ML20211A812

From kanterella
Jump to navigation Jump to search
Insp Rept 50-302/86-38 on 861107-870107.Violations Noted: Failure to Adhere to Posting Requirements for Radiation Protection,To Have Adequate Procedure to Perform Shutdown Margin Calculations & to Issue LER
ML20211A812
Person / Time
Site: Crystal River Duke Energy icon.png
Issue date: 01/29/1987
From: Stetka T, Tedrow J, Wilson B
NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION II)
To:
Shared Package
ML20211A707 List:
References
50-302-86-38, IEB-86-003, IEB-86-106, IEB-86-3, NUDOCS 8702190238
Download: ML20211A812 (21)


See also: IR 05000302/1986038

Text

'

- [># Of

UNITE 3 STATES

w

-

.

'

o

NUCLEAR REGULATORY COMMISSION

,

d I

[

REGION 11

, '

'-'!

g

,j

101 MARIETTA STREET,N.W.,

~t

ATLANTA, GEORGI A 30323

-

%

$

Report No:

50-302/86-38

Licensee:

Florida Power Corporation

s

3201 34th Street, South

1

'

St. Petersburg, FL 33733

.

-

Docket No:

50-302

Licensee No.:

DPR-I2'

Facility Name:

Crystal River 3

Inspection Dates: November 7,.1986 - January 7, 1987

-

~

Inspectors:

[

T [

/!

T. F. Stet , Senior Resident / Inspector

Date Signed

h 8 'W /A

//2f/C'7

.

J. E. Tedrow, Resident In@ector-

D~ ate Signed

Approved by

h

'A 9 [77

,

B.A. Wilson, Section Chief

D' ate S'igned

,

Division of Reactor Projects

(

SUMMARY

-

,

l

l

l

Scope:

This routine inspection was conducted by two resident inspectors in the

l

areas of plant operations, security, radiological controls, Licensee Event

Reports and Nonconforming Operations Reports, review of IE Bulletins, and

l

licensee action on previous inspection items.

Numerous facility tours were

l

conducted and facility operations observed.

Some of these tours and observations

were conducted on backshifts.

Results:

Six Violations were identified: (Failure to adhere to posting require-

ments for radiation protection, paragraph 5.b(5);

Failure to have an adequate

procedure to perform shut down margin calculations, paragraph 5.b(E) b; Failure

to comply with the requirements of 10 CFR 50 Appendix J, paragraph 5.b(8).c;

Failure to perform surveillance requirements within the required time interval,

paragraph 6.a(3);

Failure to take adequate corrective action, paragraph 6.b(1);

Failure to issue a LER, paragraph 6.b(2) and 6.b(3)).

,

!

8702190238 870204

DR

ADOCK 05000302

PDR

I

-

-

-

-

,

, - .

.

-

L

-_ .,

j$i'$ i

a

s

,

,

s

"% .

-

~%

REPORT DETAILS

1.

Licensee Employees Contacted

  • J. Alberdi, Manager, Nuclear Site Support
  • F. Bailey, Superintendent of Projects
  • J. Brandely, Nuclear Security & Special Projects Superintendent
  • P. Breedlove, Nuclear Records Management Supervisor
  • J. Bpckner, Nuclear Security Superintendent

'

  • J. Cooper Jr. , Superintendent, Technical Support

-

^J.lCibson, Nuclear Technical Specification Coordinator

q *V.'Hernandez, Senior Nuclear Quality Assurance Specialist

  • B. Hickle, Manager, Nuclear Plant Operations

'

  • J. Lander, Director, Nuclear Projects & Outages
  • M. Mann, Nuclear Compliance Specialist

R. Marckese, Nuclear Engineer I

  • P. McKee, Director, Nuclear Plant Operations

R. Hurgatroyd, Nuclear Maintenance Superintendent

W. Neuman, Supervisor Inservice Inspection (ISI)

'

W. Nielsen, Senior Nuclear Electrical /I&C Supervisor

  • V. Roppel, Manager, Nuclear Plant Technical Support
  • W. Rossfeld, Nuclear Compliance Manager
  • P. Skramstad, Nuclear Chemistry / Radiation Protection Superintendent
  • P. Small, Maintenance Department Coordinator
  • S. Sullens, Senior Nuclear Electrical /I&C Supervisor
  • K. Wilson, Manager, Site Nuclear Licensing
  • R. Wittman, Nuclear Operations Superintendent

Other personnel contacted included off'ce, operations, engineering,

maintenance, chemistry / radiation and corporate personnel.

  • Attended exit interview

\\~

2.

Exit Interview

The inspector met with licensee representatives (denoted in paragraph 1) at

the conclusion of the inspection on January 7,1987.

During this meeting,

the inspector summarized the scope and findings of the inspection as they

are detailed in this report with particular attention to the Violations and

l

Inspector Followup Items (IFI).

The licensee representatives acknowledged the inspector's comments and did

not identify as proprietary any of the materials provided to or reviewed by

,

the ir.spectors during this inspection.

,

I

'

l

t

9

-

r

-r w

-- .--

=

rm-

-- - ---


m'T

W:-

w

w --

= -- +

7-

-4

..

--

..

.

-

-

, - . -

-

- -

.

.

2

3.

Licensee Action on Previous Inspection Items

(Closed) IFI 502/86-12-07:

The licensee has revised maintenance procedures

'MP-124 (revision 13, dated August 8,'1986) and MP-162 (revision 7, dated

October 1,1986) to include alignment specifications for the emergency

feedwater pumps.

