ML15306A497: Difference between revisions

From kanterella
Jump to navigation Jump to search
(Created page by program invented by StriderTol)
(Created page by program invented by StriderTol)
 
(4 intermediate revisions by the same user not shown)
Line 2: Line 2:
| number = ML15306A497
| number = ML15306A497
| issue date = 10/30/2015
| issue date = 10/30/2015
| title = Pilgrim - Reply to a Notice of Violation, Per Problem Identification and Resolution Inspection Report 05000293/2015010
| title = Reply to a Notice of Violation, Per Problem Identification and Resolution Inspection Report 05000293/2015010
| author name = Calabrese D
| author name = Calabrese D
| author affiliation = Entergy Nuclear Operations, Inc
| author affiliation = Entergy Nuclear Operations, Inc
Line 14: Line 14:
| page count = 5
| page count = 5
}}
}}
See also: [[followed by::IR 05000293/2015010]]


=Text=
=Text=
{{#Wiki_filter:SEn tergyEntergy Nuclear Operations,  
{{#Wiki_filter:SEn       tergy                                                                  Entergy Nuclear Operations, Inc.
Inc.Pilgrim Nuclear Power Station600 Rocky Hill RoadPlymouth,  
Pilgrim Nuclear Power Station 600 Rocky Hill Road Plymouth, MA 02360 October 30, 2015 U.S. Nuclear Regulatory Commission ATTN: Document Control Desk Washington, DC 20555-0001
MA 02360October 30, 2015U.S. Nuclear Regulatory  
 
Commission
==SUBJECT:==
ATTN: Document  
Reply to a Notice of Violation Pilgrim Nuclear Power Station Docket No. 50-293 License No. DPR-35
Control DeskWashington,  
 
DC 20555-0001
==REFERENCE:==
SUBJECT:Reply to a Notice of Violation
NRC Letter to Entergy, "Pilgrim Nuclear Power Station - Problem Identification and Resolution Inspection Repor*t 05000293/201 5010 and Notices of Violation," dated October 1, 2015 LETTER NUMBER: 2.15.077
Pilgrim Nuclear Power StationDocket No. 50-293License No. DPR-35REFERENCE:
 
NRC Letter to Entergy,  
==Dear Sir or Madam,==
"Pilgrim  
 
Nuclear Power Station -ProblemIdentification
This letter provides the information requested in the Notice of Violation received at Pilgrim Nuclear Power Station in the above referenced letter. The requested information is provided in the Attachment to this letter.
and Resolution  
This letter contains no commitments.
Inspection 05000293/201  
Should you have any questions concerning the content of this letter or require additional information, please contact me at (508) 830-8227.
5010 andNotices of Violation,"  
Sincerely, Manager, Emergency Preparedness DC/mew
dated October 1, 2015LETTER NUMBER: 2.15.077Dear Sir or Madam,This letter provides  
 
the information  
==Attachment:==
requested  
Reply to a Notice of Violation (2 Pages)
in the Notice of Violation  
 
received  
PNPS Letter 2.15.077 Page 2 of 2 Cc:
at PilgrimNuclear Power Station in the above referenced  
Mr. Daniel H. Dorman Regional Administrator, Region I U.S. Nuclear Regulatory Commission 2100 Renaissance Boulevard, Suite 100 King of Prussia, PA 19406-1 415 NRC Senior Resident Inspector Pilgrim Nuclear Power Station
letter. The requested  
 
information  
Attachment To PNPS Letter 2.15.077 Reply to a Notice of Violation (2 Pages)
is provided  
 
