ML20155B944

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Ack Receipt of Informing NRC of Steps Taken to Correct Violations Noted in Insp Rept 50-271/98-80 on 980518-0605
ML20155B944
Person / Time
Site: Vermont Yankee File:NorthStar Vermont Yankee icon.png
Issue date: 10/26/1998
From: Wiggins J
NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION I)
To: Maret G
VERMONT YANKEE NUCLEAR POWER CORP.
References
50-271-98-80, EA-98-453, EA-98-454, NUDOCS 9811020014
Download: ML20155B944 (3)


See also: IR 05000271/1998080

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October 26, 1998

EAs 98 453,98-454

Mr. Gregory A. Maret

Director of Operations

Vermont Yankee Nuclear Power Corporation

185 Old Ferry Road

Brattleboro, Vermont 05301

SUBJECT:

NRC INTEGRATED INSPECTION REPORT 50-271/98-80

REPLY TO LICENSEE RESPONSE TO NOTICE OF VIOLATION

Dear Mr. Maret:

This letter refers to your August 17,1998, correspondence, in response to our letter,

dated July 16,1998, regarding the Vermont Yankee nuclear power plant. Five violations

were identified in the referenced inspection report and we have reviewed your response to

those violations. We note that you have contested two of the five violations and have

provided information to support that conclusion. We also have reviewed your assessment

and corrective actions for the three violations that are not contested. The identified causes

and proposed corrective actions appear to be appropriate for the violations. The

effectiveness of those corrective actions will be reviewed in a future inspection.

Regarding the 10 CFR 50.59 violation (Violation 1), we agree with your position that the

radiological dose consequences subject to 10 CFR 50.59 are those that could adversely

impact the health and safety of the public. The referenced enforcement action at Centerior ,

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Service Company (EA 97-430) is a relevant precedent for this conclusion. On that basis,

we withdraw the violation. We also accept the corrective action that you took to ensure

that the postulated committed dose to the operators while performing Control Room HVAC

activities from a post-LOCA condition were properly bounded by appropriate post-LOCA

dose analysis. However, the NRC is still concerned that your compensatory measures

were not fully evaluated when you conducted the safety evaluation for the change in

question. This concern does not rise to a level that would normally result in enforcement.

Regarding the 10 CFR 50.73 violation (Violation 3), we agree with your position that the

identified condition regarding the control room ventilation system was not reportable,

based upon the additional information provided in your response. 'This violation is therefore

withdrawn.

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G. Maret

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Thank you for informing us of the corrective and preventive actions documented in your

letter. These actions will be examined during a future inspection of your licensed program.

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Your cooperation with us is appreciated.

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Sincerely,

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ORIGINAL SIGNED BY:

James T. Wiggins, Director

Division of Reactor Safety

Docket No. 50 271

cc w/o cy of Licensee Response Letter:

R. McCullough, Operating Experience Coordinator - Vermont Yankee

G. Sen, Licensing Manager, Vermont Yankee Nuclear Power Corporation

cc w/cy of Licensee Response Letter:

D. Rapaport, Director, Vermont Public Interest Research Group, Inc.

D. Tefft, Administrator, Bureau of Radiological Health, State of New Hampshire

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Chief, Safety Unit, Office of the Attorney General, Commonwealth of Massachusetts

D. Lewis, Esquire

G. Bisbee, Esquire

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J. Block, Esquire

T. Rapone, Massachusetts Executive Office of Public Safety

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D. Katz, Citizens Awareness Network (CAN)

M. Daley, New England Coalition on Nuclear Pollution, Inc. (NECNP)

State of New Hampshire, SLO Designee

State of Vermont, SLO Designee

Commonwealth of Massachusetts, SLO Designee

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Distribution w/ encl:

Region I Docket Room (with concurrences)

PUBLIC

Nuclear Safety Information Center (NSIC)

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NRC Resident inspector

H. Miller, RA/W. Axelson, DRA

D. Screnci, PAO

C. Cowgill, DRP

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R. Summers, DRP

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C. O'Daniell, DRP

W. Ruland, DRS

G. Morris, DRS

C. Miskey, DRS

OE (2)

R. Zimmerman, ADPR, NRR

F. Davis, OGC

A. Nicosia, OGC

J. Lieberman, OE (OEMAIL)

D. Holody, EO, RI

T. Walker, ORA, RI

L. Manning, ORA, RI

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B. McCabe, OEDO

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C. Thomas, NRR (COT)

R. Croteau, NRR

R. Correia, NRR

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Inspection Program Branch, NRR (IPAS)

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J. Wiggins, DRS

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D. Lew, DRS

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DOCUMENT NAME: G:\\EEB\\MORRISWY9880RL.DRF

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VERMONT YANKEE

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NUCLEAR POWER CORPORATION

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185 Old Ferry Road, Brattleboro, VT 05301 7002

(802) 257-5271

August 17,1998

BVY 98123

U.S. Nuclear Regulatory Commission

ATrN: Document Control Desk

Washington, D.C. 20555

References:

(a)

Letter, USNRC to VYNPC,"NRC Special Inspection Report 50-271/98-

80, Notice of Violation and Exercise of Enforcement Discretion," NVY

98-99, dated July 16,1998.

