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See also: [[see also::IR 05000255/1988008]]


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Powier POW ERi Nii lttlCHlliAN'S  
Powier POW ERi Nii lttlCHlliAN'S PROliRESS General Offices: 1945 West Parnall Road, Jackson, Ml 49201 * (517) 788-1636 September 2, 1988 Nuclear Regulatory Commission Document Control Desk Washington, DC 20555 Kenneth W Berry Director Nuclear Licensing DOCKET 50-255 -LICENSE DPR-20-PALISADES PLANT -REVISED RESPONSE TO INSPECTION REPORT 88008 NRC Inspection Report 88008 dated April 22, 1988, transmitted two Notices of Violation and requested a written response.
PROliRESS  
Consumers Power Company mitted responses to the Notices of Violation by letter dated May 23, 1988
General Offices: 1945 West Parnall Road, Jackson, Ml 49201 * (517) 788-1636 September  
* The violation identified as Item 1 pertains to containment penetration 33 and failure to identify its current classification and usage as an unreviewed safety question.
2, 1988 Nuclear Regulatory  
Item 2 is in regard to the failure to comply with Technical Specification 6.8.1.c during performance of Technical Specification lance Procedure MI-39. On July 29, 1988, the NRC requested additional information regarding Consumers Power Company's May 23, 1988, response.
Commission  
This request enumerated concerns within the response, its corrective actions, and the 10CFR50.59 analysis performed in support of Item 1. It was further requested that pursuant to 10CFR2.201 that Consumers Power Company response in writing within 30 days. This response period was subsequently extended to 37 days on August 25, 1988, via a telecon between Mr W E Axelson, NRC Region III, and Mr D P Hoffman, Consumers Power Company
Document Control Desk Washington, DC 20555 Kenneth W Berry Director Nuclear Licensing  
* After reviewing the specific concerns expressed by the NRC regarding the 10CFR50.59 review performed in support of Item 1, Consumers Power Company has revised the 10CFR50.59 review to indicate that an unreviewed safety question (URSQ) exists. While acknowledging the existence of an URSQ, Consumers Power Company believes that no significant hazard to the general public is being presented.
DOCKET 50-255 -LICENSE DPR-20-PALISADES  
Information supporting this conclusion is within the attached response.
PLANT -REVISED RESPONSE TO INSPECTION  
Further supporting information to this conclusion will be presented to the NRC within a no significant hazards consideration analysis being completed for a change to Palisades Technical Specification 3.6, "Containment System" . .  
REPORT 88008 NRC Inspection  
Report 88008 dated April 22, 1988, transmitted  
two Notices of Violation  
and requested  
a written response.  
Consumers  
Power Company mitted responses  
to the Notices of Violation  
by letter dated May 23, 1988 * The violation  
identified  
as Item 1 pertains to containment  
penetration  
33 and failure to identify its current classification  
and usage as an unreviewed  
safety question.  
Item 2 is in regard to the failure to comply with Technical  
Specification  
6.8.1.c during performance  
of Technical  
Specification lance Procedure  
MI-39. On July 29, 1988, the NRC requested  
additional  
information  
regarding  
Consumers  
Power Company's  
May 23, 1988, response.  
This request enumerated  
concerns within the response, its corrective  
actions, and the 10CFR50.59  
analysis performed  
in support of Item 1. It was further requested  
that pursuant to 10CFR2.201  
that Consumers  
Power Company response in writing within 30 days. This response period was subsequently  
extended to 37 days on August 25, 1988, via a telecon between Mr W E Axelson, NRC Region III, and Mr D P Hoffman, Consumers  
Power Company * After reviewing  
the specific concerns expressed  
by the NRC regarding  
the 10CFR50.59  
review performed  
in support of Item 1, Consumers  
Power Company has revised the 10CFR50.59  
review to indicate that an unreviewed  
safety question (URSQ) exists. While acknowledging  
the existence  
of an URSQ, Consumers  
Power Company believes that no significant  
hazard to the general public is being presented.  
Information  
supporting  
this conclusion  
is within the attached response.  
Further supporting  
information  
to this conclusion  
will be presented  
to the NRC within a no significant  
hazards consideration  
analysis being completed  
for a change to Palisades  
Technical  
Specification  
3.6, "Containment  
System" . .  
-886962 ----PDR ADOCK 05000255 G PNU OC0988-0002A-PM01-NL04   
-886962 ----PDR ADOCK 05000255 G PNU OC0988-0002A-PM01-NL04   
* * * Nuclear Regulatory  
* *
Commission  
* Nuclear Regulatory Commission Palisades Plant Revised Response to IR 88008 September 2, 1988 2 Consumers Power Company's responses to the concerns enumerated by the NRC within the July 29, 1988 letter, are provided in the attached revised response to NRC Inspection Report 88008. This attached response is essentially a complete rewrite of the original response and therefore changes are not specifically highlighted.
Palisades  
Kenneth W Berry Director of Nuclear Licensing CC Administrator, NRC Region III NRC Resident Inspector, Palisades Attachment OC0988-0002A-PM01-NL04
Plant Revised Response to IR 88008 September  
* REVISED RESPONSE TO INSPECTION REPORT 88-008 ITEM 1 (50-255/88008-01 (DPR) 10CFR50.59 requires that a safety evaluation be performed for changes made in the facility as described in the FSAR and that the bases be documented for the determination that the change does not involve an unreviewed safety question (URSQ). Otherwise, prior Commission approval is required.
2, 1988 2 Consumers  
Contrary to the above_, in 1982 the licensee identified a discrepancy between the FSAR description of containment penetration 33 and the existing method of satisfying a Technical Specification (TS) Surveillance requirement and did not identify the issue as an URSQ. Subsequent intentions to modify the penetration or submit a TS change request were dropped without proper review. Discussion The final evaluation of SEP Topic VI-4, NRC letter dated February 8, 1982, specifie4 that the valves associated with penetration 33 were classified as C3 and noted that the valve arrangement differed from the requirements of GDC 56 in that one valve should be located inside containment.
Power Company's  
A Request for Modification to install a two inch automatic isolation valve for containment penetration 33 was initially prepared on January 6, 1982. The request tified that an automatic valve was required by the FSAR_since the valves needed to be opened during power operation for flushing and sampling.
responses  
The original FSAR specified that "Class C3 penetrations  
to the concerns enumerated  
*** include those systems that are not connected to either the containment atmosphere or to the reactor coolant system and are never opened during power operation".
by the NRC within the July 29, 1988 letter, are provided in the attached revised response to NRC Inspection  
Installation of an automatic valve would have changed the FSAR classification of penetration 33 from a Class C3 to Class C2. The original FSAR states. that "penetrations in this class include systems that are not connected to either the containment atmosphere or to the primary coolant system and are normally open or may be opened during power operation".
Report 88008. This attached response is essentially  
Completion of the modification would have eliminated the unreviewed safety question associated with the opening of a C3 penetration during power operation and, therefore, would have been consistent with the FSAR requirements.
a complete rewrite of the original response and therefore  
Concurrent with the proposed modification, an interpretation of the Palisades TS was written that identified the opening of a containment isolation valve during power operations to be consistent with the C-E Standard Technical Specifications (STS). The STS permit the opening of containment isolation valves on "an intermittent basis under administrative control".
changes are not specifically  
The trative controls were specified in a letter to the NRC dated June 2, 1982. The letter also committed Consumers Power to submit a change to the Palisades TS that would specifically resolve the issue. This change request was never submitted to the NRC. Completion of the Technical Specification Change Request (TSCR) would have required a safety evaluation to be performed.
highlighted.  
The safety ;_.-:_.eV'aluation would have been required to address the necessity to open a manual IC88088-LI01-NL04 Class C3 penetration during power operation in order to justify the TSCR. Submittal of such a TSCR, therefore, would have eliminated the failure to determine whether or not an unreviewed safety question existed. The modification to install an automatic isolation valve for containment penetration 33 was not completed, and the project was closed out on 2 September 3, 1986. The decision not to proceed with installation was made after reviewing the existing Palisades TS requirements for containment integrity and sampling of the safety injection tanks, and the TS interpretation letter dated June 2, 1982. Based on the above, including the TSCR which was to have been submitted, it was determined that the existing manual valve would be acceptable.
Kenneth W Berry Director of Nuclear Licensing  
The safety evaluation for the modification package was not revised due to an oversight by the individual recommending closeout.
CC Administrator, NRC Region III NRC Resident Inspector, Palisades  
This individuai failed to recognize that the original safety evaluation would be invalidated by modification closure without installation of the automatic isolation valve. Procedures governing the modification process have been strengthened over the last two years to assure modifications are completed as approved.
Attachment  
If changes in the scope of a modification are made, the individual processing the change is required to process an Engineering Design Change, review the change against the approved safety evaluation and attain the same level of review as the original design. An FSAR change request was submitted on August 15, 1986, to clarify the guration and operation of containment penetration
OC0988-0002A-PM01-NL04
