ML20203N219

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Responds to NRC Re Violations Noted in Insp Repts 50-237/86-09 & 50-249/86-11.Corrective Actions:Training Provided on Initiating Emergency Assembly & Technicians Trained Re Control of Contaminated Matls & Personal Surveys
ML20203N219
Person / Time
Site: Dresden  Constellation icon.png
Issue date: 09/08/1986
From: Turbak M
COMMONWEALTH EDISON CO.
To: James Keppler
NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION III)
References
2073-K, 2073K, NUDOCS 8609230218
Download: ML20203N219 (2)


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Address Reply to: Post Omce Box 767 Chicago, lilinois 60690 0767 September 8, 1986 Mr. James G. Keppler Regional Administrator j

U.S. Nuclear Regulatory Commission l

Region III 799 Roosevelt Road Glen Ellyn, IL 60137

Subject:

Dresden Station Units 2 and 3 Response to Inspection Report Nos.

50-237/86009 and 50-249/86011 NRC Docket Nos. 50-237 and 50-249

Reference:

July 25, 1986 letter from W. D. Shafer to Cordell Reed.

Dear Mr. Keppler:

This letter is in response to the inspection conducted by Mr. T.

Ploski of your staff on July 8-10, 1986, of activities at Dresden Station.

Although no violations of NRC requirements were identified, the referenced letter requested we advise you of the corrective actions we are taking regarding weaknesses identified during the July 9, 1986 Dresden GSEP Exercise. Our response is provided in the Attachment.

If you have any further questions regarding this matter, please contact this office.

Very truly yours, M. S. Turbak Operating Plant Licensing Director 1m Attachment f

cc: NRC Resident Inspector - Dresden r

7 8609230218 860909 2073K PDR ADOCK 05000237 G

pon SEP 9 1986

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l ATT N The following items respond to the weaknesses identified in the routine safety inspection conducted by Mr. T. Ploski and his associates on July 8-10, 1986.

1.

Weakness - Excessive time was taken to initiate assembly Response - Additional training on the required time to initiate an assembly and account for all personnel on site shall be given to the

-Station Directors, Security Directors, and Radiation-Chemistry Directors. This training shall be completed by November 14, 1986.

2.

Weakness - Poor radiation protection practices were demonstrated regarding the control of contaminated material and surveying for personnel contamination.

Response - All Radiation Chemistry Technicians (RCT) and RCT Foremen shall receive the appropriate training in regards to the control of contaminated material and surveying of personnel contamination. This training shall be given in the RCT Continuous Training Program during the fourth quarter of 1986. Also EPIP 100-C13 shall be revised to include a contamination check point prior to entering the OSC.

This shall be revised by November 14, 1986.

3.

Weakness - Proper dosimetric devices were not issued to emergency response team members.

Response - All RCT's and RCT Foremen shall receive the appropriate training for issuing the proper dosimetry per EPIP 300-16.

This training shall be given in the RCT Continuous Training Program during the fourth quarter of 1986.

4.

Weakness - Improper controller action resulted in advance reporting of data and incorrect resolution of an exercise conflict.

Response - The agenda for Pre-exercise Controller meetings has been expanded to include a discussion of this weakness. The agenda for Pre-exercire Controller meetings was revised to include this discussion on August 11, 1986.

2073K