(b)

Letter, VYNPC to USNRC," Vermont Yankee Response to NRC Generic Letter 88-14," BVY 89-17, dated February 16,1989.

(c)

Letter, USNRC to VYNPC, " Instrument Air Supply Problems Affecting

Safety-Related Equipment (Generic Letter 88-14)f NVY 88-177, dated

August 8,1988.

(d)

Letter, VYNPC to USNRC," Response to Request for Additional

Information Regarding NUREG-0737 Habitability Requirements for the

Vermont Yankee Nuclear Power Station," BVY 94-02, dated January 10,

1994.

Subject:

Vermont Yankee Nuclear Power Station

License No. DPR-28 (Docket No. 50-271)

Reply to a Notice of Violation - NRC Inspection Report 50-271/98-80

This letter is written in response to Reference (a), which documents the findings of an inspection

conducted from May 18 to June 5,1998. The inspection identified five violations of regulatory

requirements. Our response to the violations is provided below.

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VIOLATION 1

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10 CFR 50.59, Changes, tests and experiments, specifies that the licem ee may make changes

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to its facility and procedures as described in the safety analysis report and conduct tests or

experiments not described in the safety analysis report without prior Commission approval,

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provided the change does not involve a change in the technical specifications or an

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unreviewed safety question (USQ); and requires the licensee to maintain records of changes

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in the facility, including written safety evaluations providing the bases for the determination

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that the change does not involve an USQ.

Contrary to the above,in 1996, the safety evaluation performed by the licensee to support a

temporary modification to the Main Control Room IIVAC system, as described in section

10.12 of the FSAR, did not provide a sufficient basis to determine that the change did not

involve an USQ. Specifically, the licensee discovered the Control Room IIVAC would not

function as expected on the loss of nonsafety-relattd instrument air. A temporary

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. modification (TM 96 043) was lastalled to allow for operation of the chilled water valves

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and dampers during a loss of lastrument air and procedures were revised to help mitigate

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the degraded condition. The safety evaluation for the temporary modification failed to

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address the impact of twquired operator actions.

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This is a Severity Level IV Violation (Supplement I).

RESPONSE:

Basis for Discuting the Violation:

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Vermont Yankee (VY) does not concur that a violation of 10CFR50.59 requirements exists, for the

following reasons, and requests that the staff reconsider this portion of the Notice of Violation.

The Notice of Violation cites a failure to " address the impact of the required operator actions"

arising from the compensatory measures established by the temporary modification. The only

discussion of risk involving operator actions in the inspection report occurs in Section E2.4.b of

the Report Details, which states:

"Because the manual actions required by the operators would expose them to higher

radiation levels than if they would remain in the control room, the consequences of an

accident may be increased."

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And,in a later paragraph:

"Then: fore, there was not a sufficient basis to conclude that the . :ange did not increase

the consequences to the control room operator."

Based on the above, VY interprets the NRC's concem as focusing on the dose consequences to

the control room operators when performing the compensatory actions, and believes that the

regulatory basis for the violation is not substantiated.

The radiological dose consequences subject to regulation under 10CFR50.59 are those that could

adversely impact the health and safety of the public as the result of a design basis accident

(DBA). An increase in radiation exposure to the on-site workers performing the short-duration

compensatory actions discussed in this inspection report will not contribute to an increase in the

consequences of a DBA to the public health and safety.

An apparent precedent for the above basis exists in previous NRC correspondence with another

licensee. The NRC Office of Enforcement has acknowledged the validity of this conclusion in a

letter to Centerior Service Company (EA 97-430) dated April 9,1998, in which it was stated,

under "NRC Evaluation of Licensee's Reason 3" in the Appendix:

"The NRC determined that an increase in dose consequences, as used in 10CFR50.59,

refers to the consequences of a design basis accident, and not to increased radiation dose

to plant staff from in-plant recovery actions. NRC agrees that the change in operator

actions did not involve a potential increase in consequences of a d sign basis accident."

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, BVY 98123 / Page 3 cf14

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ne projected maximum dose for the activity evaluated in EA 97-430 was 4.4 REM for a single

activity spanning approximately 20 minutes; VY projects a worst-case whole-body gamma dose

(see below) of less than 3 REM for a similar one-time, 30-minute-long activity. The dose

consequences of VY's compensatory measures are less severe than those considered by the NRC

in their Centerior evaluation. Derefore, VY does not agree that a violation of 10CFR50.59

requirements occurred since the consequences of an accident would not be increased.