: 33. Palisades FSAR update, Section 5.1, Page 21, now has an exception to GDC 57 allowing these manual valves to be opened during power operation for the of the safety injection tanks. On March 17, 1988, a revised safety evaluation was written to address the fact that the automatic isolation valves were from the original tion design. This safety evaluation concluded that no URSQ exists with the Plant in its as-modified configuration.
* REVISED RESPONSE TO INSPECTION  
The bases for the conclusion were that both the original and as-modified Plant configuration utilize manual valves, the number of valves relied upon was decreased from six to two and the tence of the FSAR exception to GDC 57 described above. Corrective Actions Taken And Results Achieved Although the inspection report identified this issue to be an URSQ, another internal 10CFR50.59 review, ie, Safety Evaluation (SE), which was written on May 23, 1988, to address the opening of certain manual isolation valves during power operation, improperly concluded this issue not to be an URSQ. This conclusion was reached because first, the system in question is not coupled to the primary coolant pressure boundary; second, the SE would,require that administrative controls be in place to assure that the operator remains in appropriate protective clothing and in close proximity to the valves during the flushing and sampling process until the isolation valve is returned to its closed position; and third, the valve only affects safety injection tank level and low level of this tank has been previously reviewed by the NRC during establishment of a one hour LCO in the Palisades TS. This third point was included solely to address accident consequences stemming from tank level and was not intended to imply NRC review of the containment isolation issue. The operator is not required to remain at the valves due to ALARA constraints and poor communication capabilities.
REPORT 88-008 ITEM 1  
IC88088-LI01-NL04
(50-255/88008-01 (DPR) 10CFR50.59  
* 3 Subsequent to Consumers Power's May 23, 1988 submittal in response to this inspection report item, an independent review of the May 23, 1988 internal 10CFR50.59 review was conducted.
requires that a safety evaluation  
This independent review conducted by the consulting firm who aided in the development of Palisades recent 10CFR50.59 training program, determined that the issue could have been deemed to be or not to be an URSQ, depending on the guidance utilized in the decision making process. In the case of no URSQ existing, the consultant primarily cited that increases in accident and malfunction consequences were small and of minimal significance, and that application of guidelines for 10CFR50.59 reviews presented by the Nuclear Safety Analysis Center (NSAC) in conjunction with the Nuclear Management and Resources Council (NUMARC) in January 1988 would support no URSQ existing.
be performed  
However, in the case of an URSQ existing, the consultant cited recent correspondence between the NRC and NUMARC which call for an URSQ determination for "any" positive change that affects consequences of an accident or malfunction of equipment.
for changes made in the facility as described  
After indepth evaluation of the consultant's review, the NRC correspondence to NUMARC, the original and updated FSAR, Palisades Plant TS and positions presented in the NRC's letter to Consumers Power Company of July 29, 1988, the internal 10CFR50.59 review was revised again. This revision concluded that an URSQ does exist due to a reduction in the margin of safety inherent to Palisades TS 3.6.1.a. This TS calls for maintenance of containment integrity unless the reactor is in the cold shutdown condition.
in the FSAR and that the bases be documented  
Containment integrity is defined in Palisades TS 1.4 to exist when all of the following are true: a. All non-automatic containment isolation valves and blind flanges are closed. b. The equipment door is properly closed and sealed. c. At least one door in each personnel airlock is properly closed and sealed. d. All automatic containment isolation valves are operable or are locked closed. e. The uncontrolled containment leakage satisfies TS 4.5.1. While Consumers Power is now submitting an URSQ, we feel that no hazard is being presented to the public. For an additional hazard to be presented, radioactive materials from the containment atmosphere would have to be persed into the environment.
for the determination  
In order for this to occur, the following events would have to occur concurrently:
that the change does not involve an unreviewed  
: a. A core damaging accident which causes fission products to be released to the *containment atmosphere.
safety question (URSQ). Otherwise, prior Commission  
: b. A safety injection tank drain line failure such that a pathway would exist from the containment atmosphere
approval is required.  
* c. The required TS boron concentration sampling in progress.
Contrary to the above_, in 1982 the licensee identified  
IC88088-LI01-NL04
a discrepancy  
* The probability of these events taken concurrently yields an acceptably small probability to allow manual operation of the penetration 33 isolation valves. It is recognized that there are other sets of concurrent events which could result in a leak path for fission products, but they are considered even less probable than the above scenario.
between the FSAR description  
4 In addition to the above, Plant operators will be required to remain in priate protective clothing in the vicinity of the valves. These actions will be controlled via guidance contained in SOP-3. While Palisades does not yet follow the STS, the above probabilities and administrative appear to comply with the staff's position as presented in STS of allowing the opening of certain manual containment isolation valves while at power operation.
of containment  
Corrective Actions To Be Taken To Avoid 'Further Non-Compliance I A TSCR has subsequently been determined as the preferred corrective action. In order for the TSCR to receive prompt reviews and NRC acceptance, the TSCR will address and resolve applicable STS requirements.
penetration  
This includes the poration of a Containment Isolation Valve Specification in the Palisades TS. An isolation valve table will be included in either the Palisades TS or by reference to the FSAR. This table will be similar to that presented in the original FSAR and will list at a minimum for each penetration, the associated system name, equipment identification numbers for associated valves, and applicable valve actuations.
33 and the existing method of satisfying  
A complete independent review to verify the technical accuracy of all FSAR changes processed since the June 28, 1984 FSAR update is not felt to be ranted, in light of other efforts recently completed and currently in progress.
a Technical  
A System Functional Evaluation (SFE) was performed as documented in our January 28, 1988 submittal.
Specification (TS) Surveillance  
The SFE provided a line-by-line review of system characteristics presented in the FSAR and served as the basis for testing, modifications and FSAR changes in light of existing system configurations.
requirement  
Additional review of the FSAR is being provided by the design basis reconstitution effort of the Palisades Configuration Control Project (CCP). The CCP is tasked with establishing an accurate, up-to-date, physically verified set of design bases documents for selected systems. Discrepancies identified within the FSAR during the project will be corrected through existing Plant procedures.
and did not identify the issue as an URSQ. Subsequent  
FSAR Section 5.1.6.9 currently contains an exception to Criterion 57 of 10CFR50 Appendix A, "General Design Criteria for Nuclear Power Plants" regarding operation of the manual valves associated with penetration
intentions  
: 33. This exception was entered into the FSAR with Revision 2 dated October 31, 1986. The FSAR change request was initiated by Plant personnel at the time FC-576 was being closed out. The basis for this change was that penetration 33 was currently classified as a type C2 penetration, while the change request initiator felt it more accurately reflected a type C3 penetration with exception.
to modify the penetration  
The exception was* for opening the valves during power operation to perform required sampling in accordance with TS Table 4.2.1 Item 5 and_ the TS interpretation letter dated June 2, 1982. The initiator felt the NRC had previously reviewed the present _Palisades containment isolation arrangement due to Consumers Power's June 2, 1982 submittal, and the initiator felt that no further NRC reviews were required.
or submit a TS change request were dropped without proper review. Discussion  
IC88088-LI01-NL04
The final evaluation  
* 5 While reviewing the NRC's final evaluation of Systematic Evaluation Program (SEP) Topic VI-4, "Containment Isolation System"* dated February 8, 1982 in regard to 10CFR50 Appendix A classifications, Consumers Power noted that penetration 33 was classified under Criterion
of SEP Topic VI-4, NRC letter dated February 8, 1982, specifie4  
: 56. The SEP topic further identified that the valve arrangement for penetration 33 differs from the explicit requirements of Criterion 56 from the standpoint of valve location, namely, that one of the isolation valves should be located inside containment.
that the valves associated  
Upon detailed review of the applicable General Design Criterion (ie, 55, 56 and 57), definitions presented in 10CFR50.2 and discussions with the Plant's Nuclear Steam Supply System vendor and architect/engineer, Consumers Power believes penetration 33 is most accurately reflected by Criterion
with penetration  
: 57. This is consistent with definitions presented in both the original and updated FSARs, and the separation of the safety injection tank sample/drain line from the containment atmosphere and the reactor coolant pressure boundary.
33 were classified  
Each of the items detailed in the NRC letter of July 29, 1988, which cally address the May 23, 1988, safety evaluation will be evaluated against the existing guidance provided in Administrative Procedure 3.07, "Safety Evaluations".
as C3 and noted that the valve arrangement  
