ML17291A348: Difference between revisions
StriderTol (talk | contribs) (Created page by program invented by StriderTol) |
StriderTol (talk | contribs) (Created page by program invented by StriderTol) |
||
(2 intermediate revisions by the same user not shown) | |||
Line 3: | Line 3: | ||
| issue date = 08/19/1994 | | issue date = 08/19/1994 | ||
| title = Responds to NRC 940722 Ltr Re Violation Noted in Insp Rept 50-397/94-15.Corrective Action:Plant Procedures Manual (PPM) 1.3.12 & PPM 1.3.12A Revised to Improve Implementation of Guidance in GL 91-18 | | title = Responds to NRC 940722 Ltr Re Violation Noted in Insp Rept 50-397/94-15.Corrective Action:Plant Procedures Manual (PPM) 1.3.12 & PPM 1.3.12A Revised to Improve Implementation of Guidance in GL 91-18 | ||
| author name = | | author name = Parrish J | ||
| author affiliation = WASHINGTON PUBLIC POWER SUPPLY SYSTEM | | author affiliation = WASHINGTON PUBLIC POWER SUPPLY SYSTEM | ||
| addressee name = | | addressee name = | ||
Line 14: | Line 14: | ||
| page count = 16 | | page count = 16 | ||
}} | }} | ||
=Text= | =Text= | ||
{{#Wiki_filter:I'I.'Y'(ACCELERATED | {{#Wiki_filter:I'I.'Y' (ACCELERATED RIDS PROCESSING) | ||
RIDS PROCESSING) | REGULATORY INFORMATION DISTRIBUTION SYSTEM (RIDS) | ||
REGULATORY | ACCESSION NBR:9408310140 DOC.DATE: 94/08/19 NOTARIZED: YES DOCKET | ||
INFORMATION | -FACIL:50-397 WPPSS Nuclear Project, Unit 2, Washington Public Powe 05000397 AUTH. NAME AUTHOR AFFILIATION PARRISH,J.V. Washington Public Power Supply System RECIP.NAME RECIPIENT AFFILIATION Document Control Branch (Document Control Desk) | ||
DISTRIBUTION | |||
SYSTEM (RIDS)ACCESSION NBR:9408310140 | ==SUBJECT:== | ||
DOC.DATE: 94/08/19 NOTARIZED: | Responds to NRC 940722 ltr re violation noted in insp rept 50-397/94-15.Corrective action:provided adequate training better assure that operability assessments will be documented as required by procedures. | ||
DISTRIBUTION CODE: IE01D COPIES RECEIVED:LTR ENCL SIZE TITLE: General (50 Dkt)-Insp Rept/Notice of Violation Response NOTES RECIPIENT COPIES RECIPIENT, COPIES ID CODE/NAME LTTR ENCL ID CODE/NAME LTTR ENCL PD4-2 PD 1 1 CLIFFORD,J 1 1 INTERNAL: ACRS 2 2 AEOD/DEIB 1 1 AEOD/SPD/RAB 1 1 AEOD/SPD/RRAB 1 1 AEOD/TTC 1 1 DEDRO 1 1 NRR/DORS/OEAB 1 1 NRR/DRCH/HHFB 1 1 NRR/PMAS/IRCB-E 1 1 NUDOCS-ABSTRACT 1 1 OE DIR~ 1 1 OGC/HDS3 1 1 REG-EI=LB 02 1 1 RES/HFB 1 1 RGN4 FILE 01 1 1 EXTERNAL: EG&G/BRYCE,J.H. 1 1 NOAC 1 1 NRC PDR 1 1 NOTE TO ALL "RIDS" RECIPIENTS: | |||
WPPSS Nuclear Project, Unit 2, Washington | PLEASE HELP US TO REDUCE iVASTE! CONTACT THE DOCUMENT CONTROL DESK, ROOM Pl-37 (EXT. 504-2083 ) TO ELIKIINATE YOUR NAME FROM DISTRIBUTION LISTS I OR DOCUMENTS YOU DON'T NEED! | ||
Public Powe AUTH.NAME AUTHOR AFFILIATION | TOTAL NUMBER OF COPIES REQUIRED: LTTR 21 ENCL 21 | ||
PARRISH,J.V. | |||
Washington | 4 WASH liVGTOiV PUBLIC POWER SUPPLY SYSTEM P.O. Box 968 ~ 3000 George i Vashiagtott 1Vap ~ Riehlaad, 1 Uashiagtott 99352-096S ~ (509) 372-5000 August 19, 1994 G02-94-198 Docket No. 50-397 U. S. Nuclear Regulatory Commission Attn: Document Control Desk Mail Station Pl-37 Washington, D. C. 20555 Gentlemen: | ||
Public Power Supply System RECIP.NAME | |||
RECIPIENT AFFILIATION | ==Subject:== | ||
Document Control Branch (Document Control Desk)SUBJECT: Responds to NRC 940722 ltr re violation noted in insp rept 50-397/94-15.Corrective | WNP-2, OPERATING LICENSE NO. NPF-21 NRC INSPECTION REPORT 94-15 REPLY TO A NOTICE OF VIOLATION | ||
action:provided | |||
adequate training better assure that operability | ==References:== | ||
assessments | 1), Letter, dated July.22, 1994, AB Beach (NRC) to JV Parrish (SS), "Notice of Violation (NRC Inspection Report 50-397/94-15)" | ||
will be documented | : 2) Letter, dated July 29, 1994, AB Beach (NRC) to JV Parrish (SS), "NRC Inspection Report 50-397/94-19 (Notice of Violation)" | ||
as required by procedures. | 'he Washington Public Power Supply System (Supply System) hereby replies to the Notice of Violation contained in your letter dated July 22, 1994 (reference 1). Our reply, pursuant to the provisions of Section 2.201, Title 10, Code of Federal Regulations, consists of this letter and Appendix A (attached). | ||
