regarding
an event that occurred on December 3, 1987. See Section 8 for
details of the event. Specifically, the team inspector questioned
whether the events regarding the initiation of plant shutdown
required by the TS warranted the classification and declaration of an
Unusual Event. The resident inspectors were directed by NRC RI
management to review aspects of the licensec's emergency preparedness
activities "elating to classifying an Unusual Event, with emphasis on
,
how these pertain to the events that occurred on December 3.
On December 3,1987, MS-PS-13 (Channel 1, No. 3 steam header pressure
switch) was declared inoperable; the licensce was required to place
the inoperable channel in the tripped condition within one hour per
TS. The inoperable channel was not placed in the tripped cendition
within the one hour time frame. At this time, the licensee ertered
TS 3.0.3, which requires that the plant be placed in at least hot
standby within one hour. Five minutes into plant shutdown with the ,
plant at 93% of rated power, the channel was placed in the tripped
condition and the plant was returned to full power operation.
The inspectors reviewed the sequence of events that occurred on
December 3, 1987 with respect to how the licensee determined the
classification of the event and management involvement in the class-
ification process. Interviews were conducted with the involved shift
supervisor, licensee management and YNSD emergency preparedness (EP)
personnel. ,
i
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When the licensee declared the pressure switch inoperable and entered
the TS action statement to place the switch in the tripped condition
within one hour, several actions occurred simultaneously. In the
control room, the shift supervisor and plant operations manager
reviewed OP-3300, Classification of Emergencies, to determine if
conditions warranted the classification of an Unusual Event. This
action occurred within ten minutes of the channel being determined
inoperable. As a result, the determination was made that an unusual
event did not exist at that time. Concurrently, a TCR (No.87-442)
was initiated by the I&C department to place the channel in the
tripped condition. Since this TCR affected an operating system,
plant procedure AP-0018 required a plant operations review committee
(PORC) review of the TCR. At the beginning of the PORC meetir.g. it
was recognized that due to the time required to obtain PORC concurr-
ence on the TCR, it would not be possible to place the inoperable
channel in the tripped condition within the required one hour and
that TS 3.0.1 would apply. Licensee management and supervisory ,
personnel were aware at that time that a plant shutdown would be {
initiated and collectively agreed that this condition did not fit any j
i
of the categories for an Unusual Event, based on the fact that it
would be only a matter of a few minutes past the one hour beferit the
jumper was installed and the channel placed in the tripped condition.
Procedure OP-3300, Rev. 5 Classification of Emergencies, specifies
under Event No. 22, General Events, that an Unusual Event is "Other
plant conditions exist that warrant increased awareness on the part
of the plant operating staff or State and/or local off-site author-
ities or require plant shutdown under Technical Specification
requirements or involve other .han a normal controlled shutdown. The
EAL (Emergency Action Level) is shift supervisor's opinion. The
licensee discussed this event at PORC, with the knowledge that plant
shutdown would be initiated as required by the TS, Plant and senior
corporate management were aware of the determination that an unusual
event was not considered to exist in this situation. This deter-
mination reflected the licensee's management philosophy concerning .
Event No. 22. The licensee considers Event No. 22 to me n that when
'
the licensee makes the actual determination that a plant shutdown is
equired, at that point, an Unusual Event will be declared. The
licensee does not consider Event No. 22 to mean the initiation of a
plant shutdown when it is apparent the problem will be fixed in a
timely manner. Licensee personnel discussed this event at a PORC
meeting, and the PORC was in agreement that the plant was not in a
condition that would result in an actual plant shutdown.
_ _ _ _ _ __ _
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21
.
The licensee considers Event ho. 22 to be a general statement, that
when, in the shift supervisor's opinion, en event is occurring that
indicates a potential degradation of the level of the safety of the
plant, the shif t supervisor is responsible to call an Unusual _ Event.