Action on this item is considered complete.

(Closed) IFI 302/86-20-04:

The licensee has revised surveillance procedures

SP-354A (revision 15, dated November 7,1986) and SP-354B (revision 12,

dated October 24,1986) to require that both emergency diesel generator room

supply fans are returned to normal following diesel shutdown.

This item is

considered to be complete.

'

-

(Closed) IFI 302/86-14-04: .The inspector reviewed documentation from the

,

manufacturer which stated that Gulf Dieselmotive 471 was an acceptable

j

oil _ for: use in the Woodward governor for the emergency diesel generators.

-

The . inspector has no further questions on this matter and this item is

i:

' considered closed.

1

(Closed) Violation 302/86-27-02:

The licensee has revised compliance

i

procedure CP-115 (revision 58, dated November 28, 1986) to require the use

of the appropriate procedures for system restoration from an equipment

clearance.

The inspector has reviewed this procedure and considers this

,

clarification adequate.

This item is considered closed.

(Closed) Violation 302/86-22-01:

The licensee has completed and the

'

inspector has verified the completion of the following items:

-

Revisions to the Operating Daily Surveillance Log, SP-300 (revision 89

dated July 22, 1986), and Shutdown Daily Surveillance Log, SP-301

(revision 65 dated October 24, 1986), have implemented the following

requirements:

i).

Checking the position of range selector switches on the hydrogen /

oxygen analyzer.

i

ii)

Normal expected values of oxygen and hydrogen concentrations for

i

comparison to logged values.

iii)

Check of the liquid nitrogen storage tanks to ensure an adequate

volume of nitrogen is available for dilution of the Waste Gas

!-

Decay Tanks (WGDT) if required.

'

A permanent nitrogen addition system has been installed which allows

-

nitrogen to be added directly from the plant's nitrogen header to the

'

WGDT's.

i

.

.

.

3

The range selector switches have been replaced with switches that have

-

a spring return to the proper low scale position.

Operating Procedure OP-412, Waste Gas Disposal System, has been revised

-

(revision 40 dated August 5,1986) to include instructions for opera-

tion of the permanent nitrogen addition system.

Action on this item is considered complete.

(Closed) Violation 302/86-22-02:

This violation was written to address

inadequate corrective action taken by FPC for Violation 302/84-33-01 and

Deviation 302/85-44-01 which resulted in Violation 302/86-22-01 discussed

above.

The corrective action taken in response to Violation 302/86-22-01

addresses the corrective action to this Violation and action on this item is

considered to be complete.

(Closed) IFI 302/86-12-08:

The licensee has completed the cleaning and

flushing of the lines suppling bearing flush water to the nuclear services

seawater pumps (RWP-2A, RWP-28) and decay heat seawater pumps (RWP-3A,

RWP-38).

The licensee has also completed an engineering analysis to

determine the necessary amount of flush water which these pumps need.

This

analysis concludes that as long as the pump bearings are kept flooded or

receive any amount of flush water flow, then the pumps should operate

satisfactory.

However, this analysis recommends that on any indication of a

loss of normal bearing flush water to these pumps, that RWP-2A or RWP-2B

should be started within ten minutes.

The licensee has revised the

appropriate annunciator response proce<~e to reflect this recommendation.

This item is considered to be closed.

(0 pen) IFI 302/86-35-07:

This IFI was written to review the licensee's

activities to determine the cause for the "B" main feetiwater pump overspeed

transients.

The licensee has done extensive troubleshooting on this pump

and has completed the following activities in an attempt to correct these

transients:

-

Modified the Integrated Control System (ICS) input signal to the pump's

l

governor electronic control assembly from a voltage signal to an

,

amperage signal to reduce electrical noise.

!

l

-

Shielded the ICS input signal cable.

l

l

-

Replaced the governor's actuator.

l

!

Tested the main steam supply line to the pump's turbine.

-

Installed temporary recorders to monitor the ICS and governor

-

operation.

l

l

At this time the licensee has been enable to positively identify the cause

for the pump to overspeed and is continuing their investigation into this

l

problem.

The licensee is considering replacement of the Woodward governor

_ , . _ . . _

- . .

.

__

,

_ _ _ _ _ _ _ _ _ - _ _ _

_____ _ _ _ _ _

.

.

4

i

electronic analog controller with a new " state of art" digital controller

which should be immune to electrical noise.

Also the licensee plans to

install a high frequency filter on the ICS input signal to further reduce

electrical noise.

This item will remain open pending completion of the

licensee's investigation and corrective action.

4.

Unresolved Items

Unresolved items were not identified during this inspection period.

(

5.

Review of Plant Operations

The plant began this inspection period in power operation (Mode 1).

On

November 11, at 1:21 p.m. , a control rod fell into the reactor core.

A

power reduction and reactor shutdown was initiated while troubleshooting

was conducted to determine the cause for the dropped control rod.

On

November 14, at 10:38 a.m. , the plant was cooled down to cold shutdown

(Mode 5) to replace a defective control rod d"ive stator.

After these

repairs were completed, a plant heatup was commenced and at 1:43 p.m. on

November 21 the hot standby condition (Mode 3) was reached.

On November 22,

at 2:10 a.m. plant operators observed an increase in reactor coolant system

leakage and a plant cooldown and depressurization was conducted to repair

the makeup and purification system letdown coolers, (see paragraph 9 of this

report for details).