DISTRIBUTION | As requested in reference 1 the Supply System provides the following information regarding the actions taken to ensure prompt and thorough evaluation and correction of potential safety significant deficiencies: | ||
CODE: IE01D COPIES RECEIVED:LTR | Plant Procedures Manual (PPM) 1,3.12, "Problem Evaluation Request (PER)" and.PPM 1.3.12A, "Processing of Problem Evaluation Requests (PER)" were revised to improve implementation of the guidance in Generic Letter, 91-18 ~ The revisions included specifically addressing component as w'ell as system operability, adding an "Operable but degraded" category for operability evaluations, and emphasizing the need to continually evaluate operability. | ||
ENCL SIZE TITLE: General (50 Dkt)-Insp Rept/Notice | |||
of Violation Response NOTES | Page 2 WNP-2, OPERATING LICENSE NO. NPF-21 NRC INSPECTION REPORT 94-15, REPLY TO A NOTICE OF VIOLATION Beginning April 29, 1994, PERs have been reviewed on work day mornings by a cross-disciplinary team to identify potential safety significant deficiencies. This team also reviews plant and industry experience related to the PER. | ||
AEOD/TTC NRR/DORS/OEAB | The Technical Services Division Manager issued a memorandum to Technical Services personnel on June 7,'994, emphasizing management expectations concerning the investigation, communication, and correction of plant problems. | ||
NRR/PMAS/IRCB-E | Meetings were held with the Engineering and Technical Services staffs and other plant personnel to emphasize management expectations concerning treatment of operability issues. | ||
OE DIR~ | Training was provided to Engineering Directorate and Technical Services'ivision personnel on operability. assessment as part of their continuing training program. This training covered the guidance in Generic Letter 91-18, associated WNP-2 procedural requirements, and the need to continually assess operability. | ||
Based on these actions, the Supply System believes performance in promptly and thoroughly evaluating and correcting potential safety significant deficiencies has been enhanced. Two recent examples are: | |||
On July 2, 1994, a PER was written to investigate and correct a single Agastat relay failure identified during surveillance testing. A review of plant experience identified a potential generic issue with failure of continuously energized safety related Agastat relays. A second PER was written on July 15, 1994, to document and evaluate the generic impact. This evaluation included a 10 CFR 21 evaluation and a documented operability assessment showing the relays would remain operable for the time required to replace them. As a result of these actions, 52 affected relays were replaced by July 19. | |||
Due to indica'.ions during the last op rating cycle of moisture intrusion into a containment electrical penetration module containing non-safety related rod position indication system cables, the Supply System examined other penetrations to determine ifa generic problem existed, The investigators found a problem with Westinghouse containment electrical penetration modules using Scotchguard strain relief material. The Supply System subsequently issued a 10 CFR 21 report on this problem. An operability assessment was documented and updated as new information became available. Prior to,startup, 6 safety related and 3 non-safety related modules were replaced, and safety related functions from 3 modules were rerouted. A recent NRC inspection report (reference 2) noted that this problem was resolved in a technically sound manner. | |||
0 Page 3 WNP-2, OPERATING LICENSE NO. NPF-21 NRC INSPECTION REPORT 94-15, REPLY TO A NOTICE OF VIOLATION If you have any questions or desire additional information regarding this matter please contact me or D. A. Swank at (509) 377-4563.'incerely J . Parrish (Mail Drop 1023) | |||
Assistant Managing Director, Operations BRH/bk Attachments CC: LJ Callan - NRC RIV KE Perkins, Jr. - NRC RIV, Walnut Creek Field Office NS Reynolds - Winston & Strawn JW Clifford - NRC DL Williams - BPA/399 NRC Sr. Resident Inspector - 927N | |||
STATE OF WASHINGTON ) | |||
==Subject:== | |||