The inspector noted that, although this event illustrates manags-
ment's philosophy regarding event No. 22, this policy is not a
written policy to provide uniform guidance to all plant operating
personnel.
The shift supervisor has the responsibility to consider all the EAL's
and make the determination. Discussions with the shift supervisor
indicate that when the licensee declared the pressure swit.n inoper-
able and entered the TS action statement to place the switch in the
tripped condition, the licensee reviewed OP-3300 and determined at
that time an unusual Event classification did not apply. At the time
the licensee entered this TS action statemer.t, this determination by
the licensee was correct. None of the EAL's applied at this time.
The Shift Supervisor was not aware at that time that the channel
would not be tripped in a timely manner. However, as the situation
began to change, that is, when it became apparent that the channe ?
would not be tripped in the required one hour and that the licensee
would enter TS 3.0.3 to commence plant shutdown, the shift supervisor
did not consciously go back and re-evaluate the classification of the
event.
Discussions with the shift supervisor, however, indicated that even
if he had gone back to OP-3300 and re-evaluated the events requiring
an Unusual Event, he concurs that none of the events applied in this
situation. This is consistent with the licensee's management philos-
ophy on the event classification. The inspector is concerned, how-
ever, that as the event evolved, the shif t supervisor did not con-
sciously go back and re-evaluate the event as to classification.
Although not applicable to this situation, the inspector is concerned
that in the future an event classification may not be recognized as
'
the situation changes. A policy to go back and re-assess the event
and emergency action levels periodically and as the event develops /
changes may aid in properly and prcmptly classifying the event. The
inspector noted that this failure to re-assess the event as the event
changed (i.e., entered TS 3.0.3 to initiate plant shutdown) may have
contributsd to the late notification of the NRC of a 10 CFR 50.72
reportable event (See Section 5).
When the team inspection identified concerns regaraing this event,
licensee management was appraised of the NRC's concerns on January
13, 1988. During this meeting, the inspector noted that licensee
station management thought that the NRC concerns and commentary
pertained to Event No. 6, Plant Mode Reductions in accordance with
the Technical Specifications. Af ter the NRC focused the licensee's
attention on Event No. 22, they indicated that this event, in their
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22
9
opinion, did not apply to the conditions that occurred on
December 3, 1987. However, until further investigation could be per-
formed and a determination made by NRC: Region I (RI), the licensee
agreed to issue instructions to the plant operating staff defining
more specifically how Event No. 22 should be used for classification,
as defined by the NRC. The licensee issued a Special Order (No.
88-06) to the plant operating staff on January 13, 1988, stating that
the present interpretation (of Event No. 22) dictates that once the'
TS Action Statement grace period to repair, replace or otherwise
restore the component to operable status expires and a plant shutdown
is roquired, an Unusual Event must be declared.
The inspectors also reviewed NUREG 0654, Criteria for Preparation and
Evaluation of Radiological Emergency Response Plans and Preparedness
in Support of Nuclear Power Plants, and NUREG 0818, Emergency Action
Levels for Light Water Reactors and compared these to the licensee's
emergency action levels (EAL's) in order to gain an historical per-
spective on the licensee's development of the EAL's. The EAL's in
the licensee's emergency plan were developed directly from NUREG 0654
with the use of the additional guidance provided in NUREG 0818. This
is consistent in Event No. 22 of the licensee's emergency plan.
During the review of this event, the inspector discussed licensee and
NRC concerns regarding possible ambiguities with the EA L' s . In a
previous emergency preparedness inspection conducted by NRC:RI, an
open item was identified (87-03-04) that the EAL's should be evalu-
ated for inconsistencies and compared to the guidance of NUREG 0654.
The licensee has scheduled additional reviews to evaluate the effec-
tiveness of the EAL's in areas such as quantification of initiating
conditions. The licensee recognizes the need to improve the EAL's
and is considering forming a task force to accomplish this action.
