ML18030B322: Difference between revisions

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| issue date = 05/06/1986
| issue date = 05/06/1986
| title = Responds to NRC 860408 Ltr Re Violations Noted in Insp Repts 50-259/86-10,50-260/86-10 & 50-296/86-10.Corrective Actions: Current Health Physics Training Will Be Required for Unescorted Access to Protected Area,Effective on 860526
| title = Responds to NRC 860408 Ltr Re Violations Noted in Insp Repts 50-259/86-10,50-260/86-10 & 50-296/86-10.Corrective Actions: Current Health Physics Training Will Be Required for Unescorted Access to Protected Area,Effective on 860526
| author name = LAMBERT D L
| author name = Lambert D
| author affiliation = TENNESSEE VALLEY AUTHORITY
| author affiliation = TENNESSEE VALLEY AUTHORITY
| addressee name = GRACE J N
| addressee name = Grace J
| addressee affiliation = NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION II)
| addressee affiliation = NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION II)
| docket = 05000259, 05000260, 05000296
| docket = 05000259, 05000260, 05000296

Revision as of 01:33, 18 June 2019

Responds to NRC 860408 Ltr Re Violations Noted in Insp Repts 50-259/86-10,50-260/86-10 & 50-296/86-10.Corrective Actions: Current Health Physics Training Will Be Required for Unescorted Access to Protected Area,Effective on 860526
ML18030B322
Person / Time
Site: Browns Ferry  Tennessee Valley Authority icon.png
Issue date: 05/06/1986
From: Lambert D
TENNESSEE VALLEY AUTHORITY
To: Grace J
NRC OFFICE OF INSPECTION & ENFORCEMENT (IE REGION II)
References
NUDOCS 8605200311
Download: ML18030B322 (6)


See also: IR 05000259/1986010

Text

TENNESSEE VALLEY AUTHORITY CHATTANOOGA.

TENNESSEE 37401 5N 118B Lookout Place pl May 6, 1986 U,S.Nuclear Regulatory

Commission

Region II ATTN: Dr.J.Nelson Gxace, Regional Administrator

101 Marietta Street, NW, Sui.te 2900 Atlanta, Georgia 30323 Dear Dx.Grace: BROWNS FERRY NUCLEAR PLANT UNITS 1, 2, AND-NRC-OIE REGION II INSPECTION

REPORT 50-259/86-10, SO-260/86-10, 50-296/86-10

RESPONSE TO VIOLATIONS

Enclosed is our x'esponse to J.A.Olshinski.'s

April 8, 1986 letter to S.A.White transmitting

IE Inspection

Report Nos.SO-259/86-10, 50-260/86-10, and 50-296/86-10

for our Browns Ferry Nucleax Plant, which cited TVA wi.th one Severity Level IV Violation.

If you have any questions, please get in touch with R.E.Alsup at FTS 858-2725.To the best of my knowledge, I declare the statements

contained herein are complete and true.Vex'y truly yours, TENNESSEE VALLEY AUTHORITY pX D.L.Lambext Nuclear Engineer Enclosure cc: Mr.James Taylor, Director (Enclosure)

Office of Inspection

and Enforcement

U.S.Nuclear Regulatory

Commission

Washington, D.C.20555 Sb05200311

8b050b PDR ADOCK 05000259 8 PDR An Equal Opportunity

Employer

ENCLOSURE RESPONSE NRC INSPECTION

REPORT NOS.50 259/86 10~50 260/86 10 y AND 50 296/86 10 JOHN A.OLSHINSKI'S

LETTER TO S.A.WHITE DATED APRIL 8, 1986 Item 1 Technical Specification 6.3 requi.red that detai.led radiation control procedures

be prepared, approved, and adhered to.Plant procedure BF RCI-8, Radiobioassay

Program, required a current whole body count prior to entry into a contamination

zone.Plant procedure BF RCI-9, Radiation Work Permits, requi.red current General Employee Level II training prior to entering an area requiring a radiation work permit.Contrary to the above, during the period September 1, 1985 to February 28, 1986, the li.censee failed to adhere to radiation control pr'ocedures

in that: a.Forty licensee employees entered radiati.on

work permi.t areas without the training required by plant procedure RCI-9.b.Nineteen licensee employees entered contamination

zones without current whole body counts as required by plant procedure RCI-8.This is a Severity Level IV violation (Supplement

IV).1.Admission or Denial of the Alle ed-Findin We admit that the violation occurred as stated.We believe it is important to emphasize that this vt.olation

was identi.fied

about.three months before the NRC inspecti.on.

Each deviation event was formally documented

by health physics through theRadiological

Incident Report (RIR)system.2.Reasons for the Violation The completion

of all required training and whole body counts is a prerequisite

for personnel to obtain a security badge when first reporting to the site.Until September 1985, individual

security badges were pulled if the retraining

requirements

were not kept current.At that time, a decision was made to use the security badge as control of personnel for security reasons only and not.to ensure health physi.cs retraining.

This change was made to simplify the security access control system.Thus, individuals

were made r'esponsible

for maintaining

their own retraining

requirements.

Supervisors

were notified of the changes to the security badge program during various plant meetings.Our experience

since the change is that the new method has not, been completely

sati.sfactory

as evidenced by the number of defi.ciencies

documented

in the RIR system.It appears that all plant personnel are not aware of health physics training requirements

before entry into a radiati.on

work permit area or the requirement

of current whole body counts before entry into a contamination

zone.

3.Corrective

Ste s Which'Have

Been Taken and Results Achieved Health physics wx'ites RIRs against those individuals

who use a Radiological

Work Permit (RWP)without having cuxrent health physics training ox whole body counts.Plant management

has stressed these requirements

during plant meetings and is reviewing completed RIRs.In addition, effective January 31, 1986, health physics initiated a respirator

issue program which has successfully

prevented workers with expired health physics training or whole body count from entex'ing a radiation work permit area xequiring respiratory

protection.

4.Corrective

Ste s Which Will Be Taken to Avoid Further Violations

a.Effective May 26, 1986, current health physics training will be required for unescorted

access to the protected area.b.Plant management

will issue a letter to plant employees by May 8, 1986, describing

disciplinary

action to be taken for entering contamination

zones without a current whole body count and for entering a radiation work permit area without current level II training.c.The training department

will emphasize the following specific issues during, General Employee Training beginning May 14, 1986: 1.Plant procedures

require a current whole body count before entry into a contamination

zone:"-2.Plant procedures

require current Genexal Employee Level II Health Physics Training before entering an axea requiring a radiation work permit.3.Attentiveness

to all posted areas is essential for all plant employees.

4.Notify health physics if you are not"positive" that you are in full compliance

with radiological

control procedures.

d.Health physics will contxol the ability of personnel to enter RWP.areas, including contamination

zones, thxough control of the pocket chamber.Personnel must have a pocket chambex in order to sign on an RWP.Only personnel who meet RWP entry xequirements

will be issued pocket chambers.Computer software changes will be made to accomplish

this action, including pulling the pocket chambex's of individuals

with expired whole body counts.5.Date When Full Co lienee Will Be Achieved Our corrective

actions detailed in 4.d.will be in place by June 15, 1986, at which time full compliance

will be achieved.