Reply to Notice of Violation 94-15. | |||
) | |||
COUNTY OF BENTON ) | |||
I. J. V. PARRISH, being duly sworn, subscribe to and say that I am the Assistant Managing Director, Operations for the WASHINGTON PUBLIC POWER SUPPLY SYSTEM, the applicant herein; that I have the full authority to execute this oath; that I have reviewed the foregoing; and that to the best of my knowledge, information, and belief the statements made in it are true. | |||
DATE , 1994 | |||
. V.'Parrish, Assistant Managing Director erations On this date personally appeared before me J. V. PARRISH, to me known to be the individual who executed the foregoing instrument, and acknowledged that he signed the same as his free act and deed for the uses and purposes herein mentioned. | |||
t GIVEN under my hand and seal this ~day of c .-< 1994. | |||
Notary Public in and for the STATE OF WASHINGTON | |||
Report 50-397/94-15)" 2)Letter, dated July 29, 1994, AB Beach (NRC)to JV Parrish (SS),"NRC Inspection | \ | ||
Report 50-397/94-19 (Notice of Violation)"'he Washington | Residing g/ | ||
Public Power Supply System (Supply System)hereby replies to the Notice of Violation contained in your letter dated July 22, 1994 (reference | My Commission Expires | ||
1).Our reply, pursuant to the provisions | |||
of Section 2.201, Title 10, Code of Federal Regulations, consists of this letter and Appendix A (attached). | 0 Appendix A V~iola ion 10 CFR Part 50, Appendix B, Criterion V, requires that activities affecting quality shall be prescribed by documented procedures and shall be accomplished in accordance with those procedures. | ||
As requested in reference 1 the Supply System provides the following information | WNP-2 Plant Procedures Manual 1.3.12B, Revision 0, paragraph 4.2.3a, states, "For degraded conditions impacting equipment operability identified by physical evidence at the Plant, the Prompt Operability Assessment should be completed and documented within 24 hours of when the physical evidence was identified." | ||
regarding the actions taken to ensure prompt and thorough evaluation | Contrary to the above, the licensee failed to complete or document a Prompt Operability Assessment following its identification of significantly degraded Buna-N diaphragms in scram solenoid pilot valves for Control Rods 02-19 and 14-55, a condition impacting equipment operability, on February 9 and 17, 1994, respectively. | ||
and correction | This is a Severity Level IV violation (Supplement I). | ||
of potential safety significant | Re onse to Violation The Supply System accepts this violation. | ||
deficiencies: | : 1. Reason for the violation The reason for the violation was a judgement error by the engineer responsible for performing the Prompt Operability Assessments. The individual components did not require operability assessments since they had been previously removed from service; however, the potential generic implications did require evaluation. The engineer assessed the operability of the Scram Solenoid Pilot Valves (SSPVs) based on scram time history, the lack of additional leaking SSPVs during the January 31 half scram that identified the Control Rod 02-19 SSPV problem, and frequent discussions with General Electric Nuclear Energy and his counterparts at other boiling water reactors. The engineer's conclusion that the remaining SSPVs were operable was reasonable given the information available; however, these evaluations should have been documented as Prompt Operability Assessments. | ||
Plant Procedures | The engineer's judgement error resulted from inadequate training on operability requirements and the requirements of Plant Procedures Manual (PPM) 1.3.12B. | ||
Manual (PPM)1,3.12,"Problem Evaluation | |||
Request (PER)" and.PPM 1.3.12A,"Processing | Appendix A Page 2 of 3 2; Corrective steps that have been taken and the results achieved. | ||
of Problem Evaluation | After extensive consideration by engineering personnel and senior management, a Prompt Operability Assessment was completed on April 3, 1994. This assessment was part of the Basis for Continued Operation performed following the March 26, 1994, failure of Control Rod 06-39 to scram. | ||