The YNSD EP personnel are also involved in clarifying the EAL's. The
inspector noted that the licensee appears to be pursuing clarifica-
tion of the EAL's. This item will be followed during routine
emergency preparedness inspections.
Also reviewed was the licensee's training as it related to the EAL's
and classification of events. Discussions were held with training
personnel as to training methods; the lesson plans were reviewed as
were attendance sheets. Eight hours of classroom training on the
emergency plan were provided to on-shif t personnel as recently as
September / October 1987. The lesson plan appears to be comprehensive;
training for on-shif t personnel was focused on how to use the EAL's
to classity an event. The inspector had no further questions in this
area.
l
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!
l
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23
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During the NRC's review of all aspects of the December 3,1987 event,
the inspectors noted that the licensee's TS 3.0.3 is currently not
consistent with the wording in the Standard Technical Specifications
(STS)'and Generic Letter 87-09. This inconsistency makes the licen-
see's TS 3.0.3 overly restrictive, such tnet strict compliance could
~
result in undesired rapid reactor shutdowns to Hot Standby. The
licensee's TS states that in the event a Limiting Condition for
Operation and/or associated Action Statement requirements cannot be
satisfied because of circumstances in excess of those addressed in
the specification, the facility shall be placed in at least Hot
Standby within one hour. Generic Letter 87-09 specifies for STS that
within one hour action shall be initiated to place the facility, as
applicable, in at least hot standby within the next six hours. The
licensee recognizes the limitations of their TS 3.0.3 and is con-
sidering a license amendment to reflect the current NRC endorsed STS
wording.
The events of December 3, 1987 and the licensee's policies concerning
the classification of events were discussed with NRC:R1 management
and emergency preparedness supervision and specialists. After review
of the events, NhC:RI concurred with the licensee's event classifica-
tion as it pertained to the events that occurred that day. The
inspector had no further questions of the licensee on this item.
'
No violations or deviations were identified in the review of this
event.
c. Nuclear Alert System Operability
During the inspection period, the inspector noted a number of control
room log entries that pertained to problems with the Nuclear Alert
System (NAS). The NAS is described in Section 7.0, Communicatioi.t,
in the licensee's Emergency Plan, which specifies that it originates
in the control room and is a microwave system used to notify the
State Police of Vermont and Massachusetts of any emergency. This
system is a secure (dedicated) communications arrangement and is
installed for the primary purpose of initial notification of the
states, via State Police, by the plant operators. This system is
manned on a 24-hour basis on both ends, the plant and the State
Police dispatching points. The backup to this system is the regular
telephone system. The ultimate arrangement for the activation of the
public notification system would stem from this 24-hour link to the
State Police.
The inspector reviewed the testing performed on the NAS by the licen-
see to insure availability. Licensee security procedure DP-0427,
Rev.13, Security Communications Systems, describes the testing per-
formed on a daily and monthly basis, with a requirement to document
the daily results in the Daily Security Activity Log (a safeguards
information document) and the monthly results on form OPF-0427.2.
Additional information about the use, testing, and actions required
,
- - - - -
- , ,-r- - . - - . , e -- - - - , , n a a
__ _ _ _ _ _ _ _ _ _ _
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24
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of licensee personnel as a response to loss / degradation of the NAS
are contained in OP-Memo 20-4, Nuclear Alert Telephone. According to
information supplied by a licensee representative, there were 34
different occasions between October 28, 1987 and January 14, 1988
that the licensee was unable to contact the Massachusetts State
Police (MSP) using the NAS. Since the licensee attempts to contact
the MSP three times a day, many of the occasions occurred in the same
- day. The inspector noted that the licensee is testing the system far
more frequently that their commitment in the emergency plan, which
stipulates that it is tested on a monthly basis.
