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On July 2, 2010, Southern Nuclear OperatinOn July 2, 2010, Southern Nuclear Operating Company (SNC) provided a non-emergency event notification (EN# 46067) for an apparent non-compliance with 10 CFR 26.61 relating to self-disclosure requirements. During implementation of corrective actions for that event, Shaw Nuclear Services Inc. (Primary Construction Contractor for Vogtle 3&4) personnel identified that several of the self-disclosure forms received from a sub-contractor had very similar handwriting. An incident investigation was initiated to ascertain the relevant facts. During that investigation, Shaw identified two supervisory personnel from the sub-contractor organization who apparently provided the suspect self-disclosure documents for other employees from their company. Unescorted access for the two supervisory personnel was suspended and they were removed from the site pending completion of the investigation. All suspect self-disclosure forms were removed from the files, and the affected individuals have completed and submitted new self-disclosure forms. No other evidence of policy violations has been identified during this process. The investigation into the FFD event continues. On July 14, 2010, Shaw notified SNC that sufficient indication exists that the actions of the sub-contractor supervisory personnel may have violated the Shaw FFD policy. As such, this issue is reportable in accordance with 10 CFR 26.719(b)(2)(ii), which requires a non-emergency event notification.</br>The licensee notified the NRC Resident Inspector.</br>* * * UPDATE AT 1446 ON 10/12/2010 FROM JIM DAVIS TO CHARLES TEAL * * *</br>On July 15, 2010, Southern Nuclear Operating Company (SNC) provided a non-emergency event notification (EN# 46096) for an apparent violation of the Shaw Fitness for Duty (FFD) policy by two subcontractor supervisory personnel who provided suspect self-disclosure documents for other employees from their company. On October 11, 2010, SNC was notified by Shaw that a third sub-contractor supervisory individual was identified as being involved in the original event reported on July 15, 2010. This supervisory individual has been relieved of duty and removed from Vogtle 3&4 site. The documents affected by this individual were part of the documents identified in the original notification (EN# 46096) made on July 15, 2010. As part of the corrective actions from the root cause investigation into the previously reported events, Shaw has verified that a self-disclosure form has been completed by each individual as required by 10 CFR 26. This notification is being made as an update to EN# 46096 to identify that a third individual was involved in violating the Shaw FFD policy.</br>The licensee notified the NRC Resident Inspector. Notified R4DO (McCoy).he NRC Resident Inspector. Notified R4DO (McCoy).  
17:47:00, 14 July 2010  +
46,096  +
12:59:00, 15 July 2010  +
17:47:00, 14 July 2010  +
On July 2, 2010, Southern Nuclear OperatinOn July 2, 2010, Southern Nuclear Operating Company (SNC) provided a non-emergency event notification (EN# 46067) for an apparent non-compliance with 10 CFR 26.61 relating to self-disclosure requirements. During implementation of corrective actions for that event, Shaw Nuclear Services Inc. (Primary Construction Contractor for Vogtle 3&4) personnel identified that several of the self-disclosure forms received from a sub-contractor had very similar handwriting. An incident investigation was initiated to ascertain the relevant facts. During that investigation, Shaw identified two supervisory personnel from the sub-contractor organization who apparently provided the suspect self-disclosure documents for other employees from their company. Unescorted access for the two supervisory personnel was suspended and they were removed from the site pending completion of the investigation. All suspect self-disclosure forms were removed from the files, and the affected individuals have completed and submitted new self-disclosure forms. No other evidence of policy violations has been identified during this process. The investigation into the FFD event continues. On July 14, 2010, Shaw notified SNC that sufficient indication exists that the actions of the sub-contractor supervisory personnel may have violated the Shaw FFD policy. As such, this issue is reportable in accordance with 10 CFR 26.719(b)(2)(ii), which requires a non-emergency event notification.</br>The licensee notified the NRC Resident Inspector.</br>* * * UPDATE AT 1446 ON 10/12/2010 FROM JIM DAVIS TO CHARLES TEAL * * *</br>On July 15, 2010, Southern Nuclear Operating Company (SNC) provided a non-emergency event notification (EN# 46096) for an apparent violation of the Shaw Fitness for Duty (FFD) policy by two subcontractor supervisory personnel who provided suspect self-disclosure documents for other employees from their company. On October 11, 2010, SNC was notified by Shaw that a third sub-contractor supervisory individual was identified as being involved in the original event reported on July 15, 2010. This supervisory individual has been relieved of duty and removed from Vogtle 3&4 site. The documents affected by this individual were part of the documents identified in the original notification (EN# 46096) made on July 15, 2010. As part of the corrective actions from the root cause investigation into the previously reported events, Shaw has verified that a self-disclosure form has been completed by each individual as required by 10 CFR 26. This notification is being made as an update to EN# 46096 to identify that a third individual was involved in violating the Shaw FFD policy.</br>The licensee notified the NRC Resident Inspector. Notified R4DO (McCoy).he NRC Resident Inspector. Notified R4DO (McCoy).  
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00:00:00, 12 October 2010  +
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02:08:40, 2 March 2018  +
12:59:00, 15 July 2010  +
0.8 d (19.2 hours, 0.114 weeks, 0.0263 months)  +
17:47:00, 14 July 2010  +
Fitness for Duty Programmatic Issue Applicable to Construction Units 3 and 4  +
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