Requests (PER)" were revised to improve implementation | The engineer who was responsible for performing the operability assessments assisted in preparation for the enforcement conference on this issue, and attended the June 30, 1994, meeting. As a result, the engineer understands the importance of strict procedural adherence. | ||
of the guidance in Generic Letter, 91-18~The revisions included specifically | Meetings were held with the Engineering and Technical Services staffs and other plant personnel to emphasize management expectations concerning documentation of operability issues. | ||
addressing | PPM 1.3.12 was revised on April 27, 1994, with the following enhancements regarding operability: | ||
component as w'ell as system operability, adding an"Operable but degraded" category for operability | Specifically addressed component as well as system operability Added.'Operable but degraded'ategory for evaluation Emphasized the continual evaluation of operability Training was provided to Engineering Directorate and Technical Services Division personnel on operability assessment as part of their continuing training program. This training included the documentation requirements associated with the operability assessment process at WNP-2. | ||
evaluations, and emphasizing | These actions have enhanced performance in documenting operability issues in accordance with procedures. Two recent examples are described in the cover. letter accompanying this response. | ||
the need to continually | : 3. Corrective steps that will be taken to avoid further violations. | ||
evaluate operability. | The Supply System believes that the above actions, when taken together, 'provide adequate training to better assure that operability assessments will be documented as required by procedures. No additional corrective actions are considered necessary. | ||
Page 2 WNP-2, OPERATING LICENSE NO.NPF-21 NRC INSPECTION | 0 Appendix A Page 3 of 3 Date when full compliance will be achieved. | ||
REPORT 94-15, REPLY TO A NOTICE OF VIOLATION Beginning April 29, 1994, PERs have been reviewed on work day mornings by a cross-disciplinary | Full compliance with respect to the matter identified above was achieved on April 3, 1994, when a Prompt Operability Assessment was completed addressing SSPV diaphragm degradation. | ||
team to identify potential safety significant | |||
deficiencies. | ~ '4 ~ ~ ~}} | ||
This team also reviews plant and industry experience | |||
related to the PER.The Technical Services Division Manager issued a memorandum | |||
to Technical Services personnel on June 7,'994, emphasizing | |||
management | |||
expectations | |||
concerning | |||
the investigation, communication, and correction | |||
of plant problems.Meetings were held with the Engineering | |||
and Technical Services staffs and other plant personnel to emphasize management | |||
expectations | |||
concerning | |||
treatment of operability | |||
issues.Training was provided to Engineering | |||
Directorate | |||
and Technical Services'ivision | |||
personnel on operability. | |||
assessment | |||
as part of their continuing | |||
training program.This training covered the guidance in Generic Letter 91-18, associated | |||
WNP-2 procedural | |||
requirements, and the need to continually | |||
assess operability. | |||
Based on these actions, the Supply System believes performance | |||
in promptly and thoroughly | |||
evaluating | |||
and correcting | |||
potential safety significant | |||
deficiencies | |||
has been enhanced.Two recent examples are: On July 2, 1994, a PER was written to investigate | |||
and correct a single Agastat relay failure identified | |||
during surveillance | |||
testing.A review of plant experience | |||
identified | |||
a potential generic issue with failure of continuously | |||
energized safety related Agastat relays.A second PER was written on July 15, 1994, to document and evaluate the generic impact.This evaluation | |||
included a 10 CFR 21 evaluation | |||
and a documented | |||
operability | |||
assessment | |||
showing the relays would remain operable for the time required to replace them.As a result of these actions, 52 affected relays were replaced by July 19.Due to indica'.ions | |||