After repairs had been completed to the makeup and

purification system letdown coolers, a plant heatup was commenced and Mode 3

reached at 10:09 a.m. on December 23, followed by the resumption of power

operation at 11:35 p.m. on December 24.

On January 2, at 9:20 a.m., plant

operators noticed that the first stage seal for the

"A" reactor coolant

pump showed degrading indications and a reactor shutdown and cooldown was

commenced to replace this seal package.

The plant remained in Mode 5 for

the remainder of this inspection period.

a.

Shift Logs and Facility Records

The inspector reviewed records and discussed various entries with

operations personnel to verify compliance with the Technical Specifica-

tions (TSs) and the licensee's administrative procedures.

The following records were reviewed:

Shift Supervisor's Log; Outage Shift Manager's Log; Reactor Operator's

Log; Equipment Out-0f-Service Log; Shift Relief Checklist; Auxiliary

Building Operator's Log; Active Clearance Log; Daily Operating Surveil-

lance Log; Work Request Log; Short Term Instructions (STIs); and

Selected Chemistry / Radiation Protection Logs.

In addition to these record reviews, the inspector independently

verified clearance order tagouts.

No violations or deviations were identified.

_

.

_

__

_ _ _ _ _ _ _ _ _ _

__

.

.

5

b.

Facility Tours and Observations

Throughout the inspection period, facility tours were conducted to

observe operations and maintenance activities in progress.

Some

operations and maintenance activity observations were conducted during

backshifts.

Also, during this inspection period, licensee meetings

were attended by the inspector to observe planning and management

activities.

The facility tours and observations encompassed the following areas:

security perimeter fence; control room; emergency diesel generator

room; auxiliary building; intermediate building; reactor building;

battery rooms; and electrical switchgear rooms.

During these tours, the following observations were made:

(1) Monitoring Instrumentation - The following instrumentation was

observed to verify that indicated parameters were in accordance

with the TS for the current operational mode:

Equipment operating status; area atmospheric and liquid radiation

monitors; electrical system lineup; reactor operating parameters;

and auxiliary equipment operating parameters.

During these plant tours, the inspector noted the continuing

licensee activities to locate and repair minor leaks in the waste

gas system which has caused increased gaseous activity in the

atmosphere of the auxiliary building (AB).

While this increased

activity has been minor in nature, it has been recurring and as

a result, the licensee established a task force to locate the

sources of these leaks.

As the result of this task force's investigations, the licensee

has identified minor radioactive gas leaks around the make-up tank

(MUT).

It is postulated that these leaks were caused by the

following:

Valve stem leaks out of nitrogen and hydrogen addition

-

diaphragm valves MUV-141 and MUV-143;

-

A pipe union leak from a pressure transmitter instrument

fitting; and,

-

A weep hole in the weld securing a reinforcing saddle for a

pipe connection located at the top of the MUT.

.

.

-_____

3

.

.

6

The licensee has repaired valves MUV-141 and MUV-143 and the pipe

union leak but is unable to repair the weld weep hole at this

time.

The hole appears to be sufficiently small enough so that a

special ventilation system the licensee has installed in the MUT

!

room, which includes an independent filter system, can mitigate

this leakage.

The independent filter system exhausts to the

normal AB ventilation stack so that all releases are adequately

monitored.

This . filter system has been effective since no

increases of radiation levels in the AB atmosphere have been

detected.

It is planned to repair this weep hole during the next

refuel outage.

IFI (302/86-38-01):

Review the licensee's activities to repair

the weld weep hole in the MUT.

(2) Safety Systems Walkdown - The inspector conducted a walkdown of

the Core Flood (CF) system to verify that the lineup was in

accordance with license requirements for system operability and

that the system drawing and procedure correctly reflect "as-built"

plant conditions.

No violations or deviations were identified.

(3) Shift Staffing - The inspector verified that operating shift

staffing was in accordance with TS requirements and that control

room operations were being conducted in an orderly and profes-

sional manner.

In addition, the inspector observed shift turn-

overs on various occasions to verify the continuity of plant

p

status, operational problems, and other pertinent plant informa-

l

tion during these turnovers.

!

l

No violations or deviations were identified.

(4) Plant Housekeeping Conditions - Storage of material and components

and cleanliness conditions of various areas throughout the

facility were observed to determine whether safety and/or fire

l

!

hazards existed.

No violations or deviations were identified.

l

(5) Radiation Areas - Radiation Control Areas (RCAs) were observed to

l

verify proper identification and implementation.

These observa-

tions included selected licensee conducted surveys, review of

step-off pad conditions, disposal of contaminated clothing, and

area posting.

Area postings were independently verified for

l

accuracy by the inspectors.

The inspectors also reviewed selected

radiation work permits and observed the use of protective

clothing, respirators, and personnel monitoring devices to assure

that the licensee's radiation monitoring policies were being

followed.

l

l

__

-

_

- _ _ _ _ _ _ .

.

,

b

.

.

7

On November 18, while' observing maintenance activities within

the -Reactor Building (RB), the inspector noted three -licensee

personnel that were not wearing glasses that provide beta protec-

tion for the eyes.

The posting for the RB required beta protec-

tion for all personnel within the building.

When a' roving health physics (HP) technician, that was in the

immediate area, was notified of this observation, the technician

immediately corrected the situation.

The licensee's radiation protection procedure, RSP-101, defines

posting as a radiological control in paragraph 2.3.26 and requires

adherence to radiological controls -in paragraph 3.1.3.4.

Failure

to adhere to the requirements of procedure RSP-101 is considered

to be contrary to the requirements of TS 6.11 and is considered to

be a Violation.