inthe Attachment  
Attachment to PNPS Letter 2.15.077 Page 1 of 2 Reply to Notice of Violation During an NRC inspection conducted from August 3 through 20, 2015, a violation of NRC requirements was identified. The violation is associated with the following requirement:
to this letter.This letter contains  
Violation No. Description 201 5010-02     10 CFR 50.54(q)(2) requires, in part, that a holder of a nuclear power reactor operating license shall follow and maintain the effectiveness of an emergency plan that meets the requirements in Appendix E to this part, and the planning standards of 10 CFR 50.47(b).
no commitments.
10 CFR 50.47(b) (8) requires, in part, that adequate equipment to support the emergency response are provided and maintained.
Should you have any questions  
Contrary to the above, since December 2011, Entergy did not follow and maintain the effectiveness of the Pilgrim Emergency Plan to meet the requirement that adequate equipment to support the emergency response was provided and maintained. Specifically, in December 2011, Entergy cancelled preventive maintenance of the 160' back-up meteorological tower, and that tower became non-functional. As a result, on eight occasions between March 18, 2012, and August 15, 2015, when the 220' primary meteorological tower was also non-functional for various reasons, Pilgrim did not have instrumentation available on either tower for continuous reading of the wind speed, wind direction, air temperature, and delta air temperature.
concerning  
 
the content of this letter or require additional
Attachment to PNPS Letter 2.15.077 Page 2 of 2 VIOLATION 201 5010-02       - Failure to Maintain Station Meteorological Towers Reason for the Violation During the 2015 NRC Problem Identification and Resolution (PI&R) Inspection a Green Notice of Violation (NOV) was issued for failure to follow and maintain the effectiveness of the Pilgrim Emergency Plan to meet the requirement that adequate equipment to support the emergency response was provided and maintained. The failure to properly maintain the 220' tower and restore or replace the 160' tower was previously identified in Non-Cited Violation (NCV) 2013008-02 issued for violation of 10 CFR 50.54(q)(2). The 2015 PI&R inspection determined Entergy did not address the adverse condition within a reasonable period of time after the NRC documented the initial Green NOV.
information,  
An organizational performance gap existed in that the meteorological towers performance monitoring and issue resolution did not have a single point of ownership, such that the priority to resolve issues was not properly evaluated to ensure timely resolution. As a consequence, previously identified corrective actions were untimely with inadequate organizational engagement to monitor performance or resolve issues.
please contact me at (508) 830-8227.
Corrective steps' that have been taken and the results achieved The Emergency Preparedness Department (EPD) has taken ownership of the meteorological towers. The EPD obtained the necessary project funding, engineering design support, and installation support to install the replacement 160' tower. The tower structure is in place. The meteorological instruments have been installed. Post installation testing of the instruments and data communication system is in progress.
Sincerely,
The Regulatory Assurance Weekly Report was modified to include a "deadline" date for completion of corrective actions associated with regulatory findings. Additionally, a Regulatory Assurance review has been incorporated as a required element for corrective actions associated with NRC Findings.
Manager,  
Corrective steps that will be taken Post installation testing of the new 160' tower will be completed and the tower placed in service.
Emergency  
Date when full compliance will be achieved The current schedule for resolution is on or before December 16, 2015, at which time full compliance to the NRC requirements will be achieved.}}
Preparedness
DC/mewAttachment:  
Reply to a Notice of Violation  
(2 Pages)  
PNPS Letter 2.15.077Page 2 of 2Cc:Mr. Daniel H. DormanRegional
Administrator,  
Region IU.S. Nuclear Regulatory  
Commission
2100 Renaissance  
Boulevard,  
Suite 100King of Prussia,  
PA 19406-1 415NRC Senior Resident  
Inspector
Pilgrim Nuclear Power Station  
Attachment
ToPNPS Letter 2.15.077Reply to a Notice of Violation
(2 Pages)  
Attachment  
to PNPS Letter 2.15.077Page 1 of 2Reply to Notice of Violation
During an NRC inspection  
conducted  
from August 3 through 20, 2015, a violation  
of NRCrequirements
was identified.  
The violation  
is associated  
with the following  
requirement:
Violation  
No. Description
201 5010-02 10 CFR 50.54(q)(2)  
requires,  
in part, that a holder of a nuclear powerreactor operating  
license shall follow and maintain  
the effectiveness  
ofan emergency  
plan that meets the requirements  
in Appendix  
E to thispart, and the planning  
standards  
of 10 CFR 50.47(b).
10 CFR 50.47(b)  
(8) requires,  
in part, that adequate  
equipment  
tosupport the emergency  
response  
are provided  
and maintained.
Contrary  
to the above, since December  
2011, Entergy did not followand maintain  
the effectiveness  
of the Pilgrim Emergency  
Plan to meetthe requirement  
that adequate  
equipment  
to support the emergency
response  
was provided  
and maintained.  
Specifically,  
in December2011, Entergy cancelled  
preventive  
maintenance  
of the 160' back-upmeteorological
tower, and that tower became non-functional.  
As aresult, on eight occasions  
between March 18, 2012, and August 15,2015, when the 220' primary meteorological  
tower was also non-functional  
for various reasons,  
Pilgrim did not have instrumentation
available  
on either tower for continuous  
reading of the wind speed, winddirection,  
air temperature,  
and delta air temperature.  
Attachment  
to PNPS Letter 2.15.077Page 2 of 2VIOLATION
201 5010-02 -Failure to Maintain  
Station Meteorological  
TowersReason for the Violation
During the 2015 NRC Problem Identification  
and Resolution  
(PI&R) Inspection  
a Green Noticeof Violation  
(NOV) was issued for failure to follow and maintain  
the effectiveness  
of the PilgrimEmergency
Plan to meet the requirement  
that adequate  
equipment  
to support the emergency
response  
was provided  
and maintained.  
The failure to properly  
maintain  
the 220' tower andrestore or replace the 160' tower was previously  
identified  
in Non-Cited  
Violation  
(NCV)2013008-02  
issued for violation  
of 10 CFR 50.54(q)(2).  
The 2015 PI&R inspection  
determined
Entergy did not address the adverse condition  
within a reasonable  
period of time after the NRCdocumented
the initial Green NOV.An organizational  
performance  
gap existed in that the meteorological  
towers performance
monitoring  
and issue resolution  
did not have a single point of ownership,  
such that the priority  
toresolve issues was not properly  
evaluated  
to ensure timely resolution.  
As a consequence,
previously  
identified  
corrective  
actions were untimely  
with inadequate  
organizational
engagement  
to monitor performance  
or resolve issues.Corrective  
steps' that have been taken and the results achievedThe Emergency  
Preparedness  
Department  
(EPD) has taken ownership  
of the meteorological
towers. The EPD obtained  
the necessary  
project funding,  
engineering  
design support,  
andinstallation
support to install the replacement  
160' tower. The tower structure  
is in place. Themeteorological
instruments  
have been installed.  
Post installation  
testing of the instruments  
anddata communication  
system is in progress.
The Regulatory  
Assurance  
Weekly Report was modified  
to include a "deadline"  
date forcompletion
of corrective  
actions associated  
with regulatory  
findings.  
Additionally,  
a Regulatory
Assurance  
review has been incorporated  
as a required  
element for corrective  
actionsassociated
with NRC Findings.
Corrective  
steps that will be takenPost installation  
testing of the new 160' tower will be completed  
and the tower placed in service.Date when full compliance  
will be achievedThe current schedule  
for resolution  
is on or before December  
16, 2015, at which time fullcompliance
to the NRC requirements  
will be achieved.
}}