Recognizing the lack of a unified methodology for performing safety evaluations, these specific issues will be further reviewed against guidance currently available through the NUMARC/NSAC efforts and that provided to NUMARC by the NRC. The understanding gained from these reviews will be incorporated into the next revision of Administrative Procedure 3.07. Prior to issuance of this procedure, a memorandum detailing the reasoning for changes will be issued to reconcile any differences from the current philosophy employed in the Palisades safety evaluation program. Results of the above evaluation will be discussed with the NRC Senior Resident Inspector.
differed from the requirements  
Necessary changes to SOP-3 will be made by November 15, 1988. Failure to track Consumers commitment to the NRC (ie, failure to submit a TSCR following the June 2, 1982 submittal) was the root cause of this event. Commitments at that time were normally tracked by the Gener.al Office Nuclear Licensing Department (NLD) via an Action Item Record (AIR), as no formal commitment tracking system existed. However, an AIR was not initiated and therefore, the commitment was not tracked. Presently, commitments are tracked by NLD via the. Correspondence Logging & Commitment Tracking System (CLCTS). Commitments made in letters to the NRC are identified by NLD and summarized on a Record Summary Sheet. An independent review of the submittal is then performed to assure all commitments are tified and logged into the CLCTS. The existing commitment tracking system provides assurance that NRC commitments are no longer lost or forgotten.
of GDC 56 in that one valve should be located inside containment.  
Date When Full Compliance Will Be Achieved A TSCR that addresses the Limiting Condition for Operations, applicability, Action Statement and surveillance requirements of Section 3/4.6.4 of the CE-STS will be prepared and submitted by September 16, 1988. Changes to the Palisades' FSAR will be incorporated in a subsequent Palisades . FSAR update following the TSCR submittal.
A Request for Modification  
IC88088-LI01-NL04 6 Evaluation of the items presented in the NRC letter of July 29, 1988, which specifically address safety evaluation performance will be completed by September 23, 1988. Administrative Procedure 3.07 will be revised as necessary from the above evaluation by October 31, 1988.
to install a two inch automatic  
* ITEM 2 Violation (50-255/88008-02 (DPR)) TS 6.8.1.c requires that surveillance and test activities of safety-related equipment be implemented and maintained.
isolation  
Surveillance Procedure MI-39 tests the auxiliary feedwater actuation system (AFAS) logic in accordance with TS 4.1.3.16.
valve for containment  
Contrary to the above, I & C technicians performing TS Surveillance MI-39 on April 4, 1988 did not implement the procedure when they did not obtain the required logic channel trip indications due to incorrect test performance and yet they signed the data sheet believing they had properly completed the surveillance test. Corrective Actions Taken and Results Achieved The failure by the I & C technicians to verify the required AFAS logic channel trip indications were attributed to several contributing factors as identified below: 1. The guidance provided in TS Surveillance Procedure MI-39 and existing component labeling on auxiliary feedwater actuation panel, EC-187 *are not wholly congruent to assure consistent satisfactory test performance.
penetration  
: 2. The I & C training program does not specifically address MI-39. 3. A lack of attention to detail by the technicians performing the test was a factor. Adequate attention to indication light response would have revealed that an improper test button was depressed.
33 was initially  
During the performance of the surveillance test, the. I&C technicians signed off portions of MI-39 in good faith, believing indications received were those required.
prepared on January 6, 1982. The request tified that an automatic  
Only after the NRC Senior Resident Inspector inquired as to the validity of the received indications, did the I&C technicians question the response.
valve was required by the FSAR_since  
The technicians then called an I&C engineer to the AFAS panel who clarified existing confusion by identifying the correct test circuitry.
the valves needed to be opened during power operation  
The auxiliary feedwater actuation panel has been relabeled to provide enhanced continuity with MI-39. Until further corrective measures can be taken to eliminate confusion associated with performance of MI-39, appropriate I&C supervision or direct second party overview will be required.
for flushing and sampling.  
In order to assure training provided to I&C technicians will result in cient TS surveillance performance, a QA Surveillance and Human Performance Evaluation of the I&C TS surveillance training program was initiated.
The original FSAR specified  
The QA surveillance completed on May 6, 1988, did not indicate that major changes are ICS8088-LI01-NL04
that "Class C3 penetrations  
* warranted at this time. However, the surveillance did recommend the use of post-training (ie, approximately two months) evaluations to further verify training effectiveness.
*** include those systems that are not connected  
Post-training evaluations are currently utilized in Palisades Plant and Midland Training Center classroom programs.
to either the containment  
A training evaluation process for the On-the-Job-Training (OJT) program has been developed and is currently being reviewed.
atmosphere  
7 The Human Performance Evaluation has been completed.
or to the reactor coolant system and are never opened during power operation".  
This evaluation noted the following:
Installation  
: 1. A total review and update of the I&C training was already in progress.
of an automatic  
Personnel involved in this effort include I&C management, supervision, technicians, and representatives from both the Palisades Training ment and the Midland Training Center. Included in this effort are ments to the classroom and OJT portions of TS surveillance test training.
valve would have changed the FSAR classification  
: 2. OJT for I&C technicians is an established program, however, plant *mentation system availability during power operations limits its scope. 3. All plant I&C technicians have received the 12-week indoctrination training at the Midland Training Center. 4. Established long-range plans to improve I&C technician and supervisory traini programs will enhance I&C TS surveillance test training
of penetration  
* The evaluation recommended the following:
33 from a Class C3 to Class C2. The original FSAR states. that "penetrations  
: 1. Appointment of a full-time I&C training coordinator.
in this class include systems that are not connected  
: 2. Walkdowns and "tabletop" discussions should be performed for surveillance tests performed during power operation which have the potential to ficantly affect plant performance.
to either the containment  
: 3. The simulator orientation training course should be offered to I&C sonnel in order to enhance understanding of normal and abnormal plant responses of instrumentation systems. Corrective Actions To Be Taken To Avoid Further Non-Compliance As stated above, the AFAS panel has been relabeled.
atmosphere  
TS Surveillance Procedure MI-39 was revised on June 1, 1988. The combination of both these efforts should eliminate a large portion of existing technician confusion during MI-39 performance.
or to the primary coolant system and are normally open or may be opened during power operation".  
Surveillance Procedure MI-39 is being included within existing I&C Department surveillance test training.
Completion  
By inputting MI-39 into the training program, specific emphasis will be placed on procedural steps and necessary procedure limitations and responses.
of the modification  
As stated above, the post-training evaluation process for the I&C OJT program has been developed and is in the review process. Plant management has evaluated the recommendations made in the Human Performance Evaluation and will adopt the following:
would have eliminated  
the unreviewed  
safety question associated  
with the opening of a C3 penetration  
during power operation  
and, therefore, would have been consistent  
with the FSAR requirements.  
Concurrent  
with the proposed modification, an interpretation  
of the Palisades  
TS was written that identified  
the opening of a containment  
isolation  
valve during power operations  
to be consistent  
with the C-E Standard Technical  
Specifications (STS). The STS permit the opening of containment  
isolation  
valves on "an intermittent  
basis under administrative  
control".  
The trative controls were specified  
in a letter to the NRC dated June 2, 1982. The letter also committed  
Consumers  
Power to submit a change to the Palisades  
TS that would specifically  
resolve the issue. This change request was never submitted  
to the NRC. Completion  
of the Technical  
Specification  
Change Request (TSCR) would have required a safety evaluation  
to be performed.  
The safety ;_.-:_.eV'aluation  
would have been required to address the necessity  
to open a manual IC88088-LI01-NL04
Class C3 penetration  
during power operation  
in order to justify the TSCR. Submittal  
of such a TSCR, therefore, would have eliminated  
the failure to determine  
whether or not an unreviewed  
safety question existed. The modification  
to install an automatic  
isolation  
valve for containment  
penetration  
33 was not completed, and the project was closed out on 2 September  
3, 1986. The decision not to proceed with installation  
was made after reviewing  
the existing Palisades  
TS requirements  
for containment  
integrity  
and sampling of the safety injection  
tanks, and the TS interpretation  
letter dated June 2, 1982. Based on the above, including  
the TSCR which was to have been submitted, it was determined  
that the existing manual valve would be acceptable.  
The safety evaluation  
for the modification  
package was not revised due to an oversight  
by the individual  
recommending  
closeout.  
This individuai  
failed to recognize  
that the original safety evaluation  
would be invalidated  
by modification  
closure without installation  
of the automatic  
isolation  
valve. Procedures  
governing  
the modification  
process have been strengthened  
over the last two years to assure modifications  
are completed  
as approved.  