Corrective Steos hat Have Been Taken and the Results Achieved:

Although VY contests this violation, we maintain a strong commitment to ALARA principles in

assessing and managing the dose consequences of on-site work activities. Our initial safety

evaluation for the temporary modification includes a qualitative judgement that ". . . additional

action for initiating control room HVAC would be bounded by the conservative evaluations for

control room operator dose," but discussion with the NRC inspectors suggested the need for a

more quantitative assessment. Consequently, we completed a formal cr.gineering analysis to

determine whether the post LOCA control room dose analysis documented in existing

calculations effectively bounds the radiological conditions expected to exist during performance

of the compensatory action. He results of the evaluation are summarized below.

He radiological dose consequences of taking manual action to establish control room cooling

post-LOCA have been evaluated and found to be enveloped by the post-LOCA control room dose

analysis documented in current calculations. He dose in the shielded Technical Support Center

is projected to be a maximum of 4.7 REM,30 days, total whole body gamma. Engineering

analysis has calculated a worst case whole body gamma dose of less than 3 REM for a one-time

30 minute activity to open the selected Control Room (CR) HVAC fan isolation damper (s);

therefore, the activity is considered to be within the analyzed envelope.

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Corrective Steos That Will Be Taken to Avoid Further Violations:

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VY believes that no additional corrective actions are necessary at this time.

Date When Full Comoliance Will Be Achieved:

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Based on the above, Vermont Yankee believes that we were not in violation of the requiremeEls

of 10CFR50.59 relative to this event.

VIOLATION 2

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10 CFR Part 50 Appendix B, Criterion XVI, Corrective Action, states that measures shall

be established to assure that conditions adverse to quality, such as failures, malfunctions,

deficiencies, deviations, defective material and equipment, and nonconformances are

promptly identified and corrected. In the case of significant conditions adverse to quality,

the measures shall assure that the cause of the condition is determined and corrective action

taken to preclude repetition.

Vermont Yankee (VY) administrative procedure AP 0009, Revision 3, Event Report,

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describes the licensee's process used to assess events resulting in adverse conditions,

problems or deficiencies affecting VY to initiate the appropriate level of corrective action.

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' BVY 98123 / Page 4 of 14

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Section C states," Operability concerns resulting from non-conforming platt equipment are

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assessed using the BMO [ Basis for Malataining Operation] process to determine the impact

of continued operation with potentially degraded equipment." Section J requires that the

event report shall have a list of all root and contributing causes.

Contrary to the above, between 1989 and June 5,1998, Vermont tankee failed to identify

and adequately correct a condition advene to quality,in that the control room ventilation

system was subject to a failure on loss of nonsafety instrument air. VY did not recognize in

the evaluation performed in response to Generic Letter 88-14, " Instrument Air Supply

Problems Affecting Safety-Related Equipment," that the control room ventilation system

dampen and chilled water valves were subject to failure on loss of nonsafety instrument air.

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The licensee identified this condition on October 18, 1996; however, the root cause

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evaluation for the condition was not comprehensive in that a review for similar failures wns

not conducted. Additionally, VY failed to perform the required operability determination

when the condition was identified in 1996.

This is a Severity Level IV Violation (Supplement I).

RESPONSE:

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Reason For the Violation:

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Vermont Yankee does not contest this violation. Although each element of the violation affects

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the same set of control room ventilation (CRV) dampers and the same valve, the violation is

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separated into three dis.inct issues since each issue is the result of a differ et set of circumstances

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or actions. For the purpose of this response, the violation described a > Ae is comprised of the

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following three independent issues:

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1. VY failed to recognize CRV problems imm:diately following issuance of GL 88-14;

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Upon recognition in 1996, VY failed to perform a comprehensive root cause evaluation, and;

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3. Upon recognition in 1996, VY failed to document the operability assessment via a BMO,

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The first issue was caused by lack of appropriate detail in design-basis drawings used for

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technical review of GL 88-14. The second issue was caused by too narrow a scope of rcTlew

established by the Root Cause Investigator performing the investigation of this event. He third

issue was caused by a lack of recognition that the discrepancy between the configuration

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installed by the TM and the FSAR description of the system constituted a potentially degraded

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condition requiring a BMO as stipulated in AP 0009.

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%e following is a detailed description of the reason for each aspect of the violation.

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1.