1
'
As a result of reviewing the licensee's activities in this area, the
inspector was unable to obtain a clear understanding of who in the
licensee's organization is responsible for identified system defici-
encies and their resolution. Equally unclear is the licensee's pro-
cedures and practices involving how it would report NAS unavaila-
bility events in accordance with 10 CFR 50.72(b)(1)(V). Inspector
concerns in this area were communicated to NRC:RI specialist inspec-
tors in the emergency planning area. It was concluded that the
inspector's observations in this area warranted further followup
during -a future routine specialist inspection. Accordingly, the
acceptability of licensee's oversight of the NAS and their 10 CFR '
50.72 reportability practices remains an Unresolved Item (50-29/
87-16-02). ,
10. Organization and Administration Changes
! During the inspection period, the inspector reviewed changes to the licen-
l see's staff or organization structure as described below. The review
included: verification that licensee's onsite organization structure is as
described in the facility TS, and verification that personnel qualifica-
tion levels are in conformance with ANSI N18.1-1971, as described in TS Section 6.3.1.
--
As a result of the retirement of the plant maintenance manager, the
licensee announced the promotion of the maintenance support super-
visor to fill this position effective December 1,1987. The main-
tenance support supervisor position was filled by the promotion and
transfer to the plant of a YNSD engineer that became effective on
January 1,1988.
--
On December 7, 1987, the licensee filled the position of the emerg-
ency planning coordinator in the technical services department. Al-
though this position has been vacant since September 11, 1987, the '
licensee had assigned a YNSD emergency planning engineer to assume
the position's duties.
.
f
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On January 5,1988, the licensee submitted Proposed Change No. 203,
Supplement 1 (FYR 87-119) to reflect, in part, restructuring of the
site security organization. This new organization has a security
manager that reports to the administrative services manager. The
licensee indicated that the new organization reflects a generally
elevated concern for security by plant management. On January 10,
1988, the licensee filled the position of . the security manager.
--
On January 5, 1988, the licensee informed the inspector that
Mr. Louis H. Heider, Vice President and Manager of Operations, was
planning to retire on January 31, 1988. The licensee informed the
NRC on January 20, 1987, that the responsibilities of this position
will be performed on a temporary basis by Mr. J. DeVincentis, Vice
President-Projects.
l No violations or deviations were identified in the review of this program
area.
11. Licensee Event Reports
l Licensee Event Reports (LERs) submitted to NRC:RI were reviewed to verify
l that the details were clearly reported, including accuracy of the descrip-
l tion of cause and adequacy of corrective action. The inspector determined
l whether further information was required from the licensee, whether
generic implications were indicated and whether the event warranted onsite
followup.
LER No. Event Date Report Date Subject
50/29/87-14 11/21/87 12/31/87 Plant Shutdown Because of NRV
Low Nitrogen Pressure Indica-
tion
50-29/87-15 12/03/87 12/31/87 Main Steam Line Pressure
Switches Inoperable
a. LER 50-29/87-14: The details of this event are contained in Section
6 of this Inspection Report. The inspector had no further questions
concerning this LER.
b. LER 50-29/87-15: The details of this event are contained in Section
8 of this Inspection report. With respect to the adequacy of the
l
LER, the inspector noted the following:
,
--
the licensee did not reference possible similiar past events
i
that have occurred with respect to these pressure switches.
--
the LER states that additional evaluations are being conducted
to determine if replacement of the switches with another type
is necessary and/or if a modification to the sensing lines from
the main steam lines to the switches is necessary. The inspec-
tor notes that tne licensee should inform the NRC of the results
of these evaluations by a supplement to this LER.
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26
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--
the licensee did not state what corrective actions will be taken
to preclude exceeding Technical Specification action statements
in the future.
The inspector held a discussion with the technical services manager
pertaining to the above items. He indicated that the LER would be
resubmitted to address the NRC concerns. Other than the deficiency
identified above, no violations or deviations were identified in the
review of this program area.
12. Cold Weather Preparations
The inspector reviewed implementation of the licensee's program for cold
weather protective measures to determine whether the licensee had
1) inspected systems susceptible to f reezing to ensure the presence and
operability of heat tracing, space heaters and/or insulation; 2) set the ,
thermostats properly; and 3) energized the heat tracing and space heating
circuits.