Latest revision as of 05:03, 31 October 2019

Reply to a Notice of Violation, Per Problem Identification and Resolution Inspection Report 05000293/2015010
ML15306A497
Person / Time
Site: Pilgrim
Issue date: 10/30/2015
From: Calabrese D
Entergy Nuclear Operations
To:
Document Control Desk, Office of Nuclear Reactor Regulation
References
2.15.077, IR 2015010
Download: ML15306A497 (5)


Text

SEn tergy Entergy Nuclear Operations, Inc.

Pilgrim Nuclear Power Station 600 Rocky Hill Road Plymouth, MA 02360 October 30, 2015 U.S. Nuclear Regulatory Commission ATTN: Document Control Desk Washington, DC 20555-0001

SUBJECT:

Reply to a Notice of Violation Pilgrim Nuclear Power Station Docket No. 50-293 License No. DPR-35

REFERENCE:

NRC Letter to Entergy, "Pilgrim Nuclear Power Station - Problem Identification and Resolution Inspection Repor*t 05000293/201 5010 and Notices of Violation," dated October 1, 2015 LETTER NUMBER: 2.15.077

Dear Sir or Madam,

This letter provides the information requested in the Notice of Violation received at Pilgrim Nuclear Power Station in the above referenced letter. The requested information is provided in the Attachment to this letter.

