IR 05000354/2025010
| ML25352A002 | |
| Person / Time | |
|---|---|
| Site: | Hope Creek |
| Issue date: | 12/18/2025 |
| From: | Jason Schussler Division of Operating Reactors |
| To: | Mcfeaters C Public Service Enterprise Group |
| References | |
| IR 2025010 | |
| Download: ML25352A002 (0) | |
Text
December 18, 2025
SUBJECT:
HOPE CREEK GENERATING STATION - BIENNIAL PROBLEM IDENTIFICATION AND RESOLUTION INSPECTION REPORT 05000354/2025010
Dear Charles McFeaters:
On August 22, 2025, the U.S. Nuclear Regulatory Commission (NRC) completed a problem identification and resolution inspection at your Hope Creek Generating Station and discussed the results of this inspection with Michael Maiuro, Principal Compliance Specialist, and other members of your staff. The results of this inspection are documented in the enclosed report.
Due to the temporary cessation of government operations, which commenced on October 1, 2025, the NRC began operating under its Office of Management and Budget-approved plan for operations during a lapse in appropriations. Consistent with that plan, the NRC operated at reduced staffing levels throughout the duration of the shutdown. However, the NRC continued to perform critical health and safety functions and make progress on other high-priority activities associated with the ADVANCE Act and Executive Order 14300. On November 13, 2025, following the passage of a continuing resolution, the NRC resumed normal operations. As a result, the issuance of this inspection report is delayed beyond the timeliness criteria specified in Inspection Manual Chapter 0611, Power Reactor Inspection Reports.
The NRC inspection team reviewed the stations problem identification and resolution program to confirm that the station was complying with NRC regulations and licensee standards. Based on the samples reviewed, the team determined that your program complies with NRC regulations and applicable industry standards such that the Reactor Oversight Process can continue to be implemented.
The team also evaluated the stations effectiveness in identifying, prioritizing, evaluating, and correcting problems, reviewed licensee audits and self-assessments, and its use of industry and NRC operating experience information. The results of these evaluations are in the enclosure.
Finally, the team reviewed the stations programs to establish and maintain a safety-conscious work environment and interviewed station personnel to evaluate the effectiveness of these programs. Based on the teams observations and the results of these interviews, the team found no evidence of challenges to your organization's safety-conscious work environment. Your employees appeared willing to raise nuclear safety concerns through at least one of the several means available.
No findings or violations of more than minor significance were identified during this inspection.
This letter, its enclosure, and your response (if any) will be made available for public inspection and copying at http://www.nrc.gov/reading-rm/adams.html and at the NRC Public Document Room in accordance with Title 10 of the Code of Federal Regulations 2.390, Public Inspections, Exemptions, Requests for Withholding.
Sincerely, Jason E. Schussler, Team Leader Technical Support and Administrative Team Division of Operating Reactor Safety
Docket No. 05000354 License No. NPF-57
Enclosure:
As stated
Inspection Report
Docket Number:
05000354
License Number:
Report Number:
Enterprise Identifier: I-2025-010-0006
Licensee:
Facility:
Hope Creek Generating Station
Location:
Hancock's Bridge, NJ
Inspection Dates:
August 4, 2025 to August 22, 2025
Inspectors:
D. Beacon, Senior Project Engineer
J. Bresson, Project Engineer
J. Edwards, Physical Security Inspector
M. Henrion, Senior Project Engineer
D. Orr, Senior Project Engineer
Approved By:
Jason E. Schussler, Team Lead
Technical Support and Administrative Team
Division of Operating Reactor Safety
SUMMARY
The U.S. Nuclear Regulatory Commission (NRC) continued monitoring the licensees
performance by conducting a biennial problem identification and resolution inspection at Hope
Creek Generating Station, in accordance with the Reactor Oversight Process. The Reactor
Oversight Process is the NRCs program for overseeing the safe operation of commercial
nuclear power reactors. Refer to https://www.nrc.gov/reactors/operating/oversight.html for more
information.
List of Findings and Violations
No findings or violations of more than minor significance were identified.
Additional Tracking Items
None.
INSPECTION SCOPES
Inspections were conducted using the appropriate portions of the inspection procedures (IPs) in
effect at the beginning of the inspection unless otherwise noted. Currently approved IPs with
their attached revision histories are located on the public website at http://www.nrc.gov/reading-
rm/doc-collections/insp-manual/inspection-procedure/index.html. Samples were declared
complete when the IP requirements most appropriate to the inspection activity were met
consistent with Inspection Manual Chapter (IMC) 2515, Light-Water Reactor Inspection
Program - Operations Phase. The inspectors reviewed selected procedures and records,
observed activities, and interviewed personnel to assess licensee performance and compliance
with Commission rules and regulations, license conditions, site procedures, and standards.
OTHER ACTIVITIES - BASELINE
71152B - Problem Identification and Resolution
Biennial Team Inspection (IP Section 03.04) (1 Sample)
(1)
The inspectors performed a biennial assessment of the effectiveness of the licensees
problem identification and resolution program, use of operating experience, self-
assessments and audits, and safety-conscious work environment.