In preparing the plant for cold weather operation, the Operations Depart-
ment implements OP-2115, Rev. 13, Warm & Cold Weather Operation. The
inspector determined that this procedure was completed by the licensee on
November 18, 1987. To ensure the operability of the plant's heat tracing
systems, the Maintenance Department implements OP-5751, Rev. 9, Heat
Tracing Inspections, which was verified by the inspector to be completed
on November 20, 1987. A review of OP-2115 showed no discrepancies
existed. However, OP-2115, was started on September 22, 1987, but not
completed until November _18,1987. A review of past completion dates for
, these two procedures showed that OP-5751 is consistently completed by the
end of October. This is due to the fact that OP-5751 is tracked by the
Maintenance Department on an annual computerized printout and also on a
weekly computerized printout, to ensure timely completion. Contrary to
,
this, OP-2115 was shown to be historically completed as late as the second
-
week in December. This procedure is not on any surveillance tracking
program to flag the Operations Department that the procedure should be
completed. Placing OP-2115 on a surveillance tracking program would
ensure that prepartions for cold weather operation are performed prior to
freezing weather.
Throughout the cold weather period, the auxiliary operators for the pri-
mary and secondary sides of the plant perform routine shift checks on the
status of the heat trace and heating of systems and structures. The
inspector reviewed the PA0 and SA0 Log Sheets and verified these routine
activities were being accomplished. The licensee's actions associated
with cold weather preparations were determined the be consistent with
commitments made in its response to IE Bulletin No. 79-24, Frozen Lines
(WYR 79-123, October 10,1979).
-- - .. ,. _ _ - - - . - _ - = - - ..-
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>
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27
o
Additionally, the inspector reviewed plant' reporting records, determined
that events involving frozen systems or components are infrequent and,
when . they do occur, result in corrective action to preclude recurrence.
One event involving cold weather effects on components was reported in LER
87-02, involving the inoperability of the Safety Injection Building Vent
Fans PRV-1 and PRV-2. Follow-up of the LER and licensee corrective
actions was documented by the inspector in Inspection Reports 50-29/86-19
and 50-29/87-02.
Follow-up to freezing events was also reviewed and documented in Inspec-
tion Report 50-29/88-02.
No violations or deviations were identified in the review of this program
area.
13. Nuclear Safety Audit and Review Committee Activities
The Nuclear Safety Audit and Review Committee (NSARC) meeting minutes for 1
both special and regularly scheduled meetings were reviewed for the period
of March 22, 1985 to March 19, 1987. The Charter for the NSARC was also
reviewed. These were reviewed to verify the following: :
--
The Charter and policies governing NSARC a-tivites were consistent [
with the Technical Specification and other Ngulatory requirements; ,.
--
The NSARC membership was as required by the Technical Specifications;
--
NSARC meetings were convened at the required frequency;
I --
Committee members who participated in reviews constituted a quorum; I
i
--
The NSARC reviewed all matters within the scope of responsibility as ,
defined by the Technical Specifications; and,
--
Audits required to be performed under the cognizance of the NSARC
were being performed as required by the Technical Specifications.
The inspector attended the regularly scheduled meeting of the NSARC on
November 18, 1987. The inspector verified that the composition, duties
and responsibilities of the NSARC are as stated in the Technical Specifi-
cations and that the NSARC routinely reviewed those matters within the
scope of its responsibilities. Briefings were presented to the Committee
members on past problems in the security and training areas, how the
licensee hcs addressed these problems, and the license's plans to upgrade
these areas.
No violations or deviations were identified in the review of this program
area.
_ _ _ _ - - _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ ___ _ _ ____-_ _ _ _ . - _____ __ _ . __-_.