Violation (302/86-38-02):

Failure to adhere to the posting

requirements of radiation protection procedure RSP-101 as required

by TS 6.11.

(6) Security Control - Security controls were observed to verify that

security barriers were intact, guard forces were on duty, and

access to the Protected Area (PA) was controlled in accordance

with the facility security plan.

Personnel within the PA were

observed to verify proper display of badges and that personnel

requiring escort were properly escorted.

Personnel within vital

areas were observed-to ensure proper authorization for the area.

No violations or deviations were identified.

(7) Fire _ Protection - Fire protection activities, staffing and equip-

ment were observed to verify that fire brigade staffing was

appropriate and that fire alarms, extinguishing equipment,

actuating controls, fire fighting equipment, emergency equipment,

and fire barriers were operable.

No violations or deviations were identified.

(8) Surveillance - Surveillance tests were observed to verify that

approved procedures were being used: qualified personnel were

conducting the tests; tests were adequate to verify equipment

operability; calibrated equipment was utilized; and TS require-

ments were followed.

The following tests were observed and/or data reviewed:

- SP-104, Hot Channel Factors Calculations;

.

.

.

_ __ -____-__ _ -_-_

'

.

8

<

- SP-113, Power Range Nuclear Instrumentation Calibration;

- SP-154, Functional Testing and Calibration of the

Triaxial Time-History Accelographs and

Triaxial Seismic Switch;

- SP-177, Local Leak Rate Test of AHV-1A thru

AHV-10;

- SP-179, Containment Leakage Test-Types "B" & "C";

- SP-181, Containment Air Lock Test (only a

procedure review was conducted, no data

was reviewed);

- SP-317, RC System Water Inventory Balance;

- SP-326A, Toxic Gas Detection System (Weekly);

- SP-333, Control Rod Exercises;

- SP-335, Radiation Monitoring Instrumentation

Functional Test;

- SP-363, Fire Protection System Tests;

- SP-404, Fire Deluge & Sprinkler System

Surveillance;

- SP-421, Reactivity Balance Calculations;

- SP-422, RC System Heatup & Cooldown Surveillance;

- SP-455, Functional Test of Vital Bus Redundant

Transformers & Static Transfer Switches;

- SP-510, Weekly Battery Check (Units 1&2);

- SP-512, Battery Inspection & Charger Test (Units 1

& 2); and,

- SP-513, Battery Service Test (Units 1 & 2).

As the result of these reviews, the following items were

identified:

(a) The inspector observed the performance of SP-513 on the newly

installed battery at Unit 2.

This procedure has been

rewritten to test the 'Jnit 1 and Unit 2 batteries under a new

J

.

9

load profile.

The licensee has been requested

to provide

information regarding the DC loads that these batteries

must supply so that a correct battery load profile can be

verified.

IFI (302/86-38-03):

Review the information to verify the new

load profiles for the Unit 1 and Unit 2 batteries.

(b) On November 12, while reviewing completed data for procedure

SP-421, the inspector noted that Data Sheet II (Enclosure 4)

which is used to compute the shutdown margin with an

inoperable control rod, was incorrectly completed.

The

shutdown margin computed on the day shift of November 11

was computed as -1.5768% delta-k/k whereas the correct

value should have been -2.468% delta-k/k.

Furthermore data

completed on the 4:00 PM to 12:00 AM shift of November 11 and

on the 12:00 AM to 8:00 AM shift of November 12, had to have

numerous corrections made to arrive at a reasonably correct

answer.

Further review of this procedure by the inspector indicated

the following procedure inadequacies:

-

Step 6.3.1 of the procedure determines the shutdown

margin available based upon existing core conditions.

This shutdown margin is calculated on Worksheet I

(Enclosure 1) with the resultant shutdown margin

recorded in Step 6.b of the worksheet and on Data

Sheet II.

To assure that the calculations are performed

correctly, the procedure requires in Step 4.3.5, that

all algebraic signs be correctly maintained.

Step 6.b

also states "If the shutdown margin is <1% delta-k/k

during Modes 1,

2,

3,

4,

or 5, notify the shift

supervisor," which means that any positive value greater

than +1% delta-k/k (e.g. , +1.5% delta-k/k) would be

acceptable.

Since a positive number would result if the

reactor being in a critical condition, the intent of

this step, i.e. to assure that the reactor is shutdown,

is not accomplished.

Step 6.3.3 of the procedure determines the shutdown

-

margin that would be required to insure a shutdown

reactor with an inoperable control rod.

This margin is

obtained by summing the rod worth of the inoperable

control rod which is obtained from rod worth curves and

recorded in Step 6.3.2 and the TS required shutdown

margin of 1% delta-k/k.

Since the rod worth reactivity

is a positive number, when this number is added to 1%

delta-k/k (as required by Step 4.3.5) the result is a

.

.

10

positive number which-is in excess of 1%.

The procedure

then goes on to say in Step 6.3.4 that "The value

obtained in Step 6.3.1 must be greater than the value

obtained in Step 6.3.3."

Since this would provide a shutdown margin value that is

always greater than the value obtained in Step 6.3.1, it

appears that there is no way to insure that the required

shutdown margin is met.

Personnel utilizing this procedure realized that the intent

was to end up with a result that was a negative number that

was less than -1% delta-k/k (e.g. , -1.5% delta-k/k).

In

their attempts to arrive at a reasonable result, numerous

corrections had to be made and in all these cases the

procedure required answers were not obtained.

