ML20205R070
| ML20205R070 | |
| Person / Time | |
|---|---|
| Site: | Calvert Cliffs |
| Issue date: | 03/24/1987 |
| From: | Mcneil S Office of Nuclear Reactor Regulation |
| To: | Tiernan J BALTIMORE GAS & ELECTRIC CO. |
| References | |
| GL-83-28, NUDOCS 8704060201 | |
| Download: ML20205R070 (3) | |
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MAR 2 41987 Docket Nos. 50-317 WLTomJT!ng and 50-318 (Locket File 3 BGrimes NRC PDR JPartlow L PDR NThompson PBD#8 Rdg PKreutzer Mr. J. A. Tiernan FMiraglia SMcNeil i
Vice President-Nuclear Energy OGC-Beth Gray File Baltimore Gas & Electric Company ACRS-10 EJordan P. O. Box 1475 Baltimore, MD 21203
Dear Mr. Tiernan:
SUBJECT:
REQUEST FOR ADDITIONAL INFORMATION CONCERNING BG&E RESPONSES TO GENERIC LETTER 83-28 The staff has completed a review of your submittals dated November 5,1983 February 29, 1984 and June 7,1985, with respect to your responses for Item 2.2.2 of Generic Letter 83-28, " Required Actions Based on Generic Implications of Salem ATWS Events." The staff has determined that additional information is necessary to facilitate the completion of our review concerning the BG8E responses to this item. Our request for additional information is enclosed.
Please respond to this request for additional information within 45 days of your receipt of this letter.
If you are unable to respond within this period, please notify us of your intended schedule within 21 days of your receipt of this letter.
This request affects fewer than 10 respondents; therefore, OMB clearance is not required under P.L.96-511.
Please call me if I can be of any assistance in resolving these items.
Sincerely, I
ScotEWexNr McNeil, Project Manager PWR Project Directorate #8 Division of PWR Licensing-B
Enclosure:
Request for Additional Information cc w/ enclosure:
See next page PBD#8 PBD#8 PBD#8 P
er SMcNeil;cf AThadani l
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8704060201 870324 DR ADOCK 0500 7
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l Mr. J. A. Tiernan Baltimore Gas & Electric Company Calvert Cliffs Nuclear Power Plant l
cc:
Mr. William T. Bowen, President Regional Administrator, Region I l
Calvert County Board of U.S. Nuclear Regulatory Comission l
Comissioners Office of Executive Director l
Prince Frederick, Maryland 20768 for Operations 631 Park Avenue D. A. Brune, Esq.
> King of Prussia, Pennysivania 19406 General Counsel Baltimore Gas and Electric Company P. O. Box 1475 Baltimore, Maryland 21203 l
Jay E. Silberg i
Shaw, Pittman, Potts and Trowbridge 2300 N Street, N.W.
l Washington, DC 20037 l
Mr. M. E. Bowman, General Supervisor Technical Services Engineering Calvert Cliffs Nuclear Power Plant MD Rts 2 & 4, P. O. Box 1535 Lusby, Maryland 20657-0073 Resident Inspector c/o U.S. Nuclear Regulatory Commission P. O. Box 437 Lusby, Maryland 20657-0073 Bechtel Power Corporation ATTN: Mr. D. E. Stewart Calvert Cliffs Project Engineer 15740 Shady Grove Road Gaithersburg, Maryland 20760 Combustion Engineering, Inc.
ATTN: Mr. W. R. Horlacher, III L
Project Manager P. O. Box 500 1000 Prospect Hill Road Windsor, Connecticut 06095-0500 Department of Natural Resources Energy Administration, Power Plant Siting Program ATTN: Mr. T. Magette Tawes State Office Building Annapolis, Maryland '21204 i
REQUEST FOR ADDITIONAL INFORMATION CONCERNING ITEM 2.2.2 0F GENERIC LtIILR 83-28 BALTIMORE GAS AND ELECTRIC COMPANY CALVERT CLIFFS NUCLEAR POWER PLANT, UNIT NOS.1 AND 2 DOCKET N05. 50-317 AND 50-318 1.
The licensee states that information received from Combustion Engineering is reviewed and evaluated by the Princ4 pal Engineer of the Electrical Engineering Unit and by the General Supervisor of the Electrical and Controls Section. This is not sufficient. The licensee should show that procedures exist to confirm that vendor technical information is received and to incorporate current and past vendor technical information into plant operating, maintenance and test procedures.
2.
The licensee describes the NUTAC/VETIP program. This is not sufficient.
The licensee should describe how their procedures were revised to implement and incorporate the NUTAC/VETIP program to compensate for the lack of a vendor interface for safety-related equipment.
3.
The licensee's responses do not address the control of vendor-supplied services for maintenance work on safety-related equipment. The licensee should provide verification that the responsibilities and instructions for vendor-supplied services on safety-related equipment are defined and controlled appropriately.
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