IR 05000313/2017011: Difference between revisions
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| number = ML17195A478 | | number = ML17195A478 | ||
| issue date = 07/14/2017 | | issue date = 07/14/2017 | ||
| title = | | title = NRC Confirmatory Action Letter (EA-16-124) Follow-Up Inspection Report 05000313/2017011 and 05000368/2017011 | ||
| author name = O'Keefe C | | author name = O'Keefe C | ||
| author affiliation = NRC/RGN-IV/DRP/RPB-E | | author affiliation = NRC/RGN-IV/DRP/RPB-E | ||
| addressee name = Anderson R | | addressee name = Anderson R | ||
| addressee affiliation = Entergy Operations, Inc | | addressee affiliation = Entergy Operations, Inc | ||
| docket = 05000313, 05000368 | | docket = 05000313, 05000368 | ||
| license number = DPR-051, NPF-006 | | license number = DPR-051, NPF-006 | ||
| contact person = O'Keefe C | | contact person = O'Keefe C | ||
| case reference number = EA-14-008, EA-14-088, EA-16-124 | | case reference number = EA-14-008, EA-14-088, EA-16-124 | ||
| document report number = IR 2017011 | | document report number = IR 2017011 | ||
Line 19: | Line 19: | ||
=Text= | =Text= | ||
{{#Wiki_filter: | {{#Wiki_filter:uly 14, 2017 | ||
==SUBJECT:== | |||
ARKANSAS NUCLEAR ONE - NRC CONFIRMATORY ACTION LETTER (EA-16-124) FOLLOW-UP INSPECTION REPORT 05000313/2017011 AND 05000368/2017011 | |||
==Dear Mr. Anderson:== | |||
On June 5, 2017, the U.S. Nuclear Regulatory Commission (NRC) inspection team reviewed your progress in implementing the specific actions from the ANO Comprehensive Recovery Plan that were committed to in a Confirmatory Action Letter (CAL) dated June 17, 2016 (NRCs Agencywide Documents Access and Management System (ADAMS) Accession No. | |||
ML16169A193) (EA-16-124). The team discussed the results of this inspection with Mr. Terry Evans, General Manager Plant Operations, and other members of your staff. The team documented the results of this inspection in the enclosed inspection report. | |||
The team reviewed Arkansas Nuclear Ones (ANO) progress in implementing the ANO Comprehensive Recovery Plan, focusing on 28 actions that ANO management had concluded were complete and had been determined to be effective. The inspection included a review of corrective actions to address the finding of substantial safety significance (Yellow) involving the failure to adequately approve the design and to load test a temporary lift assembly (EA-14-008) | |||
and the finding of substantial safety significance (Yellow) involving requirements for flood mitigation (EA-14-088). The attached report documents the basis for closing 27 of the 28 CAL actions inspected, as well as observations related to the stations progress in addressing the action that was not sufficiently complete and effective to close at this time. The NRC will further review your development and implementation of corrective actions for these risk-significant findings during future inspections. | |||
The NRC inspectors did not identify any findings or violations of more than minor significance. This letter, its enclosure, and your response (if any) will be made available for public inspection and copying at http://www.nrc.gov/reading-rm/adams.html and at the NRC Public Document Room in accordance with 10 CFR 2.390, | The NRC inspectors did not identify any findings or violations of more than minor significance. This letter, its enclosure, and your response (if any) will be made available for public inspection and copying at http://www.nrc.gov/reading-rm/adams.html and at the NRC Public Document Room in accordance with 10 CFR 2.390, Public Inspections, Exemptions, Requests for Withholding. | ||
Sincerely,/RA/ | Sincerely, | ||
Neil | /RA/ | ||
Neil OKeefe, Chief Project Branch E Division of Reactor Projects Docket Nos.: 05000313, 05000368 License Nos.: DPR-51, NPF-6 | |||
===Enclosure:=== | ===Enclosure:=== | ||
Inspection Report 05000313/2017011 and 05000368/2017011 w/ | Inspection Report 05000313/2017011 and 05000368/2017011 w/ Attachments: | ||
1. Supplemental Information 2. Confirmatory Action Letter Item Status | |||
REGION IV== | |||
Docket(s): 05000313; 05000368 License: DPR-51; NPF-6 Report: 05000313/2017011; 05000368/2017011 Licensee: Entergy Operations, Inc. | |||
Facility: Arkansas Nuclear One, Units 1 and 2 Location: Junction of Highway 64 West and Highway 333 South Russellville, Arkansas Dates: May 22 through June 5, 2017 Team Lead: C. Young, Senior Project Engineer Inspectors: C. Alldredge, Enforcement Specialist C. Jewett, Project Engineer C. Henderson, Resident Inspector M. Tobin, Resident Inspector Approved By: N. OKeefe Chief, Project Branch E Division of Reactor Projects | |||
=SUMMARY= | =SUMMARY= | ||
IR 05000313/2017011; 05000368/2017011; 05/22/2017 - 06/05/2017; Arkansas Nuclear One, | IR 05000313/2017011; 05000368/2017011; 05/22/2017 - 06/05/2017; Arkansas Nuclear One, | ||
Units 1 and 2; Confirmatory Action Letter Follow-up Inspection. | |||
The inspection activities described in this report were performed between May 22, 2017, and June 5, 2017, by inspectors from the NRCs Region IV office, the resident inspector at Cooper Nuclear Station, and the resident inspector at Arkansas Nuclear One (ANO). The NRCs program for overseeing the safe operation of commercial nuclear power reactors is described in NUREG-1649, Reactor Oversight Process, dated July 2016. | |||
The team reviewed 28 actions from the ANO Comprehensive Recovery Plan involving commitments made in a Confirmatory Action Letter (EA-16-124). The team concluded that 27 of the actions reviewed were complete and were effective in achieving the associated performance improvement objectives. The team also concluded that one action was not sufficiently complete and effective to close at this time. | |||
No findings were identified. | |||
=REPORT DETAILS= | =REPORT DETAILS= | ||
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{{a|4OA5}} | {{a|4OA5}} | ||
==4OA5 Other Activities== | ==4OA5 Other Activities== | ||
Confirmatory Action Letter Follow-up (IP 92702) | Confirmatory Action Letter Follow-up (IP 92702) | ||
===.1 Actions to Address Significant Performance Deficiencies=== | ===.1 Actions to Address Significant Performance Deficiencies=== | ||
(CR-ANO-C-2014-02318 CA-14) | DM-10 Revise procedure EN-WM-104, On-Line Risk Assessment, to include guidance for classifying as high risk those work activities involving a credible risk concern with unacceptable consequences and first-of-a-kind or first-in-a-while activities. | ||
(CR-ANO-C-2014-02318 CA-14) | |||
