ML20237L272

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{{Adams | number = ML20237L272 | issue date = 01/16/1987 | title = Forwards Partially Withheld Insp Repts 50-445/85-07 & 50-446/85-05 & Exhibits Commenting on Attachment Mm of Ofc of Inspector & Auditor Rept.Writing Style Abreviated & Comments Unedited Due to Imposition of 870116 Deadline | author name = Phillips H | author affiliation = NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION IV) | addressee name = | addressee affiliation = NRC | docket = 05000445, 05000446 | license number = | contact person = | document report number = NUDOCS 8708200155 | package number = ML20237K807 | document type = INTERNAL OR EXTERNAL MEMORANDUM, MEMORANDUMS-CORRESPONDENCE | page count = 776 }} See also: IR 05000445/1985007

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           /                  %                                      UNITED STATES
        g                     {'
                                                       NUCLEAR REGULATORY COMMISSION'                                                                                           j
       'rn p,.              /5j                                         REGION IV
                   , g,p         [                          611 RY AN PLAZA DRIVE. SUITE 1000
                 ,          ,
                                                                 ARLINGTON TEXAS 78011
                                                                                                                                                                                      ,
                                                                            January 16, 1987                                                                                          ]
                                              ,
                               MEMORANDUM FOR: NRC Headquarters
                               FROM:                      H. S. Phillips, Senior Resident Inspector
                                                          Comanche Peak Construction          ,
                               SUBJECT:                   COMMENTS.ON ATTACHMENT MM 0F OIA REPORT                                                                                      l
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                               As requested by the Region IV. Administrator, I have provided
                               information about the specific Concerns addressed in the Attach-
                               ment MM; however, this of course, does not include comments on all                                                                                   !
                               items listed at the back of Attachment MM.
                               Ray Hall directed that comments be furnished by 2:00 pm on
                               January ' 16,1987. Because of time constraints, the writing
                               style changes after commenting on 85-07/05 and became more abbre-
                               viated and the reader is directed to Exhibits in order to meet'
                               the imposed deadline of January 16, 1987. In addition, there
                               was no time to go back and edit comments on 85-14/11 and 85-16/13.
                               This document is furnished in an incomplete state.                                                                                                 ,
                               This information is provided in a sealed package that is to be opened

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                               by the Committee.

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                                                                                                  ,
                                                                              H. S. Ph 111ps
                                                                              Senior Resident Inspector                                                                             ,
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                                                                                                                                                                                    ,
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          .G7082OO155 870312
           PDR ADOCK 05000445
           0                                       PDR
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           Insrection Report 50-445/85-07: 50-446/85-05 (85-07/05)                      l
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                                                                                        t
           gpncern No. 1
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                            and PHILLIPS were concerned that Region IV (RIV)
           manageme,]t downgraded the violation, concerning failure to translate        1
                        a                                                               -
           des 2gn criteria into specifications and drawings, to an unresolved          !
           item in the. inspection report issued without giving sound NRC
           regulatory and technical baris and unresolved items require no action.         .
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                               ,
           In the inspection report (signed on October 2, 1986, by the onsite NRO
           supervisor and inspectors) the violation reads as f ollows:
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           "6.   Failure to Translate Desi an Criteria Into Installation                    l
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                 Speci f i cati ons. Procedures, and Drawinos: and Failure to Control
                 Deviations from These Standards
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                 "10 CFR 50, Appendix B, Criterion III, as implemented.by TUGCO
                 DAP, Section 3, Revision 3, dated July 31, 1984 3 requires that
                 measures shall be established to assure that applicable                    I
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                 regulatory requirements and the design basis, are correctly                l
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                                                                                 .
                 translated into specifications, drawings, procedures, and

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                 instructions.   These measures shall include provisions to assure

l that appropriate quality standards are specified and included in

                 design documents and that deviations f rom such standards are
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                 controlled.
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l 1 l " Contrary to the above, Unit 2 reactor pressure vessel

                     installation criteria such as centering tolerances, levelness
                    tolerances Esic3, and shoe to bracket clearances were:
                      (a) specified on Construction Operation Traveler ME-79-240-5500
                    based on NSSS vendor recommended criteria which had not been
                    translated into CPSES specifications, drawings, procedures, or
                      instructions; and (b) changed on traveler without appropriately                     {
                    documenting such engineering changes.
                      "This is a Severity Level IV Violations (Supplement II.E)                           i
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                      (446/8505-05)."                          ,
             The downg-aded item in the final inspection report reads as follows:
             "12.   Reactor Pressure Vessel and Internals Installation - Unit 2
                      "Thi s inspecti on was perf ormed by an NRC inspector to verif y
                      final placement of the reactor pressure vessel (RPV) and
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                      internals by examining the completed installation and inspection                     l
                     records.                                                                              i
                      "a.  Requirements f or Placement of RPV
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                           " Requirements for placement of the RPV to ensure proper
                           fit-up of all other major NSSS equipment are in Westinghouse
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                                                                             __    -______________-____w

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                                         Nuclear Services Divi sion (WNSD) ' Procedure for Setting of   !
                                         Major NSSS Components,' Revision 2, dated February 13, 1979,   )
                                         and ' General Reactor Vessel Setting Procedure,' Revi si on 2,
                                         dated August 30, 1974.   The NRC inspector reviewed the
                                         following drawings, which were referenced in the RPV
                                         operation traveler, to verify implementation of WNSD
                                         recommendations:
                                                                                                        l
                                         .    "NSD drawing 1210E59 ' Standard - Loop Plant RV Support
                                              Hardware Details and Assembly'
                                                                            .
                                         .    "NSD drawing 1457F27 ' Comanche Peak SES RCS Equipment
                                              Supports - Reactor Vessel Supports'
                                         .     "E drawing 10773-171-004 ' General Arrangement
                                              Elevation'
                                         .     "E drawing 10773-171-005 ' General Arrangement Plan'
                                         "Neither site prepared installation drawings nor
                                         specifications (which implemented the WNSD recommended
                                         procedures) were available and the drawings examined did not
                                         show certain specific installation criterion such as
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    __ - - - - - - - _                      _   _ _ . . _ - __-_.

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                                      centering tolerances,, levelness tolerances and clearance
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                                      between support brackets and' support shoes.
                                      "The inspector considers this matter unresolved.
                                      (446/8505-05)"-
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                                                                                                          .
                         PdILLIPS' Understanding of Concern No. 1
                                                                                                .
                         Reouiremerts:     The requirements (Exhibits 1, 2 and 3).incluue the
                         appropriate'10 CFR 50,: Appendix B criteria; Final Safety Analysis-
                         Report (FSAR); and Texas Utilities Generating Company ( T UGCO)
                         requirements.
                       .Theseirequirements require:             (1). design control interfaces between'     ,
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                         design organization, (2) the translation of design criteria into
                       ' specifications and drawings, and (3) the organizational
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                                         .
                                    .
                       - responsibilities must be described in the organization and program                 !
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                         sections of'the FSAR and Quality Assurance Plan (OAP).
                                                                                                              1
                         Noncompliance     With Reautrements:          The NRC inspection of the reactor
                         vessel' inst'allation activities identified a violation that appeared to
                         be more closely related to 10 CFR 50, Appendix             B,. Criterion III
                        '(Exhibit 1); however, the NRC inspectors reali:ed that violations of
                         'other criteria probably caused this violation.              Instead of writing
                         violations' of several criteria, the NRC inspector selected what he
                                                                                                     This
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                         considered the most significant violation and documented.it.
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          approach would allow TUGCO to address this specific violation and
          perhaps what appeared to be violations of other criteria when
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          addressing the corrective action necessary, cause of the violation,
          and steps necessary to prevent repetition.           As TUGCO was not required
          to take such acti on because the violation was downgraded as an
          unresolved item, NRC inspectors have identi-fied additional aspects of
          the violations which have been subsequently identified and are also
          discussed below,
                a.         Introduction
                                                             .
                           The NRC inspector found that Westinghouse Nuclec.' Service
                         Division (WNSD), " Procedure For Setting of Major NSSS
                         Components," (a Pittsburgh, Pennsylvania procedure and not
                          site specific) had no signatures which would. Indicate that
                          the document had been reviewed and/or authorized.       There was
                         no evidence that this procedure was reviewed and approved by
                          Gibbs & Hill (G&H) and integrated into a specification,
                                                                                             1
                          procedure, or drawing.   This also applies to TUGCO                 !
                          engineering.   It was not included in the site document             1
                                                                                              )
                          control system as it is probably not appropriate to do so as
                           it is a proprietary procedure with general application.
                          Westinghouse JW1 recommended that the customer generate a
                          detailed site specific procedure for WNSD site personnel to
                          revi ew; however, the next sentence disclaimed responsibility       ,
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                   for this activity with respect to W if the procedure,
                   specialist, or consultants were used.
                   As no .G&H specification, procedure, or drawing was developed
                   and placed in the document control system, it was impossible
                   to meet Criterion.III which requires the same organization
                   that specified the design criteria to review changes.       This
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                   happened because the installation criteria were simply taken
                   from an uncontrolled procedure and placed in an instruction
                   (the traveler); therefore, subsequent changes were not
                   approved by the original design organization.     This is
                   contrary to Criterion III which states, in part,
                   " Design. Changes, including field changes, shall be subject
                   to design control measures commensurate with thosa applied
                                                                                                    !
                   to the original design and be approved by the organizations
                   that performac. this origina.1 design unless the applicant
                   designates another responsible organization."                                    l
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                 . Failure of GLH to Perform Desion Interface / Coordination
                   f
                   l esponsibiliti es
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                   The TUGCO FSAR, Section 17.1.3 (Exhibit 2), and TUGCO DAP,                         l
                   Section 3.0, state that G&H is the architect engineer (AE)
                   and that GLH is required to control design interfaces and                         !
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             coordinate responsibilities and activities of participating

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             design organt:ations.    The reactor vessel installation is
             dependent on the configuration of ,the reactor containment
             building for which W has no responsibility.      The W procedure
             describes prerequisites which must be met prior to reactor
                                                                                 1
             vessel installation and it appears that G&H was responsible         i
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             for controlling such interfaces and coordinating such             ,
             interface activities.                                             l
             The NRC inspector found no such involvement by G&H, as
                                                                               !
             evidenced by a lack of guidance in any specification,
             drawing or procedure reviewed and approved by the AE.
                                                                               !
             This violates Criterion III and FSAR 17.1.3 concerning            '
             design interface responsibility.
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           . Failure to Describe Westinghouse Site Organization
             Responsibilities
             The NRC inspectors found that W site organization
             participated in revising design criteria; however, the FSAR,
             QAP, and implementing procedures do not describe any such
             design responsibilities.     In a January 15, 1987,
             conversation, the W site manager said they have no site
             design responsibility or engineering responsibility.
             WESTERMAN states in his testimony (page 73., July 10, 1986)
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          that W is a super Quality Assurance (DA) organization that
          is there to make sure the utility is not invalidating the
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         warranty.                                                      '
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         Note: Also, WESTERMAN had doubt if TUGCO was capable of
         auditing them.    This supports PHILL'lPS' concerns in        I
         Concern 3 below.    WESTERMAN contradicted this statement
         later by stating that W approved changes to design criteria
         on construction operation traveler (traveler) ME79-248-5SOO.
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        llllll(didnot identify the above failure to describe W
         responsibility on-site; however, this f ailure to describe
         the W site organization also violates Criterion I and II.
      .
         Failure to Include Westinghouse Recommended Desion Criteria
         Into Specifications. Proceditres, and Drawi nc s
        The NRC inspector found no evidence that W design criteria
        had been formally translated into the specifications,
        drawings and procedures; i.e., were not reviewed and
        approved by G&H,    W, or by TUGCO engineering.   Instead, the
        NRC inspectors found traveler ME79-2489-5500, which had heen
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        initiated in accordance with Brown & Root (B&R) construction
Procedure CP-CPM-6.3 (Exhibit 4) which makes no provisions

l l for design responsibilities as required in Criterion III of

        Appendix B to 10 CFR 50 or the TUGCO FSAR and DAP.      This

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      construction document provides great latitude f or expediting            ;
      construction.       It can be initiated and prepared by the              i
      construction superintendent'or discipline engineers.         It
      allows approval by the appropriate OA personnel who have no
      design responsibility.       Procedure CP-CPM-6.3 requires W to
      review the construction traveler but-there is no 04 program
       description or procedure that describes the W organization
       or responsibilities; therefore, neither W or B&R is
    . authorized to make design changes.        The B&R Quality Control
           (OC) inspectors are authorized to make minor changes;               l
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       however, other changes must be authori:ed by B&R DA.
       The W procedure (E:thibit 5) said it had no responsibility
       for interfacing the Nuclear Steam System Supplies (NSSS)
       with the plant structures.       The procedure.does recommend
    ' tolerances but takes no other responsibility.        Critorion III
       requires field changes to be reviewed and approved by the
       original organization.       The NRC inspector found that the
        design tolerr.nces on the traveler were not treated as
        engineering design criteria.      No engineering design change
        authorization (DCA) was processed and the traveler tolerance
        was changed by B&R construction, DA, and W representatives
        who had no such design responsibilities specifically                   !
        delegated to them in writing.
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                               This. failure to translate design re'quirements into
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                               specifications and. drawings is a violation of Criterion III
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                               and'FSAR, Section 17 '.' 1. 3.                                                                                       i

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                         ..    Failure to Follow Traveler Procedure                                                                                j
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                               Norman reviewed traveler ME79-248-5500 (Exhibit 6) for'
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                               compliance to tolerances and was either unaware of t ravel er
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                               Procedure CP-CPM-6.3 or apparently did not choose to review                                                       '
                               the traveler against.CP-CPM-6.3.
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                               PHILLIPS, during the OIA investigation reviewed TUGCO's and
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                               RIV management's' claim that this traveler is equal to                                                            !
                                                                                                                                               g
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                               detailed procedures which are signed and authorized by
                               persons having the 'procer authority.                          PHILLIPS' detailed                                  l
                               review-revealed the following deficiencies or noncompliance
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                               with the procedure, which means it cannot.be considered-a                                                         i
                               complete procedure'and they initiated the work with a faulty
                               procedure.
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                               (1)   Procedure CP-CPM-6.3 is geared to construction and does.                                                      J
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                                     not descr.ibe design responsibilities.                                                    As indicated in      i
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                                     paragraph 3.6.2 of the procedure, it assumes that                                                           j
                                       specifications, procedures, and drawings had been
                                     reviewed and. approved by design organizations and such
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                                     documents have.been collected or referenced in a                                                            ]
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       :-____________-________
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  M                                                                                  .

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                                                                 traveler package which shows how each construction step
                                                                 is to'be accomplished to achieve the design shown in
                                                                 drawings, specifications, etc..                              No where in this
                                                                 procedure did it delegate the authority to change-
                                                                 design documents cricriteria.                            W responsibility was not
                                                                 described other'than to acknowledge'their review for
                                                                 commercial considerations.
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                                                            <(2) Traveler Procedure CP-CPM-6.3, Revision 5 required the                            l
                                                                 traveler package either contain or reference
                                                                 appropriate drawings, pr ocedttr es , instructions,
                                                                                                            ,
                                                                 manufacturer'r, manuals /guiuelines, or other.information
                                                                                                                                                   !
                                                                 necessary to accomplish the the activity.
                                                                              -
                                                                                                                                         Traveler  i
                                                                 ME-79-248-5500 did not. reference the W procedure for
                                                                 setting major'NSSS components and did not incorporate
                                                                 all of this procedure into the traveler; i.e., the
                                                                 traveler did not show that all prerequi si tes' or
                                                                 conditions were met prior to installing the vessel
                                                                 which would be Step 1 on the traveler.                                            ]
                                                                                                                                                    )
                                                            (3)  CP-CPM-6.3 required that drawings and procedures be
                                                                 ref erenced and the revision level be provided.                               No
                                                                 revision level was provided for drawings W12iOE59,
                                                                 W1457F27, C-E 10773-171-004, C-E 10773-171-005 and
                                                                                                                                                     !
                                                                 mechanical installation Procedure MCP-1.                                            I
.
    .

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                 (4) Step 6 of the traveler did not spectiscally state "not
                     less than 1 inch," as stated in Step J of the W vessel
                     setting procedure.
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                 (5) Revision 4 (Step 11 of the traveler) changed the 757,
                     contact required by the W procedure to contact area
                     acceptable to W.     In this case, the uncontrolled tl i
                                                                                             ;
                     procedure was ignored without an engineering change                      l
                                                                                             )
                     being processed.    W responsibilities onsite were not                  !
                     described in the TUGCO FSAR, Section 17.1.3, or DAP;
                     however, these documents did assign this responsibility                  ,
                                                      *
                                                                                             ?
                     to G&H and TUGCO.     Because W had no design
                     responsibility onsite.      Without a description of.W in
                     these documents, the W representative may be anyone;
                     i.e., requires no technical e:: p er t i se.
                 (6) Revision 3 documented the violation of Step i for
                     minimum engagement for guide pins.        The same comments
                     apply as for Revision 4.
                 (7) Revision 2 deleted the machining requirements without
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                     engineering review and justification.        The same
                     comments apply for Revision 4.
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                 (8) Revision 5 changed the t equirement to 0.020" for each                     i
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                     side of the vessel supporting to a range of 0.015 to
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                                        13
              0.025" for each side.   The same comments as for
              Revision 4.
         (9)  The W representative accepting revisions / deviations of
              the construction trave;er does,not appear to be the
                                    .          ,
              same as the person who approved the original traveler.
              CP-CPN-6.3 required thos e who reviewed and approved the
              traveler during preparation must review and approve
              major changes to the proce(/ e.    Since W
              responsibilities were not described, there is no way to
              identify who in the W'on-site organization or other W
              organi:ations was authori:ed to change the uncontrolled
              procedure to the construction traveler.
         (10) Considering that the construc'. o   traveler wat ured
              instead of a procedure (reviewu. and approved by the
              appropriate design engineering and QA/DC or gani:ations)
              nonconformance reports (NCRs) should have been written
              when the required tolerances were violated.    As a
              mi ni mum, appropriate site engineering and Q4/DC
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                                                                              I
              organi:ations should have dispositioned such
              deficiencies.
                                                                              !

In September 1985 and presently, Phillip's understands the initial violation and reali=ed then and now that there are several other potential violations in addition to proposed violation which

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                            was dropped; i.e., additional violations-of Criterion 1 and
                            Criterion II as TUGC0 f ailed to describe OA W in program; violation of
                           Criterion V-- failure to follow procedures; Criterion VI--failure to              !
                                                                                                             1
                           control documents; and Criterion XV--failure to write NCRs.           Neither
                            B&R construction, QA or i even justified chanQes to informal W                  j
                           documents and in some cases gave arbitrary tolerances.         There was more
                            than enough information to cite the originally proposed a violation.
                           Phillio's Understanding of Handlino/ Mishandling Concern 1
                                                                                                              l
                            Backorcunds'             directed PHILLIPS to : syiew the NRC MC 2512
                            inspection program in October 1984 and du.-ing this review of the NRC            ,
                                                                                                             i
                           Form 766 program covering 10 years, it was f ound that the storage and
                          -handling was observed by the senior resident inspector but the
                            installation of the vessel was not inspected in accordance with
                            inspection Procedure (IP) 50053.        Frocedure 500538 showed completion
                                                                                                             i
                           by a RIV inspector in the Inspection Report 80-26; however, vessel               -j
                            i nst al l at i on was really not observed as reported in tt  NRC Form 766.
                                                                                                               1
                           PHILLIPS subsequently learned that CASE, the intervenor, had submitted

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                           Contention 5 (Exhibit 7) to the Atomic Safety and Licensing Board
                             (ASLB) which stated that TUGCO f ailed to adhere to " tality
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                           assurance / control provisions, Appendix B of 10 CFR 50, and the
                           construction practices f or various wort: and specifically the placement
                           of the reactor vessel for Unit 2.
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                                            15
                                                                                                                  .
 In late 1984 and early 1985,                      and PHILLIPS decided
 that the installation of Unit 2 should be inspected to the degree                                                i
 possible (since installation was completed July 26, 1979) because NRC
 inspection of the actual installation was not apparent and this issue
 would likely be covered during the hearings.      When WESTERM4N replaced
        and assumed responsibility for the RIV ' Comanche Peak Task
 Group, PHILLIPS discussed these issues with him and the importance of
 the inspection.
 En addition to this inf ormation, PHILLIPS and WESTERMAN were aware of
 findings in " Miscellaneous Item 2, Reactor F'ressure Vessel," of
                                                 ,
 NUREG-0797, Supplement 8 (Exhibit 8), which describes problems found
 with regard to installing the Unit i vessel.      In this case, a design
 change was not properly coordinated between W, GLH, and TUGCG to
 assure that design requirements were incorporated into project
 specifications, drawings, procedures, and instructions / travelers.
 This f ailure to interf ace resulted in deficiencies;   i.e., reactor
 vessel and insulation to the reactor vessel cavity fit, caused
                                                                                                                    l
 unacceptable conditions which were identified during hot functional                                                !
 testing.
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                                                                                                                    \
 PHILLIPS was also aware of another deficiency (Exhibit 9) which should                                             l
                                                                                                                    )
 have been reported as a 10 CFR 50.55(e) deficiency.      On February 20.
 1979, TUGCO reported that a major error had been detected in the
 design of Unit 2 reactor vessel support structure;     i.e., the reactor
 vessel support shoes, their ventilation duct work, and surrounding

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                       reinforcing steel had been rotated 45 degrees from the correct
                       positions.     Apparently, just prior to installing the vessel, TUGCO
                       learned that the reactor vessel would neither match the vessel support
                       feet nor would the piping system fit the other reactor loop
                       components.     This appears to have been caused,by enother design
                                                                        .                         >
                       interface problem;    i.e., not assuring that prerequisite for vessel      !
                       setting were acceptable as construction proceeded.
                       Properly Handlino:     PHILLIPS provided this background information to    ,
                       NORMAN prior to helping him prepare for his inspection and explained
                       vessel insta11at$on Procedures IP 50051, 50053, and 50055
                       (Exhibits 10.a,    10.b, and 10.c) which require review of procedures,
                       observation of work in progress or completed work, and review of
                       records.     HUNNICUTT, RIV supervisor on-site, directed'IEEEEkta
                                                                                 E
                       inspect the area and report his inspection findings.       These findings
                       were submitted to HUNNICUTT, the reviewing supervisor, who was
                       stationed on-site from early 1984 through July or August 1985.       On
                       June 10, 1986, thisviolationwasreviewedbylllllllkRIVBranch
                       Chief, and HUNNICUTT, prior to the management exit interview.       It was
                       reviewed during the exit interview with MERRITT, TUGCO Construction
                       Manager; HALSTEAD, TUGCO Site QA Manager; and WELCH, Site QC
                       Supervisor; and they all acknowledged the violation.      TUGCO
                       representatives were also well aware of this violation in advance of
                       the exit meeting.

i

_ -__ ________-

                                                          17
               -CUMMINGS, a second Senior Resident Inspector, took the lead with
                respect to writing the report.   The draft report (Exhibit 11) was
                completed.   HUNNICUTT asked PHILLIPS to review only the paragraphs of
                the report which he had written because PHILLIPS had several special
                projects assigned, including involvement with South Texas hearings and
                the Houston Lighting & Power vs. Brown & Root ' lawsuit.   PHILLIPS had
                almost no involvement with @ inspection and findings at this
                point other than routinely discussing inspection results with him.
                PHILLIPS tssumed responsibility for reviewing the final draft report
                for accuracy when CUMMINGS left the site in August 1985.
                                                             ,
                                                                             About
                                                               '
                September 1985, WESTERMAN asked PHILLIPS to become technically
                involved and to review           findings because HUNNICUTT and
                CUMMINGS were no longer on-site.    Also, in late August 1985, TUGCO had
                complained that they did not agree with all of             findings.  In
                late August or early September 1985, PHILLIPS and           met with
                TUGCO representatives who presented information concerning
                findings.   The information presented at this time should have been
                readily available to TUGCO during the inspection and well before the
                exit.   In any event, TUGCO should have responded within at least a day
                or two after the exit meeting to show compliance.     Refardless,llllllk
                agreed to limited changes based on information presented in these'
                meetings.   PHILLIPS also arranged for discussions between BOSNICK, NRC
                headquarters,         and PHILLIPS.   The final report was revised to
                reflect these changes and on this basis PHILLIPS signed and concurred
                           HUNNICUTT also signed on Octobe;      1985 (Exhibit 12).      I
                with it.                                     2,                          j
                                                                                         i
                                                                                         i
                                                                                         l
                                                                                         l
                                                                                         l
                                                                        *
                                                                                         l

_ _ _ _

                                                                                     !
                                                   18
       Mishandling:    WESTERMAN replaced HUNTER in August-September 1985;
       JOHNSON replaced DENISE; and HUNNICUTT was removed from site.        The
                                                                                    .
       mishandling occurred shortly after WESTERMAN and BARNES were assigned
                                                                                    s
       to the RIV Comanche Peak Task Group and came on-site.       According to
                                                                                     l
       WESTERMAN's July 20, 1986, statement, it appears that WESTERMAN sought        I
       out TUGCO personnel who were following up on the report because in his
       mind, he questioned the violation concerning Item 10 in Exhibit 11;
       i.e., where the NRC inspector was unable to retrieve records.
       WESTERMAN further stated that he knew TUGCO's system was not fast but
       they have always been able to come up with documentation.        As a result
       of TUGCO's abilsty to retrieve one single piece of paper two months
       after the exit, WESTERMAN launched into a reinspection of virtually
       all            findings.  WESTERMAN directed PHILLIPS to review
       findings and meet with TUGCO to listen to their disagreement with
                                                                                    i
                  findings.  PHILLIPS does not recall TUGCO's ever disagreeing
       with this Concern No. 1 in those meetings but they did disagree with
       some findings on the ASME Section III Code.
       The final inspection report (Exhibit 17.a) was forwarded for NOONAN's        l
       review and apparently HAUGHNEY's comments were taken as an opportunity
       to make additional changes.     In this case, a consultant, who had
                                                                                    '
       reviewed and inspected nothing, was used to counter the inspector's
       detailed review and inspection.     WESTERMAN subsequently met with
       and/or had long and loud conversations with PHILLIPS and
       several times between September 1985, and January 1986.                 as
       badgered and harassed, for no good reason, to change his findings.
                                                                                    1

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

                                                                    19
                               disagreed with WESTERMAN each time he tried to persuade him
                     that Concern No. I was not a violation.         WESTERMAN attempted to
                     solicit PHILLIPS support to convince                this was neither a
                     violation or an unresolved item.         PHILLIPS did not support WESTERMAN       .
                                                                                                       l
                                                                                                       l
                     but agreed with           and r.tated that this was clearly a violation.       -
                     WESTERMAN's attitude toward PHILLIP's changed at this point and
                       pressure and harassment to weat PHILLIPS down continued until the
                                                                                                       f
                       present.
                       It Was WESTERMAN's responsibility to escalate the differences but
                                        .
                       instead WESTERMAN ignored the differing prof,essional opinions of both
                               and PHILLIPS and directed that the violation be downgraded to
                       an unresolved item without basis (Exhibit 13).        This also appears to
                                                                                                  ,   !
                       be inappropriate as it appears that              and CUMMINGS were not
                       contacted to get their understanding, advice, or concurrence on such
                       changes to the report.    It is not clear as to whether HUNNICUTT was
                       informed of the difference and changes.
                       PHILLIPS signed the report in October and thought that WESTERMAN had
                        in some way resolved the issue with             Jefore JOHNSON signed the
                       report on February 3, 1986.      PHILLIPS later became aware that
                       had refused to sign the report and never had agreed with downgrading
                        the violation.
                                           stated their difference of technical opinion
                        concerning changes in the final inspection report.        JOHNSON, HALL,
                                                           _
                                                             _ _ - - - _ _ _ _ _ _ -          .
                                                                                                   I
                                                                                                   l
                                                                                                   l
                                                                                                   l
                                               20                                                  l
 WESTERMAN, and BARNES had a meeting with                                            on
 February 25, 1986, but PHILLIPS was not invited to this meeting.                       RIV        l
 management simply ignored PHILLIPS, CUMMINGS, and perhaps HUNNICUT1 as
 they were not allowed to attend.      If RIV management had required all
 to attend, differing professional opinions would have resulted.                                _.
                                                      *
                                                                                                 <
 PHILLIPS Understanding of Safety Significance
 This concern is significant from several standpoints such ass
 (1) Contention 5 licensing issue, (2) failure to NRC management to
 regulate instead of promote the licensing of Comanche Peak Steam
                                                  ,
 Electric Station (CPSES), (3) TUGCO's QA program   I   and plan
 deficiencies, (4) technical deficiencies, and (5) differing
                                                                                            i
 professional opinions.
 1.    The significance of Contention 5 is that it claims that quality
       assurance / control provisions required by the construction permits
       and Appendi>: B of 10 CFR 50 were not adhered to concerning the
       placement cf the reactor vessel for Unit 2.        It appears that the
       1UGCO quality program was not properly controlling all aspects of
       this activity; however, NRC management refused to issue a
       violation which would have assured TUGCO would take appropriate
       corrective steps.

l l

 2.    WESTERMAN, supported by BARNES and JOHNSON, made it clear to
               and PHILLIPS that they were e>:pected to promote the
   ..
 a
                                                                                                                        a
                                              ^21
                                                                                                                           i
          licensing process and to do the work for TUGCO by going to                                                        j
          extremes to help them show compliance.    The two'NRC inspectors

L were held to unrealistic performance standards concerning.how far

                                                                                                                           i
          one must inspect after a violation is: identified, in this                                                        j
                                                                                                                           )
          instance,.while expecting little or no performance.from TUGCO to
          show compliance in a-reasonable period'of time.                                                             '
                                                                                                                           i
                                                                                                                           !
      3.  The TUGCO FSAR and QAP describe the design responsibilities;
         'however,-it appears that G8<H did not discharge their-
          responsibilities regarding.the coordination of design
          responsibilities pertaining to civil structural, and NSSS
                                                                                                                            c
          component interf aces as evidenced by their f ailure to develop                                                  i
                                                                                                                          '!
                                                                                                                          o
          specifications,or. drawings which would incorporate W installation-
          criteria. . Similar problems were experienced. concerning the
          vessel supports for Unit 2, which should have reported as a
          construction deficiency, and if identified may have identified
          this problem as part of the corrective action.    The onsite W
          group responsibilities were not described -in the FSAR, QA Plan,                                                   ,
                                                                                                                             i
          or other-procedures; therefore, W activities are not under the
          control of the TUGCO program and this is significant as,
          according to WESTERMAN, they were apparently performing
          engineering design functions.   Travel er Procedure CP-CPM-6.3 was                                                 l
          supposed to be equivalent to a detailed procedure; however, the                                                    I
                                                                                                                              1
                                                                                                                             1
         ' failure to follow this procedure defeated this premise.                                              It is
                                                                                                                             i
          unrealistic to expect the traveler system to include all design
          criteria and be a. design control document.
                                                                                                                             .
                                                                                                                             (
                                                        *
                                                              _ _ _ _ _ . . . _ _ . _ _ _ . _ _ _ _ _ _ _ _ _ _
                                                                                                                !
                                                                                22                              5
                                                                                                                f
                                     4.                     and PHILLIPS do not agree with the statement that
                                                                     '
                                         'OIA concludes no hardware problem exists.      Only the AE NSSS and
                                           TUGCO can jointly determine this.    NRC inspectors perform general  i
                                           inspections of design, procurement, and construction on-site, but    ;
                                           usually have little or no design engineering experience.             l
                                           Therefore, few NRC inspectors are qualified to evaluate the
                                           complex design of the plant.    Instead, NRC inspectors assume that  l
                                           design criteria is specified by the AE or other design
                                           organizations and inspect for compliance to such criteria.      When
                                           noncompliance   are identified, a violation is issued concerning
                                           failure to meet this criteria and then;,TUGCO and the design
                                           engineering organization are required to evaluate this deficiency
                                           and take appropriate action.    Since no violation was issued
                                           relative to this concern, the overall technical significance is
                                           unknown until either TUGCO or NRC engineers, with design
                                           expertise, fully evalu' ate all aspects of these deficiencies.    It
                                           is also unclear as to whether the prerequisites for vessel
                                           setting (Steps 1-19 of W procedure) were met as they were neither
                                           referenced nor checked off on the traveler.      Failure to meet the
                                           prerequisites could cause design interface problems with other
                                           components because all they depend on acceptable installation of
                                           the reactor vessel.
                                      5.                    and PHILLIPS have all been ostracized,
                                         I
                                           downgraded, defamed, disfranchised, and penalized for having
                                           differing professional opinions with JOHNSON. WESTERMAN, and

4 a

 _ _ _ _ _ _ _ _ _ _ _ _ _ . _ _ _ _

_-

                                   ,
                                                                                               i
                                                            23
                                                                                               l
                      BARNES.   They have been ridiculed to their peers, who have
                      carried away these attitudes and in some cases, false rumors.
                      WESTERMAN, acting as an agent of JOHNSON, harassed and pressured
                            ktochangehisfindingstothepointthatheprobablywould
                                                                                           ~
                      have given up if PHILLIPS had joined forces with WESTERMAN and
                      JOHNSON.   Despite            and PHILLIPS' differing opinions, this
                      violation was downgraded without sound regulatory or technical
                      support.   Subsequent meetings on these differences have shown
                      inspectors the futility and dangers of expressing differing
                      opinions.   This message has a chilling effect on inspectors and
                      leads inspectors to take the easy way and that way is to simply
                      avoid differences by never. documenting violations.    The cafety
                      significance of this ef f ect is unmeasureable because nf the great
                      influence that the NRC has on licensees and applicants.
                                                                                             i
                      The changing of reports after the inspectors have signed and
                      concurred is unprof essionsl .   Again, the message is so strong
                      concerning differing opinion, that the health and safety of the          l
                      public is not well served.
                      This appears to be a persuasive RIV mamagement attitude.     It is
                      so strongly promulgated that RIV inspectors soon learn to conform
                      to the " party line" and sit back, relax, and draw their pay.            I
                              says it quite well in quotes shown in Exhibit 12.b.
                                                                                               l
                                                                                               l
  _ _ _ _ _ _ _ _ _ _
                                                                     _ _ _ .             ______
                                           24

Concern No. 2 q PHILLIPS was concerned that RIV management downgraded violation (described below) to an unresolved item and because sound regulatory and technical basis were not provided to support their action. Also unresolved items are a concern because they do not require TUGCO to respond to the NRC to explain the corrective action, cause'and future prevention of the violation.

In the signed inspection report the violation reads as f ollows:                                     l
                                               .
"7.  Failure to Maintain Tolerances Recuired and Failure to Reoort
     Tolerance Deviations on a Nonconformance Report
                                                                                                     i
"10 CFR 50, Appendix B,  Criterion IV as implemented by the TUGCO QAP,                              1
                                                                                                     i
Section 15.0, Revision 2, dated May 21, 1981, requires that measures
shall be established to control materials, parts or components which
do not conform to requirements; and nonconforming items shall be
reviewed and accepted, rejected, repaired; or reworked in accordance
with documented procedures.
      " Brown and Root Quality Assurance Manual, Section 16, dated
      March 27, 1985, requires that unsatisfactory conditions
      identified on process control documents shall be identified on a                               l
      nonconforming report.
                                                                                                     .
                                                                                                     i
                                                               - - .         _____.__.._____________a
  _ _ _ - -

)' 1.

                                                                                   !
                                                                                    ,

l 25

                  " Contrary to the above, clearances between the reactor vessel
                 support bracket and support shoes were not within the original or
                                                                                    I
                 reviseJ. permissible tolerance stated in Construction Operation   )
                                                                                   i
                 Traveler ME79-248-55 and the deviation was not reported on a      {
                                                                                      l
                                                                                   ^
                                                                                      l
                 nonconformance report.
                                                                                   I
                 "This is a Severity Level IV Viol ation.   (Supplement II.E)
                  (446-8505-06)
                                                                                   ,
            Violations which were dropped or downgraded to unresolved do not
            receive the following treatment:             ,

l i

            " Pursuant to the provisions of 10 CFR 2.201, Texas Utilities Electric

I

            Company is hereby required to submit to thic office, within 30 days of
            the date of this Notice, a written statement or explanation in reply,
            including: (1) the corrective steps which have been taken and the
            results achieved; (2) corrective steps which will be taken to avoid
            f urther violations; and (3) the date when full compliance will be
                                                                                   i
            achieved.   Consideration may be given to extending your response time  ]
                                                                                    I
                                                                                     4
                                                                                      '
            for good cause shown."
            The final inspection report issued February 3, 1986, dropped these        j
                                                                                    l
                                                                                      l
            findings.   The items just disappeared.
                                                                                      l
                                                                                      I
                                                                                      ,

e' _mi

 _ _ _ _ _      _ -
                                                                                                              3
              '
                                                                                                              b
           1
                                                             2o
                                                                                                              $
                                                                                                              I
                                                                                                              4
             ,_ ?ILLIPS' -' Underst andi nc of Concern No. 2                                                   '
                                                                                                              I
             Fecuirementsi.    Tne requirements are described in the appropriate                              !
                                                                                                              i
                                                                                                              1
             Criterion XV of Appendix B to 10 CFR 50, TUGCO FSAR and QAP, and B&R                             j
                                                                                                              i
             QA Manual (OAM) (Exhib'ts 1, 15, and 26).          These documents require the
             identification and correction of devi ations, d'ef i ci enc i e s , defective
             material and equipment, and nonconformances.                                                     l
                                                                                                              I
                                                                                                               l
                                                                                                              l
             Noncompliance witb requirements:        PHILLIPS reviewed              finding
             and violation which had been approved by previous supervision l
             and 'HUNNICUTT) .    In September discussions with               related to                      I
             Concern No.    1, it was apparent to PHILLIPS that               understood the
                                                                            \
             issues-and had identified a second -violation;        i.e., failure to
             document out-of-tolerance conditions and have appropriate engineering
             organizations evaluate the nonconforming condition.
             PHILLIPS subsequently inspected the vessel installation and identified
             other instances where a NCR and/or DCA would have been appropriate.
             See di scussion in Concern No.      1. (PHILLIPS' Understanding Of The
             Concern) which discusses revi sions to the traveler to disposition                               l
             neveral failures to meet W tolerances.
                                                                                                             I
                                                                                                              i
                                                                                                               1
                                                                                                               l
                                                                                         _____________-_______
                                                                                 _
                                                  27
   PHILLIPS' Understanding of How Concern No. 2 was Minhandled
   Same as Concern No.      1.
   PHILLIPS' Understands r.o of Safety Significance
                                                                                   l
                                                                                   l
   This concern is an extension of Concern No. 1 and the safety
   significance is virtually the same.
   Concern No. 3
                                                     .
 ,                    and PHILLIPS were concerned that RIV management
   downgraded               vi ol ati on (described below) to an unresolved item
                          >                                                        1
                                                                                   i
   and because sound regulatory and technical basis were not proviced to
   support their action.       Also, unresolved items do not require TUGCO to      ,
                                                                                   l
   respond to the NRC to enplain the correction, c&use, and future
   prevention of this violation.
                                                                                    l
                                                                                    l
                                                                                   1
                                                                                   l
   The f ollowing viol ation was originally proposed on October       2, 1986,
   (Enhibit 11).                                                                   l
                                                                                   l

9

     - _ _.              -                                                         .-

.

                                                                                             l
                                                          28
                                                                                             l
                                                                                             '\
 "8.        Fail ure to Audi t' RPV Speci f i cat i ons/ Procedures 1__ Installation _ar ld
            As--bu i I t Records
                                                                                             1
                                                                                             i
            "10 CFR 50, Appendix      D, Criterion XVIII as implemented by thn
                                                                                             i
            TUGCO Quality Assurance (QA) Plan, Section 18.0, hevision 2,
            dated July 31, 1984, requires that a comprehensive system of
            planned and periodic audits be carried out to verify compliance
            with all aspects of the quality assurance program.
            " Contrary to the above, there was no evi dence that TUGCO had
            audited either Unit 2 reactor vescel installation specifications,
            placement procedures, actual hardware placement, or as-built                    y
                                                                                             l
            records..
            "This is a Severity Level IV Violation.              (Supplement II.E)
             (446/8505-08)."
 The downgraded item in the final report ( E:< h i b i t 13) reads as follows:
            "d.    Recorde of DA Audits or Surveillance
                   The NRC inspector requested TUGCO QA audits or surveillance
                   per f ormed by TUGCO of the Unit 2 RPV installation.               TUGCO
                   did not make available any documentation of an audit or
                                                                                             I
                   surveillance which evaluated specified placement criteria,
                   placement procedures, hardware placement, or as-built
                                                                                               1
                                                                                             1
                                                                                             l

- - - - - _ _ _ -

                                                                                                        l
                                                                        29
                                       records.   This item is unresolved pending a more
                                       comprehensive review of these activities (446/8505-07)."
                          NOTE: See Exhibit 11 and 12 for report details that explain the basi s
                          for these violations which were described in.the Notice of Violation.
                          PHILLIPS' Understanding of Concern No. 3
                          Requirements:      The requirements for auditing (Exhibit 1, 17, 18
                          and 19) include Criterion XVIII of Appendix B to 10 CFR 50 and TUGCO
                          FSAR, Section 17.1.18; and QAP, Section 18.       llllllldidnot     include a
                          reference to BLR QAM Section 19.0 and implementing procedure OAP-19.1;
                          however, BLR also had responsibility to audit the installation of
                          mejor NSSS components but no evidence of such audits have been found.
                          Also, both TUGCO and BLR were required to implement ANSI N45.2.12,
                           " Quality Assurance Program Auditing Requirements for Nuclear Power
                          Plants."      Criterion XVIII requires a comprehensive system of planned
                           and periodic audits bs implemented to verify compliance with all
                           asnects of the quality assurance program and to determine the
                           effectiveness of the program.      ANSI N45.2.12 (Exhibit 10) describes,
                           in detail, the minimum requirements to meet Criterion XVI11 of
                           Appendin B and specifically addresses the need to plan the audit
                           program which includes auditing complex activities.        The W
                           installation procedure (a complex activity) states that the reactor
                           vessel must be set correctly as it is key to installing all other
                           major components.      In this case, there was not only a requirement to
                                                                             .
              _ _ _ _ _ _

- _ _ _ _ _ 1

                                                                                                     i
                                                                      30
                           audit complex vessel installation activities, but also a requirement
                           (Enhibit 18, paragraph 3.4.3) to perform supplemental audits because
                           of previous quality and design problems; i.e., the reactor vessel
                           cupports were installed some 44     out-of-tolerence and relates to
                           f ailed design interfaces between G&H, W, and.TUGCO.
                           Noncompliance with Requirements:            requested audits of the
                           reactor vessel installation because of Concern No. 1 and 2, and
                           previous installation problems.            inspected to determine why
                           TUGCO had not identified failure to control design in Concern No. 1
                           and to issue a nonconformance on out-of-tolerence conditions as
                           der.cribed in Concern No.  2.  He contacted C. WELCH, TUGCO Site DC
                           Supervisor, to determine if audits had been performed concerning the
                           installation of the Unit 2 vessel.     TUGCO found no audits of these
                           ottivities and the NRC inspector was also inf ormed that no
                           surveillance   were performed.
                           This failure to audit this complex and critical NSSS activity is a
                           violation of Criterion XVIII of Appendix B to 10 CFR 50.
                           PHILLIPS' Understanding of How Concern No. 3 Was Handled / Mishandled
                           The basis of the mishandling starts with the philosophy described in
                           Exhibit 126.   In order to understand the handling and mishandling o1
                           this specific concern, it is important to understand the background
                           concerning TUGCO's audit program.     Also, this f ailure to audit cannot

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

                                  -
             .                                                                           ,
                                                                                           I
                                                                                          I
                                            31
                                                                                         l
 be considered an isolated case where the audit program did not work                     4
                                                                                         !
 which is supported by comments in d t ? nent paragraph.
 Backcround:    TUGCO obtained their construction permit December 19,
 1974.  The CA program delegated certain audit responsibility to the
                                                  ,
                                                                                         )
 AE, NSSS, and the constructor.     Because of their dissatisfaction with
 GLH, AE, and the contractor, B&R, TUGCO took away certai n
 responsibilities from these organizations and one specific function
 was portions of the audst function.     TUGCO Unwisely assumed audit
 responsibilities that a highly experienced licensee usually does not
 assume and as a result, the TUGCD audit program has been continuously

i !

 deficient.    A 1984 NRC inspection of TUGCO's audits of W site and
 TUGCO si te activi ties revealed violations which were documented in the
 Inspection Report G4-32/11 (Enhibit 20).      It also appeared that BLR
 site work activities had not been properly audited.           As the BLR audit
 program was also suspect, this inspection was to be continued by C.

l l HALE's group on-site. Specifically, as the second part of the

 84-32/11 inspection was to similarly review the BLR audit program,
 PHILLIPS was unable to complete the inspection due to limited

,

 resources and other assignments.

l l

 In addition, one must also consider that three consultant's reports,
                                                                                       i
 by LOBBIN and Management Analysis Corporation (MAC) indicated that in
 1976, 1977, 1978, and 1982, serious problems entsted in the TUGCO and

f B&R OA program; however, it appears that TUGCO took little or no

 corrective action to correct these deficiencies.      One of the

l - --- ---- - - - - - - _

   - _ - _ _ _ - _ . __ - _ _. . _ _ _ .
 1
                                                                        32
                significant findings that was common to TUGCO and B&R in these
               consultant's reports was ineffective audit programs.                   Since the eudit
               programs validate the other 17 criteria of Appendi:: D to 10 CFR 50,
                this is significant because of the impact on many other areas which
               may be deficient and go undetccted.

' PHILLIPS also found that the NRC had not performed an in-depth review

                of the TUGCO corporate office from 1974-1984.                  Because of this,
                previous violations and f ailure to perf orm required IE inspecticn,
               PHILLIPS has emphastred the inspection of onsita Audits by TUGCO and
                                                                                       ~
                B&R to determine what activities have or have not been audited by
                TUGCO and D&R.                 In cases where audits have not been performed,
                RIV management takes the position that there is nothing that can ba
                done as the opporutnity to audit has been lot.                  This is not entirely
               accurate as those activities can still be audited through the review
                oT completed work recorts and accessible attributes for equipment or
                components may still be observed as a part of the audit.
                In 1978, MAC (Enhibit 21) conducted an audit of TUGCO which was highly
                critical of many TUGCO DA program areas such as organization, design,
                                                                                                       ,
                procurement, complicated procedures, inadequate inspection criteria,
                in-service inspection markings, e::clusion of proper engineering of
                nonconformances, records storage facility, and an inadequate audit
                program.                 These areas impacted technical work.   Although Concern No. 3
                relates to audits, the audit program is responsible for assuring these
                other deficiencies do not exist.                  Subsequent NRC inspections have
                                                                                                        i
                                                                                                                i
                                                                                                                I
                                                                                                                 l
                                                                                                                 l
                                                                                30
                                 shown that correc ti ve action was not taken on these ceficienc)es until       I
                                                                                                                l
                                 1984 and 16 some cases certain of these corrective actions were not
                                 effective.     In May 1985, PHILLIPS received the ASLB Notification from       I
                                 TUGCO attorneys, WORSHAM, FORGYTHEe SAMPLES & WOOLIDGE memorandum
                                 (Exhibit 22), dated May 29, 1995.        According.to this memorandum, it
                                 appeared that TUGCO made a material false statement to PHILLIPS during
                                 the NRC 84-32/11 inspection of corporate oanagement as they said they
                                 had no other consultant report        but they had this report thi         was
                                 critical of the areas that PHILLIPS was inspectino.            The NRC
                                 investigat. ion and resulting of NRC Board Notificat,an 85-067 and
                                 85-076 (Exhibit 23) 9confxrmed this material f alse stJtement; h7 wever,
                                                                                    ,
                                 01 failed to confirm an additional mat eri al false statement ab ot,t
                                 TUGCO's knowledge of the MAC audit of B&R.
                                 In January 1956,      PHILLIPS followed up on these MAC audits and found
                                 that in 1986, TUGCO and B&R had still not taken complete and effective
                                 corrective action concerning their audit programs.            iN m4Y 1986,     j
                                                                                                                i
                                 PHILLIPS wrote violations for failure to take corrective action but in
                                                                                                                 !
                                 September 1986, was directed by IE headquarters and RIV management to          j
                                                                                                                 l
                                 drop these violations out of NRC Inspection Report 86-08/06                    f
                                                                                                                 l
                                 (Exhibit 30) as they claimed C.       HALE, NRC inspector, would take care
                                 of the vi ol ati ons.   To date, these violations have not been issued and
                                 in a recent conversation with HALE on January         6,  1986, he said he had
                                                                                                                 I
                                 no intention of fc11owing up on the MAL reports.           If violations are    l
                                                                                                                1
                                                                                                                 l
                                 not written, PHILLIPS has informed RIV management that a difiering              j
                                 pro +essional opinion will be written,
                                                                                                                 1
                                                                                                                 l
                                                                                                                 l

- - _ - _ , _ _ - - _ _ _ _ _ _ _

 - - _ _ _ _ _
                                                                                                         34
                                                         In February 1982, pages 1,       2,  3,  and 14 of the P. S. LOBB1N
                                                          (Exhibit 24) aurat again advised TUGCO management of serious
                                                       deficiencies in the QA program which included inadequate experience,
                                                      deficient audit program, and an ineffective surveillance program.                 On
                                                      June 1,       1982, a TUGCO le,t,ter (Exhibit 25) sent a copy of this to R1V.
                                                       Contrary to what WESTERMAN says in his statements, this sh9uld have
                                                       caused an in depth audit in accordance with IE Procedure 35060, " Audit
                                                       of Licensee Management of         QA."    This alone made Procedure 35060
                                                       priority anti it should have been performed in 1980 under MC 2512
                                                       priority 2, and special audits in 198t, 1982, 1983, and 1984 until
                                                        th'ese problems were resolved.
                                                                                                             .
                                                       RIV took na such action and in fact TUGCO management of the QA
                                                        function was not audited in depth from 1974 until PHILLIPS audited
                                                        TUGCO in' August 1984.        WESTERNAN became very defensive about this;
                                                        1.e.,     RIV failed to perform OA inspections and this was in
                                                        Novembcr-December        1, 1964, before he was reassigned to Comanche Peak.
                                                       He later made veiled threats to PHILLIl<S about this matter it in
                                                        December 1985 while assigned to Comanche Peak.
                                                      NRC Construction Assessment Team (CAT) Report (Exhibit 26), dated
                                                        April 1983 -(conducted January 24 through March 3,         1983) i denti f i ed    ,
                                                        serious OA and hardware violations.           The audit program (Exhibit 26,

l l

                                                        pages 1, B-1 through B-3, and VIII-1 through VII-5) was again singled
                                                                                                                                           ;
                                                        out and this time it was tied to causing HVAC and electrical                       s
                                                        separat)on deficiencies.         RIV vigorously opposed the CAT team while
                                                                                                                                           l
                                                                                                                                           <
      . . _ . _ _ _ _ _ _ _ _ _ _ . _ _ _ _ _ _ _ _ _ _ . _ _ _ _             __                                                           l
   -- _ _ _ -               _ _ _
                                                      3S
 _
         onsite and later their inspection report findings.        The qualifications
                                                                                                                                   :
         of the team were questioned.       Again RIV ignorea the 04 program
         deficiencies at TUGCO corporate office and failed to perform required
         QA inspec62cn per Procedure 35060.       Even today, it is clear that RIV
         management and inspectors still believe Comanche Peak is the best
         plant in the country and the fault was with CAT members and Technical
         Review leam, at al.
          NRC Inspection Report 84-32/11 (Exhibit 20) was the result of
          NRC Division Director, directing PHILLIPS and two NRC consultants to
          audit TUGCO management of this OA program.      ,1n preparing for thiu
                                                           .
          inspection per Procedure 35060, PHILLIPS reviewed old inspecticn
          reports and interviewed inspectors.      PHILLIPS contacted CAT inspectors
          to avoid duplication of effort.      HANSEN, NRC CAT inspector, told
           PHILLIPS he inspected the program at the TUGCO Dalles office but
           really had not had enough time to completely analy:e their programt

l

           however, he considered their audit program to be scmewhat deficient
           from 1974 through 1982.     HANSEN sent his field notes to PHILLIPS prior
           to the inspection.     As a' result, this inspection was also a follow-up
           r.n his findings.
            PHILLIPS el ected to audit TUGCO's program f or 1983 to avoid
            duplication.    PHILLIPS f ound serious violations that indicated they
            had not corrected the deficiencies (Exhibit 24 and 26); however, in
            August 1984, PHILLIPS was unaware of the MAC audit of TUGCO

l (Exhibit 21) as TUGCO purposely denied NRC this information. l l

                                                                    --       _ _ . _ _ . _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _
           -._ - _ . _ _ - _                           _ -_
                                                 e
                             1
                                                                                      36-
             ' Pages P-31 through P-33 (Exhibit 27) of NRC SSER No. 11 of-NUREG 0797
             - referenced PHILLIPS' B4-32/11 inspection report.                                        (electedto
               'havo T'UGCOLrespond in the Action Plan and fir'a1 TUGCO Results Report;.                                   ,
                                                                                                                           !
             - however, this was done with the thought that TUGCO would take prompt
                   corrective steps and advise NRC of the results in a matter of 3-4
                   months.                         This did not happen because the TUGCd Results Report.on
                                                                                                                       .
                   audits was not issued until April 1986.                             F HILLIPS became uncomf ortable
                   with TUGCO's delay.in September through October 1985, and wrote memos
                    to both' WESTERMAN and HALE (RIV CPTG) to f ollow-up on 84-32/11.                           This
                   did not happen until about March 1986.                             However, PHILLIPS disagreed          i
                                                                                                                           I
                    with HALE and the Results Report because it, appeared'that TUGCO has                                   i
                    still not corrected-the problem, determined the cause, and took steps
                    to preclude repetition.                           This was based cn PHILLIPS findings in
                    February 1986, which showed that B&R had not audited 12 sections of
                     their ASME OA manual ar.d 11 sections of Appendix B to 10 CFR 50.                            This
                    was identi'fied in February 1986, but WESTERMAN downgraded this
                    violation to an unresolved item                            This was subsequently documented in         !
                    PHILLIPS" Inspection Report 86-08/06 with two other violations
                       (concerning TUGCD and BbR f ailure to take corrective action) whi ch
                   were dropped.                            PHILLIPS was told he could not follow up on his own
                    findings in 84-32/11 as this responsibility had been given to H4LE.
                     This is most unusual .                         Littl e or no coordination with PHILLIPS has
                                                                                                                           ;
                    occurred on the closure of his findings.
                      Inspection Specific Action Plan VII.a.4 (Exhibit 28, pages 5,                          6, 7,  8,
                     and 9) and Results Report VII.a.4 (Exhibit 29) are TUGCO's answers to
                                                                                                                         E

_________m_ _ _ _ _ _ _ _ _ _ _

                                                                           . _ _ _ _ _ _ _ _ _ _ .
                                             37
 audit program deficiencies; however, they do not specifically address
                                                                                                   '
 the MAC audit deficiencies and B&il audit program deficiencies.     That
 is the reason that TUGCO should be cited f or f ailure to take
 corrective action.
 TUGCO has never specifically responded to these violations and
 PHILLIPS 1s concerned that Unit 2 will be almost complete before they
 respond and by that time there will be nothing to correct.
        ,
                                                                 PHILLIPS                          l
 contends that corrective action has not been taken by TUGCO and BLR
 concerns ng deficiencies in the site and its programs.     The management                         l
                                                                                                   l
 of the RIV GPTG has not required prompt corrective steps of TUGCO,                                !
                                                .                                                  !
 especially with respect to the finding.in 64-32/11 and previous NRC
 inspection / consul tant findings.  Although the above events happened
                                                                                                   5
 outside the specific inspection per2od of Concern No.    3,  such                                 '
 inf ormation shows the cantinued pattern of dropping violations and
 disregard +or QA.
 Pcgpfc Handlino:    The inspection and documentation was properly                                  '
 handled while directed by            HUNNICUTT, and CUMMINGS.   PHILLIPS'
 involvement was secondary as he only provided           with background
 information relative to Inspection Report 85-07/05 and guidance on the
 requirements of IE IP 50051, 50053, 50055, (Exhibit 10) which cover                               l
                                                                                                   I  '
 inspection of reactor vessel procedures, work installation, and
 records od all acti vi ti es.  Exhibit 10 (50055 page II-1) shows the IE
 requirement to inspect audits (quality control inspections) performed
 during various reactor vessel activities.                                                           f

1

                                                                                                      1
                                                                                                      :
                                            -
                                                                                                      )
                                                                                  )
                                                                                 i
                                                                                 I
                                                                                 ll
                                           38                                    t
                                                                                  l
          under HUlJNICUTT's supervi sion, proceeded to inspect in

accordance with Exhibit 10 and documented hi s findings. found that reactor vessel installation (and no other audit of any activity

                                                                                  I

was offered) had not been audited by TUGCO and no surveillance were offered to show that something was done. At the exit interview, the  ! NRC inspector, with and HUNNICUTT's concurrence, identified this f ailure to audit as .a violation. Three senior TUGCO managers 1

                                                                                1
(MERRITT, HALSTEAD, and WELCH) were at the exit and acknowledged this             i
                                                                                I

finding. They offered no disgussicn or disagreement. As previously discussed in Concern No. 1, the report (Exhibit 11) was processed for

                                                                                a

inspectors final signature. The handling was proper to this p'oint.

                                                .

Mishandling: As discussed in Concern No. 1. The mishandling, again,

                                                                               l

occurred because of attitudes described in Exhibit 12.b. The handling

                                                                               .

was proper until WESTERMAN became involved and stated that this was no violation because Criterion XVIII of Appendix B of 10 CFR 50, FSAR

                                                                             t

Section 17.1, and ANSI N45.2.12 requirements do not Fpecif2cally require that the audit activities concerning the reactor vessel acti vi ti es.

                                                                                  l
                                                                                  l

PHILLIPS disagreed with this narrow interpretation of the regulations because NRC regulations require the audit of many things that are not specifically called by name in (E: hibi t 1, 17, 18, and 19) regulations and requirements. This type of 111ogical reasoning cannot be applied - to auditing as it would allow TUGCO the option of choosing to audit

                                                                                I

the residual heat removal system but not the safety injection system,

                                                                                )
                                                                                  l
                                                                                  l
                                                                                  l
                                                                                 4
                                                                            _A

, _ .__ ___ -

                                                        79
.
              or worse,. if carried to further extreme:s as the audit requirements do
              not specifically name the NSSS systems.
                                                                  _
             -PHILLIPS further contended, with no success, that the narrow logic
              that TUGCO does not have to audit the reactor vessel activities 2s
             unsaund because it ignores: (1) previous NRC findings and problems
              experienced with Unit i and Unit 2 reactor vessel, (2) Contention 5,
              and ( 3:) NRC and ANSI standard requirements.   The login was also
             uncound because it also reasons that a component does not have to be
              audited because NRC regulations and ANSI standards do not specifically                      y
                                                                                                          (
              name components to be audited.                ,
                                                                                                          l
              Appendix B, Critorion XVII (Enhibit 1) states that all aggects of the                       j
              OA program shall be audited to determine compliance and effectiveness.
              PHILLIPS concluded that all aspects also includes important components
              such as the reactor vessel.
              The FSAR list of qua12ty items (Exhibit 31) lists four major NSSS
              component 
  a.e., without at least discussing in the NRC t'ransmittal letter that
 this f ollow-up inspection was done in the August through September
  1985 inspection period.
                                                                                      !
  In WESTERMAN's statement, he stated that he consulted BARNES on
                                                                                       l
  ASME III, Division 1,   who is a Code expert (Exhibit 40.a).                         l
                                                                                       1
                                                 -
                                                                                       !
                                                                                       l
  BARNES stated on pages 10-13 of OIA, Attachment "J", that             was
                                                                      -
  in error (Exhibit 40.b, page 11).     WESTERMAN advised PHILLIPS of
  BARNES ccnclusion.    It is not clear but based on WESTERMAN's                      )
                                                                                      I
  stetements, it appears that NRC management challenged the finding and
                                                                                      ]
  discussed it with TUGCO prior to discussing it with NORMAN or
  PHILLIPS.   Accordingly, PHILLIPS, who does not consider himself a Code
  expert, reli ed on BARNES experti se.
  PHILLIPS did not perf orm a more detailed review of this matter because              )
                                                                                       1
 .ldlllll(underpressure, agreed that the material could probably be
  a
                                                                                       i
   traced and dropped the violation.    He did not agree with BARNES'                  l
                                                                                       l
   interpretation because BARNES was consi dering the issue from the                   I
                                                                                       !
   standpoint of a spool piece manufat ured at a vendor when in fact, it               l
   was f abricated f rom bulk material on-site.                                        )
                                                                                       i
                                                                                       l
                                                                                       l
                                                                                       l
                                                                                       1

- _ - - _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ . __ _ _ _

                                                                                                                  {
                                 *
                                                                               49
                                    In preparing Comments on Attachment MM and Concern No.     4, PHILLIPS
                                    perf ormed a more detailed review and it appears that B&R failed to
                                    follow their marking and identification instructions on pages 6-8 of
                                    D&R Procedure OI-DAF-11.1-26, Revi si on 18, and earlier revisions
                                    (Exhibit 37).    The subject spool piece was cut from bulk and this
                                    requires the application of the heat number, ASTM /ASME type and grade,
                                    schedule / wall thickness, spool number, drawing number, and piece
                                    number.    This ASME procedural requirement is identical to             ,
                                    original finding, however, it appears that because'           was
                                    pressured, he erroneously agreed to downgrade the violation as the
                                    final report states that only the spool piece number and drawing
                                                                                                                  i
                                    number were applied.                                                           i
                                                                                                                   l
                                                                                                                  l
                                                                                                                   '
                                    PHILLIPS, although not a " Code Expert," pursued this matter further
                                    when   theprocedureagreedwithl             technical opinion.   A B&R
                                    staff engineer was contacted and was presented withl
                                    interpretation that NA3766.6 of ASME, Section III, 1974 Edition,
                                    Summer Addenda versus BARNES' interpretation.      The B&R construction
                                    engineer independently researched the Code and stated that NA3766.6
                                    applied.    It appears that BARNLS' interpretation is not onl y dif f erent
                                    f rort         but also different from PHILLIPS and a D&R staff engineer
                                    with Code responsibility.
                                    BARNES' statements on pages 2 and 3, DIA Attachment J (Exhibit 40.b),
                                     indicates that his enperience has been almost solely manufacturing
                                    prior to coming to the NRC and his enperience as a vendor inspector
                                                                        -
                                 ..                                                                           _ _

. _

                                                50
                                                                       This mav
 did not include nuclear power plant construction e:;perience.
 be the reason ne interpreted the Code from that perspective.
 Exhibit 40.a, page 112 and 113 gives the impression that WESTERMAN may
 have lost his objectivity because of hearsay.and. in turn, doubted
 PHILLIPS objectivity concerning this report which he was not
 originally responsible f or.       It appears that the follow-up on
 Code items and this specific issue may have become suspect for the
                                                                         "Mr.
 came reason, discussed on pages 148-158. He also states, that
           has an enormous hard head." Next, 1UGCO accepts findings (on
 pages 154 and 155) but on pages 155 and 156 WESTERMAN states he felt
                                                    *
                                                     .
  it necessary to defend TUGCO, speak for them, and reinspect to show
  compliance.
  Saf ety_Si oni fi cance:   The safety significance appears to be that TUSCO
  does not have the abilitytoshowgdl             kthat a single spool piece is
  marked for about three months. It also appears that they think they
   are in compliance; however, the marking on the spool piece does not
                                                                                l
                                                                                l
   conform with the procedural requirements.
   It is also very significant that an inspector was pressured into             l
   dropping what appears to be a valid violation. The OIA report
   documents that t'nere is a persuasive of philosophy of handling              I
   vi ol at i ons inf ormally or as unresp1ved items (pages 29, 30, 32, 35,
    36 and 37 of the OIA report).      When inspectors feel pressured and
                                                                                i
                                                                     the safety
    herassed and stop reporting conditions adverse to quality,                  l
                                                                                )
                                                                                !
         -                             _
             - _ _ _ - - _ _ _ . _ __               _    . _ _ _ _ - _ _ _ - _ _ - _ _ _ _ _ . _ _ .                    - -_        - _ _ _ _
                                                                                                                    51
                                      < significance is great but cannot be measured because it is an unknown.
                                                                                                                       "           organi:ational
                                       That is the reason NRC must have the same                                             . . .
                                       freedom to identify quality problems; to initiate, recommend or
                                       provide solutions; and to verify implementation of solutions .                                             . . ."
                                       as described for Utility personnel in Criterion 1 of "Organi:ation" of
                                       Appendix B to 10 CFR 50.                                      A regulator should understand this concept
                                       better than anyone.
                                       [pncern No. 5
                                       PHILLIPS was concerned that RIV management did not require TUGCO to
                                       respond in writing the violation concerning concrete mixer blades.
                                       The following is Item 2.c. of the Notice of Vi ol ati on in the final
                                       report:
                                       "c.   Brown & Root Procedure 35-1195-CCP-lo, Revi si on 5, dated
                                             December 4, 1978, requires that central and truck mixer blades be

l

                                             c hec leed quarterly to assure that mixer blade wear does not exceed
                                             a loss of 107. of original blade height.
                                             " Contrary to the above, on May 31, 1985, the NRC inspector
                                             determined that there was no ob.1ective evidence (records) that
                                             the mixing bl ades had been inspected quarterly since the trucks
                                             were placed in service in 1977.                                      (445/8507-04; 446/85-02)"
 _ __ - -__ - --_
 - _ - _ _ - _ - - -
                                                                52
                     The following is the required response in the original draft report:
                     '"During this inspection, at was found that certain of your acti vi t t e's
                     were in violation of NRC requirements.     Consequently, you are required
                     to respond to this violation, in writing, in accordance with the
                     provision of Section 2.201 of the NRC's " Rules of Practice," Part 2,
                     Ti tle 10, Code of Federal Regulations.    Your response should be based
                     on the specifics contained in the Notice of Violation enclosed with.

L '

                     thi s l etter. "                                                            *

l

                     The following (paragraphs 3 and 4 from NRC 1etter of transmittal,
                                                                    ,
                     dated February 3, 1985) show that the requirement to respond to the
                     viol ation was dropped.
                     "During this inspection, it was found that certain of your acti vi ti es
                     were in violation of NRC requiromants.     Consequently, you are required
                     to respond to this violation, in writing, in accordance with the
                     provision of Section 2.201 of the NRC's " Rules of Practice," Part 2,
                     Title 10, Code of Federal Regul ati ons.   Your response should be based
                     on the specifics contained in the Notice of Violation enclosed with
                     this letter.     Since B&R Procedure 35-1295-CCP-10 has been revised to
                     provide documented inspection of truck mixer blades, there was no             !
                     abnormal blade wear identified as a result of blade inspection, and
                     there have been consistent concrete strength and uniformity tests, no
                     reply to vi ol ation 2.c i s required.
   - - - _ _ _ _ - _ _ _ _ _ _ _ _ _ _ _ _ _ - _ _ _ _ _ _ _ _ _ _ _ _

,

                                                                                                --                         -

j

                                                                                                                        53
                        " Pursuant to the provisiens of 10 CFF( 2.201, 1exas Utalities Electr1c
                       Company is hereby required to submit to this of fice within 30 days of
                        the date of the letter transmitting this Notice, a written statement
                        or explanation in reply, including for each violations (2) the reason
                        f or the violations if admitted, (2) the corrective steps which have                                                                                   .;
                        been taken and the results achieved, (3) the corrective steps which
                         will be taken to avoid further violations, and (4) the date when full
                         complianco will be achieved.                                                    Where good cause is shown, consideration
                         will be given to extending the response time."
                          The details of this inspection are describecj in Exhibit 11-13.
                                                                                                                             .
                                                                                                                                                             \
                          PHILLIPS' Understanding of Coneer %t fo d
                                                                                                                                                                          .
                           Reovi rement s:                             Ths requirements are described in the Notice of
                           Violation quoted above and in Exhibits 11-13.
                            Noncomnl i anc e:                                       The noncompliance is also edequately described in
                            Exhibits 11-13.
                             PHILLIPS' Understanding _qf Handl i no /Mi shend) i no of Concern No. 5
                              Proner handlino                                                Similar to Concern No. 1 and iour other concerns,
                              the findings were being properly handled by                                                                               and HUNNICUTT.
                                                                                                                               '
                                                                                                         vietation reqmi,ed a response to this
                      g 1 tter aee Not1ce o4
 i

L --- - - - - - - _ - - - -

                                                                                                       .
                                                                                                             ---_ _ __-          - - _ _ __ _ _ _ _ _ _               ___   __ _

_ _ _ _ _ . - . _ - - - _ - - _ -- -_ -__

                                                                      54
                   violation.      PHILLIPS probably should have made this violation a Level
                   IV vi ol ation; however, TUGCO was given the benefit of this doubt.
                   Mishandlinqi The' mishandling occurred when BARNES and WESTERMAN came
                   to site and .got involved.              WESTERMAN informed PHILLIPS that TUCC0
                   would not be required to respond.             PHILLIPS disagreed and never                                                                     )
                                                                                                                                                                  I
                   subsequently agreed with this position because of the iall owing :                                                                             J
                                                                                                                                                                  l
                                                                                                                                                                  t
                                                                                                                                                                  i
                   .    PHILLIPS only inspected the blades of one o' three trucks f or                                                                            j
                                                                                                                                                                  l
                        wear.      Since no response was required, TUGCO does not have to                                                                         j
                         look at the other twc trucks and inform the NRC of their
                        condition.
                   .    .PHILLIPS ste.ted that an inspection requirement existed for
                         quarterly inspection of the blades for 10 years but there was no
                                                                                                                                                                  l
                         evidence the inspections had been conducteo.                    This alone merits a
                        response, as no evident technical problem does not justify                                                                                j
                         dropping OA corrective action.
                                                                                                                                                                  I
                                                                                                                                                                  1
                                                                                                                                                                  j
                                                                                                                                                                  l
                   .
                         PHILLIPS also stated that a required response often causes the                                                                           l
                                                                                                                                                                  )
                         utility to find the cause and sometimes it applies to other
                         inspection areas or procedures.            Therefore, a response may have
                         caused the quality assurance organs ation to review other
                         inspection procedures to determine if inspection were being
                         accomplished as required and documented.
 4
                                                                                 - - - -      - - - . - - - - _ _ . - . . . . - . _ _ _ . _ _ _ _ _ _ _ _ _ _ _ _
                                                               _. - - _ _ _ - _ _ _ - _ _
                                                                                          -
                                                                                              )
                                                                                            -1
                                                                                               l
 -                                              55

% . WESTERMAN again gave the impression that he was protecting TUGCO )

         f rom . unreasonable demands by i nspectors.                                         1
                                                                                               l
                                                                                              I
   .pafety significance
                                                                                             i1
   The technical significance of this violation as it specificell'<
   relates to concrete mixer bladen at one trucx and admquate concrete is
   qui te low technically; however, PHILLIPS ntates that the safet'/
   significance may be low with respect to imomsCected trucks used and
   concrete m2 xed during concr ete placement activi ties.   To say it has
   none would require the NRC inspector to inspect all trucks.
   Obvi ousl y, a single NRC inspector cannot, and should not, be ex'pected
   to inspect three trucks under the circumstances;     i.e., once the
   vi ol ati on is established, it is TUGCo's responsibility.
   InnSection Renort 50-445/85-14: 50-446/85-11 (G5-14/11)
   Contrarn No.  1. 2.  and 3
   PHILLIPS and YOUNG were concerned that RIV management not only
   downgraded violations concerning the shipment of sole copies of design                    1
   records to Stone and Webster Engineering Corporation (SWEC) in New
   York and several other branch offices in different states but also
   dropped these findings from the report.
                                                                                             !
            ,         - - -._ - ____ _ - - _ _ - - - . -                      - - - _ - - _ - - - - _ - _ - _ _-_ . _ - - - - - _ - . - - - - - . --.                         --_ -__ - _        -_ _
          '
            ;    s
                                                         ,
  -
                    ,
                                               ,.          .
                                                  .
f :'.
        ,
              ,
                                                                                                                                                   56
        !

,

                  01AfRepert, Attachment MM, (Exhibit 41.a, page.9) adequately describes
_
                . the. issues.
,;
                                                                                                                                                                                          .
                  The violations in Exhibit - 42.a were to be written as one violation of
                " Criterion . XVII 1 violation wi th multiple examplus.                                                                                         The one onception
                Lwas Criterion V violations; i. e., TUGCO's f ailure to have procedures
                                                                                                                                                                                               ,
                   in plac? to control the shipment of design records.                                                                                             Pages 1-4 of
      '                                                      '

.

                  Exhibit 42.a-(original draft report, paragraphs 5.a-b. in~the Details

n

                  Section) ' cover these ; issues; - however, one concern-was.not addressed i,n
                ' Attachment MM;                               i,e., the. failure to incorporate 10 CFR 50, Appendix B,
                : requirements and commitments into-the highest GA manuals-by reference
                  or by describing such requirements in the contents.                                                                                              Exhibit 42.b,
                -pages 67 and.68 of'the second draft, dated December 3,                                                                                              1986, shows
                   that violations were downgraded and much of the text was also' dropped
                   from the final report.
                   PHil. LIPS Under st andi no of Concern Nos.                                                                                      1. 2. and 3
                   Requirements;                               The requirements are described in Exhibit 1, 43, 44,
                   and.45, and include appropriate portions of 10 CFR 50, Appendix B;
                   FSAR Section 17.1; ANSI N45.2.9; and TUGCO OAP.
                                                                                                                                                                                                      )
                                                                                                                                                                                                      1
                                                                                                                                                                                            ____ a

--- _

                                               57
   Noncompliance    with Regpirements/ Commitments:   The following discusses
   the original noncompliance      which are described in Exhibit 41.a.
   "o    TUGCO' failed to have/use procedures to control shipment of
         original records to SWEC."                 .
   This finding was dropped from the report.      This' finding is so
   important that it may be the cause of all of the noncompliance
   concerning records described in the inspection report 85-14/11.
   Accordingly, the most important aspect of the proposed violation was
   lost and, of course, TUGCO does not have to, address the cc,rrection or
   cause if it is not in too final Notice of Violation.
   Criterion XVII, Exhibit 4, states that the Applicant shall establish
   requirements for record retention.
   FSAR 17.1.17, Exhibit 43, requires procedures which will establish a
                                                                                                                   1
   04 records system to include all of the elements to control, account
   for, and protect against deterioration and damage.
   FSAR.1A(b)-36 (Exhibit 44.b) commits to implement the requirements in
   accordance with ANSI N452.9.      Paragraphs 5, 5.3, and 7 (Enhibit 44.a;
   require that procedures to include a description of the storage area
    (or areas).   This would include permanent and nonpermanent storagc
   areas.    Specia) processed records; such as, radiographs, photographs,
   negatives, and microfilm are required to be stored in an area to
                                 *                                  _  _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ -

- _ - _ _ _ _ - . _ _ _ _ . _ _ _ _ ._ _ _. _ _ _ __ -. ..

                                                                    58
                preserve them.              Section 6. Retrieval, states that the system shall
                provade for the accurate retrieval of i nf ormati on wi thout undue del ay.
                Section'7 der,cribes the requirement to assure the accumulation and
                transfer of records.
                " Comanche Peak Steam Electric Station QA Pl an. " (Enhibit 45) does not
                fully comply with Enhibit             1, 43, and 44. as it does not specifically
                include and address all the requirements of the higher tier document
                as they apply to the site as follows:
                .     The detini tion of a DA record (Enhibit 44.a, page 11).
                                                                        ,
                .     Location of all permanent and temporary storage areas
                      (Exhibits 43 and 44.a).
                .    . Specific on-site organizations responsible f or permanent and                  ,
                      temporary records storage; e.g., TUGCO vs Chicago Bridge & leon,
                      Bahnson, Westinghouse Service Division (W). etc. and interfaces
                      requirements and agreements when records are to be transferred
                      between-c ganizations (Enhibit 43 and 44.a).                                                       j
                .     The defini tt on of Lifetime / Nonpermanent DA records to cl assif y                               1
                      records, as required (Enhibit 43 and 44.c).
                                                                                                                         )
                .     Requirement to inden (Enhibit 43 and 44.a).                                                        )
                                                                                                                         !
              .
                                                                                    __-- - - _ _ _     ____--__-__-_-_U
                                                                                    ______ _ ___
                                         59

. Retention requirements (Enhibit 43 and 44.a). . Receip.t of records (Enhibit 43 and 44.a). . Retrieval (Exhibit 43 and 44.a). . Accumulation and transfer of records (Exhibit 43 and 44.a). . Instead of the CPSES DA Plan, Section 17.2, in establishing the

    requirements, it states, "Quali ty Control documents are
    initialed, collected, and maintained in accordance with approved
    procedures," and infers that the lower tier documents set the
    requirements.   This procedure is also improper because it only
    addresses DC procedures and should be addressing DA procedures.
    It defers responsibility for defining records to the organization
    implementing procedures.    The responsibill*   tar record systems
    is also described in the lower tier procedures.     This
    organizational approach to control of records has caused estreme
    problems.

"o Original design records shipped in cardboard boxes without making

    backup copy."

This finding was dropped from the report; however, it is an importent part of the originally proposed violation. Criterion XVII of

                                                                 _ _ _ _ _ _ _ _ _ _ _ _ -
    ____

l

                                                       bO

l-

         Appendix B requires a description of record retention and that
         includes assigned responsibility, location, and duration (Exhibit 1).
         Exhibit 43 gets more specific and states: (1) procedures shall               1
         describe responsibility, (2) that records will be protected against
         damege and deterioration, and (3) the method of transfer between
         organizations.
         Enhibit 44.a describas in even greater detail how to meet the
         10 CFR 50, Appendix      B, Criterion XVII requirement.    Although no
         document is ever totally prescriptive enough to cover absolutely
         everything, this ANSI document is sufficiently prescriptive
         descriptive to tell a new applicant (TUGCO) how records should be
         controlled.       When construction first begins, each app'icant'is
         required to protect and preserve the first piece of paper down to the
         last piece of paper that is defined as a OA record of saf ety-rel ated
         ac t i vi t i es. ANSI defines what a OA record is.    Paragraph 5.4(1)
         requires that records be kept in a permanent facility in standard
         steel cabinets or, if this is not practical, keep them in fire
         resistant cabinets (1-hour rating) or an alternative i s to kor.p
         duplicate records stored in a separate, remote location.
         This logic does not change when all design activities are completed.
         The requirement to afford permanent or temporary protection f or design
                                                                                      i'
         of ploing records became more important at this point.         The precedent

f

         for an NRC inspector has been to write violations on a f ew important
                                                                                      .

ba__

.. . - _ _ _ _ _ _ _ - _ - - _ _ _ _ _ _ - - _ _ - _ _ _ _

                                                                                             61
                             records not given this minimum protection during construction and this
                             is a well established fact.                          Regardless, paragraph D.3(6) states that
                              a method of control and accountability must be established by
                             procedure.                         Control includes preserving bul k design records during
                             movement from point A to point B.                          This can be done two ways:
                               (1) transfer the records in fire rated cabinets, boxes, or wrap with
                              fire resistant material; or'(2) retain a dup 1'icate copy.
                              TUGCO neither accounted for the records (i nventory) nor assured that
                              the method of transfer was appropriate.                          Instead, TUGCO informed the ]
                             NRC that: (1) it was too expensive and time consuming to duplicate the
                              records or send them in fire resistant cabinet or otherwise, and
                               (2) they had the right to proceed at their own risk.                          The last
                              statement appears to disregard the regulatory requirements in favor of
                              cost and schedule.
                               "o                        Failure to control and account for QA/ design records transferred
                                                         from site to SWEC."
                              This was a concern but not because the propoced violation was dropped.
                              The concern here was that the details were severely edited and this
                               left out the magnitude of the problem and the stated reason for the
                              violation;                       i.e., TUGCO's policy was to proceed at risk because of      I
                               schedule and did not duplicate or ship the records in fire resistant
                               cabinets because of cost.                        This policy was also stated to NRC oy
                               various cornorate QA and site managers when the CB&I issue arose.
                                                                                                                            1
                                                                                                                           l
                                                                             .
                                            ,                                                 --_-___-___ - -
 .
                                                       62

l PHILLIPS' Understanding of Ni sh an d i '. no :

       YOUNG identified the violations described in Exhibit 42.a.                              While the
       inspection was still in progress, WESTERMAN became aware of these
       violations and the inspector was unable to complete the inspection
       before pressure was being applied to not consider these as violations.
       WESTERMAN stated that TUGCO could proceed at risk and do what they
       wanted to do with these old records because the records became
       in-process documents when removed from the QA records vault and no
                                                                                                                                     .
                                                                                                                                      '
   -
       longer have to be protected in accordance with Criterion XV11 Records
       of Appendix B to 10 CFR 50 and ANSI N45.2.9.,         An additional reason was
                                                           *
                                                                                                                                     i
       otated to be the f act that once the engineering reanalysis is
       completed they will bc no longer' be needed and the new analysis is all
       that is importent.
       PHILLIPS and YOUNG, hhving many years of construction experience
       on-site, did not agree these illogical arguments.          Toward the end of
       the month, WESTERMAN stated he would agree that TUGCO's failure to                                                             l
       have and implement accountability and inventory controls was a
       violation but, after much pressure and badgering, directed that all
       the other items be dropped.
       WESTERMAN mishandled these issues because he dropped valid violations                                                            !
                                                                                                                                        i
       and important datails from the body of the repert.                      Also, his                                                I
       techni que described in                 tatement was to harass, pressure, and
     ,
       badger tne NRC consultant and Senior Resident into submission.                                                   He
                                                                  _ _ _ _ _ _ _ _ _ _ _ _ - _               _ _ _ _ - _    - _ _ _ .
                                                    ._ _    -__.    - - _ - _ -   __--
                                            63                                          '
 spent so much time doing this he actually disrupted several
 inspections.     So much of PHILLIPS' time was used that he experienced
                                                                                '
 difficulty in getting his other work done and in providing guidance to
 three other personnel who worked for him at that time.
 Safety Significance:
                                                                                       l
 The safety significance is that TUGCO has completed Unit i but has not
 fully described DA record requirements in TUGCO OAP, Section 17.0,
 The significance of shipping all of the piprng design records to SWEC,
 New York, and various offices is that TUGCO risked the loss of all
 these design records because of cost and schedule.
 The significance of shipping all records without a specific inventory
 and a method of accountability ( i . e. , how many records were sent from
 site and how many records did SWEC receive and the reverse process to
 return to site) results in not knowing if all records were reces ved by
 SWEC and all were returned to site.
                                                                                       i
 The significance of dropping the issues f rom the report is that TUGCO
 was not f ormall y required to address these issues that appear to be
 generic.                                                                               l

l l 1 i

 The significance of WESTERMAN's application of pressure and badgering
 inspectors caused insi.ectors to drop important findings.       Perhaps the

l '

                                                                                       <

l ,

_- _ _

                                                      64
           NRC will never   know how many issues were never brought up by
           inspectors on this and other projects.     Differing professional
           opini ons do not come abcut in this type environment.
           Concern No. 4 ard Np O                           .
           PHILLIPS was concerned that RIV management downgraded two of
                                                                                    \
           violations concerning TUCCO's failure to assure that CBLI records
                                 were not afforded temporary storage protection in
            (genprated on-site)
           transit to Houston, Texas, and these records were not inventoried and
            accounted for prior to leaving site and after their return to the
            site.
            Exhibit 46, pages 11 and 12 of Attachment MM to OIA Report, describes
            this cent   n in more detail.
            Enhibit 42.a, pages 2,   3, and 4, of the original draft report
            describes           violations as originally written in the body of the
                                                                                      i
            report.   One was downgraded in the body of the next draft report         I
             (Enhibit 42.b,  pages 68-70) and the other was subsequently downgraded
            before the final report was issued.
            The final inspection report (Enhibit 42.c) was issued March 6, 1986,
             and was watered down to the point that it has little resemblance to
             the original findings.

l WL_________

_

                                                                                 4
                                           .
                                                  65
   PHILLIPS' Understanding of Concerns No. 4 and No. 5
   Requirements:      Exhibits 1, 43, 44, and 45 which applied to Concern
   No.  1,  2, and 3, also apply to Concern No. 4 and 5.
   Noncompliance with Raouirements/ Commitments:                 identified one
   violation with examples; i.e., failure to assure pro'per control,
   inventory, and transfer of records between organi:ations as required
   by the above exhibits.        These examples were simply to be added
   examples under one Criterion XVII vi ol ati on (i . e. , in addition to the
   SWEC examples, et al).        Specifically, the requirements of
   Criterion XVII of Appendix B to 10 CFR 50 as described in
   Subsection 17.1.17 were violated as follows:

i

   "o    This f ailure to transmit records in accordance with a procedure
         and afford protection in transit equal to temporary storage
         requirements are additional examples of violation identified in
         paragraph        above."
                                                                                     (
                                                                                     !
                                                                                     I
                                                                                     i
   Exhibit i requires that the applicant establish requirements                      l
                                                                                     I
   concern _ng record retention.       The other words (assigned responsibility      j
                                                                                     I
   and location) mean a description from top to bottom of the handling of            j
   records.     Location, not only means static, but also means dynamic or
   movement.            kfound   no such control in place and TUGCO did not
state that they had implemented such control. Since CB&.I had left
   site,ll         h(wasforced to accept TUGCO's statement regarding what
                                                                                     I
                               *

t - . _ _

                                                                               i
                    .
                                            66
 happened.
             Analternativewouldhavebeenforl              to travel to
 CB&I, Houston, or their coming to the site but it is doubtful that all
 personnel involved were at CB&I, Houston, Texas.
 It should be noted
                      thatlll    (waswell aware,that a CBLI procedure
 existed; however, his review of their procedur's showed that CB&I had
 the option to send records in cardboard boxes or by the mail.       None of
 these measures assured protection in route commensurate with
 FSAR 17.1.17 requirements (i . e. , protect from damage or
 deterioration).   The final report erroneously shifts the emphasis from
 TUGCO to a CB&I procedure; however, TUGCO at no time showed that they
 or CBLI used prudence in shipping these irreplaceable records.
 "o   The failure to maintain control and provide accountability of
      records removed from storage is another example of the deviation
      identified in paragraph above."
                                                              '

l

 This should have been a violation as it also violates the
 Critorion XVII concerning responsibility and location.
 CPSES QAP 17.0 (Exhibit 45), is a shallow procedure and requirements
 such as method of transfer between remote locations and inventory are
 not specifically addressed.    This allows lower tier organizations
 on-site to establish requirements and this is not proper.
                                                                               \
                                                                   .

4 s

                                                                                      _ _ _ _ _ . _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ - _
                                                                                                                                       l
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                                                                    67                                                                 !
                                                                                                                                        l
                                                                                                          .
                       PHILLIPS' Understanding of the Mishandling of Concern No. 4 and No. 5
                       PHILLIPS incorporated              findings in the report.     In this case,
                       WESTERMAN concentrated the pressure on PHILLIPS to remove the-
                                                                                                                                      i
                       violation from.the report and finally directed that it be removed when
                                                                           '
                       PHILLIPS would not agree with WESTERMAN's logic that site generated
                       containment liner and other records belonged to CD&I instead of TUGCO.                                         j
                                                                                                                                      i
                       TUGCO, in WESTERMAN's presence, else maintained that important and
                       irreplaceable site records; such as, containment liner, structural
                       steel restraints, tanks, etc., belonged to CB&I and they were free to
                       control them as they pleased.      In reply to F,'HILLIPS' question of such
                                                                        '
                       records being destroyed in transit, senior TUGCO management stated
                       that it was.3 TUGCO policy and they could proceed at their own risk.
                       If no requirements existed, it would not be prudent'for WESTERMAN to
                       endorse such a policy.
                       When WESTERMAN found that PHILLIPS would not agree, he' directed that
                       the violation be dropped from the report and write a letter to
                       Headquart ers to resolve the dif f erence in technical op2nion.                               PHILLIPS
                       wrote this letter which discussed the differences and forwarded it to
                       WESTERMAN.    According to the OIA report, this letter "l angui shed" in
                       ERIC JOHNSON's office.     This type treatment of inspector's safety
                       issues is devastating and has profound safety significance from a
                       regulatory standpoint.
                                                                                                                                      I

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

 - _ _ _ _ - _ _ _ _ _ - _                                                                 _        _
                                                                                                       1
                                                                     68
                           WESTERMAN made no further effort to follow Concerns No. 4 and S until       j
                                                                                                        l
                           after tne OIA investigation started.    In desperation, WESTERMAN            I
                                                                                                       J
                           apparently had a number of people working on the concerns and other        j
                           85-07-05 matters in this report and other reports to aid him during
                                                                                                      ]
                           the interview process.    PHILLIPS was never advised of this additional
                           work; however, in the various OIA statements it is apparent that such
                           work was done.    It was probably done between WESTERMAN's first
                           interviews on July 11 and July 20, 1986, the day before the last
                           interview.    For example, WESTERMAN states that CB&I transferred the
                           records to Houston, Texas, in fire resistant cabinets and this
                                                                                                      ;
                           information is not even in TUGCOs file.    PHILLIPS has followed up on
                           this information with TUGCO but they have never stated this to be the
                           case even as l ate as December 1986.
                           Sefetv Significance:    It is safety significance that TUGCO has not
                           shown to date (and will probably be un3ble to) that every record that
                           lef t site was returned.   This is significant from a quality assurance
                           and a hardware standpoint because records prove the quality of the
                           reactor liner and other hardware.    This does not even consider the
                                                                                                      l
                           Unit 1 records transfer.    NRC follow-up inspection is incomplete and
                           the full significance is unknown.
                           TUGCO has stated that the records have been returned; however, it is
                           safety significant that such irreplaceable records were transferred in

!

                           accordance with a CBLI procedure that does not require that a

l

duplicate copies be retained at site or shipped in fire resistant

l

                                                                                                       1

1 I

  - _ _ _ _ _ . . . - _ _ -

l l 69 1

                                                                                     I

i l

 containers.                Their stated policy allows them to continue the practice
 as TUGCO says it is at their own risk.

l l l

 The f act that'NRC managers downgrade or drop safety concerns and do
 not forward letters containing differing technical opinions is very
 significant when it is the NRC regulations that help protect the
 health and safety of the public.                Pressure and harassment of
 inspectors also add a dark cicud instead of professionally resolving
 the issues.                This is highly significant because of the need for

l .

 freedom to identify problems and see that solutions solve conditions
 adverse to quality ir.cluding the control of, records of hardware
acceptability.

l

 Concern No. 6
 PHILLIPS was concerned that management dropped YOUNG's violation
 concerning failure to afford protection of records removed from the QA
 vault and placed in nonfire-rated cabinets located in trailers at
 multiple field locations.
 Exhibit 47, pages 13 and 14 of Attachment MM to the OIA Report,
 describes Concern No.               6.
                                                                                      I
                                                                                      i
                                                                                     J
                                                                                      )
 Exhibit 42.a, pages 4-5 of the original draft i nspecti on repor't ,
 describes the violation which was originally written.                 In acccrdance
                                                                                      l
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                                                                                       l
                                                                                       l
                                                                                      I
                                                                                       l
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                                   .
                                                                .___-___ _ - _ - _ . ___
                                             70

with IE guidance-(MC 0610), this was to be an enample of the one

                                                                                            I
                                                                                             '

Critorion XVII vi ol ati on proposed.

                                                                                           i

Enhibit 42.b,.pages 76-77 of thu second draft inspection report, dated December 12, 1985, was rewritten to address more information to l convince RIV management that this was a violation. Exhibit 42.c, page 13 of the final Inspection Report 85-14/11. PHILLIPS' Understanding of Concern No. 6

                                                .

Requirements (Exhibit 1, Criterion XVII; Exhibit 43, 44, and 45) which applied to Concerns No. 1, 2, and 3, also apply to this concern. Noncompliance: The failure to protect GA records removal from the QA vault to facilitate work in process is a violation of Criterion XVII regulatory requirements; however, it may altei natively be considered a deviation from Exhibit 44.a. All of the references require the protection of DA records f rom damage and deteriorate on.

                                                                                         .

PHILLIPS' Understendinc of the Handlina/ Mishandling of Concern No. 6 Prcuer Handlinq: YOUNG f ound that TUGCO had removed large quantities of QA records from the QA vault in order for construction personnel to be able to review previ ous work and facilitate new work. The records

                                                                                             <
                                                                                           l

were moved to several different locations on-site that would be j

                                                                                             !
                                                                                            !
                                                                                            i
 _ _ _ _ . _       _
                                                                                                                1
                                                     71                                                         l
                                                                                                                 1
           convenient for construction.    Both PHILLIPS and YOUNG considered this
           move to expedite work a good work practices however, both became
           concerned when it was learned that the completed original-QA records
          removed from the QA vault were stored, in some cases, in regular file
           cabinets in trailers without maintaining a backup copy.
           YOUNG and PHILLIPS challenged this practice and asked why this was
          done.   The first answer was that it was too expensive to purchase
          fire-rated cabinets.    Further, review of this mat ter revealed that the                             y
          definition of a record in their commitment (Exhibit 44.a,                    page 11) had
         been ignored by TUGCO and they replaced this definition with their own
         definition (Exhibit 48).     TUGCO created a definition to fit the

l practice instead of fitting the practice to the ANSI N45.2-9

          definition which states, in part, " Quality Assurance Records.                                  Those
         records which furrish documentary evidence of the quality of items and
         of activities affecting quality,      For the (,urposes of this standard a
         document is considered a quali ty assurance record when the document
         has been completed."
         The practice was to take a multitude of c trmp l e t ed documents, that had
          already been classified as 04 records and were in the vault, mix them
        with incompl ete documents where work was still in progress, place a                                     ,
                                                                                                                I
                                                                                                                i
         work traveler on top of the package, and ca?.1 this mixture
           "in-process" dccuments.                                                                               j
                                                                                                                 1
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                                                                                                                 1
                                                                                                                 1

! _ _ _ _ - - . _ _ _ _ _ _ _ _ _ ___

   _ _ _ _ _ _

f

                                                               72                              i
                                                                                               I
                        '
               LYOUNG's finding was presented at the exit as a violation by PHILLIPS.
                                   '
                MERRITT,. Senior TUGCO-Manager, asked for clarification and discussion.       q
                                                                               .                I
 <
                PHILLIPS' explained again and a BLR manager at the meeting statea that
                                                                                               1
                it wouldLbe too costly to= store these QA records in' fire resistant           ]
               . cabinets.                                                                     J

l Mi stiandl i na : At the exit, WESTERMAN apparently agreed with the cost

                                                                                                1
                statement.        He later told PHILLIPS there was no requirement to protect
                QA records (completed documents) removal from the vault because they
                became in process documents.         PHILLIPS and YOUNG agreed that DA
                records could be removed f rom the file to f acilitate work but that
                TUGCD-is required to.give the OA records mixed'with the in-process
                document temporary protection at the end of the work day c3 required
                by ANSI.N45.2.9.
                WESTERMAN' applied pressure to drop this finding altogether because he
                said'the NRC ischnical Review Team (TRT) had found the practice
                acceptable and so documented it in SSER lit however, the OIA report
                also pointed cut that SSER 11 also indicated they were in fire
                resi stent ebbinets.
               ' HALE concurred with WESTERMAN's definition of in process documents,
                however, HALE only gave his opinion and no supporting documentation.
                HALE gave no precedent because he has little construction experience
                as he worked in NRC Vendor Branch until 1954.         PHILLIPS and YOUNG have
                construction experience and have observed many licensee's and
                                                                                        .

, _ _ - - _ - _ - - - - . _ _ - - _ - .

                                                                73
                  applicant's practice;, sa ross the United States.      This is the first
                  ti me t hey encountered a utility that does not undtrstand this
                  requirement to protect records.        It is also the first time to
                  encounter NRC inspectors who do not understand this requirement.
                  PHILLIPS was directed to drop this violation.
                  WESTERMAN met with TUGCO management without PHILLIPS being present and
                   later informed PHILLIPS they did not consider it a requirement to
                  protect these records but would buy the fire-rated cabinets to protect
                   these records.      Subsequent to this, other TlJGCO managers (OA) stated,
                  at different times during the last year, that they would nut be placr
                   into the appropriate cabinets.
                  PHILLIPS lact conversation with the TUGCO QA Director on December 15,
                   1986, revealed that they would not revise their procedure to require
                  any such practice but they will do it only because it is prudent.
                  PHILLIPS replied that this is not acceptable because they will not
                   admit it is a requirement and/or a comnitment and if they store for
                  prudency only the NRC has no reason to inspect the OA records so                      l
                                                                                                        l
                  stored.                                                                               j
                                                                                                         i
                  Safety Si oni fi cance:    The significance of this concern has diminished            ]
                                                                                                         l
                   somewhat because TUGCO says the QA records are now stored in
                   fire-rated cabinets; however, the NRC cannot be assured that the                      l
                                                                                                         !
                                                                                                        i
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                                                                                                         I
                                                                                                        !
                                                                                __         _  - - _ . _

_ _ _ _ -_ _ _ . _ _- . _ - _ _ . _ _ _ _ _ _ - _ _ _ _ _ _ _ _ __ _ _ _ _ _ _ _

                                                                                           74
         records will continue to be stored in this enanner because TUGCO
         refuses to consider this a requirement.
           Insoection Roonrt 50-445/85-16: 50-446/85-13 (85-16/13)
         Concerns No.                                   1. 2.        and 3
         PHILLIPS was concerned that RIV downgraded a series of potential
         violations to unresolved items involving TUGCO's system for
         controlling 50.55(e) documentation.                                            According to the draft inspection
          repc-t, these potential violations included the following:                           ,
            "o                                 TUGCO failed to develop / implement a procedure to show or
                                               reference objective evidence that deficiencies were corrected.
            "o                                 TUGCO f ailed to revise implementing procedures before corporate
                                               NEO Procedure CS-1 was implemented, resulting in conflict with
                                               five other procedures.
            "o                                 TUGCO failed to maintain 50.5D(e) files (OA records) that were
                                               retrievalbe,         i.e.,  could not produce record in almost a month."
                                                                                                                                                                    )
                                                                                                                                                                    i
           Exhibit                                9,  page 14-16 of OIA Report, Attachment MM, adequately                                                           J
          describes these specific issucs.                                                                                                                          1
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       - _ _ _ - - - _ _ _ _ _ _ _ _ _ _ _ _ .

