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See also: [[followed by::IR 05000255/1991006]]


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{{#Wiki_filter:l'OWERINli  
{{#Wiki_filter:l'OWERINli MICHlliAN§S l'ROliRESS Palisades Nuclear Plant: 27780 Blue Star Memorial Highway, Covert, Ml 49043 April 29, 1991 Nuclear Regulatory Commission Document Control Desk* Washington, DC. 20555 DOCKET 50-255 -LICENSE DPR-20 -PALISADES PLANT -RESPONSE TO INSPECTION REPORT 91006; NOTICE OF VIOLATION GB Slade
MICHlliAN§S  
* General Manager Nuclear Regulatory Commission (NRC) Inspection Report 91006, dated March 29, 1991, documented the results of a routine safety inspection and reported the issuance of two violations for: (1) the use of uncontrolled health physics portable laboratory measuring and test equipment in the plant and (2) the use of uncontrolled vendor manuals in the plant. The following is Consumers Power Company's response to these violations.
l'ROliRESS  
Violation 50-255/91006-02 Technical Specification 6.11 requires that procedures for personnel radiation protection shall be approved, maintained and adhered to for all operations involving radiation exposure.
Palisades  
* Administrative Procedure 7.01, "Health Physics Portable Instrumentation Program", requires that all health physics instrumentation shall be calibrated, have operational checks performed once per day, shall be serialized and shall have calibration stickers placed upon them. -Contrary to the above, on March 7, 1991, a Ludlum Model 177 (count rate meter) that was not serialized, not calibrated and had not been operationally*
Nuclear Plant: 27780 Blue Star Memorial Highway, Covert, Ml 49043 April 29, 1991 Nuclear Regulatory  
checked, was found in use in the instrumentation and controls laboratory.
Commission  
Contrary to the above, on March 4, 1991, a Radeco air sampler (# 7241) was* fol.ind in room C-54 that had not been operationally checked since February 16,
Document Control Desk* Washington, DC. 20555 DOCKET 50-255 -LICENSE DPR-20 -PALISADES  
* 1991. . Reason for Violation
PLANT -RESPONSE TO INSPECTION  
: 1. Ludlum Model 177 (count rate meter) .Administrative procedure 7.01, "Health Physics Portable Instrumentation Program", Section 13.0. requires that all plant health physics portable instrumentation (HPPI) will be placed on a status board computer listing in accordance with health physics procedure "Health Physics Instrument Status Board". The purpose of this procedure is to define the 9105080006 910429 PDR 05000255 Q PDR   
REPORT 91006; NOTICE OF VIOLATION  
-2 methods necessary to maintain accurate status of the health physics instrumentation and equipment.
GB Slade * General Manager Nuclear Regulatory  
The instrument in question was not included in the HPPI program and therefore was not controlled in accordance with the procedure.
Commission (NRC) Inspection  
The instrument had been abandoned by the Radiation Safety Department and was considered obsolete.
Report 91006, dated March 29, 1991, documented  
However, the instrument was *retained in the Instrument and Controls (I&C) laboratory.
the results of a routine safety inspection  
The obsolete count rate meter was used by the I&C technicians to perform checks for internal contamination on disassembled equipment.
and reported the issuance of two violations  
It should be noted that all equipment released to the I&C laboratory for repair or calibration is by a qualified radiation safety technician prior to its release in with health physics HP 7.15, "Contamination Control".
for: (1) the use of uncontrolled  
The obsolete Ludlum 177 was a _redundant meter not relied Upon for personal protection nor was it used to perform and document a formal radiation survey .. Furthermore, it should be nrited that I&C technicians not qualified nor authorized to perform contamination surveys governed by HP 7.15; 2. Radeco Air Sampler Administrative Procedure 7.01, "Health Physics Portable Program", Section 6.1, requires that an operational check of an instrument
health physics portable laboratory  
_shall be perfofmed at least once per day when the instrument .ii in use. A complete review of all air samples performed between February 16, 1991 and March 4, 19_91 verified that the air sampler in question had been used only once during the that time period. Corrective Actions Taken to Avoid Future Non-Compliance
measuring  
: 1. The immediate corrective action was to remove the Ludlum 177 count rate meter from the I&C laboratory.
and test equipment  
The Ludlum 177 has since been disposed of. This was considered an isolated incident therefore no further action is required.
in the plant and (2) the use of uncontrolled  
: 2. A Radiological Deficiency Report (RDR) was initiated because the health physics technician using the air sampler failed to follow established procedures for checking out an instrument.
vendor manuals in the plant. The following  