During the 95003 supplemental inspection, the NRC team noted that ANOs extent of cause review for the RCE associated with the stator drop event focused on the identification of site-wide weaknesses similar to the causes of the stator drop event, including assessing whether technical/administrative procedures provided insufficient guidance to identify and address items with potentially high consequences. ANOs extent of cause review concluded that procedure changes were needed to improve guidance to ensure the identification and management of risk items with potentially high consequences. The NRC 95003 team identified issues that were indicative of continued deficiencies in risk knowledge and recognition at the station, and that actions to improve knowledge of risk were missed in the assignment of corrective actions for the Decision Making and Risk Management Fundamental Problem Area (FPA). In response, ANO revised the Decision Making and Risk Management Area Action Plan (AAP)to add actions DM-5 through DM-11, including DM-10, which included a previously identified extent of cause corrective action from the RCE. Additionally, the NRC 95003 team noted examples of placing undue confidence in vendor expertise, such as during the Unit 1 reactor bottom-mounted instrument nozzle peening project, that were similar to those that contributed to the stator drop event. | |||
To evaluate the licensees corrective action effectiveness, the team reviewed CR-ANO-C-2014-02318 CA-14 and the corresponding revisions to Procedure EN-WM-104, On-Line Risk Assessment. The team performed interviews with the owners of this action as well as personnel responsible for implementing the procedures. Overall, the team concluded that the procedure revisions were effective. However, the team noted that the format of added requirements in 9.3, including terminology for the criteria of consequences and probability, was inconsistent with that of the other existing categories. The team observed that this had the potential to result in inconsistent application of the new guidance. The licensee initiated CR-ANO-C-2017-02305 and CR-HQN-2017-00790 to address this concern and evaluate further enhancement to the revised procedure. | |||
Based on the actions taken by the licensee, information evaluated by the team, and observations performed on site, the team concluded that the actions taken to address DM-10 were effective. Therefore, DM-10 is closed. | |||
FP-2 Develop internal flooding [i.e., protection from flooding sources inside the plant] | |||
design basis documentation so configuration control is defined and maintained. | |||
(CR-ANO-C-2014-00259, CA-248) | |||
* Develop an engineering report and flood protection drawings similar to the fire protection drawings to clearly document the flooding design basis and credited flood protection features (credited internal flood protection features and credited operator actions). | |||
* Update the design requirement in the Flooding Upper Level Document. | |||
* Assign unique equipment identification to each flood protection feature and boundary. | |||
During the 95003 supplemental inspection, the NRC team concluded that the licensee used appropriate processes in the development of the root causes for the Yellow flood protection findings, including not having detailed design requirements of flooding features. The corrective action associated with FP-2 was developed to address the internal flooding aspect of this root cause. | |||
During the NRCs first review of FP-2 in Inspection Report 05000313/2016008 and 05000368/2016008 (ADAMS Accession No. ML17059D000), the team found that the licensee had developed an effective process for clearly identifying and documenting internal flood protection features. The team found that related corrective actions CA-230, 231, 232, 233, 234, 235, 236, 237, and 238 were scheduled to be completed on or after the end of that inspection. These actions were associated with standards performance deficiencies identified during a focused self-assessment of ANOs treatment of high energy line breaks (HELB)and medium energy line breaks (MELB) as documented in CR-ANO-C-2015-2309. The team had concluded that corrective actions to address these deficiencies could potentially impact the internal flood protections features and that action FP-2 should remain open. | |||
The licensee noted that the above referenced corrective actions overlapped with actions being taken to address CAL item DB-11. Since the remaining FP-2 actions did not directly involve flood protection, but were related to the implementation of the engineering programs for HELB/MELB protection, the licensee recommended reviewing completion of the remaining element of FP-2 under DB-11. The NRC agreed and plans review ANO performance of HELB/MELB protection under DB-11 during a future inspection. Based on the actions taken by the licensee, information previously evaluated by the NRC, and observations performed on site, the team concluded that the actions taken to address FP-2 were effective. Therefore, FP-2 is closed. | |||
FP-7 Perform walkdowns of all credited internal flood protection features, and document the results in an engineering report. (CR-ANO-C-2014-00259, CA-82) | |||
During the 95003 supplemental inspection, the NRC team acknowledged that one of the contributing causes associated with the Yellow flood protection findings was that Entergy personnel provided inadequate oversight of outside design agency activities related to Fukushima walkdowns, and as a result, failed to identify the missing and degraded flood protection features that were part of those findings. The licensee initiated the corrective action included in item FP-7 to walk down the credited internal flood protection features to ensure adequate protection from internally generated flood events. | |||
During the | During the NRCs first review of FP-7 in Inspection Report 05000313/2016008 and 05000368/2016008 (ADAMS Accession No. ML17059D000), the team determined that the licensee had completed walkdowns of all accessible areas that contained internal flood protection features and had initiated a corrective action to track one area that was inaccessible at power to be completed during an outage. The team also found that the licensee provided adequate oversight of the follow-up walkdowns to ensure that the Fukushima Near-Term Task Force Recommendation 2.3 was properly implemented and all identified comments were addressed. However, the team found that the justification documented in a due date extension for corrective action CA-112 (which called for verification that silicone foam internal flood seals have been upgraded or modified to watertight seals) left it unclear whether the walkdowns of all credited internal flood protection features had been performed and whether all deficiencies had been identified, documented, and evaluated in the corrective action process. The team concluded that action FP-7 should remain open and that this action will be reviewed in a future inspection. | ||