,_-_ _ _ _

                                                                75                                 {
                Exhibit 50, original rough draft report completed December 20, 1985,
                pages 3-1 through 3-6, shows these vi ol at i ons as originally written.
                This rough draft was handed to WESTERMAN before typing 'and editing to
                allow JOHNSON and WESTERMAN to prepare tor a meeting on the subject
                PHILLIPS had told WESTERMAN about difficulties experienced since
                October 1985.        The proposed violations would have resulted in the
                fol?owing: (1) a violation of Criterion V,          " Procedures," with two
                examples; (2) a violation of Criterion XVII, "QA Records"; and (3) a
                10 CFR 50.55(e) violation, " Failure to Report Corrective Action."
                The final report issued August 16, 1986 (Exhibit 5), dropped all the
                proposed violations and inserted an unresolved item based on
                discussions between WESTERMAN and TUGCO in which PHILLIPS Was not
                involved. WESTERMAN later informed PHILLIPS of commitments made by
                TUGCO to form a Task Force.
                PMJLLIPS' Understanding of Concern No.         1.  2. and 3
                Requirements:        The requirements are described in Exhibits     1,  14, 15,
                16, 44.a,       and 52 which include 10 CFR 50.55(e); 10 CFR 50, Appendix       B,
                Criteria V and XVII; and the TUGCO FSAR, TUGCO DA Plan.
                Gu i d an c_e :  The NRC had provided TUGCO with 10 CFR 50. 55 (e) guidance
                which is in the back of the IE Manual Chapters (Exhibit           1.2.2).   This
                is guidance to the NRC inspectors concerning the applicability of
                Appendin B Criteria.        Contrary to statements made by WESTERMAN, this
    - - _
                                     -   _ _ - .  _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ - _ _ _ _ _ _ _ _ _ _ _ _ __

)L

                                                 76
  IE interpretation is that construction deficiency reporting comes
  under applicaole Criteria of Appendix B to 10 CFR 50; i.e., as a
  minimum Criterion V and XVII.
  Noncomofiance.with Raouirements:     The following discusses the logic
  f or each violation originally proposed.
       "TUGCO f ailed to develop / implement a procedure to show or
       reference objective evidence that deficiencies were corrected."
  This proposed violation is the most important aspect of this concern
                                                                                                                                                                     *
  as it has caused TUGCO's Construction Defici'ency Reporting (CDR)
  system to be deficienct.   MCCLESKEY, NRC consultant, started
                                                                                                                                           ~
  inspecting the TUGCO CDR system in October 1985 and had made little
  progress by February 1986.   A large number of man hours were expended
  before giving up the effort as useless at the time.
  PHILLIPS and MCCLESKY (experienced in 50.55Ce] reportino)' == bed for
  information to close out the 10 CFR 50.55(e) deficiencies and TUGCO
  was unable to provide it.   MCCLESKY was to review the individual
  50.55(e) fi!es and then field verify the correction of these
  deficiencies.   TUGCO could not readily identify the nonconformance
  report (NCR), design change authorization (DCA), or test deficiency
  report (TDR) which described the deficiency.                                                                 The reason they could
  not readily identify these reports was that their CDR reports were so                                                                                               ,
  bad that they did not reference the documents wnich identified the
                                                                                                                                             _ _ _ - _ _ _ _ _ _ _ -
 - - _ _ - _        . _ _ . _ _ _
                                                                  77
              deficiency in the field or identify the corrective action document.
             'Either document, if referenced in the report to the NRC, would have
              allowed the inspector to pull the report from the file and identify
              the proper document.              This would allow the inspector to go to the 04
              records vault and obtain the document from a file clerk and, after
              reviewing this document, he could go directly to the field and observe
              the deficient systems component or part.               The document would also
              prov2de identification numbers whereby the inspector could obtain
              specifications and drawings from the document control office.
              TUGCO could only respond to such a request by directing the inspector
              to a manager, an engineer, BLR inspector, or some other person who'may
              have been involved at one time.              In many cases, this method led to
              going from person to person to learn what they knew.               The information
              they provided was sometimes from memory or notes in their desk
              drawers.              After'a knowledgeable person was found, the search started

l for the appropriate documents. It took varying amounts of time to

              identify one appropriate document out of thousands in the QA records

l

              vault.              The person's ability to retrieve documents is also impacted by                                               j

'

                                                                                                                                               l
              other priorities and memory.                                                                                                     f
                                                                                                                                               i
                                                                                                                                               l
                                                                                                                                               !
              Once faced with this serious retrievability problem, TUGCO finally
              admitted they had a problem and asked the NRC inspectors to terminate
              their inspection until they could get a handle on things.

i 1 ,

                                                                                                                                               '

l

                                         ~
                                                                                   - _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ - _ _ _ - _ _ -

- _ _ _ _ _ _ ._ .. - - - _ _ l

                                                                                              I
                                                           78
                 TUGCO stated that they were writing a new Procedure (MEO CS-1) which

1

                'would help correct these problems.    They asked DHILLIPS and MCCLESKEY      l
                 to review the final draft and make comments.      Comments were made to
                .TUGCO and specifically concerned the f act that the procedure did not
                 adequately describe what identification and corrective action
                                                                                              i
                 documents should be either ref erenced in the 50.55 (e) repc.-t to the       i
                 NRC, or referenced in a letter to file, or otherwise cross indexed to        ;
                                                                                              )
                                                                                              '
                 or from the nonconformance or design change log.      Despite these
                 comments, TUCCO issued the procedure without addressing how the              j
                                                                                              1
                 50.55(e) report referenced the NCR, DCA, or TDR, or cross indexed logs     f

f I

                 to the 50.55(e) deficiency report.            ,
                 NOTE: One muet not lose sight of the fact that this Applicant is not
                 just starting to construct a nuclear plant but has completed Unit 1
                                                                                            '
                 and is close to completing Unit 2.    PHILLIPS and MCCLESKY had never
                 encountered such ineptness and they have inspected ,a l arge number
                 plants.
                                                                                            f
                 This failure to have adequate procedures as required by Exhibits     1, is
                 a violatinn of Criterien V of Appendix B to 10 CFR 50.
                       "TUGCO failed to revise implementing procedures before corporate
                      NED Procedure CS-1 was implemented, resulting in conflict with
                      five other procedures."

- _ _ _ _ - _ _ _ _ -.

                                                                                                                         79
                                       MCCLESKY directed the above violation to PHILLTPS attention.
                                      PHILLIPS, while writing the vi ol at 2 on, checked to verify that IUGCO
                                      had revised the subordinate implementi ng proceduro=; bef ore issuing the
                                      corporate procedure.                         Such revi ng on was important because the
                                      corporate procedure affacted responsibilities, deportability criteria,
                                      notification policy, and reporting instructions.                                               This failure to
                                      revise procedures as required by
                                      Exhibit        54___________.___._..__._____
                                               "llJGCO failmd to maintain % ,T5ies file- (94 records)                           u     that were
                                               r e t r i evrib l e ,       i.e.,      could not produce record in al most a month."
                                                                                                                                                                    t
                                       TUGCOs inability to retriove r u ned;                                        t,  + violation or at least a                 '
                                      devietion, depending on ono'                                caniorcement out1000.
                                                                                                                                                                    I
                                      Exhibit 43, page 17.1-41, st at e , that the method of identificat3cn and                                                     (
                                      inde> 1ng of records for ease ai                                 etr a s-vet;i l i t y wi ! ! be r u nt.tr ed by                1
                                      proceduren t h a t.          Implement thic l 3 4R r e q:.' t r emoi F .                        'l li t .L I PS i nter pret s
                                                                                                                                                                      i
                                      t h i r- n a requirement which wa .iofated; howe,rrr, at a minamum a
                                      commi t. ment was violated in                       f-   hiti 5       44.a.         caragraph    6..'  unich states,
                                      in part,          ".    . .       r e t r i m. u .1 <       : r. l . a rnet t on wi then ti undue dalay."
                                      PHTl.l.1P9' understandtnq y;[                       l'    ,
                                                                                                     .i . I : pd gh thpng1)n-J
                                      P a r P.QCRthel :       Prior to in1+1                              o,      i.vq ction ot ihe filn N
                                      r,ch s P r 8 4c t t ui t Oc f t e t rani p P ap        .       ,     i i . *-
                                                                                                                    '
                                                                                                                          -,$in   i    'ed   b,                     j
            _ - _ _ _ _ _ _ _ - _ _ .
                                                                                              _        _ _
                                                                                                                  _ _ _ _ _ _ _ _ - _ _ - _ _ _ _ _ - _ _ - _ - -
                                                                          80
                   10 CFR 50.(55e), PHILLIPS had performed a trend analysis of T UGCO' s
                  deficiency reporting as directed by Hunter.                        An adverse trend was
                  identified based on reviewing RIV inspection reports (over
                  200 violations and unresolved items).                  Six violations had been issued
                  and three unresolved items appeared to be violations instead of
                                                                                      .
                  unresolved items.       Including PHILLIPS' experience et plants in
                  Region III and the South Tex-as Project, PHILLIPS concluded this was
                  the worst enforcement history he had witnessed (E::ha bi t                                 __ ,           Trend
                 Analystr).
                                                                                                           .
                  This analysis was furnished tn                      who planned to factor this into
                 the RIV Comenche Poal- Task Group (CPTG) follow-up inspection of                                                                                 ,
                 TlfGCO'r3 third party i n =pec t i ori . the Comer.che Peak Response Team
                  (CPRT).    This was never done because WESTERMAN veplaced                                                        and he                         I
                 rejected the trend analysin and the idea of 1actoring this into the
                 follow-up inspection.         WESTERMatt also rejected adverse trends in the                                                                     i
                                                                                                                                                                  l
                 RIV inspection program for Unit 1 wher e it appeared thet RIV
                 inspectors had performed inadequate inspection: end rejected
                 r ei nsper-t i ons of the various MU ' " t <?-
                                                                     Inspection p,ocedurus wh2ch would                                                            ;
                                                                                                                                                                  i
                 havo looked at 50.55(e) def2c1=nitn=, i n conj unt-ti on wi th reinspecting
                 the inspection procedures of N * *; 1 ? . .
                                                                       WES TERMnN 2140 directed the
                 subject of trending be droppa1 at m inspection teper - C6 4.P/OS which
                 is discussed in a d i f f er er. *  rec,  .i ,.
                 In 1980 PHil.LI PS all er t ed 1 .'             i.-=iir   . h . 's e r 19? '    a r 's     >n.1 prat)lomi
                 When he was at Gr su t h let as     i          a     :v.,rrn                   F h:b)t            1.'.1.b,                                       4
                                                                                                                                                                   l
                                                                                                                                                                   a
                                                                                                                                                                  f
                                                                                                                                                                  i
                                                                                                                                                                  )
                                                                                                                                                                  1
                                                                                                                                                                   !
                                                                                                                                                                   !

_ _ _ _ _ _ _ _ _ __ l

         - _ _ _ _ _ . _ _ _ _ _ _ _ _ _ - _                                                                                                                                   _ _ - _ _ _ _
                                                                                                                                                                                                      81
    two memoranda; 8 pages).                                                                                                                             If these trends had been identified in 1980
    or earlier, special NRC inspections could have averted what has
    happened at Comanche Peak.
    Proper Handlino:                                                                             PHILLIPS pr'avtded MCCLEEhY w2th background materia)
    and IE Procedure 92700 whicP require the inspection of TUGCO's CDR
    system.                         As indicated in *.t s f i el d notes (Exhibit 57.a and b),
    MCCLESKY experienced immediate problems while inspecting the CDR
    proceduras and files.                                                                                                            The cor rect 2 ve act3on portion of the procedure
    was inadequate.                                                                         Insuf I- t ci ent in+crmattan was on file to determine if
    nonenportable items were proper 1y evaluated or li reportable items had                                                                                                                                ,
    been corrected.                                                                         In October, u of 13 files reviewed were deficient
    regarding sufficient i nf orma t.1 on to verify corrective action.                                                                                                                                                                                                                                                               Twelve
    additional files contained nonraportabl e def iciencies; however, of                                                                                                                                                                                                                                                                    l
                                                                                                                                                                                                                                                                                                                                             l
    three o+                        these files were deficient to the point that the inspector
    could not dJtermine whether or not the deftctency was reportable.
    Thiis dat a was prevented t o WESTERMAN by F' tit LIff and MCCLEEKY .
    Mi s h o n cilj,n g:                                              PHILLIPS told WESTEPMnlJ thst he ha1 n o +; 1wn such a .nc 2 :5
    in all his time with the NRC.                                                                                                                                                            PHIlLIPS had decided to thield
    MCCLESkEY and keep him out af the line ai fire r9qdrding violattene,
    becaure WESTERMAN had alreadv let YCUtlG' m contract e s: p i r e +cc the name
                                                                                                                                                                                                                                                                                                                                            ;
    tea +on;                  t.e.,                                   writing <t71etinna.                                           -
    In this cace, LES T E PMAN cone nnt s atr1 slj the msth nn cou!d to
    p r, n t . u ire , haram , and i n'. t .n t d a r - l 1111.1 li',                                                                                                                                    to dtvp Fh we < t a l a t i c n .; .
                                                                .

--__ _ _ _ _ - _ _ _ _ _ . _ _ _ _ . _ _ _ . __ _ _ _ _ _ _ _ _ _ _ _ . _ _ . _ _ _ _ _ _ _ _ _ _ _ _ _ _ __ _ _ _ _ _ _ _ _ _ _ _ _ _ _ . _ - _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ __ _ , __ _ _ _

                                                                                                                                                                                                                                                     _
                                                                                   _ _ _ _ _ _ _ _ _ _ _ _ - _ _ _ _ _ _ -
                                                          62
 His statements suggested that PHILLIPS would be removed from the Job
 because he was not a team player; i.e., would not agree to drop the

i violations. Veiled threats about- did not PHILLIPS make good money

 and suggesting he would make less when removed t' rom site- started to
 become serious from PHILLIPS standpoint.                   Such unprofessional behavtor
 had never been encountered by PHILLIPS in nearly 29 years of working.
 PHILL.IPS returned from three weeks leave on January 13. 1986.
 PHILLIPS was conf ronted with t he drM t inspection report on which
 JOHNSON had modo unprof essional c o<mrent s and rediculed PHILLIPS' draft
 i r.sp ec t i on report C6-16/17.,   ( E .< h i b i t 58).   Those comments ar e not only
                                                               ,
 uncalled for but al <so erroneous,             i10l lNSON ' ~. statemnnt, Attachment P to
 the OTA Report =: hows that he dnes not underetend quality assurance and
 construction.       His personal a t t.3 c L a and comments on this memo are
 improper conditct for a sentor manager.                  In reading h2s CIA statement,
 i t was evi dent he could not answer simple questions on IE MC 2512 and
 DA procedures.
 WES1EFMAN nid he had talked to JOHNEON about the pronIcms PH1LtIPS
 was cresting for him.         WESTEPMAN tal d PHILI. lFs t-h e t somethsng was
 going to have to be done.
 JUHNSON tems to the site and h r c :.'tm a t PH I LL I PS n .. r-r r. i i n F:ISCC
 .nemnrandum PHILLIPS had writtsn.              Dor 1og ihi7       ,t7i P,  J OI 4H5GlJ and
  T 'T ERMAN cie t 6H t h TUCCO to d19eiire        thsir r. DP Watrm end Fl: It I. j Il ues
 told he w,.cs niit nandad.      .:re    . ? , 41    7! 'lill L ll   + .": mnen,     l l GM + ,.M o
                                                                                      . _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ - _ _ _ _ _ _ _

_-- ___. _ _ _ _

                                                                  8 T.
                                                                                                                                                           l
                                                                                                                                                         l
                                                                                                                                                          i
                commitments and went overboard.          They formed a task force to develop
                                                                                                                                                          j
                                                                                                                                                         1
                huge folders on each item when a simple r ef erence in the 50.55(e)                                                                       i
                report list contained in the file or an indexing t'o the entsting NCR,
                                                                                                                                                        '
                DCA, etc. logs would have been sufficient.              This task f orce has wori:ed
                for a year and has had 5-10 people working on, it.                   If PHILLIPS had
                been at this meeting to enpla3n, TUGCO may have elected to go the
                simple and more inexpensive route.
                In5;tead of being at this meeting. F HTLLIPS (with a broken rib) was
                asked to give GAGLIARDO an onsite tour.             Initially the purpose was
                unclear as GAGLI ARDO heici barn on-site +or mpnths in 1984                                                                 ???As a
                resul t , PHILLIPS'gave GAGLIAPDO a casual tour.            WESTERMAN later told
                PH.ILL IPS that the purpose of the tour was to test hi m f or site
                knowledge and that he did not do well,            JOHN 911N telephoned PHILL?PS a
                couple of days later to repeet this and selv that he intentioned
                PHILLIPS' construction exper3ence after reviewing his resume.                                                                    All
                this was to make a potnt.
                At this point, PHILLIPS told LEG TFRMaN that he rernvared theFe t h i ng r4
                                                                                                                                                        t
                as a " set up" and told WESTERMAN to tell "then' t o b ,M- L off;                                                             1.o.,  he
                would write this inspection report a s, RIV mancgement desired, and b r-
                would ask whst they wanted       t.r i t~ t o n tn the i n=Fpac t i on reporta in the
                                                    .
                tuturc.   PHILLIPS folJowed t h1 m ri o l s , '- ont1i   Mc. , 1286 when inepect Ion
                report th-OU/06 was wri iter.
                                                                                . _ _ _ _ _ _ _ _ _ - _ _ _ _ _ _ _ _ _ _ _ - _ _ _ _ _ _ -
   - - _ . _-                                    -                _                -                                                   .
                                                                                                                                            l
                                                                                                                                           1
                                                                                                                                          i
                                                                                                                                           l
                                                                                                                                           (
                                                                                                                                           !
                                                                                                 P4                                        i
                                                                                                                                          l;
                                                                                                                                          )
                                          The mishandling of these items is abunduntly clear from reading
                                          WESTERMAN's statement (Attachment D,               Volume II, dated July     'a l , 1906).
                                                                                                                                           I
                                          His twisted logic and lack of understanding the requirements of                                 f
                                                                                                                                         i
                                          10 CFR 50.55(e) are evidenced by the following references; however,                             l
                                          Pages 348-412 must be read for a full understanding.
                                          Eage 350:     "Now it was my possation and still : s my pnsiti on that
                                          there's no requirement in SO.55(es, or e procedure,.that having a
                                          procedure to cover 50.55(e) is not an Appendix B requirement.
                                          50.5S(e) is a reporting rnqui r mntn F which is placert on the untility
                                          via the code ci requattions."                               ,
                                                                                                                                         I
                                                                                                                                     ,
                                                                                                                                         I
                                          Comment: This conflicts w3th ' .F. Guidance in Echihit S4.                                     l
                                          E4.ge_A51:
                                                "O    Ole a y .     Are there prnrecturet, 1 or 1 dent t 4 ) at i nn ,                   l
                                                                                                                                         1
                                                documentation and nottt1 cotton of a f t 'c t a-1 are. A n t r at i on s --
                                                "A     Yes, sir.
                                                                                                                                         !
                                                "O   .-- for nonf ont I rm i i ., i' ems

l l

                                                "A     YGS,     ?> 1 r .
                                                "U    Lil: Av.      iTI r: we T. ; i          t*i..r i.,
                                                                                                                                         ;

l l

 '

L. _ _ _ _ _ _ _ _ _ _ _ _ _ _

 - _ _            _ - _ .  __        . _ _        -
                                                                                                                                                                   1
                                                                                                                                                                   I
                                                                               85
                 "A       Nct -- well, wh at we"re talking sbout that fir. Phillips
                 wanted, was for the utility to have a status in a f i l e f or esch
                                                                                                                                                                   I
                 50.55(e) which he could go over to and look in that file and
                                                                                                                                                                   l
                clos 2 out a 50.55(e).                    And I'm saying I don't know of any
                requirement that would say the utility uould have to have those
                 in a file +or the convenience at the f.omm15,si on .                                           Ihose recerda
                are there; they are maint.alned; they are part of the permanent.
                Now, 1f I"m a prudent i i c e rioec . I wi11 have t h -a t iind of a
                sys t ein .
                 "O       Did they have a m:. ton. o c.t i nr 5* . % ( e s , it's --
                 "A       Yes,     sir."
                                                                                                                                                                 .
       Comment:           This is a false st at emr'nt au Pilil l. J r's nwmr asked for such a
       system as he only asked that the 1,0 f- report                                  it, IIPC : rafmtence the
       nonconformance report, ref er enc +                         it   in t hr      11]n, c.r r (a t er ence the CDR
       on the NCR leg                  F H I LL I F 5 .,n.1 a un h i o :w. cm. pre .e               on .. e this s t a t eini,n t
       is t -n 1 s e .

l ) ['a o n 360: "If you went t ,, , -t n c,r it rsn t c .c be,r.e e r wir.r t s. y oi t would

                                                                                        '     "
       clearly be able to i desit !                            .        ..'  t'sn    a    ,       .    ->    i : ic m . '                                        )
                                                                                                                                                                 l
                                                                                                               " ' '
       Comment:           McCLF CK t' c1atie                              ,a    1 i:      . i    i    L. t i     . ,
   .
                                                                                                                               _ . _ _ _ _ _ . _ _ _ _ _ _ _ _ .
 _ _ - - .

l i

                                                                                      '
                                                     86
                           ,
           Pace 362:   In, response to how many 50.55(e) reports had been received:
           "Oh we haven't'gotten very many here of late."

l 1

           Comment: PHILLIPS tracks 50.55(e) reports and this is a false               ;
           ctatement.   Exhibit 59 shows thwt CP-86-50, for example, had been
           received by July 17, 1986,.and this means that a total of fifty
           50.55(e) reports had been issued thus far in 1986.     WESTERMAN
           testified on July 11, 1986, and knew this to be a f alse answer as
           PHILLIPS furnished these reports and status reports to make him aware
           of gechnical reports by number.    In fect, the last report
           (November 26, 1986) shows that 76 reports had been received in 1986.
           PHILLIPS' experience has been that some projects have not received
           this many 50.55(e) reports during all of their 6-8 years of
           construction.
           Pace 362:   "I'm telling you 50.55(e) does not fall under
           Criterion 15."
           Comment:   TUGCO FSAR, Exhibit 14, page 17.1-38, and Exhibit 15, CAP,
           Section 15.0, consider 50.55(e) to fall under Criterion 15.0.      This is
           an example of WESTERMAN's defending something that TUGCO could not
           even defend.   It is impossible to deal with his logic as it skips from    1
           point to point without rationale.    His only logic is that is the way
           it in because he says it is that way.    PHILLIPS,           YOUNG and
           MCCLESkY were bombarded with this l acl- of logic 'and urjiess they were
       -      __-         _ - _ - _        _ .    -      . _-                    -                                     -     . _ _          .    _
                                                                                                                                                    1
                                                                 87
                                                                                                                                                   1
         <7willing.'to agree that' dark _is daylight, he started harassing,
  ,
             pressuring ..and threatening.
                                                                                                                         '
    ,
             Pace 362:           "There's no' time limit onretrievability'."
          \
             Comment:     TUGCO FSAR and ANSI N45.2.9 state there is (Exhibit 44.a,
             page 17.1-41 and Exhibit 43).             These words do place a time limit;
            .'i.e.,  a: reasonable. amount of time or the norm.                                                          PHILLIPS and MCCLESKY-
             considered a month excessive time to retrieve records.
             Similar comments could be made on many of WESTERMAN's statements.                                                                As
            : WESTERMAN was being advised by DARNES, HALE,.and ELLERSHAW (who have
 i           almost nothing but NRC Vendor Program experience), WESTERMAN and
             JOHNSON proceeded to downgrade all.of PHILLIPS' and MCCLESky's
                                      ~
      ,
            -findings because of a lack of management and construction exportence.
             In reading. statements by JOHNSON and WESTERMAN related to these
             concerns, PHILLIPS detected unprofessional conduct in the manner that
             PHILLIP5 was attacked.
             Safety Significance

l

             The safety significance of these vi ol ations ic berause IUGCO's Eytem
             for reporting to CFR 50.55'.o) de t t el enc t o:s ha.s been datic. tent during
             the entire construct 2on ci Unit J and 80% oi' Unil J construction.
             This statement is supported            t, PH tL! IPS' trend malruts and by
             +indings of the NRC TRT t ( m ni 1 r. nc t clicr    .l 98 i *E:htb1t                                                     and SSER

'

                                                                                                                                                    !
                                                                                                                                                   .I
                                                                                                                                                     l
                                                                                                                                                    !

L__ - _ - - - - _ - - - - - - - - _ - _ - _ - _ - _ _ _ _ _

 - _ - _ - _ _ _
                                                                                                                                        ,
                                                                                                                                        l

l

                                                                                          69
                 The significance of RIV management's lack of experience ano knowledge
                 with respect to 10 CFR 50.55(e) reporting, has been more safety

i

                 significant that TUGCO's de f icient management d r.d knowledge of the
                 system because RIV management'.c influence affects many utilities.
                                                                                                    .

i Another strange practice in RIV is the fact they do not acknowt< . .s

                 receipt of the Applicant's 50.55ce) reports, as do other reolonn.                                                 this
                 may contribute to the inadequate reports inado ray TUGCO.                                             It may also
                 follow that if RIV management doc. not under stsnd 10 rFR 50.55(e)
                 repor ting and +c1icw-up tn ap rcti.;n , tann RTV tnopecttans of those
                 areas hewe not been as good ar tho,                             t. h oi t i d tj a ve o r ten .    1   TUGC0 had       i
                                                                                                                                         i
                                                                                                                                      *
                 bocn strictly required to implemsnt an adaq tato 10 E!R So.55(e)
                 repor ti ng syest em, RIV or NRC hear! quar t er s no r. t J a l cl-                             wnujd have
                 recogni: ed trends that are new snowing up in tha areas of design and
                 c on st r uc;ti on engineering.                 What can tJ e mor e Li gni fic ant than t hi s
                                                                                                                                          i
                                                                                                                                           I
                 considering the poor position TUGCO tinds itself in today.                                                               ]
                                                                                                                                            ,
                 Con r: rr n.- No. . ---
                   -
                       - - -
                                         4
                                                                                                                                           l
                                                                                                                                            l
                 PHTLLJPS was concerned that RTV menagement down , aded the 1ollowing
                 document c on trol --r el a t ed s t a l 9 i            3. ,  r. o an unricel' m i t ro,:
                                                                                                                                           1
                                                                                                                                            l
                                                                                                                                            ;
                                                                                                                                            l
                           " I UGCO nait rep. laced de u .t        t   > : t c t . c r- p tc r I C !'   - . 3,   b .t   t wi  o;  4       l
                           tiist ware F icla i nup _i               ,
                                                                       -
                                                                              - . .ct pr mm ; ,             !  ..t 1: lad   m ,
                                                                                                                                            j

f

                           e n 7 t a l ! a t i p r. 1 avc l ci ,

I i f i

                                                                                                                                           l
                                                                                                      . __ ______-_ _ -__ ___ _ _
                                                                         90
   E>:hibit 62, pages 16 and 17 of 014 report, Attachment MM, adequately
   explains the concern.
   Exhibit 50. pages 4 of the ortain.41 dratt inspection report. desci 1bes
   the violation which was dropped.
   Exhibit 51. pages 6 and /, tinal incpection report issued, recorded
   the itein as unresolved.
   PHILt.1PS',_Undprstandinq_ol..Latit.g n la d
                                                                               .
   ljggui rement;_s :         The requi r eme.it... are dee.cribed in b.nhibita 33 and 34                                                                       l
   ctra.1 i ric l ude appropr 2 ate por t i os o, cd 10 LFR 50. Cr i i eri on VIII.
   Appendin B; FSAR, Section 17.1                            c.n d 1U0C0 UAP.
   [[or.)c_omp l_i a n c o . n_ t_h Ge qu ) : qq.g u t. :. :
                                                         .      it 2 u r.on c omp 1 1 co u.e . a. i a identliied a r>
   c v i o l e t.t an of t.h e t d e n t i i- te o l. s a t r ".' qu i i u  u. . L c :. n l1. i i b t t i                         1.   S ': ,
   and      'A an descrabed
                        o        in the c i . i i r.; 1 or a; t r c por t                  t    .3 tit 50).
 .
   PHILLIPS' understanding al ' vi.s a ; t i .+ Nt ag gn q1.: n A .?t.                         Loncorn Na. 4
   [2!),;1.qr oun d :

l I l .

     3    o                   ,                                  b                           #                                       $      .Em

l l

   Recorts datin.) eack to l ' / .-                                4             'e  i: :        . i- . b p l i . ;!.1 c n at
                                                                                                      .
                                           .

l

                  .
                                                                                                                                         _ - _ _ _ _ _ _ . --__
                                                                                                                        . - - _ _ _ _ _ - _ _ -
                                                                                                                                                               ,
   l-                                                                                                                                                          !
                                                                           91
                                                                                                                                                               {
                                                                                                                                                               l  '
      effort.            The six RIV inspections reviewed did a fair . job with respect
      to inspecting line IE IP92700 items: such as, TUGCO actions or
      applicability distri but t on, assignment of responsibility, and
      corrective action documented.                      Thece reports did not generally
      emphasize field verification of hardware replaced, repaired, or
      modified.            Therofore, MCCLESF:Y's tasi: was to field veri f y selecteci IE
      Bullatins.
      Proner HandJin2g:               MCCLESKY 4 'e n cued IE Nanual l'hapter requirements and
      the backgtaun:] material p r a ,1 10 : ebu,e.

l

                                                                                   .
    ,
      The r esul t r, oi this a rispot i a a: a tf:.h1 b2 t 50 and C. ) show that before

1 l IJosember 15, 1935, a potentia! . i .: l . P. t a n had haen identifled to high l l

                                                                                                                                                               l

l Icvel TUGCC engineert who su r e l ii. e.l . e d t ri this rev&ow. These exhibits '

      alsso document TUGCO"s inac.11ty                    t.   snow the carrect at41 t ch on residual
                                                                                                                                                             w
      heat removal valves thet ar e 1,mta12en in a reaborisble tame.
                                                                                     .

,

      PllILLIPS ttanslated thena f ; od; % s t n l.a a distt                                1. n at: sm e t an r ap ort. a =,

1 l MCCL.EGM bed c ontacted TUCCD - ,f ictof po:nta a. s. o n t a c t ( c i rc l e.ed on

      fi:; h t ta l L 64i.      B&R 1ssued       a no< a ar + at .nanca repart.
      1 }h D n d l I fig :      PHI L L1 PF h .r e:i-        '   .    nr < t ne iho                 e t -, i J -                    toctten or
      the Inspect 1an nrp or t to WF I;                            id a d. rmp :t                  a u i t :5 ps                              i.1 :u l .;r       j
                                                                                                                                                                j
                                                                                                                                                               t
      item i ?Mr1CD uwi t chrete i . nW G                               ."'  ,%r c h i .       i
                                                                                                     cr tnr trct( l r. .- ~
      by gding tc Df44HDT, T Ur;r.1                                   ..4      .4 s    a r. c I ar .-                   ..nitct-
      p r a v i t' e d .   M t c-r  3 J on.3 pto                    '
                                                                           .  r.?'.-                   :. d ) r ' . .n                                 .r '
                                                                                                                                                                 j
                                                                                                                                                                 <
                                                                                                                                                                 l
                                                                                                                                                                 !

I I

                                                                                                                                                                 l
 .

L 1 t . _ _ _ _ _ _ _ _ _ _ - _ _ _ _ _ _ _ _ _ _ _ - _ - - .. I

                                                                                                                                                                                _ . _ _ - - - - _ _ _ _ _ _ .,
 . __ .-___               .-_ . _ - _         _           _____        _      _               _ _ .      -                            _
                                                                                                                                  .
                                                                                                                                                                                                              l
                                                                                                                                                                                                             l
                                                                                                       92
                                                                                                                                                                                                             ]
             travelers were pr oduced.                                    No explanation was provided as to why these
             work records were not in the OA records vault; however, the specific
             NAl1CD swi tch d'. ravel er s should has e been ava t I ab i e as Uru t 1 was
             completed.
             MCCLESK'/ had a number of que-tions                             ;         that DR/',tJDT never rin swer ed .
             MCCLESKY left the site in Fobruary 198o.                                                      Shortig before ha left,
             there was disagreement at a meeting attendeo by Pil!lLIPS, MCCLECKY,
             13RANDT, WESTERMAN and BARNEG regarding the fact that BRANQ1 naver
            prov3ced the inf ormat i on requerted,                                                  the dotation was dr opped.                                                      TUG 3CO

l . c.;hou l d have been ci ted as originally writtwn in Exhibit 50 3 page 4-4:

            however~ , after it drug out so long they finall y f ound the records.                                                                                                        At
             thin potnt, they should have baan cited for t allure to retrievo

l

            r e c o r d r,, , a ditterent violest1on. but ac c.c r Lli n g t o WESTERMAtJ,. there as
            no time limit.                                                                                                                                                                                   j
                                                                                                                                                                                                             )
             Ihe protracted t i .ne f or getting draft reportc nas emutwc many preol e.Tm
            as in this ca20.,                       The inspection ended Namnbar 40,                                         l9G3.        WESlGRM6.N
            wn on-o te much c1 the ti me usitil the drait m: i aisi.ntted to Gl a r.
            Fuoruary 1986.                       He was i n c t n '.i nij an not a l l ow i e.i_.,                    .intattana based dn                                                                    J
            iniertDation PGCe1Ved ils letd Dr C C.W Er l ' ff . and s_ i r l . d u n LF V 10 9.:) .
                                                                                                                                                                                                              I
             I h l ". was not properly docuir.entsd in the flRC t.~3nemitt 1                                                        1.> t t mr :                                 1.C..
                                                                                                                                                                                                              I
            additianal 1 isS'p O C l. l u n Out5ide l i '. t./                          1 *iEpEC i 10'        pr . a. s 'i .   IlC hcl ! ., N R t.'
                                                                                                                                                                                                             t
            e n h C I C oiD e n t okk1CeI y                     C Cii 31 d C.r 3 tl11 O i mfI .[2I 1ei b l . '- n TIlo d n t k Ih C
                                                                                             #
                                                                                                                                                                                   t!IO

l

            U1 r.i   Report tCuh1 bit 6S,                           I r i E p.: c i 1 L.i i !ec p r L       3 1o    1.,4     :r .eic            ).                               Ih1%                         )
                                                                                                                                                                                                              1
             lQ    rJ () O s ) e f ' 1 E.' pl' QD k Pill o
                                                                                                                                                                                                              I

(

                                                                                                                                            _ _ _ _ _ . . _ _ _ _ _ _ _ _ _ _ _
                                                                                                                             _ _ - _ _ _ _
                                                                            93
 PH1LLIPS has performed follow-up inspection in subsequent inspection
 perindc but has not closed thr item because of the mul ti pl e pe -otal ems
 found.     Be+cre this inspection (discussed balow) one switch was found
 tc be a Train "C" (noncaf et y-re'l at ed ) switch; therefore, only one
 switch is discussed.              MCCLESkis field notes dateo in November 1985
 conflict with the Master Data Beso, checked on July 25, 1986.                                                        This
 information Master Data Base was not produced for MCCLESKY in 19G5,
 but was, there in 1986.                PHILLIPS found new finoings;                              1.e.,     multiple
 violations of the work traveler F'rocedura CP-CPM-6.3: therefore, the
 item remains open.
 Tr avol t r__EE D2-1415-5001 dated J u l;L ]_,1_l9BJ :                                                                   ,

l Comments:

 1.     I h r> anita aJ tirst t r a vel er- wcs not reviewed, signed, or dated as

l l

       required bv procedura.
 2.    Oper& tion fJuinber 1 does not reference and requis e di sasserabl y per

l instruction EEI-21, " In st al l a t i on Ra quir o.r.nn t .a tcr NnW.:C La ma t

        Switches," Revision              0,     dated August 20                    190 '.
                                    '
 3.     Operatioc. N c, .     . P<    .  2, t a '. a to t t ghtet. ":inuq t i c.h t . "                    Since t"ese
        .M.Ve3 af' O equapment Qt o                  l.      1. C. A t i Un toEtPd      *selIM1C), Wh 61. WGdid
        h.AppOn 1f there ar..: Jr . , t i .                    1.tfcecr.cca        ,
                                                                                   '2 '   .: is iq F 2 oi;t ap >> t 7acl,e i

l '

        1DQ1E!    C,in d l'1C n t !i"    C ' v l i .. i ) L z   (di  i.Iti"  .41.*'t-   i i hl c.a l O Citti i n i. J J:)

l i f L

                                                                                                                                                                                                 _ . _ _ _ _ _
                                                                  94
         earthquake.            This might cause failure if the switches on the
         valves in the field are not tested to the same tightness as those
         tested.                                                                                                                                                                                                       j
   4.    Operation No. 5 does not. require determination per
         Procedure EEI-8, " Class 1E and Non-Class 1E Cable Tcrminst2cns,"
         Revision 3,          dated May 18, 1982.
                                                                                                                                                                                                                       1
   5.    Operatico No. 6 does not require stops to be in accordance with
         EEI 21.
                                                                          .
   6.    Crewing Revision was not rccarced; and Procedur e I?evi si on Wer e

l

         not recorded.

l l l

   F
   l en 1 ar c menn t Trave)er EE 8".-0459-5801 datcct May_ Jk_L2fG.:

l

   1.     I h t ", second traveler does n o t.            reference the (3rst traveler and

1

         was not in the QA recorda 4'i l e at t h e t $ rt:e the incpection wts
           erfarmad.          One could ea:u 1 y con * usa uhlch h /ml or 1s                                                               l' h e l il'Et
                                                                                                                                                                                                                         1
                                                                                                                                                                                                                        i
         C) f ' I hist one.
                                                                                                                                                                                                                         1
                                                                                                                                                                                                                        j
   2-     the +irGt statement on thiv h . .m l e r                    ,e    . l * i c i. tht on _ c h in.t t t                                                                                L> c
         rQplaCGd bOC3ul0 It O h'O _1 % r.               i,a,0!      the tc .: .                    11 r ec t r osi .                                                                        16 1 .
         (M?Gith O f 1 '"? nf tWo t h i n gi r_ :    '1) ti.e d c. J t g n de 'i~ 1 .g            t t cn v o l c r                                                 u.,E
         LdriOct e3 n (J '* jag not 14i3" 31 1 " ' r, J "~ '. n c
                              .
                                                                        F      3 0   s.'ii .O n ' 3     Ci                         tJ)                                                     ha

! t

 ,
         d H!S t .j n dr 21Hi ng / t r 46v.2.l tt sJ,4 r   .,..u A n1   1. : i .   ,,.t-    F'       w rist al j e;l                                                                      t'
           .
                                                                                                           _ _ - - _ _ _ . - - _ _ _ . - _ - - - . _ _ _ - - _ - _ _ _ _ _ _ . _ _ _ . - -                     . - - .
                                                                                       (15
          s&; itch per these documents.                                (No NCR was written if the first is
          the case; and no DCA was written li the second was the case.)
 The discrepancies above show a wealness (if not a violation) of OA
 program requirements.; that i s, generic with respect to not requiring
 installation per procedures.                             Even if procedures were referenced, no
 revision was on the traveler and no revision: for the drawing were
 recorded.         What effect this has hsd on several hundred installations
 is unknown at thi s point.
 E::hi bi t 66,       " Conversation f?ci cr o .  usteo a u l ,-                                      8,       1986. documents the
                                                                                                 .
 TUGCO repre'ientat we's statm an'                                  that         T. n c y nad St.nt.lpr problems as did
 MCCI.ECKY.
 Satety_Stantitcance:
                                                                                                                                                              i
                                                                                              e
     IIh inh a C b rien      a       huncreds o .-           2 . s i ' . .' , e.. ;         - t :;l J r.       ' a r ' 1 :s'.s c siutem is
 3 7.1 l l unfn0Wn Js the tr wc!c:i -                            n ; "ii. pr'oc ed ur..?                    ..     .T a t t c l .l owed .
 e41thouah the original p r c t) J r.u                    ..    th : enti t i c at: an w.a r m ,'ct er i cu z i ,'
 sQl/Cd. dQCumGnted Swl tCilO e                        :. (1/ '": ~i.- *C1On
                                                                  .                              <0     SW1 t' nd G 1 n Es t dt1 1 a d wag d
 v101ution and the fai1utm t                                        a<   .a      the douimant. was ei n ej 1s a
                                                     '
  .1ofdt1on.
   '
                      1M iaCt        3  1 'I  1 U! A          s           'M-       r O lU ; r ~ d 50 o ur :!ue this 1ssue,
 t h e 'y . hay have IounO and pt                                       i'lt;pI            8. '    i] . l - a '. 3 D n E On      C. f . c 3 r
 t r W G I Gi* 3 'y' G t OiG ( [ n I p O C~ i~ i G              ,                   i .' ' (       ;    1.     '        ini ECG l l Jneou?

.

 ( J C r ic trevelers POvicWed.
                                            .
                                                                                                                                              _ _ _ . _ _ . _

__ _ _ _ _ -

                                                                                                                                              l
                                                                                                                                              i
                                                                                                                                              j
                                                                                                                                              1
                                                                           96
                                                                                  -
                  ,
                                                                                                                                             ]
            This item has wasted a great deal of the NRC inspectors time and i s
            still not solved.          This in itself is safety significant in that the                                                       i
                                                                                                                                              l
            inspector ends up inspecting less.                      This wou.ld not have happened i f
                                                                                                                                              1
            WESTERMAN and JIGHNSON had not intervened.                                                                                        l
                                                                                                                                              l
                                                                                                                                              .
            Concern No. S                                                                                                                    )
            PHILLIPS was concerned about the technical adequacy oi DISCO fire
            seals installed at Comanche Pa:ak bocause certatn configurations had
                                                                                                                                            !
            recently failed in t e s t i n g).        n cot a21cd r evi ew of the certifications
            showed them to be at least irdotarminato and,,                             at worst, false.
                                                                                    .
            Records of testing were destroyed in two successi , e t ir es according to
            BIGCO management; however, t e :- t d a t e o, and dates of the fire conflicted
            in one case.         RIV management apposred to be mor e concer ned about
                                                                                                                                            i
            protocal of who to address the momcrandi..tm to than these problems.
            Ex tu bi t 49, psges 17 and le of nttacnment nn to tne rinc 01a neport,
            generally describes the concern; however, greater d a t ,.ti l about these
            concerne i s. .ic ccr i bed in a e u tv v a.w o t p e r z wir c.p h (Mi nt,ana12 ng) .
                                                         ,
            Exhibit 5U, pages 6-1 thro Nh - ;                 .t-   the or t cin al incprction drait
            Rocnrt GS- 1 M 13, denrr i te         o. . - i.    ,    .:;; , ed i t em er i
                                                                         '
                                                                                                   we .~ 1 o l e t a cr i 3.
                                                                                                                          -
            R 4l11 b 't t 51., paqr% 7 thrOUgr              5 '
                                                                      t I n c.1 1 t r J[:C.',F.t ci. l 'ep ci- h O'i 1of 1'.
            Showc two unr c r.o! '< ed i t ethw .
                                                                                                       ____ _______-_____-__- __ _ __-_ - Q

- _ _ _

                                                                        97
       CHILLIPS' Under t. t andi na of Concern No. 5:
       Requirements: The requirements are describ'ed in Exhibits 1 and 52 and
                                                                                                                        i
        include appropriate portions of 10 CFR 50 to Appendix B, Criterion XV;                                          l
       -10 CFR 50.55(e); and FSAR, Sectien 9.5, pages 9.5-29, 58, 67, 68, 69
       and 223 as described in Exhibit 67.                          The testing requirements are
       ASTME 119 and IEEE 634.
       Noncomp i i ante with these Recuiremente.: Exhibit 50 adequately describes
       the noncomniiances.
                                                                                                                        '
                                                                              .
       Epckoround:                                                                                              -       i

1 1 PHILL.IPS i denti fi ed an unrosol ved item'and a vi o l at i on concerning;  !

       fortifications and damaged Gealc in 1984.                              YOllNG was ansigned to
        '
       +ollow-up and close these items, it p o n tu b l e , during inspection
       8 5 - 1 6 / 1."..
       Prgper H a n d l i n,g :
       YOUNG brought the additional findings as descr2 bed in Exhibit o7 to                                               .
                                                                                                                         1
                                                                                                                            l
       PHILLIPS's attention about m i d e.i a y throuqh I:he inspnction period.

l

       Because these technical problems                        .n i g h t a t i ect other plante, PHIL L I PS
                                                                                                                          ;
       wrote a memorandum to esped)ta to9 1 s t u s' .                        1 h ia mem<]r andum recoinm?>nded             l
       an DIA        i nv et. t i git t i on pr3nr to e t r chm c-1 e v e.1 i i e t i nn h e c =tu ne 1t UI4
                            :
                                                                                                                           I
                                                                                                                            l

l' fcund t 3 I. Ta e GF m1s1 Odd 100 coi-tit 1r***tt'.?M 1, t h .' 'I - Altr> (;a n a ch h r a-3 d i !r l l l

                                                                                                                            l
                                                                                                                            ,
                                                                                                                           I
 - - _ _ _ _ _ _ _
                                                               98
                                                                                                         l
                    than the specific Comanche Peak technical pecblem as these seals are

1

                   used in many plants.     Thi s recommendation also considered the long

l

                   standing understanding that if potential wrong doing may bo involved,
                                                                                                         i

l the investigators should review it first. l l l' l Mishandlinci - l

                   The mishandling started when WESTERMAN received Information regarding
                   potentially deficient fire stops.      Instead at assisting the
                   inspectoru, WESIERMAN and JOHNSON actively blocked the memorandum from
                   going forward to Headquarters.      JOHNSON came on-site in January 1986,            ;

, I

                                                                                                          '
                   not to discuss the technical issues, but to criticize PHILLIPS for
                                                                   ,
                                                                                                        {
                   addressing the issue to a branch chief in headquarters instead of his                 l
                                                                                                        i
                   signature.    Thi s issue was raised in mid November 1985 and was still
                   in the r eview cycle in mid March 1986.     An e::perienced manager would
                   have f orwarded this issue immediately, as he could have rewritten it
                   to suit his-style in Icss than an hour.      It took about 5 months for
                   the memorandum to leave RIV.     In           statement, he defines it ac
                   worr yi ng thu inspector's work to death and this they have done to all
                   et PHILLIPS" work since he supported              violattons in
                   Report 86-07/05.
                   The violations on BISCO seals were mi shandled because M WEETERMAN's
                   and JOhNGOW s lack of construction knowledge and e:: port ence as
                  evidenced abnvc and in WES1ERMnil's statement uittachment O, 014                      )
                  Report).
                                                                                                        l l
                                                                                                        !
                                                                                                        ;
                        -
                                                                                -________-__--_---_-__A
   - _ _ _ _
                                                                99
                     "A.   Now, first off, the violation that I read you in here said
                     that there was no non-conformances required by UI-QP-16.0-4,
                     Revision 1.     That's talking about Class 1-E equipment with
                     deficient-IEEE-323-344 test reports.
                           "We are talking in this particular documentation with
                     Appendi:: R requirements f or which there was not documentation of
                     test requireinents in accordance with ASTME 119 and IEEE 634.
                           ThatP s why I'm telling you the violation is not proper even
                     if there had been a violation.         I cannot go f rom --    you want to
                     make this an exhibit to take a look at -~ from the procedure
                     which he says they violated .ihtch deals with I EEE --323 / 34 4, which
                                                                    .
                     I s environmental and seismic queli fication of electrical
                     equipment, to say that en an Appendi: R type item, which is
                     ASTME 119 and IEEE 134, that that prccedur o would have required
                     them to write a non -con t ormanco report. "                                     j
                                                               4
               Comment:   11. is my opinion that that statement is technical]y incorrect
               because this is not solely an Appendin N r ': qu .t r eme n t .,   the fire steps
               umed throughout the plant are required by I EEE~ L . 'I and ar e an intraraj
               part of a bundle of Class IE cables which pcnetrate walls, floors.
               etc.

l l 1 )

               Exhibit 66,, pe,ges 9 and 10 o1 IFIE s34, cuppert thir
                           ,
                                                                                n par aqraph 5 2. .
               and 3     It also . appears thal. Ma de:u gn Criterta 1 . And 11 of
                                                                                                       l
               Appendix A and Cri ter i a 111 sod      ;I ai 10 G R 9 r aju s r e the cable     +,u n  l

l l ,

             _
 _ _ . _ _ _ _
                                                                                                         ,
                                                                                                                                                    s
                                                                         100
               fire stops to provide protection of cable from a redundancy standpoint
               alone.
               Page 635:    "O.   There are several par-ts of the TDR.                         There's the issue                                    l
                      of deficiency and al so a b ot: cal 1ed potentially. reportable under
                      Part 21.                                                 -
                            A.     I will you that I told Mr. Phillips if he wanted to
                      make a violation out of that, he should mal:e a violation out of
                      that.
                                   I do not remember hit line ci logic, but he gave me
                      some line of logic abot? n o t. Wanting to ctto on deportability.
                                  Now, if you go b ac k to the finei report. he added in an
                      item in here on pag'c 9 ,%.         How that was his choico."

l l

               Comaant: FHILLIPS does not recall thin statement which tefers to the
                                                                                                                                                    !
               proposed violation concerning falturia to adequately svaluate a
               construction det'2ciency (E: hitit t 50, p in g o 6-47                    The basis of the
               propcsed violation was that rho TUGCQ enginear c1141 not know if the
               firo stops involved s y r.t e m : ior , si e chut d owi . .               rhi n belng the case.
                                                                                                                                                      !
               an improper evaluation alua.s L e a d t, to a no reporting situation.
               WESIERMAN would not allow tvu ; . i c,J ati on to be written.
                                                                                                                                                      l
                                                                                                                                                      l
               1 he ;;e discumstonn with IUD :r      .o .   t ,.ce   untcaol .;c ttem in inopect3on
               Report 85-16/1'. f i n c,l l y f:n     > -n     4cequate c.,1ue r i nn and a
                                                                                                                                                      !
               potentiall3 reportabla t r o.c.               .   , 3    ~.1danc 1 i. ri a h i b i t c /.     the
               d&Gign defIClenCy repOPt         J'
                                                    '
                                                          ,        t     ..Cd.    il! 'l . : u} [ GW' 8 ap
                                                                                                                                                      l

l . I 1

                                                                                                              _ _ _ _ _ _ _ _ _ _ _ _ . _ _ _ _ _ _
  __
                                               101
 inepection has not been accomplished to date to determine the full
 acceptability of the way these technical issues have been handled;
 however, a quick review indicates the 50.55(e) was considered
 nonreportable but not all t er.hni c a l concerns were addressed.

! @fjety Sieniftcance

  This significance of this 2nsue is similar to Concern      1, 2, and 3 and
 should be considered a part at that greater concern.
                                                      .
                                                                             - - - - - _ _ _ _ _ - - _ _ _ _
 y
                                              .Exha
                         -
      s                                                                   .
                                                  U CE'Co Q ' Y O'* E                             W                 &,rh'
                                                                                                                 k'                i
                                                                                                                                    l
                                                                                                                                   1
                                                                                                                                    i

> - LIST OF EXHIBITS

          1
                Part 50, Appendix B, Criteria
                                                  18............................pp                    413-433
         2
               F S AR S e c t i on 17. 2. 3, De s i g n Con t r o! . . . . . . . . . . . . . . . . . . . . u. .1B. . . p p 17 1-14
                                                                                                         .
         3
               TUGCo DA, Section 3.0, Design
                                                 Control.......................p                    1
                                                                                                                                   1
        4
               B&R Traveler Procedure                                                                                              1
                                         CP-CPM-6.3...........................pp                      1-11
        5      westinghouse
                             Frocedure.............................,.........pp                       1-8
        6      1raveler NC
                   o        79-248-5500.....................          ...............p 1-8
       7       Contention
                           5................................................pp                       3-4
      8       NUREG-0797,
                           Mi s c ell a n eous I t em 2. . . . . . . . . . . . . . . . . . . . . . . . . . . .p p t-9 9 t h ru 102
      9       RIV Report 79-03/03 and Letter and page                                                                           .
                                                             3...................
      10a IE Frocedure for Vessel Installation:          50051.................
      10b IEP for Vessel Installation:        50053..........................
     10c IEF for Vessel Installatten:         Sv055..........................
     11
             Original Final Draft lnspection Report S5-07/05
             Submitted to M 'Hunntcutt.....................
     12a
             Second Final Draft Inspection Report 85-07/05, Revision 1
             Signed October 2, 1985, Submitted to RIV and HQ.............
    12b Denise'r Comments
             DIA  Report..........................    .........
             DIA
                 Attachment......................                      .............pp            30, 42, 43
                                                      .......................pp
    13
            Report 85-07/05 Issued February 3,      1986.....................
   14       FSAR Section
                           17.1.16.......................................                   pp 17.1-32 thru 39
   15       TUBCD QAF Section   15.....................
            Section  16..................................................pp
                                                            ...................P               1
                                                                                                 1-2
   16       B&R DAM, Section
                              16.........................................P                     1
                                                                                                                             /.
                               .
                                                           - - _                                                                     -
       . .
   .
                                        _
                 ,                                                                                                                                               f
      = ;'..u         ..
                                                                          ,
                                                                                                                                                                   I
                                                                                                                                                                  i
                                                                                                                                                                 1
                                                                                                                                                                   1
                                                                                                                                                     2           l
                                                                                                                                                                 i
                                                                                                                                                                 !
  .,.
                                                                                                                                                                 !
                                                                                                                                                                   i
                                                                          LIST OF EIHIBITS                                                                       !
                                 . .
                                                                                                                                                                  !
                17. .    FSAR Sectron 17.1.18,fAudits................................p 17.1-36                                                                  j
                18       ANSI N45.2.12,' Draft 3, Revision 0,.1973, Requirements for
                         Auditing QA Programs for Nuclear Plants.....................pp                                                         1,5,6
                                                                                                                                                                 i
                19       TUGCo DAP Section 18,. Audits................................p                                                       1
               20        NRC Inspection Report 84-32/11, Notice of Violatson and                                                                                ]
                         Letter....................................................9p 1-3
               21        MAC Audit of TUGCo and Response.............................pp 1-6,15,16                                                                 #
               22        Worsham.Forsythe, Samples & Wooldrige Memo, May 29,.1985....pp 1-2
               23        NRC' Boar'd Notification Nos. 85-067 and 85-076                                     Memo..........pp 1-2
             -24-        PSLLobbin Report, F e b r u a r y 19 8 2. . . . . . .' . . . . . . . . . . . . . . . . . . . . . . p p 2, 3, 4 4 -
               25        TUGCo Transmittal Letter to NRC, (enc!csure Lebbin Reporti..                                                                            l
                                                                                                                                                                 l
               26        N R C C A T R e p o r t . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . s . . . . . . . . . p p B- 1 t h r u 3 *
                                                                                                                                                                 '

L, VIII-1 thru 5

               27        NUREG-0797, SSERLNo. 11.....................................pp 31-33
                                                                                                                                                                ]
               28'       Commanche Peak Response Action Plan--! SAP                                  VII.a.4.',...,......pp                     5-9
               29        Resul t s Rep or t--! S AP V! ! . a. 4. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . p p 1-53
               30        Letter and Draft of the Notice of Violation 86-08/06........pp 4-9                                                                        i
               31        List of Quality Assured Structures, Systems, and
                         Cbsponents..................................................pp1-2
               32        Original.and Fir 41 Inspection Report                            Detal15.................pp 16-17                                        i
                                                                                                                                                                  .

l t

              '33        Identification and Control of Materials Parts
                         a n d C oo p o n e n t s , F S A P 17.1. 8. . . . . . . . 2 . . . . . . . . . . . . . . . . . . . . . . . p p 17.1-25 thru 15
                                                                                                                                                                   I
               3g        TUGC0 QAP, Section 8.0, Identification and
                         Controlofitems............................................p1

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

                                                                                                                                                        ,
                                                                                                                                                                     1
                           .. .                                                                                        .
                                                                                                                                                                     l
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                                                                                                                                                                     i
                                                                                                                                                                     I
                                                                                                                                                                    k
                                                                                                                                                                     l
                                                                                  LIST OF EIHIBITS                                                                 <
                                35   Code Requirements NCA 3886.6 and NCA 4134.B.................pp 36, 46
                                36   B&R QAM, Section 9.0.........................................pP 1-4
                                 7   B&R Procedure CP-CPM-6.9E, Revisions 2 and 4................pp 18-!9
                                     DI-0AP-11.1-26, Re.1stons 4 and 18..........................pp 6, 7, 8
                                30   BLR !sometric PPP-CS-2-RB-076 and Bill of Materials.........
                                                                                                                                                                   !
                                39   IE Inspection Procedures 49051,-53,-54,-55, and -56.......,.
                                40a Portions of OIA Attachment 0                  Statement......................pp 112,113
                                                                                                                                                  and 148-158
                                40b   ttachment,J................................................pp                                                   1-3 and 9-13
                                41a Attachment MM of 01A Report.................................p                                                   9
                                42a Ortgtnal Draft Inspection Report 85-14/11...................pp 1-4
                                42b Second Draft Report 85-14/11 (with directed changes)........pp 67-78
                                42c Final Inspection Report 65-14/11, March 6, 1786.............pp 10 and 13
                                43   FSAR Section 17.1.17, CA Records............................pp 17.1-40 thru 41
                                                                                                                                                                   1
                                44a ANSI N45.2.9, Requiremer.ts for Collection, Storage, and Maintenance of 04                                                     '
                                     Records...................................pp 11-12, 14, 16-21
                                44b FSAR Commitmer.t ANSI N45.2.9...............................
                                45   TUGC0 QAP, Section 17.0, Site Construction Quality Records and Record Retention                                               j
                                     and Storage............p              1
                                46   Attachment MM to DIA Report.............................. ..pp 11-12

l 47 Attachment FM of DIA Report..........................- .....pp 13-14

                                48   TUGCo QA Rwcord Receipt Controll/ Storage
                                     Procedure CP-QP-18.4, Revision 7............................pp 1-2
                                     CP-CPM-7.1, Revision 3, pnd.................................pp 2-4
                                     S 1 A ,0 2, R e v i s i o n 1 1. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .
                                                                                                                                                                     l

l 1

                                                                                                                                                                     I
                                                                                                                                         .                           I
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_ _ _ _ _ _ _ _ _ _ _ _ _ _ __                                                                                                                                       l
      - - _ - _ - - - _ _ - _ - _ _ _ _ _ - - -                                                             _ _ _ _ _ _ _ _ _                    __ _ _ _ _ _ - _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _      _ - _ _ _ _ _ _ _ _ _   _ _ _ _ _ _ _ _
   ..                                                                                                                                              . . . . .
                                                                                                                                                                                                                                                       l
                                                                                                                                                                                                                                     4
                                                                                                                       LIST OF EXHIBITS                                                                                                                l
                                                                                                                                                                                                                                                        l
          49                         31A Report, Attachment                                            MM...................................pp                                                               14-18
           50                        Original Hough Draft Report                                              85-16/13........................pp 3-1 thru 3-6                                                                                          ,
                                                                                                                                                                                                             4-1 thru 4-4                               l
                                                                                                                                                                                                             6-1 thru 6-4
           51                        Final NRC Inspection Report 85-16/13........................pp 5-9
           52                        R e g u l a t i o n 10 CF R P a r t 5 0. 5 5 ( e l . . . . . . . . . . . . . . . . . . . . . . . . . . . . . p 3 8 8
           53                        TUGC0 QAP, Section 6.0, Document Control....................p                                                                                                        1
           54                         IE Guidance on 10 Code of Federal Regulation................p 8-9
           55                        T r e n d A n a l y s t s . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . p p 1 - 10
           56                         South Texas Memorandum (LessonsLearned.....................pp 1-5
                                     BLR Engineering Memorandum..................................pp                                                                                                          1-2
           57                         McCleskey's Field Notes
           $7a Review of Procedure NED CS-1................................p                                                                                                                              1
           57b Review of Construction Deficiency File......................pp 1-10
                   t
           58                         Johnson's Comments on Draft Report                                                               86-16/13.................pp 1-5
           59                         Comanche Peal 50.55(e) Tracking.............................p                                                                                                       1
            60                        NUREG 0797, SSER 11, Cossents on 50.55(e) Reporting.........pp 0-279-280
            61                        TUGC0 Letter (TXX-4508) Unit Number Correction..............p                                                                                                       1
            62                        DIA Report, Attachsent MM...................................pp 16-18
            63                        McClesky Field Notes on IE Bulletin Review
                                      N o t e s d a t e d h o v e m b e r 1, 19 8 5. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . p 2
                                      Notes dated November 26, 1985....... ...........i...........pp 1-10
                                      Notes dated November 26, 1 9 8 5 . . . . . . . . . . . . . . . . . . .. . . . . . . . . . . . . p p 1 a n d 3
            64                        TUGC0 Of f i ci al Con t a c t Li s t . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . p p 2
            65                        RIV Traveler for Report 65-16/13............................p                                                                                                        1
                                                                                                                                                                                                                                                        1
            66                        Conversation Record, P h i l l i p s -- B a k e r . . . . . . . . . . . . . . . . . . . . . . . . p p 1 and 3

9

                                      .-                                                                                                                                                                                                               ;
                                                                                                                                                                                                                                                        l
 -                                       _ _ - - _ _ _ _ _ _ - _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _                        _ _ _ _ _ _ , __ _
                -- - _ - _ _ . _ -                     -     _. .
                                                                   .~.
                                                                                             '
          .I......
              .
                                      ..;..                               .
                                                                                      .;       .. . .                                       .
                                                                                                                                                                          4
                                                                                                                                                                       ,f
                                                 a
                                                                                                                 5
  s tll
           4
                                                                            LIST OF EXHIBITS                                                                              !
                                                                                                                                                                          !
                               ,     67      B!SCO Fire Penetration Seat Memorandus November 25, 1985,
                                                         -
                                             Draft....................................pp'1-3
                                             March 6, 1986, Final........................................pp 1-3
                                             8 Attachments (14 pages)
                                    68       IEEE Standard 634...........................................pp 9-10
                                   . 69      TUGCO/ BISCO Seal Documents
                                            LDesign Deficiercy Report....................................p 1
                                             TXX-4836....................................................p i
                                             TXX-4966....................................................p 1-
                                             TXX-4996............................................~.......p 1
                                             50.55(e) Evaluation No. 0177................................p 1                                                              ,
                                             TSG-18695..................................................rpp 1-2.                                                          1
                                                           .

l

        '

l' I 1 1 e

                                                                                                                                                                           !
                                              a
                                                                                                                  __ - . . - . _ _ _ _ _ _ _ _ _ _ . _ _ _ _ _ _ _ _ _
  _                ,
                                                                              '               "'
                 - .                                       -
             o.           .
     d:

.. .

                               ' art 50, App. B                                                                  Title IO-Energy     l
                               'ided with containment isolation valves as with a capability to permit appropriate peri-
                               ollows. unless it can be demonstrated that odic inspection and testing of components
                               he containment Isolation provis!ons for a important to safety. (2) with suitable shield.
                               Decific class of lines, such a.s instrument ing for radlation protection. (3) with appro-
                               ines, are acceptable on some other defined priate containment, confinement, and filter.
                               . asis:
                     *                                                           -ing systems. (4) with a residual heat remov.
                  .,
                      '          (1) One locked closed isolation valve inside    al capability having reliability and testabi.
                               nd one locked closed isolation valve outside lity that reflects the importance to safety of           j
                              ontainment; or
                                                                                 decay heat and other residual heat removal.         ,
                                 (2) One automatic isolation valve inside and (5) to prevent significant reduction in
                               nd one locked closed isolation valve outside fuel storage coolant . inventory under acci-
                               ontainment; or                                                                                        >
                                                                                 dent conditions.
                                (3) One locked closed isolation valve inside
                               nd one automatic isolation valve outside              Criterion 62-Prevention of criticality in
                              onts.inment. A simple check valve may not fuel storage and handling. Criticality in the
                               e u:md as the automatic isolation valve out- fuel storage and handling system shall be
                                                                                prevented by physical systems or processes.
        T~                             01 aNo at c isolation valve inside                             "                 "
                              nd one autcmatic isolation valve outside $#'fai      gu            '                                   -
                 4-            mtsinment. A simple check valve may not              Criterion 6J-Monitoring fuel and toeste
                               e used as the automatic isolation valve out. storope. Appropriate systems shall be pro-
        ..
                               de containment.                                  vided in fuel storage and radioactive waste
                                                                                systems and associated handling areas (1) to
                              solation valves outside containment shall
     }                         e located as close to the containment as detect conditions that may result in loss of
                                                                                residual heat removal capability and exces-          j
     '.
                              ractica1 and upon loss of actuating power. sive radiation levels and (2) to initiate ap-
     ',                        Jtomatic isolation valves shall be designed      propriate safety actions.
                              s take the position that provides greater
     :                        tiety.                                                Criterion 6d-Monitoring radioactivity re.
      i
                                Criterion 57-Closed system isolation            leases. Means shall be provided for monitor.
      P                        tives. Each line that penetrates primary ing the reactor containment atmosphere.
        4
        '                       actor containment and is neither part of spaces containing components for recircula-                 I
                             te reactor coolant pressure boundary nor - tion of loss.of coolant accident fluids, efflu.
                              innected directly to the containment at. cnt discharge paths, and the plant environs
    .g                         osphere shall have at least one contain, for radioactivity that may be released from
        J                      ent isolation valve which shall be either normal operations. including anticipated
                               ttomatic, or locked closed, or capable of operational           occurrences, and from postulat.
                               mote manual operation. This valve shall ed accidents,
                              1 outside containment and located as close       (Sec,161, as amended. Pub. L. 83-703. 68
                                  the containment as practical. A simple Stat, 948 (42 U.S.C. 2201); sec. 201. as
                              teck valve may not be used as the auto. amended. Pub. L. 93-438,88 Stat.1242. Pub.
              '
                        .
                              stic isolation valve.                            I. 94-79. 89 Stat. 413 (4't U.S.C. 5841))
                                    Vf. Tuct and Radioactivity Control         [36 FR 3256.Feb. 20,1971, as amended at 36
                                                                               FR 12733. July 7.1971141 FR 6258. Feb.12.
                              Criterion 60-Control of releases of radfo-       1976: 43 FR 50163. Oct. 27,19781
                              live materitsls to the environment The
                              telcar power unit design shall include
                              tans to control suita,bly the release of ra.    APPENDIX B-QUAI.ITY ASSURANCE CRI.
                              3 active materials in ga.seous and liquid ef.        TERIA FOR NUCLEAR PowrR PLANTS AND
                              tents and to handle radioactive solid                FUEL REPROCESSING PLANTS
                            * tstes produced during normal reactor op.                                                               3
                              stlon. Including anticipated operatfor;al                                                              l
                                                                                        .
                                                                                   Introducsfon. Every applicant for a con.
                              :urrences. Sufficient holdup capacity struction permit is required by the provi-
                              all be provided for retention of gaseous alons of I 50.34 to include in its preliminary
                              d liquid effluents containing radioactive safety analysis report a description of the
                              Lterials. Mrticularly where unfavorable quality a.ssurance program to be applied to
                              e environmental conditions can be expect- the design, fabrication, construction, and
                                 to impose unusual operational limita- testing of the structures, systems, and com-
                              ns upon the release of such effluents to ponents of the facility. Every applicant for                    ;
                              ! environment.                                                                                           i
                              riternon 61-Fuel storage and handling aninoperating                license
                                                                                    its final safety       is required
                                                                                                        analysis        to informa-
                                                                                                                  report,   include.   !
                              d radioactivity control. The fuel storage                                                              )
                             $ hand!!ng, radioactive waste, and other tion pertaining to the managerial and ad-                      l
                                                                              ministrative controls to be used to assure
                             items which may contain radioactivity safe operation. Nuclear power plants and
                              til be designed to assure adequate safety       fuel reprocessing plants include structures.             ,
                             der normal and postulated accident con.          systems, and components that prevent or                  ,
                             lons. These systems shall be designed (1:        mitigate the consequences of postulated ac.
                                                                                                                                       !
                                                                  EXHIBIT .1
        .                                                                                                                              i
                                                                                                                                       !
        I
                                                                                                                                       l
           .
         '
                                                                                                                                       l
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                                                                                                                                       i
                                                                                                                                          I
                                                                     .                                                                 1
      .
                                                                                                                                       I
   L                                                                                                                                      J
                  Chopier I-Nuclear Regulatory Commission                                        Part 50, App. B
                                                                                                                                          l
                  cidents that could cause undue risk to the lems; .to initiate, recommend, or provide so-
                  health and safety of the public. This appen-     lutions; and to verify implementation of so-
                  dix establishes clality assurance require. lutions. Such persons and organizations per-
                  ments for the design, construction, and op-      forming quality assurance functions shall                              ,
                  eration of those structures, systems. and        report to a management level such that this                         1
              .
                  components. The pertinent requirements of required authority and organizational free.                                i
            "
                . this appendix apply to all activities affect-    dom, including sufficient independence                                 i
                  ing the safety related functions of those from cost and schedule when opposed to                                        I
                                                                                                                                       '
                  structures, systems, and components; these safety considerations, are provided. Because
                  activities include designing, purchasing, fa-    of the many variables involved, such as the
                  bricating. handling, shipping, storing, clean- number of personnel, the type of activity                             ,
                  ing, erecting, installing, inspecting, testing, being performed, and the location or loca-                           i
                  operating. maintaining, repairing, refueling. tions where activities are performed, the or-                          i
   l,             and modifying.                                   ganizational structure for executing the                            I
  y                  As used in this appendix. " quality assur-    quality assurance program may take various
   e              ance" comprises all those planned and sys-       forms provided that the persons and organi.
  T'              tematic actions necessary to provide ade-       zations assigned the quality assurance func.
   V              quate confidence that a structure, system. tions have this required authority and orga.                              j
          \       or coroponent will perform satisfactorily in nizational freedom. Irrespective of the orga-                           l'
                  service. Quality assurance includer quality nizational structure, the individual (s) as-
                  control, which comprises those quality as-       signed the responsibility for assuring effec.                        l
  P               surance actiot.s related to the physical char-   tive execution of any portion of the quality
                  acteristics of a material, structure, compo-     assurance program.at any location where                             I
                  nent, or system which provide a means to activities subject to this appendix are being                               !
                  control the quality of the material, struc-      performed shall have direct access to such                           I
                  ture, component, or system to pfedeter-          levels of management as may be necessary                             j
                  mineo requirements.                              to perform this function.                                           I
                                   1. ORcANIZA'rloN                         11. QUALITY ASSURANCE FRocRAM                               i
      .
                     The applicant' shall be responsible for           The applicant shall establish at the earll-
   D               the establishment and execution of the est practicable time, consistent with the                                    l
                  quality assurance program. The applicant schedule for accomplishing the activities, a
  %g',            may delegate to others, such as contractors, quality assurance program which complies
  4               agents, or consultants: the work of estab-       with the requirements of this appendix.
                  lishing and executing the quality assurance This program shall be documented by writ-
  ,*y             program, or any part thereof, but shall          ten policles, procedures, or instructions and
        -
                   retain responsibility therefor. The authori- shall t e carried out throughout plant life in
   Y               ty and duties of persons and organizations accordance with those policies, procedures.                                 3
   k               performing activities affecting the safety re-  or instructions. The applicant shall identify
                                                                                                                                           l
                  lated functions of structures, systems, and                                                                              I
                                                                   the structures, systems, and components to                          j
                  components shtll ce clearly established and
                                                                   be covered by the quality assurance pro-                                '
                  delineated in writing. These activities in-      gram and the major organizations particl-                            1
                  clude both the performing functions of at-       pating in the program, together with the
                   taining quality objectives and the quality as-                                                                      i
                  surance functions. The quality assurance
                                                                   designated functions of these organizations.                           I
                                                                   The quality assurance program shall pro-
                  functions are those of (a) assuring that an
                                                                                                                                        -
                                                                   vide control over activities affecting the
                  appropriate quality assurance program it es-     quality of the identified structures, systems,
                                                                                                                                          ,
                                                                                                                                          i
                  tablished and effectively executed and (b)       and components, to an extent consistent
                  verifying, such as by checking, auditing, and    with their importance to safety. Activities
                  inspection, that activities affecting the
                                                                   affecting quality shall be accomplished                              j
                  safety related functions have been correctly     under suitably controlled conditions. Con-
                  performed. The persons and organizations         trolled conditions include the Hse of appro-
                                                                                                                                           1
                  performing quality assurance functions           priate equipment: suitable environmental
                                                                                                                                           l
                  shall have sufficient authority and organi-      conditions for accomp!!shing the activity.
                  zational freedom to identify quality prob-       such as adequate cleanness; and assurance
                                                                   that all prerequisites for the given activity
                  --
                     'While the term " applicant" .is used in      have been satisfied. The program shall take
                  these criteria, the requirements are, of         into account the need for special controls,
                  course, applicable after such a person has       processes, test equipment, tools, and skills
                  received a license to construct and operate a    to sttain the required quality, snd the need
l                  nuclear powerplant or a fuel reprocessing       for verification of quality by inspection and
                  plant. These criteria will also be used for                                                                               ,
-
                                                                   test. The program shall provide for indoctri-                        j
                  guidance in evaluating the adequacy of           nation and training of personnel performing
                  quality assurance programs in use by hold-       activities affecting quality as necessary to                         {
                                                                                                                                          j
                  crs of construction permits and operating 11-    assure that suitable proficiency is achieved                           ;
                  Ce m es.                                         and maintained. The applicant shall regu-                              {

i I '

                                                                                                                                        1
                                                                                                                                          1
                                                                                                                                           l
    '                                                                                                                                      l
                                                                                                                                           1
                                                                                                                                          1
                                                                                                                   _.______.______.-__i
                                                                                   ._      _ _ _ _ .               .  _ _ - _ _ _ _

(

                                                                                      -

l . . . .

       *

l Pcri 50, App. B

                                                                                                     Titla 10-En ;rgy
                     larly review the status and kdcquacy of the
  .
  I,                                                                       tv. PROCUREMENT DOCUMENT CONTROL
                     quality assurar.: e program. Management of

!. other organizations participating in the Measures shall be established to assure  !

                     quality assurancc program shall regularly that applicable regulatory requirements,
                    review the status and adequacy of that part design bases, and other requirements which
                    of the quality assurance program which are necessary to assure adequate quality are
                    they are executing.                              suitably included or referenced in the docu-
                                                                     ments for procurement of material, equip.
                                  str. cEsrcN CoNTRo!,               ment, and services, whether purchased by
                       Measures sht te be estab!!shed to assure
                                                                     the applicant or by its contractors or sub-
                    Inat applicable ristatory requirements and contractors. To the extent necessary, pro-                                             l
                    the design basis, as defined in i 50.2 and as curement documents sha'.1 require contrac.
                   specified in the license application, for tors or subcontractors to provide a quality
                   those structures, systems. and components assurance program consistent with the per-
   i
                   to which this appendix applies are correctly tinent provisions of this appendix,
                   translated into specifications, drawings, pro-    v. trestRuctions, rRoCEDUREs. AND DRAWINes
  ;                cedures, and instructions. These measures                                                                                          <
  ,               shall include provisions to assure that ap-         Activities affecting quality shall be pre.                                      I
                   propriate quality standards are specified scribed by documented instructions, proce-                                               I
     ,             and included in design documents and that dures, or drawings, of a type appropriate to                                             I
                  deviatier,s from such standards are con' the circumstances and shall be accom.
                   trolled. Measures shall also be established plished in accordance with these instruc-                                              i
                  for the selection and review for suitability tions, procedures, or drawings. Instructions.
                  of application of materials parts equip- procedures, or drawings shall include appro-
                  ment, and processes that are essential to the priate quantitative or qualitative acceptance
                 safety related functions of the structures' criteria for determining that important ac-
                 systems and components.                            tivities have been satisfactorily accom-
                      Measures shall be establi::hed for the plished*
                  identification and controi of design inter-
                 Iaees and for coordination among pa rtici-                       y ,poeggggycogygot
                 patmg design organizations. These measures           Measures shall be estab!!shed to control
                 shall include the estabhshment of proce.           the issuance of documents, such as instruc-
                 dures among participating design organiza. Lions, procedures, and drawings, including
                 tions for the review. accroval release. dis. changes thereto, which prescribe all activi-
                 tribution. and revision of occuments involv. ties affecting quality. These measures shall
                 inc design mterfaces
                                                                    assure that document & including changes.
                      The design control measures shall provide are reviewed for adequacy and approved for
                 for verifying or checking the adequacy of release by authorized personnel and are dis-
                 design, such as by the performance of tributed to and used at the location where
                 design reviews. by the use of alternate or the prescribed activity is performed.
                simplified calculational methods, or by the Changes to documents shall be reviewed
                performance of a suitable testing program.          and approved hy the same organir.ations
                The verifying or checking process shall be that performed the original review and ap-
                performed by individuals or groups other preval unless the applicant designates an-
                than those who performed the original other responsible organization.
                design. but who may be from the same orga-
                nization. Where a test program is used to                VII. CONTROL or s URCHAsED MATERI AL,                         *
                verify the adequacy of a specific design fea-                    EQmtNT. AND SERVICES
                ture in lieu of other verifymg or checking
                                                                      Measures shall be established to assure
                processes. It shall include suitable qualifica- that purchased material, equipment, and
               tions testing of a prototype unit under the services, whether purchased directly or                                      '
               most adverse design conditions. Design con-         through contractors and subcontractors,
               trol measures shall he applied to items such conform to the procurement documents.                                                      i
               as the following: reactor physics, stress, These meastires shall include provisions, as
               thermal, hydraulle and accident analyses; appropriate. for source evaluation and selec-                                 !              {
              compatibility of materials; accessibility for tion, objective evidence of quality furntshed                            it                ;
               inservice inspection, maintenance, and                                                                               i                  j
              repatr; and delineation of acceptance crite- by the contractor or subcontractor. Inspec.
                                                                                                                                    ~
                                                                                                                                                       )
              ria for inspections and tests.                      tion at the contractor or subcontractor
                   Design changes, including field changes, source, and examination of products upon                                   -
              shall be subject to design control measures delivery. Documentary evidence that mate-
                                                                  rial and equipment conform to the procure-                        s'
              commensurate with those applied to the ment requirements shall be available at the                                    7
              original design and be approved by the orga-        nuclear powerplant or fuel reprocessing                            't                (
              nization that performed the original design plant s1Le prior to installation or use of such
              unless the applicant designates another re- material and equipment. This documentary                                                     l
              sponsible organization.
                                                                  evidence shall be retained at the nuclear
                                                               414
                                                                                                                                                       l
                                                                                                                                                       1
         ,. .
                                                                                                                                          _ _ _ _ _ _
                                          __

\ .

                                                                                                                        ..        - . - -
        __
          *
                                                        Chapter I-Nuclear Regulatory Commission                                                                    Port 50, App, B
  D                                                     powerplant or fuel reprocessing plant site                                                   xt. TrsT CONTROL

,

  4                                                    and shall be sufficient to identify the specif-

I 9

    '
                                                       le requirements. such as codes. standards or                                  A test program shall be established to
                                                       specifications, met by the purchased materi                               assure thet all testing required to demon-
  3                                                    al and equipment. The effectiveness of the strate that structures, systems, and compo-
                                                      control of quality by contractors and sub.                                 nents will perforrn satisfactorily in service is
,
                                                      contractors shall be assessed by the app 31"                               Identitled and performed in accordance with
                                                      cant or designee at intervals consistent wit"n written test procedures which incorporate
                                                       the importance, complexity, and quantity of the requirements and acceptance limits con.
                                                      the product or services.                                                           gg             g,g         g
                                                                                                                                 test program shall include. as appropriate,

l

                                                                             vr!!. IDENT2r! CAT!oN ANo coNTftok or               proof tests prior to installation, preopera-      2
                                                                                 MATElt!ALs, PARTS. AND COMPONENTS               tior.a) tests, and operational tests during nu-

f

                                                                                                                                clear power plant or fuel reprocessing plant
                                                                                                                                                                                      _

l

                                                               Measures shall be established for the                            operation, of structures, systems, and com-
                                                                                                                                                                                   .-

) '

                                                     identification and control of materials.                                   ponents. Test procedures shall include pro-
                                                     parts and components, including partially
                                                     fabricated assemblier. These measures shall
                                                                                                                                visions for assuring that all prerequisites for
                                                     assure that identification of the item is                                  the given test have been mct. that adequate
                                                    maintained by heat number, part number,                                     test instrumentation is available and used.
                                                    serial number, or other appropriate means.                                  and that the test is performed under suit.
                                                    either on the item or on records traceable to                               able environmental conditions. Test results
                                                    the item, as required throughout fabrica-                                   shall be documented and evaluated to
                                                    tion, erection, installation. and use of the                                assure that test requirements have been sat-
                                                                                                                                isfieC.
  '
                                                    Item. These identification and control meas-
                                                    ures shall be designed to prevent the use of
                                                    incorrect or defective material. parts, and                                          xtt. CONTROL Cr MEAsVRINc AND TEST
                                                                                                                                                         goggygggy
                                                    "* E *
                                                                                                                                    Measures shall be established to assure
                                                                                  Ix. CONTROL or sPECIAL PROCESSES             that tools, gages. instruments. and other
                                                            Measures sha!! be established to assure                            measuring and testing devices used in activi-
                                                    that special processes. Including welding                                  ties affecting quality are properly con-
                                                    heat treating, and nondestructive testing.'                                trolled, calibrated, and adjusted at specified
                                                    are controlled and accomplished by quall-                                  periods to maintain accuracy within neces-
                                                    flec personnel using qualified procedures in                               sary limits,
                                                   accordance with applicable codes, standards
                                                   specifications, criteria, and other special re.-                                    x!!!. HANDLINo. SToRAct AND sH!rFINo
                                                   quirements.
                                                                                                                                   Measures shall be established to control
                                                                                                                               the handling, storage, shipping, cleaning
                                                                                                          x. INsrtcTtoN        and preservation of material and equipment
                                                           A program for inspection of activities af- in accordance with work and inspection
                                                   fecting quality shall be established and ex- Instructions to prevent damage or deteriora-
                                                   ecuted by or for the organization perform- tion. Men massary for partkular pd
                                                   ing the activity to verify conformance with ucts, special protective environments, such
                                                   the documented instructions, procedures, as inert gas atmosphere, specific moisture
                                                   and drawings for accomplishing the activity, content levels, and temperature levels, shall
                                                   Such inspection shall be performed by indi- be specified r.nd provided.
                                                   viduals other than those who performed the
                                                   activity being inspected. Examinations,                                     x!v. INsrtcTroN, TEST. AND oPERATINo STATUS
                                                  measurements. or tests of material or prod-                                      Measures shall be established to indicate,
                                                  ucts processed shall be performed for each                                   by the use of markings such as stamps. tags,
                                                  work operation where necessary to assure labels, routing cards. or other suitable
                                                  quality. If inspection of processed material means, the status of inspections and tests
                                                  or products is impossible or disadvanta- performed upon individual items of the nu-
                                                  geous, indirect control by monitoring proc- clear power plant or fuel reprocessing plant.
                                                  essing methods, equipment, and personnel These measures shall provide for the identi-
                                                  shall be provided. Both inspection and proc- fication of items which have satisfactorily
                                                  ess monitoring shall be provided when con-                                  passed required inspections and tests, where
                                                  trol is inadequate without both. If manda- necessary                                          to preclude inadvertent bypassing
                                                  tory inspectica hold points which require of such inspections                                              and tests. Measures
                                                  "It" easing or inspecting by the applicant's shall also be established for indicating the
                                                  designated representative and beyond which
                                                  work shall not proceed without the consent Operating status of structures, systems, and
                                                  of its designated representative are re- components of the nuclear power plant or
                                                  quired the specific hold points shall be indl-                              fuel reprocessing plant, such as by tagging
                                                  cated in appropriate documents,                                             valves and switches, to prevent inadvertent
                                                                                                                              operation.
                                                                                                                           415
      n -                      .
            _ _ _ _ _ _ _ _ _ _ _ _ _ _ _    _ --    - - - - - -- - - - - - - ~ - - - ' - -~ ' ~~ ' ~ ~ ~
                                                                                                          _     _ . _ _    _     _____ -
   , _ .                                                      .                       . . . .                           .
                                                                                                                                                  ,
 * *
                                   Prrt 50, App. C                                                             Tilb 10-En:rgy                   f
                        ,
                       i                                                                                                                         I
                                     Xv. NoncoNroRw No MATERIALS, PARTS, OR        ty in the area audited. Followup action. in-
                     j                               couroNtNTs                    cluding reaudit of deficient areas, shall be                  }
                      1
                                    Measures shall be established to control       taken where indicated.                                      i
                    ;
                     ~
                                  materials, parts, or components which do         (35 FR 10499, June 27,1970. as amended at
                                  not conform to requirements in order to 36 FR 18301. Sept.17,1971; 40 FR 3210D,
              p
                '
                     a
                                  prevent their inadvertent use or installa. Jan.20,1975)                                                       ;
             .:                   tion. These measures shall include, as ap-
            J                     propriate, procedures for identification, doc.  APPENDIX C-A GUIDE FOR THE FINAN-
          g                       umentation, segregation, disposition, and           CIAL DATA AND RELATED INFORMATION
                        I
                                  notification to affected organizations. Non-        REQU: RED To ~ EsTAI.LIsH FINANCIAL
                         i        conforming items shall be reviewed and ac-
                                  cepted relected repaired or reworked in ac*         QUALIFICATIONS roR FACILITY CON-
                                 cordance w!th documented procedures.                 STRUCTION FERMITS AND OPERATINC
                                                                                      Lgegggg3
                                               XVI. CORRECTIVE ACT!oN
                                                                                                cENERAL INroRMAT!oN                                 t
                                    Measures shall be ertab!!shed to s.ssure         This appendix is intended to apprise ap-
                                  that conditions adverse to quality, such as
                           -
                                 failures. malfunctions, deficiencies, devi* plicants for licenses to construct. and oper-
                                 ations, defective material and equipment, ate production or ut!!1zation fac!1%ies of the

'

                                 and nonconformances are promptly identi- types described in 150.21(b) or 150.22, or a
                                 fled and corrected. In the case of significant testing facility, of the general kinds of fi-
                                 conditions adverse to quality, the measu m 3 nancial data and other related information
                                 shall assure that the cause of the condition that will demonstrate the fina,ncial qualifi.
                                 is determined and corrective action taken to cations of the applicant to carry out the ac-
                                 preclude repetition. The identification of tivities for which the permit or !! cense is
                                 the signi!! cant condition adverse to quality, sought. The kind and depth of information
                                 the cause of the condition, and the correc- dtscribed in this guide is not intended to be
                                 Live action taken shall be documented and a rigid and absolute requirement. In some.
                                 reported to appropriate levels of manage * instances, additional pertinent materia: may
                                 ment.                                            be needed. In any case, the applicant should
                                                                                  include information other than that spect-
                                         XV!L QUALITY A$sURANCC RECORDS             led if such information is pertinent to es.
                                                                                  tablishing the applicant s fir:ancial ability to             ,
                                    Sufficient records shall be maintained to construct and operate the proposed facility,
                                 furnish evidence of activities affecting qual-      Since separate findings of financial quali-
                                 ity. The records shall include at lea.st the     fica.tlons will be made by the Commission at
                                 following: Operating logs and the results of the const'ruction permit stage of the !!cens-                    j
                                 reviews. Inspections tests, audits. monitor- ing process and at the operating licerne
                                 ing of work performance, and materials stage, the nature of the information to be
                                 analyscs. The records shall also include included in the applicat.lon at each'of these
                                 closely related data such as qualifications of stages is discussed separately.
                                 personnel procedures, and equipment. In*            It is important to observe also that bcth
                                spection and test records shall, as a mini-        150.33(f) and this appendix distinguished
         4                      mum, identify the inspector or data record- between applicants which are established
         I,h,y
          f                     er, the type of observation, the results, the organizations and those which are newly
          q .                   acceptability, and the action taken in con-                                                               j
                                 nection with any deficiencies noted. Records formed entitles organized primarily for the                   'i
                                                                                  purpose of engaging in the activity for
         @(d
          H
            .Tg
                   g
                             ,; shall be identifiable and retrievable. Con-
                                sistent with applicable regulatory require- which        the permit or license is sought. Those
         ;g M                                                                     In the former category will normally have a
                                ments, the applicant shall establish require- history of operating experience and be able
            < 2.                ments concerning record retention, such as
         (4"%C                  duration, location, and assigned responsibill-the    to financial
                                                                                          submit financial
                4               ty.                                                                 results statements  reflecting
                                                                                                            of past operations.
                                                                                  With respect, however, to the applicant
                                                                                  which is a newly formed company estab-
             b)j                                    *'33' ' * T8
                                                                                  lished primarily for the purpose of carrying           g
                                   A comprehensive system of planned and out the licensed activity, with little or no                    i
                  g
                                periodic audits shall be carried out to verify prior operating history, somewhst more de-
                                compliance with all aspects of the quality tailed data and supporting docurtentation                     J
                  f                                                                                                                      s
                  ,
                                assurance program and to determine the ef-
                                festiveness of the program. The audits shall
                                                                                  will generally be necessary, For this reason,
                                                                                  the appendix describes separately the scope
                                                                                                                                         j
                                                                                                                                         '
                                be performed in accordance with the writ- of information to be included in applica-                       .
                                ten procedures o'r check !!sts by appropri- tions by each of these two classes of appil-                  !
                                ately trained personnel not having direct re. cants.
                                sponsibilities in the areas being audited.           In determining an app!! cant's financial             i
                                Audit results shall be documented and re- Qualifications, the Commission will require
                                viewed by management having responsibill. the minimum amount of information neces.                                  !
                                                                               416
                                                                                                                                                      i
                                                                                                                                                      i
                                                                                                                                                      I
                                                                                                                                                      l
                                                                                                                                                      1
                                                                                                                                   -____--______U
 -                                                             -          _ _ _ _ _     _ _ _ _   _ _ _ _ _ - _ _ _ _ _ _ _ _ _ _ _ _ _ _
                                                                                      _
   . . ...                                                             '                        '
                                                            CPSES/FSAR
            25l            functional Quality Assurance program. Additionally, auditing has been
           '501
              51-
                           conducted within TUGC0 to verify the implementation of this Quality                                             
                           Assurance program. This auditing program evaluates the effectiveness                                               -
                           of the Quality Assurarce progam for conformance with design                                                          -
                                                                                                                                                  j
                           requirements; determines whether the Quality Assurance program is ic
                          compliance with established requirements, methods, and procedures; and
                                                 l
                          verifies implementation   of recommended corrective action,                                                         d
                          TheCPSESQA)rogramiseffectivelyadministeredandcontrolledby
                          TUGC0 through close association with, supervision and audit of the                                                      I
                          contractors who perform the requirements outlined herein. The QA
                          programs of the contractors are reviewed by TUGC0 QA and/r' its agents
                          to assure that they contained adequate requirements and procedures to
                          control the quality level.

1

                         Responsibilities for implementation., of certain of the nuclear QA                                               b
             O           activities included in the TUGC0 QA program during design, procurement                                                   3
    ,
      '
                         and construction have been delegated to Gibbs & Hill and Westinghouse.
                         These responsibilities are described in the current revisions of the                                                     ,
           41l           Gibbs & Hill Project Procedures Manual and the Westinghouse WCA; 8370.
                         BLR is responsible for QA functions relating to ASME Code work only.
                         P h nsibility for the construction site QA and QC pro pimt                                                                }
                         lies with TUGC0 Site QA. ~This QA program is organized to provide an
                         intergrated plan under the direct control of the TUGC0 Manager, QA.
                                                                                    .
                         17.1.3      DESIGN CONTROL
           50l          T.he TUGC0 Quality Assurance Plan provides for several levels of design
                        control. These levels include the design control measures of Gibbs &
                                                                                                                                                    i
                       . Hill as the Architect-Engineer, Westinghouse as the supplier of the                                                       i
                        nuclear steam supply system, and TUGC0 as the designated engineering
                                                                                                                                                   !
          50            organization is responsible for plant design. TUGC0 has delegated to
                        Westinghouse responsibility for the Nuclear Steam Supply System                                                             )
                        design. The remaining designs are the responsibility of TUGC0 or have                                                       i
                                                        EXHIBIT 2
            AMr.NDMENT 50
            JULY 13, 1984                                   17 1-14
  .
 _
           .
                                                                CPSES/FSAR
                                been assigned to Gibbs & Hill. Gibbs & Hill, as Architect-Engineer,
         ,                      is responsible for overall system design including the interfaces of
                               Westinghouse and TUGC0 designs. The design coatrol measures including
                           ,   review, approval, verification and checking are contained in the
                                                                                                             50
     '
             .
                               current revisions of the Gibbs & Hill Project Procedures Manual,
       ,
                               Westinghouse WCAP-8370, and TUGC0 CPSES Project . Procedures Manual.
                               The verification of engineering design control measures is performed
   .
                               by TUGC0 through review or audit.
                               The TUGC0 QA program requires that the prime contractors meet
                                                                                                          l 50
                               applicable NRC Regulatory Guidc requirements for all safety-related
                               activities. For a discussion of Regulatory Guide commitments, see
                               sections IA(N) and 1A(8).
                 ,'            The CPSES QA Plan requires verification that applicable NRC Regulatory l 50
                              Guide requirements have been incorporated in activities affecting
                              quality by design review, audit, and surveillance of prime
 y                            contractors.
                              This verification assures that applicable regulatory requirements and
                                                                                                                l
                              the design bases as specified in the license application for safety-
                              related structures, systems, and components for CPSES are correctly               I
                             translated into specifications, drawings, procedures, and
                              instructions. Audit by TUGC0 assures that the prime cont. actor
                                                                                                           4
                             organizations' design control measures include a, clear dsfinition of
                             design interfaces, review and approval of initial design, including
                             changes or revisions, and that personnel performing design reviews are
                             thoroughly familiar with the regulatory requirements and design bases
                             described in the PSAR/FSAR and are independent of those originating
                             the design.
                             17.1.3.1       _Desion Control for Preparation of Drawinos
                             Design drawings are prepared, reviewed, and controlled per applicable
 s                           project procedures.
                                                      These procedures ensure that design drawings are    5
                                                                17.1-15                      AMENDMENT 50
                                                                                             JULY 13, 1984

_ _ _ _ _ _ - - - - - - - - - - - - - - - - -- ~--

 . .                                                        *
   A
                                                      CPSES/FSAR
                       reviewed independently for completeness, accuracy, agreement with
  k                   design concepts, and possible interferences. Further review is                                                                      ~       {
                      provided by engineers of related disciplines who review for
       6
                      consistency and compatibility with related systems and design                                                                            ~
                      requirements. Procedures also call for supervisory review for content
                      and compliance. Changes to drawings or drawing input are subject to
                      the same controls as were applicable to the original.
                      1'7.1.3.2     Engineering Specifications
       50 l           The TUGC0 Quality Assurance program requirt.s that measures be                                                                         -
       25 l
                      documented for the translation of applicable regulatory requirements
                      and design bases into specifications. Written proce'dures require that
        6
                      the specification be independently reviewed for technical' accuracy,
                      completeness, conformance with applicable regulatory requirements, and
                      overall acceptability. Additional review is provided by related
                      disciplines to ensure coordination and by project canagement for
                     overall project requirements. Written procedures also document
 '
        9
     -
                    , resolution of changes to engineering specifications. Written
                     procedures further require documentation of the reviews.
                     17.1.3.3      Review of Vendor Eouipment Drawinos. Specifications, and
                                   Procedurg
        6
                     Upon receipt from a' manufacturer, these documents are routed through                                                                  --
                     the applicable engineering disciplines to check compliance with
                     engineering, drawings, and specifications. A contfolled interface is
                     maintained with the manufacturer to assure resolution of
        9            discrepancies. Interdiscipline and supervisory reviews of this                                                                                 l
                     process are performed and documented cs well.
                     17.1.3.4      Engineering Calculations
        6
                     Measures have been established that control the preparation of                                                                            "~
                     calculations. Written procedures outline the method of preparation to
                                                                                                                                                                    .
            AMENDMENT 50
            JULY 13, 1984                              17.1-16
                                                                                                                                                                    l

.