This letter contains no commitments.

Should you have any questions concerning the content of this letter or require additional information, please contact me at (508) 830-8227.

Sincerely, Manager, Emergency Preparedness DC/mew

Attachment:

Reply to a Notice of Violation (2 Pages)

PNPS Letter 2.15.077 Page 2 of 2 Cc:

Mr. Daniel H. Dorman Regional Administrator, Region I U.S. Nuclear Regulatory Commission 2100 Renaissance Boulevard, Suite 100 King of Prussia, PA 19406-1 415 NRC Senior Resident Inspector Pilgrim Nuclear Power Station

Attachment To PNPS Letter 2.15.077 Reply to a Notice of Violation (2 Pages)

Attachment to PNPS Letter 2.15.077 Page 1 of 2 Reply to Notice of Violation During an NRC inspection conducted from August 3 through 20, 2015, a violation of NRC requirements was identified. The violation is associated with the following requirement:

Violation No. Description 201 5010-02 10 CFR 50.54(q)(2) requires, in part, that a holder of a nuclear power reactor operating license shall follow and maintain the effectiveness of an emergency plan that meets the requirements in Appendix E to this part, and the planning standards of 10 CFR 50.47(b).

10 CFR 50.47(b) (8) requires, in part, that adequate equipment to support the emergency response are provided and maintained.

Contrary to the above, since December 2011, Entergy did not follow and maintain the effectiveness of the Pilgrim Emergency Plan to meet the requirement that adequate equipment to support the emergency response was provided and maintained. Specifically, in December 2011, Entergy cancelled preventive maintenance of the 160' back-up meteorological tower, and that tower became non-functional. As a result, on eight occasions between March 18, 2012, and August 15, 2015, when the 220' primary meteorological tower was also non-functional for various reasons, Pilgrim did not have instrumentation available on either tower for continuous reading of the wind speed, wind direction, air temperature, and delta air temperature.

Attachment to PNPS Letter 2.15.077 Page 2 of 2 VIOLATION 201 5010-02 - Failure to Maintain Station Meteorological Towers Reason for the Violation During the 2015 NRC Problem Identification and Resolution (PI&R) Inspection a Green Notice of Violation (NOV) was issued for failure to follow and maintain the effectiveness of the Pilgrim Emergency Plan to meet the requirement that adequate equipment to support the emergency response was provided and maintained. The failure to properly maintain the 220' tower and restore or replace the 160' tower was previously identified in Non-Cited Violation (NCV) 2013008-02 issued for violation of 10 CFR 50.54(q)(2). The 2015 PI&R inspection determined Entergy did not address the adverse condition within a reasonable period of time after the NRC documented the initial Green NOV.

An organizational performance gap existed in that the meteorological towers performance monitoring and issue resolution did not have a single point of ownership, such that the priority to resolve issues was not properly evaluated to ensure timely resolution. As a consequence, previously identified corrective actions were untimely with inadequate organizational engagement to monitor performance or resolve issues.

Corrective steps' that have been taken and the results achieved The Emergency Preparedness Department (EPD) has taken ownership of the meteorological towers. The EPD obtained the necessary project funding, engineering design support, and installation support to install the replacement 160' tower. The tower structure is in place. The meteorological instruments have been installed. Post installation testing of the instruments and data communication system is in progress.

The Regulatory Assurance Weekly Report was modified to include a "deadline" date for completion of corrective actions associated with regulatory findings. Additionally, a Regulatory Assurance review has been incorporated as a required element for corrective actions associated with NRC Findings.

Corrective steps that will be taken Post installation testing of the new 160' tower will be completed and the tower placed in service.

Date when full compliance will be achieved The current schedule for resolution is on or before December 16, 2015, at which time full compliance to the NRC requirements will be achieved.