If changes in the scope of a modification  
are made, the individual  
processing  
the change is required to process an Engineering  
Design Change, review the change against the approved safety evaluation  
and attain the same level of review as the original design. An FSAR change request was submitted  
on August 15, 1986, to clarify the guration and operation  
of containment  
penetration  
33. Palisades  
FSAR update, Section 5.1, Page 21, now has an exception  
to GDC 57 allowing these manual valves to be opened during power operation  
for the  
of the safety injection  
tanks. On March 17, 1988, a revised safety evaluation  
was written to address the fact that the automatic  
isolation  
valves were  
from the original tion design. This safety evaluation  
concluded  
that no URSQ exists with the Plant in its as-modified  
configuration.  
The bases for the conclusion  
were that both the original and as-modified  
Plant configuration  
utilize manual valves, the number of valves relied upon was decreased  
from six to two and the tence of the FSAR exception  
to GDC 57 described  
above. Corrective  
Actions Taken And Results Achieved Although the inspection  
report identified  
this issue to be an URSQ, another internal 10CFR50.59  
review, ie, Safety Evaluation (SE), which was written on May 23, 1988, to address the opening of certain manual isolation  
valves during power operation, improperly  
concluded  
this issue not to be an URSQ. This conclusion  
was reached because first, the system in question is not coupled to the primary coolant pressure boundary;  
second, the SE would,require  
that administrative  
controls be in place to assure that the operator remains in appropriate  
protective  
clothing and in close proximity  
to the valves during the flushing and sampling process until the isolation  
valve is returned to its closed position;  
and third, the valve only affects safety injection  
tank level and low level of this tank has been previously  
reviewed by the NRC during establishment  
of a one hour LCO in the Palisades  
TS. This third point was included solely to address accident consequences  
stemming from tank level and was not intended to imply NRC review of the containment  
isolation  
issue. The operator is not required to remain at the valves due to ALARA constraints  
and poor communication  
capabilities.  
IC88088-LI01-NL04   
IC88088-LI01-NL04   
* 3 Subsequent
' ' L 1. A full-time I&C training coordinator will be assigned tci the I&C training program enhancement project following completion of the in-progress refueling activities.
to Consumers
Following successful completion of the project, the continued need .for a full-time coordinator will be evaluated.
Power's May 23, 1988 submittal
: 2. The existing OJT program for surveillance test performance qualification presently includes actual test performance under the direct supervision of a qualified I&C technician or supervisor/engineer.
in response to this inspection
This is done on an individual technician basis prior to receiving test performance tion. During the I&C training program enhancement review, a need for advanced training in systems affected by test performance was identified.
report item, an independent
Efforts are currently in progress to develop these advanced systems classes. Through these efforts, the benefits to be gained from additional procedure walkdowns and "tabletop" discussions will be achieved.
review of the May 23, 1988 internal 10CFR50.59
8 3. As recommended in the Human Performance Evaluation, the three-day simulator orientation course will be added to the I&C department training matrix. Date When Full Compliance Will Be Achieved The post-training evaluation process will be included in the I&C OJT program in conjunction with completion of the I&C training enhancements program scheduled for completion by September 1, 1989. The I&C training coordinator is expected to be appointed by January 15, 1989. This date will coincide with the currently planned completion of in-progress refueling outage activities.
review was conducted.
The advanced system classes for systems affected by surveillance tests are expected to be completed by September 1, 1989. The three-day simulator orientation class will be added to the I&C training matrix by December 31, 1988. Training specifically for Surveillance Test MI-39 will be conducted through the OJT program. This procedure will be added to the OJT program by March 31, 1989. IC88088-LI01-NL04}}
This independent
review conducted
by the consulting
firm who aided in the development
of Palisades
recent 10CFR50.59
training program, determined
that the issue could have been deemed to be or not to be an URSQ, depending
on the guidance utilized in the decision making process. In the case of no URSQ existing, the consultant
primarily
cited that increases
in accident and malfunction
consequences
were small and of minimal significance, and that application
of guidelines
for 10CFR50.59
reviews presented
by the Nuclear Safety Analysis Center (NSAC) in conjunction
with the Nuclear Management
and Resources
Council (NUMARC) in January 1988 would support no URSQ existing.
However, in the case of an URSQ existing, the consultant
cited recent correspondence
between the NRC and NUMARC which call for an URSQ determination
for "any" positive change that affects consequences
of an accident or malfunction
of equipment.
After indepth evaluation
of the consultant's
review, the NRC correspondence
to NUMARC, the original and updated FSAR, Palisades
Plant TS and positions
presented
in the NRC's letter to Consumers
Power Company of July 29, 1988, the internal 10CFR50.59
review was revised again. This revision concluded
that an URSQ does exist due to a reduction
in the margin of safety inherent to Palisades
TS 3.6.1.a. This TS calls for maintenance
of containment
integrity
unless the reactor is in the cold shutdown condition.
Containment
integrity
is defined in Palisades
TS 1.4 to exist when all of the following
are true: a. All non-automatic
containment
isolation
valves and blind flanges are closed. b. The equipment
door is properly closed and sealed. c. At least one door in each personnel
airlock is properly closed and sealed. d. All automatic
containment
isolation
valves are operable or are locked closed. e. The uncontrolled
containment
leakage satisfies
TS 4.5.1. While Consumers
Power is now submitting
an URSQ, we feel that no hazard is being presented
to the public. For an additional
hazard to be presented, radioactive
materials
from the containment
atmosphere
would have to be persed into the environment.
In order for this to occur, the following
events would have to occur concurrently:
a. A core damaging accident which causes fission products to be released to the *containment
atmosphere.
b. A safety injection
tank drain line failure such that a pathway would exist from the containment
atmosphere
* c. The required TS boron concentration
sampling in progress.
IC88088-LI01-NL04 
* The probability
of these events taken concurrently
yields an acceptably
small probability
to allow manual operation
of the penetration
33 isolation
valves. It is recognized
that there are other sets of concurrent
events which could result in a leak path for fission products, but they are considered
even less probable than the above scenario.
4 In addition to the above, Plant operators
will be required to remain in priate protective
clothing in the vicinity of the valves. These actions will be controlled
via guidance contained
in SOP-3. While Palisades
does not yet follow the STS, the above probabilities
and administrative
appear to comply with the staff's position as presented
in STS of allowing the opening of certain manual containment
isolation
valves while at power operation.
Corrective
Actions To Be Taken To Avoid 'Further Non-Compliance
I A TSCR has subsequently
been determined
as the preferred
corrective
action. In order for the TSCR to receive prompt reviews and NRC acceptance, the TSCR will address and resolve applicable
STS requirements.
This includes the poration of a Containment
Isolation
Valve Specification
in the Palisades
TS. An isolation
valve table will be included in either the Palisades
TS or by reference
to the FSAR. This table will be similar to that presented
in the original FSAR and will list at a minimum for each penetration, the associated
system name, equipment
identification
numbers for associated
valves, and applicable
valve actuations.
A complete independent
review to verify the technical
accuracy of all FSAR changes processed
since the June 28, 1984 FSAR update is not felt to be ranted, in light of other efforts recently completed
and currently
in progress.
A System Functional
Evaluation (SFE) was performed
as documented
in our January 28, 1988 submittal.
The SFE provided a line-by-line
review of system characteristics
presented
in the FSAR and served as the basis for testing, modifications
and FSAR changes in light of existing system configurations.
Additional
review of the FSAR is being provided by the design basis reconstitution
effort of the Palisades
Configuration
Control Project (CCP). The CCP is tasked with establishing
an accurate, up-to-date, physically
verified set of design bases documents
for selected systems. Discrepancies
identified
within the FSAR during the project will be corrected
through existing Plant procedures.
FSAR Section 5.1.6.9 currently
contains an exception
to Criterion
57 of 10CFR50 Appendix A, "General Design Criteria for Nuclear Power Plants" regarding
operation
of the manual valves associated
with penetration
33. This exception
was entered into the FSAR with Revision 2 dated October 31, 1986. The FSAR change request was initiated
by Plant personnel
at the time FC-576 was being closed out. The basis for this change was that penetration
33 was currently
classified
as a type C2 penetration, while the change request initiator
felt it more accurately
reflected
a type C3 penetration
with exception.
The exception
was* for opening the valves during power operation
to perform required sampling in accordance
with TS Table 4.2.1 Item 5 and_ the TS interpretation
letter dated June 2, 1982. The initiator
felt the NRC had previously
reviewed the present _Palisades
containment
isolation
arrangement
due to Consumers
Power's June 2, 1982 submittal, and the initiator
felt that no further NRC reviews were required.
IC88088-LI01-NL04 