To evaluate the | To evaluate the licensees corrective action effectiveness, the team reviewed CR-ANO-C-2014-00259 CA-82, 18, and 112. The team noted that the CA-112 due date extension request referenced by the previous inspection team stated that the full scope of the seals/locations that require upgrade or modification are not yet known The team determined that this request had been documented in April 2016, at which time CA-82 (which tracked the completion of the action to perform walkdowns of all credited internal flood protection features and document the results in an engineering report) had not been completed. The team verified that all credited internal flood protection features were examined and that CA-82 was subsequently completed in June 2016. In addition, the team reviewed CR-ANO-C-2015-01929, which was initiated in June 2015 as a roll-up for internal flood mitigation issues identified as part of the Flood Mitigation Project. The team determined that a list of all internal flood barriers, including identification of which ones need improved flood seals, was developed under corrective action CA-15. The team verified that this action was completed in December 2016. | ||
The team also determined that the action being performed by the licensee under CR-ANO-C-2014-00259 CA-112 as noted above is being included in the | The team also determined that the action being performed by the licensee under CR-ANO-C-2014-00259 CA-112 as noted above is being included in the licensees actions to address CAL item FP-8, which will be reviewed by the NRC during a future inspection. | ||
Based on the actions taken by the licensee, information evaluated by the team, and observations performed on site, the team concluded that the actions taken to address FP-7 were effective. Therefore, FP-7 is closed. | |||
FP-9 Establish the Program Notebook and initial Program Health Report for flood protection in accordance with procedure EN-DC-143, Engineering Health Reports, to identify, communicate, prioritize and drive resolution of issues that challenge an effective flood protection strategy including performance indicators, initial color rating (Red or Yellow), and action plan. (CR-ANO-C-2014-00259, CA-210) | |||
Following the stator drop event, ANO performed two RCEs using a cross-functional team with both internal and external team members that had experience in various subjects. From these RCEs, the 95003 NRC inspection team determined that 388 corrective actions were initiated as part of the stations flood protection recovery efforts. To provide sustainability of the corrective actions, ANO established the new External and Internal Flood Protection Program that included quarterly Program Health Reports and Plant Health Committee oversight. | |||
Based on the actions taken by the licensee, information evaluated by the team, and observations performed on site, the team concluded that the actions taken to address FP-9 were effective. Therefore, FP-9 is closed. VO-5 Develop and implement a process for monitoring of supplemental oversight plan compliance. (CR-ANO-C-2014-02318, CA-13) | To evaluate the licensees corrective action effectiveness, the team reviewed the following information: | ||
* CR-ANO-C-2014-00259, corrective action CA-210 | |||
* Procedure EN-DC-329-ANO-RC, Engineering Programs Control and Oversight, Revision 2 | |||
* Procedure EN-DC-143, Engineering Health Reports, Revision 19 | |||
* Program Health Report, Passive Barriers Program, 2017Q1 | |||
* LO-ALO-2016-49, Flood Protection Program Focused Self-Assessment The team performed interviews with the owners of this action as well as personnel responsible for implementing the program. The team determined that the licensee has established the program notebook, program health reports, and action plan for the Passive Barriers Program in accordance with station procedures. The team further determined that this program was being implemented according to station procedures, which included identifying, communicating, prioritizing, and resolving flood protection related issues, as well as consideration of the impact of planned modifications on flood protection features. | |||
Based on the actions taken by the licensee, information evaluated by the team, and observations performed on site, the team concluded that the actions taken to address FP-9 were effective. Therefore, FP-9 is closed. | |||
VO-5 Develop and implement a process for monitoring of supplemental oversight plan compliance. (CR-ANO-C-2014-02318, CA-13) | |||
During the 95003 supplemental inspection, the NRC team noted several issues involving the oversight of supplemental personnel. Procedure EN-OM-126, Management and Oversight of Supplemental Personnel, required the development of a supplemental oversight plan using the checklist in Attachment 9.3. The NRC team noted that their sample of oversight plans approved by ANO for four Unit 2 outage projects were vague and did not meet the intent of the procedure. | |||
To evaluate the licensees corrective action effectiveness, the team reviewed CR-ANO-C-2015-02838 CA-013 and Procedure EN-OM-126-ANO-RC, Management and Oversight of Supplemental Personnel, Revision 4, 9.3, Vendor Oversight Plan, Attachment 9.7, Oversight Plan Scorecard, and Attachment 9.8, Oversight Plan Field Verification Scorecard. | |||
The team performed interviews with the owners of this action item as well as personnel responsible for implementing the procedure. The team reviewed five recent vendor oversight plans and their associated verification scorecards. The team also observed a maintenance supervisor performing the field verification process for four ongoing projects at the site. | The team performed interviews with the owners of this action item as well as personnel responsible for implementing the procedure. The team reviewed five recent vendor oversight plans and their associated verification scorecards. The team also observed a maintenance supervisor performing the field verification process for four ongoing projects at the site. | ||
The team concluded that actions to develop and implement a process for the monitoring of supplemental oversight plan compliance were effective because Procedure EN-OM-126-ANO-RC, Revision 4, Attachments 9.7 and 9.8 were being effectively implemented to ensure vendor oversight plans are established in accordance with the | The team concluded that actions to develop and implement a process for the monitoring of supplemental oversight plan compliance were effective because Procedure EN-OM-126-ANO-RC, Revision 4, Attachments 9.7 and 9.8 were being effectively implemented to ensure vendor oversight plans are established in accordance with the licensees standard. The Vendor Oversight Trend Data Metric and the Oversight Plan Field Verification Scorecards show that positive performance results were being demonstrated based on observations made as part of the rapid trending process and human performance error rate data. | ||
Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that the actions taken to address VO-5 were effective. Therefore, VO-5 is closed. | |||
VO-6 Establish specific templates/guidance/examples to support consistent development of supplemental oversight plans. (CR-ANO-C-2014-02318, CA-168) | |||
During the 95003 supplemental inspection, the NRC team noted several issues involving the oversight of supplemental personnel. Procedure EN-OM-126, Management and Oversight of Supplemental Personnel, required the development of a supplemental oversight plan using the checklist in Attachment 9.3. The checklist appropriately required the identification of specific areas of concern and required a plan to address each of those areas. However, there was insufficient guidance to develop an adequate oversight plan or to specify how oversight should be adjusted when areas of concern were present. | |||
To evaluate the licensees corrective action effectiveness, the team reviewed CR-ANO-C-2014-02318 CA-168 and Procedure EN-OM-126-ANO-RC, Management and Oversight of Supplemental Personnel, Revision 4, 9.3, Vendor Oversight Plan, Attachment 9.7, Oversight Plan Scorecard, and Attachment 9.8, Oversight Plan Field Verification Scorecard. | |||
The team performed interviews with the owners of this action item as well as personnel responsible for implementing the procedure. The team reviewed five recent vendor oversight plans and their associated verification scorecards. The team also followed a maintenance supervisor performing the field verification process for four ongoing projects at the site. | |||
The team concluded that actions to establish specific templates, guidance, and examples to support consistent development of supplemental oversight plans were effective. Specifically, Procedure EN-OM-126-ANO-RC, Revision 4, 9.3 was successfully implemented to ensure vendor oversight plans were written to the new standard, modeled directly from the template, and contained adequate guidance and detail to develop the vendor oversight plan and address areas of concerns. The Vendor Oversight Plans reviewed by the team were found to have followed the template provided in Attachment 9.3 and contained the scope and detail to provide adequate vendor oversight for the tasks assigned. | |||
Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that the actions taken to address VO- | Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that the actions taken to address VO-6 were effective. Therefore, VO-6 is closed. | ||
VO-11 Revise the Supplemental Personnel Expectations Brief Checklist to include supplemental personnel receiving a site employee handbook and a discussion by responsible management on the site employee handbook and expectations for use. (CR-ANO-C-2015-02829, CA-28) | |||
During the 95003 supplemental inspection, the NRC team noted several issues involving the oversight of supplemental personnel. Procedure EN-OM-126 specified that the required reading list in Attachment 9.2 be filled out and assigned to each supplemental worker. The responsible manager was required to decide whether the workers needed to read and understand each policy or program, or simply acknowledge awareness that a program or policy existed. | |||
The team concluded that | The NRC team concluded that the program did not establish a minimum standard, nor was there a connection between this decision and the oversight plan. | ||
To evaluate the licensees corrective action effectiveness, the team reviewed CR-ANO-C-2015-02829 CA-28; Procedure EN-OM-126-ANO-RC, Management and Oversight of Supplemental Personnel, Revision 4, Attachment 9.1, Supplemental Personnel Expectations Brief Checklist, and Attachment 9.2, Supplemental Personnel Required Reading; ANO Standards and Expectations Handbook; and Procedure EN-PL-100, Nuclear Excellence Model, Revision 8. | |||
The team performed interviews with the owners of this action item as well as personnel responsible for implementing the procedure and providing the briefs to incoming supplemental employees. The team reviewed five recently completed Supplemental Personnel Expectations Brief Checklists and performed observations of the checklist brief as well as a brief regarding expectation for use of the Employee Handbook. | |||
The team concluded that actions to revise the Supplemental Personnel Expectations Brief Checklist to include supplemental personnel receiving a site employee handbook and a discussion by responsible management on the site employee handbook and expectations for use were effective. Specifically, Procedure EN-OM-126-ANO-RC, Revision 4, Attachment 9.1 was successfully implemented to ensure all incoming supplemental employees received a site employee handbook and a discussion on expectations for use. Supplemental Personnel Expectations Brief Checklists reviewed by the team were found to have followed the template provided in Attachment 9.1 and contained a section that included a brief by the | The team concluded that actions to revise the Supplemental Personnel Expectations Brief Checklist to include supplemental personnel receiving a site employee handbook and a discussion by responsible management on the site employee handbook and expectations for use were effective. Specifically, Procedure EN-OM-126-ANO-RC, Revision 4, Attachment 9.1 was successfully implemented to ensure all incoming supplemental employees received a site employee handbook and a discussion on expectations for use. Supplemental Personnel Expectations Brief Checklists reviewed by the team were found to have followed the template provided in Attachment 9.1 and contained a section that included a brief by the employees responsible manager on expectations for use of the site employee handbook. Attachment 9.2 included the handbook as a required reading item for all supplemental personnel. | ||
During the review of this item, the team noted through observations and interviews that the individual supplemental | During the review of this item, the team noted through observations and interviews that the individual supplemental employees responsible manager was usually not the person providing the employee handbook expectations for use brief. The licensee initiated CR-ANO-C-2017-2204 and CR-ANO-C-2017-2207 to address this issue. The team reviewed corrective actions to address this concern in draft Revision 5 to Procedure EN-OM-126-ANO-RC. These changes included mandatory topics within the ANO Standards and Expectations handbook to be included in a brief for all supplemental employees, and the brief must be performed by either the responsible manager or their designee. | ||