There was no

evidence that an actual improper shutdown margin was not

being maintained.

The error made on the November 11 data sheet and the number

of corrections that had to be made to the following

November 11 and 12 data sheets provided strong evidence that

the procedure was inadequate.

Written procedures must be adequate to assure that the intent

of an evolution is completed correctly.

Failure to have

an adequate procedure is contrary to the requirements of

TS 6.8.1 and is considered to be a violation.

Violation (302/86-38-04):

Failure to have an adequate

procedure for computing reactor shutdown margin.

c)

During a review of procedure SP-181 on November 21, the

inspector noted that step 1.3 had a notation regarding the

surveillance frequency which stated in part:

" Air locks opened during periods when containment

integrity is not required by Technical Specifications

shall be tested at the end of such periods at not less

than Pa.

The 'end' of Mode 5 outages is defined

as..."30 days prior to Mode 4 and 15 days following

ascension to or beyond Mode 4."

Subsequent discussions with licensee personnel indicates that

this notation represented the licensee's interpretation of

10 CFR Part 50, Appendix J, paragraph III.D.2(b)(ii).

f

__ _ _ _ _ _ _ _ _ _ _

h

'

.

.

11

Additionally the licensee believed that an exemption had

been granted by the NRC for relief from this paragraph of

Appendix J.

Further review of this issue by the inspector indicated the

following:

Paragraph III.D.2(b)(ii) of Appendix J requires air

-

locks to be tested at the accident pressure (Pa) prior

to entering a mode of operation where containment

integrity is required.

Since the TS require containment

integrity in Modes 1 thru 4, this meant that such

-

testing had to be accomplished in Mode 5 (cold shutdown)

and prior to entering Mode 4 (hot shutdown).

The plant changed operational modes, from Mode 5 to

-

Mode 3 (hot standby), on November 21-22 and no air lock

test at pressurc Pa had been performed.

The licensee had not received an exemption from the NRC

-

that exempted them from the requirements of Appendix J,

paragraph III.D.2(b)(ii).

Failure to comply with the requirements of 10 CFR Part 50, Appendix J is considered to be a Violation.

Violation (302/86-38-05):

Failure to comply with the

air lock testing requirements of 10 CFR Part 50,

Appendix J.

(d) During a review of the completed data for procedure SP-154

performed on October 17, 1986, the inspector noted in step

10.2 of data sheet Enclosure 3, that the vendor performing

the procedure recommended that the acceleromater package

located on the top of the Reactor Building (RB) be inspected

for humidity or desiccant monthly.

The licensee has

developed a Preventative Maintenance (PM) procedure to

accomplish the inspection but has not, pt implemented the

procedure.

The procedure will be implemented within a few

weeks.

Inspector Followup Item (302/86-38-06):

Review PM program

implementation of the humidity / desiccant inspection on the RB

accelerometer.

(9) Maintenance t.ctivities - The inspector observed maintenance

activities to verify that correct equipment clearances were

in effect; work requests and fire prevention work permits, as

required, were issued and being followed; quality control

personnel were available for inspection activities as required;

and TS requirements were being followed.

.

.

12

Maintenance was observed and work packages were reviewed for the

following maintenance activities:

-

Replacement of safety valve RCV-8 in accordance with

maintenance procedures MP-102 and MP-122;

Replacement of the Power Operated Relief Valve (PORV),

-

RCV-10, and associated block valve RCV-11 in accordance with

procedures MP-155 and MP-122;

Repairs on the

"0"

vital inverter in accordance with

-

procedures MP-531, PM-119 and PM-130;

-

Troubleshooting and repair of the

"D" Vital Bus fransfer

Switch (V3XS-10), in accordance with procedures MP-531 and

SP-455;

-

Troubleshooting and replacement of a power range neutron

il

detector NI-5 in accordance with procedures MP-531 and

MP-210;

-

Troubleshooting and repair of auxiliary steam supply valve

ASV-26; and,

Troubleshooting and repair of the Emergency Feedwater

-

Initiation and Control (EFIC) channel

"C" main steam line

isolation in accordance with procedure MP-531.

As the result of these reviews, the following items were

identified:

(a) While observing maintenance activities on the vital inverter

the inspector noted that the licensee does not have formal

maintenance procedures (MP) to address repairs to certain

electrical equipment such as inverters or the generator end

of the emergency diesel generators (EDGs).

Maintenance on

this equipment is presently conducted using a Work Request

(WR) and detailed work instructions that receive the same

level of review and approval that a MP would receive.

This observation was discussed with licensee personnel at

which time it was determined that the licensee had not

developed formal MPs for this equipment since it has not

.

(until recently on the inverter) required any corrective

maintenance.

The licensee also stated that chey have begun

development of MPs to cover these types of electrical

equipment.

.

,.-

-

. - .

,.

-

..

. . .

. _.

.

.

.-

--

4'

,

-

-

.

13

4

l

Inspector Followup Item (302/86-38-07):

Review the

i

licensee's progress in developing MPs to cover certain

electrical equipment.

,

(b) While reviewing documentation following completion of work on

the inverter, the inspector noted an t.pparent discrepancy

between the post-maintenance testing listed on the WR and the

- testing that was actually performed.

The WR listed procedure

PM-130, Static Inverters, as the procedure to be used for

post-maintenance testing.

However, while reviewing the work

package, the inspector noted that only a portion of PM-130

was performed and that this portion did not appear to provide

-

!

adequate testing.

Subsequent discussions with licensee personnel and review of

additional documentation provided assurance that an adequate

post-maintenance- test had been performed.