The health physics technician did perform a daily operational check of the instrument but failed to document performance of the check on the instrument sticker as required by procedure.
is Consumers  
Further corrective action related to this incident included: . . . ' . -Counseling the-involved health physics technician on the procedural requirements of check out. -Sending a memo to all Radiation Safety Department personnel reinforcing adherence to procedural requirements.
Power Company's  
A discussion of technician performance issues at Radiation Safety Department meeting. In addition to the i_tems listed above, the contract technician training course
response to these violations.  
* 3 will be reviewed to ensure that the HP instrument control program requirements are included.
Violation  
Furthermore, this incident will be included in the Radiation Safety Department refueling outage critique.
50-255/91006-02  
Date When Full Will Be Full tompliance has been achieved with the exception of the following which will be completed by December 1, 1991: -* review of the contract health physics training program with respect to instrument control  
Technical  
-completion of the Radiation Safety Department refueling outage critique.
Specification  
Violation 50-255/91006-03 10 CFR 50, Appendix B VI requires that measures shall be established to control the issuance of documents which prescribe all activities affecting quality. These measures assure documents, including changes, are reviewed for adequacy and approved for release to authorized personnel and are distributed to and used at the location where the prescribed activity is performed.
6.11 requires that procedures  
Technical Specification 6.8.1 requires that procedures be established, implemented and maintained.
for personnel  
* Administrative Procedure 10.45, "Vendor Manual Control",
radiation  
that vendor manuals be approved for use, revisions thereto and controlled.
protection  
Contrary to the above, on March 7, 1991, numerous vendor manuals for portable health physics instrumentation, chemistry instrumentation and a component for an installed area radiation monitor were found lacking the required level of controls specified for such Reason for Violation The Palisades vendor manual control program, Administrative Procedure 10.45, "Vendor Manual Control" was implemented following the issuance of INPO Good Practice DE-102, entitled "Control of Vendor Manuals".
shall be approved, maintained  
The definition of vendor manuals in AP 10.45 Was derived from the definition contained in the INPO Good Practice.
and adhered to for all operations  
Over the last five years -an extensive effort has been directed reviewing and approving vendor manuals associated with installed plant instruments and equipment.
involving  
This position remains consistent with past practice which was reiterated in our response to Generic letter 90-03, dated September 28, 1990. Our response clearly stated our intention to " ... ensure{s) vendor manual information appropriate reviews and approvals to insure its applicability to installed plant equipment." {emphasis added) . It should be noted that an entirely separate program exists for the control of PTE and M&TE. This program is governed by NODS P07, "Control of Calibration . of Measuring and Test Equipment", Admin. Procedures 5.07, "Control of Measuring and Test Equipment'', 4.21, "Chemistry Program", 7.01, "Health}}
radiation  
exposure.  
* Administrative  
Procedure  
7.01, "Health Physics Portable Instrumentation  
Program", requires that all health physics instrumentation  
shall be calibrated, have operational  
checks performed  
once per day, shall be serialized  
and shall have calibration  
stickers placed upon them. -Contrary to the above, on March 7, 1991, a Ludlum Model 177 (count rate meter) that was not serialized, not calibrated  
and had not been operationally*  
checked, was found in use in the instrumentation  
and controls laboratory.  
Contrary to the above, on March 4, 1991, a Radeco air sampler (# 7241) was* fol.ind in room C-54 that had not been operationally  
checked since February 16, * 1991. . Reason for Violation  
1. Ludlum Model 177 (count rate meter) .Administrative  
procedure  
7.01, "Health Physics Portable Instrumentation  
Program", Section 13.0. requires that all plant health physics portable instrumentation (HPPI) will be placed on a status board computer listing in accordance  
with health physics procedure "Health Physics Instrument  
Status Board". The purpose of this procedure  
is to define the 9105080006  
910429 PDR  
05000255 Q PDR   
-2 methods necessary  
to maintain accurate status of the health physics instrumentation  
and equipment.  
The instrument  
in question was not included in the HPPI program and therefore  
was not controlled  
in accordance  
with the procedure.  
The instrument  
had been abandoned  
by the Radiation  
Safety Department  
and was considered  
obsolete.  
However, the instrument  
was *retained  
in the Instrument  
and Controls (I&C) laboratory.  