during the last op rating cycle of moisture intrusion into a containment | |||
electrical | |||
penetration | |||
module containing | |||
non-safety | |||
related rod position indication | |||
system cables, the Supply System examined other penetrations | |||
to determine | |||
found a problem with Westinghouse | |||
containment | |||
electrical | |||
penetration | |||
modules using Scotchguard | |||
strain relief material.The Supply System subsequently | |||
issued a 10 CFR 21 report on this problem.An operability | |||
assessment | |||
was documented | |||
and updated as new information | |||
became available. | |||
Prior to,startup, 6 safety related and 3 non-safety | |||
related modules were replaced, and safety related functions from 3 modules were rerouted.A recent NRC inspection | |||
report (reference | |||
2)noted that this problem was resolved in a technically | |||
sound manner. | |||
0 | |||
Page 3 WNP-2, OPERATING LICENSE NO.NPF-21 NRC INSPECTION | |||
REPORT 94-15, REPLY TO A NOTICE OF VIOLATION If you have any questions or desire additional | |||
information | |||
regarding this matter please contact me or D.A.Swank at (509)377-4563.'incerely | |||
J.Parrish (Mail Drop 1023)Assistant Managing Director, Operations | |||
BRH/bk Attachments | |||
CC: LJ Callan-NRC RIV KE Perkins, Jr.-NRC RIV, Walnut Creek Field Office NS Reynolds-Winston&Strawn JW Clifford-NRC DL Williams-BPA/399 NRC Sr.Resident Inspector-927N | |||
STATE OF WASHINGTON | |||
for the WASHINGTON | |||
PUBLIC POWER SUPPLY SYSTEM, the applicant herein;that I have the full authority to execute this oath;that I have reviewed the foregoing; | |||
and that to the best of my knowledge, information, and belief the statements | |||
made in it are true.DATE , 1994.V.'Parrish, Assistant Managing Director erations On this date personally | |||
appeared before me J.V.PARRISH, to me known to be the individual | |||
who executed the foregoing instrument, and acknowledged | |||
that he signed the same as his free act and deed for the uses and purposes herein mentioned. | |||
t GIVEN under my hand and seal this~day of c.-<1994.Notary Public in and for the STATE OF WASHINGTON | |||
\Residing g/My Commission | |||
0 | |||
V~iola ion | |||
affecting quality shall be prescribed | |||
by documented | |||
procedures | |||
and shall be accomplished | |||
in accordance | |||
with those procedures. | |||
WNP-2 Plant Procedures | |||
Manual 1.3.12B, Revision 0, paragraph 4.2.3a, states,"For degraded conditions | |||
impacting equipment operability | |||
identified | |||
by physical evidence at the Plant, the Prompt Operability | |||
Assessment | |||
should be completed and documented | |||
within 24 hours of when the physical evidence was identified." Contrary to the above, the licensee failed to complete or document a Prompt Operability | |||
Assessment | |||
following its identification | |||
of significantly | |||
degraded Buna-N diaphragms | |||
in scram solenoid pilot valves for Control Rods 02-19 and 14-55, a condition impacting equipment operability, on February 9 and 17, 1994, respectively. | |||
This is a Severity Level IV violation (Supplement | |||
I).Re onse to Violation The Supply System accepts this violation. | |||
1.Reason for the violation The reason for the violation was a judgement error by the engineer responsible | |||
for performing | |||
the Prompt Operability | |||
Assessments. | |||
The individual | |||
components | |||
did not require operability | |||
assessments | |||
since they had been previously | |||
removed from service;however, the potential generic implications | |||
did require evaluation. | |||
The engineer assessed the operability | |||
of the Scram Solenoid Pilot Valves (SSPVs)based on scram time history, the lack of additional | |||
leaking SSPVs during the January 31 half scram that identified | |||
the Control Rod 02-19 SSPV problem, and frequent discussions | |||
with General Electric Nuclear Energy and his counterparts | |||
at other boiling water reactors.The engineer's | |||
conclusion | |||
that the remaining SSPVs were operable was reasonable | |||