The inspector

noted, however, that a potential problem which could result

in incorrect or improper post-maintenance testing may exist

due to improper or incomplete documentation on the WR.

The licensee acknowledged the inspector's remarks and is

2

reviewing the post-maintenance testing area to determine what

'

improvements can be made.

!

Inspector Followup Item-(302/86-38-08):

Review the

licensee's progress to improve the post maintenance testing

.

specification on WRs.

,

j

(10) Radioactive Waste Controls - Solid waste compacting and selected

liquid and gaseous releases were observed to verify that approved

,

procedures were utilized, that appropriate release approvals were

t

obtained, and that required surveys were taken.

No violations or deviations were identified.

(11) Pipe Hangers and Seismic Restraints - Several pipe hangers and

seismic restraints (snubbers) on safety-related systems were

2

observed to insure that fluid levels were adequate and no leakage

i

was evident, that restraint settings were appropriate, and that

'

anchoring points were not binding.

,

4

No violations or deviations were identified.

,

6.

Review of Licensee Event Reports and Nonconforming Operations Reports

j

a.

Licensee Event Reports (LERs) were reviewed for potential generic

1

impact, to detect trends, and to determine whether corrective actions

j

appeared appropriate.

Events, which were reported immediately, were

-

reviewed as they occurred to determine if the TS were satisfied.

<

i

s

- - -

,e-

..m.,m.,-.

,.--,m.er-

.,-,-y--,m,

,

,, ,, ,-grr & ,we-vm

-==mm--w-we-ev

.-w'-**-ww+---rri=+g-r-

w

_ _ _ _ _ _ _ _ _ _ _ _ - _ _ _ _ _ _ _ _

'

.

14

LERs 85-34, 86-17, 86-19, 86-20, 86-21, 86-22 and 86-24 were reviewed

in accordance with current NRC policy.

LERs 85-34, 86-17, 86-19, 86-21

and 86-24 are closed.

(1) (0 pen) LER 86-22:

This LER reported that the weekly Unit 1

battery surveillance test required by TS 4.8.1.1.1.C.1 was not

performed within the required time interval.

The LER stated

that the plant status was in Mode 5 with no core alterations in

progress.

The LER further stated that the applicable action

statements of the-TS were complied with.

The inspector reviewed

this matter and determined that during the time period in which

the surveillance test time interval had expired (November 21 -

November 24), a plant heatup to Mode 3 was being performed when a

letdown cooler failure occurred and forced the plant to shutdown

and cooldown to Mode 5.

This action would not have complied with

the TS action statement (TS 3.8.1.2) to suspend all operations

involving positive reactivity additions.

The licensee plans to

issue a supplement to this LER to provide additional information

regarding the plant status and compliance with the TS action

statement.

This LER will remain open pending NRC review of the

supplemental response.

(2) (Closed) LER 85-34:

This LER reported that the core flood tank

isolation valves (CFV-5 and CFV-6) were not verified to be

operable as required by TS 4.5.1.d prior to ascending from Mode 4

to Mode 3.

This action violated TS 4.0.4 which prohibits entry

into an operational mode unless the surveillance requirements

associated with the limiting condition of operation are satisfied.

The licensee has revised surveillance procedure SP-402, Core

Flood System Isolation Valve Alarms Actuation (revision 8 dated

November 15, 1986) to specify that the valves must be checked'

prior to ascending from Mode 4.

This matter is considered to be a

licensee identified violation in which adequate corrective action

was taken to prevent recurrence.

(3)

(0 pen) LER 86-20:

This LER reported that the surveillance

frequency on the Reactor Vessel Vent Valves (RVVVs) and several

other surveillances exceeded the maximum combined interval time

for any three consecutive tests that is required by TS 4.0.2.

Review of this event by the inspector identified the following:

SP-140, Incore Neutron Detector System Calibration, due

-

by August 17, 1986, was not completed as of January 7,

1987;

SP-154, Functional Testing & Calibration of the Triaxial

-

Time-History Accelographs and Triaxial Seismic Switch,

due by August 17, 1986, was not completed until

October 17, 1986;

.

.

.

i

_.

_

_ _ _ _ _ _ _ _ _ _ - _ _ _ _ _

~

.

15

-

SP-202, Inservice I1spection Vent Valve Internals,

due by September 9,1986, was not completed as of

September 30,1986 (however NRC has issued an exemption

to this requirement on November 7, 1986);

SP-363, Fire Protection System Tests, due by October 5,

-

1986, was not completed until November 13, 1986;

-

SP-404, Fire Deluge & Sprinkler System Surveillance, due

by August 29, 1986, was not completed until November 20,

1986;

SP-411, Fire Protection Deluge & Sprinkler Systems Test,

-

due by October 11, 1986, was not completed until

December 14, 1986;

SP-512, Battery Inspection & Charger Test (Units 1 & 2),

-

due by October 4,

1986, was not completed until

November 14, 1986; and,

SP-513, Battery Service Test (Units 1 & 2), due by

-

October 22, 1986, was not completed until November 14,

1986.

Failure to meet the total maximum combined interval for any

three consecutive tests of 3.25 times the specified interval

is contrary to the requirements of TS 4.0.2 and is considered

to be a Violation.

Violation (302/86-38-09):

Failure to perform surveillance

requirements within the maximum combined interval time

specified in TS 4.0.2.b.

While it is recognized that this Violation was identified by

the licensee, it is being cited due to the failure of the

licensee to identify and correct the Violation in a timely

manner.