The team concluded that the desired behaviors and outcomes to reduce human performance related errors within the supplemental employee group and ensure performance standards and expectations for supplemental personnel are the same as the high performance standards expected of the station staff were achieved. Further, the team concluded that a standard template for specific content of the brief, as provided in the proposed procedure revision, would ensure the objectives of the brief continue to be met when a non-responsible manager is providing the brief to supplemental employees. | The team concluded that the desired behaviors and outcomes to reduce human performance related errors within the supplemental employee group and ensure performance standards and expectations for supplemental personnel are the same as the high performance standards expected of the station staff were achieved. Further, the team concluded that a standard template for specific content of the brief, as provided in the proposed procedure revision, would ensure the objectives of the brief continue to be met when a non-responsible manager is providing the brief to supplemental employees. | ||
Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that the actions taken to address VO-11 were effective. Therefore, VO-11 is closed. VO-21 Develop and implement recurring training for project management personnel on | Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that the actions taken to address VO-11 were effective. Therefore, VO-11 is closed. | ||
VO-21 Develop and implement recurring training for project management personnel on DM-9 risk recognition and conservative decision making. (CR-ANO-C-2014-02318, CA-60) | |||
ANO found during their second Root Cause Evaluation for the stator drop event that the corrective action plan developed and implemented for CR-ANO-C-2012-0596, Conservative Assumptions in Decision Making (H.1.b) | |||
Substantive Cross-Cutting Issue, was not effective in changing behaviors of personnel involved in high risk decisions (including project management). During the 95003 supplemental inspection, the NRC team noted multiple indications of deficient risk management practices and concluded that ANO had failed to recognize the need to develop and implement corrective actions to improve knowledge and recognition of risk. | |||
To evaluate the | To evaluate the licensees corrective action effectiveness, the team reviewed CR-ANO-C-2014-02318 CA-060; Procedure EN-OM-126-ANO-RC, Revision 4, 9.3, Vendor Oversight Plan; training module ASCBT-ADM-RISKMGMT, Risk Management Fundamentals and Conservative Decision Making for Project Management; and Procedure EN-TQ-130, Project Management Training Program, Revision 0. The team performed interviews with the owners of this action item as well as project managers who have completed this course and the subsequent refresher training. The team reviewed the risk management course against the requirements of EN-TQ-130 to ensure the computer-based training program was consistent with procedure requirements and was appropriate to address previously-identified shortcomings. | ||
The NRC team concluded that actions to develop and implement recurring training for project management personnel on risk recognition and conservative decision making were effective because computer-based training ASCBT-ADM-RISKMGMT, | The NRC team also reviewed all current ANO project manager qualifications to ensure they completed and were up-to-date with the computer-based training course. | ||
The NRC team concluded that actions to develop and implement recurring training for project management personnel on risk recognition and conservative decision making were effective because computer-based training ASCBT-ADM-RISKMGMT, Risk Management Fundamentals and conservative Decision Making for Project Management, was successfully implemented to ensure project managers use appropriate knowledge and recognition of risk when planning and implementing projects. The team identified that Procedure EN-TQ-130, Revision 0, allowed the continued training of the project managers to be fulfilled via avenues other than the computer-based training. The licensee initiated CR-HQN-2017-00744 to track corrective actions to ensure the procedure reflects the intent to have the project managers complete the computer-based training as the minimum standard. | |||
Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that the actions taken to address VO-21/DM-9 were effective. Therefore, VO-21 and DM-9 are closed. | |||
===.2 Actions to Address Identifying, Assessing, and Correcting Performance Deficiencies=== | ===.2 Actions to Address Identifying, Assessing, and Correcting Performance Deficiencies=== | ||
To evaluate the | CA-1 Establish Corrective Action Program (CAP) content in the ANO Employee Handbook to include behaviors for prompt identification of conditions into CAP. | ||
(CR-ANO-C-2015-01240, CA-64) | |||
ANO found during their initial Root Cause Evaluation for the stator drop event that key CAP values and behaviors were not in a handbook to support daily reference by employees and reinforcement by leaders. During the 95003 supplemental inspection, the NRC team noted all ANO personnel and contractors expressed a willingness to identify and enter issues into the CAP by writing CRs and that there was widespread familiarity with how to write a CR. However, some personnel expressed skepticism regarding whether CRs were appropriately prioritized and resolved in a timely manner. | |||
To evaluate the licensees corrective action effectiveness, the team reviewed: | |||
* CR-ANO-C-2015-01240, CA-64 | |||
* CR-ANO-C-2015-02829, CA-27 | |||
* EN-PL-100, Nuclear Excellence Model, Revision 8 | |||
* ANO Standards and Expectations Handbook, Revisions 0 and 1 | |||
* Draft Entergy Nuclear Excellence Model Handbook The team determined that the ANO Standards and Expectations Handbook included sufficient information to include behaviors for prompt identification of conditions into the CAP. At the time of this inspection, Entergy was in the process of creating a corporate-level employee handbook (called the Nuclear Excellence Model) that would be distributed throughout the fleet. The team evaluated whether the same level of detail was integrated into the Entergy corporate handbook. The team determined that the new handbook was written at a higher level, but that it still contained an adequate level of detail regarding the expectations of CAP behaviors for identifying issues. | |||
