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| number = ML17142A219 | | number = ML17142A219 | ||
| issue date = 05/22/2017 | | issue date = 05/22/2017 | ||
| title = | | title = Disputed Non-Cited Violations and Finding from NRC Inspection Report 05000397/2016009 | ||
| author name = Vegel A | | author name = Vegel A | ||
| author affiliation = NRC/RGN-IV/DRS | | author affiliation = NRC/RGN-IV/DRS | ||
| addressee name = Reddemann M | | addressee name = Reddemann M | ||
| addressee affiliation = Energy Northwest | | addressee affiliation = Energy Northwest | ||
| docket = 05000397 | | docket = 05000397 | ||
Line 15: | Line 15: | ||
| page count = 4 | | page count = 4 | ||
}} | }} | ||
See also: [[ | See also: [[see also::IR 05000397/2016009]] | ||
=Text= | =Text= | ||
{{#Wiki_filter: | {{#Wiki_filter:UNITED STATES | ||
EA-17-085 | NUCLEAR REGULATORY COMMISSION | ||
Chief Executive Officer | REGION IV | ||
Energy Northwest | 1600 E. LAMAR BLVD | ||
MD 1023 | ARLINGTON, TX 76011-4511 | ||
P.O. Box 968 Richland, WA 99352 | May 22, 2017 | ||
SUBJECT: DISPUTED NON-CITED VIOLATIONS AND FINDING FROM NRC INSPECTION REPORT 05000397/2016009 | EA-17-085 | ||
Dear Mr. Reddemann: | Mr. Mark E. Reddemann | ||
Chief Executive Officer | |||
This letter acknowledges your May 9, 2017, correspondence (ML17129A627) in response to NRC Inspection Report 05000397/2016009 (ML17100A499), dated April 10, 2017. | Energy Northwest | ||
inspection report, the NRC documented a preliminary White finding, a Green finding, and several non-cited violations. | MD 1023 | ||
requested you to respond in writing within 30 days if you contested any of the non-cited | P.O. Box 968 | ||
violations or disagreed with the finding. | Richland, WA 99352 | ||
On May 9, 2017, the NRC received a letter from you contesting four of the findings in the inspection report: | SUBJECT: DISPUTED NON-CITED VIOLATIONS AND FINDING FROM NRC | ||
documentation providing sufficient information to permit individuals handling the licensed | INSPECTION REPORT 05000397/2016009 | ||
material to minimize exposure. | Dear Mr. Reddemann: | ||
fuel pool. | This letter acknowledges your May 9, 2017, correspondence (ML17129A627) in response to | ||
NRC Inspection Report 05000397/2016009 (ML17100A499), dated April 10, 2017. In the | |||
inspection report, the NRC documented a preliminary White finding, a Green finding, and | |||
several non-cited violations. These findings and violations were identified during a special | |||
inspection of an improperly packaged and manifested radwaste shipment sent by Columbia | |||
Generating Station to US Ecology on November 9, 2016. The inspection report cover letter | |||
requested you to respond in writing within 30 days if you contested any of the non-cited | |||
violations or disagreed with the finding. | |||
On May 9, 2017, the NRC received a letter from you contesting four of the findings in the | |||
inspection report: one Green NRC-identified non-cited violation, one Green self-revealed | |||
non-cited violation, one Green NRC-identified finding, and one SL-IV NRC-identified non-cited | |||
violation. Specifically, Energy Northwest disagreed with the following findings: | |||
(1) A Green NCV of 10 CFR 20.1904 identified in the report for the failure to ensure that | |||
each container of licensed material in the spent fuel pool bore a label or had | |||
documentation providing sufficient information to permit individuals handling the licensed | |||
material to minimize exposure. (NCV 05000397/2016009-03) | |||
(2) An SL-IV NCV of 10 CFR 50.71(e) identified in the report for the failure to periodically | |||
provide the NRC a final safety analysis report update with all changes made in the facility | |||
or procedures. Specifically, the licensee changed its radwaste management strategy for | |||
the spent fuel pool cooling and cleanup system and material being stored in the spent | |||
fuel pool. (NCV 05000397/2016009-06) | |||
M. Reddemann 2 | |||
(3) A Green finding identified in the report for the failure to follow the requirements of | |||
Procedure SWP-CAP-06, Condition Report Review, when determining the type of cause | |||
evaluation required to assess the causes of the higher than expected dose rates on a | |||
radwaste container. Specifically, Procedure SWP-CAP-06 required that if an event has | |||
high risk and high uncertainty, the level of evaluation required is a root cause evaluation. | |||