This LER remains open pending issuance of the supplementary

LER.

b.

The inspector reviewed Nonconforming Operations Reports (NCORs) to

verify the following:

compliance with the TS, corrective actions as

identified in the reports or during subsequent reviews have been

accomplished or are being pursued for completion, generic items are

identified and reported as required by 10 CFR Part 21, and items are

reported as required by TS.

_ _ _ _ _ _ _ _ _ _ _ _ _ _

'

.

16

All NCORs were reviewed in accordance with the current NRC Policy.

As

the result of these reviews, the following items were identified:

(1) NCORs86-224 and 86-228 reported problems which affected the 230

kv switchyard supplying the offsite power source for Unit 3.

NCOR 86-224, dated December 10, 1986, reported that the Unit 1 and

Unit 2 battery load profiles were actually higher than that tested

for during the 18 month battery service tests required by TS 4.8.1.1.1.C.4.

These batteries provide the independent 125 volt

DC control power for protective relaying schemes and breaker

switching for the 230 KV switchyard as described in the Final

Safety Analysis Report (FSAR) section 8.2.3.3.a. Since December,

1976, several modifications have been performed on these batteries

to supply other DC loads for the non-nuclear coal plants.

Therefore the DC loads which these batteries must supply have

changed.

These changes were not reflected in the battery service

test which proves that these batteries can supply actual emergency

loads for one hour.

NCOR 86-228, dated December 15, 1986, reported that three breakers

(numbers 3230, 3233 and 3234) in this switchyard did not comply

with the FSAR section 8.2.3.3.

Specifically, these breakers did

not have the two electrically independent sets of tripping coils

supplied from separate DC supplies.

These breakers were installed

during Unit 4 and Unit 5 coal plant tie-ins to this switchyard in

1981 and 1982.

The licensee has experienced ongoing problems with non-nuclear

modifications to the switchyard and switchyard interfaces which

affect the regulatory basis for the nuclear unit.

LER 85-32 was

issued in January 1986 and reported that an auxiliary transformer

installed in the 230 KV switchyard for the coal plants did not

have the diverse DC control power for the primary and backup

protective relaying as described in the FSAR section 8.2.3.3.

The

corrective action as stated in this LER included a check of the

Unit 4 and Unit 5 interface with the 230 KV substation to assure

that no deficiencies of this type existed there.

None were found.

In addition a review of other interfaces as described in the FSAR

was conducted and no deficiencies were identified.

It appears

that if this review had been adequate, the events discussed in

NCOR's86-224 and 86-228 would not have occurred.

Failure to take adequate corrective actions thereby preventing the

occurrence of the problems identified by NCOR's86-224 and 86-228

is considered to be contrary to the requirements of 10 CFR Part 50

Appendix B Criterion XVI and the FPC Quality Program section

1.7.1.16, Corrective Action, and is considered to be a violation.

-_ _ _

_ _ _ -

I-

!

'

..

17

Violation (302/86-38-10):

Failure to take adequate corrective

action to identify and correct problems in the 230 KV switchyard.

(2) NCORs86-204 and 86-205 reported that procedure SP-351, Nuclear

Services Flow Path Operability, was not adequately implementing

TS ' 4. 7. 3.1. a and 4. 7. 4.1. a.

These TS require that each valve

servicing safety related equipment in the Nuclear Services Closed

Cycle Cooling (SW) and Nuclear Services Seawater (RW) systems

which is not secured in position be verified in its correct

position at least every 31 days.

The inspector reviewed these NCORs for reportability and noticed

that. at least two- of the seven valves listed on an attachment to

the NCORs were manual isolation valves which serviced safety

related equipment.

These two valves (SWV-305 and RWV-26) supplied

the safety related portion of the Domestic Water (DO) system to

supply bearing flush water to the safety related nuclear services

and decay heat seawater pumps.

Procedure SP-351 should have

included these valves to comply with the TS but did not.

The

licensee identified this problem on November 14, 1986 and is going

to revise procedure SP-351 accordingly.

However, this matter was

not reported to the NRC via an LER within thirty days as required

by 10 CFR Part 50.73.a.2.i.B.

FailuretoreportviaanLERanyoperationorconditionprohibited

by the plant s TS is contrary to the requirements of 10 CFR 50.73.a.2.i.B and is considered to be a violation.

Violation (302/86-38-11)i

Failure to issue a LER.

(3) NCOR 86-188 reported that normally closed inboard containment

isolation valve AHV-1C was discovered off its seat during the

performance of a type B leak rate test in accordance with

procedure SP-177, Local Leak Rate Test of AHV-1A thru AHV-10.

The

inspector reviewed this NCOR and on December 9,1986, discussed

the results of the leak rate test with the leak rate examiner who

performed this test.

This test is accomplished by pressurizing

the air space between AHV-1C and AHV-10 (the associated outboard

containment isolation valve)' to Pa (the postulated post accident

reactor building internal pressure - approximately 60 psig) and

measuring the leakage rate from the two containment isolation

valves.

Since AHV-1C was not properly seated, the leakage rate

exceeded the test equipment capacity to pressurize this air space

and Pa could not be achieved (only approximately 25 psig could be

obtained).

Therefore the leak rate of this penetration could not

be determined.

The licensee was unable to obtain the as found

leak rate for the downstream valve AHV-1D due to plant conditions

but did perform a soap check of the seating surfaces of this valve

at the 25 psig pressure that was obtained.