The team evaluated CAP data since the inception of the ANO handbook and determined that the number of condition reports written was showing an increasing trend, including department level upward trends from line organizations such as Operations, Engineering, and Maintenance. The team noted that a perceived strength reported by respondents to the ANO 2017 Nuclear Safety Culture Survey was the willingness to report problems to supervision and use the CAP/CR process. The team also reviewed Nuclear Professional what it looks like (WILL) sheet observation data, which also showed that personnel demonstrate a low threshold for reporting problems. | |||
Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that the actions taken to address CA-1 were effective. Therefore, CA-1 is closed. | |||
CA-4 Develop and implement initial and continuing CAP training for station employees, apparent and root cause evaluators (ACE/RCE), responsible managers (including corrective action review board (CARB) and condition review group (CRG) members), department performance improvement coordinators (DPICs),operating experience (OE) specialists and points of contact, and performance improvement personnel. (CR-ANO-C-2015-01240 CA-74 through CA-81) | |||
During the 95003 supplemental inspection, the NRC team noted a lack of understanding regarding how the CAP process works once a CR is initiated among many workers at ANO. Existing station-wide training focused on how to use the stations software to initiate a CR, but did not fully address the rest of the CAP processes. Although all personnel reported receiving feedback when a CR they wrote was closed, the feedback was typically an automated email indicating the CR had been closed without providing details regarding what was done in response to the problem. | |||
To evaluate the licensees corrective action effectiveness, the team reviewed: | |||
* CR-ANO-C-2015-01240, CAs-74 through 81 | |||
* CR-ANO-C-2014-02698, CAs-10, 15, 18, 20, 26, 28, and 29 | |||
* CR-HQN-E-2014-00291, CAs-09 through 11, 13 and 14 The team reviewed the initial and continuing CAP training that was developed and implemented for station employees, ACE/RCE evaluators, responsible managers (including CARB and CRG members), DPICs, OE specialists and points of contact, and performance improvement personnel. The team reviewed lesson plans and class rosters and determined that the training addressed the lack of understanding regarding how the CAP process works. | |||
The team noted that the licensee documented that 100 percent of the population of station personnel received CAP training. The team noted that the number of condition reports written per year was increasing, and that willingness to report problems to supervision and willingness to identify and pursue resolution of problems were perceived by respondents as strengths in the licensees 2017 Safety Culture Survey. The team verified that all DPICs, responsible managers, performance improvement personnel, OE Specialists and Points of Contact successfully completed this training completed the training The team noted that since November 2016, the number of CRs being upgraded from non-adverse to adverse was trending down. The Recovery Performance Indicator, a metric that monitors effectiveness review failures, average grade for OE evaluations, OE responses within a due date, missed opportunities, and industry consolidated event system (ICES) reporting grade, has been consistently green since August 2016. The team also found that all of the target population of cause evaluators also received training, and that cause evaluation quality improved since there has not been a cause evaluation rejected by the CARB since July 2016. | |||
Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that the actions taken to address CA-4 were effective. Therefore, CA-4 is closed. | |||
CA-6 Implement training, benchmarking, process improvements, and monitoring/feedback to improve the rigor, attention to detail, and overall quality of operability determinations and functionality assessments. (CR-ANO-C-2015-01240, CA-14, CA-20, and CA-28) | |||
ANO noted during their initial RCE for the stator drop event that rigor and attention to detail were not always evident in the documentation associated with operability determinations and functionality assessments. During the 95003 supplemental inspection, the NRC team determined that while the CRG ensured operability/functionality reviews were performed, they did not always ensure the reviews were performed in a timely manner as required by procedure EN-LI-102-ANO-RC, Corrective Action Program. | |||
To evaluate the | To evaluate the licensees corrective action effectiveness, the team reviewed: | ||
* CR-ANO-C-2015-01284, CAs-13, 14, 20 and 28 | |||
* COPD-28, Operations Performance Tracking Program, Revisions 16 and 17 | |||
* A sample of 11 graded operability evaluations The team evaluated the corrective actions and effectiveness criteria established by the licensee for implementing benchmarking, process improvements, and monitoring/feedback to improve the rigor, attention to detail, and overall quality of operability determinations and functionality assessments. The effectiveness criteria was based on the results of operability and functionality evaluation sample grading methods originally established by industry experts and later refined by licensee monitoring. The grading failure criteria was based on weak justification of an operability evaluation, an incorrect operability call (i.e. an evaluation result of operable/functional when the correct result should have been inoperable/non-functional), or an accumulation of failures to meet other administrative requirements. This effectiveness criteria that was developed for this action was also used to determine the effectiveness of corrective actions to ensure CRs that bypassed the control room received operability/functionality reviews. | |||
The team | The team performed interviews with the owners of this action item as well as personnel responsible for implementing the procedures, observed the sampling process for operability/functionality grading, and reviewed a sample 11 graded operability/functionality evaluations. The team identified the following: | ||