given the information | |||
available; | |||
however, these evaluations | |||
should have been documented | |||
as Prompt Operability | |||
Assessments. | |||
The engineer's | |||
judgement error resulted from inadequate | |||
training on operability | |||
requirements | |||
and the requirements | |||
of Plant Procedures | |||
Manual (PPM)1.3.12B. | |||
Appendix A Page 2 of 3 2;Corrective | |||
steps that have been taken and the results achieved.After extensive consideration | |||
by engineering | |||
personnel and senior management, a Prompt Operability | |||
Assessment | |||
was completed on April 3, 1994.This assessment | |||
was part of the Basis for Continued Operation performed following the March 26, 1994, failure of Control Rod 06-39 to scram.The engineer who was responsible | |||
for performing | |||
the operability | |||
assessments | |||
assisted in preparation | |||
for the enforcement | |||
conference | |||
on this issue, and attended the June 30, 1994, meeting.As a result, the engineer understands | |||
the importance | |||
of strict procedural | |||
adherence. | |||
Meetings were held with the Engineering | |||
and Technical Services staffs and other plant personnel to emphasize management | |||
expectations | |||
concerning | |||
documentation | |||
of operability | |||
issues.PPM 1.3.12 was revised on April 27, 1994, with the following enhancements | |||
regarding operability: | |||
Specifically | |||
addressed component as well as system operability | |||
Added.'Operable | |||
but degraded'ategory | |||
for evaluation | |||
Emphasized | |||
the continual evaluation | |||
of operability | |||
Training was provided to Engineering | |||
Directorate | |||
and Technical Services Division personnel on operability | |||
assessment | |||
as part of their continuing | |||
training program.This training included the documentation | |||
requirements | |||
associated | |||
with the operability | |||
assessment | |||
process at WNP-2.These actions have enhanced performance | |||
in documenting | |||
operability | |||
issues in accordance | |||
with procedures. | |||
Two recent examples are described in the cover.letter accompanying | |||
this response.3.Corrective | |||
steps that will be taken to avoid further violations. | |||
The Supply System believes that the above actions, when taken together,'provide adequate training to better assure that operability | |||
assessments | |||
will be documented | |||
as required by procedures. | |||
~'4~~~ | |||
}} |
Latest revision as of 12:31, 29 October 2019
ML17291A348 | |
Person / Time | |
---|---|
Site: | Columbia |
Issue date: | 08/19/1994 |
From: | Parrish J WASHINGTON PUBLIC POWER SUPPLY SYSTEM |
To: | NRC OFFICE OF INFORMATION RESOURCES MANAGEMENT (IRM) |
References | |
GL-91-18, GO2-94-198, NUDOCS 9408310140 | |
Download: ML17291A348 (16) | |
Text
I'I.'Y' (ACCELERATED RIDS PROCESSING)
REGULATORY INFORMATION DISTRIBUTION SYSTEM (RIDS)
ACCESSION NBR:9408310140 DOC.DATE: 94/08/19 NOTARIZED: YES DOCKET
-FACIL:50-397 WPPSS Nuclear Project, Unit 2, Washington Public Powe 05000397 AUTH. NAME AUTHOR AFFILIATION PARRISH,J.V. Washington Public Power Supply System RECIP.NAME RECIPIENT AFFILIATION Document Control Branch (Document Control Desk)
SUBJECT:
Responds to NRC 940722 ltr re violation noted in insp rept 50-397/94-15.Corrective action:provided adequate training better assure that operability assessments will be documented as required by procedures.
DISTRIBUTION CODE: IE01D COPIES RECEIVED:LTR ENCL SIZE TITLE: General (50 Dkt)-Insp Rept/Notice of Violation Response NOTES RECIPIENT COPIES RECIPIENT, COPIES ID CODE/NAME LTTR ENCL ID CODE/NAME LTTR ENCL PD4-2 PD 1 1 CLIFFORD,J 1 1 INTERNAL: ACRS 2 2 AEOD/DEIB 1 1 AEOD/SPD/RAB 1 1 AEOD/SPD/RRAB 1 1 AEOD/TTC 1 1 DEDRO 1 1 NRR/DORS/OEAB 1 1 NRR/DRCH/HHFB 1 1 NRR/PMAS/IRCB-E 1 1 NUDOCS-ABSTRACT 1 1 OE DIR~ 1 1 OGC/HDS3 1 1 REG-EI=LB 02 1 1 RES/HFB 1 1 RGN4 FILE 01 1 1 EXTERNAL: EG&G/BRYCE,J.H. 1 1 NOAC 1 1 NRC PDR 1 1 NOTE TO ALL "RIDS" RECIPIENTS:
PLEASE HELP US TO REDUCE iVASTE! CONTACT THE DOCUMENT CONTROL DESK, ROOM Pl-37 (EXT. 504-2083 ) TO ELIKIINATE YOUR NAME FROM DISTRIBUTION LISTS I OR DOCUMENTS YOU DON'T NEED!