During a 1989 review of the instrument air supply to safety-related equipment, as

requested by GL 8814, VY failed to discover that the safety class 3 (SC-3) SCW-46A

valve and the SAC-1 A/B dampers would fail in such a way that cooling to the control

room would be lost on a loss ofinstrument air. Although VY established a project team

to perfonn a detailed design and operations verification (per NUREG 1275, Vol. 2) of the

instrument air system in accordance with GL 88-14, the impact ;n CR IIVAC eg'ipment

was missed.

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VERMONT YANKEE NUCLEAR POWER CORPORATION

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The cause of this event was a lack of detail in the applicable Piping and instrument

Drawings (P& ids), which failed to show the air lines and controls associated with the

affected equipment. This lack of detail misled the project team during the review of the

CR HVAC system by failing to identify the air-operated portions of the system. The

drawing containing the CR HVAC system was reviewed and documentation of the

review exists. However, the team failed to identify the SCW-46A valve and the SAC-

l A/B dampers as air-operated components performing a safety-related function, and as a

result did not recognize at the time of the review that these components would fail in such

a way that cooling to the control room would be lost on a loss of instrument air, VY

considers this to be an isolated incident that is not indicative of a generic weakness in our

GL 88-14 review.

2.

During investigation of a 1996 Event Report and a subsequent IST program review, Vi

discovered that the SCW-46A valve and the SAC-l A/B dampers would fail in such a way

that cooling to the control room would be lost on a loss of innument air. Upon this

discovery, a new Event Report was generated and a Root Lause Investigator was

assigned to perform the root cause analysis of the event. The Root Cause Investigator

had received training consistent with the level of training required for a Root Cause

Investigator at the time of this investigation, but had not regularly performed such

investigations following the training.

As part of this investigation, the Investigator (a design engineer who had participated m a

recent major modification to the turbine building HVAC system) focused exclusively on

the CR HVAC system and all other HVAC systems without broadening the scope of the

investigation to include other systems with similar vulnerability, and without realizing the

existence of GL 88-14. 'Ihe Investigator narrowed the scope of the investigation

primarily because of the belief that the subject valve and dampers failed precisely as they

had been designed to fail on a loss of instrument air. A plant modification had been

performed in 1973 to intentionally change the " fail" positions of the subject equipment

on a loss ofinstrument air to prevent short cycling of the CR HVAC system. This was

considered a deficiency in application of design principles by the Investigator; thus the

review for similar problems focused on the presence of similar design deficiencies in the

remainder of the HVAC systems, rather than on unanticipated losses of any safety related

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equipment following loss of nonsafety-related instrument air.

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3.

Following recognition that the SCW-46A valve and the SAC-l AT dampers would fail in

such a way that cooling to the control room would be lost on a less ofinstrument air, an

Event Report (ER) was generated and a screening of the event was commenced. The

department manager presenting the ER recommended during the event screening that a

30-day BMO be generated, Subsequent to the event report screening, plant management

decided that a Temporary Modification (TM) would be installed to return the CR HVAC

system to its intended design configuration.

This decision, while it effectively

compensated for the degraded condition by enabling the uninterrupted safety function of

the CR HVAC, did not fully correct it in that the dampers could no longer be operated

from within the control room as stated in FSAR Section 10.12.3.3. Also, although the

BMO recommendation was superseded, the ER was not revised to remove it since the

screening process in effect at that time had no provisions (as it does now) for re-screening

ER changes; therefore, the decision to delete the BMO recommendation from the ER did

not benefit from a broader review by the screening committee.

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' BVY 98-123 / Pagt 6 of 14

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The TM was subjected to a 10CFR50.59(a)(2) safety evaluation, which concluded that

"the 'IM brings the control room HVAC into conformance with its intended function of

providing heating and cooling within the requirements of the FSAR." While it is

technically correct that the TM assured the continued functionality of the CR HVAC

through the use of hardware modifications and operator action, it is not literally true that

it did so "within the requirements of the FSAR," since the remote manual switch

described in FSAR Section 10.12.3.3 would not be operable during a postulated loss of

SA/CR HVAC. The original safety evaluation did not address this condition because of a

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common understanding on the part of the evaluation preparers, reviewers and approvers

that its purpose was to focus on the ultimate safety impact of the change from pneumatic

to manual actuation on the functionality of the CR HVAC system, considering that either

initiating mechanism would produce the same system response. De fact that the

discrepancy between the installed configuration and FSAR Section 10.12.3.3 constituted

a degraded condition that the TM failed to remedy was not recognized, and, therefore, the

BMO provisions of AP 0009 were not applied.

Corrective Steos That Have Been Taken and the Results Achieved:

Issue No.1:

A Temporary Modification was performed to address this problem following its discovery in

1996. This action was completed on October 18,1996.

Issue No. 2:

Since the time of the events that resulted in this violation, VY has assigned a dedicated team to

support root cause investigations on a day-to-day basis. His assures that personnel proficient in

current practices and procedures are involved in these investigations. His process enhancement

went into effect in April of 1997.