* 5 While reviewing
the NRC's final evaluation
of Systematic
Evaluation
Program (SEP) Topic VI-4, "Containment
Isolation
System"* dated February 8, 1982 in regard to 10CFR50 Appendix A classifications, Consumers
Power noted that penetration
33 was classified
under Criterion
56. The SEP topic further identified
that the valve arrangement
for penetration
33 differs from the explicit requirements
of Criterion
56 from the standpoint
of valve location, namely, that one of the isolation
valves should be located inside containment.
Upon detailed review of the applicable
General Design Criterion (ie, 55, 56 and 57), definitions
presented
in 10CFR50.2
and discussions
with the Plant's Nuclear Steam Supply System vendor and architect/engineer, Consumers
Power believes penetration
33 is most accurately
reflected
by Criterion
57. This is consistent
with definitions
presented
in both the original and updated FSARs, and the separation
of the safety injection
tank sample/drain
line from the containment
atmosphere
and the reactor coolant pressure boundary.
Each of the items detailed in the NRC letter of July 29, 1988, which cally address the May 23, 1988, safety evaluation
will be evaluated
against the existing guidance provided in Administrative
Procedure
3.07, "Safety Evaluations".
Recognizing
the lack of a unified methodology
for performing
safety evaluations, these specific issues will be further reviewed against guidance currently
available
through the NUMARC/NSAC
efforts and that provided to NUMARC by the NRC. The understanding
gained from these reviews will be incorporated
into the next revision of Administrative
Procedure
3.07. Prior to issuance of this procedure, a memorandum
detailing
the reasoning
for changes will be issued to reconcile
any differences
from the current philosophy
employed in the Palisades
safety evaluation
program. Results of the above evaluation
will be discussed
with the NRC Senior Resident Inspector.
Necessary
changes to SOP-3 will be made by November 15, 1988. Failure to track Consumers
commitment
to the NRC (ie, failure to submit a TSCR following
the June 2, 1982 submittal)
was the root cause of this event. Commitments
at that time were normally tracked by the Gener.al Office Nuclear Licensing
Department (NLD) via an Action Item Record (AIR), as no formal commitment
tracking system existed. However, an AIR was not initiated
and therefore, the commitment
was not tracked. Presently, commitments
are tracked by NLD via the. Correspondence
Logging & Commitment
Tracking System (CLCTS). Commitments
made in letters to the NRC are identified
by NLD and summarized
on a Record Summary Sheet. An independent
review of the submittal
is then performed
to assure all commitments
are tified and logged into the CLCTS. The existing commitment
tracking system provides assurance
that NRC commitments
are no longer lost or forgotten.
Date When Full Compliance
Will Be Achieved A TSCR that addresses
the Limiting Condition
for Operations, applicability, Action Statement
and surveillance
requirements
of Section 3/4.6.4 of the CE-STS will be prepared and submitted
by September
16, 1988. Changes to the Palisades'
FSAR will be incorporated
in a subsequent
Palisades . FSAR update following
the TSCR submittal.
IC88088-LI01-NL04 
6 Evaluation
of the items presented
in the NRC letter of July 29, 1988, which specifically
address safety evaluation
performance
will be completed
by September
23, 1988. Administrative
Procedure
3.07 will be revised as necessary
from the above evaluation
by October 31, 1988. * ITEM 2 Violation
(50-255/88008-02 (DPR)) TS 6.8.1.c requires that surveillance
and test activities
of safety-related
equipment
be implemented
and maintained.
Surveillance
Procedure
MI-39 tests the auxiliary
feedwater
actuation
system (AFAS) logic in accordance
with TS 4.1.3.16.
Contrary to the above, I & C technicians
performing
TS Surveillance
MI-39 on April 4, 1988 did not implement
the procedure
when they did not obtain the required logic channel trip indications
due to incorrect
test performance
and yet they signed the data sheet believing
they had properly completed
the surveillance
test. Corrective
Actions Taken and Results Achieved The failure by the I & C technicians
to verify the required AFAS logic channel trip indications
were attributed
to several contributing
factors as identified
below: 1. The guidance provided in TS Surveillance
Procedure
MI-39 and existing component
labeling on auxiliary
feedwater
actuation
panel, EC-187 *are not wholly congruent
to assure consistent
satisfactory
test performance.
2. The I & C
training program does not specifically
address MI-39. 3. A lack of attention
to detail by the technicians
performing
the test was a factor. Adequate attention
to indication
light response would have revealed that an improper test button was depressed.
During the performance
of the surveillance
test, the. I&C technicians
signed off portions of MI-39 in good faith, believing
indications
received were those required.
Only after the NRC Senior Resident Inspector
inquired as to the validity of the received indications, did the I&C technicians
question the response.
The technicians
then called an I&C engineer to the AFAS panel who clarified
existing confusion
by identifying
the correct test circuitry.
The auxiliary
feedwater
actuation
panel has been relabeled
to provide enhanced continuity
with MI-39. Until further corrective
measures can be taken to eliminate
confusion
associated
with performance
of MI-39, appropriate
I&C supervision
or direct second party overview will be required.
In order to assure training provided to I&C technicians
will result in cient TS surveillance
performance, a QA Surveillance
and Human Performance
Evaluation
of the I&C TS surveillance
training program was initiated.
The QA surveillance
completed
on May 6, 1988, did not indicate that major changes are ICS8088-LI01-NL04 
* warranted
at this time. However, the surveillance
did recommend
the use of post-training (ie, approximately
two months) evaluations
to further verify training effectiveness.
Post-training
evaluations
are currently
utilized in Palisades
Plant and Midland Training Center classroom
programs.
A training evaluation
process for the On-the-Job-Training (OJT) program has been developed
and is currently
being reviewed.
7 The Human Performance
Evaluation
has been completed.
This evaluation
noted the following:
1. A total review and update of the I&C training was already in progress.
Personnel
involved in this effort include I&C management, supervision, technicians, and representatives
from both the Palisades
Training ment and the Midland Training Center. Included in this effort are ments to the classroom
and OJT portions of TS surveillance
test training.
2. OJT for I&C technicians
is an established
program, however, plant *mentation
system availability
during power operations
limits its scope. 3. All plant I&C technicians
have received the 12-week indoctrination
training at the Midland Training Center. 4. Established
long-range
plans to improve I&C technician
and supervisory
traini programs will enhance I&C TS surveillance
test training * The evaluation
recommended
the following:
1. Appointment
of a full-time
I&C training coordinator.
2. Walkdowns
and "tabletop" discussions
should be performed
for surveillance
tests performed
during power operation
which have the potential
to ficantly affect plant performance.
3. The simulator
orientation
training course should be offered to I&C sonnel in order to enhance understanding
of normal and abnormal plant responses
of instrumentation
systems. Corrective
Actions To Be Taken To Avoid Further Non-Compliance
As stated above, the AFAS panel has been relabeled.
TS Surveillance
Procedure
MI-39 was revised on June 1, 1988. The combination
of both these efforts should eliminate
a large portion of existing technician
confusion
during MI-39 performance.
Surveillance
Procedure
MI-39 is being included within existing I&C Department
surveillance
test training.
By inputting
MI-39 into the training program, specific emphasis will be placed on procedural
steps and necessary
procedure
limitations
and responses.
As stated above, the post-training
evaluation
process for the I&C OJT program has been developed
and is in the review process. Plant management
has evaluated
the recommendations
made in the Human Performance
Evaluation
and will adopt the following:
IC88088-LI01-NL04 
' ' L 1. A full-time  
I&C training coordinator  
will be assigned tci the I&C training program enhancement  
project following  
completion  
of the in-progress  
refueling  
activities.  
Following  
successful  
completion  
of the project, the continued  
need .for a full-time  
coordinator  
will be evaluated.  
2. The existing OJT program for surveillance  
test performance  
qualification  
presently  
includes actual test performance  
under the direct supervision  
of a qualified  
I&C technician  
or supervisor/engineer.  
This is done on an individual  
technician  
basis prior to receiving  
test performance  
tion. During the I&C training program enhancement  
review, a need for advanced training in systems affected by test performance  
was identified.  
Efforts are currently  
in progress to develop these advanced systems classes. Through these efforts, the benefits to be gained from additional  
procedure  
walkdowns  
and "tabletop" discussions  
will be achieved.  
8 3. As recommended  
in the Human Performance  
Evaluation, the three-day  
simulator  
orientation  
course will be added to the I&C department  
training matrix. Date When Full Compliance  
Will Be Achieved The post-training  
evaluation  
process will be included in the I&C OJT program in conjunction  
with completion  
of the I&C training enhancements  
program scheduled  
for completion  
by September  
1, 1989. The I&C training coordinator  
is expected to be appointed  
by January 15, 1989. This date will coincide with the currently  
planned completion  
of in-progress  
refueling  
outage activities.  
The advanced system classes for systems affected by surveillance  
tests are expected to be completed  
by September  
1, 1989. The three-day  
simulator  
orientation  
class will be added to the I&C training matrix by December 31, 1988. Training specifically  
for Surveillance  
Test MI-39 will be conducted  
through the OJT program. This procedure  
will be added to the OJT program by March 31, 1989. IC88088-LI01-NL04
}}