* The licensees process did not include verification as to whether appropriate actions were completed in response to grading feedback in cases where a revision to the operability/functionality evaluation was needed. The team identified that, in CR-ANO-1-2017-00729, the licensee failed to re-evaluate the operability of equipment impacted by a non-functional flood barrier after the initial operability evaluation had been graded as a failure. The licensee entered this deficiency into their corrective action program as CR-ANO-1-2017-01717, CR-ANO-C-2017-02181, and CR-ANO-C-2017-02234. The licensee updated station procedure COPD-028 to ensure that when a new version of an operability/functionality evaluation is required by the grading process, the resulting revision(s) are completed and re-graded. The licensee also completed a re-evaluation for the example identified by the team. | |||
* The majority of operability evaluations sampled by the licensees process to ensure quality included evaluations where only an immediate operability determination was warranted. This type of evaluation is all that is performed for issues that are straightforward. The licensees process did not focus their samples of operability evaluations on issues that required a more complex review (i.e., prompt operability determinations). The team performed an independent review of an additional sample of five prompt operability evaluations. One of these, which had previously been graded as satisfactory, was found to meet the licensees criteria for grading as a failure. The licensee entered these issues into their CAP as CR-ANO-C-2017-02181, CR-ANO-C-2017-02234, and CR-ANO-C-2017-02278. In response, the licensee conducted a self-assessment in which all 2017 year-to-date prompt operability evaluations were reviewed. This review resulted in the identification of an additional three operability evaluations graded as failures by the licensee. As corrective action, the licensee revised procedure COPD-028 to ensure that on a weekly (preferred) or biweekly basis all operability evaluations and engineering input associated with prompt determinations are reviewed. | |||
* The team noted that the grading process was subject to subjectivity, and the team identified inconsistencies in grading results. The team identified an additional example of an operability evaluation that met the criteria to have been graded as failure instead of satisfactory. The licensee entered these issues into their CAP as CR-ANO-1-2017-01737, CR-ANO-C-2017-02181, and CR-ANO-C-2017-02234. The licensee updated Procedure COPD-028 to ensure that on a monthly basis the operability program owner or individuals designated by operations management review metrics and grading feedback to identify common issues and ensure grading consistency. | |||
* The team concluded that the licensee did not have adequate criteria to demonstrate the effectiveness of corrective actions to ensure CRs that bypassed the control room received an operability/functionality assessment. When the 95003 inspection team identified examples where CRs requiring operability or functionality reviews were bypassing the control room review, ANO implemented an action that modified their program software to prevent any CRs from bypassing the control room. | |||
This action was subsequently replaced with the station procedure EN-OP-115-03, Shift Turnover and Relief, Revision 2 section 5.0 step 11. This step requires that, The off-going shift manager (or designated senior reactor operator (SRO) will review all CRs written on their watch to ensure no operability issues are missed. In response, the licensee performed a self-assessment, which sampled approximately 127 CRs from a total of 769 CRs that had bypassed the control room. This self-assessment identified one example, CR-ANO-1-2017-01073, that did not receive an operability/functionality assessment as required, and operability was immediately assessed for the condition. The licensee entered this deficiency into their CAP as CR-ANO-C-2017-02265. | |||
Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that action CA-6 should remain open. This action will be reviewed in a future inspection after the licensee: completes corrective action to address the teams concerns described above; determines that sufficient additional monitoring has been conducted to effectively monitor performance; and concludes that sustained improvement has been demonstrated for each of the elements of the expected outcome for operability determinations and functionality assessments from the CAP Area Action Plan. | |||
CA-13 Establish an Operating Experience (OE) mentor to review OE responses and provide critical feedback. (CR-ANO-C-2015-02832, CA-26) | |||
During the 95003 supplemental inspection, the NRC team found that the OE screening process identified OE reports that were applicable to the site for which corrective actions were required to be implemented (i.e., Level A1) and OE that was applicable to the site with adequate barriers already in place (i.e., Level 2). | |||
The NRC team identified several examples in which barriers were credited that had not effectively been verified or validated in the OE responses or by the Condition Review Group. When the NRC team checked, some credited barriers would not have been effective. | |||
To evaluate the | To evaluate the licensees corrective action effectiveness, the team reviewed: | ||
* CR-ANO-C-2015-02832, CA-26 | |||
* EN-OE-100, Operating Experience Program, Revision 27 | |||
* PI-003, Operating Experience Desk Guide, Revision 0 | |||
* OE program health recovery metric data | |||
* A sample of nine OE evaluations that received management review The team found that the licensee assigned an OE mentor for the OE program for a period of six months. The critical functions of the OE mentor included: | |||
1. reviews of OE evaluations at the station; 2. provided critical feedback to OE evaluators; 3. monitor OE program metrics and provide recommendations for actions to improve OE program effectiveness; and 4. provided critical feedback to licensee management on the OE program implementation. | |||
The team performed interviews with the owners of this action item as well as personnel responsible for implementing the procedures. The team noted that the OE program health recovery metric consisted of effectiveness review failures for the previous three month period, percent of OE responses that pass Event Report Review Board for the month, percent of OE responses performed within their due date for the previous three months, number of missed opportunities identified for the previous three months, and Consolidated Event System reporting criteria as determined by an industry performance monitoring group | The team performed interviews with the owners of this action item as well as personnel responsible for implementing the procedures. The team noted that the OE program health recovery metric consisted of effectiveness review failures for the previous three month period, percent of OE responses that pass Event Report Review Board for the month, percent of OE responses performed within their due date for the previous three months, number of missed opportunities identified for the previous three months, and Consolidated Event System reporting criteria as determined by an industry performance monitoring group. | ||