- Problem Identification and Resolution Effectiveness: The inspectors assessed
the effectiveness of the licensees problem identification and resolution
program in identifying, prioritizing, evaluating, and correcting problems. The
inspectors also conducted a five-year review of the Unit 1 high pressure
coolant injection (HPCI) system. The corrective actions for the following non-
cited violations (NCVs) and findings were evaluated as part of the
assessment: NCV 05000354/2023003-02, 05000354/2023402-01,
05000354/2024003-02, 05000354/2024003-01, and 05000354/2024010-02.
- Operating Experience: The inspectors assessed the effectiveness of the
licensees processes for use of operating experience.
- Self-Assessments and Audits: The inspectors assessed the effectiveness of
the licensees identification and correction of problems identified through
audits and self-assessments.
- Safety-Conscious Work Environment: The inspectors assessed the
effectiveness of the stations programs to establish and maintain a safety-
conscious work environment.
INSPECTION RESULTS
Assessment
Problem Identification and Resolution Program Effectiveness:
The inspectors determined that PSEGs problem identification and resolution program for
Hope Creek was generally effective and adequately supported nuclear safety and security.
Identification: The team reviewed a sample of issues that have been processed through
PSEGs problem identification and resolution program since the last biennial team inspection,
including NCVs of regulatory requirements and other documented findings. The team
determined that, based on the samples selected, PSEG identified issues and entered them
into the corrective action program.
Prioritization and Evaluation: Based on the samples reviewed, the team determined PSEG
was generally effective at prioritizing and evaluating issues commensurate with the safety
significance of the identified problem. Inspectors observed that at station corrective action
program meetings, issues were generally screened and prioritized at the appropriate level
and that corrective actions were assigned to address the issues. However, the inspectors
identified a minor performance deficiency when PSEG failed to comply with a self-imposed
standard regarding procedure use and adherence. Additionally, the inspectors identified two
observations related to timely corrective actions and documentation of various issues with
HPCI system parameters. Both the minor performance deficiency and two observations are
documented below.
Corrective Action: The team reviewed a sample of corrective actions and concluded that
PSEG was marginally effective in developing corrective actions that were focused on
correcting the identified problems.
Assessment
Operating Experience:
The inspectors reviewed a sample of operating experience captured in the corrective action
program and sampled operating experience from NRC, industry, vendors, and third-party
groups. Overall, for the samples selected, PSEG was generally performing the appropriate
assessments for station applicability.
Assessment
Self-Assessments and Audits:
The inspectors determined that PSEG was adequately performing self-assessments and
audits in accordance with licensee procedures and implementing corrective actions as
needed.
Assessment
Safety-Conscious Work Environment:
The team interviewed a total of 33 individuals in informal one-on-one discussions. The
purpose of these interviews was (1) to evaluate the willingness of PSEG staff to raise nuclear
safety issues, (2) to evaluate the perceived effectiveness of the corrective action program at
resolving identified problems, and (3) to evaluate PSEG's safety-conscious work
environment. The personnel interviewed were randomly selected by the inspectors from
Engineering, Maintenance, Operations, Radiation Protection, Chemistry, Emergency
Preparedness, and Security. To supplement these discussions, the team interviewed the
Employee Concern Program (ECP) Coordinator to assess their perception of the site
employees' willingness to raise nuclear safety concerns and reviewed the ECP case log and
select case files.
All individuals interviewed indicated that they would raise safety concerns. Individuals felt that
their management was receptive to receiving safety concerns and generally addressed them
promptly, commensurate with the significance of the concern. Interviewees indicated that they
were adequately trained and proficient on initiating condition reports. Most interviewees were
aware of the licensee's ECP, and all stated they would use the program if necessary and
expressed confidence that their confidentiality would be maintained if they brought issues to
the ECP. When asked whether there have been any instances where individuals experienced
retaliation or other negative reactions for raising safety concerns, all individuals interviewed
stated that they had neither experienced nor heard of an instance of retaliation at the site.
The team determined that the processes in place to mitigate potential safety culture issues
were adequately implemented.
Minor Performance Deficiency
Minor Performance Deficiency
Minor Performance Deficiency: PSEG created a preventative maintenance (PM) deferral
request (PDR), PDR-24-000254, to make a one-time 18-month extension of the 12-year
HPCI turbine internal inspection PM and determined that the PM deferral was high risk. ER-
AA-210-1005, Preventative Maintenance (PM) Change Processing, requires that high risk
PM deferrals have an approved and implemented mitigation strategy. The PDRs approved
implementation mitigation strategy required additional parameters to be collected during the
quarterly HPCI inservice test (IST) runs, such as: the degradation of a known oil leak,
quantification of known pump seal leakage, turbine thrust bearing oil pressure, hydraulic reset
supply oil pressure, overspeed trip supply oil pressure, barometric condenser pressure,
thermal imaging of the turbine and pump, trending of pump discharge and turbine steam
discharge pressures, and valve stroke times. However, after June 2024, PSEG failed to
record the implementation mitigation strategy values during the quarterly HPCI IST pump
runs.