28
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14. On-Site Review Committee Activities
The inspectors attended regularly scheduled meetings of the Yankee NPS
- m-site review committee (PORC) on December 8,1987 and January 5,1988
to ascertain that the provisions of T.S. 6.5.1 were met.
No violations or deviations were identified in the review of this program
area.
15. Licensee Response to NRC Bulletins
The licensee's response to the following NRC Bulletin was reviewed. This
review included: adequacy of the response to bulletin requirements, time-
liness of the response, completion of identified corrective actions and
timeliness of completion.
NRC Compliance Bulletin No. 87-02: Fastener Testing to Determine Conform-
ance with Applicable Material Specifications, dated November 6, 1987.
This bulletin required the licensee to provide information concerning
their receipt inspection and internal control procedures for fasteners;
and the results of independent testing of fasteners. The licensee
selected ten non-safety related fasteners, ten safety-related fasteners,
and twenty safety-related nuts used with the aforementioned fasteners.,
The inspector participated in the licensee's selection process and ver-
ified that this process selected a representative sample of fasteners used :
in the plant and was responsive to the bulletin requirements. Verifica-
tion was provided by the inspector that the licensee had properly tagged
the samples so as to assure traceability of the sample to the sample data
i sheet. When the licensee questioned particular aspects of the bulletin
requirements, the inspector provided resolution by discussing the issue
with cognizant NRC:RI specialist inspectors.
The inspector reviewed licensee letter FYR 88-06 to the NRC, dated
! January 11, 1988. This letter described the licensee's administrative
l
'
controls established for fastener receipt inspection storage and controls;
the sample selection process, the chemical and mechanical testing per-
formed on the selected samples; and the results of the testing.
According to the licensee's report, one non-nuclear safety fastener and
I
one safety-related nut did not meet the material specification tolerances.
,
An evaluation of the safety significance for the out-of-tolerance fasten-
'
ers was described. The licensee has placed the nonconforming safety-
related nut material on hold until additional testing of nuts from the
. same heat number as the out-of-tolerance nut can be performed. By
March 11, 1988 the licensee has committed to report the results of the
,
-- . - ~ .
r -- , -n.= .- - - ----. -,.e~, ,- , ,- , - - - . - , - n-,
, --- -
_
29
.
additional testing, including the sa fety significance and application
limits. . In addition, to determine the extent of nonconforming fasteners
from the vendor, further ' sampling .and testing are to be conducted, with
results reported to the NRC by March 11, 1988. At that time, the licensee
will also report procedure revisions for procurement, receipt inspection,
and testing.
The inspector had no further questions of the licensee on this matter at
this time. This bulletin remains open pending the licensee's submission ,
of additional information enumerated above.
~
No violations or deviations were identified in the review of this program
area.
16. Management Meetings
During the inspection period, the following management meetings were con-
ducted or attended by the inspector as noted below: ,
--
The inspector attended an exit meeting held on January 15, 1988 by an
operationally-oriented, performance-based team inspection at the
conclusion of Inspection 50-29/88-02 to review activities in the area ;
of operations, maintenance, surveillence, modifications and l
engineering support.
.
--
On January 13, 1988, the NRC Regior, I Reactor projects section chief
for Yankee Nuclear Power Station (YNPS) met separately with the YAEC
licensing engineer for YNPS and with the technical assistant to the
vice president and manager of operations. The meetings included:
.
'
(1) general discussions of acceptable methods for implementing the
NRC rules for correspondence handling, pursuant to 10 CFR 50.4 effec-
tive January 5,1987, (2) current points of contact with the NRC
Region I office for administrative, schedular and technical matters
including event communications with the Commonwealth of Massachusetts,
, and (3) current licensee practices both for internal tracking and for i
informing the NRC staff of the status and schedule for licensing
~
actions, including proposed technical specification changes and
Safety Issues Management Systems (SIMS) items.
--
At periodic intervals during the course of the inspection period,
'
meetings were held with senior facility management to discuss the
inspection secpe and preliminary findings of the resident inspectors.
L
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