                                                                            _ _ - _ - _ _ - - - _ - - - - - _ - - - - - - - - - - - - - - - - - - - - - -
                                                                        . - - -   . _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ - _

-

         ~
   .          .,
     .
           -.
                                                    CDSES/FSAR
 (                   ensure uniformity, validity of assumptions and input, as well as
                                                                                ~
                     accuracy of results. Procedures also require review of calculations
                                                                                                                      '
                                                                                                                         9
                     by an independent checker. Each review is documented.
       .
                                                                    *
                 ~
     h,i             17.1.3.5      Design Review and Verification
       u
              
                     Safety related design activity is reviewed in accordance with a
                                                                                                                           i
                     formalized and documented system. The types of review used are:
         ,
                     1.  Checks to compare information presented on a drawing or other
                         document with a definite figure, criterion, or design base.
                                                                                                                           ,
                   '2.   Superviscr'y reviews of design work, conducted by a superior in a
                         given discipline, of work by a project team member in that                                        !
                         discipline.
                    3.   Interface reviews, by personnel of one discipline, of work
 (                       performed by another discipline to determine that the reviewer's                               6
                         discipline requirements and commitments are satisfied.
                    4.  Review by QA to determine that QA requirements are included as
                        appropriate for the item being reviewed.
                                                                                                                           j
                    Design verification to review, confirm or substantiate the design is
                    perforined to provide assurance that the design meets the specified
                                                                                                                            ;
                    inputs. Methods of verification include but are not limited to,
                    Design Review, Alternate Calculations 3 ard Qualification Testing.
                    Procedures will define the actions necessary to report and resolve
                    deficiencies identified during design verification,
                                                                                                                             l
                   Written procedures define the actions necessary to report and resolve
                   deficiencies identified curing design verification.                                                  50   l
                                                                                                                             !
                   17.1.3.6       Desian and Engineering Surveillance
 (
                                                     17.1 17                                   AMENDMENT 50
                                                                                               Jul.Y 13,1984
 .
      __
                                                                                  ,
                     .
         , ..,. 7
           .

i

  .I                                                          CPSES/FSAR
                               In order to verify that engineering and design of nuclear safety
        b       6             related structures, systems, and components are performed in                {
                ,
                              accordance~ with applicable procedures these efforts are reviewed by
                              Quality Assurance through surveillance or audit. The scope and          -
                              frequency of these reviews is commensurate with the complexity of the         j
                              desigt: and past performance.
                             The surveillance and audit functions are documented in written
                             procedures.
                             17.1.3.7       Record Accumulation & Control
                             Records associated with the design activity are main'tained and copies
               6                f these records stored as required. These records are audited by

, TUGC0 QA and/or its agents.

                             17.1.4       PROCUREMENT DOCUMENT CONTROL

l L \'- 50 l Appropriate requirements have been established by the TUGC0 QL.ality (

                             Assurance program to assure that procurement documentation is
                                                                                                            ]
                             controlled and accurately reflects applicable regulatory requirements,         '
   ,
              25             design bases, and other appropriate requirements, such as industry
                             codes and standards. Safety-related procurement documents and                  1

! .

                             specifications require that vendors submit written quality assurance
                             programs consistent with the importance and complexity of the
                            material, equipment, or service procured. Such quality assurance                 '
                             programs are consistent with pertinent provisions of Appendix B to 10
                            CFR Part 50.
              50 l
                  I
                            TUGC0 has satisfied these requirements as follows:
                                                                                                        ,
                             Selected review of procurement documentation for Q-listed materials.   -
              25
                            equipment, and services is performed. This review is described in                )
                            17.1.1.1.1.
                                                                                                              i
                  AMENDMENT 50
                  JULY 13, 1984                                 17.1-18                                       ,
                                                                                                              4
                  .

i ('

- _ _ .

         
                 COMANCHE PEAK STEAM EL.ECTRIC STATION
                                                  QUALITY ASSURANCE PLAN
                                    .
                      +#.         g                                                          SECTION s 3.0
            .      .
                       _
                                                                                             DATE: 11/20/85
        V                '
                     - %g\(                               DESIGN CONTROL                     REVISION: 4    i
                                                                                             PAGE 1    OF 1
               3.0           Desion Control
                             The design control process for CPSES begins with Gibbs & Hill, as                     ,
                             Architect - Engineer, Westinghouse, as NSSS supplier and TUGC0 as the
                             engineering organization. Selected scopes of design responsibility
                             have been assigned to EBASCO and SWEC. Overall responsibility for
                             construction however, remains with TUGCO. The design control process
                             is an ongoing function which includes design criteria, design review,
                            and design change. This process is carried out in accordance with
                            established procedures.
              3.0.1         Desion Criteria
                                                                                                                 t
                            The preparation, review, approval, and certification of design speci-
                            fications are normally contracted to Gibbs & Hill and Westinghouse.
                            TUGC0 performs desiga and design verificatier. activities on selected
                            contracts. To the extent applicable, the hsign criteria will be
                           consistent with that specified in the license application and will
                           utilize the requirements of recognized codes, standards, and practices,
       y,                  The responsible design organization translates these design specifications
                            into appropriate instructions, procedures, drawings, or specifications.             8
                           This function includes design interface control as well as the generation,
                            review, checking, approval and revision of design and construction speci-
                           fications, and design drawings.
              3.0.2        Desion Review                                                                        l
                           The responsible design organization reviews respective designs for
                           confonnance to design concepts, licensing design criteria, and regulatory
                          criteria.      The design reviews are performed by individuals or groups
                          other than those who performed the original design. Changes to design
                           specifications or documents are reviewed and approved by the same
                           individual or group responsible for original review and approval unless
                          designated otherwise.
              3.0.3       Design Chance -
                          Changes to the design are documented. reviewed, and approved by the
                         original designers or other authorized individuals commensurate _e wit.h
                          the,gntrols . applied to the original, design. These controls extend to
                                                                                                  ,
                          the disposition of field changes and nonconfonnances. Approved changes              ;
                         are incorporated into or identified on the original design document.
                         The TUGC0 QA Division audits TUGC0 and contract engineering organizations
       %                 to verify that the design process including design change is perfonned
                         in accordance with the approved program and procedures. In addition,
                         Quality Assurance organizations of other engineering organizations audit
                         their respective
                         procedures      and design  organizations to ensure compliance to approved
                                             instructions.
                                                       rvuvn Tra 3
               _                          _                             -
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     - _ - _ _ _ _ _ _ _ _ _ _ _ _ _ _ .
                                                                                                                                                                                1
       ,     j         , ,,                                                                          .    . _ _ . . .          .                               ..               l
                                                                                                                   !             *
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             .          ;                   .
                                                                                 PROCEDURE                                                 ISSUE
                                                   . BROWN & ROOT, INC.            NUMBER               REVISION                           DATE                   PAGE          I
                                                                                    ~
                                                                                           *
                                                          J06 35-1195
                                                                                                                                                                                 1
                                                      TITLE:                    ORIGINATOR: 1 hw N.- '-                                 M7                    #f2,/j,e/g-
                                                " PREPARATION, APPROVAL
                                                                                REVIEWED        ,. dp /I /
                                                                                                 ~ ~
                                                                                                                                                              'M"/ F
                                                  AND CONTROL OF
                                                                                                       QA/                                                         h          4
                                                                                                                                                                                '
                                                  OPERATION TRAVELERS"          APPROVED BY [ -                                      /                        /-(/IMDATE
                                                                                              MiMTRUCTION PR)XIECT MANAGER                                                 -
                                                    .
                                                                                                                                                       nRMS                   '
                                                                                                                                                     INDEXED
                                                                              ,
                                                                                                                                              -.
                                                                                                                                                     - - . _ _ _          -
                                                                                                                                   '
                                                        .
                                                                                                                                        n                          .
                                                                                                                                            CPSES
                                                                                                                                      '
                                                                                             CONTENTS
                                                1.0              REFERENCES
                                                2.0              GENERAL                                                                                                     l
                                                                2.1     PURPOSE AND SCOPE
                                                                2.2     QUALITY ASSURANCE REQUIREMENTS                                  4'/CONTR0k
                                                                2.3     AUTHORITY AND RESPONSIBILITY.Y
                                                                2.4
                                                                2.5
                                                                        DESCRIPTION OF AN OPERATION TRAVELER
                                                                        TITLES '
                                                                                                                                                 / C/V#-      /
                                                                                                                                              gpQ
                                                3.0             PROCEDURE
                                              .g
                                              ;                 3.1     BASIC PREPARATION SEQUENCE
                                                                3.2
                                              -
                                         ;                              ENGINEERING REVIEW
                                 .f'                            3.3     QA/QC REVIEW
                                                                3.4     RECORD COLLECTION

l

                                                                3.5     LOT RELEASE AND CONTROL
                                                                                                                          ~

! 3.6 TRAVELER CHANGE CONTROL

                                                                3.7    TRAVELER "IN-PROCESS" AND " COMPLETED" CONTROL
                                                                                              NOTE
                                                 .
                                                                Tiils document has been completely retyped for convenience
                                                                in issuing Revision 5. Vertical lines (change bars) appear-
                                          .
                                                                ing in the margins indicate what information was actually
                                                                changed, added.or deleted by Revision 5.
                                                                                                                                                            .
                                                                                                                                                                              .
                                                                                                                                                                             '
                                                                                      EXHIBIT 4
                                            l                                                MN
                                                                                                        ,
                -
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           -                                              .       .      .
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            .
       ,        .
   -
                                                            JOB 35-1195                           ARMS
                                            COMANCHE PEAK STEAM ELECTRIC. STATION              INDEXED
                                                                                                                   '

, ,

                                              INTERIM CHANGE NOTICE NUMBER    __2_,,,,,,, ,
                  . This ' notice applies to: Construction Procedure -CP-CPM-6.3             , Revision     5.
                    The intent of this change will .(X) / will not ( ) be incorporated in the next
                    revision to the procedure or instruction.
                    This Change applies:
                          Untill Further Notice ( )              Until the next Revision is issued (X)
                          Only as follows:
                    CHANGE THE PROCEDURE / INSTRUCTION AS FOLLOWS:                                      ,
                     (1) Delete Reference 1.5.
                     (2) Change Paragraph 3.1.3 to read as follows:
                     3.1.3 :      After the Traveler is prepared it shall be submitted to QC for              .
                                  review. QA/QC will not be required to review each cable tray
                                  hanger traveler as each operational document' will be identical ex-
                                  cept for the Traveler number. Review requirements for ASME related
                                  travelers are delinetted in Reference 1.4.
                     (3) Change' Paragraph 3.1.4 to read as follows:
                     3.1. 4       QC shall return the Traveler to the originator for distribution.
                                  All signoffs will be on the " original" making it the valid working
                                  document. . Component support traveler packages shall be controlled                3
                                  in accordance with Reference 1.4.                                                  1
                                                                                                                     i
                     (4) Change Paragraph 3.6.2 to read as follows:                                                  l
                     3.6.2        When design changes are received that affect issued and approved
                                  travelers, construction engineering shall notify the superinten-                   !
                                  dent 'immediately. The applicable changes will be made to the trav-                J
                                  eier and it will then be reviewed in the same manner as the original
                                  issue. At the superintendent's discretion, work m?.y continue on the
                                  traveler operations not affected by the design change. Changes to
                                  component support traveler packages will be routed in accordance with
                                  Reference 1.4.
                    Reason for change: Additional requirements.
                                                                                                                     1
                    This change approved by:                           ,                                             1
                       0 m $ .--- --
                    Dep~artMent fleao
                                                        7/3//77
                                                        ' Date
                                                                     YRty Assurance  5A                    -2~7
                                                                                                          Date
                                         ra4JN]
                    Reviewed By:
                                     A4&                                        T-3l- 7$
                                                                                       pate ,
                    eroeece,es.ae,msy
                                                                  .
                                                                                                         . . . . .
     O

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            ,                          .                           . _ . . .  .              ~ . . -
 ,   ;   .: _

!

                                                                                       --
                                                       JOB 35-1195                                $EN
                                         COMANCHE PEAX STEAM' ELECTRIC STATION                 gg
                                           INTERIM CHANGE NOTICE NUMBER             1.
                                                                                        oAM
              ',
                 This notice applies to: Construction Procedure CP-CPM-6.3                  , Revision 5         .
                 The intent of this change will (X) / will not ( ) be incorporated in the next
                 revision to the procedure or instruction.
                 This Change acolies:
                                                                                                                   i
                                                                                                     .
                                                                                                           .
                       Until Fu'rther Notice ( )             Until the next Revision is issued (X)
                      -Only as follows:
   .
                 CHANGE THE PROCEDURE / INSTRUCTION AS FOLLOWS:                                              ,
                   1.  Add tha following sentence to Paragraph 3.6.2:
                   -
                        " Changes to component support traveler packages will be routed in
                         accordance with Reference 1.5"                                                        .
                   2.  Add reference 1.5 as follows:
                                                                   *
                       1.5 CP-CPM-6.9
                                                                                                                   j
                                                                           ,
                                                                                                         .
                 Reason for change:      Clarification
                 This change approved by:                                       .
                     & kn
                 Depattarent H6ac
                                       -Sve e7p;s G/6/7f
                                                     'Da't e
                                                                             A. _
                                                                  vality AssQfance
                                                                                                     le= L= *19
                                                                                                             Date
                                                                         3 9 CAerte
                 Reviewed By:
                  $h
                 Proceaures & Reports
                                                                   b ~b" W
                                                                                       Date
          .
       .
    - _                        __ .._..                                                                                          .
          . . .                           .
                                                                                                                                   i
                  -6
              ,                         ,
                                                BROWN & ROOT, INC.             PROCEDURE                        ISSUE
               .-          '
                                                       CPSES                     NUMBER         REVISION        DATE       PAGE
                                                                                                                                   l
                                                                                                                                    1
                                                    JOB 35-l'95                                                                    t
                                                                             CP-CPM-6.3            5         12/13/78   2 of 11    j
                                               1.0          REFERENCES

I 1.1' B&R, CPSES Construction Procedure, CP-CPM-6.1, '

                                                             " Preparation and Approval of Construction Procedures
                                                              And Engineering Instructions".
                                                                                                                                   4
                                               1.2          B&R, CPSES Quality Procedure, CP-QAP-5.1,
                                                            "Preparatiori and Approvel of Quality Procedures                '.
                                                              And Instructions".                -
                                                                                                                               -
                                               1.3          B&R, CPSES Construction Procedure, 35-1195-SFP-2,
                                                            "B0P Records Filing".

!

                                               1.4          B&R, CPSES Construction Procedure, CP-CPM <0.9,
                                                            " General Piping and Inspection Procedure"

l 2.0 GENERAL

                .,                            2.1           PURPOSE AND SCOPE
                                            . 2.1.1        This procedure describes the preparation, approval and con-
                                                           trol of operation travelers which may be used at CPSES to
                                                           control activities affecting quality. The requirements of
                                                           this procedure are to be implemented by affected B&R Construc-
                                                           tion and QA/QC personnel when the operation traveler system
                                                           is implemented for a given safety-related ("Q") activity. This
                                                           procedure may aho be used for Balance of Plant (Non "Q") con-
                                                           struction operations. If used for Balance of Plant work, state-
                                                           ments in this procedure relating to-QA/QC do not necessarily ap-
                                                           ply and the functions relating to QA/QC may be accomplished by
                                                           other B&R departments.
                                              2.2          QUALITY ASSURANCE REQUIREMENTS
                                              2.2.1       .The operation traveler system has been designed to fulfill
                                                           Duality Assurance criteria set forth in Regulatory documents
                                                           and codes and standards applicable during the construction
                                                           phase of CPSES.
                             .
             -
                                                      -           -
        W @-         seogs
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                             BROWN & ROOT, INC.              PROCEDURE                         ISSUE
                                   CPSES                       NUMBER         REVISION         DATE
             r)                 JOB 35-1195                                                          .
                                                                                                                         PAGE                           I
                                                          CP-CPM-6.3              5         12/13/78             3 of 11
                  .
                                                                                '
              .
                            2.2.2        When implemented as outlined in this procedure, the operation
                                         traveler system fully complies with the QA criteria and no
                                                                                                                                                     .
       .
                                                                                                                                                     {
     q ..                                esditional enntrols are required. If only partially imple-
                                         mented, then additional controls in the form of supplementary
       -
                            ~             instructions may be required to meet the applicable require-                                               1
                                         ments. The provisions of References 1.1 and/or 1.2 may be                                                   I
                                         utilized to supplement a partially implemented system. .'
                                                                                          ~
                -
                            2.3          AUTHORITY AND RESPONSIBILITY                                                       .
                            2.3.1       . Signature authority on a Construction Operation Traveler rests
                                         with either the Construction-Superintendent (s) responsible for                                             j
                                  -
                                         the work or with the Construction Engineer (s) responsible for                                              l
                                         technical cuidance. . The site QC Manager is responsible througn
                                         the discipline Quality representatives to assure that the system
                                       ,is 9[fectively implemented for the selected activities.
                            2.4          DESCRIPTION OF AN OPERATION TRAVELER
           . ')             2.4.1        The operation Traveler (Figures 2 and 3) serves as a fabri-
             "
                        ,                cation / installation / inspection checklist describing operations
                                         necessary to achieve a quality end product in an efficient
                                         manner. Accordingly, the details required and included on the
                                         face of the traveler will vary depending on the complexity of
                                         the operation.
                            2.4.2        General information included on the operation traveler
                                         is as follows:
                                         a.   Part; serial or tag number and material description (s),
                                              where applicable.
                                         b.   The department asrigned the task to perform the
                                              operation (s). This.is normally'ihown in the space
       ,                                      provided on the traveler but may be documented in an alter-                                            4
       ;                                      nate manner for simple operations,
       i                                 c.   Operation description, methc<ds, procedures (instructions)                                             !
                                              by number and revision and other information as required                                               ;
                                              to successfully complete the operation per applicable                                                   '
                                              requirements.
                                                                    rm                                                                               1
       .
                                                .
                                                                    4
                                                                                        -
                                                                                                       _ _ - _ - _ _ . _ _ - - _ _ _ _ _ - _ - - -
 - _ __ _ _                      .
                                                                                                                          1
                . _ _                                                     .    . . . . . -          . .
                  -
                             .
                                                                                                                          1
                                    BROWN & ROOT, INC.             PROCEDURE                               ISSUE
                                         CPSES                       NUMBER               -REVISION        DATE     PAGE
                                                                                                                          l
              e-)
               (                       JOB 35-1195
                       '
                                                                 CP-CPM-6.3                    5        12/13/78 4 of 11
                                                                                                                          1
                                                                                                                          i
                                                d.   All dimensions and tolerances necessary to assure com-
                                                     pliance to design drawings and specifications. This in-             ,

,

                                                     formation may be given by Reference, provided persons per-
                                                     forming the work have access to the Reference.
                          '
                                                                                                                         ))
                                                e.   Any needed offsite operations or processing cited in the
                                                     appropriate sequence with all other operations.
                                                f.   Necessary instructions for handling, c~1eaning, storage and
                                                     preservation of items.                                          ,
                 -
                                                g.   Required QC inspection, hold, or witness points.                    i
                                                h.  A bill of material for piping component supports.
                                   2.5         TITLES
                                   2.5.1       Titles, when used in this procedure apply to the specific
                                               person or his designee.
              ^
      .                            3.0         PROCEDURE
                                   3.1         BASIC PREPARATION SEQUENCE
                                   3.1.1       Samples of the Traveler forms are shown in Figures 1,. and 2.
                                               These forms may be obtained from the Construction Engineer.               !
                                               The operation sequence and necessary detailed information
                                               to' be written on the traveler will be developed as a joint
                                               effort between the B&R construction craft personnel responsible
                                               for doing the workuconstruction engineering personnel re-
                                              _sponsible for technical requirements, and 0A/QC personnel
                                               responsible for Quality Assurance requirements.             It is
                                               desirable to i'nclude all required information (such as dimen-
                                               sions, specification data, and required supplementary instruc-
                                               tions) with the Traveler to make a complete " Traveler Package".
                                               However, the inclusion of information routinely available to the
                                               persons performing the work is not a requirement. The sequ E
                                               tial numbers assigned to each operation on the traveler are
                                               for identification purposes and are not necessarily a sequential
                                               order of work progression.
                                                                                             (
                          *c
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            -
                                           .
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                  _ - _ _ _ _ _ _ - _ . __ _ _ _ _ _
                                                                                                                                                               .
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               -                  -
                                                     .
                                                                                                                                                                                                    ,
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                                                          BROWN & ROOT, INC.
                                                            '
                                                                                                                PROCEDURE                                                     ISSUE
                                                                      CPSES                                        NUMBER                                REVISION            DATE          PAGE
                                                                 JOB 35-1195
                                                                                                           CP-CPM-6.3                                        5              12/13/78      5 of 11
                                                         3.1.2               The discipline construction engineer is responsible to assign
                                                                             numbers to Operation Travelers, and to keep a logbook record
                                                                    ,        of the numbers. The traveler numbering system is as follows:

'

                                                                                                    Exampie, "MR79-001-5000"
                                                                      -
                                                                                                                                                                                                     l
                                                                                                   M = discipline (Mechanical, electrical,                                                          l
                                                                                                      , etc.)                                                                                       l
                                                                                                                                                                                            .
                                                                                                   R = department (rigging, rebar, pipe,
                                                                                                         concrete,etc.)
                                                                                                                                                           .
                                                                                                  79 = The calendar year in which the Traveler
                                                                                                         was written.
                                                                                                 001 = The individtial sequence number identifying                                                   '
                                                                                                         a particular Traveler.
                                                                                                                                                                                                    !
                                                                                                5000 = The turnover (start-up) system number for
                                                                                                        .the activity described on the Traveler.
                                                                                                   *
                                                                                                                        NOTE
                                                                                             For mechanical component supports the traveler                                                          '
                                                                                             number will be the component support identification                                                  -
                                                                                             number (if more than one traveler is required for                                                      j
                                                                                             a specific support, the mark number shal1~ be suf-
                                                                                             fixed by a-1 for the first additional traveler, etc.).
                                                                                             For electrical cable tray supports the traveler num-
                                                                                             ber will be the support mark number prefixed by " Ele-
                                                                                             79-CTH" (79 represents the year in which the                                                         s
                                                                                             traveler wa: prepared). These are the only exceptions                                                  {
                                                                                             to the above numbering system.
                                                         3.1.3              When a Traveler is prepared and ready for signature, it shall
                                                                            be submitted _t_o 0A/0C for rev3w, the addition of inspection
                                                                            hold or witnes's points, ANI revies, and signature. QA/QC will
   -
                                                                            not be required to review each cable tray hanger Traveler as
                                                                            each operational document will be identical except for the Tri.v-
                                                                            eier number.
                                                         3.1.4              Af ter reviewing and signing, QA/QC shall return the Traveler
                                                                            to the originator for distribution to the field; except
                                                                            component support travelers shall be sent directly to weld-
                                                                            ing engineering to be distributed in the same manner as WDCs
                                                                            per Reference 1.4. 311 QA/QC/ANI/ Engr. signoffs will be on
                                                                                                                                                                                                     ,
                                                                                                                                                                                                     I
                                                                            the " original" making it the valid working document. At the
                                                                            discretion of the QA Manager, a copy of the traveler may be
                                                                            filed in the QA vault for record retention purposes.                                                                    l
                                                       _                                                                   M%                                                                       '
          . . . . . - - . . . - . . .                         ..               . . . . . . .           . - _ . . . . . . .                  .. . . . . .      . . .
                                                                                                                                                                              . . _ .
     -
 _
                                                                 __       _         -_--_---                          -     " - - - - --~ ~                         ' ' ~ ~           ^
          --   -

E. i

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                                                         _ ._ _
                  BROWN & ROOT, INC.              PROCEDURE                             ISSUE
       .                 CPSES               l      NUMBER               REYISION      DATE        PAGE     j
                     JOB 35-1195                                                                           1
         .                                      CP-CPM-6.3                 5        12/13/78    6 of 11
                                                                                                           l
                 3.2            ENGINEERING REVIEW                                                           '
                                                                                                       '
                 3.2.1        ' At the request of the responsible General Superintendent, the             i
                                Chief Project Engineer through the responsible Discipline Engi-
                                neer shall complete reviews of applicable drawings, specifica-             ,
                                tions, procedures, and weldino requirements to assute,_under-             d
                           . : standing of and compliance with applicable design and construc-          '
                                tion requirements.
                                                                                                      '
                 3.3           QA/QC REVIEW                                                         .        l
                                                                                              ,
                 3.3.1         The Quality representative will perform a spot check of the com-           i  '
                               pleted forms for accuracy of information and will verify that.
                               required inspection, hold and witness points have been included.
                               He will assure that quality documents have been prepared per the
                               provisions of Reference 1.2 and are referenced in the Operation
                               Travelers as required to fully implement the QC functions.
                 3.4           RECORD COLLECTION
    -
                 3.4.1         Traveler packages shall remain in the work area until the                  l
                               work described by the package has been completed and accept-
                               ed by the responsible QC Inspectors. Component support
                               travelers may be returned to the FWTC (ite the same manner
                               as WDC as stated in Reference 1.4) at the end of each work
                               shift or when the fini.1 sign-off is completed.
                 3.5           LOT RELEASE AND CONTROL
                 3.5.1         Let Release
                 3.5.1.1       Quantities of identical detail parts or items may be authorized
                               by the Quality representative on one Traveler package release
                               provided the parts or items are dimensionally identical and that
                               material control and/or traceability requirements can be accomo-
                               dated without creating an extensive ard/or confusing record keep-
                               ing or material marking system. The quantity of parts or items
                               to be included in one lot may be determined by the quantity of
                               parts required to fabricate one assembly or sub-assembly, or a
                               quantity of parts that could remain as one lot until all parts
                               or items are completed without jeopardizing the production
                               schedule.
    .
                                                         [        W_                                       '
                                                                                                           l
                                                                     f
    .
                         .
                                                                                  _
  &
                                 _m._ _
            . _ _    - _ _ _ _ _

.. . . .. . . .. .

    .   -
                .
                             BROWN & ROOT, INC.                  FROCEDURE                                      ISSUE
                                   CPSES                             NUMBER                REVISION             DATE         PAGE     i
                                 JOB 35-1195                                                                                          I
                                                               CP-CPM-6.3                        5          12/13/78       7 of 11    l
                                                                                                          <
                      3.5.2               Lot Control
                     3.5.2.1              A quantity of identical parts released as a lot on a single
                                          Traveler package release shall remain together until all oper-
                                          ations have been completed and accepted by inspection, and the                              t
                                          parts / items have been delivered to storage or to another Trav-
                  .
                                   ~
                                          eier release for subsequent assembly / installation. If a non-
                                          conformance is detected on one or more parts / items of a lot dur-                          1
                                          ing the operations, the confoming material and Traveler shall                                i
      *                                   remain in a. designated hold area until the nonconformance has
                                          been adequately dispositioned. The site QC Manager may author'
          -
                                          ize certain exceptions to this rule. Such matters will be                                   ,
                                         h'andled on a case basis.
                  .
                     3.5.2.2-             If certain parts / items are dispositioned 'iScrap" the quantity
                                         of the lot on the Traveler shall be reduced to the quantity
                                         found to be acceptable by inspection. Replacement items,
                                         when required, shall be issued on another Traveler, reflecting                               l
                                         a new release number.           If an item or items in a lot requires                        1
                                         repair, such as welding, the entire lot shall be serialized                                  ;
                                         and appropriate records prepared to establish traceability for                               !
                                         repairable items as required by applicable co(es and specifica-
                                         tions.
                    3.6                  TRAVELER CHANGE CONTROL
                    3.6.1               _All changes, regardless of their significance, must be doc-
                                         umented on the Traveler, denoting the operations affected,
                                         description and authorfty for the required change, and the
                                         Quality representative's approval. The revision number and
                                        a description of the change will be noted on the traveler
                                       .below'the last traveler operation of the oriainal issue.                        If
                                        necessary the revision description may be continued on a
                                        continuation sheet. The back side of the traveler for piping
                                        component supports will also depict the revision in the re-
                                        vision block.
                    3.6.2               When design changes are received that affect issued and aoorov-
                                        ed travelers, construction engineering shall notify the superin-
                                        _tendent immediately. The applicable chances will be made to
                                        the traveler and it will then be reviewed in the same manner
                                        as the oricinal issue. At the superintendent's discretion,
                                        work may continue on the traveler operations not affected by
                                        the design change.
                                                                                                                                   3
                                                                         , - ~ ~ = ,
                                                                         w
 ..._........._.......__.                      . . . . _ .      .. .            . . _ _ . . _ . . . _ . .
                                                           '
                                                                                                                                 __ 9
   ,         _   - - -          _           _        _
                                                         -
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                        BROWN'& ROOT, INC.              PROCEDURE                       ISSUE

' -

                               CpSES                       NUMBER       REVISION        DATE          PAGE   i

, JOB 35-1195 -

                                                                                                             '
                                                       CNCpM-6.3           5         12/13/78     8 of 11  ,
                                                                                                    ~

1

                        3.7          TRAVELER "IN-PROCESS" AND " COMPLETED" CONTROL
                        3.7.1        Travelers shal.1 be maintained complete throughout the construc-
                      '
                                     tion process. Each QC Operation requires tho : initials and date*

l ' by QC denoting the inspection status. This shall be accomplished

                                     at the completion of each operation and prior to moving parts

l or assemblies to the next operation, unless otherwise . I noted on the Traveler.

                                                                                                       .
               l        3.7.2        It is expressly prohibited to proceed beyond any hold point
                                     requested by the Quality representative without his. approval,
                                    ' reflected by his initials and date at the applicable operation
                                     on the Traveler.
                        3.7.3       The Ouality Control Manacer is charoed 'with the responsibility
                                    .for assuring that all operaticn Traveler instructions have been
                                    complied with and all previous operations have been oerformed
                                    and accepted. The Discipline Inspection Supervisor is responsi-
                                     ble to the Quality Control Manager for the asscratice that all
                                    completed items, assemblies or sub-assemblies meet the require-
                                    ments of the applicable drawings and specifications - by
                                     inspection and acceptance of all items denoted on the Traveler
                                    end associated check lists or instructions. After all operations
                                     listed on the traveler have been completed and appropriately

.

                                    sigred, the department supervisor implementing the work will

L

                                    submit the traveler to construction engineering..or to the
                                    FWTC for component support travelers. The discipline con-
                                    struction engineer will log such receipt of the traveler
                                    and in turn if "Q" related, submit it to the QC Department                 ,
                                    for incorporation into the CPSES documentation system,                     l
                                    Travelers for Non "Q" items will be processed in accordance
                                    with Reference 1.3.                                                        ,
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                                   BROWN & ROOT,.INC:                                PROCEDURE                                                    ISSUE
                 ...                     CPSES                                          ' NUMBER                      REVISION                   DATE                                                                            PAGE
                      !
                                      JOB 35-1195
                                                                                  CP-CPM-6.3                             5                 12/13/78-                                                         9 of 11
                                 ,
                          .
                                                                                               FIGURE 1A
                                                              SAMPLE TRAVELER FIRST SfiEET - Front Side
                                                 .
                                                                          C.3.'T2; C. 3 CF12A7"C's UA'.T *.2 23-6193                       .
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                           BROWN'& ROOT,_INC.                    PROCEDURE                                          ISSUE.
          .~s.                    CPSES '                           NUMBER                 REVISION                 CATE           PAGE        l

g 0 JOB 35-1195 I

                                                              CP-CPM-6.3                       5             12/13/78           11 of 11   j
                                                                                                                                              1
                                                                                                                                               l
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                                                                                                                                           .1
                                                                          FIGURE 2                                                             i
                                                                                                                                               !
                                                                                                                                              I
                                                        SAMPLE TRAVELER CONTINUATION SHEET
                   -                                                                                                          -
                                                           cas:re::cx orti.s :. s ix.r.:.2 c::.=2:::3
                                                                                            .
                                      NN M*                     C l*T P13 d ".;;3
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                                                                            gA;g                                                   ,
                                      t?tTTED ST -                          34 g                                  ,
                                      A" N                                  SA*T
                                                                                                                   44 G0
                                      er. No.  !'. ". I"7 11 :n                                                      DG  A.E
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                                                               CONSTRUCTION OPERATION TRAVELER 35 1195                                                             q     ,
                               TRAVELER NO.
                         @ME-79-248-5500                          @ EQUIPMENT      NO.
                                                                         TCX-RCPCRV-01        @ NIT 2
                                                                                                       NO. QUANTITY
                                                                                                                 1
                                                                                                                                         PAGElOg h ,'
                                                                                                                                     ,,e m""%s
                               ACTIVITY DESCRIPTION                                            REFE.RENCE DRAWINGS
                              eactor Vessel Innta11arion                                         App nal m
                              EPEC./ PROC./EN'G. INSTR.               LOCATION                                     SYSTEM
                                  MCP-1          NM                        Containment 42                             n.c.
                           PREPARED BY Y O'                                       DATEM*2.o M A           DEPT MO - M-
       's                  REVIEWED BY                       O                    DATE  Y~# 'O           QA/QC-E10G ANI
            '.N            w.trevss.um1& LeMD
                                                     *A
                                                                                       4 -io - H
                                                                                                             '

l ANI REVIEW 8 DATE -

                                                                  *
                                                                    '                                                           EN.C             $
                        O P. N O. DEPT.         OPERATION , , .              *
                                                                                                                                    ENG       ANI
                                                                       %
                     d
                                                   General Notes:
             '
                  f                                 (1)     All support nuts and bolts shall be                              -
                                                            tightened to " snug tight" condition.                       Snue
                                                            tight shall be defined as the condition
                                                            which insure that parts of'the joint are
                                                            brought into good contact with each other.
                                                            This can be attained by a few impacts of
                                                            an impact wrench or the full effort of a
                                                            man using an ordinary spud wrench.
                                                            Reference the appropriate.
                                  '                         Traveler for rigging and lifting require-
                  q            "                                                                                                                                           ,
                           g.                                                                                                         '
   ,
                                                            ments of the reactor vessel.
                                                                                                                                        ,,d            g               1
                                                            Clean Ii$ R.V.
                                                                                                                                                                   '
               '
                                                    (2)                           Support Shim with acetone                                   8~
                                                                                                                                                                         ,
                                                            prior to installation.
                                                                                                                                              .M{
                                                    (3)     Reference Drawings:
         B                                           :g
                                                            W 1210E59--- R.V. Support Hardware
                                                                                                                         QA
                      OCT 02 1979
                                                            g 14 m 27---       Reactor vessel Supports                  e,o RECORD   ,,3
                                                        .
                                                                                                                          L
                                                                                                                                 .
                                                                                                                                            ,,j
                     .,_         , , .
                                           ..               C-E 10773-171-004----R.P.V. General                          y,y [go
                   -1)LES *NOTED                                                            Arrangement
 R-
                                                                                                                         g.               gg
 *
               80H AShURA NC                                C-E 10773-171-005----R.P.V. General                                             'N'
                                                                                            Arrangement                                       O
                                                                                                                           -
                                                                                                                                     wi.           y s,                      (
                           l             M/W       Install the R.P.V. Supports                 and Shoes per N
       *                                                                                                                                                       -
                   ,
                                                   Drawings 1210E59 and.1457F27.                  The min.
                                                                                                                       ~
 7-'
               ,
                                                  , engagement for the guide pins is 2 ". Therefore                               ,
 -- ,j   *
                                       ,       "the following gaps between the Support Shoe and                                                                               ,
                                                                                                                                                                              l
                                                   pin top ~ surfaces are as follows:               .,                                                                       j
 .
                                                                                                  w, .                                                                        1
                                                                                                        '
                                                                                         @          -I
                                                                                                                                                                     *
     ,                                                                       EXHIBIT 6                                         l
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                                                           CONSTRUCTION OPERATION VAVdLER CONTINUATION
                             TRAVELER NO.                          ACT!VITY DESCRIPTION
                              ME-79-248-5500 ,                       Reactor Vesse.1 Installation                    PAGL,OF[f
                                                                                                                          2
                             PREPARED BY                       k                 DATE  NOM -
                             REVIEWED BY                     &                                ~
                                                                                 DATE
                             ANI REVIEW                    Mb
                                          _
                                                                             _ DATE -
                                     <
                                                                                                                      QA/QC
                             OP.NO.    DEPT. OPERATION                            _
                                                                                                                       ENG ANI
       g                                             Hot Leg--Shoe to pin = -2 3/8" to -7/8"
                                              ( Cold Leg--Shoe to pin = v3/8" to 81 1/8"                              W
   m
       f                                                                                            GhuttM           Y?
                                                     "::hi .
                                                      .            thc eiC.     chi.s a 1 .;/4 -
                                                                                     -
                                                                                                     wr. .      Pull  M 71
                                                     The side imbed restraints to the side shim and                              i
                                                     support colums prior to concrete' pour. O *'                                 '
                                                     clearance must be met after the pour. 0"
                                                     clearance shall be less than .001"? The' side
                                                     shims are to also be modified per CMC-4260'.Euf
                                                     Weld the side shims to the R.P.V. Gupport per I"4 *                         i
                                                     EPM-1457F27. QC to inspect Welds and attach applfca-'
                                                     ble NDE Reports.
                                                     The optimum elevation to set the R.P.V.
                                                     Support shoes is as follows (based on R.P.V.
   A
                                                                                                                             -
                                                     As-Builts):
                                                     676 -----824'-5.754"
                                                     1580 ----624'-7.784"
                                                     2470 ----824'-5.755"
                                                     338 ----824'-7.777"
                                               '
                                                     The shoe bearing surface should be as level as
                                                     possible, not be exceed + 1/8".                 The supports
                                               - must be within 1/8" vertically, k" radially,
                                                       " tangentially.              Record final readings on
                                                    Attachment # 1 . Obtain appropriate signatures,
                             y                      The Leveling screwcshall               be set as close as              -
                              17                     feasibly possible to the following elevations:
                               ft"
                                '
                                                     6 70 ------ 82 4 ' - 7. 0 0 4 "
                                                     1580-----824'-9.034"
                                                     247 -----824'-7.005"                                            ,0g %-}      ,
                                                 y.3380-----824'-9.027"
                                                                                                  FOR         NORMM              i
                                                                                                                                 '
                                            I
                                            '
                                                  $he leveling screws must project 1" min.--lh"
                                                  . max. above the shoe bearing surface.                                       ~

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 [ ~ ,'                                CONSTRUCTION OPERATION TRAVELER CONTINUATION
                  TRAVELER NO.                 ACTIVITY DESCRIPTION
                   ME-79-248-55001s             Reactor Vessel Installation                                   PAGL30
                  PREPARED BY               AA              DATE     EO M
                  REVIEWED BY           
                                                            DATE    ~#*
                  ANI REVIEW         **                     OATE
                                                                                                                                                                         t
                                                                                                                       QA/QC
                  oP. NO.  DE PT. OPE R ATION
                                                                                                                               ENG ANI
                                                                                                                                                               #
                    2      M/W     Lower the R.P.V.          The vessel should be level
                                   to + ' " while suspended from the crane.                 The
                                                                                                                   '
                           QCW
                                   vessel.must be orientated such that the inner
                                   and out monitor tubes straddle the 2700 azimuth.
                                   Lower the vessel to the point of contact with
                                   the leveling screws, taking care that the
                                   vessel weight is fully imposed on all screws.
                                   Raise any screws not in contact with the under                                     -
                                   side of the vessel support pads.
                    3      M/W     Level the vessel to within .0005" per foot
                                    (.007" overall) on the internals seating
                                   flange thru.the access covers in the shipping
    *
                                   fixture.      Raise the vessel and adjust the
                                   1eveling screws as necessary.              Top of the
                                   seating flange should be set at elevation
                                   832'-10.058".
                                   Maintain vessel orientation using W dupplied
                                   instruments in the four keyways. Align the
                                   vessel to + 1/64" of containment axis. A
                                   worksheet Tor leveling readings is attached
                                   for field use.
                    4      F.E.    After obtaining proper elevation, level and
                                                                                                                                                                   sj a{
                                   orientation, recheck the calibration of all
                                   instruments to be sure no errors have be                                                                                  h @u
                                   introduced. off pwsc/%s/.s
                    5      M/W
                                                   %} 1-5- 79
                                   Take height measurements between the under-
                                                                                    h                        "
                                                                                                                                                                         ,
                      *
                           QCW     side of the vessel support pads and the
                                   support shoe bearing surface at four points                                       7p
                                   and record on Attachment # 2 . These results
                                   must be no less than 1.00". Also record the

. ' reactor cavity temperature.- QC to initial and

                                   date Attachment 2.      Q4pyy,g- 900                  g,
                    6     M/W      Machine the permanent bottom shims to
                           QCW     dimensions of Operation No.J. Tolerance to be
                                                                                                                                                                          ]
                                                                                                                                                                 iME
           ..
                                                                                               . _ _ _ _ _ _ _ _ _ _ _ - _ _ . _ _ _ . - - - - _ - - - - _ - -
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                    I '.~ '.                                  CONSTRUCTION OPERATION TRAVELER CONTINUATION
                          
                                        TRAVELER NO.                  ACTIVITY DESCRIPTION                                   4
                                            E-79-248-5500       s        Reactor Vessel Installation              PAG {J g
                                         PREPARED BY                L              DATE _D ED } %
                                                                                                                      #       b      {
                                         REVIEWED BY              -     CL         DATE
                                                                                              ~
                                         ANI REVIEW               'O               DATE
                                                                                                                                      i
                                                                                                                    CA/QC            I
                               ,
                                        OP. NO.   OEPT. OPERATION                                                     ENG ANI
                                                          i .001" -      0",   temp. + 5 0 F.
                                                                                                                                      l
                                                                                                                                     l
                                            7     INSVI, While bottom shims are being machined, apply g6
                                                  ggg     R.P.V. insulation per manufacturers supplied                  ,g
                                                          drawings and instructions. QC to write inspection
                                                          report as required.
                                            8     M/W     Raise the R.P.V. and lower the leveling screWE
                                                  QCV     until they are .375" i .010" above the bearing
                                                          surface of the support shoes.           Install the hold 7-fyf
                                                          down nuts.
                                            9     M/W     Insert the bottom shim plates. Do not allow
                                                  QCV     the bottom shim plates to be held off the                      <
                                                          bearing surface of the support shoe by the
                                                          leveling screws.
                                            10    M/W     Coat the top surface of the vessel pads with
                                                          prussian blue.         Lower the vessel monitoring
                                                         .the vessel axis to the containment axis.
                                            11    M/W     Lift  the vessel and check for surface centact h' ,g
                                                          between the top of the shim plates and bottom
                                                  QCW                                                               4,-gu t'
                                                          of the support pads. 75% surface contact is
                               7                   O      required. lisnd:d Msc sh tm @l sw a nd. rapt @ 9fo de s
    T4Ge#8A                           -
                                                   Ma     to tttt1WetSheed 6tmt3C5WMM A8cittspfpary.                     g ,

l ' 034FFff

      CC2 o9-
                         av                 12    M/W     After required contact area has been met,
    Jp4                                           QCV     remove prussian blue from the contact surfaces           y.
                                                                                                                    7
                                                                                                                        g)
    gg                                         *
                                                          and coat the top surface of the shim plates
                                                          with "molykote type Z" dry film lubricant.
    yg"dp3                                                Buff to improve finish.                                                    l
                                                                                                                                      l
                                                                                                                                     !
                        '- #                13    M/W     Lower the vessel onto the shim plates.
                                                          the leveliness and axis orientation.
                                                                                                           Check               h.1
                                                                                                                  1
                                                                                                                    %h5

, l \

                                                                                                                                   -
 _-                                                                                                                                  1
                                                                                                 _        ._   _ _ _ _ _ _ _ _ _ _ - _
                                                                     . . . . .
                                                                                                                                         1
,-          '
              -
                                                                             %..                                                         l
    .- -

['., CONSTRUCTION OPERATION TRAVELER CONTINUATION

  '
           TRAVELER NO.                    ACTIVITY DESCRIPTION
                                                                                                             9
                ME-79-248-5500 ,             Reactor Vessel Installation                     PAGE), g
                                                        DATE NO)%
                                                                                                    '
            PREPARED BY                                                                                 -                        -
            REVIEWED BY               -    1                         ~
                                                        DATE                     _
            ANI REVIEW              $                   DATE
                                                                                                cA/od
           OP. NO.    D E PT. OPERATION                                                          ENG ANI
                14   M/W        Take gauge readings of the spaces on either                           [
                     QCW        side of the vessel support pads and record on                                                            J
                                Attachment # 3       .  Also recorded cavity                     ~3 0~M                                  '
                                temperature,            gof
                15   M/W        Machine the side shims to the thickness
                                recorded in Operation # 14              minus      .020" for
                                                                                             D.
                     QCW                                           .
                                                                                                7,g
                                cold clearance. Tolerance i,s + 0,                  .001"                 9
                                temperature + 5 F. gg og
                                                 _
                16   M/W
                                Coat    the surfaces
                                be in contact             of the
                                                   with the      sidesupport
                                                             vessel          shims pads
                                                                                     which wilfR)
                     QCV
                               with "molykote type Z" dry film lubricant.                       g,g
                                Buff to improve) finish.
                17   M/W        Install the side shim in the support shoes.
                                Raise the vessel tc, a height necessary for toI:
                                installation of the shims. Bolt the shim
                                keepers onto the support shoes.
                18   M/W        Lower the vessel and check levelness and
                                vessel axis for orientation with containment
                                axis.     Record and obtain approvals on
                                Attachment # 4       .

k 19 M/W

                      QCV
                                Verify cold clearance of .320" to 0"
                                for each side shim. sec PNnch w s'                   ~
                                                                                       .005"
                                                                                    3d Mro
                                                                                                   .
                                                                                                7.gq?                    ,
                20    (B        QA review of operation traveler.y                               7 Mrv N                                f
                                                                                 7
                                                                   FOR INFORMATIONUNL f
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                                               .                                                                     CONSTRUCTION OPERATION TRAVELER CONTINUATION
            !                                                                            TRAV5ER NO.                                ACTIVITY DESCRIPTION                                                                )
            !
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                                                                                                                                                          DATE       M'3 ' M                                               j
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                                                                                     .
                                                                                                                                                          DATE
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                                                                                        OP. NO.        DEPT. OPER ATIO N                                                                                  ENG ANI
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                        TRAVELER NO,                 ACTIVITY DESCRIPTION
                        ME ')9 t f 4 9 55bo            Os4 W64,f                  fWfcJQ                           PAGdOF1    ,
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                   ) .,*,                                            CONSTRUCTION OPERATION TRAVELER CONTINUATION
                                                TRAVELER NO.                  TiVITY DESCRIPTION
                                                 44C 7 9- 2.VG , 55N           ^<lrv Vebsej .7 dldq                               PAGdOF[
                                                 PREPARED BY-      b-                    DATE              73
                                                 REVIEWED BY
                                                                      V
                                                                                         DATE  7 N- 2 f
                                                 ANI REVIEW                              DATE-
                                                                                                                                   CA/OC
                        ,
                                                OP.NO.    DEPT. OPEF ATION                                                          ENG ANI
                                                                  Cleewovoca for          k       &%                WcAe
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                                                                {                                              pnoctrninas                                 I
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                                                     -
                                                                                           MR. JOROAN:   The purpose of this meeting is to obtain i
                                                     3' ,'                         -information from the citizens Association for Sound Energy
                                                     4                                                                                      .            .
                                                                                                                                                           4
                                                                                    related to Contention 5 by the Bearing Board.       A similar        i
                                                     5l                             meeting will be held with Texas Utilities Generating
                                                               1,
                                                     6                                                                         s-
                                                                                    Company this afternoon.      This information will be combined
                                                     7
                                                               l                    with' other information collected by the panel to form the          I
                                                                                                                    .
                                                                                                                                                        f
                                                     6l                             basis for the NRC staff determination'regarding Contention          '
                                                              i
                                                     9
                                                                                    5.   The text of Contention'5 from the Board Order is as           l
                                                   10
                                                                                    follows, and'I will read into the records                          -
                                                                                                                                                       t
                                             , - 11                                        "centention 5:                    '
                                                                                                            The Applicants' failure to adhere to       !
                                                  12                                                                                                   t
                                                                                          quality.assuance/ quality control provisions. required       I
                                                   13 i                                   by the construction permits for Comanche Peak, Units
                                                  I4
                                                            l
                                                             l                            1and2,andtherequ'irementsofAppendixBof.10CFRl
                                                  15
                                                                                          Part 50, and the construction practices employed,          f
                                                  16                                                                                                 I
                                                                                          specifically in regard to concrete work, mortar
          .
                                                                                                                                                   4
             .                                                                                                                                       i
            1-                                    17
                                                                                          blocks, steel, fracture toughness testing, expansion       '
                                                           '
                                                  16
                                                           ,
                                                                                          joints, placement of the reactor vessel for Unit 2,       j
'
            I                                     19
            ,
                                                                                          welding, inspection and testing, materials used,
                                                 20
            t
                                                                                          craft labor qualifications and working conditions (as !
                                                 7,1
            [                                                                            .they may aff ect QA/0C) , and training and organization
            r                                             i                                                                                         ,
                                                          '
                                                 22
                                                                                          of QA/0C personnel, have raised substantial questions
                                                 23      .
                                                         l
                                                                                          as-to the adequacy of the construction of the
                                                         '                                                               -                         g
                                                         '
                                                 24                                       facility.                                                i
          .
                                .
                                                                                                      As a result, the commission cannot make
                                                25
                                                                                         the findings required by 10 CFR 50.57(a) necessary                !
                                                                                                            EXHIBIT 7
             '
                      . , . , ,                    ,
                                                     ,
                                                                                                                                                            1
               _ - - _ _ _ - _ _ _ _ _                            - _ _ _ _ - _ - -                                                                        i
                                                           _.              ___
                                                                                _ _ _ _ _ _ _ _ - - _ _ - _ _ - - - _ - -
                                                               .
   ,..,      .
                                                                     
   Y =; ?        <-
                                                                                                                          4
                          I
                                        for issuance of an operating license for Comanche                                      '
                         ,,                 ,              --
                                                                                                                               '
                         -
                                        Peak.'    And then there is a reference to the
                                                                                                                               !
                         3
 ,                                      material.                                                                              +
                         4
                                        A panel of senior NRC managers was established by the
                         .                                                                                  ..
                                                                                                                               .
                         0      '
                                  HRC Executive Director's Office on December 24, 1984,*to                                     '
                               s                                                                                               >.
                         6
                               ,  evaluate Contention 5.      The membership of the panel was                                 f
                         I
                                                                                                                               -
                                                                                                                               '  (
                                  revised' January 16, 1995.     The membership is comprised of
                                '
                         I*
                                  the following persons drawn from various NRC Offices:
                                                                                                                                  (
                         9
                                d
                                                                                                                               t
                        to                    Myself, Edward L. Jordan; I'm the Chairperson;
                        11
                                              I'm the Director of the Division of Emergency
                        12
                                              Preparedness and Engineering Response
                                                                                                                              ,f
     -
                        13     ,                     --               .                                                       :
                       14      -
                                              Dick Vollmer, Deputy Director, IE
                       15
                       16 j                                                                                                  l
          ,
          8
                                              And if you will nod or something when you're                                    '
          I            17                     introduced so everybody will recognize you.                                     l
                       18                                                                                                    I
          {'                  .
                                                                                                                             i
                              l
          3
                   ,   19 !                   Alan Herdt, Chief of the Engineering Branch,
          t
          !            20                     Division of Reactor Safety, Region II
          :
          2            21
          :
    h'                 22                     Robert Warnick, Chief, Projects Branch No. 1,

l 23 Division of Reactor Projects, Region III

                       24     l
                              *
               :
                                                                                                                            I
                       25                     Jim Sniezek, Director of the Regional Operations i
                                                                                                                            '

i l l l

    .                                                                                                                             I
        , ....       .      .           ,.
                                                                                                         *

1 t 1

                                                                                     -_____-_________________-_____.------.--Q
         _ _ _ _ _ _ _ _ _ - _ _ __ _ _ _ _ _ .                _
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                                                                                                        (. h c.d Ovla<N
                                                                              _ . .               ~ - .     __
          /
                   /                            1. A11enetion Category: Miscellaneous 2, Reactor Pressure Vessel
                                                                                              ~~
                                                   alin;acion ixumoers:    AM-3 and 4A'-I3b.
                                                3. Characterization: Two allegations concerning the reactor pressure vessel               ,
                                                   (RPV) are characterized as follows:                                            G%     c.
                                                                                                                                    t~- &
                                                   a.    It is alleged that during hot functional testing (HFT) expansion            {
                                                         caused the reacto pressure vessel reflective insulation (RPVRI) to
                                                         come in contact with the concrete biological shield wall (AM-3).
                                                   b.     It is also alleged that the Unit 1 RPV is located 3/16 inch to the
                                                         west of the north-south centerline through the containment building
                                                                                                                                       [
                                                                                                                                      ~~~
                                                          (AM-23b).
                                                4. Assessment of Safety Significance: The NRC Technical Review Team (TRT)
                                                   reviewed the Final Safety Analysis Report (FSAR) for verification of RPV
                                                   reflective insulation quality class; background material in the NRC
                                                   Inspection Report 50-445/83-34; 50-446/83-18 and the affidavit of Doyle
                                                   Hunnicutt clarifying this report; Brown & Root (B&R) construction opera-
                                                   tion traveler 35-1195; and Westinghouse (W) Field Change Notices (FCNs)
                                                   TBXM-10609, 10611, and 10612. The TRT also reviewed photographs of con-
                                                   struction debris obstructions between the RPVRI and the biological shield
                                                   and discussed all of these documents with the Texas Utilities Electric

l Company (TUEC) Mechanical Engineering Supervisor, the W project manager. I and the TUEC heating, ventilation, and' air conditioning system (HVAC)

                                                   startup group leader. The TRT also reviewed documentation for het func-
                                                   tional test (HFT) No. ICP-PT-5502 for any information concerning the
                                                   allegations, but found no specific notations about them.
                                                   The Comanche Peak Steam Electric Station (CPSES) FSAR, Volume XIV,
                                                   Appendix 17-A, classifies the RPVRI as nonsafety-relatad. The support
                                                   ring (a support channel) for the RPVRI is part of the RPVRI; therefore, it
                                                   too is considered to be nonsafety related. The only function of this sup-
                                                   port channel is to support the refective insulation.        It is not needed for
                                                   the safe shutdown of the plant but simply insulates the vessel. In this
                                                   case it assumed importance only because of its effect on adjacent safety-
                                       -           related structures or components. A Westinghouse FCN (TBXM-10609) dated
                             ' h                   Sectember 27. 1983, documented an unacceptable condition which was identi-
                                                   fied during hot functional testing. Actual air temperatures during HFT
                                                   were 288*F near the reactor vessel flange versus 150'F maximum in the cool-
                                                   ing annulus between the RPVRI and the shield wall. Similarly unacceptable
                                                   temperatures were noted (150*F actual vs 135*F allowable) in the ex-core
                                                   detector wells. TUEC letter TX5054 reported extreme temperatures up to
                                                   314*F. Further examination by W personnel revealed that cooling air flow
                                                   was restricted by the RPVRI support channel because of construction debris
                                                   between the RPVRI support channel and the steel-lined concrete biological
                                                   shield wall and because of restriction by the support channel. The debris
                                                   was removed by a remote technique and the gap was fiberoptically inspected.
                                                    Instead of the nominal design gap (cold) distance of 7/8 inch between the
                                                   support channel and the shield wall, this inspection identified cold air
                                                   gaps as follows: a 7/8-inch air gap extending one quarter around (90*)
                                                                                    EXHIBIT 8
                                                                                      K-99

_ - _ __

                                                                                                                          ..                                     l
           z.                                                                                                       .
                l                                              *
                          f
               i           !'
        ,
                L
                       j                                                                                                                                         i
                                                                                                                                                                 i
                    l                                                                                                      ,
                          '
                                                                           the annulus circumference, a 1/2 inch air gap extending one half (180')               j
       i
                    >
                                                                           around the circumference, and a 1/4-inch air gap extending around the                 '
          -
                   l                                                       remaining quarter (90') of the circumference.
           N                                        ,
        }                                                                  The TRT discussed the field change notice with the TUEC Project Mechanical
                                                                 .         Engineer and the Westinghouse Site Manager. Specifically, the staff asked
                                                                           the reason for there being too little space between the reactor vessel
                                                                           insulation support chanr.cl (which supports the reflective insulation) and
                                                                           the biological shield wall. The TRT learned that the original Westinghouse
            a                                                              specification required the support channel to be inteide the insulation,              j
            t                                                              but TRANSCO Inc., the vendor, requested a design change to permit the sup-            !
            f4                                                             port channel to be placed outside of the insulation. Gibbs & Hill Inc,,
                                                                           the Archii.ect Engineer, did not incorporate this change into the design nor
           'f                                                              did they consider the impact on the cooling of the reactor cavity; thus,              i
                                                                           there was too little clearance between the outer circumference of the sup-           I
                  L                                                        port channel and the shield wall, which resulted in restricted air flow               !
                                                                           and overheating.                                                                      j
            .
            Y                                                                                       T
             ,
                                                                           During the HFT,60n_dply,JJk_U83, they reported the HFT deficiencytestde              ,
                                                                                                                                                                 I
          L                                                        0-                                                                                           I
          [                                                          N.Inr(11y)
                                                                           10JJijLitem     to theonJugntJ5.,1983,
                                                                                                  _NRC and formally   reported the
                                                                                                                  completing       deficiacy
                                                                                                                                their         as a in
                                                                                                                                      reporting    10 CFR
                                                                                                                                                      TUEC Part {
           tii                                                        ) letter TXX-4054, dated leptember 26. 1983. Tn correct this deficiency
                                                                                                                        .
                ,j                                                         TUEC modified the insulation support channel by cutting holes in the top
                  i                                                        and bottom flanges of the channel to allow sufficient air flow and heat
                  i
                  '
                                                                           removal and to ensure proper operation of the ex-core detectors and pro-
                                                                           tection of the biological shield wall. TUEC made this modification in
                      i
                                                                      t accordance with W procedure MP 2.7.1/TBX-3, dated ,0,gdo,ber         e   1,1983.  In
                        F
                                                                           addition, the ex1 sting insulation seals and heat removal capacity were
     ,
                                                                            improved. Further discussions with the TUEC engineer revealed th't         a   air  i
       i                                                                    flow tests had been performed since the Unit 1 support channel was
                       t                                                   modified; however, final results of these tests will not be known until               ,
                                                                           the HFT is redone. The retest was scheduled, completed, and is being                  j
                                                                           evaluated.                                                                            l
     ,
      1          :                                                         The TRT found that the 50.55(e) report of the corrective action taken
     d                                                                     regarding this deficiency did not include determination of the underlying
     a                                                                     cause of the deficiency. In addition, the report included no d!.scussion
     y                                                                     of the effect on Unit 2 or how such a deficiency could be prevented in
      O                                                                    Unit 2. However, TUEC did fiberoptically inspect Unit 2 for debris or a
     [                                                                     similar gap, and found no problems. The TRT determined that the areas
        ! :                                                                where debris entered the gap have been sealed in both Units 1 and 2, and
                                                                           TUEC anticipates no further problems with debris,
                                                                                                                                                                 ,
                                                                                                                                                                 l
                                                                                                                                                                 1
     p           '
                                                                           The TRT also evaluated the allegation concerning improper placement of the
     j                                                             %       Unit 1 RPV by reviewing RPV construction operation traveler (C0T) No.
     :!                                                     np#
                                                              Q
                                                                           35-1195 and the field survey note, " Final Setting Alignment," dated ,1une
                                                                           29, 1978. In addition, the TRT reviewed the W " Mechanical Service Manual "
                                                                                                                                                                 ;
      l                                                                    which includes procedures for setting the RPV7 with the W project reanager
     "
             -
                                                                            to determine the importance of the location of the RPV relative to the
                                                                           centerline of the Containment Building. The W manual states that align-
     ,                                                                     ment with other nuclear steam supply system (RSSS) components is tfie most
                                                                                                                 K-100
     t
                             , . .
                      _ _ _ - _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _            -     _ . _ . - -    -

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

            .                                                                                    -
              I ,
                                                                                                                       l
                        critical location factor, and alignment with the center of the Containment
                        Building is of secondary importance.
                        The Unit 1 RPV is alleged to be misaligned by 3/16-inch; however, opera-
                        tion No. 7 of COT No. 35-1195 shows a setting tolerance of i 1/4 inch.                       ]i
                        The alleged 3/16-inch misalignment is within this tolerance. Attachment
                        35-1195-MCP-1 of COT No. 35-1195, " Alignment Location Record - Alignment                   )
                        Final Set," shows the maximum RPV deviation from the north-south and east-                   l
                        west centerlines of the Unit 1 Containment Building to be 0.003 inches                       i
                        which is within the specified tolerance. The TRT reviewed installation
                         records and determined that the critical relationship of the NSSS compo-
                         nents to each other, as well as to the Containment Building centerlines
                         (N-S, E-W), was accurately maintained during installation of the reactor
                         pressure vessel.                                                                           l
                    5.   Conclusion and Staff Positions: Based on review of documentation and         Tabu
                         discussions, the TRT concludes that the RPVRI did make contact with con-      R m re,      !
                                                                                                                    i
                         struction debris, but did not contact the , teel-lined concrete biological y,,5,,
                         shield wall as specifically alleged. During fiberoptic inspection, TUEC
                         personnel observed no visible damage to the reflective insulation, and all
                         corrective modifications were accomplished and accepted in accordance with
                         procedure MP 2.7.3-TBX-3 and FCNs TBXM-10609, 10611 and 10612.
                         The allegation, as specifically stated, cannot be substantiated, although
                          it does have some merit because an unsatisf actory condition did exist in         .
                          that the reflective insulation made contact with debris. However, this         W
                        _allecation has both safety significance and gereric implications beciause of 6P
                          peripheral issues; 1.e., failure to assure that proper design changes were
                          communicated between organizations, failure to determine and report the un-
                          derlying cause of a significant deficiency, and failure to ensure a proper
                          gap between the support channel and shield wa'll when the vessel was set.
                          The TRT also concludes that the RPV is set within the design location         M
                           tolerance. Therefore, this allegation is not substantiated arid has neither fru wt
                           safety significance nor generic implications.                               .'o.
                                                                                                          T* h* *d
                           The TRT is unable to interview the alleger to provide its findings and
                           conclusions because the ioentity of the alleger is unknown. The TRT
                           could not identify the alleger responsible for allegation AM-3 because an
                           anonymous alleger called the Dallas Times-Herald. The identity of the
                            alleger of AM-23 is unknown because the person who received the allegation
                           did not record the alleger's name and no longer remembers it.
                                                                                                                      I
                     6.     Actions Recuired: TUEC shall:
                            1.    Review their procedures for approval of design changes to nonnuclear
                                  safety-related equipment, such as the RPVRI, und make revisions as
                                  necessary to ensure that such design changes do not adversely affect
                                  safety-related systems.
                  I                                         K-101
      _ _ _
                      - _ _ _
                                                                                 ,
                      ,.
                          .          .

1

                                              2.    Review pro'cedu'res for reporting significant design / construction
                                                    deficiencies, pursuant to 10 CFR Part 50.55(e), and make changes as
 ,
                                                    necessary to ensure that complete evaluations are specified.               j
                                              3.    Provide analysis which verifies that the cooling flow in the annulus

l

                                                    between the RPVRI and the shield wall of Unit 2 is adequate for the

'

                                                    as-built condition.                                -
                                              4.    Verify during Unit I hot functional testing that completed modifica-
                                                    tions to the RPVRI support ring now allow adequate cooling air flow.*
                                              The TRT notes that control of debris in critical spacings between compo-
                                               nents and/or structures was identified as an issue both in the investiga-
                                               tion of this allegation and in the civil and structural area (Item II.c,    .
                                                                                                                           '
                                       ,
                                               " Maintenance of Air Gap Between Concrete Structure"), contained in Darrell
                                               G. Eisenhut's September 18, 1984, letter to TUEC (Attachment 3). Accord-    l
                                                                                                                           -
                                               ingly, TUEC shall also:
                                               1.    Identify areas in the plant with spacing between components and/or
                                                     structures that are necessary for proper functioning of
                                                     safety-related components, systems, or structures in which unwanted
                                                     debris may collect and be undetected t be difficult to remove.
                                               2.    Inspect the areat and spaces identified and remove debris.
                                               3.    Institute a program to minimize the collection of debris in critical
                                                     spaces and periodically reinspect these spaces and remove any debris
     ,
                                                     which may'be present,
                                                                                                                                i
                                                                                                                               I
                                                                                                                                1
                                                                                                                               I
                                                                                                                               t
      .
                                                                                                                               <
                                         *The test has been completed. However, TUEC's analysis of test results is
                                          still undprway.
       ;                                                                                                                        I
      ;                                                                            K-102
                                                                                                                             i  I
 _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _
                - _ _ _ _ - _              , _
           .                    .
              ,                   _
                                                                                                                y
                                                                     NUCLEAR RE U AT RY COMM.SSION
            !.                                   ..
            -
                                                    g'                611 MYAN PL A DRIVE. SUITE 1000
                                                                          AR LiuOTou. TE xAs 76011
 -
                              k         .....                                         March 14, 1979
                                                                                                                 .
                                In ' Reply Refer To:
                               -RIV
                                Docket No. 50-445/Rpt. 79-03
                                               50-446/Rpt. 79-03
                                                                                                            .
                                        Texas Utilities Generating Company
     ,
                                      ~ ATTN: Mr. R. J. Gary, Executive Vice
                                                     President and General Manager
                                        2001 Bryan Tower
                                        Dallas, Texas-      75201
                                        Gentlemen:
                                       This refers to the. inspection activities performed by our Resident
Inspector, Mr. R. G. Taylor, during the period February 2-28,1979, of
                                       activities authorized by NRC Construction-Permit Nos. CPPR-126 and 127
                                       for the Comanche Peak facility, Units No.1 and 2, and to the discussion
         i                             of our findings with Mr. R. G. Tolson and other members of.your staff
                                       during the course of the inspection.
                              Y
                                      Areas examined during the inspection and our findings are discussed'in
        ,
                                       the enclosed inspection report. Within these areas, the inspection con-
       ,                              sisted of selective examination of procedures and representative records,
      i
                                      interviews with personnel, and observations by the inspector.
    j
                                      Ou-ing the inspection, it was found that certain activities under your .
                                      license appear to be in noncompliance with Appendix B to 10 CFR 50 of the      i
                                      NRC Regulations, " Quality Assurance Criteria for Nuclear Power Plants."
     1
                                      The Notice of Violation for the item of noncompliance reported in paragraph
                                      9 of the enclosed inspection report was forwarded to you by our letter,
                                      dated February 20, 1979; therefore, this letter does not require further

> response regarding this matter. L '

                                      In accordance
                                      2.  Title 10        with Section 2.790 of the NRC's " Rules of Practice," Part
                                      enclosed ins Code of Federal Regulations, a copy of this letter and the
                                      Room.            pection report will be placed in the NRC's Public Document
                                                If the report contains any information that you believe to be
                                      proprietary, it is necessary that you submit a written application to
                                    .                                                              <
                                                          *

i

                                                                            EXHIBIT 9

I

                '0
                                                                                                                     !
   .
                - _ _ _ _ _ .
     . _ _ .                                                   . .               . . . -  -                     -
         .        c

[' -

                                                                                                                         -
                               .
                                                                                                                             ;
                                                                                                                             1
                g                       b.     The licenstre notified RIV by letter, dated February PO,1979,
                                               that the matter of the reversed reactor coolant loop elbows
                                               was not reportable. The RRI reviewed the referenced documen-
                                               tation which concludes that the reversal is readily corrected
                                               by addition of weld metal at the connecting joints and that
                                               the initial report was premature since appropriate subsequent
                                               QA and construction actions had not yet taken pla:e._ The
                                               evaluation by the licensee concluded that the item was not
 ...                                          . reportable within the context of 50.55(e). The RRI had no
                                               further questions and the item is considered closed.
                                3.      Mislocated Reactor ~ Vessel Support Structure
                        1
                                        The licensee reported to the RRI on February 20,1979, that a major
                                        error had been detected in the design of the Unit 2 reactor vessel
                                        support structure.         It had been determined that the reactor vessel
                                     *
                                        support shoes, their ventilation duct work, and the surrounding
                                        reinforcing steel had been rotated forty-five degrees from the
                                        correct positions through a design error. As a result of the rota-
                                        tion, the. reactor vessel would not match the vessel support feet              i
                                        nor would the piping system to the other reactor loop components               J
                                        fit. The licensee concluded that sinc 2 the vessel could not be
                                                                                                                       '
                                        inst.J1ed' and connected this precluded the deficiency from being

, '

                                       . reported as a 50.55(e) item, but was necessaries of concern because
           .
              ....                      significant design and construction changes would be required to
              ,P                        accommodate the vessel and its connecting piping. As of the date
                                        of this report, it has been detemined that the existing structure
                                        can be modified to reorient the vessel correctly to the balance of                  i
                                        the system. The exact details of the modification, however', are                    '
                                        not known at this time. . The RRI will follow the modification
                                        effort in detail until it has been concluded.                                ~
                                4.      Plant Tours
                                        The RRI toured one or nere plant areas several times weekly during                  l
                                        the reporting period to observe the progress of construction of
                                        safety related structures and the installation of equipment. Two
                                        of the tours were conducted during second shift hours of work. The
                                        RRI observed that housekeeping practices have improved during the
                                        period, apparently through the combined efforts of the construction
                                        and quality control forces. The RRI has been infomally advised that
                                        a general housekeeping program is now operative, although undocum99ted.
                                        The work force and work effort continues as previously indicated..'.I
                                        No items of noncompliance or deviations were identified.

3

                              -),flE Inspection Report No. 50-445/79-01; 50-446/79-01
          , 6
                                                                                                                            f
                                                                              3-
                                                                                                . . . . . _ _ _
                                                                                                                    ,_
                                                46e e .
      .
                                                                                                                  .
                                                                                                                           }
                                                                                      ._    _
                                                                                               _ _ _ _ _ _ _ _ _ _ _ - -
 -
             -.                                                     .
                          '
        .
                                                                                                                         '

L Reac2or Vessel Installation - l'

                                                                   Review of Quality Assurance                           !
            ,'  s                                                  Implementing Procedures

,

                                                                   Procedure No.: 50051B

L Issue Date: 03-31-75

                        .
                  .
                                                                                    Y: I:                                )
                                                           SECTION II                     *
                                                                                   "
                                                     INSPECTION REQUIREMENTS

,

                                                                                  '
                                                                                                                         .
                                                                                                                         1
    ,,                      1. For each onsite organization with QA'(including kC)
                               responstbtlities relative to reactor vessel installation,
                               ascertain whether quality assurance plans, instructions
                               and procedures, have been estabitshed, and whether they
     ,.
      '
                               conform to the QA program as described in Chapter 17 of
                    '
                               the facility SAR. This shall be accomplished by completing
          ,
                               the inspection requirements of Procedure No. 351008 ;
                               relative to reactor vessel installation.                  2"
            .s
                    '
                            2. Determine whether appropriate and adequate pfoi[dures are

L included or referenced in the QA manual to. assure that L activities associated with reactor vessel installation are 4

                               controlled and performed according to NRC requirements and                                 !
                               SAR ccmitments. In particular, ascertain whether
                               provisions have been established to assure conformance
                               with applicable requirements for the following a'ctivities:
                      '
                               a.   Receipt Inspection and Handline
                                    (1) Receipt inspections verify that the. reactor -                                   i

j vessel and associated components are undamaged a'nd { I '

                                          are in conformance with specifications,. including
                                          any special protection requirements....
                                                                                                                          ;
                                    (2) Handling and storage a tivities are in 'accordance                          ,
                                          with established procer.ures
                                    (3) Record keeping requirements are adhered to
                               b.  _ Crane and Ricaine Testino and Vessel Liftino
                                    (1) Crane and rigging testing and vessel liftin'g
                                          procedures are established prior to lifting the
                                          RPV
                                    (2) Braking and holding test procedures are
                                                                                                                           j
                                          established prior to RPY lifting                                                 )
                                                                                                                           l
    U                                                                                                                    J
                                                             II-1
                                                          EXHIBIT loa, b, e                                               )
        .
   ,,
                                                 _
                                                          _ _ _ _ _ _ _ _ _ _ _ - _ _ _ _ _ _ _ _ _ _ _ _ __                  _ - _
                                                                                                                                                                ---
                                                    ,
  $4,
  %
                        "
                            ,
                                                        ReactorVesselInsta11atiin-
                      .
                                                        Review of Quality Assurance

,

   %                                  *
                                                        Implementing Procedures
    a         "
                                                        Procedure No.: 500518
                                                        Issue Date: 03-31-75
                        ,
               c.          RPV Installation
                           (1) Work procedures are established for' RPV installation

!

                                  activities, which cover handling, ple:ement,, level-
                                  ing, final adjustment and data recording
                           (2) Use of special, technical personnel whenever complex
    ,
                                 or unusual installation activities are involved                                                                                     )
    ,
                  '
                           (3) Record keeping requirements are met                                                                                                  j
                                                                                                                                                                     i
                      ,(4) Installation records reflect the actual as-
                ,
                    .
                                  installed conditions                                                                "'P       '
        -
              d.          RPV Installation Inspection                                                                  -
                                                                                                                          '
 .,                  ' (1) Inspection activities cover pertinent installation                                                                                        !
      ;.
                                 activities, such as vessel placementFleveling and                                                                                   ';
                                 final adjustment, to ' assure that app 11 cable d-
                                 specifications and work procedures are accom;ilished
                                as specified                                                                   '-   <
                                                                                                             ,
                                                                                                                      ..'3., ;
                          (2) Inspection activities * meet established procedures,
                                 including record keeping requirements and '
                                qualifications of inspection personnel responsible
            '
                                for RPV installation inspection                                                       
                                                                                                                         -
          ,
              e.         Post-Installation Activities                                                             '
                          (1) Vessel protection procedures and internal
                                cleanliness preservation procedures'are
                                established prior to need                                                                                                             ,
                                                                                                                                                                     l
                                                                                                                                                                     ;
                          (2) Procedures
                                to.           established in (1) above are adhered
                                                                                                                                                                     l
                                                                                                                                                                     l
                                                                                                           '
                                                                                                                                                                     ?
                                                                                                                                                                     I
                                                                                                                                                                     !
                                                                                                                                                                     '
                                                   II-2
                                                                                                                                                                     !
  9
                                                                                                                                    _ _ _ _ _ _ _ _ _ _ - _ - -

--_.

                  . . _ . . . .                                                               -
                                                                                                                            )
                                                                                      Reactor Vessal Insta11atien -
                                                                                      Observation of Work & Work Activities
                                                                                                                          ~ (
         ,
                     -
                                                                                      Procedure No.: 60053B
                                                                                      Issue Date: 03-31-75
       -
                .
                                                                                 SECTION II
                                                                                                               ~
                                                                            INSPECTION REQUIREMENTS
                                                  Observe reactor' vessel storage, preservation, protection.
           -
           N
                                                  handling and installation activities and/or conditions and           -
                                                  determine whether requirements of a
      ii.,                                    -
                                                  work procedures and inspection (QC)pplicable         specifications,
                                                                                            procedures are   being met
     ;: (;-                                       in the fo11cring areas:                                    *
                                                                                                                 ,
              8            '
                                                  1.    Stored Vessel Protection
                                                                                                                        '
                                                         a.
                                                                                                           .
                  -                                                                                               .
                                                              Ascertain whether the reactor vessel is, being stored
                                                              in accordance with approved procedures
                                                         b.  Observe seals and devices to identify vessel                   I
             ..
                                                              internal atmospheric conditions and verify maintenance
                                                              of requirements                                       .
                                                '
                                                        c.   Observe condition of protective coating and/or
                                                             protective covering and verify conformance with
       ,                                                   '
     ,
                                                             requirements
                                                        d.   Observe dunnage or support structures and detemine
                                                             whether protection from entry of dirt, water, flooding
                                                              (height of structure) and strength of support (shifting
        ,
                                                             or collapse of structure) is adequate and consistent with
                                                             storage specifications
     t
                                                  2.    Installation Technioues
                                                        a.   Ascertain whether lifting and handling activities are          (
                                                             consistent with established specifications and procedures,     i
                                                             including special requirements and precautions '
                                                        b.   Ascertain whether lifting equipment is as specified,
                                                             and the required lift tests and/or NDE of equipment            i
                                                             have been satisfactorily accomplished                          1
                                                                                                                            t
                                                        c.   Observe whether placement is being, or has been,
    ~~.                                                      accomplished as specified in the creas of -(1) lifting
                                                             and accessory equipment. (2) route used and (3) rate
                             ,                               of vessel travel during placemerit
       *
                                                                                      II-l
    .
                                                                                                                             0
    't ..
      .c          .
             __m_______         _ _ - - - _ -        --
                                                                                                                  ._
                                                                                                                          _ _ _ _ _ _ - -  _ -- _ _ -- -
                             ,
                                                                                                   ..     .
                                       .
                                                                                                                                                            l
                3
                                                                                        Reactor Vessel Installation -
                                                                                        Observation of Work 4 Work Activities
                                                       .-
                                                                                                                                                           j
                                                                                        Procedure No.: '60053B                                             1
                                           ,
                                                                                        Issue Date: 03-31-75         *
                                                                                                                                                           s
                                                                                                                                                           i
                            '
                                                           d.     Observe the installed reactor vessel and, based on.a
                                                               -
                                                                  review of the insta11atior, specifications. drawings.
                 '                                                and work procedures, identify a number of requirements
                                                                  (at least five, but not more than ten) such as
                                                                  vessel support structures, vessel-to-support structures
                                                                  fittings, number and le:ation of support structures
                                                                                                                                                           4
                            -
   !                                                                                                                                                       i
                                                                  an6 mounting pads, hold-down devices, shimming devices,
               *                                                  and alignment requirement, and determine whether:
                                                                                                                               . r                       .
                                         .                        (1) Work procedures have been or are being'fo116wed'
                                                                                                                       u-
                                                                  (2) Installation is in accordance wf th specifications
                       y,                                               and procedures                          ,
                                                                                                            . .
                                                                                                                     ,,,,y.,
                                  .                               (3) Inspection (QC) procedures are being followed
                                                       3. Installed Vessel Protection                                                                      i
                                                          a.     Ascertain whether procedures for protection'of'the
                        e-
                                                                 installed reactor vessel are being (or were)'followed
                                                                                                                                                           7
                                         -
                                                          b. . Ascertain whether protective devices are installed
            '
                  .                                              around top of open vessel to prevent entry of fcreign
                                                                 objects and debris
                                                .
                                                                                                            r           .
                                              ,
                                                          c.     Observe whether vessel side openings are blanked off
                                                                                                                                                           i
                                                                 to prevent entry of f9 reign objects and nozzle ends
                                                  .
                                                                                                                                                           q
                                                                 are protected from construction damage
                                                                                                                                         ,                 i  -
                                                          d.   Observe whether work platfoms and scaffolding inside
                                                                 vessel are nonflammable or treated to prevent spread
                                                               of accidental fires
                                                                                                                                                           ,

i

                                                          e.
                                                                Determine whether ace'ess control activities meet
                                                               requirements, i.e., entry of authorized todis,
                                                               equipment and personnel only.
                                             ..
                                                                                                                                        .
                                                                                                                                                             l
                                                                                          II-2
                                                                                                                                                              i
                          -
            .
 _ _ - _ _ _ . _ - _ _ _ _ _ . _ _ . _              __

_ - _ -

             ,                                                 ...       .   . .                                -
                      .
                                                                                                                           '
                                                                   Rehetor Vissel. Insta11ction -
                                                                   _ Review of Ouality Records
                                                                   Procedure No.: 500558
                    ,
                                                                   Issue Date: 03-31-75
                  .
                                                       SECTION II
                                                  INSPECTION REQUIREMENTS
           '
                             Review the pertinent quality records relative to reactor
        !* .
        d                    vessel storage, protection, handling, installation and
          ' '                post-installation cleanline:s presentation. Ascertain
                            whether these records are in conformance with established
                            procedures and whether these records reflect work
                            accomplishment consistent with applicable requirements
                                                                                             .
                                                                                            in
                                                                                                                           i
                             the following areas:                                     ' '                                  (
                                                                                                                           j
                          '
                             1.   Storace Inspections
                                                                                                                           f
                                  Review 50% of the (QC) inspection records covering reactor
               ,.
                                  vessel storage. Ascertain whether:                                                       i
                                 a.   The stored vessel inspections were made at the
                                       required frequency
                                                                                                                             ,
                                                                                                                           '
          '
                                 b.   Protection requirements were maintained
                                                                                                                           {
                            2.   Handline and, Installation                                                                  i
           -
                                                                                                                           !
                                 Review the pertinent' quality records (QA and OC)
                                 associated with vessel handling and installation.
                                Ascertain whether:                                                                           "
                                                                                                                               1
                                 a.   The established scope of quality assurance activities
                                      relative to handling, installation and inspection
                                      of the reactor vessel was accornplished
                                b,   The work and inspection records confirm that the                                          i
                                      installation of the reactor vessel was in accordance
                                     with specifications and work procedures.
                            3.   Install _ed Vessel Protection                                                                 l
                                Review 50% of the inspection rec rds relative to post-
                                installation vessel protection. Ascertain whether the
                                records confirm that:                                                                          1
                        '
                                                                                                                           l
                                                          II-1
                                                                                .
             se
       _I e
                                                                                               _ _ _ _ _ _ - _ _ _ _ - - -
                             _ - _ _ _ _ _ ._ __- - -
                                                                                                                                                                                                  .
                          ..
                               *
                                                                                                                                                                                                         Reactor Yessel Installation -
                                                                                                                                                                                                         Review of Quality Records
                                                                                                                                                                                                         Procedure No.: 50055B
                                                                                                                                                                                                         Issue Date: 03-31-75
                                                                                                                                                                                                                                            ..-
                                                                                   a.                            Adequate access control was provided
     '
                                                                                   b.                            Required cleanliness of the vessel was maintained
                                                        4.                         Compare the records reviewed under 1., 2. and 3. above
                                                                                  with the detailed records retained from Procedure No.
                                                                                   500538. Ascertain whether the site records reviewed
                                                                                  under this procedure reflect the observations
       .
                                                                                 made under Procedure No. S00538
                                                                                             -
                                                                                                                                                                                                                                  -r
                                                                                ..                                                                                                                                            ..
      !.                                                5 - (1A Audits and QC Inspections                                                                                                                               N
                                                                                                                                                                                                                                     r.
   ,
                                                                                  Determinewhethertherequirednumber.(or,'freqency)<.
                                                                                  of audits and inspections have been made relative'-
                                                                                  to reactor vessel storage, handling, installation
           .
                                                      s                          and post-installation protection.                                                                                                                   -
                                                                                                                                                                                                                        --.
         ..
                                                                                                                                                                                                                              .
                                                                                                                                                                                                                              %*

l

                                                                                                                                                                                                                         's
           %
 f
                                                                                                                                                                                                                                4
                                                                                                                                                                                                                                        .
                                                                                                                                                                                                    II-2                                  -
                                                                                                                                                                                                                      .
                                                                                                                                                                                                                            r
                                    . ._
   3. .
   ;
             _ _ _ _ _ __                               _ _ _ _ _ _ - . - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - ~ - - ~ - - - - - - - ~ - - - ~ - ~ ~ ~ - ~
    -.
                                                                                             . .
                ..
                                   -
  ,                                  .
                                                                              Reactor Vessel Installation -
                                                                              Review of Ouality Records
                                                                              Procedure No.: 500558
           .,
                                                                              Issue Date: 03-31-75
                U
                                                                      SECTION III
                                                                   INSPECTION GUIDANCE
                                           _ General Guidance
                                                                                                            ;
                                           Applicable portions of the SAR should be reviewed to
                                           determine license commitments relative to documentation
                                           requirements for reactor vessel storage, handling,
                       '                   installation and post-installation cleanliness preservation
                                           prior to reviewing records in this area. The inspector
                                 ,
                                           should make this determination during inspection preparation.
                                          Usually, several organizations at the co'nstruction site
                                          are involved with safety related activities associated
                             4 -          with the reactor vessel. Som2 organizations may perfom
                                          only one activity, vessel placement, for example. The
                                          pertinent records of all organizations involved should be
                                          reviewed.
                                          Specific Guidance-
                                         ~2.b. .> A review of more than 50% of tne inspection records
                                                   may be required to ascertain whether the vessel
                                                   was installed in accordance with specifications and       {
                                                   work procedures.
                                                                                                            ,
                                         3.a. - The records should confirm that only authorized             1
                                                   personnel, tools and e                                    j
                                                   vessel or " clean area"quipment were allowed in the       j
                                                   procedures.               as specified in established
                                                                                                             i
                                         References
                                       '
                                         SAR, Chapters 1, 3, 4, 5 and 17, including pertinent codes
                                         and standards referenced in these chapters
                                                                                                             I
                                         Regulatory Guide 1.38, Quality Assurance Requirements for
                                                                                                             !
                                         Packaging, Shipping, P.eceiving, Storage and Handling of
                                         Items for Water-Cooled Nuclear Power Plants
                                         Regulatory Guide 1.39, Housekeeping Requirements for Water-
                                         Cooled Nuclear Power Plants

l- , ' l III-1

                                                                                           -

l

                               -
                                                                                                            ,
                                                                                                             1
       _ _ _ _ _ _ _ _ _ - - -
   -             .-. - - - -    - - - - - - - - -     -' -
                                                             . _ _ _ - . - _ _ _ _ . - - -       - - - - - ' - - - -   -   ~                                             ~
                                                                                           _   .                         -                                                 l
               '                                                                                                                                                              \
                       -
                                                                                                                                                                                 \
                                                           Reactor Vessel Installation -                                                                                       i
                                                           Review of Ouality Records                                                                                          !
                                                           Procedurt No.: 50055B                                                                                              ;
                                                           Issue Date:- 03-31-75
                                                                                                                                                                              l
                             Regulatory Guide 1.65, Materials and Inspections for
                             Reactor Vessel Closure Studs .
                             Regulatory Guide 1.88, Collection, Storage and Maintenance
                             of Nuclear Power Plant Quality Assurance Records
     -i
                                                                                                                                                                           'i
                                                                                                                     P

.

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           .
                                                  g
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                                                    e
                                                                                                                                                                             !

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                                                                                             .
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                                                                                                                                                                              )
                                                                                                                                                                                l
                                                            III-2
                                                                                                                   e
             .
          e
                                                                                                                                                                              i
        .
                                                                                                                             - - - - - - - . - . . . _ _ _ _ _ . _ _ _ _
 -_-_           ._
         .                                                        .
                                             (
              ..   . ..

f

                        In Reply Refer To:                                                                   !
                        Dockets: 50-445/85-07                                                                I
                                   50-446/85-05                                                              i
                                                                                                             )
                                                                                                         'l
                        Texas Utilities E'ectric Company
                        ATTN:   M. D. Spence, President, TUGC0
                                                                                                             '
                        Skyway Tower.
                        400 North Olive Street
                        Lock Box 81
                        Dallas, Texas     75201
                                                                                                    .
                        Gentlemen:
                        This refers to the inspection conducted under the Resident Inspection Program
                        by Mr. H. S. Phillips and others during the period April 1,1985, through
                      ~ June 21, 1985, of activities authorized by HRC Construction Permits CPPR-125 and
                        CPPR-126 of the Comanche Peak facility, Units 1 and 2, and to the discussion
                        of our findings with Mr. J. T. Merritt, and other members of your staff at the
                        conclusion of the inspection.
                        Areas examined during the inspection included plant status, action on previous
                        NRC inspection findings, action on applicant identified design construction
                        deficiencies (10 CFR Part 50.55(e) reports) and plant tours. Within these
                        areas, the inspection consisted of selective examination of procedures and
                        representative. records, interviews with personnel, and observations by the
                        inspectors. These findings are documented in the enclosed inspection report.
                        During this inspection, it was found that certain of your activities were in
                        violation of NRC requirements. Consequently, you are required to respond to-
                        this violation, in writing, in accoroance with the provision of Section 2.201
                        of the NRC's " Rules of Practice,".Part 2, Title 10, Code of Federal
                        Regulations. Your response should be based on the specifics contained in the       ,
                        Notice of Violation enclosed with this letter.                                     l

,

                                                                                                           !
                                                                                                              l
                                                                                                              i
                                                                                                            i
                                                          EXHIBIT 11
                        RPB2/B           C/RPB2B         C/RPB2        WRR
                        HSPhillips/dc DHunnicutt         DHunter       Vhoonan                               j

, / /85 / /85 / /85 / /85

                                                                                                              ;
                                                                                                             ;
                                                                           e
      0,   e-
                                                                                                            )
                              _ _ _
                                    ,
                                                                        _.      _
                                                                                                    ._.   -   _ _ - _ - _ _ _ _ _ _ _ - _ _ _ _ _ _ - _ _ _ _ _ _ _ _
 .
                                                                                                                                                                         !
                                         .
                                      ..
                                                                                                        y                                                                j
                                                        '
                                                                                                                                                                         !
                                           Texas Utilities' Electric Company         2
                                                                                                                                                                       1
                                           Should you have any questions concerning this inspection, we vill be pleased                                                  j
                                           to discuss'them with you.                                                                                                     j
                                                                                     Sincerely,
                                                                                                                                                                       ,
                                                                                     Dorvin R. Hunter, Chief
                                                                                     Reactor Project Branch 2

l Enclosures:

                                           1.    Appendix A - Notice of Violation
                                           2.    Appendix B - NRC Inspection Report
                                                               50-445/85-07
                                                               50-446/85-05
                                           cc w/ enclosure:
                                           Texas Utilities Electric Company
                                           Skyway Tower
                                           400 North Olive Stfeet
                                           Lock Box 81
                                           Dallas, Texas     75201
                                           Texas Utilities Electric Company

i ATTN: J. W. Becx, Vice President l Skyway Tower

                                           400 North Olive street

'

                                           Loch Box 81                                                                                                                l
                                           Dallas, Texas
                                                                                                                                                                      '
                                                             75201
                                           bec distrib. by RIV:
                                           TEXAS STATE DEPARTMENT OF HEALTH
                                           bec: to DMB(IE01)
                                           bec distrib by RIV:
                                           *RPB1                      * Resident Inspector OPS
                                           *RPB2                      * Resident Inspector CONS
                                            R. Martin, RA             * D. Hunnicutt, Chief, RPB2/B                                                                   ]
                                           R. Donise, D/DRSS            V. Hoonan, NRR
                                            C. Wisner, PA0              S. Treby, ELD
                                           MIS SYSTEM                   RIV File
                                           Juanita Ellis                 Renta Hicks
                                            *D Weiss, LFMB (AR2.015)
                                            *w/766
                                                                                                                                                                      I
                                                                                                                                                                      1
                                                                                                                                                                        <
                                                                                                                                                                         l
   ____ _ _ _ _ _ _ _ _ _ _ .
                                                                              _ - - - _ - _ _ -
    , . - .                                                ..     . . .   ..  .
            * 
                                     .
                                                                        )
                                                                                                                                              i
                                                   '
  .
               Texas Utilities Electric Company       2
                Should you have any questions concerning this inspection, we will be pleased
              -to discuss them with you,'
                                                      Sincerely,

l' l l- Dorwin R. Hunter, Chief

                                                      Reactor Project Branch 2
                Enclosures:
                1.   Appendix A - Notice of Violation
                2.   Appendix 8 - NRC Inspection Report

l 50-445/85-07

                                   50-446/85-05

'

               cc w/ enclosure:
               Texas Utilities Electric Company                                                                                               I
                Skyway Tower
               400 North Olive Street
                Lock Box 81
                Dallas, Texas    75201
               Texas Utilities Electric Company
               ATTN:    J. W. Beck, Vice President
                Skyway Tower
               400 North Olive street
                Lock Box 81
               Dallas, Texas     75201
                                                                <                                                                           .
                                                              -
                                                                                                                                               !
                                                                                                                                                l
                                                                                                _ _ _ - _ - _ _ _ _ _ _ _ - _ _ _ _ _ _ . -
                                                                                       _. __ ______ _ _
 , , . .
                                                                    )
            .
              Contrary to the above, commercial non-shrink grout was used to grout the                   i
              Unit I reactor coolant pump and steam generator supports in lieu of Class                  !
              "E" concrete as specified in Section 6-6 of drawing 2323-51-0550,
              Revision 4. The NRC initially reported this item as unresolved in NRC
              IR 445/84-16.
              This is a Severity Level IV Violation.     (Supplement II.E) (445/8507-02).               !
         3.   Hydrogen Recombiners - Out of Specification Voltage Recorded on
              Westinghouse Quality Release Document
              10 CFR Part 50, Appendix B, criterion V, as implemented by the TUGC0 QA
              Plan, Section 5.0., Revision 2, requires that activities affecting quality
              shall be prescribed by documented instructions, procedures or drawings, of
              a type appropriate to the circumstances and shall be accomplished in
              accordance with these instructions, procedures, or drawings.
              Brown and Root Procedure QI-QAP-7.2-8, " Receiving of Westinghouse Safety
              Related Equipment", Section 3.1.d.1, required a QC inspector to verify
              that the Westinghouse Quality Release (QR) document checklist items be
              filled out completely and accurately.                                                     l
              Contrary to the above, the voltage recorded on Westinghouse QR 41424
              checklist, attachment 1, step 4.1, was outside the specified tolerance,
              but the QR was accepted as satisfactory by quality control receipt
                                                                                                         '
              inspection. The NRC initially reperted this item as unresolved in NRC
              IR No. 50-445/84-16.
              This is a Severity Level V Violation Supplement II.E (445/8505-03).
         4.   Failure to Provide Objective Evidence (Records) to Show that Concrete
              Central and Truck Mixer Blaees were Inspected
               10 CFR Part 50, Appendix B, Criterion V, as implemented by the TUGC0
              QA Plan, Section 5.0, Revision 2, dated May 21, 1981, requires that
               activities affecting quality shall be prescribed by documented instruc-                  -
                                                                                                        '
               tions, procedures, or drawings, of a type appropriate to the circumstances
               and shall be accomplished in accorc'ance with these instructions, proce-
               dures, or drawings."
               Brown & Root Procedure 35-1195-CCP-10, Revision 5, dated December 4,
               1978, requires that central and truck mixer blades be ch6cked quarterly
               to assure that mixer blade wear does not excmd a loss of 10% of original
               blade height.
               Contrary to the above, on May 31, 1985, the NRC inspector determined that
               there was no otjective evidence (records) that the sixing blades had been
                inspected quarterly since the trucks were placed in service in 1977.                    i
                                                                                                         :
                                                                                                        1
                                                                                                        i
                                                                                                         l
                                                                                                         1
                                                                                                         !
   ,                                                                                                     1

L -

                                                                                        ___ __ _ _
   . . . . ,                                               .        -  -
                                                                                                                             ]
                                                                                                                                I
 '
             . .
                                    (                                    }
                                                                                                                             l
                    This is a Severity Level V Violation.     (Supplement II.E) (445/8507 04;                                 l

L 446/8505-02). {

                 5. Failure to Issue a Deficiency Report on Cement S ales That Were Out of
                    Calib-ation

J 10 CFR Part 50, Appendix 8, Criterion V, as implemented by the TUGC0 QA '

                    Plan, Section 5.0, Revision 2, dated May 21, 1981, and Section 15.0,

f Revision 4, datea July 31, 1984, requires that activities affecting quality

                    shall be prescribed by documented instructions, procedures, or drawings,                                 ,
                    of a type appropriate to the circumstances and shall be accomplished in                                  j
                    accordance with these instructions, procedures, or drawiagr,.                                             '
                    Brown & Root Procedure CP-QAP-15.1, "Fielti Control of Nonconforming                                     I

i' Item, " states that nonconforming conditions shall be documented in a '

                    Deficiency and Disposition Report (DDR). Procedure CP-QCP-1.3, "Tnol
                    Equipmen'. Calibration and Control," dated July 14, 1975, stater that                                    r
                    out-of-calibration equipment shall be identified on a DDR.                                                '
                    Contrary to the above, on May 31, 1985, the NRC inspector reviewed the
                    calibration file for scale (MTE 779) used for weighing cement and found
                    that difficulty was encountered with the water and cement scales during a
                    1975 calibration of the backup plant scales; however, no DDR was issued
                    to identify this condition and require disposition of the scale and
                    concrete (if any) produced.
                    This is a Severity Level IV Violation. (Supplement II.E) (445/8507-06;
                    446/8505-04).
                 6. Failure to Translate Design Criteria Into Installation Specifications,
                    Procedures, and Drawings; and Failure to Control Deviations from These
                    Standaras
                    10 CFR 50, Appendix 8, Criterion III, as implemented by TUGC0 QA Plan,
                    Section 3, Revision 3, dated July 31, 1984, require that measures shall be
                    established to assure that applicable regulatory requirements and the
                    design basis, are correctly translated into specifications, drawings,
                    procedures, and instructions. These measures shall include provisions to
                    assure that appropriate quality standards are specified and included in
                    design documents and that deviations from such standards are controlled.
                    Contrary to the above, (a) Unit 2 reactor pressure vessel installation
                    design criteria recommended by the NSSS vendor, such as centering
                    tolerances, levelness tolerances, and shoe to t; racket clearances, were
                    not included in installation specification, procedures, and drawings; and
                    (b) the criteria were specified in Construction Operation Traveler
                    ME-79-248-5500, but were not treated as design engineering criteria as
                    evidenced by an undocumented changt of shoe to bracket clearances.
                    This is a Severity Level IV Violation (Supplement II.E) (446/8505-06).                                   l
                                                                                                                              I
    .
                                                                                                   _ _ _ _ _ _ _ _ _ _ _ . _
_ _ _ _ _ -
                                                                                       ,
                                                                                                       '
                                  '
                                                                                                                                            l
                                                     '
                                                                               i                                  1_)
                                                        '7.   Failure to M.tintain Tolerances Stated and' Failure tn Report These Results   ;
                                                              on a Nonconformance Report                                                    J
                                                              10 CFR 50, Appendix B, Criterion XV as implemented by the TUGC0 QA Plan,
                                                              Section V, Revision 2 dated May 21, 1981, requires that measures shall be
                                                              established to control materials, parts or components which do not conform
                                                              to requirements; and nonconforming items shall be reviewed and accepted.

l rejected, repaired; or reworked in accordance with documented procedures.