Issue No. 3:

A BMO was approved on July 9,1998 in conjunction with Revision 1 of the safety evaluation

originally performed for the TM. This BMO provides a full evaluation of the consequences of

changing from pneumatic to manual actuation as defined in NRC Information Notice 97-78.

Corrective Steps That Will Be Taken to Avoid Further Violations:

1. His installed configuration /FSAR discrepancy will be evaluated and a course of action will

be pursued that will ensure consistency between the system and the FSAR. The BMO and

TM will remain in place until that time. (Expected completion date: August 31,1999)

2. VY will reevaluate the methodology and work instructions used to verify the actions

identified in GL 88-14. (Expected completion date: December 1,1998)

3. His event will be considered for use as a lessons-learned case study in the Engineering

Support Personnel (ESP) training program, to promote more thorough evaluation of generic

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issues and better ways to assess applicability. This consideration will be made at a future

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BVY 98-123 / Page 76f 14

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scheduled ESP Curriculum Co.nmittee meeting. (Expected completion date: December 31,

1998)

4. "Ihe affected P&lD will be reviewed and a corrective update will be submitted as necessary to

include the appropriate level of detail. (Expected completion date: October 15,1998.)

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Date When Full Comoliance Will Be Achieved:

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Issue No.1:

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Full compliance was achieved on October 18, 1996, when the Tempomry Modification was

implemented.

Issue No. 2:

Full compliance was achieved in April of 1997, when process enhancements to improve the

effectiveness of causal evaluations were implemented.

Issue No. 3:

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Full compliance was achieved on July 9,1998 when the BMO was approved

VIOLATION 3

10 CFR Part 50.73(a)(2)(v)(D) states that licensee shall submit a Licensee Event Report

(LER) within 30 days for any condition that alone could have prevented the fulfillment of

the safety function of systems that art needed to mitigate the consequences of an accident.

Contrary to the above, on or before June 5,1998, the licensee failed to submit the required

report to the NRC as required above,in that on August 19,1996, VY found that the loss of

the nonsafety-related control air alone would have rendered the control room ventilation

system, which is needed to mitigate an accident, degraded and no Licensee Event Report

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was submitted to the NRC.

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This is a be,d*v Level IV Violation (Supplement I).

RESPONSE:

Basis for Discuting the Violation

Vermont Yankee (VY) does not concur that a violation of 10CFR50.73 requirements exists, for

the following reasons, and requests that the staff reconsider this portion of the Notice of

Yblation.

On August 19,1996, VY determined that a loss of the Station Air (SA) supply to the CR HVAC

system pneumatics would result in the loss of that system's cooling capability.

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BVY 98123 / Page 8 of14

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. De event was screened for reportability and was determined to be not reponable based on:

-De time available (2-4 hours) to restore SA/CR HVAC

-He emergency bus power supplies to two of the SA compressors

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On June 3,1998 the condition was again entered into the Vermont Yankee reportability determination

process as a result of questions raised during the NRC inspection. He conclusions of that evaluation

provide the basis for disputing this violation.

He Notice of Violation states that the condition constituted an " event that alone could have prevented the

fulfillment of the safety function of systems. . ." VY asserts that the sustained loss of Station Air System

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presure is not a single event. Rather, for a loss of SA to be extended for a period that would challenge

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cor. trol room equipment operation, multiple failures of plant equipment or violations of plant procedures

by the operating crew would have to occur.

He design of the VY SA System, combined with the in-p!sce plant operating procedures makes it

implausible that the air pressure could be lost for the period necessary to prevent the CR HVAC system

from fulfilling its safety function. Analysis has shown that an interruption of CR HVAC cooling will not

prevent it from performing its safety function unless that intermption exceeds at least 2 hours2.314815e-5 days <br />5.555556e-4 hours <br />3.306878e-6 weeks <br />7.61e-7 months <br /> in duration.

De VY plant design features and operating procedures affecting the availability of Station Air System

pressure includes:

Four redundant (100% capacity) air compmssors.

Two of the four SA compressors are normally powered from the safety buses.

He VY 4160Vac distribution includes two redundant emergency diesel generators.

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ne plant is equipped with an Appendix R Alternate AC power source which has been demonstrated

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to be capable of powering an eraergency bus within 10 minutes.

ne design of the 4160Vac distribution system would allow the connection of the emergency power

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supplies to either of the SA compressors.

ne VY SA is designed to withstand a seismic event without a loss of system function.

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Plant procedures require that the operating crew take steps to immediately restore SA upon the loss of

system pressure.

Re loss of SA pressure is annunciated in the main control room.