Revision as of 00:07, 17 August 2019

Submits Revised Response to Violation Noted in Insp Rept 50-255/88-08.Corrective Actions:Internal Review Revised Concerning Unreviewed Safety Question Not Existing Due to Reduction in Margin of Safety Inherent to Tech Spec 3.6.1.a
ML18053A554
Person / Time
Site: Palisades Entergy icon.png
Issue date: 09/02/1988
From: Berry K
CONSUMERS ENERGY CO. (FORMERLY CONSUMERS POWER CO.)
To:
NRC OFFICE OF ADMINISTRATION & RESOURCES MANAGEMENT (ARM)
References
NUDOCS 8809080138
Download: ML18053A554 (10)


Text

  • * . "

Powier POW ERi Nii lttlCHlliAN'S PROliRESS General Offices: 1945 West Parnall Road, Jackson, Ml 49201 * (517) 788-1636 September 2, 1988 Nuclear Regulatory Commission Document Control Desk Washington, DC 20555 Kenneth W Berry Director Nuclear Licensing DOCKET 50-255 -LICENSE DPR-20-PALISADES PLANT -REVISED RESPONSE TO INSPECTION REPORT 88008 NRC Inspection Report 88008 dated April 22, 1988, transmitted two Notices of Violation and requested a written response.

Consumers Power Company mitted responses to the Notices of Violation by letter dated May 23, 1988

  • The violation identified as Item 1 pertains to containment penetration 33 and failure to identify its current classification and usage as an unreviewed safety question.

Item 2 is in regard to the failure to comply with Technical Specification 6.8.1.c during performance of Technical Specification lance Procedure MI-39. On July 29, 1988, the NRC requested additional information regarding Consumers Power Company's May 23, 1988, response.

This request enumerated concerns within the response, its corrective actions, and the 10CFR50.59 analysis performed in support of Item 1. It was further requested that pursuant to 10CFR2.201 that Consumers Power Company response in writing within 30 days. This response period was subsequently extended to 37 days on August 25, 1988, via a telecon between Mr W E Axelson, NRC Region III, and Mr D P Hoffman, Consumers Power Company

  • After reviewing the specific concerns expressed by the NRC regarding the 10CFR50.59 review performed in support of Item 1, Consumers Power Company has revised the 10CFR50.59 review to indicate that an unreviewed safety question (URSQ) exists. While acknowledging the existence of an URSQ, Consumers Power Company believes that no significant hazard to the general public is being presented.

Information supporting this conclusion is within the attached response.

Further supporting information to this conclusion will be presented to the NRC within a no significant hazards consideration analysis being completed for a change to Palisades Technical Specification 3.6, "Containment System" . .

-886962 ----PDR ADOCK 05000255 G PNU OC0988-0002A-PM01-NL04

  • *
  • Nuclear Regulatory Commission Palisades Plant Revised Response to IR 88008 September 2, 1988 2 Consumers Power Company's responses to the concerns enumerated by the NRC within the July 29, 1988 letter, are provided in the attached revised response to NRC Inspection Report 88008. This attached response is essentially a complete rewrite of the original response and therefore changes are not specifically highlighted.

Kenneth W Berry Director of Nuclear Licensing CC Administrator, NRC Region III NRC Resident Inspector, Palisades Attachment OC0988-0002A-PM01-NL04

  • REVISED RESPONSE TO INSPECTION REPORT 88-008 ITEM 1 (50-255/88008-01 (DPR) 10CFR50.59 requires that a safety evaluation be performed for changes made in the facility as described in the FSAR and that the bases be documented for the determination that the change does not involve an unreviewed safety question (URSQ). Otherwise, prior Commission approval is required.

Contrary to the above_, in 1982 the licensee identified a discrepancy between the FSAR description of containment penetration 33 and the existing method of satisfying a Technical Specification (TS) Surveillance requirement and did not identify the issue as an URSQ. Subsequent intentions to modify the penetration or submit a TS change request were dropped without proper review. Discussion The final evaluation of SEP Topic VI-4, NRC letter dated February 8, 1982, specifie4 that the valves associated with penetration 33 were classified as C3 and noted that the valve arrangement differed from the requirements of GDC 56 in that one valve should be located inside containment.

A Request for Modification to install a two inch automatic isolation valve for containment penetration 33 was initially prepared on January 6, 1982. The request tified that an automatic valve was required by the FSAR_since the valves needed to be opened during power operation for flushing and sampling.

The original FSAR specified that "Class C3 penetrations

      • include those systems that are not connected to either the containment atmosphere or to the reactor coolant system and are never opened during power operation".

Installation of an automatic valve would have changed the FSAR classification of penetration 33 from a Class C3 to Class C2. The original FSAR states. that "penetrations in this class include systems that are not connected to either the containment atmosphere or to the primary coolant system and are normally open or may be opened during power operation".

Completion of the modification would have eliminated the unreviewed safety question associated with the opening of a C3 penetration during power operation and, therefore, would have been consistent with the FSAR requirements.