The obsolete count rate meter was used by the I&C technicians  
to perform checks for internal contamination  
on disassembled  
equipment.  
It should be noted that all equipment  
released to the I&C laboratory  
for repair or calibration  
is  
by a qualified  
radiation  
safety technician  
prior to its release in  
with health physics  
HP 7.15, "Contamination  
Control".  
The obsolete Ludlum 177 was a _redundant  
meter not relied Upon for personal protection  
nor was it used to perform and document a formal radiation  
survey .. Furthermore, it should be nrited that I&C technicians not qualified  
nor authorized  
to perform contamination  
surveys governed by HP 7.15; 2. Radeco Air Sampler Administrative  
Procedure  
7.01, "Health Physics Portable  
Program", Section 6.1, requires that an operational  
check of an instrument  
_shall be perfofmed  
at least once per day when the instrument .ii in use. A complete review of all air samples performed  
between February 16, 1991 and March 4, 19_91 verified that the air sampler in question had been used only once during the that time period. Corrective  
Actions Taken to Avoid Future Non-Compliance  
1. The immediate  
corrective  
action was to remove the Ludlum 177 count rate meter from the I&C laboratory.  
The Ludlum 177 has since been disposed of. This was considered  
an isolated incident therefore  
no further action is required.  
2. A Radiological  
Deficiency  
Report (RDR) was initiated  
because the health physics technician  
using the air sampler failed to follow established  
procedures  
for checking out an instrument.  
The health physics technician  
did perform a daily operational  
check of the instrument  
but failed to document performance  
of the check on the instrument  
sticker as required by procedure.  
Further corrective  
action related to this incident included: . . . ' . -Counseling  
the-involved  
health physics technician  
on the procedural  
requirements  
of  
check out. -Sending a memo to all Radiation  
Safety Department  
personnel  
reinforcing  
adherence  
to procedural  
requirements.  
A discussion  
of technician  
performance  
issues at Radiation  
Safety Department  
meeting. In addition to the i_tems listed above, the contract technician  
training course
* 3 will be reviewed to ensure that the HP instrument  
control program requirements  
are included.  
Furthermore, this incident will be included in the Radiation  
Safety Department  
refueling  
outage critique.  
Date When Full  
Will Be  
Full tompliance  
has been achieved with the exception  
of the following  
which will be completed  
by December 1, 1991: -* review of the contract health physics training program with respect to instrument  
control  
-completion  
of the Radiation  
Safety Department  
refueling  
outage critique.  
Violation  
50-255/91006-03  
10 CFR 50, Appendix B  
VI requires that measures shall be established  
to control the issuance of documents  
which prescribe  
all activities  
affecting  
quality. These measures  
assure  
documents, including  
changes, are reviewed for adequacy and approved for release to authorized  
personnel  
and are distributed  
to and used at the location where the prescribed  
activity is performed.  
Technical  
Specification  
6.8.1 requires that procedures  
be established, implemented  
and maintained.  
* Administrative  
Procedure  
10.45, "Vendor Manual Control",  
that vendor manuals be  
approved for use, revisions  
thereto and  
controlled.  
Contrary to the above, on March 7, 1991, numerous vendor manuals for portable health physics instrumentation, chemistry  
instrumentation  
and a component  
for an installed  
area radiation  
monitor were found lacking the required level of controls specified  
for such  
Reason for Violation  
The Palisades  
vendor manual control program, Administrative  
Procedure  
10.45, "Vendor Manual Control" was implemented  
following  
the issuance of INPO Good Practice DE-102, entitled "Control of Vendor Manuals".  
The definition  
of vendor manuals in AP 10.45 Was derived from the definition  
contained  
in the INPO Good Practice.  
Over the last five years -an extensive  
effort has been directed  
reviewing  
and approving  
vendor manuals associated  
with installed  
plant instruments  
and equipment.  
This position remains consistent  
with past practice which was reiterated  
in our response to Generic letter 90-03, dated September  
28, 1990. Our response clearly stated our intention  
to " ... ensure{s)  
vendor manual information  
appropriate  
reviews and approvals  
to insure its applicability  
to installed  
plant equipment." {emphasis  
added) . It should be noted that an entirely separate program exists for the control of PTE and M&TE. This program is governed by NODS P07, "Control of Calibration . of Measuring  
and Test Equipment", Admin. Procedures  
5.07, "Control of Measuring  
and Test Equipment'', 4.21, "Chemistry  
Program", 7.01, "Health
}}