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ne heat load in the main control room is such that the restoration of CR HVAC need not distract the

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operating crew from taking appropriate immediate actions in the event of an accident.

He temperature at which control room equipment operability would be challenged is sufficiently

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high to ensure th.st the operating crew would have ample time to detect the abnormally high

temperature and sufficient time to restore the SA system prior to anj adverse effect on the conwl

room equipment.

Proper operation of the SA system is verified on a continuous basis during plant operation (VY FSAR

Section 10.14.4).

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NUREG 1022, Revision 1, Section 3.3.3 describes an acceptable method for the implementation of the

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CFR requirement established in the criteria cited in the Notice of Violation [10CFR50.73(a)(2)(v)(D)].

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. Dat portion of the NUREG states, in part:

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The level ofjudgment for reporting an event or condition under this criterion is a reasonable

expectation of preventing fulfillment of a safety function. In the discussions which follow,

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many of which are taken from the Statement of Considerations or from previous NUREG

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guidance, several different expressions such as "would have," "could have," "alone could

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have," and " reasonable doubt" are used to charrurize this standard. In the staffs view, all of

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these should be judged on the basis of a reasonable =p**ation of preventing fulfillment of

the safety function.

He NUREG indicates clearly that a level ofjudgement is to be applied to conclude what is the

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" reasonable expectation."

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NUREG section 3.3.3 also states:

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A system must operate long enough to complete its intended safety function as defined in

the safety analysis report. Reasonable operator actions to correct minor problems may be

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considered; however, heroic actions and unusually perceptive diagnoses, particularly

during stressful situations, should not be assumed.

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None of the manual actions assessed to determine the reportability of the condition approach what

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could be considered heroic, ne operating crew would be expected to respond to control room

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alarms as prescribed by plant procedures. None of the manipulations credited in the reportability

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determination would require equipment operation from outside of the control room.

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He reasonable expectation is that: 1) a fully functional SA system would shut down due to the

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advent of a plant accident, considering the effects of the design basis accident assumptions; 2)

from the time loss of SA occurs, at least two (2) hours would be available to restore the SA to

service; and 3) by implementing plant procedures, the operating crew would restore SA pressure,

thus restoring CR HVAC to operation after a brief interruption.

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In the highly unlikely event that these actions are unsuccessful in restoring SA pressure, plant

management would be available to assist the operating crew in the decision to align the 4160Vac

distribution system to supply the non-vital powered SA compressors from the emergency buses.

Again, this is a manipulation that can be performed from the main control room.

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ne assessment for reportability was consistent with clarification planned for inclusion. in

10CFR50.73(a)(2Xv) during the upcoming rulemaking. He NRC provided that clarification via

the Fedemi Register on July 23,1998 (Volume 63, Number 141). He planned change is

expected to elaborate on the wording of the current rule to state that a " condition alone" that

could have prevented the fulfillment of the safety function should be assessed in light of any

combination of events that existed while the condition was present. It was recognized that the as-

found condition of the CR HVAC pneumatics would challenge the system's ability to perform its

safety function only if a sustained loss of SA were to occur. VY concluded that such a

combination of conditions had never existed at VY. He cited clarification would not require that

additional conditions be postulated which could lead to a system being rendered incapable of

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performing its safety function. It would, rather, require only that " existing conditions" be

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evaluated. In addition to the requirements of the regulation, the VY assessment for reportability

went on to consider the possible combination of conditions that could have prevented the CR

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HVAC system from performing its safety function. VY assessed the possibility of conditions

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. occurring that might have led to a loss of SA for a period of two hours or more. Those conditions

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were determined not to be credible.

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VY has assessed the postulated conditions against the NUREG guidance to determine if a

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reasonable expectation exists that a safety function would not be fulfilled. It was concluded that

although CR HVAC would be temporarily interrupted by a loss of SA, cxpectations are that SA

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would be rapidly restored to service without the need for extraordinary actions on the part of the

operating crew. Restart of SA following a pipe rupture or loss of electrical power is an expected

operator response that is reinforced by appropriate training and evaluation of performance. These

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operator actions would support the CR HVAC System in fulfilling its safety function. We

believe, therefore, that the condition does not meet the reporting criteria of 10CFR50.73.

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Steos Hat Have Been Taken and 'Ihe Results Achieved

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As the result of questions raised during the April- May 1998 NRC inspection, the event was

reevaluated for reportability. That evaluation concluded that the original evaluation had drawn

the appropriate conclusion and the condition was not reportable pursuant to 10CFR50.73.

Corrective Steos That Will Be Taken to Avoid Further Violations:

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VY believes that no additional corrective actions are necessary at this time.

Date When Full Comoliance Will Be Achieved:

Based on the above, Vermont Yankee believes that we were not in violation of the mquirements

of 10CFRSO.73 relative to this event.