Screening: The inspectors determined the performance deficiency was minor. The inspectors
evaluated the performance deficiency in accordance with the guidance in IMC 0612,
Appendix BProperty "Inspection Manual Chapter" (as page type) with input value "NRC Inspection Manual 0612,</br></br>Appendix B" contains invalid characters or is incomplete and therefore can cause unexpected results during a query or annotation process., Issue Screening, and determined the issue was of minor significance because
it did not adversely impact the Mitigating Systems cornerstone. Although additional
parameters were not collected as required by the PDRs mitigation strategy, the HPCI system
remained available and operable during the impacted period except for planned maintenance
and surveillance testing.
Observation: Timeliness of corrective actions
Examples of licensee staff failing to schedule corrective action assignments in a timely
manner include:
1. Notification 20919997 for the 1A service water pump motor space heater drawing
current less than expected was documented on November 4, 2022. On August 6,
2025, the inspectors identified that the motor was at ambient temperature with the
motor secured. The motor space heaters are designed to be energized with the motor
secured to maintain the motor windings warm and dry such that condensation will not
collect and adversely affect the motor windings. As of August 6, 2025, PSEG had
failed to schedule repair of the 1A service water pump motor space heater to ensure
its continued long-term reliability in a humid environment. New notification 20999330
was initiated on August 6, 2025, to document the concern and a repair was scheduled
to occur during the next 1A service water pump outage.
2. Notification 20705507 for H1KJ-1KJV-249, emergency diesel generator (EDG) oil
check valve, was documented on October 15, 2015. NRC inspectors identified an oil
leak from the check valve and a nearby pipe rub with deck grating. PSEG walked
down the concern but believed the oil leak was associated with the D EDG and
coming from H1KJ-1D-S-404. A pipe rub was not similarly identified by the PSEG
staff. During a walkdown on February 26, 2020, PSEG staff subsequently identified
that the NRC inspectors original concern was with the B EDG and not the D
EDG. On August 19, 2025, the inspectors requested the status of the D EDG check
valve oil leak and pipe rub and learned that no repair had been scheduled. On
August 20, 2025, PSEG returned notification 20705507 to the Station Ownership
Committee (SOC) to reconsider the condition and to schedule repairs.
3. Notification 20686303 was initiated on April 22, 2015, for an undervoltage (UV) time
delay relay (TDR) associated with a 1B EDG breaker auto-close permissive being out
of tolerance. The 1B EDG was evaluated as operable, and the UV TDR repair was
scheduled for repair during refueling outage 19 in April 2015. On July 7, 2015, the
scheduled work was scoped out of refueling outage 19 and rescheduled for refueling
outage 20 in fall 2016. At the time of this inspection, the notification was not updated,
and the repair was not completed. On August 20, 2025, PSEG returned notification
20686303 to the SOC to reconsider the condition and to schedule repairs.
4. On August 7, 2025, the NRC inspection team identified significant external corrosion
on a fire water header in the basement of the B/D bay of the service water intake
structure. The corrosion was previously identified by an NRC inspector on March 12,
2024, pictures were taken and notification 20959367 was initiated. Based on the
pictures, the corrosion had worsened, and pipe material loss was evident. PSEG
rescheduled the pipe refurbishment, but it is now scheduled for repair 100 weeks after
the original intended date.
Observation: Prior to notifications updated for new adverse condition
The inspectors observed two examples of notifications that were originally written for HPCI
system parameters that were low out of band and were later updated for the parameters
being high out of band instead of a new notification being written for the new condition as
directed by procedure LS-AA-120, Issue Identification and Screening Process, Step 4.2.2.
1. Notification 20840058 was written for HPCI turbine bearing oil pressure being low out
of band in November 2019. The notification was later updated for the oil pressure
being high out of band in December 2022, June and September 2023, and June
2025.
2. Notification 20938749 was written for HPCI aux oil pump filter inlet pressure being low
out of band in June 2023. The notification was updated in June 2025 for the inlet
pressure being high out of band and an operability screening for the new condition
was not performed until August 2025 when questioned by the inspectors.
EXIT MEETINGS AND DEBRIEFS
The inspectors verified that no proprietary information was retained or documented in this
report.
- On August 22, 2025, the inspectors presented the biennial problem identification and
resolution inspection results to Michael Maiuro, Principal Compliance Specialist, and
other members of the licensee staff.
DOCUMENTS REVIEWED
Inspection
Procedure
Type
Designation
Description or Title
Revision or
Date
Corrective Action
Documents
20999540
20840058
20938749
20919997
20999330
20705507
20686303
20959367
20983620
20936320
80135162
20999254
20995321
20995364
20999061
20938749
20840058
20892804
Corrective Action
Documents
Resulting from
Inspection
20999041
20999042
20999043
20999045
20999048
20999049
20999061
20999284
20999330
20999426
Procedures
ISSUE IDENTIFICATION AND SCREENING PROCESS
CORRECTIVE ACTION PROGRAM
CAUSE ANALYSIS
QUALITY ASSURANCE TOPICAL REPORT (QATR)
Inspection
Procedure
Type
Designation
Description or Title
Revision or
Date
Self-Assessments 70233173
70230410
70233173
70235479
70231369
70236734
70230115
70198049
70209513