Revision as of 23:51, 16 August 2019

Responds to NRC 910329 Ltr Re Violations Noted in Insp Rept 50-255/91-06.Corrective Actions:Ludlum 177 Count Rate Meter Removed from I&C Lab & Disposed of & Radiological Deficiency Rept Initiated
ML18057A879
Person / Time
Site: Palisades Entergy icon.png
Issue date: 04/29/1991
From: Slade G
CONSUMERS ENERGY CO. (FORMERLY CONSUMERS POWER CO.)
To:
NRC OFFICE OF INFORMATION RESOURCES MANAGEMENT (IRM)
References
NUDOCS 9105080006
Download: ML18057A879 (3)


Text

l'OWERINli MICHlliAN§S l'ROliRESS Palisades Nuclear Plant: 27780 Blue Star Memorial Highway, Covert, Ml 49043 April 29, 1991 Nuclear Regulatory Commission Document Control Desk* Washington, DC. 20555 DOCKET 50-255 -LICENSE DPR-20 -PALISADES PLANT -RESPONSE TO INSPECTION REPORT 91006; NOTICE OF VIOLATION GB Slade

  • General Manager Nuclear Regulatory Commission (NRC) Inspection Report 91006, dated March 29, 1991, documented the results of a routine safety inspection and reported the issuance of two violations for: (1) the use of uncontrolled health physics portable laboratory measuring and test equipment in the plant and (2) the use of uncontrolled vendor manuals in the plant. The following is Consumers Power Company's response to these violations.

Violation 50-255/91006-02 Technical Specification 6.11 requires that procedures for personnel radiation protection shall be approved, maintained and adhered to for all operations involving radiation exposure.

  • Administrative Procedure 7.01, "Health Physics Portable Instrumentation Program", requires that all health physics instrumentation shall be calibrated, have operational checks performed once per day, shall be serialized and shall have calibration stickers placed upon them. -Contrary to the above, on March 7, 1991, a Ludlum Model 177 (count rate meter) that was not serialized, not calibrated and had not been operationally*

checked, was found in use in the instrumentation and controls laboratory.

Contrary to the above, on March 4, 1991, a Radeco air sampler (# 7241) was* fol.ind in room C-54 that had not been operationally checked since February 16,

  • 1991. . Reason for Violation
1. Ludlum Model 177 (count rate meter) .Administrative procedure 7.01, "Health Physics Portable Instrumentation Program", Section 13.0. requires that all plant health physics portable instrumentation (HPPI) will be placed on a status board computer listing in accordance with health physics procedure "Health Physics Instrument Status Board". The purpose of this procedure is to define the 9105080006 910429 PDR 05000255 Q PDR

-2 methods necessary to maintain accurate status of the health physics instrumentation and equipment.