VIOLATION 4

10 CFR Part 50 Appendix B, Criterion III, Design Control, states, in part, that measures

shall be established for the identification and control of design interfaces. These measures

shallinclude the revision of documents involving design interfaces.

Procedure AP 6007, Rev. O, dated October 31,1997, " Procedure for the Control, Update,

and Maintenance of Vermont Yankee Design Basis Documents," implements these

measures and indicates the purpose of the Design Basis Document (DBD) Program was to

capture and organize the current Design, Operational and Licensing Basis of Vermont

Yankee. Section 4 of the DBD, describes System Interfaces. Procedure AP 6007 requires

that all pending or interim change notices be documented and distributed to all controlled

copies of the affected DBDs and copies of the change notices be maintained with each

contmlied copy of the associated DBD.

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Contrary to the above, on or before June 5,1998, the licensee failed to implement the

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measums established by AP 6007 to control design interfaces in that (1) the design basis

document for the 4160 and 480 Volt AC Systems was issued without any notices prepared to

identify the need for changes to the DBD resulting from revisions to the Motor Protection

Guidelines and the Breaker Coordination Study, and (2) the Emergency Diesel Generator

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System DBD was issued without a pending change associated with frequency requirements.

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This is a Severity Level IV Violation (Supplement I).

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BVY 98-123 / Page 11 of 14

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Reason For the Violation:

Vermont Yankee does net contest this violation. During the 40500 Inspection, it was determined

that a number of changes to approved DBDs had been initiated but had not been identified as

pending changes in the controlled DBDs. Many of these changes involved issues that were self-

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identified during the DBD validation process.

De reason for failing to identify the pending changes in the controlled DBDs was a weakness in

the' administrative procedure for control and update of Design Basis Documents (AP-6007

Control, Update, and Maintenance of Vermont Yankee Design Basis Documents). De procedure

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allowed for deferral of a Pending Change Notice if an Interim Change was in process. As a

result, Pending Change Notices were not issued against the DBDs when issues were identified.

Due to the time required for processing of the interim changes, the DBDs did not adequately

reflect outstanding changes.

Corrective Steos That Have Been Taken and the Results Achieved:

1) A review of outstanding changes was conducted to determine what immediate actions were

required. The outstanding changes were determined to be editorial changes, clarifications,

supplemental information and changes to ensure consistency between DBDs. Based on this,

no additional immediate action relative to ongoing engineering work was determined to be

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necessary.

2) De precedure for control and update of Design Basis Documents (AP6007) was revised on

July 31,1998 to require Pending Change Notices for all identified DBD changes.

3) All department managers were informed on July 31,1998 of the reasons for the procedure

change and requested to instruct affected personnel in the details of the change.

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4) All outstanding interim changes were issued by July 31,1998.

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5) The procedure used in performing DBD validations (VYP-024, Procedure for Validation of

Vermont Yankee Nuclear Power Station to Design Basis Document Requirements).was

revised on June 4,1998 to include a requirement to issue a Pending Change Notice for any

identified error in a DBD.

6) Vermont Yankee has recently implemented organizational changes to provide a separate

Configuration Management (CM) Group. This will result in additional management focus

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within the CM functional area. Vermont Yankee believes this will further improve

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management oversight in this area.

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Corrective Steps That Will Be Taken to Avoid Further Violations:

The corrective actions taken to date will avoid future violations.

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Full compliance was achieved on July 31,1998 with the completion of the corrective actions

outlined above.

VIOLATION 5

10 CFR 50.54(a) states,in part, that " Changes to the quality assurance program description

that do reduce the commitments must be submitted to the NRC and receive NRC approval

prior to implementation."

The Yankee Operational Quality Assurance Program (YOQAP) was approved by the NRC

with an exception regarding use of Regulatory Guide 1.26 for classification of structures,

components, and systems. Since 1982, Appendix B of the YOQAP, section VII.A, states

" Vermont Yankee shall continue to classify structures, components and systems in

accordance with ANS-22, Draft No. 4, Rev.1, May 1973, ' Nuclear Safety Criteria for the

Design of Stationary Boiling Water Reactor Plants', as in the past." The Vermont Yankee

Safety Classification Manual is used to implement this quality assurance program

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commitment.

Contrary to the above,in July 1988, Vermont Yankee reduced commitments contained in

their NRC-approved QA program (YOQAP), without prior NRC approval, by using ANS.

52.1,1983, ' Nuclear Safety Criteria for the Design of Stationary Boiling Water Reactor

Plants', which contained a higher threshold for safety classification of SSCs than the draft

issue of the ANS-22 standard referenced in the approved QA program. In addition,

Vermont Yankee failed to evaluate the effect of using the issued standard on SSCs that had

already been classified.