(FIN 05000397/2016009-07) | |||
(4) A Green NCV of 10 CFR 61.56(b)(3) identified in the report for the failure to assure that | |||
void spaces within waste packages were reduced to the extent practicable. | |||
(NCV 05000397/2016009-09) | |||
In addition, your letter requested that we consider combining four of the findings documented in | |||
the report into one violation as discussed in the NRC Enforcement Manual. Specifically, you | |||
requested the following findings be considered for treatment as a problem, as described in | |||
Section 1.3.5 of the Enforcement Manual: | |||
(1) A preliminary White finding and apparent violation of 49 CFR 173.427 identified in the | |||
report for the failure to ensure that the radioactive contents in a radwaste liner did not | |||
exceed the radiation level requirements for shipping. (AV 05000397/2016003-01) | |||
(2) A Green NCV of 10 CFR 20.1501, with three examples, identified in the report for the | |||
failure to conduct adequate surveys of the solid radwaste contents of a shipment that | |||
was packaged and transported for ultimate disposal. (NCV 05000397/2016009-02) | |||
(3) A Green NCV of 10 CFR 20.2006(b) identified in the report for the failure to ship | |||
radwaste with an accurate shipping manifest. (NCV 05000397/2016009-04) | |||
(4) A Green NCV of 10 CFR 30.41(b)(5) identified in the report for the failure to transfer | |||
byproduct material to an authorized waste disposal facility in accordance with the terms | |||
of the facilitys license. (NCV 05000397/2016009-08) | |||
In summary, the NRC is currently reviewing your basis for contesting the three violations and | |||
one finding. Additionally, we are evaluating your request to combine four of the issues into a | |||
problem. In parallel, the NRC is evaluating the information you provided at the May 2, 2017, | |||
Regulatory Conference regarding the preliminary White finding. Accordingly, we will provide the | |||
results of our evaluations by written response. | |||
In accordance with 10 CFR 2.390, Public Inspections, Exemptions, Requests for Withholding, | |||
of the NRCs Rules of Practice, a copy of this letter will be available electronically for public | |||
inspection in the NRCs Public Document Room or from the Publicly Available Records (PARS) | |||
M. Reddemann 3 | |||
component of the NRC's Agencywide Documents Access and Management System (ADAMS). | |||
ADAMS is accessible from the NRC Web site at http://www.nrc.gov/reading-rm/adams.html (the | |||
Public Electronic Reading Room). | |||
Sincerely, | |||
/RA Jeffrey Clark Acting for/ | |||
Anton Vegel, Director | |||
Division of Reactor Safety | |||
Docket No. 50-397 | |||
License No. NPF-21 | |||
cc: Electronic Distribution | |||
ML17142A219 | |||
SUNSI Review ADAMS: Non-Publicly Available Non-Sensitive Keyword: | |||
By: HGepford Yes No Publicly Available Sensitive NRC-002 | |||
OFFICE C:PSB2 C:DRP/A C:PSB2 D:DRS | |||
NAME HGepford MHaire HGepford AVegel | |||
SIGNATURE /RA/ /RA/ /RA/ /RA/ JAC for | |||
DATE 5/17/17 5/17/17 5/17/17 5/ /17 | |||
}} | }} |
Latest revision as of 02:57, 30 October 2019
ML17142A219 | |
Person / Time | |
---|---|
Site: | Columbia |
Issue date: | 05/22/2017 |
From: | Anton Vegel Division of Reactor Safety IV |
To: | Reddemann M Energy Northwest |
References | |
EA-17-085 IR 2016009 | |
Download: ML17142A219 (4) | |
See also: IR 05000397/2016009
Text
UNITED STATES
NUCLEAR REGULATORY COMMISSION
REGION IV
1600 E. LAMAR BLVD
ARLINGTON, TX 76011-4511
May 22, 2017
Mr. Mark E. Reddemann
Chief Executive Officer
Energy Northwest
MD 1023
P.O. Box 968
Richland, WA 99352
SUBJECT: DISPUTED NON-CITED VIOLATIONS AND FINDING FROM NRC
INSPECTION REPORT 05000397/2016009
Dear Mr. Reddemann:
This letter acknowledges your May 9, 2017, correspondence (ML17129A627) in response to
NRC Inspection Report 05000397/2016009 (ML17100A499), dated April 10, 2017. In the
inspection report, the NRC documented a preliminary White finding, a Green finding, and
several non-cited violations. These findings and violations were identified during a special
inspection of an improperly packaged and manifested radwaste shipment sent by Columbia
Generating Station to US Ecology on November 9, 2016. The inspection report cover letter
requested you to respond in writing within 30 days if you contested any of the non-cited
violations or disagreed with the finding.