Concurrent with the proposed modification, an interpretation of the Palisades TS was written that identified the opening of a containment isolation valve during power operations to be consistent with the C-E Standard Technical Specifications (STS). The STS permit the opening of containment isolation valves on "an intermittent basis under administrative control".

The trative controls were specified in a letter to the NRC dated June 2, 1982. The letter also committed Consumers Power to submit a change to the Palisades TS that would specifically resolve the issue. This change request was never submitted to the NRC. Completion of the Technical Specification Change Request (TSCR) would have required a safety evaluation to be performed.

The safety ;_.-:_.eV'aluation would have been required to address the necessity to open a manual IC88088-LI01-NL04 Class C3 penetration during power operation in order to justify the TSCR. Submittal of such a TSCR, therefore, would have eliminated the failure to determine whether or not an unreviewed safety question existed. The modification to install an automatic isolation valve for containment penetration 33 was not completed, and the project was closed out on 2 September 3, 1986. The decision not to proceed with installation was made after reviewing the existing Palisades TS requirements for containment integrity and sampling of the safety injection tanks, and the TS interpretation letter dated June 2, 1982. Based on the above, including the TSCR which was to have been submitted, it was determined that the existing manual valve would be acceptable.

The safety evaluation for the modification package was not revised due to an oversight by the individual recommending closeout.

This individuai failed to recognize that the original safety evaluation would be invalidated by modification closure without installation of the automatic isolation valve. Procedures governing the modification process have been strengthened over the last two years to assure modifications are completed as approved.

If changes in the scope of a modification are made, the individual processing the change is required to process an Engineering Design Change, review the change against the approved safety evaluation and attain the same level of review as the original design. An FSAR change request was submitted on August 15, 1986, to clarify the guration and operation of containment penetration

33. Palisades FSAR update, Section 5.1, Page 21, now has an exception to GDC 57 allowing these manual valves to be opened during power operation for the of the safety injection tanks. On March 17, 1988, a revised safety evaluation was written to address the fact that the automatic isolation valves were from the original tion design. This safety evaluation concluded that no URSQ exists with the Plant in its as-modified configuration.

The bases for the conclusion were that both the original and as-modified Plant configuration utilize manual valves, the number of valves relied upon was decreased from six to two and the tence of the FSAR exception to GDC 57 described above. Corrective Actions Taken And Results Achieved Although the inspection report identified this issue to be an URSQ, another internal 10CFR50.59 review, ie, Safety Evaluation (SE), which was written on May 23, 1988, to address the opening of certain manual isolation valves during power operation, improperly concluded this issue not to be an URSQ. This conclusion was reached because first, the system in question is not coupled to the primary coolant pressure boundary; second, the SE would,require that administrative controls be in place to assure that the operator remains in appropriate protective clothing and in close proximity to the valves during the flushing and sampling process until the isolation valve is returned to its closed position; and third, the valve only affects safety injection tank level and low level of this tank has been previously reviewed by the NRC during establishment of a one hour LCO in the Palisades TS. This third point was included solely to address accident consequences stemming from tank level and was not intended to imply NRC review of the containment isolation issue. The operator is not required to remain at the valves due to ALARA constraints and poor communication capabilities.

IC88088-LI01-NL04

  • 3 Subsequent to Consumers Power's May 23, 1988 submittal in response to this inspection report item, an independent review of the May 23, 1988 internal 10CFR50.59 review was conducted.

This independent review conducted by the consulting firm who aided in the development of Palisades recent 10CFR50.59 training program, determined that the issue could have been deemed to be or not to be an URSQ, depending on the guidance utilized in the decision making process. In the case of no URSQ existing, the consultant primarily cited that increases in accident and malfunction consequences were small and of minimal significance, and that application of guidelines for 10CFR50.59 reviews presented by the Nuclear Safety Analysis Center (NSAC) in conjunction with the Nuclear Management and Resources Council (NUMARC) in January 1988 would support no URSQ existing.

However, in the case of an URSQ existing, the consultant cited recent correspondence between the NRC and NUMARC which call for an URSQ determination for "any" positive change that affects consequences of an accident or malfunction of equipment.

After indepth evaluation of the consultant's review, the NRC correspondence to NUMARC, the original and updated FSAR, Palisades Plant TS and positions presented in the NRC's letter to Consumers Power Company of July 29, 1988, the internal 10CFR50.59 review was revised again. This revision concluded that an URSQ does exist due to a reduction in the margin of safety inherent to Palisades TS 3.6.1.a. This TS calls for maintenance of containment integrity unless the reactor is in the cold shutdown condition.

Containment integrity is defined in Palisades TS 1.4 to exist when all of the following are true: a. All non-automatic containment isolation valves and blind flanges are closed. b. The equipment door is properly closed and sealed. c. At least one door in each personnel airlock is properly closed and sealed. d. All automatic containment isolation valves are operable or are locked closed. e. The uncontrolled containment leakage satisfies TS 4.5.1. While Consumers Power is now submitting an URSQ, we feel that no hazard is being presented to the public. For an additional hazard to be presented, radioactive materials from the containment atmosphere would have to be persed into the environment.

In order for this to occur, the following events would have to occur concurrently:

a. A core damaging accident which causes fission products to be released to the *containment atmosphere.
b. A safety injection tank drain line failure such that a pathway would exist from the containment atmosphere
  • c. The required TS boron concentration sampling in progress.

IC88088-LI01-NL04

  • The probability of these events taken concurrently yields an acceptably small probability to allow manual operation of the penetration 33 isolation valves. It is recognized that there are other sets of concurrent events which could result in a leak path for fission products, but they are considered even less probable than the above scenario.

4 In addition to the above, Plant operators will be required to remain in priate protective clothing in the vicinity of the valves. These actions will be controlled via guidance contained in SOP-3. While Palisades does not yet follow the STS, the above probabilities and administrative appear to comply with the staff's position as presented in STS of allowing the opening of certain manual containment isolation valves while at power operation.

Corrective Actions To Be Taken To Avoid 'Further Non-Compliance I A TSCR has subsequently been determined as the preferred corrective action. In order for the TSCR to receive prompt reviews and NRC acceptance, the TSCR will address and resolve applicable STS requirements.

This includes the poration of a Containment Isolation Valve Specification in the Palisades TS. An isolation valve table will be included in either the Palisades TS or by reference to the FSAR. This table will be similar to that presented in the original FSAR and will list at a minimum for each penetration, the associated system name, equipment identification numbers for associated valves, and applicable valve actuations.

A complete independent review to verify the technical accuracy of all FSAR changes processed since the June 28, 1984 FSAR update is not felt to be ranted, in light of other efforts recently completed and currently in progress.

A System Functional Evaluation (SFE) was performed as documented in our January 28, 1988 submittal.

The SFE provided a line-by-line review of system characteristics presented in the FSAR and served as the basis for testing, modifications and FSAR changes in light of existing system configurations.

Additional review of the FSAR is being provided by the design basis reconstitution effort of the Palisades Configuration Control Project (CCP). The CCP is tasked with establishing an accurate, up-to-date, physically verified set of design bases documents for selected systems. Discrepancies identified within the FSAR during the project will be corrected through existing Plant procedures.

FSAR Section 5.1.6.9 currently contains an exception to Criterion 57 of 10CFR50 Appendix A, "General Design Criteria for Nuclear Power Plants" regarding operation of the manual valves associated with penetration

33. This exception was entered into the FSAR with Revision 2 dated October 31, 1986. The FSAR change request was initiated by Plant personnel at the time FC-576 was being closed out. The basis for this change was that penetration 33 was currently classified as a type C2 penetration, while the change request initiator felt it more accurately reflected a type C3 penetration with exception.

The exception was* for opening the valves during power operation to perform required sampling in accordance with TS Table 4.2.1 Item 5 and_ the TS interpretation letter dated June 2, 1982. The initiator felt the NRC had previously reviewed the present _Palisades containment isolation arrangement due to Consumers Power's June 2, 1982 submittal, and the initiator felt that no further NRC reviews were required.