                                                                                                                                           '

l Brown and Root Quality Assurance Manual, Section 16, dated March 27, '

                                                              1985, requirer, that unsatisfactory conditions identified on process
                                                              control documents shall be identified on an Nonconforming Report.
                                                              Contrary to the above, clearances between the reactor vessel support ~
                                                              brackets and support shoes were not within the tolerance stated in
                                                              Construction Operation Traveler HE-79-248-55 a..J the condition was not
                                                              reported on a Nonconformance Report.
                                                              This is a Severity Level IV Violation.      (Supplement II.E) (446-8505-07)
                                                         8.   Failure to Audit RPV Specifications / Procedures, Installation and As-built
                                                              Records                                                                      >
                                                              10 CFR 50, Appendix B, Criterion XVIII as ' implemented by the TUGC0

l

                                                              QA Plan, Section 18.0, Revision 2, dated July 31, 1984, requires that a

i

                                                              comprehensive system off
                                                            C planned and periodic audits be carried out to verify compliance with all
                                                ,
                                                              aspects of the. quality assurance program.
                                    '!                  g\ Contrary to the above, there was no evidence that TUGC0 had audited
                                                            3 either Unit 2 reactor vessel installation specifications, placement
                               9              '. f     f
                             .
                                 '
                                                              procedures, actual hardware placement, or as-built records.
                                                  y/ h.,s
                                                              This is a Severity Level IV Violation.
                               ~
                                             b                                                            (Supplement II.E) (446/8505'08). !
                                    l                    9.    Failure to Properly Identify a Spool Piece
                                                                                                                                           l
                                                               10 CFR 50, Appendix B, Criterion VIII, as implemented by the TUGC0
                                                              QA Plan, Section 8.0, Revision 0, dated July 1,.1978, requires that
                                                              measures be established for the identification and control of materials,
                                                               parts, and components, including partially fabricated assemblies. These
                                                              measures shall assure that identification of the item is maintained by
                                                               heat number, part number or other appropriate means.
                                                               Article NA3766.6 of ASME, Section III, 1974 Edition, requires that the
                                                               identification of material consist of marking the material with the
                                                               applicable material specification and grade of material, heat number or
                                                               heat code of the material, and any additional marking required by this
                                                               section to facilitate traceability of the reports of the results of all
                                                               tests and examinations performed on the material.
                                                                                                               .
                                                                                     9
 . . _ _ . _ _ _ _ . _ _ . _          _ . - _ _
                                                                                              e
   . .   .
                                                                                             (
                                   >
                                                                      )

i

                ' Contrary to the above, spool piece 3Q1 -(DWG No. BRP-CS-2-RB-76) had
                  neitner been marked with the material specification and grade, heat         j
                  number or heat code of the saterial.                                       !
                  This is a Severity Level IV Violation (Supplement II.E) (446/8505-09)       )

l

                                                                                             1

'

           10.    Failure to Furnish or Maintain Records for Material                        l
                                                                                              I
                  10 CFR 50, Appendix B, Criterion XVII, as implemented by the TIGC0
                  QA Plan, Section        Revision     , requires that sufficient records
                  be maintained to Turn,ish evidence of activities affecting quality. The
                  records shall include at least the following: cperating logs, and the
                  results'of reviews, inspections, tests, aud5ts, monitoring of work
                  performance, and materials analyses.
                  Articles NB-2130 and NA3767.4 of ASME Section III, 1974 Edit. ion requires
                  a certified Material Test Report for all pressure retaining material over
                  3/4 inch nominal size.
                  Contrary to the above, certified Material Test Reports were not available
                  for the 22 degree elbow, 10 inch 45 degree nozzle, and three thermowell
                  bosses, which were a part of the loop 3 cold leg piping subassembly.
                  This is a Severity Level IV Violation (Supplement II.E) (446/8505-10)
           Pursuant to the provisions of 10 CFR 2.201, Tsxas Utilities Electric Company
           is hereby required to submit to this of fice, within 30 days of the date of
           this Notice; a written statement or explanation in reply, including: (1) the
           corrective steps which have'been taken and the results achieved;
           (2) corrective steps which will be taken to avoid further violations; anc
           (3) the date when full compliance will be achieved. Consideration may be
           given to extending your response time for good cause shown.
           Dated:
                                                                                              1
 e
                                                                                             l
                                                                                              l
                                                                                              l
       .
                                                                                              !
                                                                                             i
  --      - _      - - _                 _ . _ _
                                                                  .
     . ,,     .
                                                                                                                              A
                                       h                                    ,
                                                                                                                               1
                                                           APPENDIX B
                                          U. S. NUCLEAR REGULATORY ComISSION                                                   J
                                                            REGION IV                                                          1
                NRC Inspection Report: 50-445/85-07                       Permit: CPPR-126                                   i
                                                 50-446/85-05                       CPPR-127
                                                                                                                               ,
                Docket:   50-445; 50-446
                Applicant: Texas Utilities Electric Company (TUEC)                                                           i
                              Skyway Tower
                              400 North Olive Street
                              Lock Box 81-
                              Dallas, Texas           75201
                Facility Name: Comanche Peak Steam Electric Station (CPSES)
                                  Units 1 and 2
                Inspection At: Glen Rose, Texas                                                                              I
                                                                                                                             '
                Inspection Conducted: April 1,1985, through June 21, 1985
                Inspectors:                                           ~           ~
                                H. S. Phillips, Senior Resident             Oate
                                 Reactor Inspector Construction
                                (pars. 1, 2, 3, 8, 9, 10, 11, 15, 16,
                                   17, 18, and 19)-
                                J. E. Cummins, Senior Resident Reactor 'Date
                                   Inspector Construction (April 1 - May 10,1985)
                                (pars    1, 3, and 19)
                                                                        "
                                D. E. Norman, Reactor Inspecto'r             Date
                                (pars. 1, 12, 13, 14, and 19)

l

                                D. M. Hunnicutt, Section Chief               Date
                                   Reactor Projects Branch 2
                               (pars. 1, 4, 5, 6, 7, and 19)
                                0. M. Hunnicutt, Section Chief,               Date
                   /j              Reactor Project Section B
                 *

\ { i l'

                                                                                        *
                                                                                             _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _

- __ - - _ -_-. . _ _ -

               .                                            .
                                                                          .
                                                          -2-
                 InspectfonSummary
                 Inspection Conducted April 1,1985, throuch June 21, 1985(Report 50-445/85-07)
                 Areas Inspected: Routine, announced and unannounced inspections of Unit I
                 which included plant tours and review of plant status, action on previoJs NRC
                 inspection findings (violations / unresolved items), review of documentation for
                 site dams, and review of 10 CFR Part 21 and 10 CFR Part 50.55(e) construction
                 deficiency status, The inspection involved 77 inspector-hours onsite by
                 four NRC inspectors.
                 Results: Within the areas inspected, three violations were identified
                 (failure to promptly correct an identified problem with RTE - Delta Potential
                 Transformer Tiltout Subassemblies, paragraph 3.a.; and commercial non-shrink
                 grout was used to grout the Unit I reactor coolant pump and steam generator
                 supports in lieu of Class "E" concrete, paragraph 3.b.; hydrogen recombiners
                 out-of-specification voltage recorded on quality release docuraent, paragraph
                 3.c).
                  Inspection Summary
                  Inspection Conducted April 1, 1985, through June 21, 1985 (Report 44G/85-05)
                 Areas Inspectrid: Routine, announced and unannounced inspections of Unit 2
                 which included plant tours and review of plant status, acticn on previous NRC
                  inspection findings (violations / unresolved items), review of documentation for
                  site dams, review of documentation for voids behind the stainless steel cavity
                  liner of reactor building, observation of NDE on liner plates, fr.spection of
                 concrete batch plant, review of calibration laboratory records for batch
                 plant, review of concrete laboratory testing, inspection of level C and D
                  storage, review of reactor pressure vessel (RPV) and piping records / completed
                 work, and review of 10 CFR Part 21 and 10 CFR Part 50.55(e) construction
                  deficiency status, and review of violation and unresolved items status. The
                  inspection involved 355 inspector-hours onsite by four NRC insperters.
                  Results: Within the sixteen areas inspected seven violations were idehtified
                  (failure to provide objective evidence to show that concrete central and truck   i
                 aixer blades were inspected, paragraph 8; failure to issue a deficiency report
                  on cement scales that were out-of-calibration, paragraph 9c; failure to          j
                  translate design criteria into specifications, procedures, and drawings,         )
                  paragraph 12a.; failure to maintain RPV installation tolerances / document        j
                  nonconformance, paragraph 12b.; failure to audit RPV specifications,             '
                  procedures, installation, and as-built records, paragraph 12d.; failure to
                   identify a spool piece, paragraph 14b.; and failure to maintain material         ;
                   records, paragraph 14c.

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                                                DETAILS
                                                                                                           l
      1.       Persons Contacted
               Applicant _ Personnel
               M. McBay, Unit 2 Reactor Building Manager
               B. Ward, Gen. Supt., Civil
               D. Chandler, QA/QC Civil Inspector
               W. Cromeans, QA/QC, TUGC0 Laboratory / Civil Supervisor
            F#J. Merritt, Assistant Projec't General Manager
            *#P. Halstead, Construction Site QA Manager
             #C. Welch, QA Supervisor TUGC0 (Construction)
               J. Walters, TUGC0 Mechanical Engineer
              .K. Norman, TUGC0 Mechanical Engineer
               J. Hite, B&R Materials' Engineer
               G. Purdy, B&R CPfES QA Manager
               * Denotes those present at May 10, 1985 exit interview.
             > # Denotes those present at June 10, 1985 exit interview.

,

      The NRC inspectors also interviewed other applicant employees during this

'

       inspection period.
      2.      Plant Status
               Unit 1                                                                                      ;
               At the time of this inspection, construction of Unit I was 99 percent
               complete. The fuel loading date for Unit 1 is pending the results of
               ongoing NRC reviews.
               Unit 2
               At the time of this inspection, construction of Unit 2 was approximately
               74 percent complete. Fuel loading is scheduled for approximately 18
               months after Unit 1 fuel loading.
       3.       Applicant Action on Previous WRC Inspection Findinos
                a.    (Closed) Unresolved Item 445/8440-02: Potential Problem with
                     Dotential Transfomer Tiltout Subassemblies.
                      By letter dated June 15, 1983, Transamerica Delaval notified tha
                      applicant of an RTE - Delta 10 CFR Part 21 report to the NRC
                      reporting a potential problem with the primary disconnect clips of
                      the potential transformer tiltout assembly used in the emergency
                      diesel generator control panels at CPSES. The Transamerica Delaval
                      letter also provided instructions for correcting the problem.
                      However, the NRC inspector could not detemine if the prob 1cm had
                                                                                                            I
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                                             -4-

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              been corrected at CPSES and made this an unresolved item. The

i applicant determined that the problem had not been corrected and

              subsequently performed the recommended corrective action. The
              Unit I corrective action work activities were documented on startup
              work permits Z-2912 (train'A) and Z-2914 (train B). The Unit 2 work
              activities are being tracked as master data base (MDB) item 3003-31.
              The failure to promptly correct this identified problem is an apparent
              violation (445/8507-01; 446/8505-01).
           b. (Closed) Unresolved Item 445/8416-03: Commercial Grout Used in Lieu
              of Class "E" Concrete
              The applicant determined that the use of non-shrink commercial grouc
              in lieu of the Class "E" concrete specified on drawing 2323-51-0550
              was acceptable. Design Change Authorization 21179 was issued to
              drawing 2323-51-0550 accepting the use of the commercial non-shrink
              grcut. However, the failure to grout with Class "E" concrete as
              specified on the drawing at the time the work was accomplished is an
              apparent violation (445/8507-02).
           c. (Clo:ed) Unresolved Item A45/8416-04: Hydrogen Recombiners -
              Out-of-Specification Voltaae Recorded on Westinghouse Quality                 l
              Release Document
              Quality Release N-41424 was revised changing the specified voltage
              from 10+-2V to 12+-2V which put the questionable voltage within
              specification limits. However, the failure of receipt inspection to
              verify that the QRN-41424 was filled out accurately as required by
              Procedure QI-QAP7.2-8 is an apparent violation (445/8505-03).
           d. (0 pen) Unresolved Item 445/8432-06: 446/8411-06: Lobbin Report
              Described Site Surveillance Program Weaknesses
              During this reporting period the NRC inspector reviewed the status
              of this open item several times and interviewed TUEC management and
              site surveillance personnel. The Lobbin report stated that the
              scope and objectives of the site surveillance program were unclear,
              lacking both purpose and direction.
              There is no specific regulatory requirement to have a surveillance
              program; however, TUEC committed to have a surveillance program and
              has established procedures to implement such a program as a part of
              the 10 CFR Part 50, Appendix 8, QA program. This extra effort is a            4
              strength; however, the NRC inspector also observed, as did the Lobbin
              Report, that the surveillance program lacks both purpose and direction
              to be effective and complimentary to the audit and inspection programs.
              Since the TUEC audit group is not located on site, the TUEC surveil-          !
              lance program on site takes on added significance.                            l
              This item was discussed with the TUEC site QC manager who described
              a reorganized site surveillance function and changes that have
              occurred. New procedures which describe this organization's duties
              and responsibilities are forthcoming.
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          TUEC has elected to defer responding to the violations pertaining to                                 i
          the audit function in NRC Inspection Report 445/84-32; 446/84-11, but                              i
          rather to have the Comanche Peak Response Team (CPRT) respond to                                   1
          this report and other QA matters. The surveillance issue is closely                                )
          tied to the audit deficiencies in NRC Inspection Report No. 445/84-32;                             W
          50-446 84-11.    This item will remain open pending the review and
          implementation of the CPRT action plan. A special point of interest
          will be how audits and surveillance work together to evaluate the
          control of all safety-related activities on site to essure quality
          especially the overview of quality control effectiveness.
 4. Document Inspection of Site Dams
    The NRC inspector reviewed documents describing the inspection activities                                l
    performed on the Squaw Creek Dam (SCD) and the safe shutdown impoundment                                3
    (SSI) for impounding cooling water fer the two units at CPSES. The                                       <
    purpose of the SCD is to impound a cooling lake for CPSES. A secondary
    reservoir (SSI) is formed by a channel connecting the SCD impoundment to                                 !
    the SSI.
    Three documented inspections have been performed since 1980. The
    inspections were:
    a.    Relevant data for SCD is contained in Phase I Inspection, National
          Dam Saf ety Program, Squaw Creek Dam, Somervell County, Texas, Brazos
          River Basin, inspection by Texas Department of Water Resources.
          Date of Inspection: June 10, 1980.
    b.    Inspection on August 25, 1982, by registered professional engineers
          from Mason-Johnston & Associates, Inc., and Freese & Nichols, Inc.
    c.    Inspection on September 19, 1984, by a registered professional                                     !
          engineer from Mason-Johnston & Associates, Inc.
    The inspection activities consisted of visual inspections by inspection                                  j
    teams that included accompanying Texas Utilities Service, Inc. (TUSI),                                  j
    and Texas Utilities Generating Company (TUGCD) representatives.                                            i
    Photographs were taken as a part of the documentation. The data for the                                  l
    piezcmeter observations and the data for the surface reference monuments                                 !
    were reviewed by applicant personnel and Mason-Johnston engineers.
    No items of significance were observed or reported by these inspection
    teams. Slight erosion areas were observed and reported. A Cracked area
    on the service spillway upstream right bridge seat was observed by the                                   4
    inspection teams and continued monitoring of this area was recommended by
    Mason-Johnston and Associates. No signs of cracks, settlements, or
    horizontal movement at any location within the SCD or the SSI were                                       i
    reported.
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                                                                                                                               __-_ - _ _ _ _ _ -
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                                                                 -6-
                  The NRC inspector reviewed the applicant's records and the Mason-Johnston
                  inspection reports. These documents indicated that the SCD and SSI were                                                                                    3
                  structurally stable and that the applicant was performing inspection
                  activities to maintain the struct: M integrity of these dams.
                  The state of Texas requires periodic inspections of these dams
                  (principally the 500) due to inhabited dwellings downstream. The
                  applicant has met these inspection requirements.
                  No violations or deviations were identified.
               5. Voids Behind the Stainless Steel Cavity Liner in Unit ? Reactor Buildina
                  The NRC inspector reviewed applicant records, including NCR C-82-01202;
                  NCR C-1784, Rev. 1; NCR C-1784, Rev. 2; NCR C-1766, Rev. 1; NCR C 1791,                                                                                   {
                  Rev. 1; NCR.C-1824, Rev. 1; NCR C-1824, Rev. 2; Significant Dcficiency
                  Analysis Report (SDAR) - 26, dated December 12, 1979; DCA-20856; and
                  Gibbs and Hill Specification 2323-55-18. The review of these records and
                  documentation and discussions with various applicant personnel indicated
                  the following:
                       Structural concrete was placed in Unit 2 reactor building at
                       elevation 819 feet 6-3/4 inches to 846 feet 6 inches on June 21,
                       1979. This concrete was placed adjacent to the stainless steel
                       liner walls. The concrete forms for this poe= were not removed
                       until October 1979 due to subsequent concrete placements for the
                       walls to elevation 860 feet 0 inches. When the forms were removed,
                       honeycombs and voids were observed by applicant personnel. The
                       applicant's review of the extent of unconsolidated concrete resulted
                       in the issuance of SDAR-26 on December 12, 1979. Investigations
                       were begun and Meunow and Associates (M&A) of Charlotte, North
                       Carolina, were contracted to perform nondestructive testing on
                       in place concrete. M&A performed these tests on a two foot grid
                       pattern on the compartment ~and liner sides of all four steam
                       generator (SG) compartment walls. The selected test locations did
                       not include the locations where the voids were later found to be
                        located; therefore, the voids were not detected during the M&A
                       testing.
                                                                                                                                                                            ,
                        In August 1982, preparations were made to pour the concrete annulus
                       around the reactor vessel. When the expanded metal forework was
                        removed from the reactor side of the compartment walls, voids were
                       observed and NCR C-82-01202 was prepared. DCA 20856 was prepared as
                       a precedure to repair the void arsa. DCA 20856 indicated that the
                       voids were not extensive (a surface area of about 28 square feet by
                       8 inches maximum depth) and that the repair procedure assured that
                       the total extent of voids had been idencified. One half (0.5) of a
                       cubic yard of concrete was used to complete the repairs as indicated
                       on grout pour card 261.
                       The applicant's review and evaluation of the gird pattern and a
                       comparison of SG compartments 2 and 3 to 1 and 4 indicated that
                       voids did not exist in SG compartments 2 and 3. The review of test
                       girds extended down to elevation 834 feet, which is the floor
                       elevation of th> liner. The liner walls of SG compartments 1 and 4
                                                                                                                                                                              l
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                                                               were not tested at elevation 834 feet, but at elevation 836 feet
                                                               which is above the area of the identified voids. No testing was
                                                              .done on the liner side of the area of the voids below elevation 836
                                                               f e e t.- The program also included removal of 2 inch x 2 inch plugs

l from the stainless steel liner at locations where test indications

                                                               raised questions concerning the concrete. The inspections of the
                                                               concrete by applicant personnel after the plugs were removed
                                                               confirmed that there were no additional unconsolidated concrete

l ,

                                                               areas (voids).
                                                      .        The applicant removed stainless steel ifner plates from three areas

l (one area about 1 foot by 1 1/2 feet and two areas about 3 feet by 1

                                                               foot, excavated or chipped to sound concrete, and cleaned the
                                                               concrete surface area. One and one-quarter inch (1 1/4) diameter

l probe holes and grout access holes were drilled in the liner plates

                                                               to determine the extent of and to assure full definition of the void
                                                               area. Air access holes were drilled in the stainless steel liner
                                                               plates to assure that grouting would be accomplished in accordance
                                                               with the procedure.
                                                                                                                                         i
                                                               The procedure (DCA-208561 specifed that the grout was to be cured
                                                                for 28 days or until the grout reached a compressive strength of 4000
                                                               psi.      Repairs to the liner plates were specified in DCA-20856 and G&H
                                                                Procedure 2323-55-18.
                                                               DCA-20856 required that under no circumstances was cutting of the
                                                                liner across weld seams, across embedded weld plates, or into leak
                                                                chase seal welds or drilling through the liner at leak chase channels,
                                                                embeds, or weld seams permitted. Documentation review indicated that
                                                                DCA-20856 was adhered to and that no cutting or drilling oc. curred in
                                                                prohibited locations.
                                                                No violations or deviations were identified.
                                                      6. Nondestructive Testing Observations of Liner Plates in Fuel Transfer
                                                         Canal
                                                         The NRC inspector cbserved portions of non-Q liquid penetrant examinations       ;
                                                         (PT) being performed on liner plate welds following re-installation of the       l
                                                         liner plates in the areas of the fuel transfer canal removed for inspection      l
                                                         and repair of the concrete. The inspector performed the PT on the welds          j
                                                         as required by the repai. package and the procedure (Q1-QP-11.18-1,
                                                         " Liquid Penetrant Examination"). Scattered weld porosity was identified
                                                         by the inspection. The porosity was ground out and a repeat PT was
                                                         performed. The final inspection is scheduled to be perfomed by QC
                                                         inspection personnel. The liner plate areas to be inspected by PT were
                                                         identified in DCA 20856.
                                                         No violations or deviations were identified.
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,, 7. Rebar' Placement'and Cadweld Splice Observations and Records < 'The WRC~inpector reviewed the rebar placement'and Cadwell Splice j

                     activities associated with the Unit 2 containment (reactor building).                                                         1
                     closure.                                                                                                                      '
                     a.     Calibration of Tensile Tester
                            The NRC inspector observed the calibration of the Tinus-01 son
                            Universal Testing Machine (Model Number 600-12 Identification Number                                                  !
                            M&TE-784) on April 2 and May 7, 1985. The machine was calibrated
                            just prior to performing tensile testing of cadweld splices and
                            subsequent to completion of tensile testing each day that tensile
                            testing was performed. The machine calibration date for April 2,
                            1985, prior to start of tensile testing was observed by the NRC                                                       ,
                            inspector and recorded as follows:
                     Nominal load       Calibration Readino        ' Error        Error  Remarks
                        (lbs)               (lbs)                    'lbs)         %                                             _
                         0                   0                             0           0  0 machine on
                                                                                          4/2/85
                     100,000             99,750                         +250     . +0 25
                                                                                     .
                     200,000            199,600                         +400      +0.2
                     300,00             299,450                         +550      +0.18
                  -350,000              350,300                         -300      -0.08
                     400,000            401,200                        -1200      -0.03
                     500,000            501,350                        -1350      -0.27^
                     600,000            602,450                        -2450      -0.40
                           -The NRC inspector reviewed calibration data for March 4. March 8,
                            April 2 April 3, April 30, and May 7, 1985. All calibration data
                            met within the +/- 1% accuracy requirement specified by Calibration
                            Procedure 35-1195-IEI-37, Revision 3, dated March 11, 1982. The
                            reference standards were identified as follows:
                             10 No.     Manufacturer         Calibration Due Date
                            RS-75       BLH Electronics      Jan~ary
                                                                 u      27, 1987
                            RS-75.3     BLH Electronics      January 27, 1987
                     b.     Observation of Cadweld Splice Tensile Testina
                            (1) Qualification Tensile _Testina
                                  on April 2, 1985, the NRC inspector observed the following
                                  tensile testing of cadweld splices for cadwelder qualification:
                                  E80 Q8, GBH Q1, GBH Q2, G8V Q1, 8F0 Q4, 8F0 Q3, 8FH Q4, GAH Q1,
                                  GAV Q1, and G8V Q2.
                                  Each of the above qualification cadweld splices was tensile                                                      '
                                  tested to 400,000 pounds (100,000 psi) and met the requirements
                                  stated in the procedure.
     ..
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        _-- _ _
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                          (2) Production Tensile Testina
                                                                                                  i
                                The NRC inspector observed the tensile tester calibrations and
                                the following production cadweld splices tensile testing on       4
                                May 7, 1985: FXO 3P, FYD 4P, FYD 8P, FRD 87P, and FUD 6P.
                                Each of the above production cadweld splices was tested to
                                400,000 pounds (100,000 psi)and met the requirements stated in
                                the procedure.
                          (3) Installation of Production Cadweld Splices
                                                                                                  !
                                The NRC inspector observed installation of rebar and cadweld      j
                                splices at frequent intervals (five or more observations per      {
                                week during the weeks of April 8 and 15; May 6, 13, 20, and 27;
                                and June 3, 1985). The rebar installation for the Unit 2
                                closure was performed in the area identified as elevation 805
                                feet to elevation 875 feet and azimuth 300 degrees to 335
                                degrees. The installation activities observed included rebar
                                spacing, location of cadwelds, observation of selection and
                                removal for testing of cadweld splices for testing, and'
                                determination of location of rebars and cadwelds for the
                                as-built drawings.
                          (4) Occumentation Reviewed

l The NRC inspector reviewed the following documentation for the ! rebar placement and cadwelding for the Unit 2 containment

                                (reactor building) closure area:
                                Drawings                   DCAs                 NCRS
                                2323-5-0785, Rev.7         22616, Rev. 1        C85-200294
                                2323-5-0786, Rev.9         22728                C85-200339, Rev.1
                                2323-51-500, Rev.5         22737                C85-200355, Rev.1
                                2323-51-506, Rev.5         22836
                                2323-52-505, Rev.5         22878 (Sheets 1-7)
                                2323-52-508, Rev.2         22772
                                2323-52-506, Rev.3
                     No violations or deviations were identified.
                8.   Concrete Batch Plant Inspection
                     The NRC inspector used a nationally recognized checklist to inspect the
                     concrete production facilities. This list included the specific
                     characteristics for the following areas: '(1) material storage and
                     handling of cement, aggregate, water and admixture, (2) batching
                     equipment scales, weighing systems, adnitxture dispenser, and recorders.
                     (3) central mixer (not applicable because it had been dismanteled), (4)
                     ticketing system, and (5) delivery system.
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                            The current batching is a manual. operation since almost all concrete has
                            been placed. The. central mixer was dismanteled and removed from site two
                            or three years ago when concrete placement was virtually completed.
                            Presently, the backup batch plant (wnich was a backup system for the
                            central mixer) is in operation to complete the remaining concrete
                            placements. This batch plant is in good condition and complied with the
                            subject checklist except for one area
                            The NRC inspector inspected the'inside of one of three trucks used for
                            mixing concrete.(that is, the batch plant dispenses the correct we ut of
                            materials as required by the specific design mix numbers and the truck
                            then mixes the batch to be placed.) The blades inside the truck are
                            subject to wear and should be checked at a reasonable frequency. The
                            Brown & Rost (B&R) representative responsible for checking the blades in
                            accordance with B&R Procedure 35-1195-CCP-10, Revision 5, dated                          '
                            December 4, 1978, was asked for evidence that the blades had been checked
                             for wear on a quarterly basis and it was found that there was no record of
                             such checks dating back to 1977 when they were initially checked.
                             Procedure CCP-10, paragraph 3.10 " Truck Mixing", is silent on blade wear
                             but Section 3.11 infers that the blades should be checked for both
                             central and truck mixing. The inspection of both central and truck
                             mixing blades was not documented, although the B&R representative stated
                             that the mixing blades were periodically inspected and laboratory testing-
                             would have probably indicated if there was a problem with the mixing blades.
                             Strength and uniformity tests have consistently been within the acceptable
                              range indicating that concrete production was acceptable even though
                             mixing blade inspection was not documented.
                             Otherwise, the condition of the inside of the truck was satisfactory as
                              the drum and charging / discharging were clean. The water gage and drum
                              counter were in good condition.
                              This failure to follow procedures is a violation of 10 CFR 50 Appendix
                              B, Criterion V. Subsequent to the identification of this violation, the
                              blades were checked for wear and blade wear was presently within allowable
                               limits (445/8507-04; 446/8505-02).
                               No other violations or deviations were identified.
                         9.    Calibration Laboratory for Batch Plant
                               The NRC inspector obtained batch plant scale numbers from tags which
                                indicated that the scales had been calibrated and were within the
                               calibration frequency. Cement (MTE 779), Water (NTE 766), admixture
                                scale (MTE 764), and aggregate (MTE 780) were reviewed. The scales had
                               been periodically calibrated since the batch plant was activated. The
                                records were adequate except as follows:
                                a.    Scales MTE 766 records do not clearly differentiate between the
                                      required accuracy of the scale and the digital readout.
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                         b.    Scales MTE 779 and 780 records show various accuracy ranges for the      ,
                               same scale; i.e., MTE 779 (SN749687) records the following: report
                                                                                                        '
                               dated January 1976 gives 1%; . report dated July 1976 gives 1% whils
                               report October 1976 gives +/- 0.2%.
                         The above iters are unresolved pending furthdr review of the licensee          ]
                         actions regarding these records during a subsequent inspection (445/8507-05;   I
                         446/8505-03). The calibration appeared to be proper.
                         c.    Records for scales MTE 779 records contr.ined B&R memo'IM-1108 dated
                               July 16, 1975, which described a nonconforming condition. This           J
                               condition affected the water and cement scales causing a 24-48 pound     1
                               deviation during the calibration test. The seeo stated that the        '
                                                                                                        {
                               condition was corrected and the scales were then calibrated;
                               however, no deficiency report was written as required by B&R
                               Procedure CP-QCP-1.3, " Tool and Equipment Calibration and Tool
                               Control" dated July 14, 1975, and CP-QAP-15.1, " Field Control of
                               Nonconforming Items," dated July 14, 1975. As r. result there is no      I
                               evidence that corrective action included an evaluation to determine      j
                               if concrete production was adversely.affected.                           !
                               This failure to assure that a nonconforming condition was evaluated
                               is a violation of Criterion XV of 10 CFR Part 50, Appendix 8.

l

                               (445/8507-06; 446/8505-04).
                   10.   Concrete Laboratory Testina
                                                                                                        l
                         TUGC0 procedure QI-QP-11.1-1, Revision 6, was compared with ASME               i'
                         Section III, Division 2, Subsections 5222, 5223 and 5224 to assure that
                         each ASTM testing requirement was incorporated into the procedure.             l
                         The NRC inspector inspected the testing laboratory equipment and found
                         the test area was in good condition and each piece of equipment was            j
                         tagged with a calibration sticker which showed it to be witnin the             )
                         required calibration frequency. Test personnel were knowledgeable of           )
                         test requirements and equipment.
                         The NRC inspector witnessed field tests performed by laboratory personnel
                         as follows:
                                                                                                        )
                         Date     Truck No. Mix No. Ticket Wo;       Air Content (%) Slump Teperature
                                                                                      (in.)  _F
                          6/3/85 RT-41     925        64013          Req 8.2-10.3     NA    70 max
                                                                     Mea 8.7-9.1      NA    57
                          6/3/85 RT-35     128        64014          Req 5.0-7.0     5 max 70 max
                                                                     Mea 6.6         6.25*   57
                          " Truck was rejected by quality centrol but was later accepted when second    l'
                          slump reading came into required range.
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                                      The following laboratory equipment was checked and found to be within           I
                                      calibration:    Forney Compression Tester, MTE 3031; Temperature Recorder
                                      MTE 3013 and 3014; Unit volume Scale, MTE 1053; Pressure Meters MTE
                                      30008, 3002 and 3004; Sieves MTE 1286, 1239, 1272, 1274, 1136A, 1156,
                                      1094, 1093, 1095, 1178, 1179, 1300 and 1180; Aggregate scales, MET 1058
                                      and 1067; and 2" grout mold HTE 1111.
                                      The following test records for placement number 201-5805-034 were
                                       reviewed: (1) concrete placement inspection, (2) concrete placement            j
                                       summary ant, (3) unit weight of fresh concrete.                                ) l
                                      No violations or deviations were identified.                                     ]
                                                                                                                        I
                                 11. Inspection of Q vel C and D Storace                                              l
                                      The NRC inspector inspected all laydown areas where piping, electrical          '
                                      conduit, cable, and structural reinforcing steel were stored. These
                                      materials were neatly stored outside on cribbing in well drained areas
                                      which allowed air circulation and avoided trapping water. This met the            {
                                       Level "0" storage requirements of ANSI N45.2.2.
                                      The electrical warehouse contained miscellaneous electrical hardware.
                                      This building was required to be fire and tear resistant, weathertight, and     1
                                      well ventilated in order to meet Level "C" storage requirements. This warehouse

,

                                      was well kept and met all requirements except for a lock storage area

l located upstairs at the rear of this building (electrical termination ! tool room). Two minor problems were identified and the warehouse i

                                      personnel initiated action to correct them.

'

                                      The first problem noted was that a box of nuclear grade cemert was marked
                                      " shelf life out of date" but it had no hold tag. The box was
                                       subsequently tagged with Nonconformance Report (NCR) E85-200453 after
                                      being identified by the NRC. During discussions with the warehouseman,            {
                                      the NRC determined that engineering told the waret.ouseman to mark the
                                      material and lock it up, but did not tell him to apply an NCR or hold             1
                                       tag. TUEC should determine if engineering is aware of nonconforming
                                      7aterial controls and provide training if this is other than an isolated
                                       instance. Also, the NRC inspector noted a very small leak in the roof
                                      above the electrical termination tool room. This leak was in an area that
                                       did not expose hardware to moisture. The roof is currently being repaired.
                                      The millwright warehouse storage area was inspected; however, only a              i
                                       small number of items or materials were stored in this area. The overall         '
                                      storage conditions in this area met or exceeded Level "C" storage                 l
                                      requirements.                                                                     i
                                      No violations or deviations were identified.
                                 12. Reactog Pressure Vessel and Internals Installation - Unit 2
                                      This inspection was performed by an NRC inspector to verify final
                                      placement of the reactor pressure vessel (RPV) and internals by examining
                                      the completed installation and inspectior, records.
   _ _ _ - _ _ _ - _ _ _ - - _

_ _ - _ _ _ ,

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                                                                                            !
                               -
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               a. Requirements for Placement of RPV
                  Requirements for placement of the RPV to ensure proper fit-up of all      )
           -      other major NSSS equipment are in Westinghouse Nuclear Services
                  Division (WNSD) " Procedure for Setting of Major NSSS Components",
                  Revision 2, dated February 13, 1979, and " General Reactor Vessel
                  Setting Procedure" Revision 2, dated August 30, 1974. The NRC
                  inspector reviewed the following drawings, which were referenced in      )
                  the RPV operation traveler, to verify implementation of WNSD              j
                  recommendations:
                  o     WNSD drawing 1210E59 " Standard - Loop Plant RV Support Hardware  l
                        Details and Assembly"
                                                                                            I
                  o     WNSD drawing 1457F27 " Comanche Peak SES RCS Equipment Supports
                        - Reactor Vessel Supports"
                  o      CE drawing 10773-171-004 " General Arrangement Elevation"
                  o     CE drawing 10773-171-005 "Gencral Arrangement Plan"
                  Neither site prepared installation drawings nor specifications
                  (which implemented the WNSD recommended procedures) were available
                  and the drawings. examined did not show certain specific installation
                  criterion such as centering tolerances, levelness tolerances and
                  clearance between support brackets and support shoes. The lack of
                  engineering documentation did not provide full control of the
                  action and would allow changes to installation criteria important to
                  safety to be made without complying with established change procedures.
                  This is considered a violation of 10 CFR 50, Appendix B,
                  Criterion III (446/8505-06).
               b. Document Review
 -                The NRC inspector reviewed B&R Construction and Operation Traveler
                  No. ME79-248-5500 which described the field instructions for
                   installation of the Unit 2 RPV. Requirements recommended by WNSD
                  procedures were implemented in the traveler. Worksheets attached to
                   the traveler showed the RPV to be centered and leveled within the
                  established tolerances. Traveler operation 19 required verification
                  of a 0.020 to 0.005 inch. clearance between the support bracket and
                   support shoe, after applying the shis plates. Change $ subsequently
                   changed the clearance to a 0.015 to .025 inch clearance. The
                   installation data reflected in attachment 3B of the traveler
                   indicated an as-built clearance of 0.012 to 0.026 inch which exceeds   .
                   both the original anu revised tolerances. This condition was accepted  I
                   on the traveler based on Westinghouse concurrence, and there were
                   neither nonconformance reports nor documented engineering cFsluations
                   to determine if the condition was acceptable. This failure to
                   document nonconforming conditions and engineering deviations is a
                   violation of 10 CFR 50, Appendix B, Criterien XV (446/C505-07) .
                  The NRC inspector reviewed the following receiving records for RPV
                   hardware and found them to be in order:
                                                                                            I
                                                                                            !
                                                                                            1
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  _

l .

                          .

w ) l i ,

                                                                         -14-                                    !

, l, 0 Report No. 14322 for 54 each closure studs, closure nuts, and l closure washers l '

                                            o     Report No. 09507 for vessel S/N 11713, Closure Head 11713 and
                                                  26 0-Rings
                                            o     Deviation notices and corrective action statements
                                            The NRC inspector reviewed the following completed travelers for      !
                                            internals installation and found them to be satisfactory:
                                                                                                                  i

l o ME-84-4641-5500, " Assemble Upper Internals" 1 ? l l o ME-84-4503-4000, " Install and Adjust Roto Locks i 1

                                            o     ME-81-2145-5500, "Retorque UI Column Extension"

l o RI-80-385-5500, " Transport and Install Lower Internals" !

                                            o     ME-84-4617-5500, " Repair Lower Internals"                     i
                                            o     ME-84-4640-5500 " Assemble Lower Internals"
                                      c.    Visual Inspection
                                      At this time, visual inspection of the internals by the NRC inspector was
                                      not possible, and inspection was limited on the vessel. placement to a
                                      walk-around beneath the vessel to inspect the azimuth markings and for
                                      construction debris between the vessel and cavity. No problems were
                                      identified in this area.
                                      d.    Records of QA Audits or Surveillance
                                            The NRC inspector requested TUGC0 QA audits or surveillance
                                            performed by TUGC0 of the Unit 2 RPV installation. TUGC0 did not
                                            make available any audit or surveillance reports of specifications
                                            for placement criteria, placement procedures, hardware placement, or
                                            as-built records. Failure to perform audits or surveillance of RPV
                                            specifications, procedures and installation is a violation of
                                            10 CFR 50, Appendix B, Criterion XVIII (446/8505-08).
    '
                                            No deviations were identified; however, three violations were
                                             identified and are described in the above paragraphs.
                                  13. Reactor Vessel Disorientation
                                      On February 20, 1979, the applicant reported to the NRC Resident
                                      Inspector that a design error had resulted in the reactor support
                                      structures being placed in the wrong position on the reactor support
                                      pedestal such that the reactor would be out of position by 45 degrees.
                                      Initially, Unit 2 was to be a mirror image of Unit 1, however, a design
                                      change was initiated to permit identical components for both units. The
         - . . .
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                                                                                         ]
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                                       design change was implemented for the reactor vessel, but not for the          I
                                       pedestal support locations. The problem was not considered by the
                                       applicant to be reportable under provisions of 10 CFR Part 50.55(e) since
                                       the error could not have gone undetected.
                                       The problem was reported to the NRC Offica of Inspection and Enforcement       I
                                       on February 22, 1979, and during a March 27, 1979, meeting in Bethesda,        1
                                       Maryland, the applicant presented the proposed redesign and rework              l
                                       procedures for relocating the pedestal supports. No unresolved safety           '
                                       concerns with the repair were identified at the meeting.
                                       During this inspection the NRC inspector reviewed various documentation         i
                                       relative to the disorientation problem, including design changes and the        l
                                       construction traveler which implemented the repair.
                                       The following documents were reviewed:
                                       o     NRC Inspection Report 50-446/79-03                                       l
                                       o     NRC Inspection Report 50-446/79-07                                       )
                                       o     NRC Inspection Report $0-446/79-13                      .
                                       o     TUSI Conference Memo, dated March 1, 1979, H. C. Schmidt to
                                             S. Burwell (NRC Licensing PM)
                                       o     TUGC0 letter TXX-2980, dated April 30, 1979, to W. C. Seidle
                                       o     NRC letter to TUGCO dated May 29, 1979
                                                                                                                     ]
                                       o     DCA 3872, Revision 1, dated February 28, 1979, Subject: Rework of         j
                                             Structure for Placement of the RPV Support Shoes                         l
                                                                                                                     i
                                       o     DCA 4122, dated March 22, 1979, Subject: Replacement of Rebar for        J
                                             RPV Supports                                                             '
                                       o     Construction Traveler CE79-018-5505,' dated March 14, 1979, Subject:
                                             Rework of Reactor No. 2. Cavity - New RPV Support Locations
                                       o     Grout Replacement Cards No. 007,008, 009, 010, 014 and 015, various     !
                                             dates, Subject: Replacement of Grout around Rebar for Repair of RPV
                                             Support Shoes
                                       o     Various Inspection Reports for Grout Properties and Application for     i
                                             RPV Support Shoes        ,
                                                                                                                     d
                                                                                    (
                                                                                                                       i
                                       No violations or deviations were identified.                                    l
                                                                                                                      !
                               14.     Reactor Coolant Pressure Boundary (RCPB) Systems
                                                                                                                      ]
                                       The inspection was performed to verify: the applicants system for
                                       preparing, reviewing, and maintaining records for the RCPB piping and
                                       components; that selected records reflected compliance with NRC
                                       requirements and SAR commitments for manufacture, test and installation
                                                                                                                       1
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                 of items; and that as-built hardware was adequately marked and traceable
                 to records. The following items were randomly selected and inspected:
                 a.    Pressurizer Safety Valve - This item was inspected to the commitment  i
                       stated in FSAR, Table 5.2-1 which includes ASME Section III, 1971
                       edition through winter 1972 addenda. Valve S/N N56964-00-007, which
                       is installed in the B position was inspected. The following records
                       were .eviewed:
                       o     QA Receiving Inspection Report No. 21211
                       o     Code Data Report Form NV-1
                       o     Valve Body CMTR                                                 {
                       The valve was in place, however, installation had not been
                       completed; therefore, the hardware installation inspection consisted
                       of verifying that the item was ttaceable to the records,
                 b.    CVCS Spool Piece 301 - Requirements for this item are stated ~in
                       ASME, Section III, 1974 edition through summer 1974 addenda, which
                       is the commitment from the FSAR, Table 5.2-1. The item was field
                       fabricated from bulk material and installed in the CVCS with field
                       welds number 1 and 3 (ref. BRP-CS-2-RB-076). The following records
                       were reviewed:
                       o     B&R Code Data Report
                                                                                              ]
                       o     Field Weld Data Card
                       o     NDE Reports
                       o     QA Receiving Reports (for bulk order)
                       o     Certified Material Test Report (CMTR)
                       The installed spool piece was inspected for weld quality and to
                       verify that marking and traceability requirements had been met. The
                        item had been marked with the spool piece number (3Q1) and the B&R
                       drawing number, however, marking of the material specification
                       number and type, heat code, er other means of traceability could
                        not be found. In respect to material requiring a CMTR, (nominal
                       pipe size greater than 3/4 inch) NA-3766 requires marking with the
                        applicable specification and grade of material and heat number or
                        heat code. When material is divided, the identification marking is
                        required to be transferred to all pieces. This failure to identify
                       material merking is a violation 10 CFR 50, Appendix B,
                        Criterion VIII (446/8505-09),
                  c.    Loop 3 RC Cold Leg - Requiremer.ts for this item are stated in ASME,
                        Section III,1974 edition through summer 1974 adder,da, which is the
                        commitment from the FSAR, Table 5.2-1.    This piping subassembly

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                                               consists of a 27.5 inch cast pipe with a 22 degree elbow on the
                                               reactor end, a 10 inch 45 degree nozzle, a 3 inch nozzle, and three
                                               2 1/2 inch thermowell installation bosses. The following records            ;
                                               were reviewed for the subassembly:                                          ;
                                                                                                                           '
                                               o    .QA Receiving Inspection Report No. 12389
                                               o     Westinghouse Quality Release (QRN 47523)
                                            dW       Code Data Report Form NPP-1
                                               o     27 1/2 inch line CMTR
                                               o     3 inch nozzle CHfR
                                               o      Field Weld Cata Cards
                                               o      NDE Reports
                                                (1) The NRC inspector determined that CMTR's were required by the        
                                                                                                                           ,
                                                      code but were not available for the following items
                                                      .      22 degree elbow                                               !
                                                      .      10 inch 45 degree nozzle
                                                      .      2 1/2 inch thermowell bosses
                                                      This failure to maintain retrievable records is a violation of
                                                      10 CFR 50, Appendix B, Criterion XVII (446/8505-10).
                                                                                                                             1
                                                (2) Sandusky Foundary and Machine Company test report for the cold         )
                                                       leg pipe certifies that material meets requirements of ASME           l
                                                       Section II, 1974 editfors through winter 1975. Southwest              l
                                                       Fabrication and Welding Company code data report NPP-1 Form           l
                                                       certified that the cold leg subassembly met requirements of           )
                                                       ASME Section III, 1974 edition through winter 1975. The FSAR
                                                       commitment is ASME Section III,1974 edition through summer
                                                       1974. This discrepancy is unresolved pending the applihant's
                                                        evaluation to determine if atterial nonconformances exist
                                                        (446/8505-11).
                                                                                                                           '
                                                 (3) The cold leg NPP-1 Form stated that no hydrostatic (Hydro) test
                                                        had been performed.     In discussions with Westinghouse and B&R
                                                        personnel, the statement was made that it is normal practice to      ,
                                                        defer the p.srtial hydro test until tha whole system is hydro        !
                                                        tested. B&R Procedures CP-QAP-12.1 and CP-QAP-12.2 describe          !
                                                        requirements for the test.
                                                        ASME, Section III, (NB-06114(a)) states in respect to the time
                                                        of testing piping subassemblies, that the component test, when
                                                        conducted in accordance with the requirements of NB-6221(a)
                                                        shall be acceptable as a test for piping subassemblies.
                                                        NB-6221(a) states that completed components shall be subjected
                                                        to a hydrostatic test prior to installation in the system.
                                                                                              .
                 **

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                                                     Para' graph (b) of NB-6221 requires pressure testing of all
                                                     pressure retaining components that are within the boundary       .
                                                     protected by overpressure protection. devices and paragraph (c)
                                                     permits substitution of the system test for component test. It
                                                     is not evident that the system test substitution was pemitted
                                                     for pipe subassembly since NA-1200 makes a distinction in the
                                                     definition between components and piping subassemblies. NB-6115
                                                     states that pressure testing of components shall be performed
      ,                                              prior to initial operation of a system and that the Data Report
                                                     Form shall not be completed nor signed by the code inspector and
                                                     the component shall not be stamped until the component manufac-
                                                     turer has conducted the hydrostatic pressure test. Additionally,
                                                     NA-8231 prohibits the application of a Ccde stamp prior to          i
                                                     hydmstatic test regardless of whether the test was perforined
  '
                                                     prior to or after installation of the itism. The NPP-1 Form for
                                                     the cold leg had been completed and signed by the manufacturer
                                                     and Authorized Nuclear Inspector (ANI). An ASME Code Stamp had      .
                                                     also been applied to the ites. The NRC inspector observed that a
                                                                                      .
                                                                                                                         I
                                                    . hydrostatic test had not.been performed and was noted on the
                                                     NPP-1 forri.
                                                     The above items are unresolved pending clarification of code
                                                     requirements by NRC headquarters (446/8ED5)-12).
                                               (4) Since the cold leg pipe subassembly had not been pressure
                                                     testeo prior to installation, the NRC inspector revieweG the-
                                                     procedures and hydro test data applicable to Unit 1, since
                                                     Unit 2 hydro had not been completed. Requirements for the-tests
                                                     were presented in Procedures CP-QAP-12.2, " Inspection Procedure
                                                                                                                         )  '
                                                     and Acceptance Criteria for ASME Pressure Testing" and CP;QAP-12.1,
                                                     ASME Section III Installation, Verification, and N-5 Certifi'
                                                     c6 tion." Procedure CP-QAP-12.1 requires that a data package to
                                                     be used in the test, be prepared with the test boundary and the
                                                     additional following data shown:
                                                     e     Base metal defects in which filler material has been
                                                           added, and the depth of the base setal defect exceeds 3/8
                                                            inch or 10% of the actual thickness, whichever is less.
                                                      o    'Jntested vendor performed piping ciri:umferential welds.
                                                      o    Approximate location and saterial identification and
                                                            description for permanent pressure boundary attachment
                                                           with applicable support number referenced.
                                                      o    Weld history, which shall reflect weld removal End/or weld    q
                                                            repair.                                                      ;
                                                                                                                           ,
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                                      The completed hydro data package (PT-5501) for Unit 1, loop 3
                                      cold leg vas reviewed for compliance with the above
                                       requirements. Drawing No. BRP-RC-1-520-001 had been used to
                                       annotate the test boundary. A handwritten statement on the
                                      drawing indicated: "No major base metal repairs could be
                                       located" and "No hangers with weld attachments could be
                                       lecated." Welds performed by the pipe subassembly vendor,
                                       including the 22 degree circGeferential weld and the
                                      penetration. fittings had not been identified. The'following
                                       items were unresolved regarding the adequacy of the hydro test:
                                      o     Was the tieterwination of no major base metal repairs based
                                            on a visual. inspection or on a review of vendor and site
                                             inspection and. repair records?
                                       o    Was the shop circumferential weld attaching the 22 degree
                                            elbow to the pipe assembly inspected during the test? If
                                             so, where is,the inspection identified?
                                      o     Procedure CP-QAP-12.1 does not require identification of
                                            welds for penetrations into the pipe assembly and they
                                            were not identified on the drawing. Were those welds
                                             inspected? If so, where is the inspection documented?
                                                   '
                                      The ebove issues will remain unresolved pending further
                                      evaluation by the applicant (445/8507-07; 446/8505-13).
                           d.   Personnel Qualifications - Personnel who had performed selected tasks
                                were identified during inspection of installation records. Training
                                and experience records for the personnel were reviewed to verify
                                that employee qualifications and mintenance of records were current
                                and-met requirements. Names or codes for five welders and two NDE
                                examiners, who had performed tasks during installation of the items
                                being inspected, were identified and their qualification records
                                 revicwed. There were no questions in this area of the inspection.
                     15. Special Plant Tours (Unit I and Unit 2)
                          'On May 23, 1985, the NRC inspector conducted a tour of selected areas of
                           Unit I and Unit 2. The group consisted of one NRC inspector, two NRC
                           Technical Review Team (TRT) representatives, two allegers, and several
                           TUEC representatives. The TUEC representatives tagged each area where a
                           deficiency was alleged. With the alleger's consent, a tape recorder was
                           also used to note locations and describe any alleged deficiencies. The
                           allegers indicated that they had identified all deficiencies during the
                           tour and all other deficiencies that they had knowledge The NRC TAT is
                           analyzing this information and will decide what action, if any, should be
                           taken.
                                                                                                                                                         I
                           During this tour the NRC inspector independently identified a                                                                 f
                           questionable' practice in that the top of the the pipe chase at the north end of                                              j
                           room 88 in Unit 1, safeguards building had two large stickers which                                                           j
                                                                                                                                                         !
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                                                                                                             I
                                  stated that areas on the wall were reserved for pipe hangers
                                  GHH-51-1-5B-038-006 and R1(?)1-087-X11. These stickers were dated 1980.
                                  It was ??? evident whether hangers missing or none were needed in these
                                  locations and the reserve tags were not removed. TUEC representative:,
                                  were unable to answer the question immediately. This item is unresolved
                                  pending further review during a subsequent inspection. (445/8507-07;
                                  446/8505-05).
                                  No violations or deviations were identified.
                              16. Routine Plant Tours (Units I and 2)
                                  At various times during the inspection period NRC inspectors conducted
                                  general tours of the reactor building, fuel building, safeguards
                                  building, electrical and control building, and the turbine building.
                                  During the tours, the NRC inspector observed housekeeping practices,
                                  preventive maintenance on installed equipment, ongoing construction work,
                                  and discussed various subjects with personnel engaged in werk activities.
                                  No violations or deviations were identified.
                              17.  Review of Part 21 and 10 CFR 50.55(e) Construction Reports Status
                                  The NRC inspector reviewed all reports issued to date to assure that NRC
                                   and TUEC status logs were complete and up to date. A total of 183
                                   reports have been submitted to date. This inspection period one Part 21
                                   report on Diesel Generator Oil Plugs and two 10 CFR 50.55(e) reports on
                                   the Equipment Hatch Cover and SA106 Piping (light wall) were submitted.
                                  No violations or deviations were identified.
                              18.  Review of Violation and Unresolved Item Status
                                  The NRC inspector reviewed all violations and unresolved items reported
                                   to date to assure that NRC and TUEC status logs were complete and up to
                                   date. Two hundred nineteen items were reviewed. In addition, a trend       i
                                   analysis of NRC findings was performed to generally determine how many    )
                                   findings could be broadly classified under each criterion of 10 CFR,      J
                                   Part 50, Appendix B. The frequency of findings showed broad and general
                                   trends under the following criteria: II. QA Program; III. Design Control;
                                   V. Instructions, Procedures and Drawings; VII. Control of Purchased
                                   Material Equipment and Services; IX. Control of Special Processes; X.      l
                                   Inspection; XI. Test control; XIII. Handling Storage and Shipping; XVII.   l
                                   QA Records; and XVIII Audits. The most significant trends were             '
                                   Criterion III, V, VII, IX, X, and XVIII. Also, a number of violations
                                   occurred with respect to 10 CFR 50.55(e) items.
                                   These findings mainly pertained to Unit I and related closely to trends
                                    identified by the NRC Technical Review Team TRT. These trends will be
                                   considered during followup on TRT findings. Also, Unit 2 inspection         ,
                                   emphasis will consider these trends during future inspections.             j
                                   No violations or deviations were identified.
                                                                                                               l
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                                                                                                                                       a

K 19. Exit Interviews

                                                    ~

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                                The NRC inspectors met with members of the TUEC staff (denoted in
                                paragraph 1) on May 10 and June 10, 1985. The scope and findings of the                               j
                                inspection were discussed. The applicant acknowledged the findings.
    ),    .
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                                                                  UNrTED STAT 2s       j                   i
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                        ,,                             NUCLEAR REGULATORY COMMi&SION             -
                       !             $                              REoloN IV
                           %.....#                             1uo
                                                                                                        I . y '~ '     *
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                              In Reply Refer To:
                                                                                                         '
                              Dockets: 50-445/85-07                                                                          ,    1
                                          50-446/85-05                                                       ;
                                                                                                                      ,,
                                                                                                                         .
                                                                                                                           w     ] 1
                                                                                                                !.c
                              Texas Utilities Electric Company
                              ATTH:    M. D. Spence, President, TUGC0
                              Skyway Tower
                              400 North Olive Street                                                                              ,
                              Lock Box 81                                                                                         l
                              Dallas, Texas      75201                                                                            )
                              Gentlemen >
                              Titis refers to the inspection conducted under the Resident Inspection Program
                              by Mr. H. S. Phillips and others during the period April 1, 1985, through
                              June 21, 1985, of activities authorized by NRC Construction Pamits CPPR-125 and
                              CDPR-126 of.the Comanche Peak facility, Units 1 and 2, and to the discuslion
                               U our findings with Hr. J. T. Merritt, and other members of your staff at the
                              conclusion of the inspection.
                              Areas examined during the inspection included plant status, action on previous
                              NRC inspection findings, action on applicant identified design construction
                              deficiencies (10 CF; Pert 50.55(e) reports) and plant tours. Within these
                              areas, the inspection consisted of selective examination of procedures and
                              representative recceds, interviews with personnel, and observations by the
                              inspectors. These findings are documented in the enclosed inspection report.
                              During this inspection, it was found that certain of your activities were in
                              violation of NRC requirements. Consequently, ycu are required to respond to
                              this violation, in writing, in accordance with the provision of Section 2,201
                              of the MRc's " Rules of Practice," Part 2, Title 10, Code of Federal
                              Regulations. Your response should be based on the specifics contained in the
                              Notice of Violation enclosed with this letter.
                               T                                        rele /ed' l4 k'N
                                          '
                                             le,4rn; my /c                                                          ddber'
                              by A4e NE                         ae&J &new T'                  !;e d . 7 /* N '
                              is::rrer ore cow &                               H dub, y6.v mw
                              Yt$f4n/                    e / /enry -lllfcp         e/ pp gf for/ p /                         <
                             /           oma.ede #caJc Wesponse fes,,,,,, Ac                         *
                                                                                                                L*
                                                                EXHIBIT 12 3
                                                                                                                               ll
_ ____ __           _
                              ,
          .t
          -
               . .*
             .
                                           ;
                                                           APPENDIX A
                                                      NOTICE OF VIOLATION
                  Texcs Utilities Electric Compan,y                           Docket: 50-445/85-07
                  Comancho Peak Steam Electric Station                                  50-446/85-05
  -                    Units 1 and 2                                          Permit: CPPR-126
                                                                                        CPPR-127
l
                  During an .NRC inspeccion conducted on April 1 through June 21, 1985,
                 ' violations of NRC requirements were identified. The violttions involved a
                 - failure to correct RTE Delta hardware problems; failure.to use class "E"              ;
                  concrete (grout) as specified; failure to document unsatisfactory conditicas
                  during receipt. inspection of the Hydrogen recombiners; failure to inspect
                  concrete mixer blades quarterly; failure to document cement scales which were
                  out of calibration; failure to translate design criteria for reactor vessel
                    installation into specifications, procedures, and drawings; failure to maintain
                   stated tolerances and to report the failure on a nonconformance report; failure
                   to audit RPV specifications / procedures, installation, and as-built records;
                    failure to properly identify a charging system spool piece; and failure to
                   furnish or maintain records for reactor coolant systems materials. In accor-
                   dance with the " General Statement of Policy and Frocedures for NRC Enforcement
                 . Actions "10 CFR Part 2, Appendix C (1985), the violations are listed below:
                    1.    Failure to Promptly Correct an Identified Problem with RTE - Delta
                          Potential Transformer Tiltout Subassembliess                                   f
                          10 CFR 50, Appendix B, Criterion XVI as implemented by the Texas
                          Utilities Generating Cc ,, y (TUGCO)' Quality Assurance Plan, Section_
                          Revision       requires that measures shall be established to assure that
                            onditioWa,dverse to quality, such as failures, malfunctions, deficien-       !
                          cies deviations, defective material and equipment, and nonconformances are
                          promptly identified and corrected.                                              i
                          Contrary to the above, a potential problem with RTE - Delta potential
                           transformer t11 tout subassemblies, which are used in the emergency diesel
                           generator control panels, was identified to the applicant via a letter,
                           dated June 15, 1933, from Transamerica Delaval Inc. This letter also           j
                           provided instructions for correcting the potential problem. However, the
                           applicant did not perform the corrective action. The NRC initially
                           reported this item as unresolved in NRC Inspection Report 445/84-40.
                                                                                                          l

l- This is a Severity Level V Violation, (supplement II.E) (445/8507-01 l

                           446/8505-01).
                     2.    Commercial Grout Used in Lieu of Class "E" Concrete
                           10 CFR Part 50, Appendix B, Criterion V, as implemented by the TUGC0 QA     -
                           Plan, Section 5.0, Revision _ _, requires that activities affecting quality /
                           shall be prescribed by documented instructions, pro:edures, or drawings,
                           of a type appropriate to the circumstances and shall be accomplished in
                           accordance with these instructions, procedures, or drawings.
                                                                                                          I
                                                                                                          l
 - _ - _ - - _
                                                                                             *
                                                                                      :. .               q   ,
                 ,
                   ',                                                            -
                                                                         g4 dr w w                     .
                     . !n Reply Refer To:                                                                    l
                      Dockets: 50-445/85-07                                                .                 t
                                 50-446/85-05                                                                1
                                                                               ,                  *
                                                                   ,   I

l Texas Utilities Electric Company

                      ATTH:   M. D. Spence Fresident, TUGC0                        f
                                                                                               '
                                                                                                             l
                      Skyway Tower
                      400 North Olive Street
                                                                                   ( W _g{" L              J
                                                                                                             j

l Lock Box 81

                      Dallas, Texas     75201                                                               J
                      G(ntlemen:                                                                             j
                      This refers to the inspection conducted under the Resident inspection Program
                      by Mr. H. 3. Phillips and others during the period April 1,1985, through
                      June 21, 1965, of activities authorized by MRC Construction Permits CPPR-125 and
                      CPPR-126 of the Con.anche Peak facility, Units 1 and 2, and to the discussion
                      of our findings with Mr. J. T. Merritt, and other members of your staff at the
                      conclusion of the inspection.                                                        3

,

                      Areas examined during the inspection included plant status, action on previous

l NRC inspection findings, action on applicant identified design construction

                      deficiencies (10 CFR Part 50.55(e) reports) and plant tours. Within these
                      areas, the inspection consisted of selective examination of procedures and
                      representative records, interviews with personnel, and observations by the
                      inspectors. These findings are documented in the enclosed inspection report.
                     During this inspection, it was found that certain of your activities were in
                     violation of NRC requirements. Consequently, you are required to respond to
                     this violation, in writing, in accordance with the provision of Section 2.201
               -
                     of the NRC's " Rules of Practice," Part 2, Title 10, Code of Federal
                     Regulations. Your response should be based on the specifics contained in the
                     Notice of Vialation enclosed with this letter.
                                                               .
                                                                                                           1

,

                     RPB2/8                            C/RPB2        NRR

l C/RPB21@tDHunter

                     HSPhillips/dc DHunnicut                         VNoonan

l P/I /B5 10/L/S5 / /85 / /85 t

_ _-

                                                   . . .
      -
                                ..                                   J
           Texas Utilities Electric Company          2
                                                                               -
                                                                                 .
           Should you have any questions concerning this inspection, we will be pleased
           to discuss them with you.
                                                    Sincerely.
                                                    R. P. Denise Director
                                                    Division of Reactor Safety
                                                        and Projects
          Enclosures:
          1.    Appendix A - Notice of Violation                                                      1
          2.    Appendix B - NRC Inspection Report
                              50-445/85-07
                              50-446/85-05
          cc w/ enclosure:
          Texas Utilities Electric Company
        . Skyway Tower
          400 North Olive Street
          Lock Box 81
          Dallas, Texas     75201
         Texas Utilities Electric Ccmpany
         ATTN: . J. W. Beck, Vice President
          Skyway Tower
          400 North Olive street
    -
         Lock Box 81
         Dallas, Texas     _75201
         bec distrib. by RIV:
         TEXAS STATE DEPARTHENT OF HEALTH
         bec: to DHB(IE01)
         bec distrib by RIt:
         ~*RPB1                     * Resident Inspector OPS
         *RPB2                      * Resident Inspector CONS
         R. Martin, RA              * D. Hunnicutt Chief, RPB2/B                                       i
         R. Denise, D/DRSS            V. Noonan, WRR
         C. Wisner PA0                 S. Treby, ELD
                                                                                                        .
                                                                                                        4
         MIS SYSTEM                    RIV File
         Juanita Ellis                 Renea Nicks                     -
         *D   Weiss, LFMB (AR2015)                                                                      )
         *w/766
                                                                                                        ;
                                                                                                        i
                                                                                                        l
                                                               -
                                                                                        _ _ - - _ - -
 - _ -
                                                          ..
        .
                                    i.                                      )
                                                                                        .
                                                       APPENDIX A
                                               NOTICE OF VIOLATION
                                                                                                                 i
           Texas Utilities Electric Company                                 Docket: 50-445/85-07
           Comanche Peak Steam Electric Station                                      50-446/85-05
               Units 1 and 2                                                Peruft: CPPR-126
                                                                                                                ,
                                                                                                                I
                                                                                     CPPR-127                    l
           During an kRC inspection conducted on April 1 through June 21, 1985,
           violations of NRC requirements were identified. The violations involved a
           failure to correct RTE Delta herdware problems; failure to use class *E'                             )
                                                                                                                 i
           concrete (grout) as specified; failure to document unsatisfactory conditions                       .j
           during receipt inspection of the Hydrogen recombiners; failure to inspect                           i
           concrete mixer blades quarterly; failure to document ennent scales which were
           out of calibration; failure to translate design criteria for reactor vessel                         j
           installation into specifications, procedures, and drawings; and failure to                          1
                                                                                                                j
          maintain stated tolerances and to report the failure on a nonconfomence report.
           In accordance with the " General Statement of Policy and Procedures for PRC Enforcemen
          Actions "10 CFR Part 2. Appendix C (1985), the violations are listed below:
           1.      Failure to Promptly Correct an Identified Problem with RTE - Delta
                   Potential Transformer Tiltout subassemblies
                   10 CFR 50, Appendix B, Criterion XVI as implemented by Texas Utilities
                   Generating Company (TUGCO) Quality Assurance Plta (QAP), Section 16.0,
                   Revision 0, requires that measures shall be established to assure that
      -
              .
                   conditions adverse to quality, such as failures, malfunctions, deficien-
              k promptly identified and corrected.cies deviations, defective material and equip
                   Contrary to the above, a potential problem with RTE - Delta potential
             4     transformer tiltout subassemblies, which are used in the emergency diesel
              I
                   generator control panels, was identified to the applicant via e letter,
                * dated June 15, 1983, from Transamerica Delaval Inc. This letter also
                   provided instructions for correcting the posential probles. However, the
                   applicant did not take the corrective action. The NRC initially
                   reported this ites as unresolved in WRC Inspection Report 445/84-40.

I

                  This is a Severity Level V Violation. (Supplement II.E) (445/8507-01
                  446/8505-01).
          2.      Commercial Grout Used in Lieu of Class *E' Concrete
                  10 CFR Part 50 Appendix B, Criterion Y, as implemented by the TUGC0 QAP,
                  Section 5.0, Revision 2 requires that activities affecting quality shall
                  be prescribed by documented instructions, procedures, or drawings, of a
                  type appropriate to the circumstances and shall be accom
                  dance with these instructions, procedures, or drawings. plished in accor-
                                                    . - _         _ _ - _ _               _ _ _ _ _ _ _ _ _ -
                      _ - _ _ _ .
                                                    , -
                                          .                        :
                                                                                                          )
                                                                                        -2-
                                                                                                                    -
                                                                                                                      .
                                                     Contrary to the above, comercial non-shrink grout was used to grout the k
                                                     Unit i reactor coolant pump and steam generator supports in lieu of Class
                                                     "E" concrete as specified in Section 6-6 of drawing 2323-51-0550,
                                                    Revision 4.                                                                    .
                                                                            ,
                                                                                                                                  gW
                                                    This is a Severity Level IV Violation.- (Supplement !!.E) (445/8507-02).
                                              3.    Hydrogen Recombiners - Out of Specification Voltage Recorded on
                                                    Westinghouse Quality Rilease Document                                              {
                                                                                                                                       '
                                                    10 CFR Part 50 '. Appendix B, Criterion V, as implemented by the TUGC0 QAP,
                                                    Section 5.0., Revision 2 requires that activities affecting quality
                                                    shall be prescribed by documented instructions, procedures or drawings, of
                                                    a type appropriate to the circumstances and shall be accomplished in
                                                                                                                                       !
  ,
                                                    accordance with these instructions, procedures, or drawings.                     )
                                                    Brown and Root Procedure QI-QAP-7.2-8 " Receiving of Westinghouse $afety         .
                                                    Related Equipment" Section 3.1.d.1, required a QC inspector to verify
                                                   that the Westinghouse Quality Release (QR) document checklist items be
                                                   filled out completely and accurately.
                                                   Contrary to the above, the voltage recorded on Westinghouse QR 41424
                                                   checklist, attachment 1, step 4.1, was outside the specified tolerance,
                                                   but the QC receipt inspector accepted QR as satisfactory.
                                                   This is a Severity Level V Violation (Supplement II.E) (445/8507-03).             !
                                             4.
                                                   Failure to Provide Ob.iective Evidence (Records) to Show that Concrete
                                                   central and Truck Mixer Blades were Inspected                                     I
                                     -                                                                                                 )
                                                   10 CFR Part 50, A
                                                   QAP, Section 5.0,ppendix
                                                                      Revision8.2,Criterion
                                                                                   dated MayV, as
                                                                                                21,implemented  by that
                                                                                                    1981, requires  the TUGC0
                                                                                                                        activities
                                                   affecting quality shall be prescribed by documented instructions,
                                        'g 7       procedures, or drawings, of a type appropriate to the circumstances and
                                       dy          shall be accomplished in accordance with these instructions, procedures,
                                                  or drawings.
                                       \[j        Brown & Root Procedure 35-1195-CCP-10 Revision 5 dated December 4,
                                           *  1e 1978, requires that central and truck, mixer bladas be checked quarterly
                                                  to  assure
                                                  blade       that mixer blade wear does not exceed a loss of 105 of original
                                                          height.
                                                  Contrary to the above, on May 31, 1985, the NRC inspector determined that
                                                  there was no objective evidence (reenrds) that the mixing blades had been
                                                  inspected quarterly since the trucks were placed in service in 1977.
                                                  This is a Severity Level V Violation. (Supplement II.E) (445/8507-04;
                                                  446/8505-02).                                                                        i
                                                                                                                                       !
                                                                                   10
                                                                                                      *
                                                                                                        y   &W
   .
                                                                                                            dm9
 _ . _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _
            ,                                               .,          .
                   .                            5
                                                                                      )
                                                                    -3-
                       5.      Fail   e to issue a Ceficiency Report on Cement Scales That Were Out of
                              '10 CFR Part 50, Appendix 8 Criterion V, as implemented by the TUGC0 QAP,
                               Section 5.0, Revision 2, dated May 21, 1981, and Section 15.0, Revision 4,
                          * dated July 31, 1984, requires that activities affecting quality shall be
                               prescribed by documented instructions, procedures, or drawings, of a type

" ( appropriate to the circur.tstances and shall be accomplished in accordance

                               with these instructions, procedures, or drawings.
              /
                               Brown & Root Procedure CP-QAP-15,1 "F,teld Control of Nonconforming
 :                           ' Item. * states that nonconforming co,nditions shall be documented in a              ,
                                                                                                                  j
                               Deficiency and Disposition keport (DDR). Procedure CP-QCP-1.3. * Tool
                               Equipment Calibration and Control,' ' dated July 14,1975, states that
                              out-of-calibration equipment shall be identified on a DDR.

l

                              Contrary to the above, on May 31 1985 the NRC ins ter reviewed the            W41"   l

l

                              calibration file for scale (MTE i79) us,ed for weigh ng cement and found         7
                     s
                            'that a 24-48 pound deviation from the required accuracy was encountered
                              with the water and cement scales during a 1975 calibration of the backup
                       Q plant scales, however, no DDR was issued to identify this condition and
                   C, require dispositten of the scale and concrete Qf any) produced.
                             This is a Severity Level !Y Ytolation. (Supplement II.E) (445/8507-06;
                             446/8505-04).
                     6.      Failure to Translate Deston Criteria Into Installation Specifications.
                             Procedures, and Drawings; and Failure to Control Deviations from These
   ,                         Standards
          -
                             10 CFR 50, Appendix B, Criterion III, as im
                            Section 3 Revision 3, dated July 31,1984,plemented             bymeasures
                                                                               requires that  TUGC0 QAP,
                                                                                                      shall
                            be established to assure that applicable regulatory requirements and the
                            design basis, are correctly translated into specifications, drawings,
                            procedures, and instructions. These measures shall include provisions to
                            assure that appropriate qvality standards are specified and included in
                            design documents _ and that deviations from such staredards are controlled.
                            Contrary to the above, Unit 2 reactt,r pressure vessel installation criteria
                            such as centerin
        ,
                           clearances were:g(toleranccs,
                                                   a) specified levelness tolernaces, sad shoe to bracket
                                                                on Construction       ration Traveler
                          ' E 79-248-5500 based on NS$$ vendor recommended riteria which had not
                            been translated into CPSES specifications, drawings, procedures, or
                            instructions; and (b) changed on the traveler without appropriately
                                                                                                                 ,
                           documenting such engineering changes.                                             '
                 /         This is a Severity Level IV Yiolation (Supplomaat II.E). (446/8505-05).
                                  I s                                 A             f                  "
                                  7,               ,      4.tA                           awrn.n   r              )
     ..
                 _ _ _ _ _____ __ - -
                                                                                      .
                                                                                                               -
                                                                                                                                                  )
                                                                                                                                   4
                                                                                                                                                                                                          .
                                                                                          7.    Feilure to Maintain Tolerances Reouired and Failure to Report Tolerance
                                                                                               Deviations on a Nonconformance Report                                                                        ~
                                                                                          10 CFR 50, Appendix B, Criterion XY as implemented by the TUGC0 QAP,
                                                                                         Section 15.0, Revision 2 dated May 21, 1991, requires that measures shall be
                                                                                         established to control materials, parts or components which do not conform
                                                                                         to requirements; and nonconforming items shall be reviewed and accepted.

.

                                                                                         rejected, repaired; or reworked in accordance with documented procedures.

1

                                                                                               Brown and Root Quality Assurance Manual, Section 16 dated March 27
                                                                                               1985, requires that unsatisfactory conditions identified on process,
                                                                                               control documents shall be identified on a nonconforming report.
                                                                                               Contrary to the shove, clearances between the reactor vessel support
                                                                                               brackets and support shoes were not within the original or revised                                                                                             E
                                                                                               permissible tolerance stated in Construction Operation Traveler
                                                                                               ME-79-248-55 and the deviation was not reported on a nonconformance
                                                                                               report.                  .
                                                                                               This is a Severity Level !Y Yiolation. (Supplement II.E) (446-8505-06)
                                                                                         Pursuant to the provisions of 10 CFR 2.201, Texas Utilities Electric Company
                                                                                         is hereby required to submit to this office, within 30 days of the date of
                                                                                         this Notice, a written statement or explanation in reply, including: (1) the
                                                                                         corrective steps which have been taken and the results achieved; (2) corrective
                                                                                         steps which will be taken to avoid further violationst and (3) the date when
                                                                                         full compliance will be achieved. Consideration may be given to extending your
                                                                                         response time for good cause shown.
                                            .
                                                                                         Dated:

1

                                                                                                                                             .
 _ _ _ _ _ _ _ _ _ _ _ _ _ . . _ _ _ . _ _ . _ _ _ _ . - - - - - . - - - - - - - - - - -                                                            " - - - - ~ - - - ' - " ' ' ^ ' ' - - ' ' ' - ' ' - ~     " ' ' - - ~ ~ - - ' - ^ - - - - ~ ~ - - - ' - -
                                                     *
                                                                                 l
 .
                                                                                 l
   .
                                                                :)
                                              APPENDIX B
                                                                            '
                                                                              '
                                U. S. NUCLEAR REGULATORY COMISSIO;4
                                               REGION IV
        NRC Inspection Report: 50-445/85-07                    Permit: CPPR-126
                                  50-446/85-05                          CPPR-127
        Docket: 50-445; 50-446
                                                                                 )
                                                                                 i
       Applicant: Texas Utilities Electric Company (TUEC)                        ]
                     Skyway Tower
                     400 North Olive Street
                     Lock Box 81                                                 ;
                                                                                 j
                     Dallas, Texas      75201
       Facility Name: Comanche Peak Steam Electric Station (CPSES)
     .
                         Units 1 and 2
       Inspection At: Glen Rose, Texas
       Inspection Conducted: April 1,1985, through June 21, 1985
       Inspectors:            '
                                        _42     ad/             /0     [ff
                      H. 5. Phillips, Senior Resident           Date
                       Reactor Inspector Construction
                      (pars. 1, 2, 3, B, 9, 10, 11, 15, 16,
                         17, 18, and 19)

~

                  d
                    & bh Ms                                     W1/ts
                      J. E. Cursr. ins, senior Resident Reactor Date
                   J     Inspector Construction (April 1 - May 10,1985)
                      (pars. 1, 3, and 19)
                                   *
                                                f
                      D. E. Norman, Reactor Inspector
                                                                 /Af//W
                                                                Date
                      (pars. 1, 12, 13, 14, and 19)
                      dk A., a w-                              Adskr             !
                      D. M. Hunnicutt. Section Ghtef            pate
                        Reactor Projects Branch 2
                     (pars. 1, 4, 5, 6, 7, and 19)
                                                                                 1
                                                                                 )
   .,.                                               .
                                                            .
                                                                                                                                  i
                                                                   ~
                                                   -2-
                                                                                                               k &
 .
                                                                                                                ,
                                                                                                                         )
                                                                                                                     -
                                                                                                                           Of
           Approved:       dbf#                                   //.2/F5
                           D. M. F.unnicutt, section chief,                  pate
                             Reactor Project Section B
            Inspection Sunnary
           Inspection Conducted April'1.1985, through June 21.1985(Report 60-445/85-07)
           Areas Inspected: Routine, announced and unannounced inspections of Unit I
           which included plant tours and review of plant status, action on previous WRC
           inspection findings (viciations/ unresolved items), review of documentation for

'

           site dams, and review of 10 CFR Part 21 and 10 CFR part 50.55(e) construction
          deficiency   status. The inspection involved '7 inspectorehours pnsite by,
           four NRC inspectors.                                                                                            ,    .
                                                              - Q41
                                                                                                                       _
                                                                                                                  _y         gp
           Results: Within'the areas inspected, fiME. violations were identified: fail-
           ure to promptly correct an identified problem with RTE Delta Potential
                                                                                                                              N
          Transformer Tiltout Subasseabites, paragraph 3.a.; commercial non-shrink grout
          was used to grout the Unit I reactor coolutt pump and steam generator supports
           in lieu of Class *E" concrete, paragraph 3.b.; hydrogen recombiners out-of-
          specification voltage recorded on quality releasa document but QC receipt
           inspector accepted, paragraph 3.c; failure to provide objective evidence to
          show that central and truck mixer blades were inspected, paragraph 8; and
          ftilure to issue a deficiency report on cement scales that were out-of-calibra-
          tion, paragraph 9.c.
          Inspection Susmary
       -
          Inspection Conducted April 1.1985, through June 21.1985(Reportd6/85-05)
         Areas Inspected: Routine, announced and unannounced inspections of Unit 2
         which included plant tours and review of plant status, action on previous NRC
          inspection findings (violations / unresolved items), review of documentation for
         site dams, review of documentation for voids behind the stainless steel cavity                                           I
         itner of reactor building, observation of NDE on liner plates, inspection of
         concrete bate plant, review of calibration laboratory records for batch
         plant, revies af concrete laboratory testing, inspection of level C and D                                                1
         storage, review of reactor pressure vessel (RPV) and piping reconis/coepleted
         work, and review of 10 CFR Part 21 and 10 CrA Pa:4 50.55(e) construction
         deficiency status, and review of violation and unresolved items status. The
          inspection involved 335 inspector-hours onsite by four NRC inspectors.
         Results:~ Within the sixteen areas inspected five violations were identified:
         failure to correct RTE-Delta transformer problem, paragraph 3.a; failure to
         provide objective evidence to show that concrete central and truck sixer blades
         were inspected, paragraph 8; failure to issue a deficiency report on cement
         scales that were out-of-calibration, paragraph Sc; failure to translate design
         criteria into specifications, procedures, and drawings, paragraph 12a.; and
         failure to maintain RPV installation tolerances /doclament deviations in a
         nonconformance report, paragraph 12b.
                                                                                                                                    l
                                                                                                                                   i
                                                                     _ _ _ _ _ _ _ - _ _ - - - _ - _ - _ - - -
                                                                                                                                     ._- _ _ _ _ _ _ _
                                                                                                        .
                                                                                  .('
                                                                                   *
                                                                                                      -3-
                                                                                                                                 O.g
                                                                                                    DETAILS
                                                            1.-    Persons Contacted
                                                                   Applicant Personnel
                                                                   M. McBay, Unit'2 Reactor Buf1 ding Manager
                                                                   B. Ward, General Superintendent, Civil
                                                                   D. Chandler, QA/QC Civil Inspector
                                                                   W. Cromeans, QA/QC, TUGC0 Laboratory / Civil Supervisor
                                                                *fJ. Merritt, Assistant Project General Manager
                                                                *fP. Halstead, Construction Site QA Manager
                                                                 #C. Welch, QA Supervisor TUGC0 (Construction)
                                                                  J. Walters, TUGC0 Mechanical Engineer
                                                         .
                                                                  K. Norman, TUGC0 Mechanical Engineer
                                                                  J. Hite, B&R Materials Engineer
                                                                  G. Purdy, B8R CPSES QA Manager
                                                                  * Denotes those present at May 10, 1985 exit interview.
                                                                  # Denotes those present at June 10, 1985 exit interview.
                                                           The NRC inspectors also interviewed other applicant employees during this
                                                           inspection period.
                                                           2. Plant Status
 '
                                                                  Unit _1
                            -
                                                                  At the time of this inspection, construction of Unit I was 99 percent
                                                                  complete. The fuel loading date for Unit 1 is pending the results of
                                                                  ongoing NRC reviews.
                                                                  Unit 2
                                                                  At the time of this inspection, construction of Unit 2 was approximately

i 74 percent complete. Fuel loadin ,

                                                                  months after Unit 1 fuel loading.g is scheduled for approximately 18
                                                           3.     Applicant Action on Previous WRC Insoection Findines
                                                                  a.
                                                                        (Closed) Unresolved Ites 445/8440-02: Potential Problem with
                                                                        Potential Transfomer T11 tout subasseelies.
                                                                        By letter dated June 15, 1983, Transamerica Delaval notified the
                                                                        applicant of an RTE - Delta 10 CFR Part 21 report to the NRC
                                                                        reporting a potential problem with the primary disconnect clips of
                                                                                                                                                       1
                                                                                                                                                       )
        .
   _ _ _ _ _ _ _ _ _ _ . _ _ _ _ _ . _ _ _ - - _ . - - -

,

                                                        O                          1
   -
                                        -4-
                                                                                   ;
                                                                  .
                                                                    ..
          the potential transformer tiltout assembly used in the emergency
          diesel generator control panels at CPSES. The Transamerica Delaval
          letter also provided instructions for correctin the problem.
          However, the NRC inspector could not determine f the problee~had         l
          been corrected at CPSES and made this an unresolved ites. The
          applicant detemined that the probles had not been corrected and
          subsequently performed the recommended corrective action. The            j
          Unit 1 corrective action work activities were documented on startup      1
          work permits 2-2912 (train A)~ and 2-2914 (train 8). The Unit 2 work     I
          activities are being tracked as master data base (MDB) ites 3003-31.     I
         The failure to promptly correct this identified problem is sin apparent
          violation (445/8507-01; 446/8505-01).
                                                                                 -4
     b.
          (Closed) Unresolved item 445/8416-03: Commercial Grout Used in Lieu      ]
         of  class "E' concrete
         The applicant determined that the use of non-shrink commercial grout      j
         in lieu of the Class *E" concrete specified on drawing 2323-51-0550
         was acceptable. Design Change Authorization 21179 was issued to
         drawing 2323-51-0550 accepting the use of the commercial non-shrink
         grout. However, the failure to grout with Class *E" concrete as
         specified on the drawing at the time the work was accomplished is an
         apparent violation (445/8507-02).
     c.  (Closed) Unresolved Item 445/8416-04: Hydrocen Recce6tners -             I
        Dut-of-5 specification Voltage Recorded on Westinghouse Quality             i
         Release Document                                                          i
        Quality pelease N-41424 was' revised changing th? specified voltage
 -      from 10+-2Y to 12+-2V which put the questionable voltage within
        specification limits. However, the failure of receipt inspection to
        verify that the QRN-41424 was filled out accurately as required by
        Procedure QI-QAP7.2-8 is an apparent violation (445/8507-03),
     d.  (0 pen) Unresolved Item 445/8432-06: 446/8411-06: Lobbin R(port
        Described site surveillance Program Weaknesses
        During this reporting period the NRC inspector reviewed the status
        of this open item several times and interviewed TUEC management and
        site surveillance personnel. The Lobbin report stated that the
        scope and objectives of the site surveillance program were unclear,
        lacking both purpose and direction.
        There is no specific regulatory requirement to have a surveillance
        program; however TUEC connitted to have a surveillance progras and
        has established procedures to implement such a program as a part of
        the 10 CTR part 50, Appendix B, QA program. This extra effort is a
        strength; however, the NRC inspector also observed, as did the Lobbin
                                              .
                                                                                             . _ _ _ _ _ _ _ _ _ _ - _ _ _ _ _ _ _
                 ,
                                                               . - -
                     -
                                          t                                  O                                                     !
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                                                                  5
                                                                                        .
                                                                                          ..
                                 Repori., that the surveillance program lacks both purpose and direction
                                 to be effective and complimentary to the audit and inspection programs.
                                 Since the TUEC audi? group is not located on site, the TUEC surveil-                              '
                                 lance program on site takes on added significance.
                                 This item was discussed with the TUEC site QC manager who described
                                 a reorganized site surveillance function and changes that have
                                 occurred. New procedures which describe this organization's duties
                                 and responsibilities are forthcomfag.
                                TUEC has elected to defer responding to the violations pertaining to
                                 the audit function in NRC Inspection Report 445/84-32 446/84-11,but
                                rathe to have the Comanche Peak Response Team (CPRT); respond to                                    I
                                this / aport and other QA matters. The surveillance issue is closely                                 l
                                tied to the audit deficiencies in NRC Inspection Report No. 445/84-32;                              j
                                446/84-11. This item will remain open pending the review and imple-                                 j
                                eentation of the CPRT action plan. A special point of interest                                       i
                                will be how audits and surveillance wors together to evaluate the                                    !

l

                                control of all safety-related activities on site to assure quality,                                  j
                                especially the overview of quality control effectiveness.
                       4. Document Inspection of Site Dams
                                                                                                                                     1
                                                                                                                                     1
                          The WRC inspector reviewed documents describing the inspection activities
                          performed on the Squaw Creek Dcm (SCD) and the safe shutdown impoundment
                           ;SSI) for impounding cooling water for the two units at CPSES. The                                      -
                          purpose of the SCD is to impound a cooling lake for CPSES. A secordary
                          reservoir (SSI) is formed by a channel connecting the SCD impoundment to                                   I
                          the SSI.
                   -
                          Three documented inspections have been performed since 1980. The
                          inspections were:                                                                                        q
                                                                                                                                     l
                          a.   Relevant data for SCD is contained in Phase ! Inspection, National                                    I
                               Dam Safety Program, Squaw Creek Dam, Somervell County, Texas Brazos

. l '

                                River Basin, inspection by Texas Department of Water Resources.
                               Date of Inspection: June 10,1980.                                                                    1
                                                                                                                                     l
                          b.    Inspection on August 25, 1982, by registered professional engineers
                               from Mason-Johnston & Associates, Inc., and Freese & Nichols, Inc.
                          c.    Inspection on September 19, 1984, by a registered professional
                               engineer from Mason-Johnston & Associates. Inc.
                          The inspection activities consisted of visual inspections by inspection
                          teams that included accompanying Texas Utilities Service. Inc. (TUSI).
                          and Texas Utilities Generating Cempany (TUGCO) representatius.
                          Photographs were taken as a pcrt of the documentation. The data for the

1 !

 - - _ __ _ ____
                                                                      _
                            '
                                                                                      )
                                                                      -6-
                                                                                                 .
                                  piezometer observations and the data for the surface reference monuments
                                 were reviewed by applicant personnel and Mason-Johnston engineers.
                                 No items of significance were observed or reported by these inspection
                                 teams. Slight erosion areas were observed and reported. A cracked area
                                  on the service spillway upstream right bridge seat was observed by the
                                  inspection teams and continued monitoring nf this area was reconnended by
                                 Mason-Johnston and Associates. No signs of cracks, settlements, or
                                 horizontal movement at any location within the SCD or the SSI were
                                 reported.
                                 The NRC inspector reviewed the applicant's records and the Mason-Johnston
                                  inspection reports. These documents indicated that the SCD and SSI were
                                 structurally stable and that the applicant was performing inspection
                                 activities to maintain the structurel integrity of these dams.
                                 The state of Texas requires periodic inspections of these dams
                                  (principally the SCD) due to inhabited dwellings downstream. The
                                 applicant has met these inspection requirements.
                                 No violations or deviations were identified.
                              5. Voids Behind the Stainless Steel Cavity Liner in Unit 2 Reactor Building
                                 The NRC inspector reviewed applicant records, including NCR G-52-0120Z;

. I

                                 NCR C-1784, Rev.1; NCR C-1784, Rev. 2; NCR C-1766, Rev.1; NCR C 1791,
                                 Rev.1; WCR C-1824. Rev.1; NCR C-1824. Rev. 2; Significant Deficiency
                                 Analysis Report (SDAR) - 26, dated December 12, 1979; DCA-20856; and
                                 Gibbs and Hill Specifict. tion 2323-S5-18. The review of records and
                                 documentation and discussions with various applicant personnel indicated
                                 the following:
                        *
                                       Structural concrete was placed in Unit 2 reactor building at
                                       elevation 819 feet 6-3/4 inches to 846 feet 6 inches on June 21,
                                       1979. This concrete was placed adjacent to the stainless steel
                                       liner walls. The concrete forms for this pour were not removed
                                       until October 1979 due to subsequent concrete placements for the
                                       walls to elevation 860 feet 0 inches. When the forms were removed,
                                       honeycombs and voids were observed by applicant personnel. The
 .<                                    applicant's review of the extent of unconsolidated concrete resulted
                                       in the issuance of SDAR-26 on December 12, 1979. Investigations
                                       were begun and Heunow and Associates (ME) of Charlotte, North        {!
                                       Carolina, were contracted to perform nondestructive testing on       !
                                       in-place concrete. MM performed thase tests on a two foot grid       l
                                       pattern on the compartment and liner sides of all four steam         '
                                       generator (SG) compartment walls. The selected test locations did
                                       not include the locations where the voids wre later found to be
                                       located; therefore, the voids were not detected during the MM
                                       testing.
                                                                                                            .
                                                                                                            !
                          s                                                                                  1
                                                                                 .
    _ _ _ _ _ _ _ _ . .

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

                                                    _ - _ _ _ _ .      _.   .               -   -- __        - _ - _             . _ _ - _- ---
                             . .                                                    ..
                                 ,
                                                                    ~.                                 )
                                                                                   -7-
                                                                          .
                                                                                                                     .
                                                                                                                       ..
                                                In August 1982, preparations were made to pour the concrete annulus
                                               around the reactor vessel. When the expanded metal fonswork was
                                               removed from the reactor side of the compartment walls, voids were.
                                               observed and.NCR C-82-01202 was prepared. DCA 20856 was prepared as
                                               a procedure to repair the void area. DCA 20856 indicated that the
                                               voids were not extensive (a surface area of about 28 square feet by
                                             '8. inches maximum depth) and that the repair procedure assured that
                                               the total extent of voids had been identified. One half (0,5) of a
                                               cubic yard of concrete was used to complete the repairs as indicated
                                               on grout pour card 261.
                                               The applicant's review and evaluation of the gird pattern and a
                                               comparison of SG compartments 2 and 3 to 1 and 4 indicated that
                                               voids did not exist in SG compartments 2 and 3. The review of test
                                               girds extended down to elevation 834 feet, which is the floor
                                               elevation of the liner. The liner walls of SG compartments 1 and 4
   '
                                               were not tested at elevation 834 feet, but at elevation 836 feet
                                               which is above the area of the identified voids. No testing was
                                              done on the Ifner side of the area of the voids below elevation 836
                                               feet. The program also included removal of 2 inch x 2 inch plugs
                                               from the stainless steel liner at locations where test indications
                                               raised questions concerning the concrete. The inspections of the
                                              concrete by appitcant personnel after the plugs were removed
                                              confirmed that there were no additional unconsolidated concrete
                                               areas (voids).
                                   .
                                              The applicant removed stainless steel liner plates from three areas
                                               (one area about 1 foot by 1 1/2 feet and two areas about 3 feet by 1
                                              foot, excavated or chi
                                              concrete surface area.pped      Onetoand
                                                                                    sound concrete,inch
                                                                                       one-quarter    and (11/4)
                                                                                                          cleaned         the
                                                                                                                        diameter
                               -
                                              probe holes and grovt access holes were drilled in the liner plates
                                              to determine the extent of and to assure full definition of the void                              '
                                              area. Air access holes were drilled in the stainless steel liner                                  ,
                                              plates to assure that grouting would be accomplished in accordance                                '
                                              with the procedure.
                                              The procedure (DCA-20856) specifed that the grout was to be cured
                                              for 28 days or until the grout reached a compressive strength of 4000
                                              psi. Repairs to the liner plates were specified in DCA-20856 and G&H
                                              Procedure 2323-55-18.
                                              DCA-20856 required that under no circumstances was cutting of the
                                              liner across weld seams, across embedded weld plates, or ' nto leak
                                              chase seal welds or drilling through the liner at leak chase channels,
                                              embeds, or weld seams permitted. Documentation review indicated that
                                              DCA-20856 was adhered to and that no cutting or drilling occurred in
                                              prohibited locations.
                                              No violations or deviations were identified.
                                                                                                                                                  >
                       _ _ _         _ _ _ .         _            _                                                                               l
  _
  .                                                     .
                                                                  .)
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                               i.

L

                                                  -8-
                                                                            '

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                                                                                           1

l 6. . Nondestructive Testing Observations of Liner Plates in Fuel Transfer

              canal
              The NRC inspector observed portions of non-Q liquid penetrant examinations  <
              (PT) being performed on liner plate welds following re-installation of the  ;
              liner plates in the areas of the fuel transfer canal removed for inspection  a
              and repair cf the concrete. The inspector performed the pT on the welds     '
              as required by the repair package and the procedure (Q14-11.18-1,           !

,

              ' Liquid Penetrant Examination"). Scattered weld porosity has identified
              by the inspection. The porosity was ground out and a repeat PT was          3
              performed. The final inspection is scheduled to be performed by QC
              inspection personnel. The liner plate areas to be inspected by PT were
              identified in DCA 20856.