On May 9, 2017, the NRC received a letter from you contesting four of the findings in the
inspection report: one Green NRC-identified non-cited violation, one Green self-revealed
non-cited violation, one Green NRC-identified finding, and one SL-IV NRC-identified non-cited
violation. Specifically, Energy Northwest disagreed with the following findings:
(1) A Green NCV of 10 CFR 20.1904 identified in the report for the failure to ensure that
each container of licensed material in the spent fuel pool bore a label or had
documentation providing sufficient information to permit individuals handling the licensed
material to minimize exposure. (NCV 05000397/2016009-03)
(2) An SL-IV NCV of 10 CFR 50.71(e) identified in the report for the failure to periodically
provide the NRC a final safety analysis report update with all changes made in the facility
or procedures. Specifically, the licensee changed its radwaste management strategy for
the spent fuel pool cooling and cleanup system and material being stored in the spent
fuel pool. (NCV 05000397/2016009-06)
M. Reddemann 2
(3) A Green finding identified in the report for the failure to follow the requirements of
Procedure SWP-CAP-06, Condition Report Review, when determining the type of cause
evaluation required to assess the causes of the higher than expected dose rates on a
radwaste container. Specifically, Procedure SWP-CAP-06 required that if an event has
high risk and high uncertainty, the level of evaluation required is a root cause evaluation.
(4) A Green NCV of 10 CFR 61.56(b)(3) identified in the report for the failure to assure that
void spaces within waste packages were reduced to the extent practicable.
In addition, your letter requested that we consider combining four of the findings documented in
the report into one violation as discussed in the NRC Enforcement Manual. Specifically, you
requested the following findings be considered for treatment as a problem, as described in
Section 1.3.5 of the Enforcement Manual:
(1) A preliminary White finding and apparent violation of 49 CFR 173.427 identified in the
report for the failure to ensure that the radioactive contents in a radwaste liner did not
exceed the radiation level requirements for shipping. (AV 05000397/2016003-01)
(2) A Green NCV of 10 CFR 20.1501, with three examples, identified in the report for the
failure to conduct adequate surveys of the solid radwaste contents of a shipment that
was packaged and transported for ultimate disposal. (NCV 05000397/2016009-02)
(3) A Green NCV of 10 CFR 20.2006(b) identified in the report for the failure to ship
radwaste with an accurate shipping manifest. (NCV 05000397/2016009-04)
(4) A Green NCV of 10 CFR 30.41(b)(5) identified in the report for the failure to transfer
byproduct material to an authorized waste disposal facility in accordance with the terms
of the facilitys license. (NCV 05000397/2016009-08)
In summary, the NRC is currently reviewing your basis for contesting the three violations and
one finding. Additionally, we are evaluating your request to combine four of the issues into a
problem. In parallel, the NRC is evaluating the information you provided at the May 2, 2017,
Regulatory Conference regarding the preliminary White finding. Accordingly, we will provide the
results of our evaluations by written response.
In accordance with 10 CFR 2.390, Public Inspections, Exemptions, Requests for Withholding,
of the NRCs Rules of Practice, a copy of this letter will be available electronically for public
inspection in the NRCs Public Document Room or from the Publicly Available Records (PARS)
M. Reddemann 3
component of the NRC's Agencywide Documents Access and Management System (ADAMS).
ADAMS is accessible from the NRC Web site at http://www.nrc.gov/reading-rm/adams.html (the
Public Electronic Reading Room).
Sincerely,
/RA Jeffrey Clark Acting for/
Anton Vegel, Director
Division of Reactor Safety
Docket No. 50-397
License No. NPF-21
cc: Electronic Distribution
SUNSI Review ADAMS: Non-Publicly Available Non-Sensitive Keyword:
By: HGepford Yes No Publicly Available Sensitive NRC-002
OFFICE C:PSB2 C:DRP/A C:PSB2 D:DRS
NAME HGepford MHaire HGepford AVegel
SIGNATURE /RA/ /RA/ /RA/ /RA/ JAC for
DATE 5/17/17 5/17/17 5/17/17 5/ /17