The instrument in question was not included in the HPPI program and therefore was not controlled in accordance with the procedure.

The instrument had been abandoned by the Radiation Safety Department and was considered obsolete.

However, the instrument was *retained in the Instrument and Controls (I&C) laboratory.

The obsolete count rate meter was used by the I&C technicians to perform checks for internal contamination on disassembled equipment.

It should be noted that all equipment released to the I&C laboratory for repair or calibration is by a qualified radiation safety technician prior to its release in with health physics HP 7.15, "Contamination Control".

The obsolete Ludlum 177 was a _redundant meter not relied Upon for personal protection nor was it used to perform and document a formal radiation survey .. Furthermore, it should be nrited that I&C technicians not qualified nor authorized to perform contamination surveys governed by HP 7.15; 2. Radeco Air Sampler Administrative Procedure 7.01, "Health Physics Portable Program", Section 6.1, requires that an operational check of an instrument

_shall be perfofmed at least once per day when the instrument .ii in use. A complete review of all air samples performed between February 16, 1991 and March 4, 19_91 verified that the air sampler in question had been used only once during the that time period. Corrective Actions Taken to Avoid Future Non-Compliance

1. The immediate corrective action was to remove the Ludlum 177 count rate meter from the I&C laboratory.

The Ludlum 177 has since been disposed of. This was considered an isolated incident therefore no further action is required.

2. A Radiological Deficiency Report (RDR) was initiated because the health physics technician using the air sampler failed to follow established procedures for checking out an instrument.

The health physics technician did perform a daily operational check of the instrument but failed to document performance of the check on the instrument sticker as required by procedure.

Further corrective action related to this incident included: . . . ' . -Counseling the-involved health physics technician on the procedural requirements of check out. -Sending a memo to all Radiation Safety Department personnel reinforcing adherence to procedural requirements.

A discussion of technician performance issues at Radiation Safety Department meeting. In addition to the i_tems listed above, the contract technician training course

  • 3 will be reviewed to ensure that the HP instrument control program requirements are included.

Furthermore, this incident will be included in the Radiation Safety Department refueling outage critique.

Date When Full Will Be Full tompliance has been achieved with the exception of the following which will be completed by December 1, 1991: -* review of the contract health physics training program with respect to instrument control

-completion of the Radiation Safety Department refueling outage critique.

Violation 50-255/91006-03 10 CFR 50, Appendix B VI requires that measures shall be established to control the issuance of documents which prescribe all activities affecting quality. These measures assure documents, including changes, are reviewed for adequacy and approved for release to authorized personnel and are distributed to and used at the location where the prescribed activity is performed.

Technical Specification 6.8.1 requires that procedures be established, implemented and maintained.

  • Administrative Procedure 10.45, "Vendor Manual Control",

that vendor manuals be approved for use, revisions thereto and controlled.

Contrary to the above, on March 7, 1991, numerous vendor manuals for portable health physics instrumentation, chemistry instrumentation and a component for an installed area radiation monitor were found lacking the required level of controls specified for such Reason for Violation The Palisades vendor manual control program, Administrative Procedure 10.45, "Vendor Manual Control" was implemented following the issuance of INPO Good Practice DE-102, entitled "Control of Vendor Manuals".

The definition of vendor manuals in AP 10.45 Was derived from the definition contained in the INPO Good Practice.

Over the last five years -an extensive effort has been directed reviewing and approving vendor manuals associated with installed plant instruments and equipment.

This position remains consistent with past practice which was reiterated in our response to Generic letter 90-03, dated September 28, 1990. Our response clearly stated our intention to " ... ensure{s) vendor manual information appropriate reviews and approvals to insure its applicability to installed plant equipment." {emphasis added) . It should be noted that an entirely separate program exists for the control of PTE and M&TE. This program is governed by NODS P07, "Control of Calibration . of Measuring and Test Equipment", Admin. Procedures 5.07, "Control of Measuring and Test Equipment, 4.21, "Chemistry Program", 7.01, "Health