I

              No violations or deviations were identified.
        7.   Cadwell Splice Observations and Records
             a.    Calibration of Tensile Tester
                   The NRC inspector observed the calibration of the Tinus-Olson
                   Universal Testing Machine (Model Number 600-12 Identification Number
                   M&TE-784) on April 2 and May 7, 1985. The machine was calibrated
                   just prior to performing tensile testing of cadweld splices ano
                   subsequent to completion of tensile testing each day that tensile
                   testing was performed. The machine calibration date for April 2,
                   1985, prior to start of tensile testing was observed by the NRC
                   inspector and recorded as follows:

l

    -
             Nominal load     Calibration Reading         Error    Error   Remarks
                (1bs)              (Ibs)                  (1Ds)     5

! 0 0 0 0 0 machine on

                                                                            4/2/85
             100,000           99,750                        +250  +0.25
             200,000          199,600                        +400  +0.2
             300,00           299,450                        +550  +0.18
             350,000          350,300                        -300  -0.08
             400,000          401,200                       -1200  -0.03
             500,000          501,3E0                       -1350  -0.27
             600,000          602,450                       -2450  -0.40
                                                                                          l
                                                                                            l
                                                      -
                                                                                            )
 __ - _ _ _
                                              .                 .
               . .
                   .
                                     .                 -9-
                         The NRC inspector reviewed calibration data for March 4. March 8,
                         April 2. April 3 April 30, and May 7,1985. All calibration data                                l
                         met within the +/- 15 accuracy requirement specified by Calibration
                         Procedure 35-1195-IE!-37 Revision 3, dated March 11, 1982. The
                         reference standards were identified as follows:
                         ID Wo.     ._ Manufacturer      Calibration Due Date                                           l
                         RS-75         BLH Ele tronics   January 27,1987
                         RS-75.3       BLH Electronics   January 27, 1987                                               j
                      b. Observation of Cadweld Solice Tensile Testing                                                  l
                         (1) Qualification Tensile Testinc
                              On April 2,1985, the NRC inspector observed the following                                  j
                               tensile testing of cadweld splices for cadwelder qualification:                            '
                               E80 08, G8H Q1, GBH Q2, G8V Q1, BFD Q4, SFD Q3 SFH Q4, GAH Q1,

,

                               GAV Q1, and G8V Q2.
                               Each of the above qualification cadweld splices was tensile                               l
                               ter4ed to 400,000 pounds (100,000 psi) and met the req'utrements                         i
                               stated in the procedure.
                                                                                                                        ]
                         (2) Production Tensile Testino                                                                 l
                              The NRC inspector observed the tensile tester calibrations and
                               the following production cadweld splices tensile testing on
                              May 7, 1985: FXD 3P, FYD 4P, FYO 8P, FRD 87P, and FUD 6P.

b Each of the above production cadweld splices was tested to

                               400,000 pounds (100,000 psiland met the requirements stated in
               .               the procedure.                                                                         ,
                         (3) Imsta11ation of Production Cadweld Solices
                                                                   _
                              The NRC inspector observed installation of rebar and cadweld
                               splices at frequent intervals (five or more observations per
                              week during the weeks of April 8.and 15; May 6,13, 20, and 27;
                               and June 3, 1985). The relar installation for the Unit 2
                              closure was perfomed in the area identified as elevation 805
                               feet to elevation 875 feet and azimuth 300 degrees to 335
                               degrees. The installation activities observed included rebar
                               spacing,1ontion of cadwelds, observation of selection and
                               removal for testing of cadweld splices for testin9, and
                               determination of location of rebars and cadwelds for the
                               as-butit drawings.
                                                                                                                        >
                     *
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                                                                           .
            44
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                                                   ..                                                 l
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        ,                                   -10-                                                     i
                                                                            .
                  (4) Documentation Reviewe.d
                       The NRC inspector reviewed t% following documentation for the             ,)
                       rebar placement and cadwelding for the Unit 2 containment
                       (reactor building) closure area:                                              !
                       Drawings                  DCAs                 NCR$
                                                                                                     j
                       2323-$-0785, Rev.7        22616, Rev. 1        C85-200294
                       2323-5-0786, Rev.9        22728
                       2323-51-500, Rev.5                            C85-200339. Rev.1                i
                                                 22737               C85-200355 Rev.1                i
                       2323-51-506, Rev.5        22836
                       2323-52-505, Rev.5        22878 (Sheets 1-7)
                       2323-52-508, Rev.2        22772
                       2323-S2-506, Rev.3
                                                                                                     !
            No violations or deviations were identified.
     8.    Concrete Batch Plant Inspection. Unit 1 and 2
                                                                                                     }
           The NRC inspector used a nationally recognized checklist to inspect the                    i
           concrete production facilities. This list included the specific
           characteristics for the following areas: (1) material storage and
           handling of cement, a gregate, water and admixture, (2) batching
           equipment scales, wei hing systems, admixture dispenser, and recorders,
           (3) central mixer (not ap

[ ticketing system, and (5)plicable

                                       deliverybe::ause
                                                system. it had been dismanteled), (4)             i
          The current batching is a manual operation since almost all concrete has
   -      been placad. The central mixer was disuanteled and removed from site two                '
          or t..ree years ago when concrete placement was virtually completed.
          Presently, the backup batch plant (which was a backup system for the
          central mixer) is in operation to complate the remaining concrete
          placements. This batch plant is in good condition and complied with the
          subject checklist except for one aria.
                                                                                                   l
          The NRC inspector inspected the inside of one of three trucks used for
          mixing concrete (that is, the batch plant dispenses the correct weight of
          materials as required by the specific design six numbers and the truck
          then mixes the batch to be placed.) The blades inside the truck are
          subject to wear and should a checked at a reasonable frequency. The
          Brown & Root (B&R) representative responsible for checking the blades in
          accordance with BAR Procedure 35-1195-CCP-10. Revision 5. dated
          December 4,1978, was asked for evidence that the blades had been checked
          for wear on a quarterly basis and it was found that there was no record of
          such checks dating back to 1977 when they were initially checked.
                                                       ,
         Procedure CCP-10, paragraph 3.10 * Truck Mixing'. is silent on blade wear
          but Section 3.11 infers that the blades should be ch6cked for both
         central and tru-k uixing. The inspection of both central and truck
                                                                                                   ;
         -
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                                                                                                  - - - _ _ _ _ - - - - - ,
            .                                                ..
              .
                                                                           9
                  .
                                        .
                                                          -11-
                                                                                       .
                       mixing bladet was not documented, although the B&R representative stated
                       that the mixing blades were periodically inspected and laboratory testing
                       would have probably indicated if there was a problem with the mixing blades.
                       Strength and uniformity tests have consistently been within the acceptable
                       range indicating that concrete production was acceptable even though
                       mixing blade inspection was not documented.
                       Otherwise, the condition of the inside of the truck was satisfactory as
                       the drum and chtrging/ discharging were clean. The water gage and drum
                       counter were in good condition.
                       This failure to follow procedures is a violation of 10 CFR 50, Appendix
                       B, Criterion V. Subsequent to the idantificetica of this violation, the
                       blades were checked fcr wear and blade wear was presently within allowable
                       limits (445/8507-04; 446/8505-02).
                       No other violations or deviations were identified.
                    9. Calibration Laboratory for Batch Plant Unit 1 and [
                       The WRC inspector obtained batch plant scale numbers from tags which
                       indicated that the scales had been calibrated and were w' thin the
                       calibration frequency. Cement (MIE 779) Water (KTE 766), admixture
                       scale (MTE 764), and aggregate (MTE 780),were reviewed. The scales had
                       been periodica)1y calibrated since the batch plant was activated. The
                       records were adequate except as follows:
                       e.    Scales MTE 766 records do not clearly differentiate between the
                             required accuracy of the scale and the digital rendout.
                -
                       b.    Scales NTE 779 and 780 records show various accuracy ranges for the
                             same scale; i.e., KTE 779 (SN749687) records the following: report
                             dated Jan'uary 1976 gives 1%; report dated July 1976 gives 1% while
                             the report dated October 1976 gives +/- D.25.
                                                                          the above items are unre-
                       The
                       solvedcalibration   appeared
                                pending further  reviewtoofbe
                                                            theproper,  however,s actions regarding the
                                                                applicant
                       correction of these records (445/8507-05; 446/8505-03).
                       c.    Recotds for scales MTE 779 records contained BAR memo IM-1108 dated
                             July 16,1975, which described a nonconforming condition. This
                             condition affected the water and cement scales causing a 24-48 pound
                             deviation during the calibration test. The meno stated that the
                             condition was corrected and the scales were then calibrated;
                             however, no deficiency report was written as required by B&R
                             Procedure Ce-QCP-1.3, * Tool and Equipment Calibration and Tool
                             Control * dated July 14,1975, and CP-QAP-15,1, ' Field Control of
                             Nonconforming Items," dated July 14, 1975. As a result there is no
                             evidence that corrective action included an evaluttien to determine
                             if concrete production was adversely affected.
                                                                                                                            I
                                                                                                                            1
                                                                                                                            1

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-_- __ - _

                                                                                                                                                                                   !
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                                                                                                                                   -12-                                           I
                                                                                                                                                                                  (
                                                                                                                                                                 .                !
                                                                                                                                                                                   )
                                                                                                      This failure to assure that a nonconforming condition was evaluated         I
                                                                                                      is a violation of Criterion XV of 10 CFR Part 50, Appendix 8,
                                                                                                      (445/8507-06; 446/8505-04).                                                 1
 .
                                                                                        10. Concrete Laboratory Testina Units 1. and 2
                                                                                          .
                                                                                               TUGC0 procedure QI-QP-11.1-1, Revision 5, was compared with ASME                   i
                                                                                               Section 111, Division 2, subsections 5222, 5227 and 5224 to assure that           -'
                                                                                               each ASTM testing requirement was incorporated into the procedure.
                                                                                               The NRC inspector inspected the testing laboratory equipment and found
                                                                                               the test area and equipment were in good condition and each piece of               l '
                                                                                               equipment was tagged with a calibration sticker which showed it to be
                                                                                               within the required calibration frequency. Test personnel were knowledge-          '
                                                                                               able of test requirements and equipment.
                                                                                               The NRC inspector witnessed field tests performed by laboratory personnel           j
                                                                                               as follows:
                                                                                               Date     Truck No. Mix Wo. Ticket No.       Air Content (S) Slump (in.) Temp (*F)
                                                                                               6/3/85 RT-41      925        64013          Req 8.2-10.3     MA     70 max          !
                                                                                                                                           Men 8.7-9.1       NA    57
                                                                                                                                                                                   j
                                                                                               6/3/85 RT-35      123        64014          Req 5.0-7.0     5 max 70 max             l
                                                                                                                                           Maa 6.6         6.25* 57
                                                                                               * Truck was rejected by quality control but was later accepted when second          3
                                                                                               slump reading came into reqrired range.                                             J
                     -
                                                                                             The following laboratory equipment was checked and found to be within
                                                                                             calibration: Forney Compression Tester, MTE 3031; Temperature Recorder
                                                                                             MTE 3013 and 3014; Unit Volume Scale, NTE 1053; Pressure Meters NTE
                                                                                              3000B, 3002 and 3004; Steves MTE 1286, 1239, 1272, 1274, 1136A, 1156
                                                                                               1094, 1093, 1095 1178,1179,1300 and 1180; Aggregate scales, MET 1058
                                                                                               and 1067; and 2", grout mold MTE 1111.
                                                                                                                                                                                    l
                                                                                             The following test records for placement number 201-58C5-034 were                      '
                                                                                              reviewed: (1) concrete placement inwtion, (2) concrete placement
                                                                                               summary and, (3) unit weight of fres1 concrete.
                                                                                              No violations or deviations were identified.
                                                                                        11. Inspection of Level C and D Storace Unit I and 2
                                                                                             The NRC inspector inspected all laydown areas where piping, electrical                 l
                                                                                             conduit, cable, and structural reinforcing steel were stored. These
                                                                                             materials were neatly stored outside on cribbing in well drained areas
                                                                                                                   .
                                                                                                                                                .
   - _ - - - - - - - - _ - - _ - _ - _ - _ - . _ _ _ - - _ _ _ _ _ . - _ - - - _ _ _
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                                        which allowed air circulation and avoided trapping water. This met the
                                        Level "D" storage requirements of ANSI N45.2.2.                                   i
                                        The electrical warehouse contained miscellaneous electrical hardware.
                                        This building was required to be fire and tear resistant, weathertight, and
                                        well ventilated in order to meet Level "C" storage requirements. This warehouse
                                        was well kept and met all requirements except for a lock ticrage area
                                        located upstairs at the rear of this building (electricai termination
                                        tool room). Two minor problems were identified and the warehoue
                                        personnel initiated action to correct them.
                                       The first problem noted was that a box of nuclear grade cement was urked
                                        ' shelf life out of date" but it had no hold tag. The box was
                                       subsequently tagged with Nonconformance Report (NCR) E85-200453 after
                                       being identified by the NRC. During discussions with the warehouseman,
                                       the NRC determined that engineering told the warehouseman to mark the
                                       material and lock it up, but did not tell him to apply an NCR or hold
                                       tag. TUEC should determine if engineering is aware of nonconforming
                                       material controls and provide training if this is other than an isolated
                                       instance. 1.1s0, the NRC inspector noted a very small leak in the roof
                                       above the electrical termination tool room. This leak was in an area that
                                       did not expose hardware to moisture. The roof is currently being repaired.
                                      The millwright warehouse storage area was inspected; however, only e
                                       small number of items or materials were stored in this area. The overall
                                                                                                                        ,
                                                                                                                        1
                                      storage conditions in this area met or exceeded Level 'C' storage
                                      requirements.
                                      No violations or deviations were identified.
                         -
                                 12. Reactor Pressure Yessel and Internals Installation - Unit 2
                                      This inspection was performed by an NRC inspector to verify final
                                      placement of the reactor pressure vessel (RPV) and internals by examining
                                      the completed installation and inspection records.
                                      a.     Requirements for Placement of RPY
                                             Requirements for placement of the RPV to ensure proper fit-up of all
                                             other major NSSS equipment are in Westinghouse Nuclear Services
                                             Division (WSD) ' Procedure for Setting of Majer MSSS Components",
                                             Revision 2, dated February 13, 1979, and * General Reactor Vessel
                                             Setting Procedure' Revision 2, dated August 30. 1974. The NRC
                                             inspector reviewed the following drawings, which were referenced in
                                             the RPY cperation traveler, to verify implementation of WESD
                                             recommendations:
                                            o
                                                   WSD drawing 121DE59 " Standard - Loop Plant RY Support Hardware
                                                   Details and Assembly"
                                            o
                                                   WSD drawing 1457F27 " Comanche Peak SES RCS Equipment Supports
                                                   - Reactor Yessel Supports"                                             1
                                                                                                                          l
                                                                                                                          l
                                                                                                                          l
                                                                                                                          !

- - _ _ _ _ _ _ - _ - _ . -  !

                                     _                                                                                             _ .
    ,
             ..                                               .    .    ,
                  .
                                                                           .}
        -
             .  .
                                       ,                                    :
 *
                                                          14-

'

                                                                                      .
                                                                                        .
                          o      CE drawing 10773-171-004 ' General Arrangement Elevation *
      '
                          o     CE' drawing 10773-171-005 " General Arrangement Plan"
                          Neither site prepared installation drawings nor specifications
                           (which implemented the WSD recommended procedures) were available                                           !
                          and the drawings examined did not show certain specific installation                                         i
                          criterion such as centering tolerances levelness tolerances and                                              ;
                    .     clearance between support brackets and support shoes. The lack of
                          engineering documentation did not provide full control of the
                "
                          action and would allow changes to installation criteria taportant to
                          safety to be made without complying with established change procedures.
                  4 f This is a violation of 10 CFR 50. Appendix B. Criterion Ill
            ,
                          (446/8505-05).                                                                                         .
                      b.  Document Review
                                                                                            Qu&Awi-
                                                                                               ~
                                                                                                                             ~ ' *
                          The NRC inspector reviewed B&R Construction and Operation Traveler
                          No. ME79-248-5500 which described the field instructions for
                           installation of the Unit 2 RPV. Requirements recommended by WSD
                          procedures were implemented in the traveler. Worksheets attached to "/"
                          the traveler showed the RPV to be centered and leveled within the                                      5     ;
                          established tolerances. Traveler operation 19 required verification                                          )
                          of a 0.020 to 0.005 inch clearance between the support bracket and                                           l
                          support shoe, after applying the shim plates. Change 5 subsequently
                          changed the clearance to a 0.015.to .025 inch clearance. The
                          installation data reflected in attachment 38 of the traveler
                          indicated an as-built clearance of 0.012 to 0.026 inch which exceeds
                          both the original and revised tolerances. This conditipn was acceeted g
          -
                          on the traveler based on Westinghouse concurrence, and*uere were
                          neither nonconfomance reports nor documented engineering evaluations
                          to detemine if the condition was acceptable. This failure to
                          document
                          violation of nonconforming     conditions
                                         10 CFR 50 Appendix          and engineering
                                                                B, Criterion            (deviations is a
                                                                              XV 446/8505-00)                                          '
                          The NRC inspector reviewed the following receiving re:ords for RPV
                          hardware ar.d found them to be in order:                                                                     j
                          o     Report No.14322 for 54 each closure studs, closure nuts, and                                           I
                                closure washers
                          o     Report No. 09507 for vessel !/N 11713. Closure Head 11713 and                                          !
                                26 0-Rings
                          o     Deviation notices and corrective action statements
                                                                                                                                       l
                                                                                                                                        ;
   s.
                                                                                                 - - . _ _ _ _ _ _ _ _ _ - _ _ -
                                                                                _ _ - _ _ _ _ _ _ _ _ - _ _ _ _ _ - _

,

 .i
      - -
                                                                    O                                                     \
                                                   -15-
                                                                               .
                      The NRC inspector reviewed the following completed travelers for
                      internals installation and found them to be satisfactory:
                      o    ME-84-4641-5500, ' Assemble Upper Internals *
                      o    ME-84-4503 4000, " Install and Adjust Roto Locks"
                      o    ME-81-2145-5500, "Retorque UI Column Extension"
                      o    RI-80-385-5500. " Transport and Install Lower Internals *
                     c     ME-84-4617-5500. " Repair Lower Internals *
                      o    ME-84-4640-5500, ' Assemble Lower Internals'                                                   I
               c. _  Visual Inspection                                                                                  ,
               ~ At this time, visual inspection of the internals by the NRC inspector was
               not possible, and inspection was limited on the vessel placement to a
               walk-around beneath the vessel to inspect the azimuth markings and for
               construction debris between the vessel and cavity. No problems were
                identified in this area.
               d.    Records of QA Audits or Surveillance
                     The NRC inspector requested TUGC0 QA audits or surveillance perfomed                                 j
                     by TUGC0 of the Unit 2 RPV installation. TUGC0 did not make available
                     any documentation of an audit or surveillance which evaluated speci-
                     fled placement criteria, placement procedures, hardware placement, or                                l
    -                as-built records. This ites is unresolved pending a more comprehen-
                     sive review of these activities (446/8505-07).
                     No deviations were identified; however, two violations were identified
                     and are described in the above paragraphs.
          13. Reactor Yessel Miserientation                                                                               ,
               On February 20, 1979, the applicant reported to the NRC Resident                                           !
               Inspector that a design errer had resulted in the reactor support
               structures betrg placed in the wrong position on the reactor support
               pedestal such that the reactor would be out of position by 45 degrees.
               Initially. Unit 2 was to be a mirror image of Unit 1 however, a design
               change was initiated to pemit identical cosponents for both units. The
               design change was implemented for the reactor vessel, but not for the
               pedestal support locations. The probles was not considered by the
               applicant to be reportable under provisions of 10 CFR part 60.55(e) sir,ce
               the error could not have gone undetected.
                                                                                                                      A
                                                       .                                                             I
  .
                                                                  O
      -
            .
                                                  -16-
                                                                            .
                                                                              .
               The deficiency was reported to the NRC Office of Inspection and Enforce-
               ment on February 22, 1979 and during a March 27, 1979 meeting in 50thesda,
              Maryland, the applicant presented the proposed redesign and reuotk proce-
               dures for relocatirg the pedestal susports. No unresolved safety concerns
               with the repair were identified at the meeting.
               During this inspection the NRC inspector reviewed various documentation
               relative to tne disorientation problem, including design changes and the
              construction traveler which implemented the repair.
              The following documents were reviewed:
               o     NRC Insp;ction Reports 50-446/79-03; 50-446/79 07; 50-446/70-13
              o      TUSI Conference Memo, dated March 1, 1979 H. C. Schmidt to
                     S. Burwell (NRC Licensing PM)                                                                    I
                                                                                                                     i
              o      TUGC0 letter TXX-2980, dated April 30, 1979, to W. C. Seidle
              o      NRC letter to TUGC0 dated May 29, 1979
              o      DCA 3872 Revision 1, dated February 28, 1979, Subject: Rework of
                     Structure for Placement of the RPY Support Shoes
              o      DCA 4122, dated March 22, 1979, Subject: Replacement of Rebar for
                     RPV Supports
                                                                                                                     {
              o      Construction Traveler CE79-018-5505, dated March 14, 1979 Subject:
                     Rework of Reactor No. 2 Cavity - New RPV Support Locations
    -
              o     Grout Replacement Cards No. 007, 008, 009, 010, 014, and 015, various
                    dates, Subject: Replacement of Grout around Rebar for Repair of RPV
                    Support Shoes
                                                                                                                      )
              o     Various Inspection Reports for Grout Properties and Application for
                     RPV Support Shoes                        -
              No violations or deviations were identified.
                                                                                                                   )
        14. Reactor Coolant Pressure Boundary (RCPB') Systems                                                   C'
              The inspection was performed to verify: the applicants system for
              preparing, reviewing, and maintaining records for tha RCPB piping and
              co'uponents; that selected recceds reflected compliance with NRC
              requirements and SAR commitments for manufacture, test and installation
                                                                                                                      l
                                                                                                                      l
                                                                                                                      l
                                                                                                                      l
                                                                                                                      l

F'

                                                                                      _ _ _ _ _ _ _ _ _ - . . - -

- _ _ -

       ,                                                                                             -         .
         .
                                                                                                                  3
           . ..        .

L

                                                                                                   -17-
                                                                                                                                                      ,
                                                                                                                            9 ,                     d
                                                             of items; and as-built hardware was adequately marked and traceable to
                                                             records. . The following items were randomly selected and inspected:
                                                             a.     pressurizer Safety Valve - This item was inspected to the coenitment
                                                                    stated in F5AR, Table 5.2-1 which includes ASKL Section III,1971                  4
                                                                    Edition througn Winter 1972 Addenda. Valve S/N N56964 00-007, which              )
                                                                                                                                                      ;
                                                                     is installed in the B position was inspected. The following records            1
                                                                    were reviewed:
                                                                                                                                                   f
                                                                    o     CA Receiving Inspection Report No. 21211
                                                                    o     Code Data Report Form NY-1
                                                                                                                                                      l
                                                                    c     Valve Body CHIR                                                       1
                                                                   The valve was in place, however, installation had not been
                                                                                                                                  /      e.eJ w     -
                                                                                                                                             d
                                                                   completed; therefore, the hardware installation inspection consisted              !
                                                                                                                                                      i
                                                                    of verifying that the item was traceable to the records.
                                                            b.     CYCS Spool Piece 301 - Requirements for this item are stated in
                                                                   A5ME, section III,1974 Edition through Summer 1974 Addenda, which .              I
                                                                    is the comitment from the FSAR, Table 5.2-1. The item was field                l
                                                                   fabricated from bulk piping and purchased elb9ws and installed in the              !
                                                                   CVCS with field welds number 1 and 6 (ref. BRP-CS-2-RB-076). The                 i
                                                                   following records were reviewed:
                                                                                                                                                      l
                                                                                                                                                      1
                                                                   o      B&R Code Data Report
                                                                   o      Field Weld Data Card
                                                                            -                                                                       .
         ~
                                                                   o      NDE Reports
                                                                                                                                                  .j
                                                                   o      QA Receiving Reports for piping and elbows
                                                                   o      certified Material Test Reports (CMTR)
                                                                                                                                                      l
                                                                   The installed spool piece was inspected for weld quality and to
                                                                   verify that marking and traceability requirements had been set. The
                                                                   itee had been marked with the spool piece number (3Q1) and the BAR              3
                                                                                                                                                      1
                                                                   drawing number which provided traceability to thc material
                                                                   certifications.                                                                   !
                                                                                                                                                    {
                                                            c.     Loop 3 RC Cold Lee - Requirements for this item are stated in ASME,
                                                                                                                                                      l
                                                                                                                                                    j
                                                                   sec; ton Ill, m4 Edition through Summer 1974 Addenda, which is the
                                                                  commitment from the FSAR, Table 5.2-1. This piping subassembly
                                                                                                                                              -
                                                                                                                                                   1

L - - _ - - - - - - - - - - - - - - - - - - -

 t.                                                             '                                                                       ~
       J
                               ..
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                                                                                                                ,
                                                                                                                                                   )
 i
               ,                                                                                                                  -18-
                                                                                                                                                             *-
   '
                                                                                                                                                                         i
                                                                                                   consists of a 27.5 inch cast pipe with a 22 degree elbow on the       1
                                                                                                    reactor end, a 10 inch 45 degree nozzle, a 3 inch nozzle, and three  1
                                                                                                   21/2 inch thernowell installation bosses. The following records
                                                                                                   were reviewed for the subassembly:
                                                                                                   o     QA Receiving Inspection Report No. 12389
                                                                                                   o     Westinghouse Quality Release (QRN 47523)
                                                                                                   o     Code Data Repert Form NPP-1
                                                                                                   o     271/2 inch line CMTR                                            I
                                                                                                   o     3 inch nozzle LNTR
                                                                                                   c     Field Weld Data Cards
                                                                                                   o     NDE Reports
                                                                                                   (1) Sandusky Foundary and Mat. hine Corpany test report for the cold
                                                                                                         leg p pe certifies that material meets requirements of ASME
                                                                                                        Secti n II, 1974 editions throJgh winter 1975. Southwest
                                                                                                        Fabrication and Weiding Company code data report WPP-1 Form
                                                                                                        certified that the cold leg subassembly set requirements of

{ ' ASME Section 111, 1974 edition through winter 1975. The FSAR

                                                                                                        comitment is ASME Section !!!,1974 edition through sumer
                                                                                                        1974. This discrepan:y is unresolved pending the applicant's
                                                                                                        evaluation to determine if material nonconformances exist
                                                                                                         (446/8505-08).
                                 -
 '
                                                                                                   (2) The NRC inspector reviewed the procedures and hydro test data
                                                                                                        applicable to Unit 1, since Unit 2 hydro had not been completed.
                                                                                                        Requirements for the tests were presented in Procedures          i
                                                                                                        CP&QAP:12.2, ' Inspection Procedure and Acceptance Criteria for
                                                                                                        ASME Pressure Testing * and CP-QAP-12.1, *ASME Section !!!
                                                                                                        Installation, Verification, and N-5 Certification." Procedure
                                                                                                        CP-QAP-12.1 requires that a data package to be used in the test,
                                                                                                        be prepared with the test boundary and the additional following
                                                                                                        data shown:
                                                                                                        o
                                                                                                              Base metal defects in which filler material has been
                                                                                                              added, and tha depth of the base metal defect exceeds 3/8
                                                                                                              inch or 105 of the actual thickness, whichever is'less.
                                                                                                        u     Untested vendor performed piping circumferential velds.
                                                                                                        o     Approximate location and material identification and
                                                                                                                                                                           )
                                                                                                              description for permanent pressure boundary attachment       !
                                                                                                              with applicable support number referenced.
                                                                                                                                                                           {
                                                                                                                                                                           t
                                                                                                        o     Weld history, which shall reflect weld removal and/or weld   '
     ,
                                                                                                              repair.
                                                                                                                                             e
                                                                                                 9
       _ _ _ . _ _ _ _ _ _ _ _ _ _ . _ _ _ _ . _ - - - . - - - - - - - - - - - - - - - - - - - -
   _ - _ - _ _ _       ._
                                                                                                                     _
                    r.
 '
                 .
                            *
                                                        (                                    )
                                                                                                                     I
                                                                                                                     ,
                                                                         -19-                                        )
                                                                                                      .
                                                                                                         .
                                                 The completed hydro data package (PT-5501) for Unit 1, loop 3
                                                 cold leg was reviewed for compliance with the above
                                                  requirements. Drawing No. BRP-RC-1-520-001 had been used to
                                                ' annotate the test boundary. A handwritten statement on the
                                                                                                                     j
                                                 drawing" indicated: "No major base metal repairs could be           ,
                                                 located and "No hangers with weld attachments could be
                                                 l oc ated." Welds perfonned by the pipe subassesSly vendor,
                                                  including the 22 degree circumferential weld and the
                                                 penetration fittings had not been identified. The following
                                                 items are unresolved pending further review to determine:
                                                 o     If "no major base metal repairs' was based on a visus 1
                                                       inspection or on a review of vendor and site inspection
                                                       and repair records.
                                                 e     If the shop circu.nferential weld attaching the 22 degree   i
                                                       elbow to the pipe assembly was inspected during the test.
                                                 o     If welds for penetrations into pipe assembly were inspected
                                                       as procedure CP-QAP-11.1 d0es not require identification of
                                                       such welds and they were not identified on the drawing.
                                                 The above issues will remain unresnived pending further
                                                 evaluation by the appiteant (445/8507-07; 446/8505-09).
                                        d. Personnel Qualifications - Perser.nel who had performed selected tasks
                                           were identif f ed during inspection of installation records. Training
                                           and experience records for the personnel were reviewed to verify
                                           that employee qualifications and maintenance of records were current
                   -
                                           and met requirements. Names or codes for five welders and two NDE
                                           examiners, who had performed tasks during installation of the items
                                           being inspected, were identified and their qualification records
                                           reviewod. There were no questions in this area of the inspection.
                                     No violations or deviations were identified.
                              15. Special Plant Tours (Unit 1 and Unit 2)
                                   On May 23, 1985, the NRC inspector conducted a tour of selected areas of
                                   Unit 1 and Unit 2. The group consisted of one NRC inspector, twc WRC
                                   Technical Review Team (TRI) representatives, two allegers, and several
                                   TUEC representatives. The TUEC representatives tagged cach area where a
                                   deficiency was allaged. With the alleger's consent, a tape recorder was
                                   also used to note locations and 6escribe any alleged deficiencies. The
                                   allegers irdicated that they had identified all deficiencies during the
                                   tour and all other deficiencies that they had knowledge. The NRC TRT is
                                   analyzing this information and will decide what actio6, if any, should be

j- taken. l

                                                                                                        J
                                                       /-
                              -m                                L.
                                                                         #
                                                                                     1 Mj  $g-     ;7
                                                            .

- - - - - -

 _ - - _ _ .
                                                                                                    .
                                                      .
                                   '
                                                 .. .                       .
                                                                                                                 }

} -20-

                                                                                                                            .
                                                            During this tour the NRC inspector independently identified a questionatie
                                                            practice in that the top of the the. pipe ch.ase at the north end of room 88
                                                            in Unit 1, safeguards building had two large stickers which stated that
                                                            areas on the wall were reserved (or pipe hangers GHH-51-1-SB-038-006 and
                                                            R1(?)1-087-X11. These stickers were dated 1980. It was not evident
                                                           whether hangers were missing or none were needed in these locations and
                                                           the reserve tags were not removed. TUEC representatives were unable to
                                                           answer the question tenediately. This item is unresolved pending further
                                                            review during a subsequent inspection. (445/8507-08).
                                                           No violations or deviations were identified.
                                                      16. Reutine Plant Tours (Units I and 2)
                                                           At yarious times during the inspection period WRC inspectais conducted
                                                           general tours of the reactor buildlag, fuel building, safeguards
                                                           building, electrical and control building, and the turbine building.
                                                           During the tours, the NRC inspector observed housekeeping practices,          .
                                                           preventive maintenance on installed equipment, ongoing construction work,      '
                                                           and discussed various subjects with personnel engaged in werk activities.
                                                           No violations or deviations were idef tified.
                                                      17. Review of Part 21 and 10 CFR 50.EM e) Construction Reports Status
                                                           The NRC inspector reviewed all reports issued to date to assure that NRC
                                                           and TUEC status logs were complete and up to date. A total of IS3             !
                                                           reports have been submitted to date. This inspection period one Part 21 .     '
                                                           report on Die:e1 Generator Oil Plugs and two 10 CFR 50.55(e) reports on
                                                           the Equipment Hatch Cover and SAIO6 Piping (light wall) were submitted.
                                                                                                                                         1
                                          -
                                                           No violations or deviations were identified.                                  {
                                                                                                                                         i
                                                      18. Review of Violation and Unresolved Item Itatus                                 ;
                                                           The NRC inspector reviewed all violations and unresolved items reported
                                                           to date to ascure that NRC and TUEC status logs were complete and up to       i
                                                           date. Two hundred nineteen items were reviewed. In addition, a trend          !
                                                           analysis of WRC findings was performed to generally determine how many
                                                           findings could be broadly class (fied under each criterion of 10 CFR,
                                                           Part 50, Appendix 8. The frequency of findings showed broad and general
                                                           trends under the following criteria: II. QA Program; III. Design Control;
                                                           V. Instructions, Procedures and Drawings; VII. Control of Purchased
                                                           Material, Equi twnent and Services; IX. Control of Special Processes; X.      j
                                                           Inspection; XI. Test control; YIII. Handling Storage and Shipping; XVII.      i
                                                           QA Records; and XVI!! Audits. The most significant trends uere
                                                           Criterion III, V, VII, IX, X, and XVIII. Also, a number of violations         ,
                                                           occurred with respect to 10 CFR 50.55(e) itws.
                                                                                                                                         l
                                                                                                                                 .
                                                                                          LA                          ~
                                                                                                                          .
                                                                                                                                         i
           '
                                                                                                                                          i
    _ _ - _ - _ _ _ _ _ _ _ - _ _ - - - - - - _ _ _
 __-      _.      _          _                           _                    _                _ _ . ____ _ _ - ____
                                                                                                                       '
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                                      l                               ([        #
                                                                                           ,
                                                    -21-           .
                                                             f                    .
                                                                                    .
                    These findings mainly pertained to Unit 1 and related closely to trends
                    identified by the NRC Technical Review Team TRT. These trends will be                              'i
                    co.1sidered during followup on TRT findings'. Also, Unit 2 inspection
                    emphrsis will consider these trends during future inspections.
                    No violations or deviations were identified.
              19. Exit Interviews
                    The NRC inspectors set with members of the TUEC staff (denoted in
                    paragraph 1) on May 1C and June 10, 1935. The scope and findings of the
                    inspection were discussed. The applicant acknowledged the findings.

1

                                                                                             e

i

        .
                                                                                                                     T
                                                                                         e
                                                                                                        _
                                                                                                              -
                                             .  . . , .      .... ... ~ .    .
                                                                               .
              Pages ,30, 42, and 43 of OIA REPORT
                                                                                                                 l
      ~-                  ..     ..
      M siated he observed on the part of WESTERMAN, JOHNSON and a few others. ~
        a continual stre m of comments about watchi              PHILLIPS, not trusting PHILLIPS,
    '
       and watching your back with PHILLIPS, which                      concluded was based upon
        PflILLIPS' perfomance at the South Texas Pla                 ere he identified a number of
       deficiencies in the utility's operation.            .
                                                                     opined thcre was some
        distrust and some dislike and apprehension about having a strong-wil. led,
       meticulous and capable person on the staff who was not easily swayed to a
        different goint of view.               further opinti that WESTERMAN Snd JOHNSON
        were of 11 ce mind so an appea o ~an inspector would r,st Itkely be heard
         strictly on its merits. They would back each other up (Attachment R, pages <.
         3-15, 18-19 and 55-56).
                                 iormerlytheDirector,DivisionofReactorSafetyand
         Projects, Region IV, from January 1084 to January 1985, was interviewed
         concerning the adequacy of the Region IV QA inspection program at CPSES.
       Mstated his belief that the attitude of Region IV management was that it
                                                                                                                ,
         did not want to create too mat.y preblems for the utility. He added that this
         was difficult to determine conclusively; however, when he looked at the facts,
         he found that the amount of inspnction activities compared to the need at the
         pitht was very small, and that for a considerable pdriod of time, almost all
         the_inspectionLat CPSES were done b.y the Resident _Inspntor with_yery little .
          regional support. W stated that it was a fact that the inspections were not                           ,
          being done.                                                                                            '
      _Nfurther elabcrated on the Region IV inspection program b opining that
          the Region did not have a strong orientation to QA progruns.                         believed
      ithat had Region IV had such a strong orientation over the years, the problems
          seen at CPSES, South Texas and Waterford would never have arisen. When asked
           if greater emphasts by Region IV on the QA aspects of the NRC insrection                             !
          program at CPSES could have resulted in TUGC0 implementing a better QA program
          at an earlier stage, DENISE stated that he believed this to be true. He added
           that if the program for QA is not strong, then any deficiencies which occur in
                                                                                                                 ,
                                                                                                                 '
          the construction organization will simply be magnified.
                                                                                                          .
          He stated that TUGC0 did not have e strong QA pro rem and the Region did not
           remedy that situation over a period of years. _                 further considered it a '
           very severe deficiency" on the part of Region IV to have not: conducted an                         i
           inspet: tion of TUGCO's corporate QA program and.taken corrective action                     _.
          However.Mdid not believe the NRC should do the utility's job. E..
           connented that.even though Region IV may not have fulfilled its
                                                                                              ~
           responsibilities, the utility cannot blame the NRC for its mistakes. However,
           the NRC would have better represented the public, boi;h in tenfis of health and                         ,
           safety and in terms of. expense, had Region IV demanded and obtained better                      -
                                                                                                                   1
           q
       ,uality     assurance from TUGCO. (Attschment R, page.s 6-9 and 23-25).
                                                                                       . . . . .
                  '                                                                                                i
                                                        EXHIBIT 12b
                                                                                                                   l
                                                                                                                   1
                                                                                   '
                                                                                                                   i
                                                                                                                   1

.. . . . 1

              .
                         .                                                                                  I
               -          '                                         --
                      ,-                                                     ,
                                                                                          ,
             ,
      a
                                                                                                      9

,

                                      I
                                                                                                          .
                                         correct because of already completed construction.       This
                                      2
                     ,
                      ,
                                         is different than operating plants where deficiencies
                                      3
                                         in operating people and operating procedures could be
                                      4
        ,
                                         remedied without significant rework in a constructed plant.

c  !

                                      8
        ,
                                                          Nevertheless, Comanche Peak did not appear
                                                                  '
                                      6
          ,,
           1
                                         to me.at the time that I arrived in Region ~Four to have had        1
                                      7
                  <,
                                        an aggressive inspection program for a period of years.
                                      8
                                         I had conversations with the former senior resident
                                      9
                                         inspector, Mr. Robert Taylor, who told me that he had      .
                                                                                                             !
                                     10
                                        repeatedly appealed for assistance from the Region in                l
                                     11                                                                      l
                                         conducting construction inspections, and that these appeals         '
                                    12
                                        had not been responded to.     The upshot of all this was            ;
                                    13
                                        that the regional administrator had already given up
                                                                                                        .
                                    14
                                        regaining control of inspection activities at Comanche
                 .
                 5.                 15
                                        Peak and at Waterford, and this was. simply implemented
                                                                                      ~
               !
                 !                  16
                                        soon after I arrived.
                                                                        *
                 8                  17                                                                       i
                                        0                 How would, I guess when we're talking
                 i                                                                                           !
                 i                  18                                                                       a
                                        about regional management we're talking about Westerman              !
                 .I
                                    up
                 g
                                        andCheckandEricCohf* son.        How would they pass on their          f
                 i,                 20
                                        attitudes concerning specifically TUGCO to tha inspgetion,          J
                 .
                 i
                 P
                                    21
                                        the resident inspector to l'e( thru know, you know, this
                                    22
                 l                      is, we think TUGC0 does a pretty good job.       They're being      ,
                                    25
                                        unfairly criticized by intervening groups, therefore,
                                                                                                            1
                                    24
                                        let us help them along.     How would that attitude get passed       j
 .
                                    25
                                        along to the inspectors?
                                                                                                             1
                                                                                                             !
                                                                                                             ) ;
                                                                                   -
                                                                                                             l
                                                                                                             s
                                                                                                             l
                                                                                                               i
u______-______________      _ _ _ _                                                                         1
  __-                . - .
                                                                                               ,
                                        _   __                                           _
                                                                                                !
      .                                   .                       . . . .                     .;
                                                                              ,
                                                                          ,
                                                                                         .
                                                                    .
                                                                                  10            )
                                                                                                I
              1
                    A'
                                     Well, first of all, the attitude was passed
              2                                                                                 1
        .,
                    on by lack of assistants to provide help to inspect the
             3
                    plants.   If you don't inspect, you will not find any
                                                                                     .
              4
                    vAolations.
             6
                                     Secondly, one of the very favorite
             6
.
                    approaches to discourage inspectors in writing violations
             7
                  ,and writing reports on those violations is to worry their
             8
                    work product to death and question it to a great extreme.
             3                                                              ~
                                     In dealing with the inspectors who worked
             0
                    for me while I was in Region Four, I always conveyed to
            11
                    them the attitude that if it looked like a violation and
            12
                    smelled like a violation, then write it up as a violation
            13
                   and let the utility defend itself against that violation.
            14
                   If the utility was able to show that it was not actually
            15'
                   in violation of the regulations, then I was perfectly
            16
        ,
                   willing to retract the violation.
            17  '
                                     The attitude that led to worrying the
            18
                   inspectors' report and the inspectors' notice of violation
           18
                   to death simply me'ar.t' ,that the irispe' ctor would be
           #
                   discouraged from writing notices of v.iolation because       ,
           21
                  he had to jump through so many hoops to get it out.
           22
                  Whether or not that attitude and those actions of worrying
           28                                                                                   l
                  the violations to death sprang from the attitude of wanting                   l
           24                                                                                   I
                  to go easy on the utility or simply wanting to have an                        !
           25
                  airtight court case before any notice of vio1' ation was
                                                                                                i
                                                         .                                      i
                                                                                                l
                                                                                       . . .
                                                                                             ;

..

                           ~
         ___ __-                           - --
                           .                                                .      .
                                                                                                 ,
                                                                                .
                                                                                                                     11
                                    .
                                             1        issued would be difficult to tell.
                                                                    .
                                  '
                                           2                           In my own view, the attitude of not
                                 ".             ,
                                                                                                   -
                                           3         regulating violations was the strongest force.         I had
                                           4         a sufficient number of discussions with Westerman to                 '
                                                                                                                             ;
                                           6         conclude that Mr. Westerman rea11y didn't believe in
                      ,                    6         enforcement.   He didn't believe in enforcement as a means
                       A
                                                                                                                             i
                                           7         of achieving compliance with the regulations, and so he                 1

L e participated in worrying the paperwork to the point that

                                           g
                                                     less than the number of violations that could have been                 j
                                                                                          .
                                          10         written-were actually written.
                                          11      ,
                                                                      I veiwed the attitude of Mr. Check'as        .
                                                                                                                             {
                                         12          quite strongly anti-enforcement.       Mr. Check on more than
                      ,
                                         13          one occasion told me that utilities had been licensed              ,
                                                                                                                            i
                                         14          by the NRC, had been found competent by the NRC, 'and that
                               j         15 }       we should be extremely cautious in saying otherwise,
                               2
                               l         16         particularly in violations.      So I considered Mr. Check
                               8
                                         17         a very weak enforcement. advocate.
                               I
                               ;         la                           In addition to that, I believe that
                               I
                               y
                               e
                                         gg
                                                    Mr. Check was greatly influenced by the political aspects
                               I
                                                                              '
                               r
                                       go           ofanyoftheoperationsweMonductedwiththeutilities
                                                                                                              '
                               i      21            or against them in terms of enforcement.         In fact, I believe
                               i                                                                 *
                                      22            that Mr. Collins, who was a radional administrator, was
                                                '
                                      23            also very much swayed by the political environment within
                                      24            the NRC and in conjunction with the licensee.
                                      25            Q
                                                                      How did, how would Westerman go about           '
                                                                                                                             I
                                                                                                                             I
                                                                                                                             !
                                                                                                                             l
                                                                                                                             .
                             O

- _ - - _ _ - _ _ - _ - _ . __

 .                                                                                              . _ _ ,
                    ,
                                                         '        -
     ;_ . .                                                                                   ,
                                                    ,
                                                  .

,

                                                                                  12
                                                                      .
                I      worrying inspection findings? Would he confront the
                                           ,                                                            )
                                                                                                        1
                2
        '
          ,
                       inspectors head-on? Just drop violations frpm the report?                        !
                                                                                                        l
                                                                           .
                3
                       How would he go about that?
                                                                                                        l
                4
                       A                While I was there I had no knowledge that
                5
                      Mr. Westerman ever dropped a v'i'olation frem a report from
                6
   '
                       one of my inspectors.   He would have direct contact with
                                                                                                        ,
                7
                       the inspectors for the intended and correct purpose of
                8
                      being sure that the notice of violation was written clearly
                                         _      _
                8
                      and well written with proper citations against 'the
               1G '    regulations.  That was his primary job.
               11
                                        In addition to that, of course, he had
               12
                      the job of keeping track of the violations so that we                             I
                                                                                                        '
              13
                      could see that violations were answered and otherwise
              14
                      responded to.   I'm sure that he had many conversations                           l
              15
                      with inspectors, and some of them got back to me, and
              16
                      I can't remember the specifics, where he would argue that
              11
                      something really wasn't a violation, and as I say, that
              18
                      wasn't my attitude._ If it looks sufficiently like a
              18
                      violation I would let the utility defend itself, rather
              80                                                                                        i
                      than have Mr. Westerman B,efe'nd th'd utility on violation.,
                                                  ,                                                     ;
              21
                                        I don't say that Mr. Westerman's
              22                                                                                        J
                      contributions were all negative.     He did call our attent, ion
                                                                                                        l
              25                                                                                        i
                      to the need for greater precision in our language a number
                                                                                                        l
              24
                      of times, and this was beneficial.     But overall,
                                                                                                        1
                                                                                                         '
              23
                      Mr. Westerman's attitude was anti-enforcement,
                                                                                                        i
                                                                                              ~
                                                                                                          a

.

                                                                                                        j
                                                                                            o .         J
            -
                                                                                     _ _ ._             .

-_ _ --__ - - .

                                                              .      --                  *
                                                                                               .
                                              .
                                                                                            13
                                                                                                                   ,
                        !                       ,In addition to direct contact with
                  .,
                     ,
                        2
                               inspectors, he interacted with section c,hiefs and branch                           I
                                                                                                                   j
                                                                                                                   !
                        3
                              chiefs on the production of inspection reports and e.ny
                                                                                                                   i
                        4     accompanying notices of violation.        In this interaction
                        6
                              I was told a number of times tNat Westerman didn't think
                        6     that a violation was an appropriate vehicle to achieve                               '
                        7     the corrected action.      I can't recall any instance where
                                                                         ~
                        8
                              I agreed with that decision on his part.
                        9   -Q                  How would he prefer to handle it?
                          i
                       10     A                 He would have preferred to handle it by
                       11
                              discussing the matter with the licensee and by heving
                       12
                              any documented record be observations in the inspection
                       13     reports, rather than clear violations.
                                                                  %
                       14     Q                 How would Mr. Westerman handle a disagreement
                                                                              -
                .
                i      15
                             between himself and an inspector? For example, if he                                  f
                !         !
                [      16
                          l  didn't think something should be a violation, if he wanted                              ,
                {      17
                             to downgrade it to an unresolved item or something like
                i
                !.     18
                             that? Do you have any knowledge of inspectors just                                     /
               'I
                }      19    agreeing with his call or how he handled 6that?
                                                                                                                     1
                       3D    A                  I can't recall any,at the moment, and
                   -
                .
                ;
                       21
                             by and large I relied upo'n'the people that worked for
                i                                               .
                                                                                                                     I
                l
                       21    me to work througn that process.       But Mr. Westerman normally
                       23
                             would have interacted with the section chief or more likely
                       24
                             the branch chief, Mr. Johnson, to gain his acceptance
                       25
                             of Westerman's conclusions,'and to you see, we have people
                                                                                                 _ _ _ _ _ _ _ _ _
               -                                       _ - _ _ _ - _ _ _ _ _ _ _ _ _

..

                                                                                                                                                                                                .
                                                                                                              .                                                                                          *
                                                                                                                                                                                                                         14
                                                                                    .
                                                  I                                     lined up in a row               and..an ins.pe.ctor who wants to write
                                                                                                                 _ _ . . , -
                                                                                                                                       ..
                                                                                                                                                                --
                                                                                                                                                                                              .
                                                                                                                                                                                                  . . . _
                                                  2                                    a violation, a section chief who may have no strong feelings                                                                         I
            e
                                                 3                                     one way or the other, and a branch chief attempting to
                                                                                                                  _                                                                                                         )
                                                  4                                    make a call based on his attitudes, as well as the facts
                                                 5                                     available to him a d being in'fluenced by Mr. Westerman                                                                              l
                                                                                                                               - . - - . . - . . - . . .
                                                 6                                     who basically had an anti-enforcement attitude, and in
                                                                                                                                                                                                                            !
                                                 7                                     someway that I couldn't testify to influenced by the
                                                 a                                     regional administrator and deputy regional administrator.
                                                 g
                                                                                                                    I'd say at that time that, and I'm speaking
                                                                                                                                                                                                                            l
                                             10                                        new of the time frame when I first arrived, the relationships
                                                                           l
                                                                                       between regional administrator and the deputy regional'
                                                                           -
                                             11
                                             12                                        administrator were poor.                                                                They simply.didn't like each
                                             13                                        other, and they didn't share office responsibilities.
                                            14                                         In fact, you might say there were at least two camps in
                                            15                                        Region Four.              That camp who, that didn't like Mr. Collins,
                                            16                                        and that camp that was more dedicated to doing their job
                                            17
                                                                         I
                                                                                      than deciding whether they liked him or not.                                                                             That didn't
                                            18                                        have anything to do with whether they did their job or
                                            tg                                        not.
                                                                                                                         '
                                                                                                                                                      s                    .       .            .
                                           so                                                                       I forget the. exact data, but Mr. Martin
                                           21                                         replaced Mr. Collins as regional administrator.                                                                             From
                                           22                                         the enforcement viewpoint I e nsidered this an improvement,
                                           23                                         but my view on that was more influenc'ed by what Mr. Martin
                                          24                                          said than by what I observed.                                                                             Mr. Martin repeatedly said
                                          25                                          in staff meetings and in briefings with the staff and
  .
    _ . _ _ . _ _ _ _ _ _ _ _ - _ _ _ - _ - - - - - - - - - - - - - - - - - - - ~ - - - - - - - - - - - - ' -        - - - ~ - ' - - - - - - ' ' - - - ^ ' - - - - ' - ^ - - - ' - ~ ~ ~ ' -'
                                                                                                                                                    '
                                                                                                                                 -__-_-- -___- - - - -
   ..                     ...+                                    -       ..           .            .                     .
                                                    .
                                                                      .
 '
            ,                                                                t ..

i in Reply Refer.To:

                                                                  -Dockets: -50-445/85-07                      M5 0 31986
                                                                                    50-446/85-05
                                                                                                                     .                                  .i
                                                                                                                                                            '
                                                                     Texas Utilities Electric Company
                                                                     ATTN:      W. G' Counsil
                                                                                     .
                                                                     Skyway Tower
                                                                     400 North Olive Street
                                                                     Lock Box 81
      ,                                                              Dallas, Texas         75201
                                                                     Gentlemen:
                                                                                                                                                                      ;
                                                                  ' This refers to the inspection conducted under the Resident Inspection Program
                                                                     by. Messrs. J. E. Cummins and H. S. Phillips and others during the period                        1
                                                                     April 1, 1985, through June 21, 1985, of activities authorized by NRC Construc-
                                                                     tion Permits CPPR-125 and CPPR-126 of the Comanche Peak facility, Units-1 and 2
                                                                    .and to the discussion of our findings with Mr. J. T. Merritt, and other members of
                                                    -
                                                                     your staff at the conclusion of the inspection.                                              .
                             "
                      -
                                                                     Areas examined during the inspection included plant status, action on previous
                                                                     NRC inspection findings, action on applicant identified design construction
                                                                     deficiencies (10 CFR Part 50.55(e) reports) and plant tours. Within th6se
                                                                     areas, the inspection consisted of selective examination of procedures and                       '
                                                                     representative records, interviews with personnel, and observations by the                       ;
                                                                     inspectors. .These findings are documented in the enclosed inspection report.
                                                                     During this inspection, it was found that certain of your activities were in
                                                                     violation of NRC requirements. ~ Consequently, you are required to respond to
                                                                  . this violation, in writing, in accordance with the provision of.Section 2.201
                                                                     of the NRC's " Rules of Practice," Part 2. Title 10, Code of Federal                            u
            '
                                                                     Regulations. Your response should be based on th6 specifics contained in the
                                                                     Notice of Violation' enclosed with this letter. Since B&R Procedure 35-1195-CCP-10
                       _-
                                                                     has been revised to provide documented inspection of truck mixer blades, there
                      -
                                                                     was no abnormal blade wear identified as a result of blade inspection, and there-
                            -
                                                                     have been consistent concrete strength and uniformity tests, no reply to
                                                                     violation 2.c is required.                                                                       !
                                                                                                                              V
                                                                                                                                                                      i
                                                                                                           EXHIBIT 13
                                                                     RSE          b      R!B   h      CPT G            DRSP                         NRR         '
                                                                     HSPhillips/h DMHunnicutt         TFWesterman      EHJohnson                    VNoonan #
                                                                      I ln /8G
                                                                                                                                                                      ,
                                                                                                       i /%/86-
                                                                                         . l /f86                      I /f/G
                                                                                                                          +
                                                                                                                                                   j/4/6              l
    .
                                                                                                                                                              /g;TO/
      ..
        _ _ _ _ - - - - _ - - _ - _ - - - - - _ - - - - - - - . -

_ _ _ _ _ .. - _ - _ _ - - - _ _ .

                                                                                                              - - . -_-_ -_-___             --__ _ -___--
                  .                                                                                .      ,
                       '
            '

u ! i r- L

                                                                            ~

L Texas Utilitiies Electric Company' 2 1. L . Should you' have'any questions concerning this. inspection, we will he pleased

                            to discuss them with you.                                                                                     -
                                                                                                   Sincerely,
                                                                                                              066*gg eped M
                                                                                                                             t. 3 y ::: '
                                                                                                   E. H. Johnson, Acting Director
                                                                                                   Division of Reactor Safety and
                                                                                                       Projects

l; Enclosures:

                            1.- Appendix A'- Notice of Violation
                            2. .                            Appendix B - NRC Inspection Report
                                                                               '50-445/85-07
               . ,                                                                50-446/85-05
                                                                                                                                                          '
               ,            cc w/ enclosure:                                       ,
                                                                                                                                                            ;
              ,_.          Texas Utilities Electric Company                                                 *
                                                                                                                                                            '
                           ATTN:                             J. W. Beck, Manager,
                                                                Licensing
                          .. Skyway Tower
                           400 North Olive Street
                            Lock Box 81
                           Dallas, Texas                                      75201                                              .
                           Juanita Ellis
                            President ' CASE
                            1426 South Polk Street
                           Dallas, Texas 75224
                       --
                            Renea Hicks
              .-
                           Assistant Attorney General
                            Environmental Protection Division
                            P. O. Box 12548
                           Austin ' Texas 76711
                           Texas Radiation Control Program Director
                           bectoDMB(IE01)
                           bec distrib. by RIV:
                           *RPB                                     ,                          * MIS System                                                 j
                           *RRI-OPS                                                            *RSTS Operator                                               '
                           *RRI-CONST                                                          *R&SPB
                           *T. F. Westerman, CPTG                                               DRSP

g V. Noonan, NRR R. Martin, RA 1

                             S. Treby, ELD                                                                                                                   l

l *RSB 1 *RIV File J. Taylor, IE

                           *D. Weiss, LFMB (AR-2015)                                            R. Heishman, IE

i *w/766

                                                                                                                                                             ,

- -. - - _ _ _ _ _ _ _ _ _ . -

_ _ _ _ _ _ _ _ - _ - - _ . - _ _ _ _ _ . _ - _ _ _ _ _ . - _ - _ - _ . _ - _ _ _ . _ __ . _ _ _- __

                                                                                      .
                            .
                                                                                APPENDIX A                                                       ?
                                        ,                                                                                                     .-
                                                                         NOTICE OF VIOLATION                                                     .
                                Texas Utilities Electric Company                                                Docket: 50-445/85-07
                                Comanche Peak Steam Electric Station                                                                         50-446/85-05
                                   Units 1 and 2                                                                Permit: CPPR-120
                                                                                                                                             CPPR-127.
                                                                                                                                             1985, violations
                                During
                                of        an NRC inspection
                                   NRC requirements                     conducted
                                                                were identified.      on April with
                                                                                 In accordance               1 through
                                                                                                                  the                         June 21, General Statem
                                of Policy and Procedures for NRC Enforcement Actions," 10 CFR Part 2,
                                Appendix C (1985), the violations are listed below:
                   ~       '
                                1.   Failure to Promptly Correct an Identified Problem with RTE - Delta
                                     Potential Transformer Tiltout Subassemblies                                                                             -
                    .
                    '            ~
                  ~                  10 CFR 50, Appendix B, Criterion XVI, as implemented by Texas Utilities
                                     Generating Company (TUGCO) Quality Assurance Plan (QAP), Section 16.0,
                                     Revision 0, requires that measures shall be established to assure that
                                     conditions adverse to quality, such as failures, malfunctions, deficien-
                                     cies deviations, defective material and equipment, and nonconformances are
                                     promptly identified and corrected.
                                     Contrary to the above, a potential problem with RTE - Delta potential
                                     transformer tiltout subassemblies, which are used in the emergency diesel
                                     generator control panels, was identified to the applicant via a letter,
                                     dated June 15, 1933, from Transamerica Delaval Inc. This letter also
                                     provided instructions for correcting the potential problem. However, the
                              -
                                     applicant did not take the corrective action. The NRC initially reported
                                     this item as unresolved in NRC Inspection Report 50-445/84-40.
                  '
                                     This is a Severity Level IV violation. (Supplement II.E) (445/8507-01
                                     446/8505-01).
                                2.   Failure To Follow Procedures
                                     10 CFR Part 50, Appendix B, Criterion V, as implemented by the TUGC0 QAP,
                                     Section 5.0, Revision 2 requires that activities affecting quality shall
                                     be prescribed by documented instructions, procedures, or drawings, of a
                                     type appropriate to the circumstances and shall be accomplished in accor-
                                     dance with these instructions, procedures, or drawings,
                                     a.     Drawing 2323-51-0550, Revision 4. Section 6-6 specified the use of
                                            Class E" concrete for the Unit I reactor coolant pump and steam
                                             generator supports.
                                                                                                                                                                           I

- _ _ _ _ - _ _ i

__

        ..
             ,

e

                                                                                          l
                                                                                          !
                .
                                                  -2
                   Contrary to the above, commercial nonshrink grout was used to grout

<

                   the Unit I reactor coolant pump and steam generator supports in lieu
                   of Class "E" concrete. (445/8507-02)
                   This'is a Severity Level V violation (Supplement II.E).
               b.  Brown and Root Procedure QI-QAP-7.2-8, " Receiving of Westinghouse
                   Safety Related Equipment," Section 3.1.d.1, requires a QC inspector
                   to verify that the Westinghouse Quality Release (QR) document
                   checklist items be filled out completely and accurately.
                   Contrary to the above, the voltage recorded on Westinghouse QR 41424
                   checklist, attachment 1 step 4.1, was outside the specifieo
                   tolerance, but the QC receipt inspector accepted QR as satisfactory.
                   (445/8507-03)
           ,
                   This is a Severity Level IV violation.                               ,
    i          c.  Brown & Root Procedure 35-1195-CCP-10, Revision 5, dated December 4,
    ___            1978, requires that central and truck mixer blades be checked
                   quarterly to assure that mixer blade wear does not exceed a 1 css of
                   10% of original blade height.                                          <
                   Contrary to the above, on May 31, 1985, the NRC inspector determined   j
                   that there was no objective evidence (records) that the mixing blades
                   had been inspected quarterly since the trucks were placed in service
                   in 1977. (445/8507-04;446/8505-02)
                   This is a Severity Level V violation (Supplement II.E)
               d. Brown & Root Procedure CP-QAP-15.1, " Field Control of Nonconforming
    - "- *        Item " states that nonconforming conditions shall be documented in a
                  Deficiency and Disposition Report (DDR). Procedure CP-QCP-1,3, " Tool
   .
    -             Equipment Calibration and Control," dated July 14, 1975, states that
                  out-of-calibration equipment shall be identified on a DDR_.
                  Contrary to the above, on May 31, 1985, the NRC inspector reviewed
                  the calibration file for scale (MTE 779) used for weighing cement and
                  found that a 24-48 pound deviation from the required accuracy was
                  encountered with the water and cement scales during a 1975 calibration
                  of the backup plant scales, however, no DDR was issued to identify
                  this condition and require disposition of the scale and concrete (if
                  any) produced.     (445/8507-06;446/8505-04).
                  This is a Severity Level IV violation (Supplement II.E).
  .
 __
    ,
                                                                                                                                                               i
                                                                                                         -3-
                                                                Pursuant'totheprovisionsof10CFR2.201,TexasUtilitiesElectrfcCompanyis-
                                                                hereby required to submit to this office within 30 days of the date of the          '
                                                                                                                                                             >
                                                                                                                                                                ,
                                                                letter trar,smitting this Notice, a written statement or explanation .in reply,
                                                                including.for each violation: (1) the reason for the violations if admitted.             -
                                                                     the corrective steps which have been'taken and the results achieved.     .
                                                                                                                                                  -
                                                                     the' corrective steps which will be taken to avoid further violations, and                4
                                                                     the date when full compliance will be achieved. Where good cause is shown,                '
                                                                consideration will be given to extending the response time.               ,    i'
                                                                                                      *
                                                                                                                                                ,
                                                                                                                                                               ,
                                                                Dated at Arlington, Texas,
                                                                this 3rd day of February,1986
        -              .
       m.
                                                                                                                                                       j
      --
                                                              .
                                                                                                                                                      .i
                                                                                                                                                           -
      _. ._
      WD
                                                                                                                                                                I
                                                                                                                                                                1
                                                                                                                                                                 l
                                                                                                                                                                l
                                                                                                                                                                 l
                                                                                                                                                                 i
                                                                                                                                                                 l
                                                                                                                                                                }
                                                                                                                                                                 l
                                                                                                                                                                 l
                                                                                                                                                                 l

~ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ . _ _ x___. _

h,p[G'. I '

                                                                 .                 .      ..             .

m Q;;y"

                                ,

p s i%3

                                                               '
                         ,

' N.i? ,

                    u S g'-
 y                     '
                                                    1
                                                                       APPENDIX B
        +
                                                         U..S.HUCLEARREGULATORYCOMMISSION'            .
                       ;,                                           >
                                                                        REGION IV                   .I
                                                                                                       *
 n.
                               NRC Inspection, Report: 50-445/85-07                    Permit: CPPR-126
  , -
                           ,                              -50-446/85-05                         CPPR-127
                             Docket: 50-4;s; 50-446
                 .                                                                                           I
                  '
      -/
                               Applicant: Texas Utilities Electric Company (TUEC)                            l
                                               Skyway Toweri

, '

                                  '
                                               400 North Olive Street
                                              t.ock Box 81                                                   1
          ,                                   Dallas, Texas      75201
                                                                                                             '

l

                               Facility Name: Comanche Peak Steam Electric Station (CPSES)
              -     -
                                                  Units 1 and 2                                            .
              .'                      .    ..        .
               "
                               Inspection At: Glen Rose, Texas                                               !
            -

l .Ir.spection Conducted: April 1, 1985, through June 21, 1985

                             ' Inspectors:     C                         d               /U        f

! '

                                                H. 5. Fhillips, Senior Resident        ' Tate
                                                 Reactor Inspector Construction
                                                (pars. 1, 2, 3, 8, 9, 10, 11, 15, 16,
                                                  17, 18, and 19)
                    --
                                                 l5 9/? YW                              W1/25
                                               d. E. Cumins, Senior Resident Reactor Date
                                                                                                             j
            :                                     Inspector Construction (April 1 - May 10,1985)
                                                (pars. 1, 3, and 19)
                                                       '     -
                                                                         Y/               /8l// W .
                                               D. E. Norman, Reactor Inspector           Date
                                                (pars. 1, 12, 13, 14, and 19)
                                               AkG
                                               D. M. Hunnicutt, Section Chief
                                                                                     <  W2/gr
                                                                                         Uate
                                                  Reactor Projects Branch 2
                                              (pars. 1, 4, 5, 6, 7, and 19)
      .
                               _ _ _ _ _ _ _ _     . _ _ _ _
   ...
                                                                                                                                                ,
                 ,       <

, ' ,.;_.. - .

                                                                                               .
           t
                                                                                                                                                  -

c ,

                                                                                        -2-                                                           l
                                                                                                                                                     i
                                                                                                                    .                                ?
                                                                                                                .  I                               'l
.
                               . Approved:                     bff)          de.u 1Y~               //,1Sf8d
                                                               D. M. Hunnicutt, Section Chief,     ' Date-

L Reactor Project Section D i

                                                                                                                                                    i
                                     Inspection Summary
                                     Inspection Conducted April l',1985, through June 21,1985(Report 50-445/85-07)
                                    Areas Inspected: Routine, announced and unannounced inspections of Unit I
                                   which:1ccluded plant' tours and review of plant status, action on previous NRC
                                     inspection findings (*'iolations/ unresolved items), review of documentation for
                                    site dams, and. review of 10 CFR Part 21 and 10 CFR Part 50.55ft i OcMtruction
                7                  deficiency status, The inspection involved 77 inspector-hours onsite by four
                   .           , NRC . inspectors .
                                               .
                                                                                                                      '
                                    Results: Within the areas insnected, five violations .were identified: fail-
                                    ure to promptly correct an identified' problem with RTE'- Delta Potential
                               ' Transformer Tiltout Subassemblies, paragraph 3.a.; commercial non-shrink grout
                                   was used to grout the Unit I reactor coolant pump and steam generator supports
                                    in lieu of Class "E" concrete, paragraph 3.b.; hydrogen recombiners out-of-
                                   specification voltage recorded on quality release document but QC receipt
                               . inspector accepted, paragraph 3.c; failure to provide objective evidence to
                                   show.that central and. truck mixer blades were inspected, paragraph 8; and
                                   failure to issue a deficiency report on cement scales that were out-of-calibra-
                                   tion, paragraph 9.c.
                                    Inspection Summary
                   ,
                                    Inspection Conducted April 1, 1985, through June 21, 1985 (Report 446/85-05)
                                  Areas Inspected: Routine, announced and unannounced inspections of Urit 2
                                  which included plant tours and review of plant status, actinn nn nrevious NRC
                                    inspectiun findings (violations / unresolved items), review of documentation for
                                   site dams, review of documentation for voids behind the stainless steel cavity
                              -liner of reactor building, observation of NDE on liner plates, inspection of                                         !
                                    concrete batch plant, review of calibration laboratory records for batch plant,
                                    review of concrete laboratory testing, inspection of level C and D storage,
                                    review of reactor pressure vessel (RPV) and pipin
                                    review nf 10 CFR Part 21 and 10 CFR Part 50.55(e)g            records / completed
                                                                                                 construction deficiency  work, and
                                    status, and review of violation and unresnived items status., The inspection
                                     involved 335 Inspector-hours onsite by four NRL Inspectors.
                                                                        ...                        ..-
                                                                                                                                   -
                           I -Resti ts: Withili~Yfie _ sixteen areas inspected three violations were identified:
                           1                                                                                                          ,
                                     failure to correct RTE-Delta transformer problem, paragrapbtg; failure to
                                    provide objective evidence to show that concrete central and truck mixer blades                     ,i
                         ,
                                    were inspected, paragrapj;L,gi and failure to issue a deficiency report on cement
                                     scales that were out-of-calibration, paragraph 9c.
                                                                                                                                           '\       j
                                                                                                                            --              ' .
                                                                                                              (
                                                                                                                  ,,y li. h u - Q' g,,,t            1
                                                                              .
                     .
w--_____._________.____________.___.__                                                                                                              k
     _ _ - _ _          _ _ .
               ..
                                                                          -3-
                                                                      DETAILS                       .1
                                                                                                      .
                  .
                              1.    Persons Contacted
                                    Applicant Personnel
                                    M. McBay, Unit 2 Reactor Building Manager
                                    B. Ward, General Superintendent, Civil
                                    D. Chandler, QA/QC Civil Inspector
                                    W. Cromeans QA/QC, TUGC0 Laboratory / Civil Supervisor                       .l
                                  *#J. Merritt, Assistant Project General Manager                                  j
                                  *#P. Halstead, Construction Site QA Manager
                                   #C. Welch QA Supervisor TUGC0 (Construction)
                                    J. Walters TUGC0 Mechanical Engineer
                                    K. Noman, TUGC0 Mechanical Engineer                                        ~
                                                                                                                  i
               -'. -                J. h.te, B&R Materials Engineer
                                    G. Purdy, 3&R CPSES QA Manager
               i                                                                 .
                                    * Denotes those present at May 10, 1985 exit interview.
                                    # Denotes those present at June 10, 1985 exit interview.

t The NRC inspectors also interviewed other applicant employees during this

                                    inspection period.
                              2.    Plant Status
                                      UnitJ,                                                                       )
                                    At the time of this inspection, construction of Unit 1 was 99 percent
                    -
                                    complete. The fuel loading date for Unit 1 is pending the results of
                                    ongoing NRC reviews.                                                           ,
               ~~
                                                                                                                    I
                                    Unit 2                                                                          ;
                                    At the time of this inspection, construction of Unit 2 was approximately
                                    74 percent complete. Fuel loading is scheduled for approximately 18

e months af ter Unit 1 fuel loading.

                                     Applicant Action on Previous NRC Inspection Findings
                      /        3.
                                     a.   .IClosed) Unresolved Item 445/8440-02: Potential Problem with
                                           Potential Transformer Tiltout Subassemblies.
                                           By letter dated June 15, 1983 Transamerica Delaval notified the
                                           applicant of an RTE - Delta 10 CFR Part 21 report to the NRC
                                            reporting a potential problem with the primary disconnect clips of
                                            the potential transformer tiltout assem)1y used in the emergency
                                           diesel generator control panels at CPSES. The Transamerica Delaval

L:_ _ _ - _ _ _--

                                           - .                     .   _.
  I s
              .                                                           .                    .

l l t

                                                                                                                   4

,.

                                                               -4-
                               letter also provided instructions for correcting.the. pro $lem.
                               However, the NRC inspector could not determine if the problem had                i
                               been corrected at CPSES and made. this an unresolved item; 'The
                               applicant determined that the problem had not been corrected and'

T subsequently. performed the recommended corrective action. The Unit 1

                                                                                                                  ;
                               corrective action work. activities were documented on'startup work
                               permits 2-2912 (train A) and I-2914 (train B). The Unit 2 work.                  I
                               activities are being tracked as master data base (MDB). item 3003-31.            I
                     ,
                             - apparent
                                The f ailure   to promp(445/8507-01; e46/8505-011.tly correct this identified fp
                                           violation                               ~
                                                                                                                J
                       '
 ,                       b.  ,1 Closed) Unresolved Item 445/AA.1M11: Commercial Grout Used in Lieu
                               of Class "E" Concrete                                                           j
                                                                                           *

, h The applicant determined that the use of.nonshrink' comercial greut 'l . !

                               in lieu of the Class "E" concrete specified on drawing 2323-51-0550              >
               .
                 .             was acceptable. Design Change Authorization 21179 was issued to                     4

! drawing 2323-S1-0550 accepting the use of the comercial- non-shrink- i H

      '
           's                . grout. However, the failure to. grout with Clas:, "E" concrete as
          -.                   specified on the drawing at the time the wor,k was accomplished is an
                              apparent violation-(445/8507-92).                                              .
                         c. dClosed) Unresolved Item _445/8416-04;. Hydrogen Recombiners -
                              Out-of-Specification Voltage Recorded on Westinghouse Quality                     l
                              Release Document
                              Quality Release N-41424 was revised by Westinghouse changing the-
                              specified voltage from 10+-2V to 12+-2V which put the questionable
                              voltage within specification limits. However, the failure of receipt
                              inspection.to verify that the QRN-41424 was filled out accurately as
                              required by Procedure QI-QAP7.2-8 is an apparent violation
          ,_     .._          (445/8507-03).                 -
          .,,            d.  .{Dpen) Unresolved Item _445/8432-06; .446/841106; Lobbin Report'
                              Described Site Surveillance Program Weaknesses
                              During this reporting period the NRC inspector reviewed the status of
                              this open item several times and interviewed TUEC management and site
                              surveillance personnel. The Lobbin report stated that the scope and-
                            . objectives of the site surveillance program were unclear, lacking
                              both purpose and direction.
                                                                                                                  '
                                                                                                                   i
                              There is no specific regulatory requirement to have a surveillance                 l
                              program;.however, TUEC committed to have a surveillance program and                 j
                              has established procedures to implement such a program as a part of                 i
                              the 10 CFR Part 50, Appendix B, QA program. This extra effort is a                  :
                              strength; however, the NRC inspector also observed, as did the Lobbin
                              Report, that the surveillance program lacks both purpose and
                              direction to be effective and complimentary to the audit and                         ;
                                                                                                                   ,
                                                                                                                   i
       se
                   _ _ _
                                                                                   .
                                                                                                                       I
                                                                              -5-
                                                inspection programs. Since. the TUEC audit group is not-1kcated on
                                                site, the TUEC surveillance program on site takes on added
                                                significance.
                                               This ited was discussed with the TUEC site QC manager who described a
                                                reorganized site surveillance function and changes that have
                                               occurred. New procedures which describe this organization's duties
                                                and responsibilities are forthcoming.
                                               TUEC has elected to defer responding to the violations pertaining to
                                                the audit function in NRC Inspection Report 445/84-32; 446/84-11, but
                                                rather to have the Comanche Peak Response Team (I,PRT) respond tc this
                                                report and other QA matters. The surveillance issue is closely tied
                                               to.the audit deficiencies in NRC Inspection Report Nom 445/84-32:
                                               446/84-11. _This item will remain open oendino the review and imple-
                                  .           -mentation of the CPRT action plan. A special point of interest will
                          ..                   be how audits and surveillance work together to evaluate the control _
                           V                   of all safety-related activities on site to assure quality,
                           -
                                               especially the overview of quality control effectiveness.
                                   /   4. Document Inspection of Site Dams
                         &                The NRC inspector reviewed documents describing the inspection activities
                                          perfonned on the Squaw Creek Dam (SCD) and the safe shutdown impoundment
                                          (SSI) for impounding cooling water for the two units at CPSES. The
                                          purpose of the SCD is to impound a cooling lake for CPSES. A secondary
                                          reservoir (SSI) is formed by a channel connecting the 500 impoundment to
                                          the SSI.
                                          Three documented inspections have been perfonned since 1980. The              {
                          _ , , .
                                          inspections were:
                         .
                         ~
                                          a.   Relevant data for SCD is contained in Phase I Inspection National        s
                                               Dam Safety Program, Squaw Creek Dam, Somervell County, Texas, Brazos     l
                                               River Basin, inspection by Texas Department of Water Resources. Date     !
                                               of Inspection: June 10, 1980.                                             I
                                          b.   Inspection on August 25, 1982, by registered professional engineers
                                               from Hason-Johnston & Associates, Inc., and Freese & Nichols, Inc.
                                          c.   Inspection on September 19, 1984, by a registered professional
                                               engineer from Mason-Johnston & Associates, Inc.
                                          The inspection activities consisted of visual inspections by inspection
                                          teams that included accompanying Texas Utilities Service Inc. (TUSI),
                                          and Texas Utilities Generating Company (TUGCO) representatives.
                                          Photographs were taken as a part of the documentation. The data for the
                                     .
                                                3

. _ - - _ - . _ . _

_ -_

                  m..
                                                                          -6-
                                       piezometer observations and the data for the surface reference monuments
                                       were reviewed by applicant personnel and Mason-Johnston engin8ers.
                                       No items of significance were observed or reported by these inspection
                                       teams. . Slight erosion areas were observed and reported. A cracked area
                                       on the service spillway upstream right bridge seat was observed by the
                                       inspection teams and continued monitoring of this area was recommended by
                                       Mason-Johnston and Associates. No signs of cracks, settlements, or
                                       horizontal movement at any location within the SCD or the SSI were
                                       reported.
                                       The WRC inspector reviewed the applicant's records and the Mason-,1ohnston
                                       inspection reports. These documents indicated that the SCD and SSI were
                                       structurally stable and that the applicant was performing inspection
                                       activities to maintain the structural integrity of these dams.
                                      The state of Texas requires periodic inspections of these dams
                    , ,                (principally the SCD) due to inhabited dwellings downstream. The
                   ,
                                       applicant has met these inspection requirements.                          -
                     >
                   ,__
                          v            No violations or deviations were identified.
                             p p AttM
                p #,1,          5.    Voids Behind the Stainless Steel Cavity Liner in Unit 2 Reactor Buildig
                   9 9.7 /,:'.
                        ce         1 In review of previous related TRT concerns, the NRC inspector reviewed
                 /2 #c[M ' applicant records, including NCR C-82-01202; NCR C-1784, Rev.1; NCR
                 ,n. , ,, .s F ' C-1784, Rev. 2; NCR C-1766, Rev. 1; NCR C 1791, Rev. 1; NCR C-1824,
               eg/ a de'J Rev.1; NCR C-1824 Rev. 2; Significant Deficiency Analysis Report (SDAR)
                                      - 26, dated December 12,1979; DCA-20856; and Gibbs and Hill Specification
                                      2323-55-18. The review of records and documentation and discussions with
                           '
                                      various applicant personnel indicated the following:
                   -' ~
                                            Structural concrete was placed in Unit 2 reactor building at
                                            elevation 819 feet 6-3/4 inches to 84C feet 6 inches on June 21,
                   _-                       1979. This concrete was placed adjacent to the stainless steel liner    1
                                            wall s. The concrete forms for this pour were not removed until
                                                                                                                    i
                                            October 1979 due to subsequent concrete placements for the walls to     j
                                            elevation 860 feet 0 inches. When the forms were removed, honeycombs    '
                                            and voids were, observed by applicant personnel. The applicant's
                                            review of the extent of unconsolidated concrete resulted in the
                                            issuance of SDAR-26 on December 12, 1979. Investigations were begun     1
                                            and Meunow and Associates (M&A) of Charlotte, North Carolina, were
                                            contracted to perform nondestructive testing on in-place concrete.
                                            M&A performed these tests on a two foot grid pattern on the
                                            compartment and liner sides of all four steam generator (SG)
                                            compartment walls. The selected test locations did not include the
                                            locations where the voids were later found to be located.
                                                                                                                      1
                                                                                                                      i
                                                                                                                      l
                                                                                                                  .
               0

&_._._._.__._._

n - lI + . , . .

   c
                                       .
                                             -7-
            - In August 1982, preparations were made to pour the concrete annulus
             around the reactor vessel. When the expanded metal fornkork was
              removed from th.e reactor side of the compartment walls", voids were

, observed and NCR_C-82-01202 was prepared. DCA 20856 was prepared as L

             a prxedure to repair the void area. DCA 20856 indicated-that the

'- voids were not extensive (a surface area of about 28 square feet by 8

              inches maximum depth) and that the repair procedure assured that the

l total extent of voids ~had been identified. Onehalf-(0.5)ofacubic

             yard of concrete was used to complete the . repairs as indicated on

i

             grout pour card 261.
             The applicant's review and evaluation of the gird pattern and a
             comparison of SG compartments 2 and 3 to 1 and 4 indicated that voids
             did not exist in SG compartments 2_and 3. The review of. test girds
             extended down to elevation 834 feet, which is the floor elevation of
             the liner.. The liner walls of SG compartments 1 and 4 were not

' tested at elevation 834 feet..but at elevation 836 feet which is

          .  above the area of theLidentified voids. No testing was done on the
      ~       liner side of the area of the voids below elevation 836 feet. The --
       ,
             program also included removal of 2 inch x 2 inch plugs from the
                                              -
      __
             stainless steel liner at locations where test indications raised
             questions concerning the concrete. The inspections of the concrete
             by applicant personnel after the plugs were removed confirmed that
             there were no additional unconsolidated concrete areas (voids).         ,
             In accordance with OCA 20856, the applicant removed stainless steel
             liner plates from three areas (one area about I foot by 1 1/2 feet
             and two areas about 3 feet by 1 foot, excavated or chipped to sound
             concrete, and cleaned the concrete surface area. One and one-quarter    :
             inch (1 1/4) diameter probe holes and grout access holes were drilled
             in the liner plates to determine the extent of and to assure full
             definition of the void area. Air access holes were drilled in the
     ~~ '~   stainless steel liner plates to assure that grouting would be
             accomplished in accordance with the procedure.
     ~
     ~'
             The procedure (DCA-20856) specifed that the grout was to be cured for
             28 days or until the grout reached a compressive strength of 4000
             psi. Repairs to the liner plates were specified in DCA-20856 and G&H
             Procedure 2323-55-18.                                                 '
             DCA-20856 required that under no circumstances was cutting of the
             liner across weld seams, across embedded weld plates, or into leak
             chase seal welds or drilling through the liner at leak chase
             channels, embeds, or weld seams permitted. Documentation review
             indicated that DCA-20856 was adhered to,and that no cutting or
            drilling occurred in prohibited locati.ons.
            No violations or deviations were identified.
                                                                                     k
                                                                                     !
                                                                                     g
                                                                                                         _             ___ _ - _ _ _ - _ _ _ _ _ _ _ _
                                    . . . . . . .

L L l

                                                                                          -8-                                                               '
                                                  6. Nondestructive Testing Observations of Liner Plates in Fuel Transfer Canal

I '

                                 wj' '5                                                                           ,
                                                     The NRC inspector observed portions of non-Q liquid penetrant examinations
                                                     (PT) being performed on liner plate welds following re-installation of the
                                     p               liner plates in the areas of the fuel transfer canal remuved for
                                                     inspection and repair of the concrete. The inspector performed the PT on
                                                                                                                                                            l
                                                     the welds as required by the repair package and the procedure                                          ;

,

                                                     (QI-QP-11.18-1,"LiquidPenetrantExamination"). Scattered weld porosity                                  j

l was identified by the inspection. The porosity was ground out and a -

                                                                                                                                                            i
                                                     repeat PT was performed. The final inspection is scheduled to be                                        i
                                                     perfonned by QC inspection personnel. The liner plate areas to be                                      4
                                                     inspected by PT were identified in DCA 20856.                                                          I
                                                     No violations or ' deviations were identified.
                                pv5 4-            7. Cadweld Splice Observations and Records
                                                                                                                                                            !
                                  .
                                         60

1

                                 -
                                                     a.    Calibration of Tensile Tester                                                               -
                                                           The NRC inspector observed the calibration of the Tinus-Olson

l Universal Testing Machine (Model Number 6,00-12 Identification Number

                                                           M&TE-784) on April 2 and May 7, 1985. The machine was calibrated
                                                           just prior to performing tensile testing of cadweld splices and
                                                           subsequent to completion of tensile testing each day that tensile
                                                           testing was performed. The machine calibration date for April 2,
                                                           1985, prior to start of tensile testing was observed by the NRC
                                                           inspector and recorded as follows:
                                                                                                                                                            !
                                                     Nominal load     Calibration Reading        Error     Error    Remarks
                                                        (1bs)              (1bs)                 (1bs)      %
                                                         0                  0                          0                                                   ~
                                - ~                                                                             0    0 machine on
                                                                                                                     4/2/85                                 !
                                _~
                                                     100,000           99,750                       +250   +0.25
                                                     200,000          199,600'                      +400   +0.2
                                                     300,00           299,450                       +550   +0.18
                                                                                                                                                              ,
                                                                                                                                                            !
                                                     350,000          350,300                       -300   -0.08
                                                     400,000          401,200                      -1200   -0.03                                             j
                                                     500,000          501,350                      -1350   -0.27
                                                     600,000          602,450                                                                                )
                                                                                                   -2450   -0.40                                            j
                                                                                                                                                             i
                                                           The NRC inspector reviewed calibration data for March 4, March 8                                  {
                                                           April 2. April 3, April 30, and May 7,1985. All calibration data
                                                           met within the +/- 1% accuracy requirement specified by Calibration
                                                           Procedure 35-1195-IEl-37 Revision 3, dated March 11, 1982. The
                                                           reference standards were identified as follows:
                                                                                                                                                              ,
- - - - - - - . _ _ . . . . . -
 u
      -
   ,
                                                                                                    l
                                                                                                    '
     .
                                                                                                    \
                                                           -9 -
                            ID No.      Manufacturer         , Calibration Due Date  -
                                                                                                    l
                            RS-75       BLH Electronics       January 27, 1987
                            RS-75.3     BLH Electronics       January 27. 1987
                         b. Observation oi waaweld Splice Tensile Testing
                            (1) Qualification Tensile Testing
                                  On April 2, 1985, the NRC inspector observed the following
                                  tensile testing of cadweld splices for cadwelder qualification:   l
                                  EBD Q8, GBH Q1, GBH Q2, GBV Q1, BFD Q4, BFD Q3, BFH Q4, GAH Q1,   !

l

                                  GAV Q1, and GBV Q2.

l

                                  Each of the above qualification cadweld splices was tensile
           '
                                  tested to 400,000 pounds (100,000 psi) and met the requirements
                      '
                                  stated in the procedure.                                        -
              .
        i                    (2) Production Tensile Testing         ,
                                  The NRC inspector observed the tensile tester calibrations and
                                   the following production cadweld splices tensile testing on
                                  May 7, 1985: FXD 3P, FYD 4P, FYD 8P, FRD 87P, and FUD 6P.
                                   Each of the above production cadwe16 splices was tested to
                                  400,000 pound!,(100,000 psi)and met the requirements stated in
                                   the procedure.
                             (3) Installation of Production Cadweld Splices
                                   The NRC inspector observed installation of rebar and cadweld
                       -
                                   splices at frequent intervals (five or more observations per       l
                                  week during the weeks of April 8 and 15; May 6,13, 20, and 27;      !
        --                         andJune3,1985). The rebar installation for the Unit 2
                                   closure was perfonned in the area identified as elevation 805
                                   feet to elevation 875 feet and azimuth 300 degrees to 335
                                   degrees. The installation activities observed included rebar       j
                                   spacing, location of cadwelds, observation of selection and        !
                                   removal for testing of cadweld splices for testing, and           1
                                   determination of location of rebars and cadwelds for the
                                                                                                      '
                                   as-built drawings.
                             (4) Documentation Reviewed
                                   The NRC inspector reviewed the following documentation for the
                                   rebar placement and cadwelding for the Unit 2 containment
                                    (reactor building) closure area:
                                                                                                      ;
                                                                                                      !
        _ _ . _ _ _ _

'

                                                                              '
                                                                                                             1
                                                                                                             l
  p
        ,
                  -
-
                                                              -10-                                            l
                                       Drawings                  DCAs
                                                                                    NCRs {
                                       2323-5-0785, Rev.7        22616, Rev. 1      C85-200294                !
                                      .2323-S-0786, Rev.9        22726              C85-200339, Rev.1         !
                                       2323-51-500, Rev.5        22737'             C85-200355, Rev.1         '
                                       2323-S1-506, Rev.5        22836
                                       2323-52-505, Rev.5        22878 (Sheets 1-7)
                                       2323-52-508, Rev.2-       22772
                                       2323-52-506, Rev.3
                           No violations or deviations were identified.                                       !
      A 7cg4 - 8.         Concrete Batch Plan,t Inspection, Unit I and 2
                          The NRC inspector inspected the concrete production facilities for the
                           following. specific characteristics for the following breas: (1) material
                ,
                           storage and handling 'of cement, aggregate,' water and admixture. (2) batching-
           ~
            ;.
                         . equipment scales, weighing systems, admixture dispenser, and recorders, ~  -
                            (3) central mixer (not applicable because it had been dismantled),
                                                                                                            .
                                                                                                           1
           .--             (4) ticketing system, and (5) delivery system.                                  I
                          The current. batching is a manual operation since almost all concrete has
                          been placed. The central mixer was dismantled and removed from site two
                          or. three years ago when concrete placement was virtually completed.
                          Presently, the backup batch plant (which was a backup system for the
                          central ~ mixer) is in operation to complete.the remaining concrete
                          placements. This batch plant is in good condition and complied with the
                          subject checklist except for one area.
                          The NRC inspector inspected the inside of one of three trucks used for
                          mixing concrete'(that is, the batch plant dispenses the correct weight of
           ~~ ~           materials as required by the specific design mix numbers and the truck
                          then mixes the batch to be placed.) The blades inside the truck are
       ~
          .
                          subject to wear and should be checked at a reasonable frequency. The             i
                          Brown & Root (B&R) representative responsible for checking the blades in
                         .accordance with B&R Procedure 35-1195-CCP-10, Revision 5, dated
                          December 4,1978, was asked for evidence that the blades had been checked
                       - for wear on a quarterly basis as required by procedures and it was found
                          that there was no record of such checks dating back to 1977 when they were
                          initially checked.
                          In the FSAR Volume V, Section 3.8.1.2.3, the applicant commits to
                          ACI 304-73. In ACI 304, the maintenance of mixer blades is required.
                       '
                          Procedure CCP-10, paragraph 3.10 " Truck Mixing," is silent on blade wear
                          but Section 3.11 infers that the blades should be checked for both central
                          and truck mixing. The inspection of both central and truck mixing blades
    ,
                                                  '
  _
      =P            -'     -
                                        _ _ . _ _
               - _-_ _

{ . .

                                                                                                             l
                                                               -11-

i

                             was not documented, although the B&R representative stated that the mixing
                             blades wcre periodic 611y inspected and laboratory testing would have
                             probably indicated if there was s problem with the mixing blades,               j
                             Strength and uniformity tests have consistently been within the acceptable      '
                             range indicating that concrete production was acceptable even though
                            mixing blade inspection was not documented.
                                                                                                           I
                            Otherwise, the condition of the inside of the truck was satisfactory as        !
                            the drum and charging /discht.rging were clean. The water gage and drum

j. . counter were in good condition. ,

                            This failure to follow procedures is a violation of 10 CFR 50, Appendix B,
                            Criterion V. Subsequent to the identification of this violation, the
                            blades were checked for wear and blade wear was presently within allowable
                            limits (445/85_07-04; 446/8505-02).
                       .    No other~ violations or deviations we're identified.
              'g%v. 9.
                                                                                                      _
                            Calibration Laboratory for Batch Plant Unit 1 and 2

'

                         .

' ~~

                            The NRC inspector obtcined batch plant scale numbers from tags which
                            indicated that the scales had been calibrated and were within the
                            calibration frequency. Cement (MTE 779), Water (MTE 7661, admixture scale
                            (MTE 764), and aggregate (MTE 780) were reviewed. The scales had been
                            periodically calibrated since the batch plant was activated. The records
                            were adequate except as follows:
                            a.    Scales MTE 766 records do not differentiate between the
                                  required accuracy of the scale and the digital readout.
                           b.     Scales MTZ 779 and 780 records show various accuracy ranges for the
              --                  same scale; 1.e., MTE 779 (SN749687) records the following: report
                                  dated January 1976 gives 1%; report dated July 1976 gives 1% while
                                  the report dated October 1976 gives +/- 0.25.
                           The calibration appeared to be proper, howeverg the above items are unre-
                           solved pending further review of the applicant s actions regarding the
                           correction of these records (445/8507-05; 446/8505-03).
                                                                                                           I
                           c.
                                  Records for scales MTE 779 records contained BAR memo IM-1108 dated
                                 July 16,1975, which described a nonconforming condition. This condi-
                                 tion affected the water and cement scales causi'q a 24-48 pound deviation
                                  (7,000 pound scale) during the calibration test. The memo stated that
                                 the condition was corrected and the scales wore then calibrated; however, I
                                 no deficiency report was written as required by B&R Procedure             '
                                 CP-QCP-1.3, " Tool and Equipment Calibration and Tool Control" dated
                                 July 14,1975, and CP-QAP-15.1, " Field Control of Nonconforming
                                 items," dated July 14, 1975. As a result there is no evidence that
                                                                                                             I
                                                                                                           i
                                                                                                           4
  _ _ _ _ _ .
                                                                                                             _ _ _ - _ _ _ _ _ . _ _ - _ -
                                     ..                                                    .

9

                                                                                                                                                            I
                                                                                                                                                            i
                                                                                     -12-
                                                                                                                                                            l
                                                        corrective action included an evaluation to determine if?                          concrete -
                                                        production. was adversely affected.                                     -*
                                                                                                                                                            l
                                                        This failure to assure that a nonconforming condition was evaluated
                                                       -is a violation of Criterion XV of 10 CFR Part 50, Appendix B,
                                                        (445/8507-06; 446/8505-04).
                                  4 706[    10. Concrete Laboratory Testing Units 1, and 2
                                         -                                                                                                                  4
                                                                                                                                                          .
                                                  TUGC0 Procedure QI-QP-11.1-1, Revis'un 6, was compared with ASME                                      -
                                                  Section III, Division 2, Subsections 5222, 5223 and 5224 to assure that
                                                  each ASTM testing requirement was incorporated into the procedure.                                        <
                                                  The NRC inspector inspected the testing laboratory equipment and found the
                                                ' test area and equipment were in good condition and each piece of equipment
                                                  was tagged with a calibration sticker which showed it to be within the
                                   ,'             required calibration frequency. Test personnel were knowledgeable of test
                                  *
                                                  requirements and equipment.                                                                         -
                                    ,-
                                                                                                                                                            !
                                  __              The NRC inspector witnessed field tests performed by laboratory personnel
                                                  as follows:
                                                                                                 ,                                                          ,
                                                  Date    Truck No. Mix No. Ticket No.       Air Content (%) Slump (in.)
                                                                   Temp ('F)
                                                  6/3/85'RT-41     925        64013          Req 8.2-10.3      NA-                          70 max
                                                                                             Mea 8.7-9.1       NA                           57
                                                 6/3/85 RT-35      128        64014          Req 5.0-7.0    5 max */0 max
                                                                                             Mea 6.6        6.25* 57
                                          -
                                                 * Initial slump was high; however, after additional truck rotations the
                                                   slump was found acceptable.
                                  ~-
                                                 The following laboratory equipment was checked and found to be within
                                                 calibration: Forney Compression Tester, MTE 3031; Temperature Recorder
                                                 MTE 3013 and 3014; Unit Volume Scale, MTE 1053; Pressuro Meters MTE 30008,
                                                 3002 and 3004; Steves MTE 1285, 1239, 1272, 1274, 1136A, 1156, 1094, 1093,
                                                 1095,1178,1179,1300 and 11B0; Aggregate scales, MET 1058 and 1067; and
                                                 2" grout mold MTE 1111.
                                                 The following test records for placement number 201-5805-034 were
                                                 reviewed: (1) concrete placement inspection, (2) concrete placement
                                                 sumary and, (3) unit weight of fresh concrete.
                                                 No violations or deviations were . identified.
                                                                                                                                                            ;
                                       .
                               8a
 _ . _ _ . _ _ _ _ _ _ - _ _ _

- .

                          .           .       -       _-           .-
       ,
     *
            Y                                            , , . -, , <. . { ' < < ;.;. ~~~ ~ " '
                                                             ..
 I

,

                                                                             -13-
     Q                 ill. Inspection of Level C and D Storage Unit 1 and 2                             ,, [
                     4 ,,.( O etI
       p o #                                                                                                                   {
   F ffp35 #pl"//               , 7 conduit,
                                        The cable,
                                                 NRC     and    structural reinforcing
                                                            inspector.                 steel were stcred.
                                                                                inspected                     These areas where
                                                                                  on. cribbing inall
                                                                                                  welllaydowr
                                                                                                                                !
           ' '
                                   * materials   were neatly      stored outside                       drained ereas.
                   . ._ 3which allowed air circulation and avoided trapping. water. This met the
                                             "D" storage requirements of ANSI N45,2.2.
     W100hy.m           ,6M ; Level
   jp o 'b             'q. -The electrical warehouse. contained miscellaneous electrical hardware.
                              .
                                     This building was required to be fire resistant, weathertight, and well
                   -
                                    . ventilated in order to meet Level "C"' storage requirements. This
                                     warehouse was well kept and met all requirements except for a lock storage
                                     area located upstairs at the rear of this building (electrical termination
                                     tool' room). 'Two minor problems were identified and the warehouse
                                     personnel initiated action.to correct them.
          ..                         The first problem noted.was' that a box of nuclear grade cement was marked
                                     " shelf life out of.date" but it had no hold tag. The box was subsequently
       1                    -
                                     tagged inaccordance with TUGCo nonconformance Procedure.CP-QAP-16.1,
         -
                                     Revision 24 (Nonconfomance Report (NCR) E85-200453) after being identified
                                     by the NRC. During discussions with the warehouseman, the NRC determined
                                     that engineering told the warehouseman to mark the material and lock it up,
                                     but did P.ot tell him to apply an NCR or hold tag. Also, the NRC inspector                '
                                     noted a'very small leak in the. roof above the electrical temination tool
                                     room. - This leak was .in an area that did not expose. hardware .to moisture.
                                     The roof is currently being repaired.
                                     The mi11 wright warehouse storage area was inspected; however, only a small
                                     number of items or materials were stored in this area. The overall
                                     storage conditions in this area met or exceeded Level "C" storage
                                     requirements,
         -'~
                                                                                                                                 j
                                     No violations or deviations were identified.                                              ;
        .                                                                                                                       I
       ~
      .gve6 12. Reactor Pressure Vessel and Internals Installation - Unit 2
                 f<. *              This inspection was performed by an NRC inspector to verify final
                 .
                                    placement of the reactor pressure vessel (RPV) atd internals by examining                 q
       p ect                        the completed installation and inspection records,
          CM                        a.-    Requirements for Placement of RPV
          /
                                           Requirements for placement of the RPV to ensure proper fit'-up of all
                                           other major NSSS equipment are in Westinghouse Nuclear Services
                     i
                                           Division (WNSD) " Procedure for Setting of Major NSSS Components",
                                           Revision 2, dated February 13, 1979, and " General Reactor Vessel
                                           Setting Procedure" Revision 2. dated August 30, 1974. The NRC
                                                                                                                                 1
             .
   4
             . . ... 3..      -.                                .
   ,
                                                                                                                       j

y

 b r :
         1                                                              -14-                                            l
                                                                                                                        i
           '
                                          inspector reviewed the following drawings, which were ref;erenced in
                                          the RPV. operation traveler, to verify implementation of WNSD
                                          recommendations:
                                          o     WNSD drawing 1210E59 " Standard - Loop Plant RV Support Hardware     q
                                                Details and Assembly"                                                   i
                                          o     WNSD drawing 1457F27 " Comanche Peak SES RCS Equipment Supports -
                                                Reactor Vessel Supports"
                                                                                                                      1
                                          o     CE drawing 10773-171-004 " General Arrangement Elevation"
                                          o     CE drawing 10773-171-005 " General Arrangement Plan"               -
                                                                                                                        1
                                          Neither site prepared installation drawings nor specifications (which        i
                                          implemented the WNSD recommended procedures) were available and the
                           .,
                                          drawings examined did not show certain specific Installation
                       -
                                          criterion such as centering tolerances, levelness tolerances and       -    i
                        ;.                clearange between support brackets and : support shoes.                    j
                      ~
                                          The inspector considers this matter unruolved. (446/8505-05)
                                       b. Document Review
                                          The NRC inspector reviewed B&R Construction and Operation Traveler
                                          No. HE79-248-5500 which described the field instructions for
                                          installation of the Unit 2 RPV. Requirements recommended by WNSD
                                          procedures were implemented in the traveler. Worksheets attached to
                                          the traveler showed the RPV to be centered and leveled within the
                                          established tolerances. Traveler operation 19 required verification
                                          of a 0.020 to 0.005 inch clearance between the support bracket and
                      -- ~                support shoe, after applying the shin plates. Change 5 subsequently         i
                                          changed the clearance to a 0.015 to .025 inch clearance. The
                      .
                      -                   installation data reflected in attachment 3B of the traveler
                                          indicated an as-built clearance of 0.012 to 0.026 inch which exceeds
                                          both the original and revised tolerances. This condition was
                                          accepted on the traveler based on Westinghouse concurrence, and there
                                          was no documented engineering evaluation ensite justifying the final
                                          tolerances. This matter is considered unresolved pending documentation
                                          validating the final installation 'olerances.     (446/8505-06]
                                          The NRC inspector reviewed the following receiving records for the
                                          RPV hardware and found them to be in order:                                 i
                                          o     Report No.14322 for 54 each riosure studs, closure nuts, and
                                                closure washers
                                          o     Report No. 09507 for vessel S/N 11713, Closure Head 11713 and 26
                                                0-Rings                                                              1
                                                                                                           *
                                                                                                                        l
                                                                                                                       1
                   _-            _. -_
                                                    _ - _     _              .--     -
                                                      .                                                        .     .

&

                                                          .                                                 .
                                                                                                        -15-
                                                                         o
                                                                                  Deviationsticesand'correctiveactionstatementsj
                                                                       'The DC in'spector reviewed thel following completed travelers for
                                                                         internals installation and found them to be satisfactory:
                                                                        o         ME-84-4641-5500, " Assemble Upper Internals"
                                                                        o'       'ME-84-4503-4000. " Install and Adjust Roto Locks"
                                                                        o         ME-81-2145-5500. "Retorque VI Column Extension"
                                                                        o         RI-80-385-5500, " Transport and Install Lower Internals"
                                                                        o         ME-84-4617-5500, " Repair Lower Internals"
                                                                        o         ME-84-4640-5500. " Assemble Lower Internals"
                                     '[~                          c.    Visual Inspection-                                                        -
                                        _                               At this time, visual i_nspection of
                                                                        was not possible, and inspection wa,the          internals
                                                                                                                 s limited         by' theplacement
                                                                                                                            on the vessel  NRC inspector
                                                                        to a walk-around beneath the vessel to inspect the azimuth markings
                                                                        and for construction debris between the vessel and cavity. No

b- problems were identified in this' area..