The results of this

check revealed that this valve appeared to be seated properly.

- _ _ _ _ _ _ _ _ _ _

.

.

18

TS 3.6.1.2 requires containment leakage rates be limited to a

combined leakage rate of less than .6 La (maximum allowable

leakage rate at pressure Pa) for all valves and penetrations

subject to type B and C tests.

The inability of the licensee to

show that the limits of this TS were not exceeded (since the

leakage rate for the AHV-1C, AHV-1D penetration could not be

determined) placed the plant in a condition prohibited by the TS.

This situation should have been reported to the NRC via an LER

as required by 10 CFR 50.73.a.2.i.B and is considered to be a

violation.

This violation is another example of the violation

discussed in the preceding paragraph of this report (paragraph

6.b(2)).

(4) NCOR 86-226 reported that an engineering evaluation to verify

control room habitability, conducted on November 3,

1986,

identified that in June,1984, a sulfur dioxide tank had been

installed at the Unit 1 coal plant.

Due to the close proximity of

this tank to the nuclear unit, the licensee performed a conserva-

tive accident analysis for this tank and has determined that

unacceptable levels of sulfur dioxide could accumulate in the

nuclear unit's control room should a catastrophic failure of the

tank occur.

The licensee is pursuing additional protective

measures to ensure that a catastrophic failure to this tank does

not occur.

In a letter to the NRC dated December 18, 1986, the licensee

outlined the corrective action that was being performed to protect

the tank and provided justification to continue operating the

nuclear unit.

The low probability of a catastrophic failure of

the tank and a more probable accident analysis showed little

detriment to the safe operation of the nuclear plant.

However,

this letter stated that the following short term corrective

actions would be accomplished:

A sulfur dioxide monitor would be installed in the nuclear

-

unit's control room by January 30, 1987.

,-

A sulfur dioxide monitor would be installed at the sulfur

dioxide tank and this monitor would provide input to an alarm

in the nuclear unit's contral room.

This action would be

completed by February 15, 19o7, and,

Air breathing apparatus (air packs) would be provided in the

-

control room.

These air packs would be included in the

preventive maintenance program for air packs.

IFI (302/86-38-12):

Review the completion of the licensee's short

term protective measures for the sulfur dioxide tank.

- - __ _ _-

_ _ _ _ _ _ _

'

.

19

This letter further stated the following long term corrective

actions to be taken:

Complete permanent protective measures for the sulfur dioxide

-

tank by June 30, 1987.

Complete a report for 'the control room habitability review

-

by June 30, 1987 to determine if additional actions are

required, and,

Complete the control room habitability modifications in

-

Refuel 6.

IFI (302/86-38-13):

Review the completion of the licensee's long

term protective measures for the sulfur dioxide tank.

7.

Review of 10 CFR Part 21 Evaluations

An evaluation of NCOR 86-96 regarding the design nozzle loading on the steam

turbine of the emergency feedwater pump (EFTB-1) was reviewed to verify

compliance with 10 CFR Part 21.

No violations or deviations were

identified.

8.

Review of IE Bulletins (IEB) and IE Information Notices (IEN)

(Closed),IEB 86-03:

The inspector reviewed the licensee's response to IEB 86-03, Potential Failure of Multiple Emergency Core Cooling System (ECCS)

Pumps Due to Single Failure of Air-0perated Valve in Minimum Flow Recircula-

tion Line.

The licensee determined that the problem described by this

bulletin did not apply because of the design of these recirculation lines

at this facility.

Licensee action on this bulletin is considered to be

complete.

(Closed) IEN 86-106:

The inspector reviewed the licensee's activities with

respect IEN 86-106, Feedwater Line Break.

Upon notification of the line

break event that occurred at the Surry Nuclear Plant, the licensee formed a

" Pipe Rupture Task Force" to determine what pipe examination activities

could be accomplished while in their current outage.

The task force

identified 22 areas within the feedwater system that had similar flow

characteristics (i.e., elbows, high turbulence areas, etc.) to the area that

failed at the Surry plant and began Ultrasonic Testing (UT) on these areas.

This testing is expected to be completed prior to the end of the current

outage.

The results of the UT remain to be reviewed.

Inspector Followup Item (302/86-38-14):

Review the results of the UT on the

main feedwater piping performed due to the Surry event.

.-

-.

.

20

9.

Nonroutine Event Followup

On November 22, at 2:10 a.m.

the plant was in the hot standby (Mode 3)

condition.

Plant operators observed an increase in the Nuclear Services

Closed Cycle Cooling (SW) system activity with a corresponding increase in

thissystem'ssurgetanklevel.

Monitoring of the makeup and purification

.

system s makeup tank revealed that a reactor coolant system to SW system

leak had occurred.

The leakage rate was estimated at four gpm.

An unusual

event was declared and a plant cooldown was commenced in accordance with TS 3.4.6.2.b.

The leak was determined to be from the "A" makeup and purifica-

tion letdown cooler (MUHE-1A).

This leak was isolated and the unusual event

terminated at 7:50 a.m.

A NRC welding specialist inspector observed the cooler replacement and weld

repairs.

The results of this observation are documented in NRC inspection

report 50-302/86-40.

Further information on this matter can be found in

that report.

J

t

i

i

,


w-e

,,v--

e-ms-

m

--e-g

,

p-ra

- -

-,---~-,--,--------p-

ms-----w

4-,4.-a

m-y.,,w

---o-.

-,----es.


,wes

+-e

o.

-,-,m-e-m

.+ , -

e

ow-

.