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  • 5 While reviewing the NRC's final evaluation of Systematic Evaluation Program (SEP) Topic VI-4, "Containment Isolation System"* dated February 8, 1982 in regard to 10CFR50 Appendix A classifications, Consumers Power noted that penetration 33 was classified under Criterion
56. The SEP topic further identified that the valve arrangement for penetration 33 differs from the explicit requirements of Criterion 56 from the standpoint of valve location, namely, that one of the isolation valves should be located inside containment.

Upon detailed review of the applicable General Design Criterion (ie, 55, 56 and 57), definitions presented in 10CFR50.2 and discussions with the Plant's Nuclear Steam Supply System vendor and architect/engineer, Consumers Power believes penetration 33 is most accurately reflected by Criterion

57. This is consistent with definitions presented in both the original and updated FSARs, and the separation of the safety injection tank sample/drain line from the containment atmosphere and the reactor coolant pressure boundary.

Each of the items detailed in the NRC letter of July 29, 1988, which cally address the May 23, 1988, safety evaluation will be evaluated against the existing guidance provided in Administrative Procedure 3.07, "Safety Evaluations".

Recognizing the lack of a unified methodology for performing safety evaluations, these specific issues will be further reviewed against guidance currently available through the NUMARC/NSAC efforts and that provided to NUMARC by the NRC. The understanding gained from these reviews will be incorporated into the next revision of Administrative Procedure 3.07. Prior to issuance of this procedure, a memorandum detailing the reasoning for changes will be issued to reconcile any differences from the current philosophy employed in the Palisades safety evaluation program. Results of the above evaluation will be discussed with the NRC Senior Resident Inspector.

Necessary changes to SOP-3 will be made by November 15, 1988. Failure to track Consumers commitment to the NRC (ie, failure to submit a TSCR following the June 2, 1982 submittal) was the root cause of this event. Commitments at that time were normally tracked by the Gener.al Office Nuclear Licensing Department (NLD) via an Action Item Record (AIR), as no formal commitment tracking system existed. However, an AIR was not initiated and therefore, the commitment was not tracked. Presently, commitments are tracked by NLD via the. Correspondence Logging & Commitment Tracking System (CLCTS). Commitments made in letters to the NRC are identified by NLD and summarized on a Record Summary Sheet. An independent review of the submittal is then performed to assure all commitments are tified and logged into the CLCTS. The existing commitment tracking system provides assurance that NRC commitments are no longer lost or forgotten.

Date When Full Compliance Will Be Achieved A TSCR that addresses the Limiting Condition for Operations, applicability, Action Statement and surveillance requirements of Section 3/4.6.4 of the CE-STS will be prepared and submitted by September 16, 1988. Changes to the Palisades' FSAR will be incorporated in a subsequent Palisades . FSAR update following the TSCR submittal.

IC88088-LI01-NL04 6 Evaluation of the items presented in the NRC letter of July 29, 1988, which specifically address safety evaluation performance will be completed by September 23, 1988. Administrative Procedure 3.07 will be revised as necessary from the above evaluation by October 31, 1988.

  • ITEM 2 Violation (50-255/88008-02 (DPR)) TS 6.8.1.c requires that surveillance and test activities of safety-related equipment be implemented and maintained.

Surveillance Procedure MI-39 tests the auxiliary feedwater actuation system (AFAS) logic in accordance with TS 4.1.3.16.

Contrary to the above, I & C technicians performing TS Surveillance MI-39 on April 4, 1988 did not implement the procedure when they did not obtain the required logic channel trip indications due to incorrect test performance and yet they signed the data sheet believing they had properly completed the surveillance test. Corrective Actions Taken and Results Achieved The failure by the I & C technicians to verify the required AFAS logic channel trip indications were attributed to several contributing factors as identified below: 1. The guidance provided in TS Surveillance Procedure MI-39 and existing component labeling on auxiliary feedwater actuation panel, EC-187 *are not wholly congruent to assure consistent satisfactory test performance.

2. The I & C training program does not specifically address MI-39. 3. A lack of attention to detail by the technicians performing the test was a factor. Adequate attention to indication light response would have revealed that an improper test button was depressed.

During the performance of the surveillance test, the. I&C technicians signed off portions of MI-39 in good faith, believing indications received were those required.

Only after the NRC Senior Resident Inspector inquired as to the validity of the received indications, did the I&C technicians question the response.

The technicians then called an I&C engineer to the AFAS panel who clarified existing confusion by identifying the correct test circuitry.

The auxiliary feedwater actuation panel has been relabeled to provide enhanced continuity with MI-39. Until further corrective measures can be taken to eliminate confusion associated with performance of MI-39, appropriate I&C supervision or direct second party overview will be required.

In order to assure training provided to I&C technicians will result in cient TS surveillance performance, a QA Surveillance and Human Performance Evaluation of the I&C TS surveillance training program was initiated.

The QA surveillance completed on May 6, 1988, did not indicate that major changes are ICS8088-LI01-NL04

  • warranted at this time. However, the surveillance did recommend the use of post-training (ie, approximately two months) evaluations to further verify training effectiveness.

Post-training evaluations are currently utilized in Palisades Plant and Midland Training Center classroom programs.

A training evaluation process for the On-the-Job-Training (OJT) program has been developed and is currently being reviewed.

7 The Human Performance Evaluation has been completed.

This evaluation noted the following:

1. A total review and update of the I&C training was already in progress.

Personnel involved in this effort include I&C management, supervision, technicians, and representatives from both the Palisades Training ment and the Midland Training Center. Included in this effort are ments to the classroom and OJT portions of TS surveillance test training.

2. OJT for I&C technicians is an established program, however, plant *mentation system availability during power operations limits its scope. 3. All plant I&C technicians have received the 12-week indoctrination training at the Midland Training Center. 4. Established long-range plans to improve I&C technician and supervisory traini programs will enhance I&C TS surveillance test training
  • The evaluation recommended the following:
1. Appointment of a full-time I&C training coordinator.
2. Walkdowns and "tabletop" discussions should be performed for surveillance tests performed during power operation which have the potential to ficantly affect plant performance.
3. The simulator orientation training course should be offered to I&C sonnel in order to enhance understanding of normal and abnormal plant responses of instrumentation systems. Corrective Actions To Be Taken To Avoid Further Non-Compliance As stated above, the AFAS panel has been relabeled.

TS Surveillance Procedure MI-39 was revised on June 1, 1988. The combination of both these efforts should eliminate a large portion of existing technician confusion during MI-39 performance.

Surveillance Procedure MI-39 is being included within existing I&C Department surveillance test training.

By inputting MI-39 into the training program, specific emphasis will be placed on procedural steps and necessary procedure limitations and responses.

As stated above, the post-training evaluation process for the I&C OJT program has been developed and is in the review process. Plant management has evaluated the recommendations made in the Human Performance Evaluation and will adopt the following:

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' ' L 1. A full-time I&C training coordinator will be assigned tci the I&C training program enhancement project following completion of the in-progress refueling activities.

Following successful completion of the project, the continued need .for a full-time coordinator will be evaluated.

2. The existing OJT program for surveillance test performance qualification presently includes actual test performance under the direct supervision of a qualified I&C technician or supervisor/engineer.

This is done on an individual technician basis prior to receiving test performance tion. During the I&C training program enhancement review, a need for advanced training in systems affected by test performance was identified.

Efforts are currently in progress to develop these advanced systems classes. Through these efforts, the benefits to be gained from additional procedure walkdowns and "tabletop" discussions will be achieved.

8 3. As recommended in the Human Performance Evaluation, the three-day simulator orientation course will be added to the I&C department training matrix. Date When Full Compliance Will Be Achieved The post-training evaluation process will be included in the I&C OJT program in conjunction with completion of the I&C training enhancements program scheduled for completion by September 1, 1989. The I&C training coordinator is expected to be appointed by January 15, 1989. This date will coincide with the currently planned completion of in-progress refueling outage activities.

The advanced system classes for systems affected by surveillance tests are expected to be completed by September 1, 1989. The three-day simulator orientation class will be added to the I&C training matrix by December 31, 1988. Training specifically for Surveillance Test MI-39 will be conducted through the OJT program. This procedure will be added to the OJT program by March 31, 1989. IC88088-LI01-NL04