                                                                  d.    Records of OA Audits or Surveillance
                                                                        The NRC inspector requested TUGC0 QA audits or surveillance
                                                                        performed by TUGC0 of the Unit 2 RPV installation. TUGC0 did not
                                                                        make available any documentation of an audit or surveillance which
                                                                        evaluated specified placement criteria, placement procedures,
                                        --
                                                                        hardware placement, or as-built records. This item is unresolved

,

                                                                      'pending a more comprehensive review of these activities
                                  -    ._
                                        .
                                                                        (446/8505-07)..
                                                                        No deviations were identified; however, two unresolved items were
                                                                        identified and are described in the above paragraphs. (11.aandd)                 ..
                                                            13. Reactor Vessel Misorientatien,.
                                             M                   On February 20, 1979, the applicant reported to the NRC Resident Inspector
                                    - 42'101                     that a design error had resulted in the reactor support structures being
                                                                 placed in the wrong position on the reactor support pedestal such that the
                                                                 reactor.would be out of position by 45 degrees. Initially. Unit 2 was to
                                                                 be a mirror image of Unit 1, however, a design change was initiated to
                                                                 permit identical components for both units. The design change was
                                                                 implemented for'the reactor vessel, but not for the pedestal support
                                                                -locations. The problem was not considered by the applicant to be
                                                                                                                                                            ,

w - - - . - . - - - . - . - . - - . ~ - . - - - . ~

                                                                          - . . - -   _   - _ - _ - - _      __-
                  .. .                                                  .
   ,'

L l

                                                                 -16-
        ,
                                                                                    '
                              reportable under provisions of,10 CFR Part 50.55(e) since the irror could            1
                              not have gone undetected.                                                 ,,

! The deficiency was reported to the NRC Office of inspection and Enforce- ,

                              ment on February 22, 1979 and durin; a March 27, 1979 meeting in Betherda,
                                                     .
                              Maryland, the applicant presented the proposed redesign and. rework proce-
                              dures for relocating the pedestal supports. .No unresolved safety concerns

'

    .                         with the repair were identified at the meeting.                                    .
      t                       During.this inspection the NRC inspector reviewed various documentation
                              relative to the disorientation problem, including design changes and the               j

l; construction traveler which implemented the repair. 1

                              The'following documents were reviewed:

L o NRC Inspectio'n Reports ~ 50-446/79-03; 50-446/79-07; 50-446/79-13

                                                                                                           -
              .:.
                              c'    TUSI Conference Memo, dated March 1, 1979, H. C. Schmidt to S.
                                                                      ~
..
              {                     Burwell (NRC Licensing PM)
                              o     TUGC0 letter TXX-2980, dated April 30, 1979, to W. C. Seidle
                              o     NRC letter to TUGC0 dated May 29, 1979
                                       ~
                              o     DCA.3872. Revision 1, dated February 28, 1979, Subject: Rework of
                                    Structure for Placement of the RPV Support Shoes
                              o     DCA 4122, dated March 22, 1979, Subject: Replacement of Rebar for
                                    RPV Supports
                              o     Construction Traveler CE79-018-5505, dated March 14, 1979, Subject:
              - --                  Rework of Reactor No. 2 Cavity - New RPV Support 1.ocations
              -
              -               o     Grout Replacement Cards No. 007, 008, 009, 010, 014, and 015, various
                            '
                                    dates Subject: Replacement of Grout around Rebar for Repa',r of RPV-
                                    Support Shoes
                              o    _ Various Inspection Reports for Grout Properties and Application for
                                    RPV Support Shoes
                              No violations or deviations were identified.
            j uf3 14. . Reactor Coolant Pressure Boundary (RCPB) Systems
                   ' Tff' 1
                     -        The inspection was performed to verify: the applicants system for
                              preparing, reviewin9, and maintaining records-for the RCPB piping and                   ,
                              components; that selected records reflected compliance with NRC                      '
                              requirements and SAR connitments for manufacture, test and installation of
                                                                                                                     i
                                                                                                                     1
          0
       --              .

l , ,

                               i      I
           -
                                                                                                                I
                                 .
                                                                     -17-                                      3
                                                                                                                ;
     '
   '
                                 items; and as-built hardh re was adequately marked and tracea@ e te
                             '
                                 records. The'following items were randomly selected and inspe.cted:
   L                             a.   Pressurizer Safety Valve - This item was inspected to the comitment
                                      stated in F5AR, Table 5.2-1 which includes ASME Section III, 1971
                                      Edition through. Winter 1972 Addenda. Valve S/N N56964-00-007, which
                                       is installed.in the B position, was inspected. The following' records
                                      were reviewed:                                                            ,
                                                                                                                !
                    '
                                      o_      QA Receiving Inspection ' Report No. 21211
                                                                                                                {
                                                                                            .
                                      o       Code Data Report Form NV-1-
                                      o       Valve Body Certified Material Test Reports (CMTRs)
                 '
                                      The valve was in place, however, installation had not been completed;
                      *
                                        therefore, the hardware installation inspection consisted of         _  ,
                -
                 ,,
                                       verifying that the item was traceable to the records.                    j
               ~~

r b. CVCS Spool Piece 301 - Requirements for this item are stated in ASME,-

                                        Section III,1974 Edition through Sumer 1974 Addenda, which is the
                                        comitment from the FSAR, Table 5.2-1. The item was field fabricated
                                        from bulk piping and purchased elbows.and installed in the CVCS with -
                                        field welds number 1 and 6 (ref. BRP-CS-2-RB-076). -The following
                                     . records were reviewed:
                                        o     B&R Code Data Report
                                        o     Field Weld Data Card
 '
                                        o     NDE Reports
                         - .
                                                                                                                  ,
                                                                                                                  '
                                        o     QA Receiving Reports for piping and elbows
               __
                                        o     CMTRs
                                        The installed spool piece was inspected for weld quality and to
                                        verify that marking and traceability requirements had been met. The
                                        item had been marked with the spool piece number (3Q1) and the B&R        1
                                        drawing number which provided traceability to the material                  l
                                        certifications.                                                           ]
                                                                                                                  ;
                                  c.    L6cp 3 RC Cold leg - Requirements for this item are stated in ASME,       q
                                        Section III,1974 Edition through Sumer 1974 Addenda, which is the         ;
                                        comitment from the FSAR, Table 5.2-1. This piping subassembly               '
                                        consists of a 27.5 inch cast pipe with a 22 degree elbow on the
                                         reactor end, a 10 inch 45 degree nozzle, a 3 inch nozzle, and three 2
                                                                                                                  1
          e,-
                                                                            -m        -
                                                                                          _         _
                                                                             .-      __ _ _ _ _
  ,
                                                 .
                                                                                                   8
                                                                                                '
                                                                                                    l
                                                                                                   1
                                            -18-
                                                                                                   1
                                                                                                   3
             1/2 irch thermowell installation bosses. Thefollowingbecordswert                       l
             reviewee fer the subassembly:                                                         j
             o    QA Receiving Inspection Report No. 12389
             o    Westinghouse Quality Releas,e (QRN 47523)
             o    Code Data Report Form NPP-!
             o    27 1/2 inch line CMTR                                                           !
                                                                                                   o
             o    3 inch nozzle CMTR
             o     Field Weld Data Cards
             o    NDE Reports
      - .
                                                                                   ~
     .
    '"
             (1) Sandusky Foundry and Machine Company test report for the cold
                   leg pipe certifies thit material meets requirements of ASME
     -
                  Section II, 1974 editions through winter 1975. Southwest
                  Fabrication and Welding Company code data report NPP-1 Form                     !

l certified that the cold leg subassembly met requirements of ASME  ; j Section III '1974 edition through winter 1975. '

             (2) The NRC inspector reviewed the procedures and hydro test data                    i
                  applicable to Unit 1, since Unit 2 hydro had not been completed.                !
                  Requirements for the tests were presented in Procedures
                  CP-QAP-12.2, " Inspection Procedure and Acceptance Criteria for
                  ASME Pressure Testing" and CP-QAP-12.1, "ASME Section III
                   installation, Verification, and N-5 Certification." Procedure                  4
                  CP-QAP-12.1 requires that a data package to be used in the test,
     _ _ . _      be prepared with the test bounoary and the additional following
                  data shown:                                                                     '
                  o      Base metal defects in which filler material has been added,              ,
                         and the depth of the base metal defect exceeds 3/8 inch or
                         10% of the actual thickness, whichever is less,
                  o      Untested vendor performed piping circumferential welds.                  !

l'

                  o      Approximate location and inaterial identification and                      <
                         description for permanent pressure boundary attachment with                I
                         applicable support number referenced,
                  o     Weld history, which shall reflect weld renoval and/or weld                '
                         repair.                                                                   j
                                                                                                   l
                                                                                                   l
                                                                                .
                                                                                                    l
                                                                                                    4
 ,,....                                              -            .       .
                                                                                                                                 !
                                 ,
                                                       -19-

-

                               The completed hydro data package (PT-5501) for Uqit[1, loop 3
                               co.1d leg was reviewed for compliance with the above
                               requirements. Drawing No. BRP-RC-1-520-001 had beeh'used to
                               annotate the test boundary. A handwritten statement on the                                        1
                               drawing indicated: "No major base metal repairs could be                                          !
                               located" and "No hangers with weld attachments could be                                           .
                               located." Welds performed by the pipe subassembly vendor,                                         '
                               including the 22 degree circumferential weld and the penetration
                               fittings had not been identified. The following items are                                         !
                               unresolved pending further review to determine.
                                                                                                                                 l
                               o     If the statement "no majer base metal repairs" was based on
                                     a visual inspection or on a review of vendor and site                                       !
                                     inspection and repaiir records,
                               o     If the shop circumferential weld attaching the 22. degree                                   !
          .
                                     elbow to the pipe assembly was inspected during the test. ,
                               o     If welds for penetrations into pipe assembly were inspected
     -
                                     since Procedure CP-QAP-12.1 does not require identification of
                                                                                                                                 ,
                                                                                                                                 l
                                     such welds and they were not identified on the drawing.                                     ;
                               The above issues will remain unresolved pending further
                               evaluation by the applicant (445/,8507-07; 446/8505-09),
                    d.    personnel Qualifications - Personnel who had performed selected tasks
          @g pc           were identified during inspection of installation records. Training
                        <and experience records for the personnel were reviewed to verify that
          fr/ 7p s        employee qualifications and maintenance of records were current and
           s#%pc         met requirements. Names or codes for five welders and two NDE
            a*'
             s
                          examiners, who had performed tasks during installation of the items
     _ . . _              being inspected, were identified and their qualification records                                     .
                          reviewed. There were no questions in this area of the inspection.
     :_
                    No violations or deviations were identified.
               15. Special Plant Tours (Unit 1 and Unit 2)                                                                   *
                    On May 23, 1985, the NRC inspector conducted a tour of selected areas of
     M' . 74 g      Unit I and Unit 2. The group consisted of one NRC inspector, two NRC
       Np           Technical Review Team (TRT) representatives, two allegers, and several
                    TUEC representatives. The TUEC representatives tagged each area where a
                    deficiency was alleged. With the alleger's consent, a tape recorder was
                    also used to note locations end describe any alleged deficiencies. The                                       ;
                                                                                                                                  '
                    allegers indicated that they had identified all deficiencies during the
                                                                                                                                  l
  46
                                                                                      _____..____________.-____m___________a
                                                                                                           l
          . . .                                                .           .
                 ,
                                                                                                           I
                                                                                                           !
                                                       -20-
                     tour and all other deficiencies that they had know' ledge. Tl e
                                                                                   l if any$RC TRT is
                     analyzing this information and will decide what action,           , should be       4
                     taken.                                                           ~~
                                                                                                           i
                     During this tour the NRC inspector independently identified a questionable            l
                     practice in that the top of the the pipe chase at the north end of room 88            '
                     in Unit 1, safeguards building had two large stickers which stated that
                     areas on the wall were reserved for pipe hangers GilH-51-1-SB-038-006 and       ,
                     R1(?)1-087-X11. These stickers were dated 1980. It was not evident                i
                     whether hangers were missing or none were needed in these locations and            I
                     the reserve tag 3 were not removed. TUEC representatives were unable to
                     answer the question imediately. This item is unresolved pending further            i
                     review during a subsequent inspection.      (445/8507-08).                        a
                                                                       -
                                                                                                         .
                     No violations or deviations were identified.                                       (
                                                                                                        i
      .  .
                16. Routine Plant Tours (Units 1 and 2)                                            _    ,
  ,
    -
                     At various times during the inspection.. period NRC inspectors conducted
  -
                     general tours of the reactor building, fuel building, safeguards building,
        g ar$OV      electrical-and control building, and the turbine building. During the
                     tours, the NRC inspector observed housekeeping practices, preventive
                     maintenance on installed equipment, nngoing construction work, and
                     discussed various subjects with personnel engaged in work activities.
                     No violations or deviations were identified.
                17. Review of Part 21 and 10 CFR 50.55(e) Construction Reports Status
                     The NRC inspector reviewed all reports issued to date to assure that NRC

L and TUEC status logs were complete and up to date. A total of 183 reports

                     have been submitted to date. This inspection period one Part 21 report on
  . _ . _            Diesel Generator Oil Plugs and two 10 CFR 50.55(e) reports on the
                     Equipment Hatch Cover and SA106 Piping (light wall) were submitted.
  --
                     No violations or deviations were identified.
                                                                                                        i
                18. Exit Interviews
  9 1A               TheNRCinspectorsmetwithmembersoftheTUECstaff(denotedin
                     paragraph 1) on May 10 and June 10, 1985. The scope and findings of the
                     inspection were discussed. The applicant acknowledged the findings.

l.

                                                                                                        I

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                                                                  10 CFR 50, Appendix B, Criterion VIII and TUGC0 QA Plan, Section 8.0,
   ~ ~ ~ - - ~
         ,
                 _ _ .
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      n                                                    number *Aor heat 6de of the material.                                                                                                                                         '
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                                     10 CFR 50, Appendix B, Criterion XVIII and TUGC0 QA Plan Section 18.0,
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                                     Revision 2, dated July 31, 1984,acqJ., L , . ;;;; :h;r...'.                                                            .7.,.m                   J-
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                                   Contrar.y to th; dat, there was no evidence that TUGCC had audited                                                                                                _
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                                   either Unit 2 reactor vessel installation specifications, placement                                                                                                  .
                                                                                                                                                                                                                       I
   ---
                                   procedures, actual hardware placement, or as-built records.                                                                                                                           I
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                                      10 CFR 50, Appendix 8, Criterion XV and TUGC0 QA 'lan * eti: '/ , L.i:f--
      5
                                    -3 dated May 21, 1981 caa/+e +"+                     -a""ra e ehall ha a'+:ili;h;d t;
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                                        Contrary to : it;x , clearances between the reactor vessel support
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                                        brackets and support shoes were not within the tolerance stated in
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I'                                      Construction Operation Traveler ME-79-248-55 and the condition was not                                                                                                          I
                                                                                                                                                                                                                        !
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      '
                     affecting quality shall be prescribed by documented instructions,
       ,
                     procedures, or drawings, of a type appropriate to the circumstances and-
      2
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                     shall be accomplished in accordance with these instructions, procedures,
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                  Contrary to & d              commercial non-shrink grout was used to grout the

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                  "E" concrete as specified in section 6-6 of drawing 2323-51-0550,
        '
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      ,,          445/8416-03.
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                       si
                                            checklist, attachment 1, step 4.1 was outside the specified tolerance,
                       n
                        ,_
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                                , , _       but the QR was accepted as satisfactory by quality control receipt
                       k
                                          inspection. The NRC initially reported this item as unresolved in IR
                        "                                                                                                                                                                                 }
                                                                                                                                                                                                          {
                        *                  (445/8416-04).                                                                                                                                                 l
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                                              --
                                                               10 CFR Part 50, Appendix B, Criterion V and Texas Utilities Generating                                                                        _
                                 a
                                         _ _ _ _
                                                               Company (TUGCO) Quality Assurance Plan, Section 5.0, Revision 2, dated                                                                        ~~'
                                     - - - -
                                                              May 21, 1981, require that activities affecting quality shall be
                                  .
                                                              prescribed by documented instructions, procedures, or drawings, of a type                                                                     -
                            Z~                      ,
                                                              appropriate to the circumstances and shall be accomplished in accordance                                                                      ~
                         - - -
                                    '
                                                __.-with these instructions, procedures, or drawings.
                                                                                                                                                                                                                 _
                             ..
                                                                                                                                                                                                           _
                                  11
                                       _        ...
                                                                                                                                                                                                           _
                                 F.                          Brown & Root Procedure                                                                                                                       ~
                                ,,                                                             35-1195-CCP-10, Revision 5, dated December 4,
                                     .-~-                                                                                                                                                     ,
                                                                                                                                                                                                          _
                                ..,
                                                             1978, requires that central and truck mixer blades be checked quarterly                                                            -
                                                                                                                                                                                                         -
                           fl_ . to assure that mixer blade wear does not exceed a loss of 10% of original                                                                                               -
                                 
                                                            blade height.                                                                                                                                -
                             l_'                                                                                                                                                                         _
                          -,
                                                            Contrary to the above, on May 31, 1985, the NRC inspector determined that
                               "
                                                                                                                                                                                                        -
                               si                           there was no objective evidence (records) that the blades had been
                               =                            inspected , quarterly since the trucks were placed in service in 1977.
                                p.                  ._
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                                                                  art 50, Appendix B, Criterion V and TUGC0 QA plan                                                                       ,
                         _.     _,
                                                    *evi;;-
                                                      -
                                                                   2, dated
                                                                                                                                                     . ? :ti n ';.C. * *l                                   -
                                             ,                                 ~ May 21,1981, and Section 15 0
                         l-t                                                              ---
                                                                                                  --                             . , Revision 4, dated July                                                _
                               *                    31, 1984 j n"4" that 0 ti s t.ca o ficu.ing poi a
                                                                                                                                        ,   h;.'.' t p ~re d "
                               ,
                        -          ...
                                            Q y da m :rted ind.w G e..;, ; ret e , ~ drawiny af a                                                     +yra           =
                               s.._               anm apriato-t; ths                                                                                                                                      -
                                                                                   v..vumnea:::
                        --
                               .
                                                                                                       2n' .2:' 5: ;;cc;pi bhed-fe-accordance                                           ;
                                                                                                                                                                                                         ,_
                          .2.                 (,,Wdii inese inni ud :en. , p, vacuvi ca .-crdi owi. p ~                                                                                                  .._

) .

                             "
                                     .- Y                                                                                                                                                               -
                             1-;.
                                         ,
                                                 Brown & Root Procedure
                                                                                                        Q Cf ~-V
                                                                                                 CP-QAP-15.l
                                                                                                                                               f*
                             3
                               -                                                      4                g "f: 0;r.trel              ;f '::r::r'~~*n;-                                      _
                       ..-
                             ,
                                7 - !t: ,"udca (not nonconf oranng conomon >
                                    -                                                                                                                                                                  -
                                                                                                                                                                                                                 I
                              --
                                                                                                                         suoi,i ue uvue..~;ted                  da
                                                                                                                                                                      2 -
                                                                                                                                                                                                                 j
                                               g ,. ,. . ,. . u w y                           -
                                                                                                                                                                                                      -          i
                       -           -
                                            M'I f~Et
                                                                .   anu vispvai uun n -- . <--
                                                                                                e ,, suun,.            n,,_a,,_,.,,-
                                                                                                                         ._______,,<-
                                                                                                                                                           -
                                                                                                                                                        ..,,
                                                                                                                                                                    . .
                                                                                                                                                                    ....         -
                                                                                                                                                                                                      -          \
                          ,,
                                                               C:l ib r;t k,          ...d Ce,,t; ;1."
                         ~~
                                                                                                           A* +od .hriv t a . s. n. .rr-      o n . ., . . . . .
                                                                                                                                                                  .  1
                                                                                                                                                                            --
                                             *out-ci-coi iiaro dun equip.7,t ;t;; * i; ;; ,,,, ; , ;,; ;7 ; nnn            -                                                                         _
                                                                                                                                                ,        _
                          >                                                                                                                                                                 ,
                        "
                                                                            J                                                                                                                       .__...
                       i,
                                               Contrary to thTweve.,, on May 31, 1985, the NRC                                                             ewed the
                                                                                                                                                                      inspector revi                ~~'
                    _n_~
                                             calibration file for scale (MTE 779) used for weighing cement and                                                                                                   l
                      'd~
                       -                     that difficulty was encountered with the water
                                                                                                                               and cement scales during a
                      3                     1975 calibration of the backup plant scales, however
                      ,,
                                                                                                                                       , no DDR was issued
                     n
                                            to identify this condition and require disposition                                                      a e and
                                                                                                                                                            of the sc l
                                            concrete (if any) produced.                                                                                                                                          !
                    .: L       .-
                     :, I
                    -.L-                                           ,,_.-
                     9
                        ._
                     r
                                       _-
                             1
                     ,.,
                    .s3 1
                        7-  *
                                                - - -
                      q _ ._ -
                    A- . . -
                    +i
                                                                                 -__
                    al                                                              -
                            >
                    ...
                     e.......
                                                                                                                                                                                                     e
                                                                                                                                                  U.S. NUCLEAR R EoULAToR Y Co M MIS $lo
                     ,
 _ _ - _ _ _ , _
 . - _ - - - - _ - _ - -
                            esRC soau MII A
                                                                                     00catt? No is egneion LCEN5g                 REP 0mf         MODULENWWBER                   *--
                            y'['g                                                       NO (tvPmOOuciniaogets6
                                                                                                                                 No          sto.   lfl2,l 7l016 t            1,O
                                       INSPECTOR'S REPORT                     CTooo44(                                        F 5 017          a
                                                                                                                                                   vou'oa ""'" o' o' t'ca i . $'!, .
                                              (Continuation)                 6 YO o        o4       9  G.                       So f           *
                                Office of Inspection and Enforcement
                                                                                                                              F
                                                                                                                                               c
                                                                                                                                                  ,   ,   3 .
                                                                                                                                                               y
                                                                                                                                                                .       .
                                                                                                                                                                                 Q          j
                                vouro o. otu ro. .. . ,<w,-          w .-a     n ,. .,,
                                                                                                                                                               r,
                                                                                                                                                                              [  eor
                                                                                                                                                                                  ,
                                                                                                                                                                                      ,      i
                                                                                                ,a.       ..            , .                u,.                         .a
                            2.
                                                                                                                                                      ,

l

                             3                                                                                                                          .
                            4.                                 -
                             ..          ,       10 CFR 50, Appendix B, Criterion         - j XVh - , * .. 6uac measures3,,a,.. . y,
                                                                                                             - - . .                     -
                                               _..<,,m       > .
                             ..                  -----...nw
                                                                      _
                                                                              _
                                                                .. . . . . .  ,,,,,     m,,,,,,v,,, , ,,,,,                          .                        -
                                                                                                                                                                  . _ _
                            '
                                                1= 4 L - , ~ .                . _;                  u. u > .                       .
                             ,
                                                                                                 - --- -- . . w s wa s a , ucacLLIVC Gdlerlal ang
                             ,                  eufwe e d ,m,,_,,f;, ;;;;;; ; 7;                      __m         3m
                                                                                                      <       . - - , a,, , y u. _ , , _.., . . , c c t e g,
                                                                                                                         - --
                                                                                                                                       _.
                            i.
                            ti.
                                                Contrary to .h: 9 0'
                                                                            , a potential problem with RTE - Delta potential
                         ..,,
                         *
                                          ,
                                                transformer tiltout subassemblies, which are used in the emergency dies
                           a                    generator control panels, was identified to the appitcant via a letter,
                           i.
                                                dated June 15, 1983, from Transamerica Delaval Inc. This letter also                                                                        I
                           it
                          *
                                               provided instructions for correcting the potential problem.                                          However, the
                                                                                                                                                                                            i
                                                                                                                                                                                            '
                          w                    applicant did not perform the corrective action.
                                                                                                                                The NRC initially
                          m
                                               reportedthisitemasunresolvedinInspectionReport(IR)                                                445/8440-02 .
                          ti.                                                                                                                                                                {
                          n      ~          ~
                                                   " i$ u bi. ,~iy [C'JC} V ufat
                                                   -
                                                                                             .gm.
                                                                                              _
                                                                                                           pc
                         %.                                       ^
                                              '.%i35vo-01).                                                                                                                                   i
                                                                                                                                                                            .       _
                          N
                          1s
                                                                                                                                                                          '
                                                                                                                                                                                          &
                          3
                         3
                         3,
                         32
                                                                                                                                                                                        ,
                         M                                                                                                                                                                    i
                                                                                                                                                                                              l
                         3
                      d.           -
                         4
                         *                                                                                                                                                                    l
                                                                                                                                                                                              ,
                               3                                                                                                                                                              l
                                                                                                                                                                                    s'
                                                                                                                                     U.S. NUCLEAR REQULATORY COMMIS81oN
                     - _ _ _           _.
                                                                                                                                    ,
                                                                                           ..-                 .
                                                                                                    .
                                                                                                                                     l,
                                     .
                                .
                                                                                     CPSES/FSAR
                                                                                                                                     i
                             .
                               '
                                                    implementation of the disposition.       IR's, DR's, and NCR's remain open
                                                    until the deficiency is satisfactorily resolved and identified
                                                                                                                                .
                                                                                                                                  (
                                                                                                                                    j
                                                    corrective actien satisfactorily completed. Upon completion of the
                                                    action required for disposition, repaired or. reworked items are
                                                    reinspected to verify compliance with specified actions and
                                                    requirements. The status of these items is maintained in accordance
                                                    with Section'17.1.14, " Inspection and Test Status" and Section
                                   _
                                                    17.1.13. " Handling, Storage and Shipping".
                                                                                                                                    l
                                                                                                                                    l
                                                                                                                                    i
                                                   Procedures require trending of deficiencies reported on inspection
                                                   reports, deficiency reports, and nonconformance reports to identify
                                                   trends adverse to quality. Trend reports are reviewed quarterly by               !
                                                   appropriate levels of management to address areas requiring corrective
                                                   action.
                                                     .
                                                   Nonconformance reports and trend reports are reviewed upon issuance by
                                                   TUGC0 QA for significant conditions adverse to quality or chronically
                                                   repetitive deficiencies. If such conditions exist, procedures require
                               ' -
                                                   additional action, as appropriate. This may include issuance of
                                                                                                                                  (
                                                   corrective action requests as discussed in Section 17.1.16,
                                                   " Corrective Action". or reports to the Nuclear Regulatory Commission.           I
                                                                                                                                    i
                                                   17.1.16     CORRECTIVE ACTION
                                 50l
                                                                                    fra O *f                                        ;
                                                                                                                                     i
                                                  TUGC0 requires that measures be established to assure that conditions
                                                                                                                                    j
                                                  adverse to quality are promptly identified, reported, and corrected,
                                                  Responsibility for performing corrective action is assigned to
                                                                                                                                    f
                                                                                                                                    j
                                                  contractors, applicable subcontractors, and vendors so that each is
                                                  alert to those conditions adverse to quality within his own area of
                                                  activity. In the case of significant conditions adverse to cualitv.                 I
                                                  which are reportable to NRC under the provisions of 10 CFR Part 50.55
                                                  (e), measures are taken to assure that the hause of the condition is
                                                  determined and corrective action is implemented to preclude           s
                                                _,rge_t i t i_o n . Corrective action procedures placed in effect require
                                                                                                _ ,
                               w
                                                                                                                      .       -
                                                                                                                                  C   I
                                          AMENDMENT 50                                                                                !
                                          JULY 13, 1984                          EXHIBIT 14
                                                                                     17,1 33

_ _ _ _ _ _ - _ - _ _

- _

    . . . .
              '
       .
                                                      CPSES/FSAR
          ,           thorough investigation and documentation of significant conditions
            .
                      adverse to quality. The cause and corrective action is reported in
                      writing to the appropr1 ate, levels of manag; ant and to the purchaser.
                                            _ _ .
                      This corrective action applied is subject to review by TUGC0 and the
                      prime contractor responsible for the original purchase specification.                g
                                                                                                 0
                      For CPSES, the Quality Assurance Plan requires that procedures and
                      practices be established and documented which provide assurance that
                     conditions adverse to quality, such as failures, malfunctions,
                     deficiencies, deviation g , defective material and equipment, and
                                                                                                           #y,
                     nonconformances, are promptly identified, documented, and corrected as
                                                                                                   7 19
                                       _
                     soon as practicable, and that appropriate action be taken to corr
                     the cause of the condition. Corrective action documentation. W
                    _ request forms or formal letters are,used to document the corrective
                                                  _
                     action-related requests, responses, and follow up. The plan requires
                          ,
     ~
                     that measures be established by the prime contractors to assure that
                     the acceptability of rework or repairs is verified by reinspecting the
  (                  item as' originally inspected and that the reinspection is documented.
                    These measures are verified by review and approval of the prime
                    contractors' QA Program and by the subsequent audit for conformance to
                     the approved program. Significant conditions adverse to quality are
                     identified (such as those which, if they had remained undetected,               d'g
                  ' would have adversely affected safety-related functions), the cause of
                    the condition is determined, and corrective action is taken to
                    preclude repetition. Such significant conditions, their causes, and                  d
                                                                                                           p/
                                                                                                       o   d5
                    the corrective action taken are documented and reported to appropriate             9j0
                    levels of management through established communication systems.
                                                                                                      p Vb     l
                    Correctiveactionfollowupand(close-outprocedures)okovidethat                  Y
                    corrective action commitments are imp.lemented in a systematic and
                    timely manner and are effective.                                                           '
                                                                                                               l
                    The occurrence and magnitude of deficiencies and nonconformances                           !
                '
                    requiring corrective action are evaluated by the purchaser's
                    inspectors during surveillance and at hold point inspection and
 k
                                                                      _
                                                       17.1-39
                                                                                   JULY 13, 1984
 .

__-__ _ _ - _ - . ..

                                                                .
                                                                                                                      ,
       -
           COMANCHE PEAK STEAM ELECTRIC STATION                                                                        i
                                                        QUALITY ASSURANCE PLAN
                                                                                             SECTION : 15.0
                   /psygg%
                            pg                                                               DATE : 10-18-85
                       %,e[l                                NONCONFORMING ITEMS              REVISION : 5            i
                                                                                             PAGE 1      OF 2
                                                                                                                     l
                                                                                                                     s
         15.0 Nonconforming items                                                                                    {
                          The identification, documentation, segregation, and disposition of
                          nonconforming materials, parts, or components is outlined in written
                          procedures. The measures utilized by contractors, subcontractors, and
                          vendors are subject to review by TUGCO. The procedures, as a minimum:                      I
                          o prevent inadvertent use or installation.
                                                                                                                [
                          o require investigation of the nonconforming item, decisions on their                '
                              disposition, and preparation of adequate reports.
                          o control further processing, fabrication, delivery, or installation                  I
                              of items for which disposition is pending.
                                                                                                                     l
                          o   assure that departures from design specifications and drawing                    i
                              requirements that are dispositioned "use as is" and " repair" are                j     k
                              formally reported to affected organizations and TUGC0 management.
                                                                                                                     '
                          When required by specific procedures / instructions, items identified as
                          unsatisfactory or incomplete and which can be corrected within a
                          reasonable period of time may be identified on an inspection report
                          and/or deficiency report. A nonconformance report is used to document                      !
                       ~ deficiencies unless another method is prescribed by a specific
                      . .p.r.oced ure/ i ns tr uct i on .                                                     '
                         Nonconformance reports, unsatisfactory inspection reports, and
                         deficiency reports are made available to TUGC0 for evaluation. In
                          addition, TUGC0 QA assures that periodic evaluations of these report
                          are forwarded to TUGC0 management identifying trends adverse to
                          quality.
                          TUGC0 audits prime contractors to assure compliance.                                ,
                                                                                                              i
                          In addition to being documented on a nonconformance report, inspection]
                         Irport, or deficiency rep g items found during design anc
                                                         __
                          construction wnich are reportable under the orovisions of 10 CFR
                    i     50.55(e) are reported to the Executive Vice President, Nuclear
                   '
                       _
                         Diqineerina and Operations or his designee for reporting to the NRC.
                       1 A reportable significant deficiency is a deficiency which, were it                          !
                          to have remained uncorrected, could have affected adversely the safety                      j
                         of operation of CPSES and represents:
                          '
                                                       v    * M M.-* / N 5c L Y O *+'
                     (1,4NGoC5-1Q tl < , e-fevt be/2 L , IGTA k % .s'0 m) %
                            or ev.u           n .n > % To Ko,               E x n a s e r r 2 . 1. c.
                            5 Deit nu-m W b & ( p Q
                             m tw rua., oco , or i p it. t- q w e s u W ,u . .
                                                                                                                       9
    _ ___ ._ _.
   ~
                ,
                    COMANCHE FEAK STEAM ELECTRIC STAT /CN
                  ,
      .
                  I
                                              UUALITY ASSURANCE PLAN                   SECTION:     15.0
                      p+  -
                               %
                                                       Nonconforming Items             DATE:      10/30/78
                      \ gg,
                        ,
  9                                                                  *
                                                                                       REVISION :    0
                                                               -
                                                                                       FAGE       20F      '
                            a. A significant breakdown in any portion of the quality assurance
                               program; or,
                            b. A significant deficiency in final design; or,
                            c. A significant deficiency in construction of or significant damage to a
                               structure, system or component; or,
                            d. A significant deviation from perfomance specifications.
                                                  .
  h
                                                                                                               I
                                                                                                             i
                                                                             e owemo *
 _.                                                 EXHIBIT 15
                                                                                                          1
                                                                                                        m
  • e
                                                                _ _ - - - _
                                                                            _ _ _ - . - - - - - - - - - - _ - - - - - - - _ - -
                                                                                                                                                        ,
                                                                                                                                                         !
      .-
         _
           COMANCIE PEAK STEAM ELECTRIC STATION
                                     QUALITY ASSURANCE PLAN
 .
              &g ug,                                                                                                          SECTION :
                                                                                                                                           16.0
                .g'                           Corrective Action                                                               DATE:
                                                                                                                                         7/1/78
 (                                                                                                                            REVISION :
                                                                                                                                            0
                                                     -
                                                                                                                             PAGE        1 Or     1
           16.0   Corrective Action                                                                                                                   !

<

                  Documented measures are used to assure that conditions adverse to quality
                  such as failures, malfunctions, deficiencies, and nonconformances, are
                  promptly identified and corrected as soon as practicable, and that
                  appropriate action be taken to correct the cause of the ccndition. The
                  identification of significant conditions adverse to quality, the cause of                                                              !
                  the condition, and the corrective action taken is documented and reported
                  as required by proudures. Responsibility for performing corrective
                  action is assigned tt contractors, applicable subcontractors, and vendors
                  so that each is alert to those conditions adverse to quality within his                                                       .
                  Own area of activity. } !n the case of significant conditions adverse to
                  quality, which are repfrtaole. to NRC, under the orovisions of 10 CFR Part
                                      -
                  50.55 (e), measures are taken to assure that the cause of the condition is
                  determined and_correctiv0 action is implemented to preclude ~ repetition.)~
                                                          .
                  Corrective action procedures require thorough investigation and
                 documentation of significant conditions adverse to quality. The cause and
                 corrective action is reported in writing to the appropriate levels of                                                              ,
                 management and to the purchaser. The corrective action applied is subjec*.
    -
                 to review specifica
                 purchase   by TUGC0    and the prirne contractor responsible for the original
                                     m n.   The acceptability of rework or repairs is
                 verified by reinspecting the item as originally inspected and that the
                 reinspection is docuinented.
                 The occurrence and magnitude of deficiencies and nonconformances requiring
                 corrective action are evaluated during surveillance and at hold point
                 inspection and witnessing. Additionally, these areas are identified for
                 audit purposes.
                                                                                                                                                    l
  -
                                                                                                                                                           l
                                                                                                                                                           l
                                                                                                                                                           l
       _
                               _ _ _ - _ _       .__ _        _    ._           - _       _             -_                                              _ _ _ _ .
                                                                                                    *
                                 .. *
                                             ..
                                           '
                                    #
                                                BROWN & ROOT, INC.                                                         B&R PROCEDURE
                                                                                             fee < W mm                    CP-QAP-16.1,  Rev. 27
                                                            - CPSE S -
                                                                                           '
                                                                                                  y            )           Page 1 of 24
                                                                5~""
                                                                                                                           AUG 131988
                                                                                                                                             J
                                                                                              CONTROL OF NONCONFORMING ITEMS
                                                                 ORIGINATOR:        ( -
                                                                                          n    M      .
                                                                                                       Y, /-
                                                                                                                 e,,oc  W    -
                                                                                                                                          _8'-/ 3-/ SN
                                                                                                                                          DATE
                                                                 REVIEWED BY:                                                            f!/f!8/,,
                                                                 APPROVED BY:
                                                                                                   y                                      DaE    -
                                                                                                                                         f3 [13f8(,,
                                                                                                             l)'                          1 SATE
                                                         1.0           REFERENCES
                                                         2.0          cENERit                                          CONTROLLED COPY
                             y                           2.1           PURPOSE AND SCOPE                                            *-
                                                                                                                                                     -
                                                                      The purpose of this procedure is to establish a method by which                             '
                                                                      nonconforming conditions are identified, documented, resolved,                              !
                                                                      and closed. The requirements contained herein are applicable to
                                                                      ASME Class 1, 2, and 3 fluid piping systems, their supports, and
                                                                       in-line equipment. When implemented for other than safety Class                            3
                                                       *               1, 2& 3 component third party involvement, (i. e . ) ' ANI is not
                                                                      required.
                                                                      NOTE:           It is the responsibility of site employees to identify
                                                                                      nonconforming       conditions    in   accordance with       this
                                                                                      procedure.
                                                         2.2          DEFINITIONS
                                                         2.2.1        Nonconformance
                                                                                                                                                                   (
                                                                      A deficiency in characteristic, documentation, or procedure which                             i
                                                                       renders the quality of an item unacceptable or indeterminate.                                !
                                                         2.2.2        Nonconformance Report (NCR)
                                                                      A Nonconformance Report is the documen.t,,that is used to identify,
                                                                      disposition and verify arequacy of the" executed disposition of
                             _                                        properly identified and documented nonconformances.
                                                                                                   EXHIBIT 16
                                                                                                                               .
                                                                                                                                                                    1

_ _ _ _ _ - _ _ _ _ _ . - - _

       - .       _ _ _ .
                                                                               '
                                                   .
                                                                                                                  I
                                                                      CPSES/FSAR
                                                '
                                                                                                                  I
                                     TUGC0 verifies conformance to the record requirements by reviewing
                          60       ' contractors'/ vendors' quality assurance methods for record keeping, by
             4
               ,                     auditing contractors'/ vendors' systems when functional, and by
                                     selective review of quality records for completeness and accuracy.         ,
                                                                                                                l
                                  .The permanent on-site record storage facility is constructed of
                                     reinforced concrete, concrete block, masonry, or equal construction.        !
                                    A concrete floor and roof with sufficient slope for drainage is             l>
                                    provided. A sealant is applied to walls, floor, and foundation. All
                         - 50       entrance and exit doors are fire retardant type. A closed loop forced       j
                                    air circulation system to control temperature and humidity is                )
                                    provided. Dry chemical or gas fire extinguishers are provided.
                                                                                                                4
                                                                                                               1
                                    Standard steel cabinets and metal shelving are used inside the storage
                                    facility to contain records and files. Access to the records facility
                                     is kcyt controlled so that only authorized personnel have access to
                                    the records area.
                                    17.1.18       AUDITS
                                                                                                                4
                                    TUGC0 requires that planned and periodic _ audits be performed to verify
                                    compliance with all aspects of the quality assurance program and to
                                   determine the effectiveness of the program. TUGC0 QA performs such
                          60
                                    audits on TUGC0 and its contractors / vendors to provide an objective
                                   evaluation of the effectiveness of their programs; to determine that
                                   their programs are in compliance with established requirement,
                                   methods, and procedures; to determine quality progress; and to verify
                                    implementation of recommended corrective action. The TUGC0 audits,
                                   both internal and external, are conducted primarily by members of the
                                   Quality Assurance staff. Consultants will be utilized by TUGC0 on
                                   audits as required.
                                                                                    <
                                                                     EXHIBIT 17
                                                                                                             -
         AMENDMENT 60
         NOVEMBER 3, 1986                                              17,1 36
      ..

L_____ ___.- - -

                 _               _- -_
    .
                          >
                                                                                                    ,
       ,,.;.Qt..                                       .                                                                                                        .

a ,

         ;
               .: u .
                    *                  *
                                             .
                                                                                                        .
                                                                                                                      -
              .
    -
                                                                                                              .              .
         . .: .                                                                             '

I-. t

                                                                 .

'

         >                                                       '
                                                                      '
                                                                             NtS1 !*f.5.2.12 - 1973                     .
                                                                                                                .
                                                                 Ceution Kotice - This standard is being

t.

                                                                 prepared'or revie.:cd and has n'ot been
                                                                                                                                                                  .

!? I . ,

                            ,
                                                           ,
                                                                                                                                                         "
            i    ,
                                           -
                                                                 approved by /O:5I.        It is' subject to              -

L L

         ~i                                                      revision or withdraus1 before issue.                                             .-       .
                                                                                                                                                                .-
                                                                                                      -
                                                                                                                                                                                        i'

i *

                                                                                                                                        ,
            5.                           .                              ME0lfj_nr:'n Ts rcR AUDITT :c Or                                             -
                                                                                                                                                                                  .
                                               *
            1-
                                                                     OU.*.1.1T*/ !&iC*!K'CE PT:OGT.'03 JdO                           ,,                      ,
         .3-          ,
                                                                             KUCLEt.n PO W n PLM TS
                                                 .                         .
                                                                                                          .                        .
                                                                                                                                                                         ..       .

0 [). l'. INTRODUCTION:1

                                                                                                                      *
                                                                                                                                 ,
                                                                                                                                                                             ,
            3            1.1' Purr, st - The purpose of this stenderd is to provide uniforci requirements
            L '-                 and guidance for er tuhlishing and implementing a sys. tem of internel and                                      ~
                                                                                                                           '
        .2.                       cxternal.cudits of quality. assurance programs for nuclesr power p1 ants.
              - ' 'L.2 - [5           1 opf, MThis stunderd emplific's the requireme me: of R:SI N45.2, Secti r.
           .% /                :6ndch:11 te used in cenhnstien with that r.tsndardg This stand:r:1 providec
           w/                     requirements and guidance for the pr.cparation, performance, reporting, and                                                               .
            5
                                 followp,,of audits of qualicyysurnnec-.p.togra s for nuclear power plante.-
                                                   ,
                         >                                                                                                                                                          ,
            1
                                 This standard is not applienbic to surveillance or inspectf ons for the' pur-
         '$'                     pose of procc :: control or product acceptance. _This standard applies to-
                                                                                                                *
            T                 - both internal              end exthrnal          audits performed by 'or for tiie plant ovner,
                                   -
                                                     .....     .
                                                                             -                                                                                                        ;j
           ') ,,
                                 contrnetors, and other organizations participating in, activities affecting
        .L                      .the__qualiev of structures, systems, and components which are importent to
            !                    the nuclear r.afety of nuclear pecer plants. The activities covered by                                                                          .
            l'                   thic stnndard include designin;:, purchasing, fabricating, handline, chippin;;,
                                                                                                                                                                         '
                                                                                                                                                                                  \
           i                ,    s_t oring , cicaninr,, crecting, installing, inspecting, testing, usintaining,
        'i                     (repairinP.",andnodifying.                                                           *
                                                                                                                          *
                                                                                                                                                                               j
                                                                                                                    '
        .i                       NOTE: This standnrd does not cover requirements for auditing of plant
            ':
                                     *
                                                  operationn and refueling. These are intendad to le covered by
        '8-
                                                 #1s1 1118.7 - 1972.
                                                                                                                                                       .
  '
            L                                                                                               ,                                                                            l
                                                   *'-
                                                                                          EXHIBIT 18                                                                                      I
                                                                     s
                                                                                                                               Draf t 3, !*cy. 0
                   .
                                                                         ,
                                                                                                                  .           1by 2, 1"73

,.

                                                             .                                                                                                                            ,

\ l

                                                                                                                                        _. . _ _ _ _          _ _ _ . _ . _
   -_-_               -_
                                                                                                                                                    i
                                                                                  .
   ..
           l ..:.. :                           .
                                                                                           .
                                                                                                                       .
                                                                                                                         ..
                                                                                               .
          *                                                                                                                                         l
                                                 .                       -
            .                                                                                                       .
,
                                                                                                                                                  ]
                                                                                                                  '
               *

I g ~ I > -

                                                                3.  AUDIT SYSTO!                                       .
                                                                                                                                                  {
                                           '
                                                                                                                                                    !
                                                            -
                                                                                                                                                    1
        2 ; 3.1               Cf ,ner.a.). - This scetion cetab31 shen requirements for a comprehensive
        3                     oudit syr. tem which shall be planned, documented, and implemented to verify
        4
                    *
                              cceplisnec vith the clements of a qus11ty assurance program. The cudit                                              1
        5                     systei. shall be described in approved, written policies, piens. . procedures',
        6          -
                              instructions, or such other docu acnts as appropriate.. The objectives of
                                                                                                             i                .
        7                     perfor=!r.g hudies of the quality assurance program are:                           ,
                                                                                                                                          .
                                                                                                                            '
                                                                   .                                      .                                 -
                          .                                                                                                     ,
        8'                    3 *.1.1   To determins that a qdslity assurance program has been developed
        P                t              and documented in accordance with the applicable requirements
  .?                                    of MiSI :245.2;
                              -
                                                                                                                                    ,
                                                                                                                                              '{
                                                                                                                                  .             1
 ,11                          3'.1.2    To verify by cycluation uf objective evidence that the. documented
    12                                  program has been i=plemented;                                          *
                                                                                                    '
<                '
 -
                              3.1.3 To assces the c.ffectivancsn of the quslity ass 0rsnec,progr:m;                                     '
        .                                                                                    '
    14                        3.1.4 To identify progrs= nonconfonsnecc; and
                                                                                                      .
   15                         3.1.5 To verify correction of identified nonconformances.
                                                                                                                                                .
    1G             3.2 rssen: tel Elenente of the Audit Svs tem - An effective nuhit sy=te:: shc11
   17                         be estchlished cud maintaincd end shall include the follouing essential
                                                     *
    13                        cicments:      ,
                                                                                -
                            .         .
   19                         3.2.1     A nanngement policy statement whfch cor.mits the orgard:ation to an
    20                                  audit system meetinf, the reqEircecnts of* this standard.                                                 1
                                                                                         .
                                                                                    .
                                          ..                                          ,
                                                        ,                     .
                                                                       ,                         ..                                   .
   21                         3.2.2 J!anpoder, funding, and facilitics to impicecnt 'the system of
    22                                  audits.
 ,                                                                                                                        .
                                                                                                        *
 g                                                            .
                                                                       .
                                                                           .
                                                                                                           .
 (                                                   s                                 .                              . Draft 3, Rev. 0
                                                                                                    .                  Hay 2, 1973
          ...-                                            t
              \                                                              5
                                                                                                                                                  .
       - _ -
         .                                                                   ;.                       .                                  -
                                                                                                         ~
    --9-           . , .                           .
    -
                    .           .
                                                                                               ..   ,
-
               ..                  T ht , s u. L J s % -o m -                                           .- 6 , t h % < b .-                                .
    'l                                 v e s u.1 ; 2.<. , h s -b % m.~t DA 6 A p-6. ,_c. yp t,4, .
                                             -
       .                                               -                                                      .
h                         3.4.2 Audits shall be re;ularly scheduled on the basis of the status
                                          cod safety 1 :portance of the activittee to assurc conformance                                                            ;
3;               *
                                          vith the developed cf.d it.:pleacnted pro;;ran.{Applica'. sic elements
4                                         of the. quality assur nce procr..n shall be audiced at Icast
                                                                                                                                                               ~~
5                        ,
                                          annually or et 1cest .once within the life of the activity,-                                       ,
6                                         whichever 1          shorter.                                          .
                                                                                                                                     -
                                                                                                                   .
                                                                                                                                         .
7                          3.4.3 Sepplcr.cntal audits are conducted for one er e: ore 'of the                                                         .,
9                                         following, condi: fens:                     .                                        .
                                        .                                                                                          .                .           .
                                                                                                          .
      .                                                        .
                                                                                                                                                         ,
9                                         3.4.3.1 Focn $t is necc :sary to determine the capability                                      ,,
0            ,
                                                         of 'i contr:ctor 's ouality nye" - . _ _ . .                        _     pr! en
 1                                                       to swcrding of a contr:.cc or purchase order.
                                                                -                                                                      .
                                                                                                                           .                 .
                                  .                                                                                      .

'2 L 3.4.3.2 Uhen, after cuard of a contract, sufficient time has

 -
                             i
  (                                                      cinpned fcr inp]e:. tenting the quality assurance progren  -
  ,%.                                                        .
                                                                                         .
                                                                                                                                           .
 4, ,                                                    enc it is appropriate to cetermina that the organization
b                                                        is adequately performing the functicus as defined 13 the
 6                                                       quality assur:nce program description, codes, standards,                    ,
 7                                                       and other contreet documents.                              ,,
                           '
                                                                                                                                                                  .
 B
                      '/       /          3.4.3.3        tracn ci;nificant chan3ec cre made.in functional arcac
 9                                                       of the quality assurance pro;;rco such 'as significant
 0                                                       reorganization or procedure revisions.
                                          P      au ~ a kMv       3uei. smk.(i tr. ~l2t hhprwc>oald           Ht.uph       w+h.1   vktaoa
                                                                                                                                       e 4*I.                M,
   -
                                           se%                                                      b%.s oc           r. .ed
                                                                                                                        *
                                                                                                                                                 ld a.lso
 1                                  r,     3.4.3.4       1; hen there Ic evidence that' the' performance of reliability
                         \[
 2                                                       of scfety-rcisted iteme ic in jeepsrdy 8due to deficiencies
  3                                            .         or nonconfernance in the quality scsurance pre;;rsm.-
                                                                   . . . - _       . . .   _ .                                                - - -
                   ,                                 ,
           -                                                                                                                 ,
  4
                                  //
                                                  94%4 d L e MJ .
                                           3. 4. 3. 5 tihen a systematic, independent assessment of progrso effec-
  5                                                      tiveness of iter.i quality, or both, in necessary.                                                           q
  k                                                                                                                                                 -
                                                                                                                                                                    l
                                                                                                            .
  c.                                                       -                                      .                                                          .
                                                                                                                                 '
                                                                                                                                     nrafe 3, nev. o                l,
                                                                    .
               >
                                                                                                                                     May 2, 1573                     l
                                                                                                                                                                      l
                                                                                                                                                                      !I
                                                                                                                                                                     I

m- -

                                                                        .
          '

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              .
                  COMANCHE MAK STEAM ELECTR/C STAT /CW
              '                                                                                            -
                                                 QUALITY ASSURANCE PLAN
                                                                                       SECTION 818.0
                                g                                       #              DATE:    7/31/84
                                   rC
                            - \fc#' f
      ' .
                                                               AUDITS                  REVISION: 2               -
                                                                 -
         -
                                                                                              1
                                                                                       PAGE        OF 1
                                                                                                                  I

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                18.0       Audits
                           TUGC0 and its prime contractors perform planned and periodic audits, to
                           verify compliance with all aspects of their quality assurance program and
                           to determine the effectiveness of the program. TUGC0 audits the prime
                  l        contractors, TUGC0 internal activities, suppliers and vendors as necessary
                           to provide an objective evaluation of the effectiveness of their programs,
                           to determine that their programs are in compliance with established
                           requirements, methods and procedures, to determine quality progress, and to
                          verify implementation of corrective action commitments.
                          The auditing system used by TUGCO.
                                                                                                                 ,
                           <
                               * Recuires au'dit planning documents be utilized to identify                    I
                                  organizations to be audited. Frequency of audits will be determineo          j
                                  in accordance with provisions contained in TUGC0 Quality Procedures.         <
  b-
                     g         * Requires auditors to be familiar with the type of activities to be
                                audited and have no direct responsibilities in the area being audited.           !
            I
                               * Provides auditing checklists or other objective guidelines to identify j
                       ..
                                 those activities which will be examined.                                     I
                              * Requires examination of the essential characteristics of the quality
                                 activity examined.
                              * Requires an auoit report be prepared that note; deficiencies found.
                              * Requires the audit report be sent to management responsible for the
                                 area audited for review and corrective action for deficiencies.
                              * Recuires a response that documents corrective action taken as resul t
                                 of the audit.
                              * Requires reauditing of deficient areas when it is considered necessary
                                 to verify implementation of required corrective actions.
                          TUGC0 maintains audit documentation on file.
  U
                                                                                                            ,
                                                    EXHIBIT 19
  .
                                                                                                        lM
    - _ _ _ _ .             __ _--
                                                                   '.          .

a .'

             .
                    In P.eply. Refer To:
                   Dockets: 50-445/84-32                       FEB 15 25
                                   50-446/64-11
                                                                                                                                     i
                      .
                                                                                                                                       l
                   Texas Utilities Electric Company                                                                                   l
                   ATTN:    M. D. Spence, President, TUGC0
                    Skyway Tower
                   400 North Olive Street                                                                                             ;
                                                                                                                                      ;
                    Lock Box 81
                   Dallas, Texas 75201                                                                                                {
                                                                                          .
                   Gentlemen:
                   This refers to the inspection conducted under the Resident Inspection Program
                   by Mr. H. S. Phillips of this office and NRC contract personnel during the
                   period August 20, 1984, through September 20, 1984, of activities authorized by
                   NRC Construction Permits CPPR-126 and CPPR-127 for the Comanche Peak facility,
                   Units 3 and 2, and to the discussion of our findings with Mr. D. Chapman and
                   other members of your staff at the conclusion of the inspection.
                   Areas examined during the inspection ' included 'a review and evaluation of how
                   effectively Texas Utilities Electric Company management has implemented the
                   corocrate quality assurance (QA) program for design, procurement, and
                   construction activities. Special emphasis was placed on evaluating t.he
                   management of the audit program; management's action to regularly review the
                   status and a.dequacy of the QA program; and followup on findings pertinent to
                 . program management identified by previous NRC"and consultant inspection teams.
                   Within these areas, the inspection consisted of selective examination of                                         j
                   procedures and representative records, interviews with personnel, and                                            ~
                   observations by the inspectors. These findings are documented in the enclosed
                   inspection report.
                   During this inspection, it was found that certain of your activities were in
                   violation of NRC requirements. Consequently, yo'u are required to respond to
                   this violation, in writing, in accordance with the provisions of Section 2.201
                   of the NRC's " Rules of Practice," Part 2, Title 10, Code of. Federal
                   Regulations. Your response should be based on the specifics contained in the
                   Notice of Violation enclosed with this letter.
                   These violations may be related to findings identified by the NRC Technical
                   Review Team (TRT). If the issues are considered to be similar, you may respond
                   to the items separately or as part of the Comanche Peak Response Team Action
                   Plan.
                                                                                                                                    ;
                   RRIhfv1/             TL/TFh      h S&S        C        D/D    P  NRR g28
                  SPhillips/1t         DHunn1 cutt   R           UHunter  RDenise  Noonan
                  % /\%/8f             } /p /86        '/'gart
                                                           ./84 2 /g,/8g Nb'/84 it /LU/84
                                                                                                                            $
                                                           EXHKBIT20
                                                                                                     f
                                                                                        .
                                                                                                                                      l
 ,,                .
                                                                                              ._.m..
                                                                                               -
                                                                                                      . . . . . _ . . _ . . _-- . .
                                                                                                                              __ _ __
       *

l l L I l

                                             APPENDIX A                                                                               I
                                         NOTICE OF VIOLATION
            .
     '
        Texas Utilities Electric Company                           Dockets:   50-445/84-32
        Comanche Peak Steam Electric Staticn, Units 1 and 2                   50-446/84-11
                                                     Construction Permits:    CPPR-126
                                                                     '
                                                                              CPFR-127                                                ,
                                                                                                                                      !
        Based on the results of an NRC inspection conducted during the period of
        August 20, 1984, through September 20, 1984, and in accordance with the NRC
 '
         Enforcement Policy (10 CFR Part 2, Appendix C), 49 FR 8583, dated March 8,
        1984, the following violations were identified:                                                                     -
         1.   Failure to Reaularly Review the Status and Adequacy of the QA Procram                                                   l
              Criterion II of Appendix B to 10 CFR 50, as implemented by the Preliminary
              Safety Analysis Report (PSAR) and the Final Safety Analysis Report (FSAR),
              Section 17.1, " Quality Assurance Program," and ANSI N45.2-1971, requires
              that the quality assurance program shall provide for the regular review by
              the management participating in the program, of the status and adequacy of
              the part of the quality assurance program for which they have designated
              responsibility.
              Contrary to the above, the applicant did not establish quality assurance
              procedures to regularly review the status and adequacy of the construction
              quality assurance program; nor did the applicant appear to have reviewed
              the status and adequacy of the construction quality assurance program.
              This is a Severity Level IV Violation.     (Supplement II) (445/8432-02;
              446/8411-02)
        2.    Failure to Establish and Implement a Comprehensive System of Planned and
              _Poriodic Audits
              Criterion XVIII of Appendix B to 10 CFR 50, states, in part "A
              comprehensive system of planned and periodic audits shall be carried out                                                .
                                                                                                                                      I
              to verify compliance with all aspects of the quality assurance program and
              to determine the effectiveness of the program." The requirements are
              addressed in the PSAR and FSAR, Section 17.1, " Quality Assurance Program,"
              which references Regulatory Guide 1.28 (ANSI N45.2) and ANSI N45.2.12
              (Draft 3, Revision 4). Those commitments require that a comprehensive
              system of planned audits be performed on an ennual frequency.
              Contrary to the above, the following examples,were identified which
              demonstrate the failure to establish and implement a comprehensive system
              of phnned and periodic audits of safety-rplated activities as required,
              as noted below:
                                                                                                                                       i
   '
                                                                                                                                       3
                                                                                                                                      l
                                                                                                                                        l
                                                                                                                                        i
                                                                                _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _
                                                                                                                                        \
     _ - _ . .                 -
                                                                                                                         ,
                 .                                                      -
                      .
               *
                                                                                                                          i
                      Notice of Violation                         -2-
                   .-
                            a.    Annual auditr were not adequately addressed by the audit                                I
                                   implementation procedures.                                                            ;
                                   -
                                                                                                                          !
    '                                   TUGC0 Procedure DQP-CS-4, Revision 0, dated August 9, 1978, only
                                        required two audits of vendors fabricating reactor coolant
                                        pressure boundary components, parts, and equipment; one audit of                  ,
                                        vendors fabricating engineered safeguards components, parts, and                 i
                             .
                                        equipment; and audits of balance of plant (safety-related) as
                                        required by the quality assurance manager.
                                   -
                                        TUGC0 Procedure DQP-CS-4, Revision 2, dated April 16, 1981
                                        required only that organizations will be audited on a regularly
       -
                                        scheduled basis,
                                   -                                                                                      i
                                        TUGC0 Procedure DQP-CS-4, Revisions 2 and 10, did not specify.                   i
                                        auditing frequencies for design, procurement, construction, and
                                        operations activities.
                                   -
                         ,
                                        TUGC0 Procedure DQP-CS-4, Revision 10, based audit requirements
                                        on Regulatory Guide 1.33, Revision 2, February 1978. This
                                        commitment did not fully address the requirements of the
                                        construction quality assurance program,
                                                                                                                         i
                                  The above procedure and subsequent revisions failed to describe and
                                  require annual audits in accordance with commitment 6 and
                                  requirements. Earlier audit procedures were not available to
                                                                                                                          j
                                  determine if they met requirements.          -                                          '
                           b.    . Planning and staffing to perform 1983 audits was inadequate to assure
                                  that a comprehensive system of audits was established and implemented
                                  to verify compliance with ,a_1,1 aspects of the quality assurance
                       .
                                  program, in that, of 656 safety-related procedures (which control
                                  safety-related activities) the NRC review revealed that the applicant
                                  sampled only 165, or 25 percent, during the 1983 audit program.                        }
                                  Consequently, significant aspects of the safety-related activities                       '
                                  were not adequately audited,
                                                                                                                          t
                           c.     The Westinghouse site organization, established in 1977 to perform                     !
                                  Nuclear Steam System Supply (NSSS) engineering services, was not                       i
                                  audited by TUGC0 during the years of 1977, 1978, 1979, 1980, and
                                  1981.
                                                                                                                          s
                           d.     Audits of venders that manufacture or fabricate parts, components,
                                  and equipment for reactor coolant pressure boundary and engineered
                                  safeguards systems have not been conducted annually dating back to
 .
                                  August 9, 1978.
                           This is a Severity Level IV Violation.      (Supplement II) (445/8432'03;
                           446/8411-03)                                                                                   <
                                                                                                                             j
                                                                                                                             1
               .                                                                                                             1
                                                                                                                             !
                                                                                                                             \
   .,
                                                                                                    __ ____________-__ -
    _ , , _ _ . _ _ . _ _ . . _ _ . _ _ _ . . _ _ _                    _ _ . . _ _ _ _
                        r..                       ,                                                                           .
                                                                                                                                              !
       .,~                                   ....
                                                                                                                                               ;
                                                          .
                                                     Notice o'f Violation                          -3-                                        j
 .n                                                                                                                                           {
                                                    .3. .      Failiste to Properly Certify a Vendor Compliance Inspector                 .
                                                               Criterion V of 10 CFR 50, Appendix B, states,. in part, " Activities
                                                            ' affecting quality shall be prescribed by documented instructions,
                                                              procedures, or drawings, of a type appropriate to the circumstances and
                                                               shall be accomplished in accordance with these instructions, procedures,        l
                                                               or drawings."           -
                                                               TUGCO.ProcedureDQP-VC-4, Revision 6,dateddanuary5,1984,requiresthat
                                                               Level II inspectors (Corporate QA) shall attend and satisfactorily             j
                                                               complete nondestructive testing courses including eddy current testing.
                                                               Contrary to the above, one of six inspector's files had no documentation
                                                               to show that the inspector had attended and completed an eddy current         i
                                                               testing course. Subsequent, discussions revealed that he had been             '
                                                               certified without meeting this requirement. The vendor compliance
                                                               supervisor stated that this inspection skill is not needed since there is
                                                               no present vendor work activity which would require this skill; therefore,
                                                                                                                                            .
                                                               this procedure was' revised and the requirement omitted during this
                                                              -inspection.
                                                               This is a Severity Level V Violation.    (Supplement II) (445/8432-05;,
                                                               446/8411-05)
                                                     Pursuant to the provisions of 10.CFR 2.201, Texas Utilities Electric Company is
                                                     hereby required to submit to this office, within 30 days of the date of this
                                                     Notice, a written statement or explanation in reply, including: (1) 'the
                                                     corrective steps which have been taken and the results achieved; (Z) corrective
                                                     steps which will be taken to avoid further violations; and (3) the date when
                                                     full compliance will be achieved. Consideration may be given to extending your         ;
                                                                                                                                            i
                                                    . response time for good cause shown.
                                                                                         '
                                                                                                                                            i
                                                                                                                                            ;
                                                     Dated:

f

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                     .
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                                                                                                   -          ._         s.      -a -
   - _ - _ _ _ _ _ _ _ ___                                          _
                                                                         _,                           __                 .
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                                                                                                                                              ;
                                                   '
                                                                            AUDET REPORT
    (
                                                                                                                                              i
                                    Subject:
                                                                Audit of Texas UtfTitfas Generating Company DaiTas Offices
                               ...
 r                                                              and Ccmanche Feak neare ETectric Sta.tierr Constru
 ,, . , .. Date of Audit:
 ,
                                                                May T-TZ,19fE

'

                                                                                                 -          .
                                 Audit feope:
                                  -
                                                                A management audit was conducted. of the Quality Assurance
                                                                Progras of Texas. Utitities Generating Company during the
                                                          .
                                               fTme/f weeks of May T and May E.,1978.
                                                                                                      The purpose of the audit

i

                                                               was to detaraine the adequacy of the QuaTity Assurance
                                                               Prcyms as reTated tn NucTear RaguTatory Commission requi{
                                            ,
                                                               mants and the effectiveness of implementation talenet progran
                                                          , , requiremarrts and authorfty delegations.                                        i
                                                                                                              Actfvities were
                                                               audited at both: the TUGC3 officas in LaTTas and at t
                                                               Comanche Peak construetfort site.
                                                                                                      Activities of the Architect /
                                                          Jgineer and Constructor were audited onTy at the construction
                                                             .gite. The scope of the audtt included conef tmants made in
                                                              the PSAR., the Corporate QuaTity Assurance Manuat, the Com
                                                             Peek quatity Assurance PTan, the Pro,fect Procedures Manual
                                                             and the Browrw & Rcot Quaffty Assurance Mr.nuaTs and Proced
                                                             reTated to the Comanche Peak sita.
                             Audit 2rn
                                                            Delias offfee, May T-2. T978
                                    -                             Je P. Jackson, .MAC Audit Teant Leader
                                                                  J. M. Norrfs. MAC Auditor
                                                                                                  *
                                                                                                                    .
                                                            Comanchsr Paak Cons.true fort Site, May & E 5', May 8-TZ,1
                            ,
                                                                 J. P. Jackson, MAC Audtt Tenne Leader                 -
                                                                 J. M. Norrfs, MAC Audftor
                                      , , .
                                                                 J. A. Hendrorr, MAC Auditor (May E-I2. onTy)                                 (
                                                                                                                                              !
                           PersonneT                      g                                                                                   !
                              ",M
                              g 7,                     V D. N. Chapmarr
                                                                                   _COMPANK
                                                                                  TUGC0
                                                                                                    ETI
 '
                                              5 '! -::p R. G. Tolsort                               Q4 Manager. *-i-E
                                                                                  TUGCQ
                                                         R. V. Pieck                                Mgr, Site Surveillance, *-i-2
                                                                                  TUGCD/GE
 -                                                       J. V. Hawkfas                              Civ. Inspec. Supv., *-T
                                                 '
                                                                                  TUGCO/GM
                                                                                                    Prod. Assurance (QA), *-T
                                                                                      EXHIBIT 21
                                                                                                                                   _ - _-- -'
                                                                                          _ _
                                                                                                                             -
             ,
                                                                          m
                  TU8CE AUDIT' REPORT
               *                                                                                                                !
                              .
                                                                                                          -1-
    'Q           Personnel                   MAME                      COMPANY   TITLE                                          }
                     **7, $*           / J. B. George                  TUSI
                                                                                                                                 i
    p                                 V                                          Prof. General Mgr., *-1-1
    5
                                            J. T. Marrte ,            Tust       Resident Nanager, *-1
                                            E. E. Eibson -            TU1I

[ Project Engineer, *-1-?. E. J. Murray- TUSI

   f.                                                                            Engineering Supv., *-T
                                            J. J. Moorhead            G8H
                                                                                 Resident Engineer, *-t-Z
                                           R. C. Scott                81R                                                       j
                   .                                                            Site QA Manager., *-T
                                           J. P. CTarke              E&R
                                                                                                                                (
                                                                                Siter QC. Manager,, *-T
                                           R. Mann                   B&R
                                                                                QA Records coordinator, *
                                           19  C'. KirkTand          BAR                                                        {
                                  :p                             '              Prof,. GenersI Mge,. *-1
                                           1 D'. DougTas             B&R                                                        !
      -
                                    7                                           Project Manager, *-T
                                           L C. Frankun              B&R
                            h                                                   Asst. Prefect Mgr., *4
                            *
                                          P. Foscato                B&R
                                                                                Prof. Chief Engineer *-T
                                          L. Mancoch                B&R
                                                                               Mat'T Procurement, Con-
                                     / A. Borers                               structfan Branch *-T
                                                                    TUGC3      Vender complianca *
                                     V A. Vep
                                                               s   TUGC3
                                  ,,     c.' Beggs                             QA Central Staff Function     *-T.
                                                                   TUGC3
                                         R. Gary
                                                             ,
                                                                               Systems Compffance,. *-t-Z
                                                                   TUGCC
                                                                               V'.P.. Operations, *-1
                                         t.. Ffker                 TUSI
                                         P. Brie::ain                          V.P., Desfgn & Procurement. *-i
                                                                   TijGCU/TUSI
                                                                               President, 1 ;
                  * Tnterview
                  I Pm-audit meeting
                  E Fast audit meeting:
           Audit Method:                                                                                                         )
                                                                                                                                 {
                          '
                                        The audit was conducted through a series of interviews with
                                        responsible management and supervisiert and examination of
                                       quality Assurance manuais, procedures, records and work                                 -{
                                                                                                                                 \
                                       operations both at the OaTTas headquarters of Texass      utilities
                                       Generating Company and Texas Utilities. Services,. Incorpora
  '
                                       and at the Casanche Peak construction site.             -
  j       Sousary:
        .
                                      The audit disefosed that eteent changes in authority dels-
                                      gations had been generalTy weTT accepted and that morale                                   !
                                .
                                                          *G
                                                                                                              _ _ _ _ _ _ ~~
   <
        ..                                                  .
                                                                           .
           '
                                                        .
                                                                                             .
                 .

( TUGC0 AUDIT REPORT

                   a.         *
                                                                                                  _
                                                                                                                          -3-
                                                                                                                                                                .
        ]p          sumary (Cont'd): and team spirit were good. However the changes had not "
                                                yet beerr forJatized. in revisions ts the PSAR t.nd the
         i
               ,
                                                Comanche Peak Quality Assurance Plarr.
                                                                                            T' e audit al'so      M2
                                                dtscTosed that present practices in tha control'of desfun '
                                                changes and cf certairr nonconformancas der not provide the
      '
                                                requisite levei of review by the original designer. Tn ' ' '
                                              7ther-instancas it was evident that design changes'wre"OM
                                               being used irr Tieu, of nonconformance reports.      Except for
                                              the areas, notad herein and below,. there was genera 1Ty good
                                              adherence to eststing procedums.

i

                                                                                         .-                    MM F '
                                                                                                               ,
                 Findings:
                                              T. The current activities of TUGCO. Quality Assurance per-
 .                                                   sonnet are not consistant with the authority dategations
                                                    to Brower & Root and te Gibbs & Hili as defined. in the
                                                    PSAR and Conanche Peak QuaTity Assurance Pian.

l SteilarTy,, the QuaTity Assurance Pfarr and Procedures are ~ ! not consistant with current and pTanned rivisions irt

                                                    authorfty: delegations' to the Architect / Engineer and the                                .
                                                  Constructor,, and fs not complete in address.ing all
                                                   eighteen erfterfa of 10CFR50_ Appendix 8.
                                                                                                  Tha Ia'ck of a
             *
                         \                    .
                                                   melt fdentified plan of reorganization and responsibility
                                *                  causes uneartatttty irr carrying out some activities.
                                         .
                                            4    "There needs to be a plan for revising the Quality Asstar
                                     '                                            .
                                                                                                                      -
                                     ,g ance Program; suctt a plan should include the establishment
                                    'g             af an archttacture of procedures to show how other TUSI/
                                                   TUGCO and contractor manuets intar-relate with the QuaTit
                                                , Assurance Manuar. The T4JGC0 QA Manager should, establistr
                                                  a schedute and as. sign responsibtTities for compTetion of
                                                  the necessary procedures.
                                                                                The scheduTe should be suppie-
                                                  mentad wittr a management effort td monitor, adherence to
                                                  the plart and achievement of the schedule.
   (                                       Z.
                                                 The current site DC DCA sys.tas of after the fact coordi-
                                                  natierr of desfgn changes with the original designer
                                                                                                                 MI
     .
                                                                                                             Q*N W'
                                      ..
                                                    ... . _ __           .
                                                                                 . .---.
                                  .
                                                                                                     _ . . . .
                                                                                                                  _ . _ _ - _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _
                                                                                               - - - _ - - _ _ _ _ - - - - - . - - - -
  , .-                -                                              ~                                                    '
                    TUGC0 AUDIT REPORT
                                                 -
                                                                                  *
                                                                                                                                       ~4-
         , . , .
                   Findings:.        Y          provides a significant Msk of design error and door
                          d)          *
                                                not meet the requirements. of TOCFR5G Appendfx 8, 'n$r

y

               ,
                                               of ANSI M45.2.IT, " Quality Assurance Requirements for                                          .
                           -
                                               the Desfgrr of Nuclear Power Piants".
                                               A systeer for expediting and documenting Gibbs & Hill                                       -
                                                                                                                                                   ..
                                      *
                                               home office approvais should be established using.
                                                                                                                                             *
                                               teTephone,. telecopier or telex as. e means of speeding
                                               consnunication.
                                                                                                                                                 .
                                                                                                                                                       I
                                        2. The Comanche Peak Qualfty Assurance Flan does. not provide
       ,
                             f     .
                                               for a quality Assurance review of procurement documents -
                                                                                                                                                       l
                                              and changes theretor prior to purchase order placemept.,
    <
                 '
                          Qb,                 except for site originated procurement. Such a review
          /
  p/                                           ts identiffed irr 10CFRSC Appendix E., Crftsefon IV' and                                                I
                                              is a requirement of ANSI N45.2.13. It shouTd be required
                                              on> aII safety related procurement.1.
                              1         4.
                                 *
                                              The current combinatfort of Chapter-17 of the, PSAR, the
                 g                            TUGC3 Corporate Quality Assurance Manual, the Comanche
                                              Peak Quality Assurance Pfarr, Prefect Procedures. and
                    -
                                              Browt & Root Manuals and Procadurgs provides a complex
                                              array of procedures which is diff'icuTt to maintain
                                              current and consistant.
                                                         .
                               .
                                        S. The current systene of providing inspection instructions
                          7                  or checkTfsts ter inspectors is toor generic, placing an
                                                                                                                                                       !
                                                                                                                                                       i
                                             undue burderr on the inspector in attempting ta determine
                                             applicahTe drawings and. specifications and appifcable
                                          'revisfons thereto. A myiew of records of concrete                                                           {
                                                                                                                                                       !
                                           ~ pours incidates that configuration ruffecting the as-
                                                                                                                                                       J
                                             poured conditforr fs not clearfy defined. Appifcable
                                                                                                                                                       !
                                             DC DDAs are not'noted in inspection documentation.

] Configuration needs to be clearly identified to [

                                             inspeccces on: e current basis, incTuding af f apptfeable
                                                                                                                                                      ]
                                                           g                                                                                           I
                                                                                                                                                       i
                                                                                                                                                       '
                                                                                                                                                       !
                        .                                                      *
                                                                                                                                                       l
                                                                                                                                    ._
       ~                                                                ~
             _ _ _ . _ -                              -
                                                               '
                             .                                          .
                                                                  . . .           -
                                                                                     "
              TUGCC AUDIT REPORT'
                                                                                                                   -E-
                           .
             Findings:                            DC DCAs. and. completed. documentation rxJst refTect tne
             IE*"*'dI
                                         ~
           .
                              _.
                                                  status of the appTicabTe changes.
                                                                                                                                          \
  h                                          6. Speciai_ processing markings for Tstar in-service.
                                                  inspections are careTessiy appTied. The circTe anit .
 f                         V           d         arrow, used for sucfr marking is sometimes incomp1Ete
                             [,A                 and not recogn, table-for its intended purpose. In one

, '

              d                                  instance only a, portion of the circle resembling the
                                       -
                                                 Tsetar "C" was. dfscarnibTe. FatTure tar property .      *
                                                                                                      ,
 a
 a                                               marit these Tocators nowr wtTT cause delay and, possitrie
 a                                                                                            .
                                                                                                     .-
                                                 error when in-service inspections are made in highTy
                                                 irradiated areas.                                                   '
                                    \
                                     .
                                            7. Gisposftform of nonconforming itams does not aTways                                     '
 f                               ,,
                                                 acirfeve the requisite review hy appropriately quatiffed
                                                 destgrv personnet. A procedure,. Timited to. defects in
 [                    @[                        concate was recentTy fssued.which bypasses.the estab-

) Ifshed nonconfornance controT systas and., thus, vioTates

                                                reguTatory. requirements tre this regard. Lt other
                                                instancas., the DC DCA progreat has beerr used tar bypass
                                                the nonconformance reporting, systar. The nonconformance
                                                corttrat systen shouTd be the means9er maintaining in -
                                                spector integrity, identifying probies areas and provide
                                                e drivirts force for their correction.
                             \
                                                                                                        (                       _
                                                                                                                                       ,
                                                                                                                                        '
                                           2.
                                  ,
                                                The records storage faciTity does not curmntTy have any
     '
         '
                                                means 'of fnternet ffre protactiers during hours it is
                         .
                                                unmannedw ai,though it is understood some method fs
                                                                                                                                .

'

                                                pTanned. Quaifty Assurance records,. such as personnei
                                               quaitffcations,. arer not maintafned irt the Records Cantar,,
                                               but are anfntefneld in ffreproof ftTe cabinet- in a trniTer
                                               under the cognizance of Browr & Root training coordinator.
 ]                                         9.
                                               Approx.imateTy twenty-four percent of Centrai Staff audits
                                               have noc been conducted as scheduTed. Combining Central
                                               Staff audits., site audits and site survefliance activities
                                                            saa
                                                                                                                                          !
                                                                                                                                          4
   .                                                                                                                                      ;
                                                                                                            _ _ _ _ - _ _ _ - _   _       L
        - _ _ _ - _

l

                                                                   .
                                                                               .                 .
                 .
                         *
. .
                                                                                      -  -
                                                                                   ..                                :
                                                                                                      '
                                                                                                                     I
                       . TIGC3 AUDIT REPORT
  -

I

                                                                                                      6-

t .

                                                                                                   .

! ' Findings:

                                            by TUGC3 and by Brown & Root fnts a singie, cohesive
                        (Cont'd)      -

l -

                                            program wouTd provide improved visibility to the overa.11
                                                                                               ~                     ,
                                            audit and surve1TTance e#cre and permit evaluation and
                                                                                                                   )
                                            tiustment to the audit schedule to attainable and yet
      ,
                                            enective esquencier
                                                                                                                .-
                                                                                                       :-
                                                                                                                   l
                                                                             .
                                                                                 .
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                    g                       .
                                                                         -
                                                                                           ; __ -
                                                                                                         .                                  - . -

1

                  '
                  .
                            Gl5ERVATIONS & REC 0f9tENDATIONE                     ..     .        .      ~- 15-

, . -- ;

                     XVII.           RECOR E
                            Except for lack of internal fire protection, the quality records area ,
    ~
                .
                            is considered to be satisfactory. Some QueTfty Assurance records, such ,                                             , , _ ,
           ..
                            as personnet quaitffcations, are not stored in the records center but -
             ,p             are maintained separately by the Browr & Root trafsing coordinator.,
                                                                                                     ..
                            There fs not currentTy a catalog or Tfsting of req...uired records althougtl,, .
              g/        ,
                            it is being prepared. A review of e'selectierr of Quality. Assurance
                            records showed the documents irr thes to have beert properly. completed
                                                                                                              h 4(
                                                                                                                                                I          ,
                                                                                                                                                             ,
                            and fn the correct order.

! ,

                                                                                        ..                 ..

*

                            Recossendatfort - The instaT1atfort of an ineet gas fim extinguishing                                                   .k.
                            syster or the identtffcatfos of geographicaTTy separate duplicate records-
                                                                                                                                                   j
                            shouTd be expedfted. TUGC3 shouTd review the fire protection capabfifties /

l of storage facfTitfes frr the training superviscr's trailer and consider

                            e dupTfcate set of si!n records te be maintained frr the records'ceitter.         '
                                                                                                                *
                     XVIII.          AUDITE
                            Therer are sever I audit and; survef1Tance programs frt effect. Adtts by-
                            the cuaTftv Assurance Department Centrat Staff are performed on site
                                                                                                                                                                  l
        f                   activities. maior contractors at:d suppTfers. Site surveillance actions
                                                                                                                                                         ,
                            ar* =Qd under the direcsfort of the TUGC0 CA Site Supervisors Steilar                                                    &I
                            survef1Tance activtties are carried out under the direction of the Brown &
                            Root Site Quality Assurance Manager. Whfie catted surveitiance actions,                                                               j
                            the survetTiance programs are formetTy planned and scheduled, utilize                                         -
                                                                                                                                                                     !
                                                                                              '
                            checkTfsts ts guide.the activity and mcord resuits, arid issue reports

[

                      -
                            cf deficiencies and require correctiert. Except. for forumi and documented
                            pre-eudft and post-audit meetings, aTT the elements of an audit program
                                                                                                                                                                     j
                            are frr piace. It was repertad that the reason for catting the activity                                                                  !
                            "survetiTance* was to avefd outside auditors finding the. program deficient                                                             J
                            .because it did not incTude the de:umented pre- and post-audit meetings,
                            yet the audttors fount that suca meetings were conducted, but on an
                            informal basis.
      b                     Recommendation. - The auditors consider the present progrant te be an
                            effective toot which couid be fitrther improved. TUGC0 should consider
         -                                                                                                                                                         1
                                                                                                                                                                   '
           .        . .       .          . . . .
                                                                     ~~  -
                                                                                               .   .
                          .
                                ..        .--    . . .m,awwu . , n.:m?~, . ~ .
                                                                  .
                                                                               g~,=r+W:- ;--~~~~ m,~_ - - ~ ~                                                     .
      .
                                                                                                              _ _ _ _ _ _ _ _ _ _ _ _ _ _
                                                                                       _ _ _ _ _ _ _ _ _ _ _ _ - _ _ _ - _ _ _ _ _ _ _ _ - _ _ ___-
                                       _
                                                                                                                                        _                . . .
                                                                  '
                           . _ _ _
                        ,           . . . .                                                                                                                       !
        ,   O
                 CD GISERVATIONS & RECOMMENDATIONS                          -                -
                                                                                                  u-                 -
                                                                                                                                                 -16 ' *          ,
      : .:q                                                                                                                                                        1
    a
                          .
                                                                                                                                .
  4
                    combining the audit and surveitience activities ints a s. ingle., cohesive
                    effort. Such art integrated effort could cover required areas. meri
                    efficiently, without duplicattorr and at e frequency that carr be main-
                    tained. Such art audit progrra should be described.'in writtatt procedures. .                                                     -
                    arxL fnclude e descrfptien of bette the formai audit and the continuous . .,                                                    '
                    audit pian (surveitTance) and the method of conducting pre- and post-audit-                                                              --
                   meetings should be described to preciude later criticisms by outside                                                        -
                                                                                                                                                                .
                   organizations. Tha resulting audit progrant should be a superior tool for                                                            -
                   unnagement assessment of prograr impTementatiert and effectiveness.
                                                                                                                                                                  !
                        ,
                                                                                   @
                                                                               e
                                                     b     *
                                                                                                                                                                  I
                                                                  fh*
          -
                                                                                                    .
                                                                                                                                                                     ,
                                                                                                                   *
                      .

,

                                                 M
              --
                                   -- =. .m         . c. .    ..-
                                                                  _
                                                                             .       .. .
                                                                      * * *        '
                                                                                 ' * A-          . * . .
                                                                                                                       , . . . . . , , , , ,
 e
      _--

1 ' - -

          -'.             ; ,            u.   <s                                 -                                               1
                    ,,       , puc 4TEC , UTILITIES GENERATING CON,tNY                                                            1
                                                                                                                                 q
  q:
                        '
                                     \e               orrrer uruoa Anstru
    :
    +y.        ,-                    O          -
                                               -(t                                                                               t
  7           ,,_ p. - s. #A         s. m.,r,
                                       .
                                         .                                   w r. . a,a n                       ,m               1
          Sub,w Anacement Ouaf f tv Assurance Audit
  -
                                                                                                           RR C RTVED-
                                                                                                                    jut,12197~
                                                            -
                                                                                                             P. G. BRITTAR4

1 i

                       Attached are our resolutions to the findings and recommendations. made

l by Management Analysis Company as a resuit of their audit irr May.

                       Our analysis of the audit results has been discussed in general terms.
                       with John Jackson, and we see no need to respond fonnally to this audit.
                                                                                                                                  ,
                                                                                                                                 \
                                                                                                                                  l
                                                                        -
                                                                               fh
                                                                                R.3T. Gary             /
                                                                                                   .
                                                                                                                      A
                                                                                L. F.Hkar '

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                                                                               , , ~ ~ . . . . . .       . . . _ . . . .

- _ _ _ _ _ _ _ _ _

                                 * * ^ ~ ~                                                                      .                    ,<.      . . - . . . . -
                                                                                 ..j._ ge    th""'"--     ""O'O'*'
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                                 7. .                                                              n. ,,                                             .q ,
                                                                                                                                                         .
                              . .
                                           -*
                             x
                                                                            and steps have been takert to. improve the visibilit;y for the record. -                              --
                                                                6.         Finding Sumary: Markings for in-service NDE inspections were not
                                                                           always cistinct.
                                                                           Response: We agree that_such markings should be TegibTe. QC *ill
                                                                           inspect special process ISI mark.ings prior to turnover.
                                                                T. .
                                                                          Finding Summary: We are using the DC/DDA (design change) program. to
                                                                          bypass tne nonconformance system.
                                         4,
                                    -                                     Response: This is not true. If construction identifies and
                                        4                                 corrects a defect or obtains an approved engineering change prior ta-
                                                                          QC fnspectiort, no NCR f s. required.
                  y
                                                               8.         Ff adine Summary: The records storage facitity does not have
                                                                          internal fire protection durfng off-duty hours.
                                                                          Response:
                                                                                             Art inert gas fire protection system is oft order by TUSI.-
                                                                          Target cate for installatferr is. August I.,1978.
                                                               9.
                                                                         Findino Sumary: ApproximataTy 245. of audits schedufed by Dallas
                                                                         staff nave not beert conducted. Audits by TtjGCO. and.8&R should be
                                                                         combined fm one overali effort.
                                                                                   _
                                                                                                               /                                                 ^
                                                                         Response:
                                                                                                      -
                                                                                             Our audit schedute fs constantly being revised to refTect
                                                                        enanging
                                                                         investi            manufacturing          status and ts allow us to use audits to
                                                                        arise. _ gate probTem areas of' the roost immediate concerrt as they
                                                                        it as it is. jWe believe we cart defend our audit program,. and are T4av
                                                                                          -
                                                                                                                                                                        ~
                                                                                          -
                                                                                                             L0    W'7-                                                  /
                                                                                                                  C          1-
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                                                                                 ..     .sv.     w. esp... t..I..v..e   ...                                          I
                                 as. ..     se   6.                                      DALI.Ls, TzzAs MSok                                                         >
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                                 " " **""'"'
                                       ,6 . . . .          .,                                             May 29,1985
                                 "'*
                                   .. C.* ."**3
                                              Peter B. Bloch, Chairman
                                              Administrative Judge
                                              Atomic Safety and 41censirfg Board
                                              U.S. Nuclear Regulatory Commission
                                              Washington, D.C. 20555
                                             Dr. Walter H. Jordan
                                                                                                                                                                     !
                                              Administrative Judge
                                             881 W. Outer Drive
                                             Oak Ridge, Tennessee 37830
                                             Dr. Kenneth A. McCollom
                                             Administrative Judge
                                             Dean, Division of Engineering,                                                                                          !
                                               Architecture and Technology
                                             Oklahoma State University                                                                                                 j
                                             Stillwater, Oklahoma 74078                                                                                                1'
                                                                                                                                                                      ,
                                                                                                                                                                       1
                                                       Re      In the Matter of Texas Utilities Electric Company, et al                                               I
                                                               (Comanche Peak Steam Electric Station, Units 1 and 2)
                                                               Docket Nos. 50-445-1 and 50-446-1                                                                       ,
                                                                                                                                                                       '
                                                               Supplementation of Appilcants' Response to CASE's Request
                                                                 for Production
                                            Dear Administrative Judges:                                                                                                l
                                                                                                                                                                       '
                                                    . This is to notify you and all parties to the above deckets that Applicants have
                                            identified a document which we believe to be within the scope of item to of
                                            CASE's
                                            August 4,1980. Interrogatories and Requests to Produce dated July 7,1980, as clarified on
                                            1980 and supplemented their response by letters 22,1980,                              dated DecemberAppilcants
                                                                                                                                                 March              su  ,
                                                                                                                                                                        '
                                            5,1982, and April 19, 1982. The document, a copy of which is enclosed with this

!. (MAC) following a management review and audit of the quality a

                                            of the Comanche Peak Project,

i

                                                                                                         EXHIEIT 22

E--______

  _ - _ - .           _
                                                         .
                                                                           *
                     .
            .     .
                                .               .            -        -
                _,,...._
             .*               .
 e*
                         Administrative Judges
                        May 29,1985
                        Page Two
                                  Recently, in gathering data for a prudence audit hing performed for T EC,
                        a search was made by TUGCO personnel of inactive and closed corporate f1!es
                        located in TUGCO's Dallas office. In the course of such search, the enclosed
                        report was found. A memorandum dated July 11, 1978, which detalls TUGCO
                        resolutions to the findings and recommendations made by MAC, is also enclosed.
                                 TUGCO management is evaluating the failure to produce this document at an                                               .
                        earlier time and will advise the Board and parties of the results of this evaluation
                        in the near future.
                                                                    Respectfully submitted,
                                                                                              <
                -
                                                                    Robert A. Wooldridge
                                                                    Counsel for Applicants
                        RAW /k!w
                        Enclosures
                        cc: Service List
                    .
                                                                                            .
                          e m

4

                                                                                                _ _ _ _ _ _ _ _ _ _ _ _ . _ _ _ _ - - - - - - _ - - ----
 - -_ - __-
              .
                .,
                 pung#
                 .        0,                           UNITED STATES
            j               i             NUCLEAR REGULATORY COMMISSION
                                                   WASHINGTON, D. C. 20555
                         +#                            2 2 SEp G85
                .....
                     Docket Nos.:    50-445
                                and 50 446
                     MEMORANDUM FOR:      Chairman Tech
                                          Commissioner Roberts
                                          Commissioner Asselstine
                                          Commissioner Bernthal
                                          Commissioner Carr

l FROM: Vincent S. Noonan, Director

                                          PWR Project Directorate #5

,

                                          Divison of PWR Licensing-A                  -
                     SUBJECT:
                                          BOARD NOTIFICATION - F01.1.0WUP OF BOARD NOTIFICATION
                                 ,
                                          NOS. 85-067 and 85-076 REGARDING OFFICE OF INVESTIGATIONS

l

                                          REPORT h0. 4-85-008 REGARDING THE FACTS SURROUNDING
                                          TEXAS UTit.ITIES UNTIMEl.Y RESPONSE TO THE INTERVENERS
                                          DISCOVERY RE0 VEST (BOARD NOTIFICATION NO. 86-20 )
                    This Notification is being provided to the Commission in accordance with the
                    revised Comission's notification policy of July 6,1984, to inform the
                    Comission on all issues on the cases before the Commission.
                    Background
                   On May 29, 1985, AppTicants notified the Board and parties that they had
                    identified a document which they believed to be within the scope of a
                    1980 discovery request from the interveners. Applicants had submitted their
            *       initi31 response in 1980 and supplemented their response through 1982. The
                   document was a report prepared in May 1978 by Management Analysis Company
                    (MAC) following a management review and audit of the cuality assurance procram
                   of the Comanche Peak Project. On June 12, 1985 Applicents provided the Board
                   and parties with their evaluation of the failure to produce this document at
                   an earlier time. In sumary, the Applicants determined that an individual
                   responsible for licensing made an error in judgement not to produce the report
                   in 1980. By Board Notification No. 85-067, you were informed the Executive
                   Director for Operations recuested the Office of Investigations to investigate
                   the facts surrounding Applicants' withholding of the 1978 MAC report.
                   In addition, by Board Notification No. 85-076, you were informed that durino
                   the 01 investigation the staff became aware of some additional audits
                   performed by MAC of the Brown & Root GA Progran at Comanche Peak and that the
                   staff requested copies of these reports for review to determine whether these
                   audits should have been provided to the intervenor as part of intervenor's
                   1980 discovery request as well. On September 16, 1985,
                   the board and parties with these three reports prepared inApplicants    provided
                                                                                   1976, 1977, and
                   1978 by MAC for Brown & Root concerning the Brown & Root GA program.
                   Applicants stated that the three documents appear to be within the scope of
                                                            EXHIBIT 23
                                                                                                    l
                                                                                                    1

- - _ _ - _

                                                                        .         .
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                                           g?$9 N                                                     ,
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                        of intervenor's discovery reouests. As noted above (BN No. 85-0761, the       !
                       staff first learned of these reports in an interview with MAC personnel by     '
                       OI on the subject of additional work by MAC relating to Comanche Peak (other
                       than the 1978 report commissioned by Texas Utilities and produced in the May
                        29, 1985, submittal).
                        Result of 01 Investigation                                             '
                                                                                                     i
                       The Office of Investigations has completed its investigation which examined   I
                        the circumstances surrounding the failure of TUGC0 to provide the MAC report
                       on a timely basis to a discovery request by the intervenor and issued its     f
                                                                                                      !
                       report no. 4-85-008 (copy enclosed). 01 concluded that the intervenor's        ;
                       interrogatory was sufficiently well-defined to reach the report at issue;     j
                       the utility made a material false statement by c:nission of the report in
                       response to the intervenor's reouest; however, the omission was not made with {
                       the intention of violating the ASt.B's order.                                   ,
                                                                                                     !
                       The parties to the proceeding are being notified.by copy of this memorandum,  t
                                                          Vincent S. Noonan, Director
                                                          PWR Project Directorate No. 5
                                                          Division of PWR I.icensing-A
                      Enclosure: 01 Report t!o. 4-85-008
                      cc:       P. Bloch, ASI.B
                               W. Jordan, ASI.B
                                X. McCollom, ASI.B
                                E. Johnson, ASI.B
                               SECf (2)
                               EDO
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                               ACRS (101
                               Service I.ist
                                (See next page)
                      *See previous concurrence.                                        I
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                      8/14 86                   8/14/86              9/16/86              / /86
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                   . Texas Utilities Generating Company
                    ,CH : Mr. R. J. Gary, Executive Vice ?*esicent
                              and General Manager
                    2001 Bryan Tower-
                    Callas, Texas. ~5201                                                                                                                                                                    3
                                                                                                                                                                                                            i
                    Gentlemen:                                                                                                                                                                            k
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                    SUBJECT: Construction-Appraisal Inscection 50-445/83-18, 50 446/83-12
                   This refers to the construction appraisal inspection conducted by the Office of                                                                                                     ..
                    Inspection and Enforcemer.t (IE) on January 24 -' February t. 1983 and February
                    14 - Marchoffice.
                   corporate      3,1983, at the Comanche Peak Steam Electric Station and-your Dallas
                                          The Construction Appraisal Team (CAT) was composed of
                   members of'IE and a number of consultants. The inspection covered construction
                   activities autnorized by NRC Construction Permit CPPR-126/127.
                   This inspection is the second of a series of construction appraisal inspections
                   being planned by the Office of Inspection and Enforcement. The results of-
                   these inspections will be used to evaluate 1: olementation of management control
                   of construction activities and the quality of construction at nuclear plants.
                   The enclosed report identifies the areas examined during the inspection.
                  Witnin these areas, the effort consisteo of detailed inspection.of selected
                  hardware subsequent to Quality Control inspections, a comprehensive review of
                  your Quality Assurance Program, examination of proceduras and records, observa-
                  tion of work activities and interviews with management and other per,sonnel.
                 Appendix A to this letter is an Executive Summary of the results of the inspec-
                  tion and 'of conclusions reached by this Office. Except for the area of the
                 heating,ventilationandairconditioning(HVAC) system,deficienciesnotedin
                ~installed     hardware
                    installation          did not indicate pervasive failures to meet construction
                                  requirements.
                 control was identified. NRC       In the HVAC system, a breakdown in work and quality
                                                     Region IV has discussed this matter with you and
                 it is our understanding that this matter received imediate action by ycu and
                 your contractors to evaluate and correct these conditions. NRC Region IV will
            -    continue to pursue this issue with you. Prompt management attention to the
                 resolution
                 needed,         of otner detailed deficiencies identified during the inspection is
                                                                                                                                                                                                          i
                 In contrast to the HVAC system, the NRC CAT inspectors found few deficiencies                                                                                                            l
                 in its' inspection of safety system piping. ASME Code radiographs for this
                 piping ,and samples inspected in this area showed evidence of good workmanship.
                                                               EXHIBIT 26
                                                                                                                                                                                                          i
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                                             .
  .96
                                                                                                                                               _ . _ . - - . ~ .      _ - - . _ _ _ _ - - _ - -
           _ - - _ - - _ - _ - .
    . . . . , .
                                                                       .
                                   .
                                                                                   APPENDIX 3
,
                                                                       90TENTIAL ENFORCEMENT FINOINGS
                                   February '4,1983 and February la - March 3,1983, the fol
                                   referredtoNRCRegionIV.I.spotentialenforcementfindings(Section

'

                                   references are to the detailed portion of the Inspection Report)                .
                                     lectrical ano Instrumentation ' Construction   __
                                                                                                                                    lfjMP
                                  l '.
                                             Contrary to 10 CFR 50, Appendix B, Criterion X and FSAR Section 17.1.10,
                                             certain inspection activities were not executed to _ verify installation
                                           . confomance with procedures including gble spacing in trays, cable bend _M
                                             radii,cablefill,nh1.Sunnnr.tsandtrayinstallationnaHwar,e,(Sections
                                             II.B.1.a . b ,c,d, and II.8.4.b(1)) .                             _
                                                                                                                                f
                                                                                                                                  1     //
                            12.
         .
                                      .     Contrary to 10 CFR 50, Appendix B, Criterion XVI and FSAR Section 17.1.16
                                             the established inspection ptogram did not provide adequate controls to
                                            assure that deviations from electrical and electrical / mechanical separa-          3
       L                                    tion criteria as ~ defined in the FSAR were cromotiv identified and cor
                                            rected (Sections II.B.1.f. II.B.4.a. and 11.e.4.b(2)).           .
                                 3                                                                                          '
                                       .
                                            Contrary to 10 CFR 50, Appendix B, Criterion V, FSAR S
 h[*                ' ' '
                                          . to  certain aspects
                                             implemented
                                                        '
                                                                     of battery
                                                               (Section          maintenance have not been developed.or
                                                                         II.B.3.0,).
                                                                                                                      /'
                             Mechanical Construction
                                                                                                                 -
                                                                                                                     f~                     ;
                                                                                                                                             '
                              1.
                                                                                                                                    /,j
                                                                                                                          ,
           /'                              Contrary to 10 CFR 50, Appendix B, Criterion V. FSAR Section 17.1.5,
                                                                                                                                            !
                                         . supports / restraints were inspected (Section
                                                                                                                                             '
  .
                          2.                                                                                                                j
      M
           g                             Sections 17.1.10 and 17.1.17, an inspection pregram has                           "
                                                                                                                              .
      N                                  established to verify and document installaJ.? confoman's to drawing                               l
                                         requirements
                                         ment     installat, ions in regard
                                                          - - . - ~   (SectiontoIII.B.2
                                                                                  pipe and supports
                                                                                              3).   / restraints and mehenical equip-
                        3.
                                         Contrary to 10 CFR 50, Appendix B Criteria V and X, $                                                 I
                                         conditioning
                                         requirements.           (HVAC) duct, supports and equipment do not conform to des
                                                               In add' tion, inspection procedures have not been established
                                         or
                                         (Section III.B.4- ).verify conformance of HVAC supports to design drawings
                                               executed       to
                                                                                                           .
                                                                                       B-1
     .
                                                                          .
                                                                                                     ;
                          1dinc and Nondestructive Examination
  [f            .
                      Contrary to 10 CFR 50, Appendix B, Criterien IX and FSAR Section 17.1.9
                      certain special
                      controlled        A "processes    relative to the HVAC system were not adequately
                                                y=Emproperly-oualifree preeedttses; improperly qualified
                      inspectors; improper
                                        - cc. w ...-certification of NDE personnel (Secticn IV.B.3).
                     Civil and Structural Construction
  (                  Contrary to 10 CFR 50, Appendix B, Criterion V and FSAR Section 15.1.5, civil
  y                  construction test procedures were inadequate to ensure that mixer uniformity
                     tests as required by the ASME-ACI-359 Code were performedy +% rer:Mhd
                     % c"0 (Section V.b.2)
    /
                  * procurement. Storace and Material Traceability
  d                  Contrary to 10 CFR 50, Appendix B, Criterion XIII, FSAR Section 17.1.13,
                     CP-QAP-8.1, Rev. 5, CP-cpm-B.1, Rev.1, and MCP-10, Rev. 7, storage of certain
                     safety-related equipment in outsice lay-down areas and insta14ed.4n-the-prlant
                   un noi yropeMy enn+tcBed (Section VI.S.2).
                     Quality Control Inseector Effectiveness
            Q        1.
                                Contrary to 10 CFR 50, Appendix B, Criterion II and FSAR Section 3.8,
        M f                     individuals were certified to levels of capability without the requisite
                                     a
                                experience described in Regulatory Guide 1.58 (Section VII.B.2.a.(2)).
                    2.
          g
                                Contrary to 10 CFR 50, Appendix B, Criterion X and FSAR Section 3.8,
                                inspection records were prepared and accepted by L-I inspectors as the
                                " inspector of record" rather than the required L-II " inspector of record"
                                required by ANSI N45.2.5 (Section VII.B.2.b(1)).
                   Quality Assurance
                   1.
                               Contrary to 10 CFR 50, Appendix B, Criterion XVIII and FSAR Section-
                               17.1.18, QA audits have not been conducted at a frequency or at sufficien
                       '
                               depth to identify and correct significant problems in various areas of
  /                           construction; i.e. , HVAC and electricalsRFaraty   (Section
                              VIII.B.2.b.(5)(c)).                  "
              f 2.            Contrary to 10 CFR 50, Appendix B, Criterion XVI and FSAR Section 17.1.16,
   (f..']pBP                  audit findings related to maintenance instructions identified in 1979,
        Ap
            ,
                              1981 and 1982 were not resolved in a timely manner (Section VIII.B.2.b.(5)(c)).
  Lc              3.
  P                           Contrary to 10 CFR 50, Appendix B, Criterion VI and FSAR Section 17.1.6,
                              drawings with out-of-date revisiens and drawings with damaged or unread-
                              able title blocks were present in construction work areas (Section
                             VIII.B.2.e.).