This is a Severity Level IV Violation (Supplement I).

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RESPONSE:

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Reason for the Violation:

Vermont Yankee does not contest this violation. Our investigation has determined that the initial

issue of the Vermont Yankee Safety Classification Manual (VYSCM), Revision 0, dated 12/22/86

(vice the 19$8 revision cited in the Notice of Violation), contained criteria for the derivation of

safety classification that were not in accordance with the NRC-approved Quality Assurance

Program (YOQAP-1-A), in that it allowed the use of standards other than the ANS-22, Draft 4,

Revision 1 endorsed in YOQAP-1-A (specifically, ANS 52.1 and Regulatory Guide 1.26, Section

2d). The preparers, reviewers and approvers of the VYSCM failed to identify the discrepancy

between the VYSCM and YOQAP-1-A when the former was established in 1986. Consequently,

the program documents were not revised at that time to be consistent with one another.

Subsequent changes to the VYSCM between 1986 and 1991 received the same level of review

and approval as the original, but the discrepancy remained undetected. After 1991, the review

authority for the VYSCM was revised to include the Plant Operations Review Committee and

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, exclude Quality Assurance, further reducing visibility of the discrepancy to the QA Department

(QAD), owner of YOQAP-1-A.

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In 1987, Yastkee Nuclear Services Division (YNSD) Engineering, while addressing a safety

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classification change for refueling equipment, recognized that YOQAP-1-A should be revised to

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agree with the position taken in the VYSCM, and reported this discovery to VY via written

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correspondence. A proposed change to YOQAP-1-A was prepared and forwarded to VY, but

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QAD was not on distribution for the correspondence and there is no evidence that QAD was ever

requested by VY to incorporate the proposed the change.

In 1996, a Quality Assurance surveillance by QAD ultimately identified that the VYSCM was not

in full compliance with Appendix B,Section VII of YOQAP-1-A, and an event report was

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generated. He corrective action process did not ensure that the non-conservative criteria in the

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VYSCM were promptly removed, and did not establish whether those criteria had been applied to

any plant equipment such that its safety classification was not in agreement with the requirements

ofANS-22.

Corrective Steos nat Have Been Taken and the Results Achieved:

An evaluation of plant systems, structures and components (SSCs) was performed prior to

May 28,1998 to determine whether any SSCs were improperly classified based on standards

other than ANS-22. The single SSC that did not comply with ANS-22 (specifically, refueling

equipment) was tagged out of service on May 28,1998 to ensure that the site-boundary dose

limits of ANS-22 would not be exceeded.

A change to the VYSCM was made on May 29,1998 to document the unavailable status of the

affected SSC, and to impose the more stringent site-boundary dose limits of ANS-22 (170 mrem

vs. the 500 mrem previously allowed under Regulatory Guide 1.26) in the classification criteria

for the type ofequipment involved.

Administrative controls were applied on May 21,1998 to preclude use of the VYSCM for the

purpose of downgrading the safety classification of plant equipment.

QAD's discovery of the deficienc~y was a two-year old event when this violation was assessed

The integrated VY corrective action process, as documented in plant procedure AP 0009, was in

its infancy when the aforementioned event report was written, and the thoroughness of causal

investigations was still evolving. The procedure has since been revised several times to clarify

causal investigation criteria, and these changes have helped to ensure that more recent

investigations were properly focused.

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Since the time of the 1996 QA surveillance, a new corporate-level management position has been

established with responsibility for oversight of the Quality Assurance function.

Corrective Actions That Will Be Taken to Prevent Further Violations:

A new procedure is under development to direct the process of preparing proposed changes to the

Quality Assurance Program. (Expected completion date: September 1,1998.)

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A change to the VYSCM is being prepared to prevent further inappropriate use of safety

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classification standards not endorsed in YOQAP-1-A (now designated as VOQAM Rev. 0).

(Expected completion date: September 25,1998.)

Licensing action is being initiated to propose changes to YOQAP-1-A (VOQAM Rev. 0) to

establish updated safety classification criteria for VYNPC that are consistent with current

standards and industry practices. (Expected completion date: December 31,1998.)

Date When Full Comoliance Will Be Achieved:

Full compliance was achieved on May 28,1998, when the SSCs identified as non-complying

were administratively removed from service.

We trust that the enclosed information is responsive to your concems. Should you have any

questions or desire additional infonnation, please contact us.

Sincerely,

VERMO

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fiUCLEAR POWER CORPORATION

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cc:

USNRC Region 1 Administrator

USNRC Resident Inspector-VYNPS

USNRC Project Manager-VYNPS

Director, USNRC Office of Enforcement

Vermont Department of Public Service

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