TOTAL NUMBER OF COPIES REQUIRED: LTTR 21 ENCL 21
4 WASH liVGTOiV PUBLIC POWER SUPPLY SYSTEM P.O. Box 968 ~ 3000 George i Vashiagtott 1Vap ~ Riehlaad, 1 Uashiagtott 99352-096S ~ (509) 372-5000 August 19, 1994 G02-94-198 Docket No. 50-397 U. S. Nuclear Regulatory Commission Attn: Document Control Desk Mail Station Pl-37 Washington, D. C. 20555 Gentlemen:
Subject:
WNP-2, OPERATING LICENSE NO. NPF-21 NRC INSPECTION REPORT 94-15 REPLY TO A NOTICE OF VIOLATION
References:
1), Letter, dated July.22, 1994, AB Beach (NRC) to JV Parrish (SS), "Notice of Violation (NRC Inspection Report 50-397/94-15)"
- 2) Letter, dated July 29, 1994, AB Beach (NRC) to JV Parrish (SS), "NRC Inspection Report 50-397/94-19 (Notice of Violation)"
'he Washington Public Power Supply System (Supply System) hereby replies to the Notice of Violation contained in your letter dated July 22, 1994 (reference 1). Our reply, pursuant to the provisions of Section 2.201, Title 10, Code of Federal Regulations, consists of this letter and Appendix A (attached).
As requested in reference 1 the Supply System provides the following information regarding the actions taken to ensure prompt and thorough evaluation and correction of potential safety significant deficiencies:
Plant Procedures Manual (PPM) 1,3.12, "Problem Evaluation Request (PER)" and.PPM 1.3.12A, "Processing of Problem Evaluation Requests (PER)" were revised to improve implementation of the guidance in Generic Letter, 91-18 ~ The revisions included specifically addressing component as w'ell as system operability, adding an "Operable but degraded" category for operability evaluations, and emphasizing the need to continually evaluate operability.
Page 2 WNP-2, OPERATING LICENSE NO. NPF-21 NRC INSPECTION REPORT 94-15, REPLY TO A NOTICE OF VIOLATION Beginning April 29, 1994, PERs have been reviewed on work day mornings by a cross-disciplinary team to identify potential safety significant deficiencies. This team also reviews plant and industry experience related to the PER.
The Technical Services Division Manager issued a memorandum to Technical Services personnel on June 7,'994, emphasizing management expectations concerning the investigation, communication, and correction of plant problems.
Meetings were held with the Engineering and Technical Services staffs and other plant personnel to emphasize management expectations concerning treatment of operability issues.
Training was provided to Engineering Directorate and Technical Services'ivision personnel on operability. assessment as part of their continuing training program. This training covered the guidance in Generic Letter 91-18, associated WNP-2 procedural requirements, and the need to continually assess operability.
Based on these actions, the Supply System believes performance in promptly and thoroughly evaluating and correcting potential safety significant deficiencies has been enhanced. Two recent examples are:
On July 2, 1994, a PER was written to investigate and correct a single Agastat relay failure identified during surveillance testing. A review of plant experience identified a potential generic issue with failure of continuously energized safety related Agastat relays. A second PER was written on July 15, 1994, to document and evaluate the generic impact. This evaluation included a 10 CFR 21 evaluation and a documented operability assessment showing the relays would remain operable for the time required to replace them. As a result of these actions, 52 affected relays were replaced by July 19.
Due to indica'.ions during the last op rating cycle of moisture intrusion into a containment electrical penetration module containing non-safety related rod position indication system cables, the Supply System examined other penetrations to determine ifa generic problem existed, The investigators found a problem with Westinghouse containment electrical penetration modules using Scotchguard strain relief material. The Supply System subsequently issued a 10 CFR 21 report on this problem. An operability assessment was documented and updated as new information became available. Prior to,startup, 6 safety related and 3 non-safety related modules were replaced, and safety related functions from 3 modules were rerouted. A recent NRC inspection report (reference 2) noted that this problem was resolved in a technically sound manner.
0 Page 3 WNP-2, OPERATING LICENSE NO. NPF-21 NRC INSPECTION REPORT 94-15, REPLY TO A NOTICE OF VIOLATION If you have any questions or desire additional information regarding this matter please contact me or D. A. Swank at (509) 377-4563.'incerely J . Parrish (Mail Drop 1023)
Assistant Managing Director, Operations BRH/bk Attachments CC: LJ Callan - NRC RIV KE Perkins, Jr. - NRC RIV, Walnut Creek Field Office NS Reynolds - Winston & Strawn JW Clifford - NRC DL Williams - BPA/399 NRC Sr. Resident Inspector - 927N
STATE OF WASHINGTON )
Subject:
Reply to Notice of Violation 94-15.