M. #9

                                                     ,
                                                                     'B-2

. . . - . . . .

      $           $4 e.  e ee u
                                                  *
O
                                                                                             m
   - _ _ - _ - _ .
                     ..g   .
                                                                                     ,, ...
                             '
                               -
 :
                                 Desien Chance Controls and Corrective Action Systems
                                1
                                       Contrary to 10 CFR 50, Appendix B, Criterion V and FSAR Section 17.1.5,
                                       procedures were not adecuate to assure design charges were properly.         i
                                       transmitted to the Quality Control organization such that an appropriate
                                       inspection could be performed (Sections IX.8/,1. nd IX.8.1.c),
                              i2      Contrary to 10 CFR 50, Appendix B, Criteria II and XV, and FSAR Sections
                                       17.1.2 and 17.1.15, nonconfonning conditions identified relative to some -
                                       safety-related harcware installations are not being properly documented,
                     s -
                                      evaluated, and dispositioned through the Corrective Action Program.    ,
                                       (Section III.S.S. IV.B.2 and IX.S.21).
                                                                                                                    i

l l l

                                                                                                                    l

I

                                                                                                                    l
                                                                                                                  .
                   .                                                                                                1
                                                      .
                                                                         B-3                                        ]
                                 --            .
                                                                      .
                                                                                                               4
                       _ _           - - - - _
                                                                                                                    1

- _ - _

                                                                               .
                                                                                                                                                                   e
                                                                                                                                                                  .
        .o
                                                                                                                                                                       j
       :.C                         ,
                                             -
                                                                                                                                                                        l
                                 .   QUALITY ASSURANCE                                                                                                                  ;
                 ~'                A. Objective                                                                                                                        i
                                       The objective of this review was to determine the adequacy of the

I licensee's Quality Assurance (QA) Program. The program was reviewed to j ) determine if it was appropriately established in instructions and

           .
                                       manuals; and if the construction and quality assurance effort was
                      ,
                                       monitored through audits and other management actions. In addition, a
                                       sampling review of specific steps taken by the licensee regarding the
                                       oversight of contractors (,ontrol. of measuring and test equipment,
                                       document control, and control of QA records was made to determine if
                                       specific parts of the program were implemented.                                                                                ,
                                                                                                                                                                     (<
                                   B. Discussion
                                       1. Procram Retirements
                                           The QA program is defined by a management endorsed hierarchy of
                                           general directives and implemented by procedures at the corporate
                                           and site levels to control construction activities. These
                                           procedures were implemented to satisfy the licensee's Final Safety
                                           Analysis Report (FSAR) commitments.
                                       2. Pecoram Implementation
                                                                                    '
                                           Implementation of this portion of the program was determined based
                                           on reviewing the organizational structure, input from other NRC CAT
                                           inspectors, the construction audit program, sampling drawing revi-
                                           sions in the construction work areas, and reviewing the control of
                                           measuring and test equipment.
                                           a. Organization
                                               The QA organization includes the site construction quality
                                               control organization which is independent from the site construc-
                                               tion management. The quality assurance organization reports to
                                               the Vice President for Nuclear Operations, whose responsibilities
                                               include the construction and. operation of the Comanche peak Steam
                                               Electric Station (CPSES). The authority and duties of the
                                               positions involved were described in the FSAR and corporate
                                               manuals. The audit organization was located at the Corporate
                                               Headquarters in Dallas. The QA organization was found to be in                                                   -
                                               accordance with NRC requirements and the description contained in
                                               the FSAR. Organizational Charts indicated that a number of staff
                                               positions were vacant and had been for an extended period.
                                                                                      *
                                                                                                                                                                        1
                                                                                                                                                                        ,
                                                                         VIII-1                                                                                         l
                                                                                                                                                                        l
           .                                                                                                                                                            1
             . . . . . . . . . .
                                                                                             ..   .
                     *
                                                                                                                                                                        l
                                                                                                                                                                        l
                                                                                                                                                                      <
                                                                                                            . _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ -

L -

                                                                                                        l
                                                                                                        3
                                                  '
   .                                                                                              V
                                                                                       ,
                                                                                     -
                                                                                       . 'N
                                                                                             s         4
                                                                                                 ,
                                                                                                    .

"

           b. Audits
             -The licensee's audit program was reviewed. At least-18 audits-
              out of 60, performed between 1978 and 1983, were selected and
              reviewed with emphasis on the following major areas: auditor                            i
             . qualifications and certifications; audit planning and scheduling;-                     '
              audit instructions and check sheets; audit reports; audit results
              and followup; and the overall effectiveness of the audit program.
              (1) Auditor Qualifications and Certifications
                   (a) The licensee qualification and certification program for
                         auditors and lead auditors was established in QA
         ,
                         Procedure DG1-QA-2.1 " Qualification of Audit Personnel".
                   (b) The certification records for ten lead auditors were
                         reviewed. The lead auditors met the TUGC0 and ANSI.
                        N45.2.23 requirements. The review revealed, however,
                         that auditors not meeting the experience requirements for
                         the , lead auditor position had been assigned as " Acting.
                        Lead Auditor", but_ the limits of an acting lead auditor's
                        authority and the guidance provided was not defined.
              (2) Audit planni g and Scheduling
       .
                   (a) Document reviews and interviews revealed that audit plans
                       were developed and a system of check sheets were used as                       i
                        guides to the auditors to ensure that specific points
                       were reviewed. Open. audit findings were also reviewed
                        during the audit.' It was revealed that the check sheets
                       were developed by the auditor a,ssigned the audit or try
                        the audit group supervisor but were not approved by the
                       QA Services Manager.
                        Interviews revealed that audit schedules were developed
                       using previous audit findings, schedules, experience and
                       discussions with construction site supervisors concer,ning
                       construction problems. There were no trend analyses or
                       construction schedules provided to the QA organization by
                       the site; therefore, these.important sources of in-
                       fonnation were not used in developing.the audit schedule.
                       Also, there was no QA pr*>cedure to describe the method to                     ,
                       be used to develop audit schedules or what management               *
                                                                                                      I
                       aporovals the schedule should receive.
             (3) Audit Reports
     ,
                 Audit reports provided a description of the audit scope;
                  identification of auditors; persons contacted; a suntnary of
                  results and a description of,any deficiencies or findings.
                                                .
                                          VIII-2                                                        I
                                                                                                        i
                                                                         - _ _ - - _           -

- - ____

,             4 ..                                                         ~      '           ~'
                         .       ...
                                   '
                                                                                                                                                    f
                               c                                                                                                                         ,
                           .,
         ,; j:.      'O                     (4) Audit Deficiency Recorting and Follow-uo                                                                 l
        'T            ,
          tv
        '.
                   ,.                              Audit deficiencies were clearly written and required timely
                                                   response by the management of the audited organization. The                *
                                                                                                                                                         I
                                                   completed deficiencies were reviewed by the audit team leader
                                                   for adequacy. Deficiencies were reviewed in subsequent
                                                                                                                                                         .
                                                                                                                                                        {
                                                   audits for completeness. Prompt corrective action was not
                                                                                                                                                        !
                                                   always taken on audit findings (See Paragraph B.2.b.(5)                                               l
                                                  below).
                                                                                                                                                        !
                                                                                                                                                         1
                                            (5) program Effectiveness                                                                                  I
                                                                                                                                                       b
                                                 Although the audit program was in place, there were several                                          l'
                                                 weaknesses in the program that decreased its effectiveness.
                                                   (a). Audit Effort
                                                        The audit organization is located at the TUGC0 offices in
                                                        Dallas. All audits are performed from that location.
                                                        There are eight auditors in the audit section. Although
                                                        audit teams are sometimes supplemented by personnel from
                                                        other sections of the QA organization, the eight member
                                                        audit section is assigned to perfom audits of suppliers,
                                                        subcontractors at the construction site, construction
                                                        activities and startup. Of the eight auditors in the
                                                        audit organization, four had technician background and
                                                        four had a general nontechnical background. None of the
                                                        auditors assigned to the group had engineering background
                                                        or experience. Interviews revealed that approximately
                                                        1200 man days were spent preparing for, conducting and
                                                        reporting audits at the site in 1982. A review of the 32
                                                        audits perfomed in 1982 revealed that about 330 man days
                                                       were spent on site perfoming these audits. This appears
                                                        to be a small percentage of the total audit effort
                                                        considering the level of effort ongoing at the site.
                                                        Interviews revealed that five additional auditor
                                                       positions had been authorized for more than one year but
                                                       the positions were still vacant.
                                                (b) Audit Frecuency
                                                       Interviews and document reviews revealed that:
                                                .
                                                       Twelve audits of construction activities were performed                                        l
                                                       in 1981. Of these, six were of engineering and adminis-
                                                       trative areas such an audits of IE Bulletins, and pro-
                                                       curement and six, were of construction field activities.                                        l
                                                .
                                                       Thirty-two audits were perfomed in 1982. Only nine of
                                                       the audits were of construction field activities, the                                           ;
                                                                                                                                                        !
                                                                                                                                                       l
                                                                                                  -
                                                                                                                                                       1
                                                                                                                                                         \
                                                                        VIII-3                                                                           l
                                                                                                                                                         l
                                                                                                                                                        4
        - - - . . . -
                        . . . . . . . . . .      .                                                              '
                                                                                                                                                  .
                                                                                                                            .
                                                                                                                                                         l
                                                                                                                                                         1
                                                                                                    o     _ _ _   _ _ _ . _     - - - - - - - - -
   _ _ _ _ _ - . _
                     -
                                                                                               -
                   .   -
                                                                                      ,
 .
                                                                                                           I
                                       etherother
                                       and    23 audits.were performed of engineering activities
                                                  support areas.
                                                                                                           !
                                      field activities:           Of the audits of construction
                                                           one audit was performed of mechanical
                                      piping activities, one of restraint and snubber instal-
                                      lations, two of electrical work, one of civil work, one
                                      of instrument
                                      coatings        and controls, and three of protective
                                                application.

L

                               The frequency of '.udits of construction activities has been
                               very low and may have contributed to the problems in the
                              of this report. technical cistir.ines identified in Sections II, III, and IVl
                                                                                                           !

.

                                                                                                           !

i

                              (c)AuditEffectiveness
                                                                                                           !
                                    Areas of the construction activity were audited; however,
                                     the auditsfordid
                                    problems,         not icentify major construction program
                                                    example:
                                                                                                           !
                             .
                                    Bahnson Services was audited yearly since 1980. The
                                    last audit was in April 1982.
                                    installation activities and personnel qualificationsAlthough fabr
                                   were in the scope of the 1982 'sedit, such NRC CAT
                                   identified items as undersized welds, out of tolerance
                                  dimensional characteristics, and an inadequate struc-                    '
                                   turalresolved.
                                  and     welding inspection program were not identified
                                                                                                           :
                           .
                                  The
                                  timeselectrical
                                           since 1980.area cf construction was audited caly four            j
                                  separation issue as discussed in the ElectricalThe audit                  i
                                  Construction'Section (Section II) of this report.                        i
                          Ineffective
                         audit.                  corrective
                                      findings; for example:     action has been taken as a resu             l'
                         .
                                 Equipment maintenance was audited in August 1979 (audit
                                 number (TCP-5)).
                                 instructions were not beinAn audit finding. identified that vendor
                                maintenance instructions. g incorporated into ongoing
                                 startup activities              The July, 1981 QA audit of
                                Surveillance Summary (TUG-5) and the June 1982 Quality
                                problems with ensuring that manufacturers requireme
                                and qualification report requirements                                       ,
                                parated into the maintenance program. had been incor-
                                                                             An October 1982
                                qualification reports were not reviewed during
                                                                                                              .
                                                                                                              !
                                process of establishing maintenance requirements. The
                     .
                                                    VIII-4
                                                                                             4
                                                                                                 ,____ - -
                                                                                        ..   -       .
                                         "
           .             .
                                                                                                                       I
                                                                                                                             l
                                                                                                                      _
                               -
                                                            problem was identified in 1979, and it has not been
                           .
                                                             resolved as eviderced by the 1982 audit. Thus, the              '
                 -                                          effectiveness of the corrective action system for audits
                                                             is not effective..                                              !
               '
                                                                                                                              )
                                                        The NRC CAT inspector's co'nclusion is that weaknesses
                                                        exist in the established audit program. These weaknesses
                                                        include the scheduling and frequency of audits, the lack of
                                                       effective construction program monitoring., and in lack of
                                                       effective resolution of some audit findings,
                                           c. 0A Procram Interfaces
                                                The NRC CAT inspector reviewed the QA organizations' overview of
                                                documents that prescribe actions taken by engineering, construc-
                                                tion, and quality assurance personnel. A planned and systematic
                                                program is in place with cea aspect being procedure review.
                                                                                                                            i
                                                Interviews and document reviews revealed that:
                                                (1) The QA/QC manager or a senior representative reviews all
                                                       inspection procedures.
                                                (2) The QA/QC manager er a senior representative reviews con-
                                                       struction control procedures to ensure the prope construc-
                                                       tion-inspection interface exists.

, ! (3) Engineering control procedures are not reviewed by the QA/QC

                                                      manager or a representative of the QA organization.                 .
                                                                                                                          '
                                                                                                                          .
                                               The lack of proper interface with engineering may have contri-
                                               buted
                                               repo rt.
                                                          to the issues discussed in Sections II, III, and IX of this
                                                             These issues relate to the final engineering design and
                                               the final inspection reports not being reflected in the hardware.
                                         d. Construction Monitorina
                                              A program of co'nstruction monitoring was established. The
                                              program consisted of: monitoring the ASME construction and
                                               installation activities performed by Brown and Root (B&R), and
                                              surveillance of concrete anchor bolt installations.
                                              The monitoring of ASME construction activities consisted of a
                                              systematic eview by two individuals of B&Rs compliance to
                                              approved instructions, procedures and/or drawings that implement
                                              the requirements of the B&R ASME QA manual. The monitoring was
                                              scheduled in advance and providad a review, although less formal
                                              than audit, of onooing ASME work activities. The surveillance of
                                             anchor bolt installation was performed in accordance with .TUGC0
                                             procedure Cp-Qp-11.2 Rev. 4
                                                                                    which indicates that 10
                                                                             VIII-5
               . - . . - . . . - - . . . .
               .                                                                           *
                                                    ..
                                                                                                .         '
                                                                                                                        t
             F
 L____--.-:--        ---

_ _ _ _ _ _ _ _ _ _ _ _ .

                   . M, ar_
                              4
                                  l'
                                                                                NUREG-0797
                                                                                Supplement No.11
                                                                                                                           l
                                                                                                                           l
                                                                                                                         1
                                                                                                                         i
                                     Safety Evaluation Report                                                            '
                              '
                                     related to the operation of
                              "      Comanche Peak Steam Electric Station,
                                     Units 1 and 2
                                     Docket Nos. 50-445 and 50-446
                                     Texas Utilities Generating Company, et al.                                          !
                                  ,
                                  P
                            ,
                                -
                                     U.S. Nuclear Regulatory __
                                     Commission
                                -
                         4,     ,
                                     Office of Nuclear Reactor Regulation
                             1
                                     May 1985
                          .    ,
                               ,      j.. =%q
                           4,         %        e
                            a                                                                                            ;
                                                                                                                         i
                                                                                                                         !
                           l
                           !
                           a
                                                                           _          _
                          i                                                                                              !
                          ,                                     EXRIBIT 27                                               i
                          ;
                         I                                                                                               j
                                                                                                                           1
                                                                                           _ _ _ _ _ _ _ _ _ - - _ _ _ -

-_ -_ _ _-_-_

                        ,             ..    .
                                                          > .           .'   !
                                                                                  -
                                                                                           p
                    .
                          (4)
                                The method of categorizing irs and NCRs by building did not assure
                               meaningful     trend analysis.
                          (5)
                               A '.984 CAR report identified three items that appeared to require
                               action; however, none had been taken.
                         (G)
                               CAR 029 was used as a vehicle for a specific disposition rather than
                               for generic action, as intended by the CAR system.                       l
                                                                                                        !
                 The TRT QA.'QC Group also noted that approximately 40 different forms and re-
                 ports (other than NCRs) were used for recording deficiencies. Many of these
                 forms and reports did not appear to provide information entry into the Correc-
                 tive Action System to prevent problem recurrence.
                                                                                                        ,
                 In conclusion, the QA/QC Group found deficiencies in NCR implementation; and in
                some cases NCR corrective action was unsatisfactory. The QA/QC Group found B&R
                and TUSCO's corrective action systems poorly structured, ineffective, and poorly
                applied.
              '4.6 QC Inspection
                The tables in Attachment 1 indicate those items of QC inspection that were con-
                sidered to be deficient. Of particular concern were those items fca which QC
                inspection was indicated as being primarily responsible and having a generic
                impact
               are eight    level
                              suchof items
                                     4 (frequent
                                             in theoccurrences
                                                    tables.      that have plant-wide impact). There
                                                              Of lesser concern were the 27 additional
               entries that indicated QC inspection as a contributing factor for level 4
               items, or as either a primary or contributing fr.ctor for level 3 items (fre-
               quent occurrences, but apparently confined to a particular area or item). The
               above 35 items indicated to the TRT that QC inspection was particularly deft-
               cient in the areas of coatings and mechanical hardware, and that QC inspectors
              made significant errors in a number of additional specific items.
               inspection problems are generally accompanied by and associated with construc-Further, Q
              tion / testing problems (see Section 4.4).
              As      described in more detail in the individual assessments listed for entries on
              the tables in Attachment 1, QC inspectors in many instances failed to follow
              design documents and the quality procedures for inspection.             Of concern is the
              potential for critical installations.to be inadequately constructed and improp-
              erly represented on documents in the plant permanent records vault as well as
              inaccurate accounting of safety-related systems and structures for input used             !
              in the stress analyses by the engineering group. In conclusion, the QA/QC
             Group considers the site QC inspection program to be less than fully effective              ,
                                                                                                         j
              in monitoring, detecting, and reporting deficiencies that have or could have a
             significant safety impact on the plant.                                                    i
                                                                                                        '
             4. 7 Audits and Reportina
                                                                                                         i
             In the TRT's overall assessment of TUEC's audit program, emphasis was placed on
             evaluating the administration of the audit program, management's action to re-             !
                                                                                                         i
             view the status and adequacy of the QA program, and followup on findings iden-             I
             tified by internal (TVEC) and external audit teams (NRC and consultants).                  i

l l l ,

             Comanche Peak SSER 11                        P-31
                                                                                                         i
                                                                                                         I
                                                                                ~

j  ;

- _ _ - _ _ _ _ .

                                                                            *-
                                                                                                                                                 l
                         TUEC's audit program consisted of internal and external audits of design, con-
                         struction, engineering, and procurement activities. TUEC assumed the responsi-                                        ,
                                                                                                                                                 '
                        bility for external audits of vendors.
                 g      Region IV found that TUEC's audit procedures did not comply with NRC require-
                        ments, and that the program was not implemented in accordance with procedures,                                           ,
                                                                                                                                               i
                        The lack of an established audit program was also substantiated by Region IV.                                            '
                        For example, Region IV Report No. 50-445/84-32 cited TUEC for failure to estab-
                        lish and implement a comprehensive system of planned and periodic audits. Non-
                        compliances identified were: annual audits were not adequately addressed by
                        audit implementation procedures; planning and staffing to perform 1983 audits                                          1
                                                                                                                                               j
                        were inadequate; the Westinghouse site organization performing Nuclear Steam                                           i
                        Supply System (NSSS) engineering services was not audited by TUEC from 1977
                                                                                                                                               l
                        through 1981; and audits of vendors that manufacture or fabricate parts, compo-
                        nents, and equipment for safety-related systems were not conducted in compli-
                        ante with annual or other applicable requirements dating back to August 1978.
                                                                                                                                               .
                       Assessments by the Miscellaneous and Mechanical and Piping Groups concurred
                       with the QA/QC Group that the audit frequency of vendors did not comply with
                       ANSI N45.2.12 requirements.
                       Review of the past administration of the audit program disclosed that during
                       1981 and 1982, the height of construction, the audit staff consisted of four
                       auditors. From 1982 to 1984, the audit staff has increased from 4 to 12.
                       Also, on occasions, individuals participating on the audit teams were not QA
                       auditors. As such, a potential existed to compromise their independence. The
                       TRT reviewed the technical background, experience, and training of auditors, as
                       well as the quality of audit reports. The TRT determined auditor staffing and
                       qualifications to be questionable, which rendered the audit results for 1981                                 }
                   -
                       through 1983 potentially ineffective.
                       The TRT and Region IV reviewed the scope of the QA program audited during 1983.
                      Of approximately 650 safety-related procedures, 165 (25% overall) were audited.
                       In looking at quality procedures, TUEC audited 24% of TUGCO's implementing pro-
                      cedures and 39% of B&R procedures for a composite 32% audit rate. Although
                      audits on a sampling basis are acceptable, there was no evidence that all
                       safety-related areas were audited. The audits did not encompass all aspects of
                      the QA program in order to determine effectiveness.
                                                                                                                      J
                   ' With respect to audit corrective action followup, it was learned that TUEC QA
                      had not been verifying that corrective action on previous audit findings was
                      accomplished.
                                       For example, audit TCP-111, initiated to verify corrective ac-
                      tions on previous audit findings, was started prior to the TRT's review. TUEC
                      emphasized that TCP-111 be considered a " Punch List of Completion Tasks" to                                           ,
                                                                                                                                              i
                      verify that corrective action had been implemented and.not an attempt to re-
                     write or change previous audit findings. Another specific example of ineffecs
                      tive followup action was found that pertained to a deficiency identified in
                      audit TCP-23, performed in September 1981. Audit TCP-68, conducted in March
                     1983, attempted to verify corrective action of TCP-23's audit finding, but logs
                      that would document the corrective action had been destroyed. A new deficiency
                     was written at that time and the response was accepted, but the corrective ac-
                     tion implementation is still unverified.
                     In correlating nonconformance reporting to the audit finding / corrective action
                     reporting tracking system, the TRT noted that during 1983, 18 NCRs identified                                             ,
                                                                                                                                               !
                     Comanche Peak SSER 11                 P-32
                                                                                                                                                 1
                                                                                                                                               !
                                                                                             .
                                                                                                                                           _
                             r
                                                                                                                                          a
                                                                                                     _a______ _ _ _ _ _ _ _ - - - - - - '
     .    ,                                                                                        . _ _ _ .
                                                                                                                   ..
                      the procedures.
                     QA   need to retrain construction personnel in the contant and requirements of
                                       'The TRT found that TUEC corrective action request CAR-024,
                     which   dealt with inadequate construction training and records, was open for
                     12 months.
                     training of construction personnel.After CAR-024 was closed, five other CARS ic'entifi
                                                               The TUEC construction, startup/ turnover
                     surveillance group identified the above conditions in CAR-009, dated April 9,
                     1984, which had not been closed at the time of the TRT inspection. This fur-
                     auditsupports
                     ther   findings.the TRT finding of inadequate followup and corrective action of
             P'TheTRTfoundthatTUECmanagementhadfailedtoperiodicallyreviewthe                                   -
                     and adequacy of their QA program. This was confirm.ed by Region IV (IR 50-445/
                    84-32). TUEC representatives stated that there have been no regular assess-
             j      ments or reviews of the adequacy of the total QA l'rogram by upper management,
             f FSAR.as required in Criterion II of 10 CFR 50, Appendix B, and as commitised in the               J
            [Withrespecttofo11cwupcorrectiveactionforpreviousfindingscitedagainst
                    the audit program by NRC and TUEC consultant audit / inspection teams, the TRT
                    found TUEC's corrective action followup to be not fully effective. The Fred                       !
        g           lobbin
                    findings:Report (a TUEC con:ultant), dated February 1982, identified four major
                    i.e., comme (1) level of experience within the TUGC0 QA organization is low;
       N4                        rcial melear plant design and construction QA experience; (2) staff-
        i           ing for the audit and surveillance functions is inadequate; (3) the number and
       y          scope of design and construction audits conducted by TUGC0 QA to date has been
       g          limited; and (4) QA management has not defined clearly the objectives for the
                 surveillance      program resulting in a program which, in the cuthor's opinion "is
                presently ineffective."
                quately addressed by TUEC.To date, findings (2), (3) and (4) have not been ade-
                                                     (Region IV Report No. 50-445/84-32.)                               i
                Fullowing the Lobbin Report, the NRC performed a CAT inspection (IR 445/83-18;
                446/83-12,                                                                                            !
                gram       at thedated   Apriloffices.
                                  corporate    11, 1983) and included a review of the TOGC0 audit pro-
                                                        The inspection included a review of 18 audits                 (
                (conducted between 1978 and early 1983), auditor qualifications, audit plannin                         l
                and scheduling, audit reporting and followup, and audit program effectiveness.g                       j
                                                                                                                        l
                The report concluded that weaknesses existed in the established QA audit                              j
                program which included the scheduling and frequency of audits, the lack of
                effective monitoring of the construction program, and the lack of effective
                resolution of certain audit findings.                                                          ]
                QA program should have been more effective.The inspection also indicated that the
                                                                                                             ]
                During the TRT's evaluation of allegations and concerns, it was observed that
               _the
               e         audit function did not always identify QA program breakdowns, or if reported,                 l
               ~ttective
               examples were:  corrective action was not instituted to prevent recurfence. Typical
                                      (1) untimely reporting of significant construction deficiencies
               for 10 FFR 50.55(e) items, (2) QA breakdown in document control for satellite
                                                                                                                        !
               306 which was not reported to the NRC, and (3) record reviewers ware reviewing                           '
               and accepting documentation for work they previously performed as inspectors.                           i
               Based on its findings ud observations, the TRT concludes that the QA audit and
               reporting program has had and continues to exhibit deficiencies.

l

               ficant period of time, recurring deficiencies include: inadequateOver             a signi-
                                                                                            staffing
               during peak periods; failure by management to review the QA program for effec-
               tiveness; procedural and implementation inadequacies; questionable qualifica-
               Comanche Peak SSER 11                       P-33

I u - __ _-

                            .
  .: .     .                                                    .

p .

                                                                               .
                                          COMANCHE PEAK RESPONGE TEAM
                                                  ACTION PLAN
                                               .ISAP Vll.a.4-

l

                      *

l Title:

                    .
                                       Audit Program and Auditor Qualification

l l

             Revision No.            0                  1
 L,
            Description        Original Issue                     ents                 -
                                                    k     la
           Prepared and
                               Q
           Recommended by:
                                                        .
                                                                                           ,
                               -
           Review Team Leader [/
          O*'*
                                     M 'W              2     If6
                                                                                 _-
        APProvad by:
       -Senior Review 7,,,
                                               p             --
        Data
                                 shiler Ag,c                                -
       %:-
                                               EXHIBIT 28                           --
                                                                                             j
                                                                                             !
                                                                                             l
                                                                                             l
                                                                                             l
                                                                                             1
                                                                                         a
                                                                                        . _ _ _ - _ _ _ _ _ _ _ _ -
                                                           -                -.
                                                                                                                                   1
           -                                                                                                                       ,
   ;/-   .
                                                                                                                                   l
    /  .
                                                                                   Revision:                          1
                                                                                   Page                  ,5 of 9
                                                                                      '
                                                 ISAP VII.a.4
                                                    (Cont'd)
             4.0 CPRTACTIONPihN-
                  4.1 Scope and Methodology                                                                                       l
                                                                                 .
                        4.1.1                                                                                                      !
                                The scope of this action plan is to evaluate the                                                  !
                               adequacy of the TUCCO QA Audit Program from its                                                    1
                               inception to the present, determine the effect of any
                               identified inadequacies on the Quality Assurance
                                                                                                                                -f 1
                               Program and/or.the physical plant, and to recommend
                               appropriate    correct. ions and/or improvements to the
                               current program.
                                                      This evaluation will be accomplished
                               th~ rough a review which will address audit planning arid
                               scheduling,
                               up and closecut,preparation, performance, reporting, follow
                                                     and audit personnel qualification.
                       4.1.2
                               The specific methodology is described below.
                               4.1.2.1

f;

                                           All revisions of the, program and6rscadutaD
!'                                         ge.daining to, the..QA. Audit Proa_ ram _ Jhat,,,have
                                           been in effect at CPSES(will be evaluated. t                             *
                                           identify commitmeni;g.abhe dearee to wnic,n
                                           the written program conformed to these
>
                                           commitments. Include,d in this evaluatien
                                           will be the CPSES PSAR/PSAR (Appendices 1A(N)
                                                                 ~
                                           and 1A(B), Chapter 17.1, and QA branch
                                           questions and answers); TUCCO Qgrporate
                                           Quality Assurance Program; CPSES Project
                                                                          .
                                           Quality Assurance Plan (Design and
                                          Construction); Dallas Quality Procedures /
                                          Instructions manual.
                                                                                                                                  <
                              4.1.2.2     Eeports, documentation nand. data. generated                                            $
                                                                                                                        I
                                          during the implementation..oL_,the pregum,will
                                          be reviewed on a selectivt basis ta,evaluatt
                                          the effectiveness
                                          selection             of.1
                                                       of specific     @ ementation
                                                                    items    to be      The                                 '
                                         will be based on concernbifed@reviewedd'by the
                                         NRC; significant revisions,_ t;o commitments,
                                         program description, and/or organization; and
                                         to pursue questionable areas identified
                                    r    during the review. Specific., topics to be
                                        . addressed include,the following:
                                  $      Audit Planning Criteria
                                                                                                                                  l
                                         Published and As-run Schedules
                                                                                                                                  1
                                                                                                                                  i
                                                                                                                          !        {
                                                                                                                          >;      i
                                                                                                                              i    :
                                                                                                                                  I
                                                                                                                                  i
                                                                                                                                   1
           - _ _ _ _ _ _ _ _
     .
                                                                                  .          .--                                     l

,

     .
       , f-                                                                                                                          l
                                                                                                                                     \
                                                                                                                                    I'
 .
                                                                                                               Revision:    1
                                                                                                               Page , 6 of 9        1
                                                                                                                                     i
                                                                                                                 .
                                                                            ISAP VII.a.4
                                                                              (Cont'd)
                                 4.0
                                     CPRT ACTION PLAN (Cont 'd)                                                                   i
                                                                                                                                  '
                                                                *
                                                                       Audit Plans and CheelAfata
                                                                                           ,
                                                                                                                                  t
                                                                *
                               .
                                                                      ' Audit Reports
                                                                '
                                                                       Audit Deficiency Follow up
                                                                                                 .
                                                          sy                                                                     ')
                                                                       Audit Team Hembers Including Qualifications
                                                                       and Staffing Levels,
                                                                      Organizations Performing Audit Activities
                                                              a
                                                                     Application    of Audit Activities to Hardware
                                                                         vs Program / Procedures
                                                                     The object of this
                                                                     conclusion cor::erningaluation       is to_ develop a
                                                                                                   he adsLquacy of gre
                                                                     assessmertlprovided by e e Audit Program.yram
                                                                     This info ~rination.will be used as ang.fot.
                                                                     recommendations, for revision of the current
                                                                     program, as appropriate.
                                                   4.1.2.3          Should audit program deficiencies or
                                          ',.             y
                                            pg j -l                 weaknesses related to construction activities
                                         p p '. ,                 be identified, they will be_ evaluated,to
                                                                    determine whether action beyond-that
                                                     s,,.
                                                                    spe,cified in ISAP VII.c is. required to                   ,
                                                                                                                              ;
                                                                    identify potential areas of concern regarding
                                                                    construction quality. Should such actiens be
                                                            -
                                                                                                                              l
                                                                   required,adetailedplanvil'1,bedeveljpe'd'~
                                                                   and this ISAP revised to describe the
                                                                   methodology. In addition, (bou.14 any                          j
                                                                   identified audit program (gfAgfengieA.jppJy
                                                                   also to off-site TUGCO inppliers, aJrogram
                                                                  will be developed to determine _ths                             !
                                                                  acceptability of the supp11eral,gual.Aty
                                                                  assurance programs for the applicable
                                                                  equipment and services during the period in
                                                                  question.
                                                                                 This program, if required, will
                                                                  utilize external sources of information such
                                                                  as other utility or architect-engineer                          '
                                                                  audits, the Coordinated Agency for Supplier
                                                                  Evaluation, and the NRC " White Book".           If -
                                                                  suppliers are identified for which the' ~~                      i
                                                                                                                                     I
                                                                                                                                     I
                                                                                                                                     1
                                                                         .
   4
           _ - _ _ . . _ - _ _
   _ _ _ - _ _ _ _ _ _ - _ _ _ - - - - - - - - - - - - - - - - _       .
                                                                                   --
                  .
                                                                                                                                                                                                Revision:    1
                                                                                                                                                                                                Page    7 of 9
                                                                                                                                                                                                    .
                                                                                           ISAP VII.a.4
                                                                                               (Cont'd)
                         4.0 CPRT ACTION PLAN (Cont'd)
                                                                                       adequacy of the QA program _pspppt be
           .                                                                           determined, a deta12 3d plan vill be ' develop'ed
                                                                                       to yesolve the eonie M n3~i[[s                                                                     n j.IS W j~ev3 sed
                                                                                       to describe the methodology.
                                                                         4.1.2.4     The current audit program, including auditor                                                                              I
                                                                           r>          qualif1 cation requirement.s,_ vill btte.yaluAte.d
                                                                                       against licensing commitments contained in
                                                                                       the FSAP.
                                                                              .

L

                                                                       /-              A determination vill.be made concernit6 the                                                                               i
                                                                                       adequacy of the TUGC0 vritten program and the
                                                                                       qualifications of the audit staff and                                                                                    I
                                                                                       staffing levels for the remaining                                                                              .         j
                                                                                       construction phase of Unit 2 And for the
                                                                                       operations phase.
                                                                         . 1.2.5      The. Result.s_ Report vill provido
                                                                                      recommendations f or correrteTis action and/or                                                                            l
                                                                                                                                                                                                               :
                                                                                      program improvements as appropriate.
                                                                                                                                                                                                  ~
                                                                                                                                                                                                               '
                                                                       4.1.2.6        Copies of *.he Results Report for this ISAP                                                                              '
                                                                                      v111 be provided to TUGC0 for their
                                                                                      consideration in responding to the NRC Notice
                                                                                      of Violation (445/8432-03; 446/8411-03).
                                                      4.2      Participant's Roles and Responsibilities
                                                               4.2.1  TUCCO
                                                                      4.2.1.1         Scope
                                                                                      TUCCO vill assist in identifying and locating
                                                                                      applicable information and documentation to
                                                                                      support the Review Team activities.
                                                                      4.2.1.2         Personnel
                                                                                      Mr. D. McAfee, Dallas QA Manager, vill ensure
                                                                                      effective coordination between the Review
                                                                                    Team and TUCCO.

l

 ,
                                                                                           ___     _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ - _ - - - - - - - - - - - - - ' - - - - - ~ ' ^ ^ ~ ~^

..

                                                                    .                                    .         , iK r '.- ' ,
         .
           .7 a                                                                                                       ;f
            '
                                                                                          ,            1
                                                                                                                                          \
                                                                                      '
                                                                                                 Rwision:       1
                                                                                                                                     '

1<

  ._                                                                                             Pqe       8 of 9                      ..
                                                                                                 \ -
                                                         ISAP VII.a,4               '
                                                                                              ',
                                                           (Cont'd)
                                                                                                                                             I
     ,
                   4.0
                ..
                         CPRT ACTION $'LAN . (Cont 'd)                                                                             *

l > r i

                              4.2.2    ERC                                               '
                                                                                        /
                                                                                                              f
                                       4.2.2.1'   Scope                                   ,

1

                                                  ERC vill be responsible for reviewing-
                                                  applicable TUGC0 documentation to determine
   4
                                                  the adequacy of the program.
                                       4.2.2.2    Personnel                                                 '
                                                                                                           ',     /         ,t
                                                  Mr. J. Hante3           Review Team I.eader                 /
                                                  Hr. J. Celter         ' Issue Coordinator                            l                R

,

                       4.3 _ Qualifications of Personnel                                       '

l

                             4.3.1
                                     Participants will be qualified to the requirements of
                                      the CPSES Quality Assurance Program gr                                                   '
                                     requirements of the CPRT Program Plau.,to the specific
                       4.4   Procedures                                           '
                            Program Plan and Issue-Specific Action Plans.
                                                                 -
                       4.5 Standards / Acceptance Criteria            ,
                                                                      4
                                                                         j
                            Audit activities shall be in ceu:pliancla with 10CFR50, Appendix
                            B, Critarion XVIII and the applicable codes and standards
                            relating to CPSES FSAR paragraph 17.1.18.
                            activities are receptable if:                  f
                                                                                Specifically such-
                            4.5.1
                                    Audits to assure that procedures and activities comply
                                    with the overall QA program are perforr.ed by:
                                    4.5.1.1 The-QA organization to provide a
                                                comprehensive independent verification and ,
                                                evaluation of quality-related procedures and
                                                activities.                                                                               i
                                   4.5.1.2
                                                The applicant to verify and evaluate the QA
                                                programs, proceduras, a,nd activit.tes of
                                                suppliers.                       '
                                                                                            '
                                                                              ,
                           4.5.2                                                                     ,
                                   A'n audit plan is prepared idt.ntiiying audits to lie
                                                                             '
                                   performed, their, frequencies, and schedules.                  Audits                                  ;
                                                                                                                                           '
                                   e'.cald be regularly scheduled based upon the status and
                                                                                                                                 !
                                                                                                                                           l
                                                                                                                               I          i
                                                                                                                               :
                                                                                                                                           1
       ,
                                                       I
                                                    'g     #
                                                     .n a
                                                                            _ _                _ _ _ - . - _ - . _ _ - - - _ - - - -               - - - - - - - - - - - -
                                                                                                                                                                             '
   7     . ;--------

hyl, / 3 ;p. Y

                                                            ,

f. . ',' G , '

                                        3
                                          '9            ,
 ~.
                                                                           ;, ;
                                              *

Y, 7y )

       ,
                                                     1                                                                               Revision:   1
                                3                                                                                                    Page   9 of 9
                                                                         '                                                             .
                                                                     ISAP VII.a.4
          ..,,
                                                                        (Cont'd)
                           *
     ,
                       4. 0 I CPRT ACTION PLAN (Cont'd)'
   d                                              . safety importen e of the activities being performed and
                                                     are initiated early enough to assure effective QA
                                                    duriag design, procurement, manufacturing,
                        ,                  a
                                                     construction installation, inspection, and testing.                                                                   ~
                          /
                                      4.5' 3 ' Audits include an objective evaluation of quality-
                                            .
                                                    related practices procedures, instructions; activities
                                                    and items; and review of documents and records to
                     (                            ' ensure that the QA program is effective and properly
                                                  , implemented.
                                      4.5.4' Provisions are established requiring that audits be
                                                   yerformed in all areas where the requirements of
                                                    Appendix B to 10CFR Part 50 are applicable. Areas
                                                    which are often neglected but should be included are

l Letivities associated with:

                                                    4.5.4.1      Indoctrination and training p.rograms.
                                                    4.5.4.2      Interface control ancng the applicant and the                                                                 I
                                                                principal contractors.

1-

                                                   4.5.4.3      Corrective action, celebration, and non-
                                                                conf omance control systems.                                                                                   ,
                                                                                                                                                                               I
                                                   4.5.4.4      SAR commitments.
                                     4.5.5                                                                                                                                     i.
                                                  Audit data are analyzed and the resulting reports
                                                   indicating any quality problems and the effectiveness
                                                  of t,he QA program, including the need for reaudit of
                                                  deficient areas, are reported to management for review
                                                  and assessment.
                                     4.5.6                                                                                                                                     l

, Audits are performed in accordance with pre-established

                                                  written procedures or checklists and conducted by
                                                  trained personnel having no direct responsibilities in
                                                  the areas being audited.
                             4.6 Decision Criteria

,. ,

                                    Decisions concerning the number of individual reports.
                                    records files, etc., to be reviewed, and the level of detail
                                    to which they will be reviewed, will be detet1nined by the
                                    quantity
                                    ISAP proceeds.   and quality of data obtained as implementation of the
                                                                                                                                                                                l
                                    This      item will be
                                    been evaluated                considered
                                                              to support    a firm closed  when
                                                                                   conclusion as tosufficient                  the           data has

l acceptability

                                  contained                of the program
                                                       in Paragraph   4.5. against the acceptance criteria
               _- ._
                                                                        _ _ - _ _ _ _ _ - _ _ _ _ - _ _ _ _ _ _ _ _ _ _ _ _ _ - _ _ _ _ _ _ _ _ _ _ _ _ _
                                                                      .
                             *'
               3
                           /
                                                                                                                                                   \
                         '
                                                                                                                                                   .A>         t~-
                                                                                                 ._
                                                                                                                         -[1 ( i uv                            %
                                                                                                        %---.-                                                            I
                                                       COMANCHE PEAK RESPONSE TEAM                                                                                       I
                                                            RESULTS REPORT
                                                                                                                                                                          l
                                                                                                                                                                          l
                                1
                                                            ISAP: VII.a.4
                                            Title: Audit Program and Auditor Qualification                                                                              .
                                                              REVISION 1                         #
                                                                                                                                                                          )
                                                                                                                                                                          l
                                                                                                                                                                         l
                                                                                                                                                                        1
                                                                                                                                                                   -
                                                                                                                                                                     ;
                                                                                                                                                                      i
                                                                                                                                                                      !
                                    .
                                         -
                                                jf              ,
                                                                                                                                                 Yft1 fS -            l
                                  I      Coordinator /                                                                   Date
                                                            f                                                                                                         ,
                                                                                                                                                                      !
                                  Revi
                                              a.
                                           Team Leader'
                                                                                                                                                          /7
                                                                                                                        Date/                                 /
                                                  oL
                                                                                                                                                                      i
                                  John . Beck, Chairman CPRT-SRT                                                        Date
                                                                                                                                 +/n/rc.
                                                                                                                                                                      j
                                                                                                                                                                      i
                                                                                                                                                                      i
                                                                                                                                                            .
                                                             EXHIBIT 29
                                                                                                                                                                       ;
                                                                                                                                                                      4
                                                                                                                                                                      1
                                                                                                                                                                      l
         e.
                                                                                                                                                                          l
                                                                                                                                                                          l

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

                                                                                                                                                                      I
             _ _ _ _ - _ _
                                                      ,_ ,,         ,_ _     _ , , , _ _ _ ,
                                                                                               Revision:    1
                                                                                               Pags   1 of 53
                                                                                                              ;
                                                            RESULTS REPORT
                                                             ISAP VII.a.4
                                               Audit Program and Auditor Qualification

1

                           1.0 DESCRIPTION OF ISSUE
                                The Comanche Peak SSER 11 Appendix P, Section 4.7, pages P-31
                                through P-34, describes the NRC concerns in the areas of Quality               l
                                Assurance auditing and audit reporting. The concerns pertaining to
                                the audit program and audit personnel qualification have been                 ]
                                                                                                              1
                                extracted and are presented here
                                      " Region IV found that TUEC's audit procedures did not comply
                                      with NRC requirements, and that the program was not
                                      implemented in accordance with procedures. The lack of an
                                      established audit program was also substantiated by Region IV.
                                      For example, Region IV Report No. 50-445/84-32 cited TUEC for
                                      failure to establish and implement a comprehensive system of"
                                      planned and periodic audits. Non-compliances identified were:
                                      annual audits were not adequately addressed by audit.
                                      implementation procedures; planning and staffing tc perform
                                      1983 audits were inadequate; the Westinghouse site
                                      organization performing Nuclear Steam Supply System (NSSS)
                                      engineering services was not audited by TUEC from 1977 through
                                      1981; and audits of vendors that manufacture or fabricate
                                     parts, components, and equipment for safety-related systems
                                     were not conducted in compliance with annual or other
                                     applicable requirements dating back to August 1978.
                                     Assessments by the Miscellaneous and Mechanical and Piping
                                c3   Groups concurred with the QA/QC Group that the audit frequency,
                                     of vendors did not comply with ANSI N45.2.12 requirements.
                                                                                             ~
                                     Revi'ev of past administration of the audit program disclosed
                                     that during 1981 and 1982, the height of construction, the
                                     audit staff consisted of four auditors. From 1982 to 1984,
                                     the audit staff has increased from 4 to 12. Also, on
                                     occasions, individuals participating on the audit teams were
                                     not QA auditors. As such, a potential existed to compromise
                                     their independence. The TRT reviewed the technical
                                     background, experience, and training of auditors, as well as
                                     the quality of audit reports. The TRT determined auditor
                                 g3 ataffing and qualificatiqps to be _cutstionable, which rendered
                                     the audit results for 1981 through 1983 potentially
                                     ineffective.
                                     The TRT and Region IV reviewed the(scope of the QA Program
                                     audited during 1983. Of approximately 650 safety-related
                                     procedures, 165 (25% overall) were audited. In looking at                4
                                                                                                               ,
                                     quality procedures, TUEC audited 24% of TUGCO's implementing             {
                                    procedures and 39% of Brown & Root procedures for a composite
                                    32% audit rate. Although audits on a sampling basis are
                                                                                                               )

_ _ _ _ _ _ .

                     _ _ _ - . _ _ _ . _ _ - - -----                                                                           _ _ . - _ .
                                                                                                                                               __--_ .,
                                                                                                                                                        i
                       '
                   ;
                   -                                                                                                 Rsvision:               1
                                                                                                                     Pass   2 of 53
                                                                                     RESULTS REP 0hT
                                                                                      ISAP VII.a.4                                                      I
                                                                                         (Cont'd)                                                        l
                                                     1.0 DESCRIPTION OF ISSUE (Cont'd)
                                                                acceptable, there was no evidence that all safety-related
                                                             e areas were audited. The, audits did not encompass _all aspect,s
                                                                of the QA Program in order to determine effectiv,sness.
                                                            , With respect to audit .gorrective
                                                                                          o          action follow-up, it was
                                                                learned that TUEC QA had nbc been verifying that corrective
                                                                action on previous audit findings was accorplish44. For
                                                                example, audit TCP-111, initiated to verify corrective actions
                                                                on previous audit findings, was started prior to the TRT's
                                                                review. TUEC emphasized that TCP-111 be considered a " Punch
                                                                List of Completion Tasks" to verify that corrective action had
                                                                been implemented and not an attempt to rewrite or change
                                                                previous audit findings. Another specific axample of                       -
                                                                                                                                                        ;
                                                                ineffective follow-up action was found that pertained to a                              j
                                                                deficiency identified in audit TCP-23, performed in September,                          t
                                                                1981. Audit TCP-68, conducted in March, 1983, attempted to                              I
                                                               verify corrective action of TCP-23's audit finding, but logs
                                                               that would document the corrective action had been destroyed.
                                                               A new deficiency was written at that time and the response was
                                                               accepted, but the corrective action implementation is still
                                                               unverified.
                                                               Following the Lobbin Report, the NRC performed a CAT
                                                               inspection (IR 445/83-18;446/83-12, dated April 11, 1983) and
                                                               included a review of the TUGCO audit program at the corporate
                                                               offices. The inspection included a review of 18 audits
                                                               (conducted between 1978 and early 1983), auditor
                                                               qualifications, audit planning and scheduling, audit reporting
                                                              and follow-up, and audit program effectiveness. The report
                                                              concluded that weaknesses existed in the established QA audit
                                                              program which included the scheduling and frequency of audits,
                                                           e the.larl of effectiv_e m itoring of the construction program,
                                                              and the lack of effective resolution of certain audit
                                                              findings. The inspection also indicated that the QA Program
                                                              should have been more effective.
                                                              During the TRT's evaluation of allegations and concerns, it
                                                              was observed that the audit function did not always identify
                                                              QA Program breakdowns, or if reported, effective corrective
                                                              action was not instituted to prevent recurrence . . .
                                                              Based on its findings and observations, the TRT concludes that
                                                              the QA audit . . . progran has had and continues to exhibit
                                                              deficiencies. Over a significant period of time, recurring                                i
                                                              deficiencies include: inadequate staffing during peak periods;
                                                              . .
                                                                    . procedural and implementation inadequacies; questionable
                                                                                                                                                        J
                        ,

_ _ - _ _ _ _ - _ _

 ,,                                                       .                        +
                                                                             Revisien:                         1           1
                                                                             Page         3 of 53
                                                                                                                           l
        ~
                                                                                                                           1
                                               RESULTS REPORT
                                                ISAP VII.a.4
                                                    (Cont'd)

,

          1.0 DESCRIPTiONOFISSUE(Cont'd)
                         qualifications and capabilities; incomplete assessment of the
                         QA Program on an annual basis; . . . In summation, the QA/QC
                         Group finds the past audit . . . system less than adequate,
                         and the audit . . . program at the time of the TRT review was
                         questionable."
          2.0 ACTION IDENTIFIED                                                                                            I
      '
                  -
                         Evaluate the TRT findings and qqngider the implications &                                       j
           +             these
                           h    findings _on_qonst_ruction quality. "... examination of the
                         potential ~ safety implications shou 1T include, but not be                                       l
                                                                                                                           l
                         limited to the areas or activities selected by the TRT."                            *
                                                                                                                           ;
                                                                                                                           l
             ;- _" Address the root cause of each finding and its generic
    -
                         implications..."
               >-        " Address the coll _ective significance of these deficiencies..."
               ;--       "_ Propose __an_ action plan...
                         do not occur in the future.,that will ensure that such problems
          3.0 BACKGROUND
                  In addition to the TRT issue and SSER 11, the NRC issued the
                 following notice of, violation (445/.8M 2-03; 446/8411-03) on
             j   February 15, 1985:                                           '
                 " Contrary to requirements, the following examples were identified
                 which demonstrate the failure to establish and implement a
                 comprehensive system of planned and periodic audits of safety-
           Yrelatedactivitiesasrequired,asnotedbelow:
                 -
                        Annual audits were not adequately addressed by the audit
                        implementation procedures.
                        -
                                 TUCCO Procedure DQP-CS-4, Revision 0, dated August 9,
                                 1978, only required two audits of vendors fabricating
                                 reactor coolant pressure boundary components, parts,
                                 and equipment; one audit of vendors fabricating
                                                                                                                         ,
                                 engineered safeguards components, parts, and equipment;
                                 and audits of balance of plant (safety-related) as
                                 required by the quality assurance manager.
                      '%   kO    8      . e      *Y      lA /.
             *
                                                                                     _ _ . _ _ _ _ _ _ _ _ _     . _ _ _

- _ _

                                                                      Revision:    1
                                                                      Pego   4 of 53
                                      RESULTS REPORT                                 l
                                        ISAP VII.a.4
                                          (Cont'd)
                                      .
     3.0 BACKGROUND (Cont'd)
                   --
                          TUGC0 Procedure DQP-CS-4, Revision 2, dated April 16,
                          1981, required only that organizations will be audited
                          on a regularly scheduled basis.
                   --
                          TUGC0 Procedure DQP'-CS-4, Revisions 2 and 10. did not
                          specify auditing fr'equencies for design, procurement,
                          construction, and operations activities.
                   --
                          TUGC0 Procedure DQP'-CS-4, Revision 10, based audit
                          requirements on Regulatory Guide 1.33. Revision 2,
                          February, 1978. This commitment did not fully address
                          the requirements of the Construction Quality Assurance
                          Program.
                   The above procedure and subsequent revisions failed to
                   describe and require annual audits in accordance with
                   commitments and requirements. Earlier audit procedures were
                  not available to determine if they met requirements.
           -
                  Planning and staffing to perform 1983 audits was inadequate to
                  assure that a comprehensive system of audits was established
                  and implemented to verify compliance with all aspects of the
                  Quality Assurance Program, in that, of 656 safety-related
                  procedures (which control safety-related activities) the NRC
                  review revealed that the applicant sampled only 165, or 25
                  percent, during the 1983 audit program. Consequently,
                  significant aspects of the safety-re3ated activities were not
                  adequately audited.
          -
                  The Westinghouse site organization, established in 1977 to
                  perform Nuclear Steam System Supply (NSSS) engineering
                  services, was not audited by TUGC0 during the years of 1977,
                  1978, 1979, 1980, and 1981.
          -
                  Audits of vendors that manufacture or fabricate parts,
                  components, and equipment for reactor coolant presrure
                  boundary and engineered safeguards systems have not been
                  conducted annually dating back to August 9, 1978."
             v ..u
                      Q:  s,, ;7           '
                                               L^f ' r p , ,        o
                                                                                      3
                                                                                      I
                                                    .                                     !
                                                                      Rsvision:     1
                                                                      Page   5 of 53
                                      RESULTS REPORT
                                        ISAP VII.a.4
                                           (Cont'd)
     4.0 CPRT ACTION PLAN
          4.1 Scope and Methodology
                 4.1.1 The scope of this action plan was to evaluate the
                       adequacy of the TUGC0 QA Audit Program from its                   !
                       inception to the present, determine the effect of any
                       identified inadequacies on the Quality Assurance
                       Program and/or the physical plant and to recommend
                       appropriate corrections and/or improvements to the                 )
                                                                                        3
                       current program. This evaluation was accomplished
                       through a review which addressed audit planning and              i
                       scheduling, preparation, performance, reporting,                 j
                       follow-up and closeout and audit personnel                         i
                       qualification.                                             *
                4.1.2 The specific methodology is described below.
                                        i"
                                                                                        .
                       4.1.2.1   (Iira'ifabTp revisions of the,gregra;n and
                              y  ,procedurg.eJertaining to the QA Audit Program
                                   for CPSES were reviewed to identify licensing
                                   commitments and the degree of conformance to
                                   these commitments in the written program.
                                   Included in this review were the CPSES
                                  PSAR/FSAR (Appendixes 1A(N) and 1A(b),
                                  Chapter 17.1, and QA Branch questions and
                                  answers), TUGC0 Corporate Quality Assurance
                                  Program, CPSES Project Quality Assurance Plan
               ,                   (Design and Construction) and Dallas Quality
                                  Procedures / Instructions Manun1.
                  ' N 4.1.2.2     Papnve=: Amen-e= Hen and data generated
                                  during the implementation of the QA audit
                                  program were selected for review on the basis
                                  of concerns identified by the NRC;
                                  significant revisions to commitments, program
                                  description and/or organization; and to
                                  pursue questionable areas identified during
                                  the review. Specific topics addressed
                                  include the following:

!

                                     Audit Planning Criteria,
                                     Published and As-run Schedules,
                                     Audit Plans and Checklists.
                             '
                   ([                 -
                                                                           -
   -
                      4x.sLcc M,ue 2su2-uz %uf.                                       .
         M<1 v. cLc s                        ;(f(               '
                                                                           q        */
 .                                                                                        ,
      -.                                                          *
                                                                                   Rsvision:    1  !
                                                                                   Pego   6 of 53  l

1-

                                                   RESULTS REPORT
                                                    ISAP VII.a.4                                   l
                                                       (Cont'd)                                    l
                                                                                                  l
                 4.0 CPRT ACTION PLAN (Cont'd)
                                                   Audit Reports,
                                                   Audit Deficiency Follow-up,
                                                  Audit Team Members, Including
                                                   Qualifications and Staffing Levels,
                                                  Organizations Performing Audit Activities
                                                   and    *
                                                  Application of Audit Activities to Hardware
                                                  vs. Program / Procedures,                       )i
                                                From this evaluation, conclusions were drawn      j
                                                                                                   l
                                                concerning the adequacy of program assessment
                                                provided by the sudit program. This                l
                                                                                                   l
                                                information was used as input for the              !
                                                recommendations for revisions to the current
                                                program.
                                4.1.2.3         Should audit program deficiencies or
                                               weaknesses related to construction activities
                                               be identified, they will be evaluated to
                                                determine whether action beyond_ that
                                                ap_cgifi.
                                                        e d Tn ISAP VII.c is required to
                                                                                      ~
                                              %identifypotentialareasofconcernregarding
                                           ,/ construction quality. Should such actions be
                                     '.        required, a detailed plan will be developed
                                               and this ISAP revised to describe the
                                                                       -
                                               methodology.f (This conditional step was 3
                                                 etermined~to be not required and therefore
                                               was not performed. Se_eSection6.0forj
                                               discussion.) In addition, shoule any               ,
       *
                                               identifie~ audit program deficiencies apply
                                               also to off-site TUGC0 suppliers, a_pysgram
                                               will be developed to datarmfaa the                  l
                                               [Eceptabil E f the anpplissal quality               i
                                                                                                   1
                                               assurance programs for the applicable
                                               equipment and services during the period in         ;
                                               question. This program, if required, will
                                               utilize external sources of information such
                                               as other utility or architect-engineer
                                               audits, the Coordinated Agency for Supplier
                                               Evaluation and the NRC " White Book." If
                                               suppliers are identified for which the
  . .    .. . ..
                            .           ..
 - _ _ _ - - _ _ _ _ - -    - - - - - - --
                                                                                                                             .
                                                            . . .                      . .~.                   -
                                                                                                                               .
                                                                                                         Esvision:       1
                                                                                                         Page    7 of 53
                                                                                                   RESULTS REPORT
                                                                          ISAP VII.a.4

) (Cont'd) ,

                         4.0 CPRT ACTION PLAN (Cont'd)
                                                                     adequacy of the QA program cannot be
                                                                     determined, 4_ detailed plan vill be develote,d           t
                                                                      to resolve the concern and this ISAP revised             !
                                                       I~4to describe the methodology.                                     ,
                                                                [This conditional step was determined to be'"'
                                                                     not required and therefore was not
                                                                       erformed. See Section 6.0 for discussion.)
                                                                                    __
                                                      4.1.2.4 The .gterent audit erogram. including gudit.or
                                                            y quali,icat.fon requirements, was evaluated
                                                                     against licensing commitments contained in              l
                                                                     the FSAR.                                        *
                                                                                                                               {
                                                                     The qualifications of the current audit staff
                                                                     were evaluated. A determination was made
                                                                     concerning the adequacy of the TUGC0 vritten
                                                                     program and the qualifications of the audit
                                                                     staff for the remaining construction phase of
                                                                     Unit 2 and for the operations phase.
                                                      4.1.2.5        QA/QC Program deviations were identified for
                                                            NN
                                                                     correction land suggested program improvement _p
                                                                                  ~
                                                                     are presented.
                                                     4.1.2.6         Copies of the results report for this ISAP
                                                                    will be provided to TUCCO for thei_r
                                                                   .c.pnsideration in responrHng_en the NWf' Notice
                                                                    .of Violation. (445'/842L-034_446/S411=03) ,
                                                                                                                        .:
                                         4.2 Participants Roles and Responsibilities
                                              4.2.1  TUGC0
                                                     4.2.1.1        Scope
                                                                    TUGC0 assisted in identifying and locating
                                                                    applicable information and documentation to
                                                                    support the Review Team activities.
                                                     4.2.1.2      ' Personnel                '
                                                                   Mr. D. McAfee, Dallas QA Manager, provided
                                                                    coordination between the Review Team and
                                                                    TUCCO QA staff personnel.
     .,
             - _ - _ - - - - - _ - - -
                                                                                                                                                                                              Revision:     1
                                                                                                                                                                                              Page   8 of 53
         :
         '
                                                                                                                      RESULTS REPORT

] ISAP VII.a.4

                                                                                                                         (Cont'd)
                                               4.0 CPRT ACTION PLAN (Cont'd)
                                                                                               4.2.2   ERC
                                                                                                       4.2.2.1     Scope
                                                                                                                   ERC was responsible for reviewing applicable
                                                                                                                   TUGC0 documentation to determine the adequacy                                              i
                                                                                                                   of the program.
                                                                                                       4.2.2.2     Personnel
                                                                                                                   Mr. J. Hansel                                            Review Team Leader
                                                                                                                  Mr. J. Gelzer                                             Issue Coordinator             *
                                                    4.3 Qualifications of Personnel
                                                                                              Participants were qualified to the specific requirements of
                                                                                              the CPRT Program Plan.
                                                    4.4                                       Standards / Acceptance Criteria
                                                                                            Audit activities shall be in compliance with 10CFR50,
                                                                                            Appendix B, Criterion XVIII and the applicable codes and
                                                                                            standards relating to the CPSES PSAR/FSAR sections pertaining
                                                                                              to the QA audit program as interpreted in Section 7.1 of the
                                                                                           NRC Standard Review Plan (NUREG 0800). Specifically such
                                                                               , activities are in compliance if (quoting from NUREG 0800):
                                                                                          -
                                                                                                     o" Audits to assure that procedures and activities comply
                                                                                                      with the overall QA program g ee performed by:
                                                                 y
                                                                                                             --
                                                                                                                  The QA_ organization to provide a
                                                                                                L
                                                                       '
                                                 *
                                                                                                                  comprehensive 4M enendent verification and
           -
                                                 N M s.' 0 -       1                                  W. -        evaluation of quality-related procedures and
                                                                                                                  activities.
                                                                                                             --
                                                                                                                  The applicant to verify and evaluate the QA                                                  l
                                                                                                                                                                                                               '
                                                                                                                  programs, procedures, and activities of
                                                                                                                  suppliers.                                                                                   i
                                                                                                                                                                                                               l
                                                                                        -
                                                                                                      An audit plan is prepared identifying audits to be
                                                                                                      gerformed, th'eir fraq Q s, and schedules. Audits
                                                                                                           -
                                                                                                      should be regularly scheduled based upon tihe status and                                                 ,
                                                                                                                                                                                                               '
                                                                                                      safety importance of the activities being performed and
                                                                                                      are initiated early enough to assure effective QA
                                                                                                      during design, procurement, manufacturing,
                                                                                                      construction, installation, inspection, and testing.
 _ _ _ .                               _ - - _       -- - - - . - - - - - - - - - - - - - - -                                 - -   - - - - - - - - - - - - - - - - - - - - - - - - - - - - -

F

 .
                                                                                         l
                                                                                        4
      -#;                                                             Ravision:     1
                                                                      Page    9 of 53
                                       RESULTS REPORT
                                                                                        l
                                                                                        l
                                        ISAP VII.a.4                                    '
                                          (Cont'd)
   4.0 CPRT ACTION PLAN (Cont'd)
                  e
               -
                       Audits include an Q G h evalus h of quality-
                       related practices, procedures, instructions; activities
                       and items; and review of documents and records to
                                                                                      (
                       ensure that the QA program is effective end properly
                       implemented.                                                     )
                                              .
               -
                       Provisions are   g established requiring that audits be
                   g performed in.g1})arbsg where the requirements of '                 I
                       Appendix B to 10CTR Part 50 are applicable. Areas
                       which are often neglected but should be included are
                       activities associated with:
                            --
                                    Indoctrination and training programs.         '
                            --
                                    Interface control among the applicant and the
                                   principal contractors.
                           --
                                   Corrective action, calibration, and non-
                                   conformance control systems.
                                                                                      1
                           --
                                  SAR commitments,
                                                                                      i
             -
                 33 Audit data are_.analyted and the resulting repongs                I
                                                                                      -
                      indicating any quality problems and the effectiveness
                      of the QA program, including the need for repudit of
                      deficient areas, are reported-ta --nagtEAn; ter reviev          ;
          ,
                      and asseasment.
                                                                                      i
            -
                  e Audits are performed in accordance with pre-established
                     written procedures or t hecklists,and conducted by
                      tIAined personnel having no direct responsibilities in
                     the areas being audited."
       4.5 Decision Criteria
            Decisions concerning the number of individual reports,
            records and files to be reviewed, and the level of detail to              ,
                                                                                      !
            which they were reviewed, were based on,the quantity and
            quality of data obtained as implementation of the ISAP
            proceeded. Sufficient data were evaluated to suonore the                  ,
                                                                                      '
            concl1.is_ione reached ~ac to the 4EAmptability i the Drear _am
            agains,t, the acceptanc,e_ criteria contained _ inJragraph_4.4.,
                                  ,
                                                  ,                         3         j
                                                                                      L
                                                                                      1
                                                                                      !
                                                                                      i
                                                                                      1
                                                                                      l
                                                                                      ;
                                                                                        0
                                                                                      1
                                                                                      j
                                                                                      i
                                                                                      i

'

                                                                                      i
                                                                                      '
                                                                                      t
                                                                                      1
                                                                       _ _ _ _ _ _ _ _ _ - - _ - - - - - - - - -
                                                                                                                                                   -
     'N
                                                                                                 Revision:                         1
                                                                                                 Page 10 at $3

i i

                                         RESULTS REPORT -
                                                                                                                                                      !
                                          ISAP VII.a.4
                                            (Cont'd)
    5.0
             IMPLEMENTATION OF ACTION PLAN AND DISCUSSION OF RESU
             The  TUGC0
             inception     QA Audit Program adequacy was evaluated from its
                        to the_presert.
             and the February 15, 1983 The specific TRT findings in the SSER 11
             this section.                  Notice of Violation are eddressed in
            The implementation of this action plan was accomplished in two
            phases:
           Qualificat.1_on (Section 5.2).6.udit Program.(Section 5.1) and M t Personn
                                               These sections are~sub-divided as
            follows to address the various elements of the Audit Program and
            the Audit Personnel Qualification Program:                                                                                          r
           -
                  Section 5.1        Audit Program                                                                                              :
                                                                                                                                                 .
                                                                                                                               .
                                     5.1.1     Organization                                                                                     ,
                                    5.1.2      Staffing                                                                                        s
                                    5.1.3      Audit Planning and Schedulin                                                                   h,
                                    5.1.4     ic d () Q t-o f2.2 r-
                                               A6ditPreparation(
                                                                                                                             .
                                                                                                                                              i
                                    5.1.5     Audit Performance
                                    5.1.6     Audit Reporting
                                            C.A                                                                                  (           e
                                   5.1.7     AFollow-up and Closecut                                                                        M
                                                                                                                                            ,e
        -
                 Section 5.2
                                   Audit Personnel Qualification                                                                           :
                                   5.2.1      Qualification Requirements                                                                   '
                                   5.2.2      Training / Qualification Records                                                               ',
       Implementation consisted of a review of program definition and
       implementation documents, a review of records and other related                                                                    .,          i
       documents and interviews with personnel involved in the program h                                                 .
                                                                                                                                          g,
      The historical PSAR/FSAR was reviewed to identify the standards and
      audit program and qualification of nudit personnel. regulato
      determined that                                                 This review
                                                                                                                                                        \
        p- The basis for the audit program from December 1973 (Amendment                                                                                t
         .
               #2  of3.._Revimien
               (Draft  the PSAR)   G. through
                                       May        the present is ANSI N45.2.19-19]J                                                                     !
               on Quality Assurance Requirements During Design and2 1973) as                                                                            i
                                                                                                                                                        1
                                                                                                                                                        l
                                 <            **
                                                   \qj       )                                               **%
 ..                                                                                                                                                     ,
                                                                                                                 _ _ - _   _        -----            L
      W[
       *
           7                                                                 Rsvicion:    1
                                                                             Pass 11 of 53
                                                RESULTS REPORT
                                                 ISAP VII.a.4                                                 l
                                                   (Cont'd)                                                  !
           5.0 IMPLEMENTATION OF ACTION PLAN AND DISCUSSION OF RESULTS (Cont'd)
                          Procurement Phase of Nuclear Power Plants" (Gray Book), dated
                          June 7, 1973, and as amplified by the " Regulatory Staff                          )
                                                                                                            '
                          Comments and Supplementary Guidance on N45.2 Standards"
                          contained in Section D.2.b of the Gray Book.
                                                                                            .
                          The only exception to this commitment is that since August                        j
                       i 1984 (Amendment f52 of the FSAR) TUGCO elected to adopt, as an                     i
                          alternative for scheduling external audits, the guidance
                          provided by Regulatory Guide 1.144, Revision 1 September                          l
                          1980, Paragraph C.3(b).                                                           i
                    -lThebasisforauditpersonnelqualificationswasANSI
                   g -N45.2.12-1973 until June 1, 1983, which was the effective date
                   .     .of TUGC0 commitment to Regulatory Guide 1.146, August 1980,
                         jvhich endorses ANSI N45.2.23-1978.
                 The documents and record files reviewed included the following:
                    -     CPSES PSAR
                                         #
                    -     CPSES FSAR,                                                         p   h
             *
                    -
                          TUGC0 Corporate Quality essurance Program,                            -
                                                                                         P
    -               -
                          CPSES Project Quality Assurance f                 Plan for Design and
         ,                Construction.
   G y            _
                          Dallas Quality Procedures / Instructions Manual,
              ~
                    -
                          Audit Rt. port Files,
                     -    Audit Report Notes Files,
                     -    Equipment Release Files (Vendor Compliance Release
                          Inspections),
                     -    Vendor Correspondence Files,
                     -
                          Vendor Reevaluation Files.
                     -
                          Vendor Performance Evaluation Files and
                     -    Audit Personnel Training / Qualification Files.
                      UcA .t Q                       k
  %/cMl                                           fl3       W y da

_.

                                                                                  ____                . . .
                                                               __.
                                                                      _ _ _ - - - - _ _ - - _ _ _ _ - _ - - - - - - - - - - - - - -
                :\
                                                                                                                            Esvision:    1
                                                                                                                            Pasa 12 of 53
                                                     RESULTS REPORT
                                                      ISAP VII.a.4
                                                        (Cont'd)
                                                                                                                                            1
                  5.0 IMPLEMENTATION OF ACTION PLAN AND DISCUSSION OF RESULTS (Cont'd)
                        Findings pertinent to each topic w1il be discussed within the
                        appropriate sub-section. At the and of each sub-section a
                % statement regarding possible adme effects of the findings on the
                        auditprogramwillbemade.j5hereisnodirectconnectionbetween
                 p     fheauditprogramandthequalityofinstalledhardware;therefore,
                        no conclusions regarding the st'atus of the physical plant have been/
                       '*" "' A
                                                   ,
                                                      L,?                                                                                  -)
                                                                                                                       f
               N Recommended corrective action for QA/QC Program Deviations
                        identified in the body of this report are summarized in section                                                     j

f 5.3, " Evaluation of Findings".  !

                        5.1 Audit Program                                                                                              *
                              Documents and files were reviewed to evaluate the adequacy and
                              effectiveness of the TUGC0 audit program including
                              organization, staffing, planning and scheduling, preparation,
                              performance, reporting and deficiency follow-up and closecut.
                              Initially. 69 audit files were reviewed to assist in reaching
                     (        a conclusion pertaining to the performance of the TUGCO QA
                                                                                                                                            3
                              audit personnel. Internal audits were selected to provide
                       N '
                              da    fra= *ka 4ncepedan af the      nroer== to the cresent, as well
                                                                                                                                            i
                                                                                                                                            I
                              as a sampling of the various disciplines and major topics of                                                  j
                              interest such as document control and                                                                         l
                              nonconformance/ corrective action systems. Vendor audits were                                                 I
                              selected primarily to review TUGC0 activities pertaining to
                             prime contractors (B&R, ]{, G&ll) as well as on-site
                             contractors. This review was not intanded to be a
                             comprehensive evaluation of the scope, content, conclusions,
                             etc., of the audit; rather, it was intended ec, determine if
                              the required steps in the audit process had been properly
                             performed.    The review addressed the following items:
                             -
                                      Audit Preparation - To determine if the audit scope was
                                      documented, if an audit team leader had been
                                      designated, if checklists had been prepared and if they
                                      appeared to contain an appropriate level of detail.
                             -
                                      Audit Performance - To identify the audit team, to
                                      determine if pre-audit and post-audit conferences were
                                      conducted, if it appeared that objective evidence had
                                      been examined and if audit personnel appeared to
                                      evaluate program elements to some depth.
 _ _ - _ - - -

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

                ,                            .     .,...          . - - .     ..               - . . . - . . -    ~ . . .
                                                                                                                                Rsvision:     1 ;
                                                                                                                                Pegs 13 of 53
                                                                                                                                                !
                                                                                        RESULTS REPORT
                                                                                         ISAP VII.a.4                                           '
                                                                                                                                                 .
                                                                                              (Cont'd)                                          I
                                                                                                                                                i
                                                                                                                                                !
                                               5.0 IMPLEMENTATION OF ACTION PLAN AND DISCUSSION OF RESULTS (Cont'd)                             l
                                                             -
                                                                        Audit Reporting - To determine if audit reports had                     )
                                                                        been prepared that veuld provide appropriate management                 1
                                                                        with sufficient information concerning the adequacy and                 I
                                                                        effectiveness of the audited QA program elements.                        '
                                                             -
                                                                       Audit Deficiency Follow-up and Closecut - To determine
                                                                        if responses to audit deficiencies were evaluated, if
                                                  p                                       ~__
                                                                        an, acceptable course and schedule for corrective action
                                                  a                     had bien agreed on knd if implementation of corrective
                                                                    -_sction was verified.                         #          .
                                                                             ---------..-...     .. ,
                                                                                                                /         Y
                                                     . , -   Later, as the result oF i
                                                            Team Issue Coordinators,           u gn u ic edfromoth)erQA/QCReview
                                        7                                                        nin (9 audit files' vere reviewed in
                                                             depth in an attempt to reach
                                                                                                                                                ,
                                                                                                               onely ton'as to why particular
                                                                                                                                                '
                                           ,
                                                            programmatic problem areas (e.g., non-conformance control and
                                                             corrective action systems, inspector training, qualification,
                                                             and certification programs), which were identified by External                     l
                                                            Sources had not been identified and corrected through
                                                             implementation of the TUGCO QA audit program. The review of
                                                             these nine (9) files included a re-review of four (4) o f __t h,e
                                                                                                                           _
                                                            sixty-nine (69) previously revieiTed and were selected on the                       ;
                                                            basis of their titles ~Tn the audit intfex as being the total                       j
                                                            available that addressed these subjects. This review included
                                                                                                       '
                                                             the following activities
      .
                                                           -
                                                                       A detailed review of the audit checklist for content
                                                       ,
                                                                       and to attempt to determine if the checklist was                         3
                                                                                                                                                l
                                                                       developed from requirements documents or from the                        I
                                                                       existing written program,                                                '
                                                           -
                                                                       A review of auditor field notes to attempt to determine
                                                                       the depth of examination, sample size (when
                                                                       applicable), type of objective evidence evaluated,
                                                                       whether program documents were evaluated against
                                                                       requirements, and if apparent deviations had been
                                                                       flagged to be included in the audit report.
                                                           -
                                                                       A review of the audit report to determine if the
                                                                       findings documented in the auditor field notes were
                                                                       accurately reflected in the report and
                                                           -
                                                                       A review of documentation subsequent to the audit
                                                                       report in an attempt to determine the adequacy of
                                                                       auditor evaluation of responses to audit deficiencies,                    !
                                                                       dialogue leading to sgreement on proposed corrective                     I
                                                                       action and verification of completion of corrective                       l
                                                                      action.
                                                                                                                                                !
                                               M)
                                                           s a w;w.                                                                        *r
                                                           .
                         %A & ,                                                                                                  -
                                                                                                                                       9y,'
              .
                                                                                                                                1

i

                                                                                                 .
 W>d
          "-
                                                                             Revision:                                       1
                                                                             Page 14 of 53
                                                                                                                                 i
                                               RESULTS REPORT
                                                ISAP VII.a.4
                                                  (Cont'd)
             5.0 IMPLEMENTATION OF N, TION PLAN AND DISCUSSION OF RESULTS (Cont'd)
                                                                                                                                i
                        In response to the NRC Notice of Violation (445/8432;                                                   {
                        446/8411), the audit files representing the 29 internal audits
 '                      of the design / construction phase performed during 1983 were                                          L
                        reviewed to identify the major activities, organizations, and
      y C{              Appendix B criteria which were addressed, to enable an
                        evaluation of the audit program coverage for the year. These
         p              19 files included div;eJwhich had been previously reviewed.                                            !
                                                                                                                               i
       b                The Design Adequacy Review Team provided a list of design-
     g C-{~
         Du
                        specifications which they plan to evaluate for design adequacy
                        and Architect-Engineer / Vendor interface. From the vendors
                        identified, twelve were selected for this review based on
                        considerations such as frequency of audits performed.                                              *
                        awareness of problems with a particular vendor, apparent time
                        frame of vendor activity and type of product. Additional
                        rationale for selection is contained in the working files for
                        this ISAP.
                        A review was performed of TUGC0 QA Audit and Vendor Ccapliance
                        files (audit reports, audit notes, equipment releases, vendor
                        correspondence, vender performance evaluation and vendor                                               !
                        reevaluation files) for chese twelve vendors to evaluate the
                        degree of awareness by TUGC0 QA of the adequacy,
                        effectiveness and status of the QA programs of their vendors                                           ;
                        despite the fact that annual vendor audits were not scheduled.
                                                _
                        The results of these reviews are summarized in the following
                        paragraphs.
                        5.1.1    Organization
                                 ANSI N45.2.12-1973, Section 1.4, " Organization",                                             J
                                 states, "The organizational structure, functional                                             i
                                 responsibilities, levels of authority, and lines of
                                 internal and external communication for management
                                 direction of audits of the quality assurance program
                                 shall be documented".
                                 Although Section 17.1.18 (Audits) of the CPSES FSAR
                                 states that TUGC0 will perform audits, nowhere in
                                 Section 17.1.1 (Organization) is the responsibility for
                                 the audit program delineated.
                                                                                                                                 l
                                                                                                                                 l
                      ^       l lb 1        SS
                                       }L.           Ot.1...c.h GL.AQ_        Gv                                       %g ,
                                  '1El.h. (.{. k , ,   '
   .
                                                                                 _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ - - - -

^

                                                                                                               1
        . . .
                                                                                                               !
                                                                                                               !
                                                                                                Revision:    1 l
                                                                                                Page 15 of $3  l
                                                                  RESULTS REPORT
                                                                    ISAP VII.a.4                               1
                                                                                                               l
                                                                      (Cont'd)
                                         .
                         ,
                                   5.0 IMPLEMENTATION OF ACTION PLAN AND DISCUSSION OF RESULTS (Cont'd)'
                                                                                                               I
                    
                                                    Within section 17.1.1.1, the list of principal duties
                  -
                                                    and responsibilities of the Director, Quality Assurance
                                                    includes " monitoring and surveillance of the quality
                                 ,
                                                    assurance activities conducted by TUGCO, prime
       .
                                                    contractors, sub-contractors and vendors." However -
                                                    there is no specific mention (nor has there bet.n since
                                                    the original docketing of the PSAR) of responsibility
                                                    for the audit program.                                     ;
                                                    During the review of the QA program and records, it was
                                                    determined that the QA organization was in fact
                                                    responsible for th6 audit program and that TUCCO
                                                    management recognized and supported this               *
                                                                                                               4
                                                    responsibility.
                                                    It was noted that on December 30, 1985 TUGC0 QA            ]
                                                    initiated a reque,st for an FSAR revision to include the   '
                                                    audit program among the principal duties and
                                                    responsibilities of the Director Quality Assurance.
                                                    The TUGC0 QA Audit Program is administered and             4
                                                    implemented by the Dallas-based Quality Assurance          f
                                                    organization. The implementing procedures for the          j
                                                    audit program are contained in the Dallas Quality          i
                                                    Procedures / Instructions Manual. Since 1982, procedures
                                                    in this manual have assigned responsibilities for
                                                    execution of portions of the QA audit program to the       l
                                                    position of Supervisor, QA Audits. This position was       '
                                                    not officially recognized in published organizational
                                                    descriptions and organization charts until the issue of
                                                    procedure DQP-QA-16, " Dallas Quality Assurance
                                                    Organization" in September 1985. During the review of
                                                    the audit program procedures and records, it was
                                                    determined that the position was filled during this
                                                    period and was recognized and supported by QA
                                                    management.                                                l
                                                    Although ANSI N45.2.12-1973 and the accompanying staff     I
                                                    comments and guidance pertain primarily to the auditing
                                                 ( organization, the requirements of the ANSI standard and
                                                     the associated supplementary guidance listed below
                                                    apply as well to the audited organization as an
                                                                                                               1

~ . . . . . . - _ _ _ .

-

                               .                                            -
                                                                     R3 vision:   1
                                                                     Page 16 of 53
                                     RESULTS REPORT
                                       ISAP VII.a.4
                                         (Cont'd)
                                                                                      l
                                                                                      I
       5.0 IMPLEMENTATION OF ACTION PLAN AND DISCUSSION OF RESULTS (Cont'd)
     ,                  integral part of the overall audit program. Therefore,
                        these requirements should be included in QA program           1
                       documents applicable to the audited organization as
 .
                       well as the auditing organization (e.g., Corporate QA
                       Program, Project QA Plan) to ensure compliance by all
                        responsible organizations.                                  !
                            --
                                  An effective audit system shall include
                                  provisions for reasonable and timely access
                                  of audit personnel to facilities, documents,
                                  and personnel necessary in the planning and
                                  performance of the audits.
                                                                                .
                            -
                                  At the post audit conference an effort shall
                                  be made to establish a tentative course and
                                  schedule of corrective action for non-
                                  conformances. Where it is not possible to
                                  provide such information at the post audit
                                  conference, the managsment of the audited
                                  organization should commit to a specific date
                                  for the determination of the course of
                                  corrective action and the schedule for            !
                                  implementation.                                   '
                            -
                                  Management of the audited organization or
                                  activity shall review and investigate the
                                  audit ~ findings to determine and schedule
                                  appropriate corrective action. They shall
                                  respond to the report in writing, within 30
                                  days after receipt.
                       The review of these files indicated that these *
                       requirements had been met in that:
                            -
                                  There was no evidence to indicate that audit
                                  personnel had been denied reasonable an!
                                  timely access as required to perform their
                                  duties.
                            -
                                  There was no evidence to indicate that
                                  problems had been encountered pertaining to         {
                                  the establishment of the tantative course and
                                  schedule of corrective actions and schedule
                                  for implementation.
                                                                                      )
   ,
 - ___ - _ _     - . _ - -         --                                                                                        ~
        -
                                                                                                                               i
                                                                                                    Ravision:    1             !
                                                                                                    Paga 17 of 53
                                                                                                                               l
                                                                                                                               )
                                                                     RESULTS REPORT
                                                                      ISAP VII.a.4
                                                                           (Cont'd)
                           5.0 IMPLEMENTATION OF ACTION PLAN AND DISCUSSION OF RESULTS (Cont'd)
                                                                                                                               I
                                                            -
                                                                   There was evidence that management of the
                                                                   audited organization reviewed and
                                                                   investigated audit findings and determined
                                                                  and scheduled corrective action. Written
                                                                  responses were received by the auditing                      l
                                                                  organization within a reasonable time of the                 !
                                                                  requested date (on time, or v1 thin one week)
                                                                  in approximately eighty (80) percent of the                  1
                                                                  files reviewed. This ratio is not unusual in
                                                                  the experience of the RTL.
                                                       The first two of these requirements listed above er.e
                                                      nqt,ag ressed in.the._TU,_GC0 QA pronram documents. T_he *
                                                       third is addressed to_the_ audited organization only    *
                                                       through,the transmittal-of-ther-au%
                                                      Conclusions
                                                  '
                                                      It is concluded that the failure to formally document
                                             j
                                                '

l

                                                      the responsibility for the audit program in the
                                                      PSAR/FSAR resulted in no adverse effect on the audit
                                             (        program because sub-tier program documents were written
                                              ',      and management acted as if the responsibility had been
                                                      formally documented.                                                      s
                                                                                                                                l
                                                                                                                                l
               V                                      It is concluded that the failure to formally describe
                             '
                                                      the position and responsibilities of the Supervisor, QA
             -
                                      '
                                                      Audits, in organization descriptions resulted in no
                                                      adverse effect on the audit progrant because audit
                     ~ j/                             program documents were written and QA management acted
                               ,              !       as if the position had been formally documented.
                                           '          It is concluded that the failure to include the
                                                     responsibilities of the audited organization in                            )
                                        ,'           appropriate program documents resulted in no adverse                       l
                                                     effect on the audit program because review of the audit
                                       .(            files revealed that the requirements had been met by
                                                   -
                                                     the audited organization.
                                          5.1.2 Staffing
                                                                                                                                i
                                                     The adequacy of the TUGC0 audit staff (number and
                                                     qualifications) has been questioned by the NRC. When                      ;
                                                     considering the adequacy of an audit staff, one must
                                                     include not only personnel assigned full time to the
                                                     audit function, but also the qualified personnel
                                                     available on call to the audit organization.
                                                                         .
       F
                                                                                                                   _ ._..___
 - _ - _ _ _ - _
                                                                          
                                                                            '                                                              Revision:    1
                                                                                                                                           Page 18 of 53
                                                                                   ~
                                                                                                            RESULTS REPORT

i '

                                                                                                                                                           l
                                                                                                             ISAP VII.a.4
                                                                                                               (Cont'd)
                                                                                                                                                           i
                                                                                                                                                           l
                                                                                                                                                           i
                                                                              5.0 . IMPLEMENTATION OF ACTION PLAN AND DISCUSSION OF RESULTS (Cont'd)       I
                                                                                               The applicable etandards and regulations contain no
                                                                                               requirement for at audit staff, per se; only that
                                                                                              management shall establish an audit system that
                                                                                               includes maupower, furding and facilities to implement
                                                                                               the system. This allows management maximum flexibility
                                                                                               to allocate resources, even to the extreme of assigning
                                                                                              a fv11-time audit administrator responsible for
                                                                                              planning and scheduling of audits and tracking open
                                                                                              items, who has free access to qualified audit personnel
                                                                                              as required for individual audit preparation, conduct,
                                                                                              reporting and follow-up, but who has no permanently          l
                                                                                              assigned audit staff.                                        '
                                                                                              Therefore, judgement on the adequacy of the size of an
                                                                                              audit staff must be based on factors such as assigned
                                                                                              duties and responsibilities, outside resources
                                                                                                                                                           )
                                                                                              available on a timely basis and the ability to               !
                                                                                             accomplish the scheduled audit activities (providing          j
                                                                                              schedules are not dictated by manpower availability).       l
                                                                                             The years 1981 - 1982 were cited by the TRT as a period
                                                                                             when the numbers and qualifications of the TUGC0 audit       j
                                                                                             staff were questionable. In addition, Region IV
                                                                                                                                                          i
                                                                                             Inspection Report 445/84-32 cited 1983 as a period when      i
                                                                                             the audit staff was inadequate. A review was performed       I
                                                                                             of training and qualification files for TUCCO Quality        '
                                                                                             Acsurance personnel (designated audit staff and others)
                                                                                             who participated in the audit program as Lead Auditors
                                                                                             or auditors during these periods. The following
                                                                                             tabulation summarizes the characteristics of these
                                                                                             personnel.                                                   i
                                                                                                                                                           l
                                                                                                                                                           l
                                                                                                                                                           1
                                                                                                                                                           l
                                                                                                                                                           l
                                                                                                                                                           l
                 ..
                    . _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ - - - - _ - - - - -
   _ _ _ _    _       _
                                                                                                                       I
         ,,                                                                   .                     .
                                                                                               Revision:       1
                                                                                               Pags 19 of 53
                                                                RESULTS REPOR_T
                                                                 ISAP VII.a.4
                                                                     (Cont'd)
                              5.0 IMPLEMENTATION OF ACTION PLAN AND DISCUSSION OF RESULTS (Cont'd)                   i
                                                                                                                    /*  ,
                                                                                   1981      1982         1983         !
                                                  Designated Audit Staff
                                                     (Including Supervisor)
                                                                                     5        11
                                                                                               N
                                                                                                           14    (.
                                                                                                                       !
                                                                                                                       ,
                                                  Total Participants                          20
                                   g'             Qualified Lead Auditors            0        16           18
                                                  Education *
                                                    Masters Degree                                                     l
                                                                                     0         1            1          !
                               /                    Bachelors (Engineering)          7         6            8
                                                    Bachelors (Other)                2         2            5          l
                              ?
                                                    Associates (Technical)           0         1            2-         !
                            l                       Associates (Other)               0         1            1
                            !                       Some College                     1         2            3
                                                  NOTE:       Four of the engineers rare registered

i Professional Engineers, and one was a  :

                                                              certified Quality Engineer. One holder of an             l
                                                              Industrial Management degree was also a
                                                              certified Quality Engineer.
                                                  Since the formation of a designated audit staff in
                                                   1979, through the present, it has been the practice to
                                                  supplement the staff as needed with other qualified
                                                  members of the QA organization to function as auditors
                                                  and lead auditors. It is therefore concluded that,
                                                 based on the evaluation of the years 1981 through 1983                i
                    .
                                                  and the other files reviewed, the formally designated
                                              ),auditstaffcouldbeconsidereddeficientinnumbers
                                                  and technical qualifications, but h the effective                    i
                                        -
                                           sj gudit staff of Qualit;r Assurance eersonne'l was, and
                          1
                                                                            ,
                          -
                                             f 3 1nues to.be,.adequtta..ip both number an~'d          ~
                                                  qualifications.
                Iq                          !
                        ,
                                            .    .
                                                  Conclusions
                  /
                      w         -
                                                  Based on the reviews performed, it is concluded that
                                                  individuals did not audit activities which they were
            -
                                                 responsible for performing.
                                                                                '
                                                                                                                       t
                                                 It is concluded that audit staffing was adequate to
        -
                                                 implement the audit program and schedules during the
                                                 periods of interest.
                                      ,
                            *
                                    Personnel holding multiple degrees are listed only once, in the
                                    highese applicable category.
 4
                                                                                                                  0
       -
                                                                                                       .-
                                                                                                                                            _ - - _ - - _
          -
 .                                                                       r
                                                                                                                               Ravision:   1
                                                                                                                               Page 20 of 53                 '
                                                                                                RESULTS REPORT                                              j
                                                                                                                                                          4
                                                                                                 ISAP VII.a.4
                                                                                                   (Cont'd)
                                                                                                                                                            4
                                                                                                                                                            '1
                                                 '
                                                        5.0 IMPLDENTATION OF ACTION PLAN AND DISCUSSION OF RESULTS (Cont'd)
                                                                           5.1.3 Audit Planning and Scheduling
                                                                                  This section addresses the following topics:
                                                                                  -
                                                                                     Scheduling requirements,
                                                                                  -
                                                                                     Vendor audit scheduling and performance.
                                                                                  -
                                                                                     NRC Notice of Violation pertaining to Westinghouse-
                                                                                     site organization.
                                                                                  -
                                                                                     Planning and scheduling process for internal audits
                                                                                     and                                                 *
                                                                                  -
                                                                                     NRC Notice of Violation pertaining to 1983 audit
                                                                                     program coverage.
                                                                                  The requirements of ANSI N45.2.12-1973 pertaining to                    '
                                                                                  audit planning and scheduling can be paraphrased by
                                                                                  saying that audits are performed by or for an
                                                                                  organization participating in activities affecting
                                                                                  quality and that elements of the Quality Assurance
                                                                                  program affecting these activities shall be audited at
                                                                                  least annually or at least once within tha life of the
                                                                                  activity, whichever is shorter, Within this context,
                                                                                  the following terms are defined:
                                                                                      -
                                                                                             Organization - Plant owner, contractor, etc.,
                                                                                      -
                                                                                            Activities - As listed in the last sentence
                                                                                             of ANSI N45.2.12-1973, Paragraph 1.2. and
                                                                                      -
                                                                                            Elements - The 18 criteria of 10CFR50
                                                                                            Appendix B.
                                                                                 The TUGC0 written program (i.e., PSAR/FSAR, QA Program.
                                                                                 QA Plan and implementing procedures) reflected the
                                                                                 requirement for scheduling intarnal audits on an annual
                                                                                 basis only from August 1973 through April 1981. The
                                                                                 annual requirement was not reintroduced until November
                                                                                 1984. Additionally, the program eve has required
                                                                                 that vendors be audited on an annua asis.
                                                                                                                                                               l
                                                                                                                                                               l
    .

, _ _ , , _ . , _ _ , , , _ , _ _ , , , _ _ _ , - - - - - - - - - - -

                                                                                       1

_ . .