)
COUNTY OF BENTON )
I. J. V. PARRISH, being duly sworn, subscribe to and say that I am the Assistant Managing Director, Operations for the WASHINGTON PUBLIC POWER SUPPLY SYSTEM, the applicant herein; that I have the full authority to execute this oath; that I have reviewed the foregoing; and that to the best of my knowledge, information, and belief the statements made in it are true.
DATE , 1994
. V.'Parrish, Assistant Managing Director erations On this date personally appeared before me J. V. PARRISH, to me known to be the individual who executed the foregoing instrument, and acknowledged that he signed the same as his free act and deed for the uses and purposes herein mentioned.
t GIVEN under my hand and seal this ~day of c .-< 1994.
Notary Public in and for the STATE OF WASHINGTON
\
Residing g/
My Commission Expires
0 Appendix A V~iola ion 10 CFR Part 50, Appendix B, Criterion V, requires that activities affecting quality shall be prescribed by documented procedures and shall be accomplished in accordance with those procedures.
WNP-2 Plant Procedures Manual 1.3.12B, Revision 0, paragraph 4.2.3a, states, "For degraded conditions impacting equipment operability identified by physical evidence at the Plant, the Prompt Operability Assessment should be completed and documented within 24 hours2.777778e-4 days <br />0.00667 hours <br />3.968254e-5 weeks <br />9.132e-6 months <br /> of when the physical evidence was identified."
Contrary to the above, the licensee failed to complete or document a Prompt Operability Assessment following its identification of significantly degraded Buna-N diaphragms in scram solenoid pilot valves for Control Rods 02-19 and 14-55, a condition impacting equipment operability, on February 9 and 17, 1994, respectively.
This is a Severity Level IV violation (Supplement I).
Re onse to Violation The Supply System accepts this violation.
- 1. Reason for the violation The reason for the violation was a judgement error by the engineer responsible for performing the Prompt Operability Assessments. The individual components did not require operability assessments since they had been previously removed from service; however, the potential generic implications did require evaluation. The engineer assessed the operability of the Scram Solenoid Pilot Valves (SSPVs) based on scram time history, the lack of additional leaking SSPVs during the January 31 half scram that identified the Control Rod 02-19 SSPV problem, and frequent discussions with General Electric Nuclear Energy and his counterparts at other boiling water reactors. The engineer's conclusion that the remaining SSPVs were operable was reasonable given the information available; however, these evaluations should have been documented as Prompt Operability Assessments.
The engineer's judgement error resulted from inadequate training on operability requirements and the requirements of Plant Procedures Manual (PPM) 1.3.12B.
Appendix A Page 2 of 3 2; Corrective steps that have been taken and the results achieved.
After extensive consideration by engineering personnel and senior management, a Prompt Operability Assessment was completed on April 3, 1994. This assessment was part of the Basis for Continued Operation performed following the March 26, 1994, failure of Control Rod 06-39 to scram.
The engineer who was responsible for performing the operability assessments assisted in preparation for the enforcement conference on this issue, and attended the June 30, 1994, meeting. As a result, the engineer understands the importance of strict procedural adherence.
Meetings were held with the Engineering and Technical Services staffs and other plant personnel to emphasize management expectations concerning documentation of operability issues.
PPM 1.3.12 was revised on April 27, 1994, with the following enhancements regarding operability:
Specifically addressed component as well as system operability Added.'Operable but degraded'ategory for evaluation Emphasized the continual evaluation of operability Training was provided to Engineering Directorate and Technical Services Division personnel on operability assessment as part of their continuing training program. This training included the documentation requirements associated with the operability assessment process at WNP-2.
These actions have enhanced performance in documenting operability issues in accordance with procedures. Two recent examples are described in the cover. letter accompanying this response.
- 3. Corrective steps that will be taken to avoid further violations.
The Supply System believes that the above actions, when taken together, 'provide adequate training to better assure that operability assessments will be documented as required by procedures. No additional corrective actions are considered necessary.
0 Appendix A Page 3 of 3 Date when full compliance will be achieved.
Full compliance with respect to the matter identified above was achieved on April 3, 1994, when a Prompt Operability Assessment was completed addressing SSPV diaphragm degradation.
~ '4 ~ ~ ~