                                                                                       j
                                                                    Revision:     1
                                                                    Pags 21 of 53
   .
                                      RESULTS REPORT
                                       ISAP VII.s.4
                                          (Cont'd)
                                                                                       I
                                                                                       i
     5.0 IMPLEMENTATION OF ACTION PLAN AND DISCUSSION OF RESULTS (Cont'd)             !
                                                                                       l
                      Not until the issuance of DQP-CS-4, Revision.11, in             ]
                      November 1984, was the TUG':0 written program in full
      ,               compliance with spplicable planning and scheduling
                      commitments. This revision reflected the options
                      permitted by Regulatory Guide 1.144 to audit vendors on
                      a triennial basis, provided annual assessments are
                      performed. This revision also contained the
                      requirement to audit other applicable organizatfuns
                      (e.g., TUGCO, site contractors) at least annually.
             *      I
                      Titis lack of requirements in the written program for         '
                    -scheduling annual internal audit and supplier audits       ,
                    Constituted a noncompliance with licensing commitments y
                                                                                      l
                      Vendor Audit Program
                      In evaluating the effect of this noncompliance on the
 *
                      vendor audit program, the following evolution of TUGC0
                      QA audit program responsibilities was identified:
                           -
                                   From.1973 to 1977, 'TJGC0 was responsible for
                                   auditing only the major contractors: Gibbs &
                                   Hill (G&H), Brown & Root (B&R), and
                                   Westinghouse (}{). During this same time
                                   period G6H, B&R, and W had prime
                                   responsibility for vender preaward surveys,
                                   audits, and source inspections. However,
                                   TUGC0 did participate in these activities.
                           -       Early in 1978, although W retained its
                                   original role concerning NSSS vendors and E&R
     Y4        y                   retained full responsibility for its ASME
                                   suppliers, TUGC0 assumed more direct control        )
                        g'
   gb /d .                         in_theothervendorcreswardsurvey, audit]
                                   and source incpection activities previously
                                   delegated to G&H and B&R. This included
                                   balance of plant vendors (safety-related and
                                   non-safety-related), on-site contractors and
                                   non-ASME material suppliers. Additional
                                   control was exercised through increased
                                    involvement in the scheduling process and the
                                   conduct of more joint audits.
                                                                                       l
                                                                                       i
                                                                                       !
                                ..
                                                                           ___                __ . _ _ _ _ _ _ _ _ - _ -
     .
                                       .                 .    ...
                                                                                                                                    >
                                                                                      Revision:                            1
                                                                                      Page 22 of 53

,

                                             RESULTS REPORT
                                               ISAP VII.a.4                                                                         s
                                                   (Cont'd)                                                                      '
 ~
                                                                                                                               ?    j
         5.0 IMPLEMENTATION OF ACTION PLAN AND DISCUSSION OF RESULTS (Cont'd)
   1
       ,                             -
                                           Early in 1981, TUCCO began performing                                             ]  F  ,
                                           vendor-related activities without G&H                                           (        l
                 g,h ./ D o c a            involvement. Also during 1981, TUGC0 assumed                                             j
                                           full responsibility for non-ASME material                                                l
                                           suppliers from B&R. This level of                                                        I
                                           responsibility has continued to the present.
                                Based on the review'of the audit inder, it was
                                determined that TUGC0 QA performed audits of the major                                             {
                                contractors during the period from 1973 to 1977 as                                                  !
                                follows:
                                                                                                                                   j
                                                , 1973      1974     1975        1976        1977
                                                                                                                         *
                           -    G6H                                                                                                 1
                                                  N/A          4        1           1               2
                            'W                       1        0         1           6               4
                                                                                                                                    l
                                                                                                                                    I
                                B&R (Houston) N/A              1       0            2                1
                                B&R (Site)        N/A      N/A         2                                                            {
                                                                                    1                1
                                                                                                                                   j
                                                                                                                                    !
                                The PSAR was docketed in 1973 and the Construction                                                 j
                               Permit was issued in December 1974.. The tabulation                                                  1
                                indicates thte with two exceptions, required audits
                               were performed during this period in accordance with
                                the annual requirements of ANSI M45.2.12-1973.
                               From 1978 (when TUGC0 became more involved in the
                               administration of the audit program) through 1984, the                                               ,
                                                                                                                                    l
                               performance of contractor / vendor audits was not in                                                 '
                               accordance with                                         _
                               of fre g y.~ ja plicable    requirements
                                                  Foi example,                 for time
                                                                  for 11ve of'the         1 E_jsp
                                                                                       twelve
                               vendors reviewed, the initial audit was performed after
                               the first release inspection (in three cases more than                                               j
                                                                                                                                    j
                               a year afterward) which was not in compliance with the                                               i
                              ANSI requirement that auditing be initiated as early in                                               I
                               the life of the activity as practicable to assure
                             , timely implementation of quality assurance
                               requirements.
                        (j fqur months. to six years. AlaRassLbetween audits ofI_t was
                         ;     these vendors. No s                                         _
                         ,
                              annual basis througliingle      vendor
                                                       out this   tia was  audited
                                                                       tperiod,          on_a3
                                                                                     which
                              constituted a violation of the ANSI requirement for
                         [annualaudits.
                              The foregoing raises a concern that the TUCCO QA
                              organization was not cognizant of the effectiveness of
                              the vendor's QA programs. In assessing this concern,
                              the following was disclosed:
                                 _

_ _ -_-__- ._

                  ...
                                                                                                                     i
               ,
                                                                                             Revision:     1
                                                                                                                     '
                                                                                             Page 23 of 53
               I
                                                                                                                     ,
                                                              RESULTS REPORT
                             .
                                                               ISAP VII.a.4                                          ;
                                                                  (Cont'd)
                      ..
                                                                                                                     )
                                                                                                                     l
                               5.0 IMPLEMENTATION OF ACTION. PLAN AND DISCUSSION OF RESULTS (Cont'd)                 q
                '
                                                     -
                                                           In October 1978, TUGC0 QA instituted a Vendor
                                                           Rating program whereby numerical ratings were
                                                           assigned to vendors based on type, severity,
                                                           and quantity of-defects identified during
                                                            source inspectior.s. These ratings were
                                                           utilized to adjust the scheduling of
                                                          . inspections and audits. In January 1981, &
                                                           Vendor Performance Evaluation system was
                                                           instituted which enhanced the Vendor Rating               j
                                                           system by also considering the number of                   '
                                                           items submitted for inspection in calculating
                                                            the rating. It was noted during the review
             '                                              that various audit notifications and/or      *
                                                                                                                     q
                                                           reports documented that some of these audits               '
                                                           had been initiated as a result of
                                     ,                     unsatisfactory source inspection reports.             ,
                                                     -
                                                           In May 1979, a Joint Inspection / Audit program     0
                                                                                                                   \
                                                           was instituted whereby auditors would               p     l
                                                           accompany inspectors on releas. inspection
                                                           trips to investigate specific program areas       [
                                                           based on problems identified during previou
                                                           source inspections.
                                                       ~
                                                                                                                        l
                                                    ~
                                                           TUGC0 QA also utilized " Requests for
                                                           Corrective Action" which were correspondence
                                                                                                                        '

, i

                                                           with the vendors requesting corrective action
                                                           for specific, identified problems when it was                {
                                                           concluded that the problems did not warrant                  '
                                                           an audit investigation or did not appear to
                                                           indicate an adverse trend.
                           '
                                                    -
                                                           Internal documents known as " Yellow Flag-                   ;
                                                           Sheets" were also utilized by the TUGC0 QA                     l
                                                           staff to ensure that applicable QA personnel                   !
                                                           were aware of status and/or problems with
                                                           particular vendors, e.g. a bold placed on
                                                           shipments from a vendor until after an audit
                                                          was performed.
                                               While it is recognized thai: source inspections and
                         -
                                           ,
                                               limited-scope audits performed in response to
                                        '      identified problems might not be considered adequate
                                               substitutes for regularly scheduled program audits,
                                               the did provide data which were utilized totTotre'
                                                 xten by TUGC0 to evaluate ths effectiveness 2 vendor
                                               QA programs.

- - _ . _ _ .

                                                                 .                                                <
                                                                                                                    ,
                                                                                           Revision:      1
                                                                                                                    '
                                                                                           Page 24 of 53
                                                        RESITLTS REPORT
                                                         ISAP VII.a.4                                               3
                                                             (Cont'd)                                               l
                        5.0 IMPLEMENTATION OF ACTION PLAN AND DISCUSSION OF RESULTS (Cont'd)
                                         It is concluded that during the period prior to 1978,
                                         the frequency of performance of contractor / vendor
                                         audits, with the exception of the two cases noted, was
                                         satisfactory, but for the period from 1978 through
                                   k     November 1984 the frequency was net satisfactory.
                                                           ~
                                        Qtheit source
                                               is further     concluded that as a result of
                                                       inspection activities, the limited audit
                                         activity, vendor ratings, corrective action requests
              '
                // A , d.ed<A *~ ^ '     and internal QA communications, that sufficient             ,,.-
                         /gg information was available to, and__used to eene exten_t                        g(,
                        7
                                                                            __
                                       _1y., the QA organization to evaluate.the effectiveness
         4 .g                  '
                                         of vender QA programs sven though audits of the venders              A'
                                         were not performed en an annual basis.                             .
                                         The NRC notice of violation (445/8432-0?; 446/8411-03)                     !
                                         identified that the Westinghouse site organization had
                                         not been audited from its inception in 1977 through
                                         1981. To provide background, the description of the
                                         Westinghouse site organization in the NSSS contract                        ,
                                         between TUGCO and Westinghouse includes the following
                                         in Section 5.0 (paragraphs A and B are not applicable
                                         to this discussion):
                                              "C.    Construction Site Services - Beginning 21
                                                     meaths prior to the arrival of the first of
                                                     Vender's equipment at the job site (or such
                                                     later date as may be mutually agreed upon).                    '
                                                     Vendor shall establish an organization with
                                                     representation at the job site to the extent
                                                     necessary in the judgement of Purchaser to
                                                                                                                    l
                                                     coordinate construction site activities for                    '
                                                     Vendor's equipment. This organization will
                                                     be retained with representation at the job                     i
                                                     site until fuel' loading of the second NSSS is                 j
                                                     completed.                                                     =
                                                                                                                    !
                                               D.    Field Testing and Startup Services - Vendor                     i
                                                     shs11 establish an organization to provide
                                                     advice and consultation on testing and
                                                     startup. Special startup and testing
                                                    equipment (or its then current equivalent)
                                                     identified in Exhibit A shall be provided at
                                                    the job site by Vendor on a cost-free loan                       1
                                                    basis. Testing and startup procedure                            !
                                                    preparation assistance shall also be
            g                                       provided."
                                                                                                                    j
                                                                                                                     *
                                               % 4(
                       pNO~
                                                                                   4 4.Q )
             ap                    :%   -a. .. 4v.,,                 ._,]'w, p         ggg-
                                                                               .
                                                                                                               ;:
                                     .                                                                              i
                                                                                                                    i
                                                                                                                     ;
 - _ _ - _ - _ - - -     -
        w                                                                                                                                                    .
   -                                                                                                                              Revision:                1
                                                                                                                                  Page 25 of $3
                       ,                               RESULTS REPORT
                                                        ISAP VII.a.4
                                                          (Cont'd)
                         5.0 IMPLDENTATION OF ACTION PLAN AND DISCUSSION OF PISULTS (Cont'd)
   ,
  i                                      Further, the safety-related activities relating to
                                         erecting, installing, inspecting, testing, etc., of the
   i
                                        NSS3 were the responsibility of TUGC0 and were

m

                                        performed by TUGC0 br Brown & Koot organizational
                                         elements. The activities performed by the Westinghouse
                                         site organization were primarily liaison and did not
                                        include the categories of ssfety-related activities
                                        requiring periodic audits as listed in Section 1.2 of
                                        ANSI N45.2.12-1E73.
                                        This understanding of the involvement of the
                                        Westinghouse site organization in the site safety-
                                        related activities was confirmed by TUGC0 QA during the                                                                {
                                        performance of an audit of Westinghouse site activities
                                        pertaining to work on the reactor internals (audit
                                        TWH-23) in March 1982. This audit confirmed that the
                                        development of work travelers was performed by Texas
                                        Utilities Services, Inc. engineering and that
                                        construction and inspection activities were performed
                                        by Brown & Root. The audit also revealed that
                                       Westinghouse-Pensacola supplied drawings and performed
                                        overview surveillance of TUGC0 and Brown & Root
                                        activities related to the reactor internals. After
                                        concerns were expressed by the NRC, an audit of
                                       Westinghouse site activities was scheduled and
                                       performed in November 1984 (audit TWH-30). This audit
                                       confirmed the TUGCO understanding of the Westinghouse
                                       site organization scope of work.
                                       It was determined that the W site organization scope of
                                       work did not include the categories of safety-related
                                       activities requiring periodic audits per ANSI
                                       N45.2.12-1973. This position was confirmed by TUGC0
                                       through the performance of the above-mentioned audits.
                                         t is therefore concluded that there was no requirement
                                         o audit the Westinghouse site organization.
                                       Internal Audit Program
                                      As previously discussed, ANSI N45.2.12-1973                                                  requires
                                      that applicable program elements affecting an activity
                                      be audited annually. This means that the activities to                                                                   <
                                      be audited must be identified along with the program                                                                     '
                                      elements affecting these activities. Audits of these
                     .
                                                                          _ _ _ _ _ _ . . _ , _ . . _ - _ _ _ - - - _ - - - - - -         -  - - - - - - -

- _ _ - _ - _ - _ . - - _ _

                   e   .
                                                                                                                          Revision:   1
                                                                                                                          Page 26 of 53
                                                                                      ;-
                                                                                            RES g SJ EPORT
                                                                                             ISAP VII.a.4
                                                                                               (Coc t.' d)                      ,           .
                                                                                                                                          ,1
                                                                                                                                    *
                                                                                                                                  ,
                                                                                                                                            )
                                                             5.0 IMPLEMENTATION.OF ACTION PLAN AND DISCUSSION OF RESULTS (Cont'd)           ]
                                                                              activities are to be schadolad on the basis of their
                                                                              status and safety importsace and performed to evaluate
                                                                              the adequscy and, effectiveness of the program as              ,
                                                                              developed and implemented by tha participating
                                                                              organizations.
                                                                                                                           t
                                                                              Evsluating the ahquacy of the TUCCO QA internal audit
                                                                              program at the construction site is complex. Prior to
                                                                              1978, site, audits were echeduled and conducted as
                                                                              vendor audits. Since that time, except for contractors
                                                                              operating under their own QA programs, site audits have
                                                                              been scheduled and conducted er internak audits.
                                                                              The following paragraphs describe the evolution of th         I
                                                                              audit planning process during the Design / Construction
                                                                              phase of CPSES.
                                                                              When the TUCCO internal audit program was first
                                                                              implemented at the construction site in 1978,. audit
                                                                              planning and scheduling appeared to be primarily
                                                                              activity-oriented. However, by 1982 audit planning
                                                                              appeared to have become primarily organization-
                                                                              oriented. During the review of the audit files,
                                                                              observations related to the structure of checklists,
                                                                              tusk assignments of team members during the audit,
                                                                              structure and content of audit reports, is well as        ,
                                                                              audit titles indicates that audit planning and
                                                                              scheduling continued to be organization-orienced.
                                                                              This approach to audit planning evolved to accommodate
                                                                              the organizations 1 structure and procedure systeme that
                                                                              developed as TUGC0 assumed additional responsibility
                                                                              for site activities.
                                                                              The written program has always required that audit
                                                                              planning and scheduling activities be performed, and
                                                                              the reviews of the files revealed that audit schedules
                                                                              had been prepared. However, it was determined that               ,
                                                                                                                                               l
                                                                              until the istuagge of procedure DQP-AG-4 "CPSES
                                                                              Construction Phase Audit Program," Revision 0, on
                                                                              September 4._ Q85M htre was no procedure that detailed
                                                                             ~the audit pl.anning,and scheduline'proceas, A review of
                                                                              this procedure revealed that although r4dits were to be          )
                                                                                 va n.. . .                -
                                                                                                             .
               -
                           _ _ . _ _ _ _ _ _ _ _ _ _ _ _ _ -        _
                                                                                             _ _ _ _ _ _ _
                                                                                                           _ _ _ _ _ _ _ _ _ _ _ _     -
                                                                                                                                         d
                                                                                             Revisica:                             1
                                                                                             Page 27 of 53
                                                               REStTLTS REPORT
                                                                 ISAP VII.a.4
                                                                   (Cont'd)
   '
                               5.0 IMPLEMENTATION OF ACTION PLAN AND DISCUSSION OF RESULTS (Cont'd)
                                                 performed annually, activities to be audited would be
         ;                                       determined from existing programs and procedures,
                                                 rather than from an analysis of site activities                                             l
                                                                                                                                             l
             ,                                   affecting quality and their importance to safety. The                                       i
                                                 procedure also implied that audit planning was                                              '
                                                 organization-oriented.

,o  ;

                                                 However, as a result of discussions with TUGC0 QA
                                                 management and a review of audit schedules, it is
                                                 concluded that the audit planning and scheduling                                          i
     '                                           process has generally considered project activities as                                    !
                                                 an input. Procedure DQP-AG-4 has since been revised
                                                  (Revision 1, dated Jaeuary 27, 1986), and now describes
                                                 an adequate audit planning and scheduling process.

-

                                                                                                                                           )
                                                 Procedure DQP-AG-4 also provides for the development of

i

       g                            .,           an annual audit schedule which is subject to periodic
                                                 review and adjustment based on project status, program                                    ,
 .
                                                 changes, outside reviews, etc. As-run schedules for
                                                 past years have been prepared to document audits
                                                 scheduled but not performed (and the reasons
                                                 why they were not performed), and additional audits
                                                 which had been added to the schedule.
                                                 It was noted that the proposed 1986 audit schedule
                                                                                                                                           j
                                                 includes a short scoping statement for each scheduled
                                                 audit. This enhancement to the schedule provides a
                                                 more complete description of the planned audit program
     /                                           coverage.
     ?

(f ' Also related to audit planning, the NRC Notice of pa violation (445/8432-0?; 446/8411-03) stated that TUGC0

                                                 audit planning for 158 was inadequate because only 25
                                                 percent of the safety-related procedures were audited.
                                                 This use of procedures as an audit planning baseline is
                                                 appropriate only when the procedures are pre-defined as                                   -
                                                 the program elements. Accountability for audit
                                                 coverage would then be simplified because a procedure
                                                 listing is very specific as opposed to developing a
                                                 list of octivities, applicable criteria, and
                                                 participating organizations. Attractive as it may
                                                 appear, this method of audit planning contains
                                                 weaknesses and is not recommended
                                                 because auditing strictly by the procedures could
                                                 result in overlooking an activity for which a procedure                                   -
                                                 was required but had not been developed.                                                  I
                                                                                                                                           l
                        did R O /r        4 f, A-G42Ai 32 ( ,t , ,            5
                                                                      4g                                                             (

t L___--___ . _ - _.

_ - - _ _ _ _

    .a -
                                                                                     Revision:     1
                                                                                     Page 28 of 53
                                                                                                      l
                                                      RESITLTS REPORT
                                                        ISAP VII.a.4
                                                          (Cont'd)
                       5.0 IMPLEMENTATION OF ACTION PLAN AND DISCUSSION OF RESULTS (Cont'd)
                                         By calculating the percentage of procedures addressed
                                         by the audit program, an inference could be drawn as to
                     P                   the adequacy of audit program coverage. However,
                 -
                                         unless this information is correlated with actual
               c                         project activity, previous audit and/or surveillance
             ,                           results, importance of the activities represented by
                                         procedures not audited, etc., no judgement should be
                                         made of the adequacy of audit program coverage based
                                         solely on percentage of procedures audited.
                                         A review of the 1983 Audit Program revealed that TUGC0
                   .                     performed twenty-nine (29) internal audits of
                                         design / construction phase activities as well as eight -    ,
                                         onsite audits of construction contractors.                   l
                                                                                                     I
                                         From data gathered during the review of the twenty-nine     l
                                       O (29) internal audit files,_a matrix was developed E         l
                                         evaluate the activities audited, the program elements
                                          (Appendix B criteria) addressed, and the organizations
                                         through which they were addressed. In addition, the         .
                                         list of activities audited (contractor and internal)
                                         was compared to the major site activities in process
                                         during the year as identified by project control
                                         personnel. These evaluations revealed that th Q 9,83, 3
                                         audit program addressed the. major on-going site
                                         activities, that all site organizations were audited,       ,
                                         and that all program elements (Appendix B criteria)
                                         were addressed. Therefore, it is concluded that the
                                         audit program coverage of the Design / Construction Phase
                                         of_CPSES during 1983 was adequate. It was also noted
                                         that the audit schedule was adjusted throughout the
                                         year in response to organizational and program changes,
                                          to address problems identified by outside organizations
                                         and to reflect changes in the project schedules.
                                         Conclusions                                                 q
                                          It is concluded that the failure to perform vendor
                                         audits on an annual frequency vanuited in no advnam
                                     - effect_on the audit program because of the additional
                                 (, _D activities   implemented by the QA organization to
                                          supplement the audit activity.
                                                                                                     ;
                              (, -                                                                   ,
                                                                                                      1
                            S
                         /                                                                           I
   I
   - _ - _ _ - - _ - - _    -_.
                                                                                                                  ,
                                                                                                                    j
                                                                                                                    !
                                                                                                                     '
                                                                                             Rsvision:      1
                                                                                             Page 29 of 53
                                                               RESULTS REPORT
                                                                ISAP VII.a.4
                                                                  (Cont'd)
                                5.0 IMPLEMENTATION OF ACTION PLAN AND DISCUSSION OF RESULTS (Cont'd)
                         -
                                                 It is concluded that there was no requirement to audit             ;
                                                 the Westinghouse site organization.
                                                 It is concluded that the lack of a formalized                      ))
                                      -
                                                 methodology for internal audit planning and scheduling
                                                 resulted in no adverse effect on the audit program
                                                 because it was established that audit planning was
                           [C)7[ >               accomplished and audit schedules were prepared to
                                                                                                              '
                                                                                                                .
                                                                                   g7M
                                        '
                                                 im     menttheaudityr       am.
                                                                                        *
                                          5.1.4 Audit Preparation
                                                                    Nar W W ^ A V.
                                                 The audit preparation phase consists primarily of        *
                                                                                                                     i
                                                                                                                     l
                                                 accumulating pertinent documents and data from internal
                                                 and external sources from which the Audit Team Leaders
                                                 would develop the final detailed audit scopes and audic
                                                 checklists.
                                                 The reviews of the audit files revealed that while
                                                 checklists had been prepared for the conduct of the
                                                 audits and that sources such as TUGC0 site
                                                 surveillance, INPO evaluations, CAT reports, etc., had
                                                 been utilized to address topics of special interest,
                                                 the majority of the checklists reviewed in detail
                                                 appeared to have been developed from existing
                                                 procedures rather than from governing requirements. As
                                                 discussed previously, utilizing procedures as the
                                                 baseline could preclude verification that the
                                                 procedures, individually or collectively, adequately
                                                 implement the requirements.
                                                 It can be an acceptable practice to perform only
                                                 compliance audits for those portions of a program which
                                                 remain basically unchanged. However, there was no
                                                Tvidence in the TUCCO QA sudit files reviewed to
                                                 indicate that a comprehensive assessment of the written
                                                 program had previously been performed in the areas of

-l Non-conformance Control / Corrective Action or QC l i

                                                 Training / Qualification / Certification to ve'rify that
                                                 the program procedures were in compliance with
                                                governing requirements.<
                                                 In addition, the checklists reviewed did not provide
                                                 for verification that procedures in different CPSES
                                                 procedure systems that address the same or similar
                                                 activities vnt_consisten_t in approach, level of detail
                                                 or control of the activity.
  .

- _ _ _ _ _ _ - _ _ -

                                                                                                                              ;

_, . . . . - . . . - l

                                                                                              Rcvicion:    1
                                                                                              Pegs 30 of 53
                                                                                                                              l
                                                               REStTLTS REPORT
                                                                ISAP VII.a.4                                                  {
                                                                   (Cont'd)
                               5.0 IMPL7JiENTATION OF ACTION PLAN AND DISCUSSION CF RE$ULTS (Cont'd)
                                                  During 1985, the QA Audit Group initiated the use of an
                                                  " Appendix B Checklist." Applicable portions of this -
                                                  standard checklist are now utilized by the audit team
                                                  to verify that the procedures within the scope of the                   ,
                                                  audit are in compliance with the applicable criteria of      44         i
                                                  10CFR50 Appendix B.                                        ,f,g'
                                                  Conclusions                                                     Ytj.
                                                                                                                     V
                                                  It is concluded that the gydit preparation activities              '.
                                                 were not_adeaunte. This resulted in an adverse efiact
                                                                      ~
                                                                                                                     ?
                                                  on the audit program, in that most audits reviewed did
                                                  not evaluate the adequacy of the written program to *         ,
                                                                                                                   '
                                                                                                                    /
                                                  implement the governing requirements.
                                          5.1.5 Audit Performance                                                    g.
                                                                                                                      )
                                                  ANSI N45.2.12-1973, to which TUGC0 was committed                 g-
                                                  through May 1983, contains no specific criteria for an
                                                  Audit Team Loader.                                               I
                                                                                         ~
                                                  From February 1982 through February 1985, as a portion               ->
                                                  of on-the-job training, the TUGC0 program contained          s
                                                                                                                   \'
                                                  provisions for a lead auditor candidate to be
                                                  designated as the a,cting Audit Team _Leaier, to perform   .*t
                                                                                                             \
                                                                                                                   /
                                                  under the direct supervision of a cuallfind_ Lead              y
                                                  Auditor.                                                      4
                                                  This practice did not constitute a noncompliance prior f
                                                  to the June 1983 commitment to ANSI N45.2.23-1978.
                                                  However, from that time until the issue of procedure
                                                  DQP-CS-3, TUGC0 QA Audit Program," Revision 12, dated
                                                  February 15, 1985, the pn ectice did constitute a
                                                  technical noncompliance with the requirem D
                                                 ' ANSI N45.2.27;197s.
                                                  It is not uncommon for an audit team leader to delegate
                                                  functions to team members during the course of an
                                                  audit, for training or other reasons, while retaining
                                                G 1timate responsibility therefore. Bovever, in the
                                                  TUCCO program, full responsibility for an audit was
                                                  assigned to other than a qualified Lead Auditor, whir.h
                                                  vas
                                                    a contrary to the requirements of ANSI N45.2.23-1978.
        .
                     _ _ _ _ _
 - _ - _ _ _ - _ _ _ - _             --
          ..<            . , . .                                                                                          ,

! ) ,

                                                                                                           R visien:    1
                                                                                                           Page 31 af 51
                                                                         RESULTS REPORT
                                                                                                                .
                                                                          ISAP VII.a.4
                                                                            (Cont'd)
                                        5.0
                                             IMPLEMENTATION OF ACTION PLAN AND DISCUSSION OF RE
                                                         ANSI N45.2.12-1973 requires that auditors be
                                                         independent of any direct responsibility for the
                                                         activities they will audit. The reporting level for
                                                         the Director, Quality, Assurance provides adequate
                                                         independence of the QA staff from the design and
                                                        construction activities.
                                                        The NRC raised a question in SSER 11 concerning the
                                   V        .LM        S.bjeScivity of surveillance _ personnel performing audits
                                                   '    of activities over which they had surveillance
                                                        ~             ~
                                                        resp'onsibilit[y. This practice is not uncommon'in the
                                                        industry and, in fact, can be beneficisi to the audit
                                                        program in that the knowledge and experience gained by
                                                        personnel from surveillance activities can be utilized
                                                        as input to the audit planning process and through                  j
                                                        participation on the audit team. The only time this
                                          *
                                                        situation might constitute a conflict would be th? case
                                                       where the purpose of the audit was to evaluate tL4
                                                       adequacy and effectiveness of the surveillance program
                                                       itself.
                                                       during thisNoreview.
                                                                        audits of this nature were identified
                                                       It waa dater-d e?
                  .
                                               .
                                                                              *.bn* pre-audit and post m dtt
                                                      conferences were conducted by the audit team and that
                                                      appropriate personnel were in attendance.
                                                      The review of the audit files revealed that objective
                                                      evidence had been examined when appropriate to support
                                                      the audit activity as defined by the audit' checklists.
                                                      It appears that the auditors evaluated program elements
                                                     to an appropriate depth to support the audit
                                                     checklists.
                                                     Conclusions
                                                     it is concluded that the practice of designating a lead
                                                     auditor candidate as an acting team leader resttited in
                                               ?     no adverse effect on the audit program because the
                                 (N            -
                                                  " acting team leadeg.,perfopged .iht Activities under the
                                                    adirmet   adervlaiort.oLa-quaH
                                                        asabe.r..of >he and.i.t .. gam. ff ad_ lead _,a,Luditor
                                                                                                       '
                                                                                                           '
                                                                                                                who was       s
                                                                                                                              (
                                                 r t
                                                           a concluded that the practic'e of utilizing site
                                                    surveillance personnel as audit team members had no                      !
                                                    adverse effect on the audit program because these

) personnel did not perfonn audits of activities which

                                                   they were responsible for performing.
                                                                                                 .
 _-_
                                                                .
                                                                                                 -
                                                                              Revision:    1
                                                                              Page 3? of c3
                                              RESULTS REPORT ._
                                                                                                    \
                                               ISAP VII.a.4                                          ,
                                                  (Cont'd)
                                                                                                    I
         5.0                                                                                       i
               IMPLEMENTATION OF ACTION PLAN AND DISCUSSIO
                  5.1.6 Audit Reporting
                           has not always complied with the requirements
                          N45.2.12-1973.
                                                  Early in the program, audit reports did
                          not consistently include itema such as a description of

o the audit scope, persons contacted, a summary of audit

                          results and an evaluation statement regarding the
                          effectiveness
                          a' adit ed .       of the QA Program elements which were
                                          However, the information not included in the             {
                          reports,      with the exception of the'surnary and the
                         evaluation statement,
                                                                                                   j
                                                         can be found in the audit files.
                         The content
                         improved        over and
                                              time.quality of audit reports have gradually
                                                       Currently, the audit reports
                         provide the reader with an adequate understanding of
                         the scope and results of the audit. The current
     ~
                        N45.2.12-1973. procedures adequately reflect the requirements of ANSI
                        During the detailed review of the nine (9) audit files
       .                in the training and nonconformance control areas
                        (aec Page 12), seversi devictions were observe 4 that
                       irdicate weaknesses in the implementation of the audit
                       program related to audit reporting:
                              -
                                         There were approximately twenty instances
                                        where the published audit reports did not
                                        appear to accurately reflect the auditors'
                                        field notes and/or checklists.
                                        items in'the notes that appeared to beFor example,
                                        deficiencies were reported as concerns or
                                       comments, and in one case, an item identified
                                       as "unsat" on the audit checklist was not
                                       reflected in the audit report at all. The
                                       items
                                       any itemsidentified  did not pertain directly to
                                                    of hardware.                               .
                                       the RTL that additional data could have been(It is rec  8
                                       obtained which could have altered the
                                       conclusions      and was not reflected in the
                                      notes / checklist).
                                                                                             l
                                                                                             l
             .
                                                                  I
                                                                                                    l

- _ _ - - _ _ _

                 '
                                                                                                a \
                                                                                 Ravision:    1
                                                                                 Page 33 of 53
                                                  RESULTS REPORT
                                                                                                  i
                                                   ISAP VII.a.4
                                                      (Cont'd)
                                                                                                  i
                   5.0 IMPLEMENTATION OF ACTION PLAN AND DISCUSSION OF RESULTS (Cont'd)
                                               In many of these cases, the accompanying             i
                                               notes seemed to indicate that the auditor          i
                                               either judged the "importance" of tha finding        l
                                               in the decision to document, or may have had       l
                                              sdditional information which was not included       i
                                               in the audit files. There was no discernible       l
                                              pattern for not documenting identified
                                              unsatisfactory conditions.
                                                                                                  l
                                               It was noted that the category of " concern"
                                              was deleted from audit reports in April 1984
                                              with the issue of revision 7 of DQI-CS-4.6.
                                              All discrepancies are now categorized as      -
                                                                                                  3
                                              deficiencies in the TUGC0 audit program.            '
                                               It is the responsibility of the Audit Team
                                              Leader to ensure that the audit report
                                              accurately reflects the audit findings as
                                              documented by the audit team, and that
                                              pertinent backup data is included in the
                                              audit files.
                                       -
                                              There were occasions when maior sections of
                                            Detrvere         not completed whiDF                  i
                                                                                                  l
                                             ' Effec't, altered the scope of.the audit. This
                                              was not documented in the audit report. This
                                              could have provided an inaccurate view of
                                              audit program coverage.
                                              In some cases, the reason for the omission          I
                                             was noted on the checklist (e.g., " time              '
                                              constraints", " covered by another checklist",
                                              "would have required verification of other
                                             procedures", etc.), but in some cases was
                                             not. There was no discernible pattern in the          l
                                             stated reasons for not completing checklists.        '
                                             In March 1985, the QA Audit Supervisor               l
                                             instituted a " Checklist Review Verification
                                             Form" (act procedura11v define D which is            l
                                             used by the Audit Team Leader to document the        j
                                             extent of completion of the audit checklist.
                                             This form is now utilized in the audit               3
                                             planning process to ensure that incomplete            ;
                                             items are rescheduled as required.                   -
                                                                                                   !
               .
                                                                                                            ,
                                   ,                                                                          !
                                                                                             Ravision:    1
                                                                                             Page 34 of 53
                                                            _RESULTS REPORT
                                                             ISAP VII.a.4
                                                                (Cont'd)                                      I
 '                                                                                                            $
                               5.0
   -
                                    IMPLDIENTATION OF ACTION PLAN AND DISCU
                                                -
                                                         It was noted that the TUGC0 audit reports do
 i                                                      not include a formal Recommended Corrective
                                                        Action for identified deficiencies. The
                                                        language of ANSI N45.2.12-1973 can be
                                                        interpreted either way as to whether or not
                                                       this   is a requirement. The RTL supports the
                                                       TUGC0 position, although it is contrary to
                                                       experience, because the responsible
                                                       organization is better able to determine the
                                                       proper course of corrective action and is              ,
                                                       ultimately responsible for the final                   i
                                                       determination and implementation.                      !
                                                      organization remains responsible forThe QA        '     {
                                                      evaluation and approval of the course of                j
                                                      corrective
                                                      effective      action as well as verification of
                                                                  implementation.
                                              -
                                                      Audit report distribution did not appear to
                                                      be consistent in that the reports in some
                                                      cases were addressed to the supervisor
                                                     responsible for the activity requiring

i

                                                     corrective action rather than to project
                                                     management,
                                                     receive copies.  although project management did
                                                                           Although this is technically
                                                    not a violation of requirements, it can cause
                                                    project management to be omitted from direct
                                                    participation in the reporting,
                                                    investigation, and corrective action
                                                    activities of the audit process. In
                                                    addition, original recipients did not always
                                                    receive subsequent correspondence related to              ,
                                                   follow-up and closecut.                                    i
                                     ,   eenclusiens
                                                                                                              !
                                        audit reports (e.g., audit scope, susmary o
                                        results, evaluation statement) 2ould h va resulted in
                                        h a contributed lo a__ lack of full understandin            _
                                                                                                   the
                                        r h of the adequacy and effectiveness of the QA               _
                                        program as evaluated by the QA organfration.
                                                                                                               1
                                                                                                              I
     _ - _ - _ - - - - - - - -
          - _ _ _ _ _ _ _ -
                                                            ,                     ,                                  '

i-

                                                                                                                       I
                                                                                                                       1
                                                                                                       Revision:
                                                                                                                       '

, ,

                                                                                                                   1

! Fage ti of 53

                                                                  RESULTS REPORT
                                                                                                           ,
                                                                                                                       ,
                                                                                                                       i
                                                                   ISAP VII.a.4                                        !
                                                                     (Cont'd)
                                                                                                                       f
                                  5.0
                                      IMPLEMENTATION OF ACTION PLAN AND DISCUSSION OF RESULTS (Cont'd)
                                                  It is concluded that the failure to properly document
                                                  audit deficiencies could have result,ed in an adverse
                                                 gffect on the adequ' fey'bf the audit prBgram in that
                                                          ,
                                                                -
                                                 appropriate management may not~be made aware of all
                                                  itema reguiring cor.rective~ ~action
                                                Luportance.                         ~"-"-~
                                                                                           or -of- -their,
                                                                                                     ~
                                                 It is concluded that the failure to document deviations
                                                 from the audit check 11sts'could have resulted in an
                                                                                ^
                                                 adverseeffectontheauditprograminthata3pripriate
                                                              -
                                                 managemen't mIgEt'not be made aware of program
                                                 activities / elements which were not evaluated.                       !
                                                                                                                 .
                                                 It is concluded that the failure of the auditor to
                                                 recommend effective corrective action for audit
                                   '             deficiencies resulted in no adverse effect on the
                                                 audit program because the organization responsible for
                                                 the activity has the ultimate responsibility for
                                                determination of corrective action.
                                                 It is concluded that the lack of consistent
                                                distributi_on of_a.udit' reports and subsequent
                                                correspondence igu,16..hsvs..rea d erLin.an. adverse effect
                                                on the adequacy of the audit program in that project
                                                management would not be involved in the activities
                                                pertaining to investigation, corrective action and
                                                closeout of audit deficiencies.
                                          5.1.7 Follow-up and Closecut
                                                The final major step in the audit process is timely
                                                follow-up, by both the audited organization and the
                                                auditing organization.
                                                The review of the audit report files indicated that,
                                                throughout the program, the early steps of the follow-
                                                up process appeared to have been completed in a timely
                                                manner by both the audited organization and the                        )
                                                                                                                       j
                                                auditing organization. This included determination of.                 '
                                                and schedule for completion of corrective action by the
                                                audited organization, evalua. tion of the proposed
                                                corrective action by the auditing organization and
                                                additional correspondence between the two, as required,
                                                until resolution was reached.                                          q
                                                                                                                       ;
                                                                                                                       !
                            .._                                                                                        )
  _ _ _ _
                  _ - _ - - _ -
                                                                                                          ,
               ..                                                          . . .                  *
                                                                                                            j
                                                                                          Revision:   1
                                                                                          Page 36 of 53
                                                            RESULTS REPORT
                                                                                             ,
                                                              ISAP VII.a.4
                                                                (Cont'd)
                        5.0
                                IMPLEMENTATION OF ACTION PLAN AND DISCUSSION OF RESU
                                           The timeliness of. implementation of corrective action
                                          by the audited organization cannot be ascertained from            !
                                                                                                            i
                                           the audit files for reasons that are discussed below.
                                          Interviews with the Assistant QA Hanager indicate that            )
                                          the general feeling within the auditing organization              ]
                                          was that implementation of corrective action was
                                          timely. However, the timeliness of verification of                ,
                                          implementation of corrective action by the auditing               l
                                          organization, as well as closecut of the audit
                                          deficiencies and audit reports was often
                                          un sa tis f ac tory,.
                                                                                                            l
                                         Tnis situation was eventually recognized and addressed
                                         by TUCCO QA through the performance of audit TCP-111               i
                                         August 1984of Open Construction Audit Findings" in
                                         "Closecut
                                                             This audit was performed to verify
                                         implementation of corrective action for
                                         and 22_c.cncerns._some of which had_been _83 def4rienrits.,
                                                                  ~
                                                                                      ooen f* mr
                                                                                               -
                                       csif'ylarD During the audit, all but four (4) items (2
                                         deficiencies and 2 concerne) were found to have been
                                         completed.
                                                          These four items were reissued as three
                                        deficiencies against audit TCP-111, which were then
                                        closed in a follow-up two monehe later.
                                        The NRC addressed the inability of TUGCO QA to close an
                                        audit
                                        TCP-68 finding from TCP-23 during the conduct of audit
                                                      The deficiency in question was subsequently
                                        identified as audit TCP-40, Deficiency 2. It was
                                        determined that this deficiency was closed during the
                                        conduct of audit.TCP-99 in March 1984
                        }4}
                                                              ~
                         i             Contributitigicaus'eh to the lack of timely follow-up
                                       were a combination'of (1) the practice of each lead
                                       auditor being responsible for scheduling applicable
                                                                                                              !
                                       follow-ups during subsequent audits, (2) related audits               I
                                       being scheduled up to a year later, and (3) lack of a
                                       formal tracking and status system for audit
                                       deficiencies. The apparent lack of urgency for
                                       follow-up may have been influenced in part by the
                                       general feeling that implementation was indeed timely,
                                       and   therefore additional action was not required to
                                       expedite implementation.
                                 *
                                       Procedure DQI-AG-1.8. " Internal Audit Deficiency
                                      Follow-up/ Closeout" issued in June 1985, addressed
                                      these problems by instituting a tracking system for
                                      internal audit deficiencies.
                                     described in the procedure is adequate.The tracking system
                                                                                                        !
                                                                                                        !

_ _ _ _ _ _ _ -

                           ____ _ _ - _ _ _ - _ _ _ _ _ _ _ -
                                                                                                                         ....~. .          .           -
                                                                                                                                        Revision:    1
                                                                                                                                        Pass 37 of 53
                                                                                                         RESULTS REPORT
                                                                                                          ISAP VII.a.4
                                                                                                             (Cont'd)
                                                              5.0 IMPLEMENTATION OF ACTION PLAN AND DISCUSSION OF RESULTS (Cont'd)
                                                                                           Conclusions
                                                                                            It is concluded that the failure to perform timely

l verification of implementation of corrective action for 5

                                                                                            audit deficiencies,Eould have resultad in an advers_e
                                                                                            effect_qn_the_ adequacy of the andfe eregtgm in that one
                                                                                           of the major gosis of an audit program is to identify
                                                                                           and ensure corrective action for program deficiencies.
                                                                    5.2 Audit Personnel qualification
                                                                                  Program documents and audit personnel training / qualification
                                                                                  files were reviewed to evaluate the adequacy and effectiveness
                                                                                  of the TUGC0 program for qualification and certification of
                                                                                  audit personnel. The results of these reviews are summarized
                                                                                  in the succeeding paragraphs.
                                                                                  5.2.1    Qualification Requirements
             1
             6
                                                                                           Prior to June 1983, TUGC0 was committed to the
                                                                                           requirements of ANSI N45.2.12-1973 for audit personnel
                                                                                           training and qualification. The TUGC0 written program
                                                                                           for this period was in compliance with the ANSI
                                                                                           requirements.
                                                                                           It was noted from reviewing the training and
                                                                                          qualification files for this period that, beginning in
             ;
                                                                                           1977, a form similar to the form contained in ANSI
            l
            i
                                                                                          N45.2.23 was being used to document certifications for
                                                                                          lead auditor. The use of the modified form was
                                                                                          proceduralized in 1980. It was noted that in the use
                                                                                          of this form (for which there was yet no commitment)
                                                                                          TUGC0 was twsrding qualification credits for attributes
                                                                                          in addition to those specified in ANSI N45.2.23 and was
            I
                                                                                          not requiring the same number of qualification credits
            I
                                                                                          as was the ANSI.
                                                                                          Revision 5 of CQI-QS-2.1, " Qualification of Audit
                                                                                          Personnel," issued June 1, 1983, resulted in the
                                                                                          written program being in compliance with ANSI
                                                                                          N45.2.23-1978. At this time; audit personnel who had
                                                                                          been qualified and certified under the previous
                                                                                          procedure revision were reevaluated and new
                                                                                          certifications issued. This procedure has since been
                                                                                          cancelled and the appropriate material incorporated
                                                                                          into DQP-QA-2, Revision 11. The current procedures are
                                                                                          in compliance with governing requirements.
                                                                                                 .
 .

.

   __ _ _.___.___.- - - - - - - - - _ - - - - - -                     ~ - - - - -
                                                                                        I
                                                                                      #

,

      ,                            .         .A     -
                                                                        Revision:   1
                                                                        Page 38 of 53
 .
                                         RESULTS REPORT
                                                                                        i
                                          ISAP VII.a.4                                  '
                                            (Cont'd)
          5.0 IMPLEMENTATION OF ACTION PLAN AND DISCUSSION OF RESULTS (Cont'd)
                           Conclusions
                            It is concluded that the audit personnel qualification
                            program adequately reflected the requirements of the
                            appropriate governing standards and regulatory guidance
                            and therefore resulted in no adverse effect on the           i
                            audit program.
                    5.2.2 Training / Qualification Records
                           Of approximately fifty (50) personnel identified as            ,
                           having performed as auditors or lead auditors since          i
                            1978, the personnel qualification files of 41 of thead
                            individuals were reviewed for evidence of education,
                            training and experience used as a basis for
                           qualification and/or certification. The personnel
                           reviewed were all members of the TUGC0 QA organization,
                            though not necessarily assigned to the audit staff.
                            Included in this total are all who performed as
                           auditors or lead auditors since 1981, as well as some
                           who had participated earlier.
                                                                                         )
                           All files, except as discussed below, contained
                           adequate documentation (e.g., resume, training records,
    i                      reading lists, certifications, etc.)
                           appropriate to the time of certification, including           ;
                           evaluation and racertification of personnel on-board on       '
                           June 1, 1983 (Date of Commitment to ANSI
                           N45.2.23-1978).
   {
   '                       Files for six personnel contained no resume or other
                           independent supporting documentation for lead auditor
   I
   '                       certifications issued in 1977, 1978, and 1981. None of
                           these personnel have participated in the program since
                           1982. Although no judgement of competency of these
                           personnel can be made from the records reviewed, others
                           certified during this period were determined to be
                           adequately qualified, based on their records.
                           Review of Lead Auditor qualification files indicates
                           that all personnel currently certified as Lead Auditor,
                           except as noted below, have satisfied the requirements
                           of ANSI N45.2.23-1978.
                           Although there is no regulatory requirement to verify
                           the education, experience, etc., for audit personnel,          !
                           it was noted that TUGC0 QA is in the process of
                           performing these verifications for the current staff           j
                           and has incorporated such a requirement in DQP-QA-2.
                                                                                          {
                                                                                          !
                                                                                          !
        ,
 - _ _ - _ - - - -                                                             - - - - - - - - - - -
                                                                                                                                                                                    ,
                   .
                                                                                                                                                               R* vision:         1
                                                                                                                                                               P8,ge 39 of 53
                                                                                                                                 RESULTS REPORT
                                                                                                                                  ISAP VII.a.4
                                                                                                                                    (Cont'd)
                                                                                                     5.0
                                                                                                         IMPLEMENTATION OF ACTION PLAN AND DISCUSSION OF RESULTS (Cont'd)
                                                                                                                   ANSI H45.2.23-1978, Section 4.2 states that the
                                                                                                                   development and administration of the examination for

i lead auditor is the responsibility of the suployar. It

                                                                                                                   also states that te?s activity may be delegated to an
                                                                                                                   independent certifying agency but that the employer
                                                                                                                   shall retain responsibility for conformance of the
                                                                                                                   examination and its administration to the standard.
                                                                                                                   The applicable TUGC0 procedura does not specifically
                                                                                                                   reflect this requirement, eithough it could be
                                                                                                                   interpreted to do so.
                                                                                                                  During the review of qualification files of current
                                                                                                                   staff members, it was observed that at locat three           '
                                                                                                                  personnel had been granted certification am lead
                                                                                                                  auditor who had no record of being administered an
                                                                                                                  examination by or for TUCCO. They had been given
                                                                             *
                                                                                                                  credit for examinations administered by previous
                                                                                                                  employers. It is believed that this action has not
                                                                                                                  resulted in the certification of unqualified personnel,
                                                                                                                  but it constitutes a violation of the requirements of
                                                                                                                  ANSI N45.2.23-1978.
                                                                                                                  Based on the review of audit personnel training and
                                                                                                                 qualification files, it was concluded that with the
                                                                                                                 exception pertaining to the examination of Lead
                                                                                                                 Auditors, the TUGC0 program for qualification and
                                                                                                                 certification
                                                                                                                 implemented. of audit personnel was satisfactorily
                                                                                                                _ Conclusions
                                                                                                                 It is concluded that independent backup information not
                                                                                                                being in the files for auditors in the past resulted in
                                                                                                                no adverse effect on the audit program in that the
                                                                                                                files did contain evidence that QA management had
                                                                                                                performed    an evaluation of the personnel and found them
                                                                                                                to be qualified.
                                                                                                                It is concluded that the failure of TUGC0 to administer
                                                                                                                lead auditor examinations to particular individuals
                                                                                                                resulted in no adverse effect on the audit program in
                                                                                                                that the personnel are otherwise qualified and are
                                                                                                                auditors. espable of satisfactorily performing as lead
                                                                                                                believed
                     _ ___ , _ _ - - - - - - - - - - - - - - - - ' - - ' - -                                                                                        _ _ _ _ _ _

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

                     _                                                               .
                                                                                                                                             -
                                                                                                                         Rsvision:    1
                                                                                                                         Page 40 of 53
                                                                          REStfLTS REPORT                                                      )
                                                                           ISAP VII.a.4
                                                                              (Cent'd)                                                          .
                                                                                                                                                l
                                        5.0 IMPLEMENTATION OF ACTION PLAN AND DISCUSSION OF RESULTS (Cont'd)
                                *
                                              5.3 Evaluation of Findings
                       * '
                                                   This section summarizes the deviations and weaknesses
                                                   identified throughout this report. Each item includes the
                       17,  '
                                                   8 determination of whether or not it was considered to be a
                       ,[                          QA/QC program deviation, states a recommended corrective
                       r
                       '~
                                                   action if appropriate, or describes corrective action which
                                                   has already been taken.
                              "
                          ,
                                                   The corrective actions describe below are intended to preclude
                          ,
                                                   recurrence of the identified deviaticha. It has been
                                                   determined that remedial corrective action would provide no
                                                   additional benefit to the QA Audit Program.                                      *
                                                   Audit Program
                                                  )'-      10CFR50, Appendix B, Criterion I, states in part,
                                                           ".   . . the authority and duties of persons and
                       !                                   organizations performing activities affecting the
                                                           safety-related functions of structures, systems, and
                  <
                   i                                       components shall be clearly established and delineated
                                                           in writing . . ." Criterion IVIII states in part, "A
                  $                                        comprehensive system of planned and periodic audits
                     ,
                                                           shall be carried out. . ."
                                                           Contrary to the above, the CPSES FSAR does not address
                                                           the organizational responsibility for the definition
                                                           and implementation of the audit program.
                  ,                                        This is a QA/QC Program Deviation.
                  I
                  t                                        Therefore, it is recommended that the CPSES FSAR be
                  ;                                        revised to define the responsibilities for the audit
                   ,
                                                           program. A proposed change to the PSAR has been
            _l                                             submitted to TUGC0 licensing, has been reviewed by the
                                                           RTL and found to be acceptable.
                  $
                   .
                                                p~    -
                                                           10CFR50, Appendix B, Criterion I, states in part,
                                                    -
                                                           ". . . the authority and duties of persons and
                   !
                                                           organizations performing activities affecting the
                                                           safety-related functions of structures, systems, and                                ;
                                                           components shall be clearly established and delineated
                                                           in writing . . ." Criterion IVIII states in part, "A
                                                           comprehensive ' system of planned and periodic audits
                                                           sha?.1 be carried out. . ."
                                                           Contrary to the above, the QA program documents did not
                                                           delineate responsibilities for the Supervisor, QA
                                                          Audits.
                                                                                                     - _ - _ . . . _ _ -                ----
   - _ _ _ - _ _ _ _ _ _ _ _
                                                                            -
                                                                                                                 . .    ..   .-                .
                                                                                                                                                           -
                                                                                                                                            Revision:    1
                                                                                                                                            Pcg2 41 of 53    I
                                                                           *
                                                                                                             RESULTS REPORT
                                                                                                                                                             4
                                                                                                               ISAP VII.a.4
                                                                                                                 (Cont'd)
                                                     ^
                                                                              o.0 IMPLEMENTATION OF ACTION PLAN AND DISCUSSION OF RESULTS (Cont'd)
                                                                                                This is a QA/QC Program Deviation.
                                                                                                Corrective action was taken in DQP-QA-16, Revision 0,         I
                                                                                                issued in September 1985. This has been reviewed and         l
                                                                                                found acceptable.
                                                                                       3-       10CFR50, Appendix B, Criterion V, states in part,             !
                                                                                         -
                                                                                                " Activities affecting quality shall be prescribed by
                                                                                                documented instructions, procedures . . . of a type
                                                                                                appropriate to the circumstances. . ."
                                                                                                ANSI N45.2.12-1973, paragraph 3.2, states in part, "An
                                                                                                effective audit system . . .shall include . . .        -
                                                                                                provisions for reasonable and timely access of audit
                                                                                                personnel to facilities, documents, and personnel
                                                                                                necessary in the planning and performance of the
                                                                                                audits. . . ."
 .
 '                                                                                             ANSI N45,2.12-1973, paragraph 4.5.1, states in part,

, l

                                                                                                ". . management of the audited organization or
                                                                                                    .
                                                                                                activity shall review and investigate the audit
                                                                                               findings to detemine and schedule appropriate        ,
                                                                                                                                                              ;
                                                                                               corrective action. They shall respond to the report in         (
                                                                                               vriting, within 30 days after receipt."                       {
                                                                                                                                                             l
                                                                                               The " Gray Book", paragraph D.2.b, states in part,             i
                                                                                               ". . .during the (post-audit] conference an effort
                                                                                               shall be made to establish a tentative course and
                                                                                               schedule of corrective action for non-conformances.
                                                                                               Where it is not possible to provide such information at
                                                                                               the post-audit conference, the management of the
                                                                                               audited organization should commit to a specific date
                                                                                               for determination of the course of corrective action
                                                                                               and the schedule for implementation."
                                                                                               Contrary to the above, neither the TUCCO QA Program nor
                                                                                               the CPSES QA Plan, the documents in the written program
                                                                                               which would provide direction to the management of the
                                                                                               audited organizations, addresses the requirements.
 *                                                                                             This is a QA/QC Program Deviation.
                                                                                                                           <
                                                                                               It is recommended that appropriate QA program documents
                                                                                               (e.g., Corporate QA Program, Site QA Plan) be revised
                                                                                               to include these requirements.
                                                                                         -
                                                                                             3e TRT concluded that the QA aud'it program had
                                                                                                                                     ~
                                                                                             !1nadequate staffing during peak periods.
                                                                                             l
                                                                                                  .
                             _ _ _ _ _ _ _ _ , _ _ - . . _ _ _ . _ _ - - _
              _ __             _                                                                            _.
                                                                                                               _ _ _ _ _ - _ _ _ - _ _ _ _ _ _ _ _ _ - _ _ _ _ _-- - - -

h , ,

                                                                                .                  ..                                                                      .
                                                                                                                                                                 Revision:   1
                .w . '
                                 [jf,                                                     RESULTS REPORT
                                 .       ,            .
                                 1         J.
                                                    '
                                                                                           ISAP VII.a.4
     < . kt                                  jl                                               (Cont'd)
                     '
                                   *
                                 .,,.      .y     '
                                     -
                                           W. '                                                                                                                                 :
                                     *
                                           ;
                                                '
                                                        5.0 IMPLDENTATION OF ACTION PLAN AND DISCUSSION OF RESULTS (Cont'd)                                                     I
                                                                                                                                                                                )
                                                                          !ThisNRCfindingwasevaluatedbyconsideringboththe
                                       !                                  t  designated audit staff and other members of the QA
                                                                             organization who performed as auditors. The total
                                                                             number of participants in audits shows that the audit
                                                                             staff was adequate in numbers and qualifications.
                                                                            ,Accordingly, this NRC Finding was not substantiated.
                                                               k-           ANSI N45.2.12-1973, paragraph 3.4.2, states in part,                                               l
                                                                             " Applicable elements of the Quality Assurase Program                                             i
                                                                             shall be audited at least annually or at least once                                                '
                                                                            within the life of the activity, whichever is shorter."
                                                                             Contrary to the above, iuternal annual audits were not
                                                                             specified in procedure from 1981 to 1984.
      h                                                                 .
                                                                            This is a QA/QC Program Deviation. The NRC finding in
                                                                             this area was substantiated.
                                                                            Corrective action was taken in DQP-CS-4, Revision 11
        '
                                                                             issued in November, 1984. This has been reviewed and
                                                                             found acceptable.
                                                                   $ ,-     ANSI N45.2.12-1973, paragraph 3.4.2, states in part,
                                                                            " Applicable elements of the Quality Assurance Program
                                                                            shall be audited at least annually or at least once
                                                                            within the life of the activity, whichever is shorter."
                                                                            Contraty to the above, vendor annual audits were not
       j                                                                    specified in procedures.
                                                                            This is a QA/QC Program Deviation. The NRC finding in
                                                                            this area was substantiated.
                                                                                                                                                                                i
                                                                            Corrective action was taksh in FSAR Amendment #52
                                                                            issued in August 1984 and DQP-CS-4, Revision 11 issued
                                                                            in November, 1984. This has been reviewed and found
                                                                            acceptable.
                                                                  4 *-      ANSI N45.2.12-1973, paragraph 3.4.2, states in part,                                                i
                                                                            " Applicable elements of'the Quality Assurance Program                                              j
                                                                            shall be audited at least annually or at least once                                                j
                                                                            within the life of the activity, whichever is shorter."
                                                                            Contrary to the above, annual audits were not performed
                                                                            for contractor organization in two (2) instances out of
                                                                            sixteen (16) required audits from 1973 to 1977.
                                                                                                                                                                         .
 - - - _ _ _ . . _ _ _ _ _ _ _
                     - _ _ - - - _ - - -                                              _
                                                                                                                                                                                        ,
  ' k1.. . , sF' r                                                                                                                                                    Rsvision:   1
    a ., -
             ;                                                                                                                                                        Page 43 of 53

1- ' % . , ~.

                    *

l.

               .;;s                                                                                                                    RESULTS REPORT
                '                                '
    F ?> ,f,i:      '
                                                                                                                                        ISAP VII.a.4
                 ,-
                                                                                                                                          (Cont'd)
                                                                               .
    .        ,, ,?
                         :
                                                                                                      5.0
                                                                                                          IMPLEMENTATION OF ACTION PLAN AND DISCUSSION OF RESULTS (Cont'd)
                                                                                                                         This is a QA/QC program deviation. The NRC finding in
                                                                                                                         this area was substantiated.
                                                                                                                         Corrective action was taken by QA management in that
                                                                                                                         for the remainder of that phase of the TUGC0 audit
                                                                                                                         program, audits of major contractors were performed at
                                                                                                                         least annually.
                                                                                                                  -
                                                                                                             7          ANSI N45.2.12-1973, paragraph 3.4.2, states in part,
                                                                                                                         " Applicable elements of the Quality Assurance Program
                                                                                                                        shall be audited at least annually or at least once
                                                                                                                        within the lifs of the activity, whichever is shorter."
                                                                                                                        Contrary to the above, annual vendor audits were not
                                                                                                                        performed in that initiation was not timely and/or
                                                                                                                        intervals were too large in all twelve (12)
                                                           .                                                            organizations examined between 1976 and 1984.
                                                                                                                        This is a QA/QC program deviation. The NRC finding in
                                                                                                                        this area was substantiated.
                                                                                                                       Corrective action was taken in DAP-CS-4, Revision 11,
                                                                                                                       issuedacceptable.
                                                                                                                       found    in November 1984. This has been reviewed and
                                                                                                           g - f NRC Notice of Violation (445/8432-03, 446/8411-03)
                                                                                                                       stated that the W site organization was not audited
                                                                                                                       between 1971 and 1981.
                                                                                                                       It was determined that the natu're of the work
                                                                                                                       activities for the W site organization did not involve
                                                                                                                       control of safety-related activities and therefore is
                                                                                                                    '
                                                                                                                       not required to be included in the audit schedule,
                                                                                                                      accordingly, this NRC Finding was not substantiated.
                                                                                                           $' -       ANSI N45.2.12-1973, paragraph 5.3, states in part,
                                                                                                                      " Planning of the audit system shall be conducted to
                                                                                                                      assure covers'ge of the applicable quality assurance
                                                                                                                      program . . . and in paragraph 3.4.2, " Audits shall
                                                                                                                      . . . assure conformance with the developed and
                                                                                                                      implemented program."
                                                                                                                      Contrary to the above, audit checklists were developed
                                                                                                                      from existing procedures rather than governing
                                                                                                                      requirements for the u.ajority of audits reviewed. For
                                                                                                                      example, no assessment of the written program adequacy
                                                                                                                      was performed in areas of non-confor'. nance or corrective
                                                                                                                      action or QC Training / Qualification / Certification.
                                    _ _ _ , _ _ _ ,_ ___ __ _ _ _ - - - - - - - - - " - - - - - ' - -                                                                               __-
                                                                                               :
                                                                                          -
 'l.'W'
                                                                          R0 vision:   1
 *
                                                                          Page 44 of 53
        ;
 ;
         '
 S
    f,
            '                               RESULTS REPORT
    Ih                                       ISAP VII.a.4
                                                                                               {
       ,, J                                    (Cont'd)
        .
                                                                                               )
        <..
                                                                                            J
                                                                                               l
       @f            LDfENTATION OF ACTION PLAN AND DISCUSSION OF RESULTS (Cont'd)
                              This is a QA/QC Program Devfation.
                              Corrective action consists of use of an " Appendix B
                              checklist". This has been reviewed and found
                              acceptable. However, for program enhancement, DQP-AG-2
                              .hould be revised to reflect use of this checklist.
              y' '       -
                              Checklists did not provide verification that procedures
                              :n different systems were consistent for the same
                               '
                                                                                            ;.
                   .
                           N
                              activities performed by different organizations.
              *

,

                             This is not a QA/QC Program Deviation.
                                                                                     ,
                     Gf' -   ANSI N45.2.12-1973, paragraph 1.5.1, states in part.
                             "[An] Audit [is) a formal documented activity performed
                              in accordance with written procedures or checklists to        !
                             verify, by evaluation of objective avidence that a
                             quality assurance program has been . . . implemented in
                             accordance with applicable requirements of ANSI N45.2.
                             Contrary to the above,.the audit preparation phase was
                             less than adequate because audits did not provide
                             sufficient checking of program adequacy for the
                             activities being audited and resulted in incomplete
                             evaluation of the adequacy of the overall QA/QC
                             program.
                             ThisisaQA/QCProgramDeviation.
                             Corrective action consists of the use of an " Appendix B
                             Checklist." This has been reviewed and found
                             acceptable. However, for program enhancement, it is
                             recommended that procedure DQP-AG-2 be revised to
                             ref1act the use of this checklist.
                     / Q-    ANSI N45.2.12-1973, paragraph 4.2.2, states in part,
                             responsibilities (of the audit team leader) include
                             orientation of the team, . . . assuring communications
                             within the team and with the organization being audited,
                             participation in the audit performance, and coordinating the
                             preparation and issuance of reports."
                                                                                            l
                                                                                             i
                                                                                              t
                                                                                               l
 _ - _ _ _
     ~ . .w. .. w;
                      '                                                        ~           -
                                                                                       Revision:    1
 y                                                                                     Pass 45 of 53
           D
                                                                                                        )
             .(51$h
               -
              ' ivy     *
                                                         RESULTS REPORT
                                                                                                         '
                 Ye                                       ISAP VII.a.4                                   ,
                                                                      (Cont'd)                          )
                      -
                          5.0 IMPLEMENTATION OF ACTION PLAN AND DISCUSSION OF RESULTS (Cont'd)
                    '
                                           ANSI N45.2.23-1978, paragraph 1.1, states in part
                                           " requirements . . . for the qualification of audit team
                                           leaders, henceforth identified as a " Lead Auditors", who
                                           organizes and directs audits, report audit findings, and
                                           evaluates corrective action."
                                           Contrary to the above, Lead Auditor candidates were          ,
                                           designated as acting team leaders (with signature            I'
                                           authority).
                                                                                                      i
                                           This is a QA/QC Program Deviation.

.

                                           Corrective action was taken in DQP-CS-3, Revision 12, *
                                           issued in February 1985. This has been reviewed and          i
                                           found acceptable.
                                   [[* -   ANSI N45.2.12-1973, paragraph 4.4, states in part "An
                                           audit report shall be written and signed by the audit
                                            team leader which provides:
                                                --     Description of the audit scope
                                                -      A summary of audit results including an
                                                       evaluation statement regarding the
                                                       effectiveness of the QA program elemects
                                                       which were audited."
                                           Contrary to the above, audit reports did not include
                                           scope description and evaluation statements.
                                           This is a QA/QC Program Deviation.
                                           Corrective action was taken in CQI-CS-4.6, Revision 0,
                                            issued in July 1981. This has been reviewed and found
                                            acceptable.
                                       -
                                            Audit files contain instances of:
                                             ~~
                                                --
                                                       Field notes on identified conditions that are
                                                       not properly addressed in the final report.
                                            t
                                                --
                                                       Checklists that are not completed.
                                            I
                                                                                                        l
                                                                                                      l
                                                                                                        1
                                                                                                        l
                                                                                                        i
                                                                                                        i
                                                                                                        i
                                                     .
                                                            . . . . .       ._
     _ _ _ - - -    . _ _ _ - _ _ _ _
   u  -
                                                                                                                        ^*
                                                                                                         Revision:    1
                                                                                                         Page 46 of 53
                                                                         RESULTS REPORT
                                                                          ISAP VII.a.4                                        :
                                                                             (Cont'd)
                                                                                                                             {
                                        5.0 IMPLEMENTATION OF ACTION PLAN AND DISCUSSION OF RESULTS (Cont'd)
                   Qg                         .
                                             ,U
                                                            This is not a QA/QC Program deviation, but indicates             I

.

                                      .m                    im
                 C                               I        hplementationweaknessesinthatthedocumentedrecord
                                                ,              as not reflect all actions of the audit team.
                                                   Q-      ANSI N45.2.12-1973, paragraph 4.4, state.s in part,
                                                           " Distribution of the [ audit] report shall include               I
                                                           responsible management."
                                                           Contrary to the above, original recipients did not
                                                           always receive subsequent ecrrespcudence related to
                                                           follow-up and closeout of audit reports.
                                                           This is a QA/QC Program Deviation.                       *
                                                           Corrective action was taken in DQP-AG-5, Revision 0,
                                                           dated September 9, 1985. This has been reviewed and
                                                           found acceptable. However, for program enhancement,
                                                           applicable procedures should be revised to define the
                                                           addressees and minimum distribution for audit reports.
                                                /-@ -
                                                    '
                                                          ANSI N45.2.12-1973, paragraph 4.5, states in part,
                                                          " Follow-up action shall be performed by the audit team
                                                          leader or management of the auditing organiu tion to:
                                                           . . . confirm that corrective action is accomplished as
                                                          scheduled."
                                                          Contrary to the above, QA verification of timeliness of
                                                          closeout was unsatisfactory although audit personnel
                                                          believed that actual implementation of corrective
                                                          action was timely.
                                                          This is a QA/QC Program Deviation. The NRC finding in
                                                          this area was substantiated.
                                                          Corrective action was taken in DQI-AG-1.8, Revision 0,
                                                          issued in Juna 1985. This has been reviewed and found
                                                          acceptable.
                                                   Audit Personnel Qualifications
 1                                                    -
                                                          The procedure for qualification of audit personnel
                                                          contained weaknesses in that, for example,                       '
 j                                                              --
 g
                                                                       OJT could be performed under qualified
                                                                       auditors in addition to Lead Auditors.
 !
 ;
 !
                                                                                            ___________-
                                                                                               _ _ - _ - - - _ -
   , ,                                                .      ..      ... - . - . . -
                                                                                                                            -

! L '. . Rsvision: 1

 .y. ;.s ~ .9                                                                                                 Paga 47 of 53
   .       .:     ...
            .      I.7 ?~
                                                                  RESULTS REPORT
                 u<
            .'.
                   '
                                                                    ISAP VII.a.4
              %                                                        (Cont'd)
              $U
              '
                          5.0 IMPLEMENTATION OF ACTION PLAN AND DISCUSSION OF RESULTS (Cont'd)                                 j
                                              '
                                                        --
                                                                The required reading list was incomplete.
  '
                                               !        --
                                                                There was no stated requirement to retain
                                              ,
                                               ;
                                                                information pertaining to examinations.
                                                           -
                                              !
                                                  This is not a QA/QC Program Deviation.

I

                                                  When procedure DQP-QA-2, Revision 11 was issued in
                                             ]ecember1985,theweaknesseswereeliminated.
                                         -
                                              [Six(6)auditpersonnelqualificationfilesinthe

,

                                             i period prior to June 1983 are incomplete.                                       .
                                                                                                                               !
                                                 This is not a QA/QC Program Deviation.
                                    [ y' -       ANSI N45.2.23-1978, Paragraph 4.2, states in part, "The
               *
                                                 development and administration of the examination for
                                                 1ead auditor . . . is the responsibility of the
                                                 employer. . ."
                            ,
                                                 Contrary to the above, at least three members of the
                                                 current audit staff have been certified as Lead
                                                 Auditors by TUGCO, but have not been administered an
                                                 examination by, or for, TUGCO.
                                                 This is a QA/QC Program Deviation.
                                                 It is recommended that these personnel, and any others
                                                 currently cerf.ified who did not meet the requirements,
                                                 be administered an examination in accordance with the
                                                 require'eents of the standard.
                                5.4 Trend Analysis
                                      A total of fourteen (14) QA/QC Program Deviations were
                                      identified. These findings are characterized as failures to
                                      fully translate audit program requirements into the procedures
                                     used to implement the program.- This can also be characterized
                                     as a lack of specificity in the CPSES implementing
                                     procedures.. This therefore resulted in a failure to properly
                                      implement the audit program.               <
                                     Because each of the deviations can be traced to inadequacy of                               !
                                     procedures, this has been determined to constitute a trend.
                                     Therefore a trend analysis has been' performed in accordance
                                     with Appendix E of the CFRT Program Plan.
                                                                                                                                 1
                                                                                                                                 I
   ..
                                                                                                                              .l
    ,      ,,                                                     -._     .                       -                                       -
        4     +
                                                                                       Rsvision:                                        I
               f'                                                                      Page 48 of 53
              +                          ,
                                                         RESULTS REPORT
                                                          ISAP VII.a.4
                                                              (Cont'd)
                  .,
                     '
                       5.0 IMPLEMENTAT::0N OF ACTION PLAN AND D,ISCUSSION .0F RESULTS (Cont'd)
                                    None of the deviatione described in Section 5.3, taken
      '
                                    individually, is believed to represent a significant breakdown
                                    in the audit program. However, taken collectively, there was

j

                                    a potentiel for breakdown in the audit program. Therefore
                                    this is considered to be a trend adverse to the audit program.
                                    As noted previously, there is no direct connection between an
                                    audit program and the quality of installed hardware. For this
                                    reason, it cannot be concluded thtt this trend is an " adverse
                                    trend" as defined by Section 3 of Appendix E of the CPRT
  I
                                    Program Plan. However, an. inadequate su M t program can fail
                                    to identify weaknesses in the prescribed QA/QC programs that,
                                    in turn could allow hardware problems to go undetected. For
                                    this reason the RTL has determined that a root cause and
                                    generic implications analysis shot.id be performed.             -
                             5.5     .oot C D and Generic Implication Evaluation
                                   The NRC findings led to two hypothesized root causes which
                                   were:    1) TUEC's audit procedures did not comply with NRC
                                   requirements and 2) the program was not implemented in
                                   accordance with procedures. The CPRT evaluation 41so found
                                   instances of failure to implement governing requirements
                                   properly, but in each case this was traced to a lack of
                                   specificity in the implementing procedures for the CPSES
                                   Quality Assurance Audit Program. Therefore, all substantiated
                                   findings can be traced to the h of NRC's hypothesized root
                                  _causes.    Asdiscussedbelow,[CPRTinvestigationhasshownthat]
                       ,\        f
                                   the lack of procedural compliance with NRC requirements was
                          %        caused by lack of a management system which would provide for
                                                                                                                                        {   l
                                   overall coordination and control of project activities and
                                   provide a consistent mechanism for translation of governing
                                                                                                                                      .
                                                                                                                                      i
 j
                                   requirements into implementing proceduros and by failure to                                        l
 j                                 periodically check program procedures against program                                            l
 !
                                   requirements and commitments. This lack of procedural                                            i
                                                                                                                                            j
                                   compliance remained uncorrected because of the apparent lack
                                f of full appreciation by threvioD TUEC management of the role

I of an effective QA Audit Program in ensuring the overall

                                   effectiveness of the CPSES QA Program and therefore is
                                   considered,to.be the p t cause. f
                                                                               -
                                   The generic implications of this root cause will be eval _uated_
                                   duri6g the condiTct of tither ASAFs and v11A De Considered
                                   during the collective evaluation phase of the QA/QC Program.
         !
                                                                                        . _ _ _ _     - _ _ _ _ _ - - _ - _ _ _ - _

_ _ _ _ _ _ - _ . _ _ -

                                                                                   . . .            .          -
                    Sp ,
                                                                                                 R2 vision:  1
                                                                                                                  )
                       J,                                                                        Page 49 of 53     l
                                                                                                                   l
                                                                    RESULTS REPORT
                                                                                                                  {
                                                                     ISAP VII.a.4                                 I
                                                                       (Cont'd)                                   )
                                 5.0 IMPLEMENTATION OF ACTION PLAN AND DISCUSSION OF RESULTS (Cont'd)
                                            A (substantive c5'r.tribut o r cau,s3 for the lack of a full
                                            assessment or cne completeness of QA Audit Program
                                             implementing procedures is determined to be the lack of a
                               *            procedural hierarchy for CPSES. A procedural hierarchy would
                                            provide for at least one additional eier of erocedures which
                                            would nrnvida a-bridge feos ths.reautr Qs doents to the
                                             $glemanring nrecedures, and in additien would provide T "
                                            vehicle for management to describe the overall coordination
                 ;                          and control of project activities and organizations for topics
                                             such as the following:
                                               -
                                                     Interpretation and application of commitments to codes,
                                                     standards and regulations,
                                                                                                                  ;
                                                                                                                  i
                 j                             -
                                                     Definition and application of self-imposed                   I
                 i'                                  requirements.
                 .
                                               -
                                                     Standardization of terminology and definitions,
                                               -
                                                     Delineation of responsibilities.
                                               -
                                                     Description and responsibility of organizational
                                                     interfaces and                                                ,
                                                                                                                  !
                                               -
                                                     Structure and content of sub-tier procedures.               j
                                            A (irotential neneric unIse= g is that the types of
                                            procedural inadequacies identified in the audit program may           1
                                          , exist in other procedure systems at CPSES. The lack of an            !
                 !
                                           upper tier of procedures covering the topics identified above         !
                                            leads tg prorsfure_ development by each organization without
                                                                  _
                 ,
                                            formal corp _ orate guidance or for==1 coordination between
                 j'                         organizations. Further investigation is required to determine         !
                  ;
                                            if this lack of standardization contributed to similar
                                           procedure inadequacies in other areas or organizations.
                                            Purther investigation is beyond the scope of this action plan
                                           and will be addressed as part of Collective Evaluation of the
                                            Constructi6n'QIl@~~ Program using information from this and
                                                                                                       ~
                                           other ISAPs.
                                           Corrective actions related to the adequacy of the current
                                           CPSES QA Audit Program have been identified. Additional
                                           actions to prevent future occurrence of similar deviations or
                                           programmatic weaknesses are discussed in Section 8.0 below.
                                                                                                                 .
    - _ - _ - -
            S bv                              fl
                                                        9
                                                   .
                                                                                                                                                    Revision:     1 I
                                                                                                                                                    Page 50 of 53
                                                                                                                                                                    l
                                                                                                                                                                    )
                                                                                                                                                                    1
                                                                                                                      RESULTS REPORT
                                                                                                                       ISAP VII.a.4
                                                                                                                         (Cont'd)
                                                                              ?r
                                                                                    6.0 . CONCLUSIONS
                                                                                            Section 4.1.2.3 of ISAP VII.a.4 describes conditional steps that
                                                                                            were to be performed depending on the results of revious and
                                                                                            evaluations. Although audit program deviations and weaknesses
                                                                                            related to construction activities were identified, it has been         j
                                                                                            determined'that no action is required beyond that specified in          l
                                                                                            ISAP VII.c, which addresses all areas of safety-related hardware
                                                                                            and is intended to provide confidence that any currently
                                                                                            unidentified concerns related to the quality of construction of the     l
                                                                                            CPSES hardware vill have been identified, evaluated and resolved.
                                                                                            Therefore, no additional programs or plans were developed to
                                                                                            address this area. Audit program deviations applicable to off-site
                                                                                            TUGC0 suppliers were also idencified. During the investigation and
                                                                                            evaluation of the impact of these deviations, sufficient           *
                                                                                            information was obtained to provide confidence that the                 i
                                                                                            acceptability of the suppliers' quality assurance' programs for the     I
                                                                                            applicable equipment and services could be. and was. evaluated bV
                                                                                            TUGC0 during the periods in cuestion. Therafara. nn m uieinna_1
                                                                                            programs or plans yeta_da.y. eloped en daemmina the acceptability of'
                                                                                            the suppliers' qqality_ assurance nrogr=== h==ed on the afforts of       ,
                                                                                            QI.heg,o
                                                                                                                                                                    1
                                                                                           As a result of this review of the TUGC0 QA audit program, it has
                                                                           8
                                                                                 -p        been determined that at no time has the written program been in
                                                                                  ,         (yll compliance with moverning stancarna =nn regulatory guidatice,
                                                                                                                                                            -
                                                                                           and in addition has exhibited other weaknesses as described in this
                                                                                           report. This determination substantiated the TRT finding that
                                                                                           ".. . . TUEC's audit procedures did not comply with NRC
                                                                                           requirements."
                                                                                           The ov,erall_ effectiveness of the_.audie evenram_h== han g
                                                                                           fully adequate. Specific examples ares it has failed to identify

I' and cause corrective action of inadequacies in such areas as QC

                                                                                           inspector training, qualification, and certification; and control

i

                                                                                           of non-conforming items and corrective action. It is concluded,
                                                                                           from the evidence observed, that the failure to identify and cause
                                                                                           corrective' action in these two areas was due primarily to the
                                                                                           practice of auditing to existing procedures while not performing
                                                                                           verification of the adequacy of existing procedures to implement
                                                                                           program requirements. It fS further concluded that the cause of
                                                                                           the deviations and weaknesses in the QA audit program which have
                                                                                           been identified in this report are the result of inadequate
                                                                                           procedures. This resulted from the lack of a procedure hierarchy
                                                                                          which would have provided for overall coordination and control of
                                                                                          project activities and organizations by set..or management for
                                                                                           topics such as the following:
                                                                                                   .
  _             _ _ _ - _ _ _ _ _ - _ _ - _ - - - - - - - - - - - ' - - - - -
                               - - _ - _ _ - - _ _ - _                                                           .-
                                                                                                                                                                         -
                                                   '.
                                                                                                                                                                                                           -
                                                                                                                                                                                                               i
                                                                                                                                                                                                             (
                                                                                                                                                                                            Revision:    1
                                                                                                                                                                                            Page 51 of 53
                                                      *
                                                                                                                                                                                                             i
                                                                                                                                                              RESULTS REPORT
                                                                                                                                                               ISAP VII.a.4                                  d
                                                                                                                                                                                                              1
                                                                                                                                                                 (Cont'd)
                                                                6.0 . CONCLUSIONS (Cont'd)                                                                                                                   1
                                                                                                                     -
                                                                                                                                          Interpretation and application of commitments to codes,
                                                                                                                                          standards and regulations,
                                                                                                                     -
                                                                                                                                          Definition and application of self-imposed requirements,
                                                                                                                     -
                                                                                                                                          Standardization of terminology and definitions.                    I
                                                                                                                    -
                                                                                                                                          Delineation of responsibilities.
                                                                                                                    -
                                                                                                                                          Description and responsibility of organizational interfaces
                                                                                                                                          and
                                                                                                                    - _ Structure and content of sub-tier procedures.                                  -

,

                                                                                                 Based on the written record the overall competency of the audit

!

                                                                                                personnel appears to be adequate to perform the required audits for
                                                                                                 the design, construction, and operation phases of CPSES. Except as
                                                                                                previously noted, the program for qualification of audit personnel
                                                                                                is considered to have been adequate,.although TUGC0 was slow to
                                                                                                recognize and incorporate applicable standards and guidance
                                                                                               available to the nuclear industry.                                                                            ;
                                                                                              The NRC TRT and Region IV findings concerning auditor staffing and
                                                                                              qualifications during 1981, 1982, and 1983 could be considered-
                                                                                              valid if the program had been totally dependent on the personnel
                                                                                              assigned to the permanent audit staff. However, in light of the
                                                                                               total number.gp b uslificatio.no of personnel available to._and
                                                                                              utilized _ inn the_apd1t. program. tha_a.udit se,aff is considered both
                                                        p  . p%(-                             adequate and qualified,
                                                          ~
                                                                                             Audit planning and scheduling,.though in the past not in compliance
                                                                                              regarding frequency and not formally systematized until recently,
                                                                                              did appear to be well thought out in the context of the TUGC0
                                                                                              concept of the audit program requirements at any particular time.
                                                                                             However, due to the-lack of a procedure hierarchy which would
                                                                                            provide a firm basis for the development of implementing
                                                                                             procedures. the effectiveness of the audit program to determine the
                                                                                                                                                .
                                                                                            adequacy of the construction QA program was less than desirable.
                                                                                            There is evidence that appropriate consideration has been given to
                                                                                             input from sources such as NRC inspections, previous audits, and
                                                                                            surveillance.
                                                                                            Except as noted, the findinas pertaining to scheduling of audit
                                                                                            frequency are valid. Appropriate procedures have been revised,
                                                                                          which now properly address scheduling of audit frequency.
                   .
                                                                                                                                g.

_ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ - - _ - _ _ _ _ _ _ _ _ _ . _ - _ _ _ _ _ _ _ _ _ . . _ _ _ _ _ . . _ _ _ _ _ _ _ _ _

                                                                                                                                            ~R

_ _ _ _ _ _ - __ - - - - - - - - - - - - - - - -

                                                                                                                                       --
                                                                                                                                             +
                                                                                                                                                 l
                                                                                                                          Revisica:       1
                                                                                                                          Page S2 of S3          i
                                                       RESULTS REPORT
                                                        ISAP VII.a.4
                                                          (Cont'd)
                6.0 CONCLUSIONS (Cont'd)
                                                                                                                                                 !
                      The current written program for auditing and audit personnel                                                             J
                       qualification is in compliance with applicable requirements except
                       in the following areas
                         -
                             Definition of responsibility for the audit program in the FSAR                                                    ;
                                                                                                                                               1
                         -
                             Definition of responsibilities of the audited organization                                                        1
                                                                                                                                               !
                       In addition, at least three currently certified lead auditors have                                                      $
                      not been administered an examination by or for TUGCO.
                      Appropriate corrective action should be taken in these areas.
                                                                                                                                     .
                ".0   ONGOING ACTIVITIES
                                                                                                                                               l
                      The Audit Program and procedures discussed in this report are                                                            i
                      applicable to the remaining construction phase on Unit 2 and for
                      the operating phase of the plant.
                8.0 ACTION TO PRECLUDE OCCURRENCE IN THE FUTURE
                      To prevent future occurrence of the same or similar deviations and
                      weaknesses in the QA audit program (or other portions of the CPSES
                      program) management, particularly senior management (Vice President
                      and above), must actively participate in the program and be kept                                                         ,
                      appraised of audit program results.
                                                                                                                                               ;
                                                                                                                                               1
                      This may be accomplished through development of a hierarchy of
                                                                                                                                               '
                      procedures as described in Section 6.0 of thns report. This would
                      provide the necessary standards and management controls under which
                      the overall program can be effectively defintd and Laplemented. In
                      addition, the procedures should provide for direct senior
                      management participation in the audit program in areas such as
                      audit planning and scheduling, and resolution of progrannatic
                      problems.
                                                                                                                                               i
                      Management at all levels must utilize the output of the audit
                      program (audit reports, summaries, trend analyses, etc.) to
                      evaluate _the adequacy and effectiveness of their portion of the QA
                      program. This should be A:complished by developing requirements
                      for appropriate participation in the development of corrective
                      action for identified deficiencies, and follow-up to ensure that
                      the corrective action has been effectively implemented.
                                                 - - -                _ _ _ _ _ _ _ - - _ _ _ _ _ - _ _ - - - _ - _ _
 _ _ _ _ _ _ _ _ - - _ - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - -                                                                                                      - - - - - - - - - - - - - -            -     -
                                   .. . . .                                                                                                                                       ..                  . . . .-                                      -
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                                                                                                                                                                                                                                                                                  Revisien:      1
                                                                                                                                                                                                                                                                                  Page 53 of 53
                                                                                                                                                                                                 RESITLTS REPORT
                                                                                                                                                                                                  ISAP VII.a.4
                                                                                                                                                                                                    (Cont'd)
                                                                                       6.0 CONCLUSIONS (Cont'd)

i In addition, an independent, periodic assessment of the audit i

                                                                                                          program is essential to provide Senior managemest with timely
                    !
                                                                                                           identification and corrective action of deficiencies or weaknesses
                                                                                                           in the audit program. Such a program will be definei in ISAP
                                             -
                                                                                                          VII.a.5.

t l 9l I

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                      o
                                _          _                     _-__                             _ - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - - " - "" ^             ~ ~ ~ ~ ~ ~ ~ ~ ~ ~ ' ' ~ ~ ~ ^ ~ ~ ~~
         _ _
                  .                                                                      ..                      .    .
                                                                                                                                  _
             4
                                                                                                                                       )
                                                                                                                                    f
                              In Reply Refer 'I o g
                                                                                                                    DR/4FT 1        ;
                              Docket:     50-445/G6-ue                                                              6/30/86         '
                                          50-446/86-06
                                                                                                                                    l
                             Texas Utilitius Generatriu4 Looy mi y
                             ATTN    Mr.   W.   G. Counr,11
                                     Executi ve Vice Presi dent                                           .
                             400 North Olive, L.D. 81
                             Dallas, TX 75201
                                                                                                                                     !
                                                                                                                                    )
                             Gentlemen                                                                                              ,
                             This' ref ers to the construction inspection conducted by Mr.                          H. S.
                             Phillips anci other members ai the Reqion IV Comancho Pool: Group during
                             the pet-fod April 1'through May 31. 1WE, rei activities authori::ed by NRL.
                             Construction
                             Electric         Permito
                                         Station.         CPPR-126
                                                      Unsts      1 and and        Cf'FR-127 for the Comanche Peak Steam
                                                                             2. arid to the di scussi ..     of ou t- findings
                            with yo and other members et your utalf at the conclusion                              of the
                             inspection.                                                                                            1
                            Areas of constructi on euenia smd dur a ng the inspection included a revieu o;
                            activities, action on previous findings, plant status, Brown & Root
                            audits
                            and  pipeof  siteoractivitiec,
                                       supp     t s / r es t r el
                                                               a i ect  i i cn1 cab l e /i n strument ati on i nst al l at i on ,
                                                                   n t s.,    N i i hi r. these areas, the inspection
                            consi st cr2 of sel ecti ve enaminct i nn of procedures and representative
                            records, intervi ewn wi th persor.nal , and observations by the inspectors.
                            The inspection findings are docunser.t eri in the enclosed inspection repor-t
                            During      this inspection, it was (cund that certain of your activities worn
                            in viol ati on o f NRC rerpi a ronie .11 r . I 1.nt.e quer tl y,
                                                                                                      you are required to
                            respond to theno violationu, a is wit.ing, in accordance with the
                            provisions
                            Title 10. Code  of Section
                                                of Federal    2.201
                                                                  Regul  ofatthe    NPL + " Rules of Practice," Part 2,
                                                                               i ons..                                              l
                            the specifien contained                                         Your response should be based on
   .                        letter.                               in the 1.ot. ice of Violation enclosed with this
                                                                                                                                    ?
                           Also duri.ng this i nspec t i ori, it was found that certain of your activi tier
                           appeared
                           the  NRC. to deviate from accepted industry standards / commitments made to
                                          These items and rei erenCFs lo the standards / commitments are
                           i de~.t i f i ed in the enclosed Notice of Deviation. You are requested to
                           respond to these deviations in writino. Your response should be based of
                           the   specifics contained thc the Ikitice of Deviation enclosed with this
                           letter.
                           We    have also
                           identified          enaminedfindings.
                                          inspection            eitt i orin you have takent with regard to previously
                           in paragraph 3 of the enc]oned rrport.                the status,of these items is identified               l
                                                                               EXHIBIT 3')
                                                                                                    *
                                                                                                                                       1
        e

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

                                                                                _
                                                                                   _ - _ _ _ _ _ _ _ _ _ _ _ - - ,
                                                     .
                                                                                                                   I
                                                  i
        The response directed by thic l et ter and the accompanying Notice is not
        subject to the clearance procedurea c, F the Office of Management and
        Budget as required by the Paperuor L F. eduction Act of 1980, PL 96-511.
        Should   you have any qua k,t i en ts concerning this inspection, we will bo
        pleased to discuss them with      ycu.
                                                    Si nc er el y,
                                                                   .
                                                    E. H. Johnson, Director
                                                    Division of Reactor Saf ety
                                                    and Projects
        Enclosures:
        1. Appendix A - Notico o; Violation
       2. Appendi:. D - Natica of Di.'v2 a t 2 on
       3.  Appendix C - NRC Inspection Hrport                                                                      j
                                                                                                                   '
           50-445/86-08
           50-446/86-06
       cc w/ enclosure:
       Texas Utili ti es Electric Con.p a n y
       ATTN:    J. W.  Doc 6 , Monar a .,
                                                                                                                   '
                   Licensing
       Skyway Tower
       400 North Olive Street
       Lock Box 81                                                                                                 ,
       Dallas, Texas     75201                                                                                     ]
                                                                                                                   j
       Juanita Ellis                                                                                               }
                                                                                                                   i
       President - CASE
       1426 South Polk Street
       Dal 1 as. Tenas   75224
       Renea Hicks                                                                                                 i
       Assistant Attorney General
       Environmental Protection                                                                                    !
          Division
       F O. Box 12548                                                                                               -
       Austin, Texas     78711-2548                                                                                 f
                                                                                                                    '
                                                                                                                    l
       Texar, Radiation Control Program Director                                                                    l

l \ ,

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                                                                                                                 _      ._ __ _          _ _ _ -         - - - - - - - -
                            ,                                                                               - .,

h . 4

                                                                                                          4
                                                                                                     ShtWM h       A.
                                                                                                 NOT1,CL OF VIOLATION
                                                    Texas-Utilitien Generating Company-                               Dockets: 50-445/86-08
                                                                                                                                     50-446/86-06
                                                   Comancho Peak' Steam Elactric                                      Permits:        CPPR-126
                                                                     Station, Units 1 and 2                                           CPPR-127
                                '
                                                  During an NRC inspection conducted on April 1-May 31, 1986

L violations of . NRC requi rements were identified. The violations: involved;

                                                  Texas Utilities Generating Company's (TUGCo) f ailure to take ef f ective
                                                                                       ~
                                                   and comprehensive correcti vo action on- audit program deficiencies;
                                                   failuretof' Brown & Root Inc. to perform annual audits of the entire QA
                                                   program during 1980, 1902, and l'?N; 'i ailure of BLR to audit the OA
                                                   Manual and implementing-procedures to a sufficient depth to assure
                                                   control of field design changos, special processes, and inspecti on
                                            'activitie from 1980 through 1985; failure of B&R to develop / usa
                                                   checklists which provide objective evidence of compliance;' failure to
                                            : adequately audit.special prococcas inside the reactor,' auxillary,
           >
                                                  safeguaros and diesel generator buiIdings from 1980-1985; failure of BLR
                                                  to correct" audit program defi ci enci es i dentified by consultant audi ts
                                                 which remained deficient from 19Bv- 1 ?B;5 ; failure of BLR-to correct
                                                  deficiencies idontiFied in audit Cf' in; failure of TUGCo to address
                                            . instrument installation criteria in a procedure; and failure of TUGCo to
                                                 adequatel y t f ollowup' on the corecct i ve action commitmentsEfor an audit-
                                                 deficiency. . In accordance wit h iho " General Statement.of Policy and
                                                 Procedure for NRC Enforcement Actions," 10 CFR Part 2, Appendix C (1985),
                                                 the1 violations are listed below
                                          ' A '.'
                                                                        Criterion XVI of Append 1: D to 10 dFR Part 50, as implemented by
                                                                        Final Safety Analysis Report (FSAR) Section 17.1.16 and Texas

y

                                                                        Utilities Generating Company (TUGCO) Quality Assurance Plan (QAP)
                                                                        Section 16.0, Revision 0, dated July 1, 1978, requires that
                                     d\                                 conditions adverse to quality be promptly identified, reported, and
                                                                        corrected.
                                                                        FSAR Section 17.1.16,: " corrective Action", states that TUGCo
                                                                        requires that measures be established to assure that condi% ions
                                                                        adverse to quality are promptly identified, reported, and corrected.                             !
                                                                        Responsibility f or perf orming corrective action is assigned to                                 !
                                                                        contractors, applicable subcontractors, and vendors so that each is
                                                                        alert   to those conditions advel se to quality within his own area of                           l
 ,                                                                      activity.
 4
                                                                        1.     TUGCo f ailed to take adequato and ef f ective corrective action
                                                                               concerning audit def ic: encies identified in P.S.                Lobbin (a
                                                                               consul ting engineer for  IUGCo) Report dated February 4, 1982
                                                                               concerning the site audit programs which included contractor
                                                                               audit programs.
                                                                                                                                .
              '
                                                                                                                                                                         l
                                                                                                                                                                         4
   _ _ _ _ _ _ , _ _ _ _ _ _ _ _ . _ _ . _ _ _ _ _ _ . _ _ . _ _ _ _ -

, - - - - _

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                     '
                                  ~

}?

                                                                                1
                                                                              g                                         4
                                      2.
                                              TUGCo f ailed to tal.c coa.orehensive corrective action
                                              concerni ng si te contractors' audit programs after the NRC

g

                                           ' Construction Appraisal Team (CAT) report dated April 11, 1983

" found that a site contractor *s audit program had been

                                              inef f ecti ve 'in ' detecting and obtaining corrective action in        1
                                                                                                                       {
                                             saf ety rel ated mechanical end electrical components f or -
                                             heating, ventilation, and air conditioning (HVAC). That is,                j
                                             TUGCo did not adequatel y evaluate other site contractors' audit        .j
                                             programs (including' the Brown and Root Inc. site audit program)           i
                                             to asrure that similar deficiencies did not exist in other
                                             areas cf the site audit program.                                          f
                           ~
                                             As a result of TUGCo's failure to take adequate corrective
                                            . action on audit deficier.cies identified but not limited'to the          {
                                             above examples, the EhF: raudi t program has been deficient f rom-
                                             1980 through 1986 as evidenced by the ncncompliances described          .j
                                             in Violations ft anr1 L Mjow and Deviation No. 2 in Appendix D
                                            Notice of Deviation.                                                       l

L

                                     This i's a Severity Level IV v2 ol ation (Supplement'II)
                                      (445/8608-V-01; 446/0606-V-01).
                 *
                               B.
                                     Cri t eriQAP
                                     TUGCo      on XVIII   of1Appendi:.
                                                     Section              D in 10 CFR Part 50 as implemented by
                                                              U. u, Ravamlan        *
                                     Section 17.0, requi res that a
                                                                                  ~,
                                                                                      dated July,31, 1984 and FSAR
                                                                            ca.hprehensi ve system of planned and
                                     periodic audits shall be em ried out to verif y compli&a ze wi th all
                                     aspects of the qualit y encurance program to determine the
                                     effectiveness of the program and be performed in accordance with
                                     procedures or check 12stz, r ebu l t t., be documented, and followu~p-
                                     action, including roaudit.        o+  dolicient areas, shall be takon.
                                     1.
                                           FSAR Section 17.1.18, "nudits", requires that planned and
                                           peri   edi e audi ts bo per1 aru.cd to vertfy compliance with all
                                           aspects of the quality
                                           effectiveness.                 abcurance program and to determine the ,
                                                                            .
                                           Brown k Root. Inc. DA danual Section 19.0 issued September
                                           17,1981 and impl ementi ng procedures DAP-18.1 dated July 14,
                                           1975 and subcequent revits ans and CP-QAP-19.1 dated October
                                           15,1984
                                                       (which superceded DAP-18.1) require the B&R DA manager
                                           to assure that the untire UA program is audited annually.
                                           Contrary to the above, Brown & Root Inc..faile'd to audit the
                                           entire A9ME/DA program to determine program effectiveness for
                                           calendar     years 1980, 1982, and 1984. (445/8608-V-04;
                                           441,8606-V-04)
                                    2.     FSAR Section 17.1.5, " Instructions, Procedures, and                        1
                                           Drawings", requires that safety related activities be
                                          ac compl i shed in accordance with
                                                                                      these documents and through
                                          auditing, as described in 17.1.18, TUGCo determines that                    i
                                                                                             .
                   .
                                                                                                                       l
                                                                                                                         <
                                                                                                                        J
                                                                                                                         l
 ____i__E_.'.            .   _
                                                                                                  '
      w.4                                              - - . .
                                                                                                ,
              .
            .
                                                     b                                                  l
                                                                                                      i
                     quality related acti vi t s en are accomplished in accordance with             i
                                                                                                     q

l-

                     those approved instruction, procedures, and drawings,
                     BLR CA Manual Section 19.0 issued September 17, 1981 requires
                                                                                                    1'
                     that measures be established for an audit program that will
                     provide _ objective evidence of compliance with the QA manual;
                     compliance with pertinent specifications, codes, and

l procedures; and a method of keeping management informed of DA

                     program effectiveness.
                     Contrary to the abovo' BLR f ailed to adequately audit the sito
                     ASME DA manual, specifications, codes, and procedures to assun
                     OA program of f ectivcness as f ollows (445/8608-V-08;
                     446/8606-V-OS):
                     a.    BLR f ailed to audit the QA Manual and procedures; i.e.,                 I
                           Audi t CP--17 (1YSU) todicated that neither the QA Manual
                           nor implementing procedures for design control (f i el d
                           changes) and the Authori:*ed Inspector interface activitini
                           were audited.       Al so, the B&R auditors informed management
                           in this report that the area of material traceability for
          '
                          hanger and component support modification (related to
                          speci al procemr.oc and design control) were not
                           suf f i ci en t l y audsted to assure compliance with applicable

i codes and standards. There is no evidence that these

                          arean r ec ei vr>d emphasi s duri ng (subsequent) audits.
                    b.    BLR failed to aucht- t r.a OA manual and procedures; i.e.,
                          BOR QA Manual Sectien 4.U; " Design Control" issued
                          September 17,1981 and implementing procedures for field
                          changes which were in effect from 1980 through 1985 were
                          not audited to softicient depth and were not audited at
                          all in 1980 and 1905.            The audit reports f or this 6 year
                          period do not document the audit of any implementing
                          procedtres; 1.s.,       CP-CPM-4.1 (1981) " Construction Request
                          for Engineering Design Changes"; CP-CPM-9.13 (1984,
                          Revision 10) " Modification of Vendor Supplied Catolog
                           Item"; GCP (no date) " Control of Field Sketches"; WEI 4.6                ;
                           (1982) "Instructao: for Control of Welding Engineering
                          CMC's"; and CP-QAP-04.01 (1983) " Program for
                          Repair /Alterr.tlon ci hBMC-N Stamped Components".
                                                                                                     .
                                                                                                    l
                    c.
                          BLR failed to audit the DA manual and procedures; i.e.,
                          BLR DA Manual Section 10.0 " Control of Special Processes"                j
                          issued September 17,1981 and implementing procedures which                 I
                          were in effect from 1980-1985 were not audited to
                          sufficient depth and were not audited at all in 1984.             The
                          audit reports for this 6 year period reference                            !
                          approximately 12 (UA manual sections, procedures, and                      I
                         construction procedures) of 75 applicable project                          {
                         documents (less may have been audited) . This activity
                                                                                                    1
                         represents a large part of the ASME work acti vi ty                          '
                                                                      .
                                                                                                    'l
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        '
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                                                                                                        ,
      *
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- -- :-_-- _ -

                                                                                                _ _ _ _ _ _ _   _ _ _ . _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _ _
                                                                                           ,
                                                                                        ,.
                                                                                                                                                              ~
                                                 .
                                                                                      /
                                                               perf ormed ior 1UGCo and a partial audit of less than 3% ot
                                                               the project documents pur year is too low f or this                                                ,
                                                               important work act a vi ty.                                                                        !
                                                                                                                                                                  l
                                                                                                                                                                  i
                                                        d.
                                                               BLR f ailed to audit the QA manual and procedures;                                       i.e.,
                                                               BLR.QA Manual Section 11.0,    " Examination, Tests, and
                                                               Inspections", issued September 17, 1981 and implementing
                                                              . procedures which were in effect from 1980 through 1985
                                                               were not audited to suf ficient depth and were not audited
                                                               at all in 1980.   ~f he audi t reports f or this 6 year peri od
                                                               references 8 of SS applicable project documents (less may
                                                               have been audited). Th2s ASME work activity represents c'                                          I
                                                               large amount of work done for TUGCo and partial audit of

}}