Additionally, the team sampled seven OE evaluations that had received management review and were identified as not applicable to ANO, as well as two OE evaluations of NRC Information Notices. The team did not identify any issues of concern with the OE evaluations sampled. | |||
To evaluate the licensee | Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that the actions taken to address CA-13 were effective. Therefore, CA-13 is closed. | ||
CO-2 Revise procedure EN-FAP-OM-002, Management Review Meetings, to prioritize review of Nuclear Safety Culture status and regulatory performance to the operational excellence management review meeting agenda. | |||
(CR-ANO-C-2015-02836, CA-20) | |||
ANO identified in their Root Cause Evaluation report CR-ANO-C-2015-2829, Leadership Fundamentals, that leaders focused on day-to-day business without having a clear long-term strategy for performance review and problem identification and resolution. One of the licensees corrective actions was to establish an external nuclear safety culture (NSC) observer role to monitor behaviors during performance meetings and provide constructive feedback. | |||
During the 95003 supplemental inspection, the NRC team concluded that the feedback provided by the external NSC observer added value. However, the inspectors identified two cases where meeting members were unaware of the NSC observers role or the NSC observer failed to address an ambiguous safety culture message delivered to the ANO staff by a senior ANO manager. | |||
To evaluate the licensees corrective action effectiveness, the team reviewed: | |||
* CR-ANO-C-2015-02836, CAs-20 and 21 | |||
* Procedure EN-FAP-OM-002, Management Review Meetings | |||
* March 2016 Management Review Meeting Presentation The team noted that Procedure EN-FAP-OM-002 was revised to require that nuclear safety culture status and regulatory performance be a topic at the Operational Excellence Management Review Meeting, which is a senior management meeting that includes station and corporate-level personnel with the purpose of gaining alignment around gaps in site performance and actions to improve performance. The operational excellence management review meeting agenda is provided as a template document. Regulatory slides were relocated to earlier in the template presentation, and revised slides were added that focus on nuclear safety culture status and regulatory performance. | |||
Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that the actions taken to address CO-2 were effective. Therefore, CO-2 is closed. | |||
PM-10 Reestablish the Preventive Maintenance (PM) Program health report for a period of at least 12 months. (CR-ANO-C-2015-02834, CA-127) | |||
The Predictive Maintenance and the Component System Monitoring Programs at ANO provide feedback to the PM Program. During the 95003 supplemental inspection, the NRC team found trend data from these programs to be missing or incorrect and determined that the Predictive Maintenance and Component and System Monitoring Programs failed to inform the station of ineffective aspects of the PM Program. Adverse conditions identified by the NRC 95003 team indicated weaknesses in implementation of performance monitoring and the PM Programs. | |||
To evaluate the licensees corrective action effectiveness, the team reviewed: | |||
* CR-ANO-C-2015-02834, CA-127 | |||
* Quarterly PM program health reports for a 12-month period | |||
* PM program performance indicators The team performed interviews with the owners of this action item as well as personnel responsible for implementing the procedures. The NRC team also reviewed PM health reports generated during a 12-month period and metric data and indicators monitoring PM program health. The PM program health report included indicators grouped in four major categories: program personnel, program infrastructure, program implementation, and equipment related to plant performance. Examples of these indicators were: equipment reliability indicators, critical component failures, critical preventive maintenance, timeliness of first-time high critical PM performance, preventive maintenance feedback, and preventive maintenance change requests greater than 60 days. Additionally, each metric had appropriate thresholds and associated actions to be taken when thresholds were exceeded. The team concluded that the licensee implemented appropriate methods to monitor the health of PM program implementation. | |||
Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that the actions taken to address PM-10 were effective. Therefore, PM-10 is closed. | Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that the actions taken to address PM-10 were effective. Therefore, PM-10 is closed. | ||
===.3 Actions to Address Human Performance Issues=== | ===.3 Actions to Address Human Performance Issues=== | ||
DB-18 Re-baseline expectations for supporting information for NRC license amendment requests or relief requests based on past requests for additional information. | DB-18 Re-baseline expectations for supporting information for NRC license amendment requests or relief requests based on past requests for additional information. | ||
(CR-ANO-C-2016-00203, CA-6 and CA-15) | (CR-ANO-C-2016-00203, CA-6 and CA-15) | ||
During the 95003 supplemental inspection, the NRC team assessed | During the 95003 supplemental inspection, the NRC team assessed ANOs performance in the area of license submittal quality, with a focus on the stations efforts to identify the extent of the problem and develop corrective actions. While corrective actions to improve the licensing action submittal process were established in the licensees Comprehensive Recovery Plan, those actions to improve the regulatory assurance departments internal processes were not yet complete. ANO acknowledged that the level of supporting information in years past may not be sufficient to support current licensing actions. ANO initiated corrective actions to re-baseline expectations for the level of detail in licensing action submittals. | ||
To evaluate the | To evaluate the licensees corrective action effectiveness, the team reviewed training provided to re-baseline expectations for NRC license amendment requests based on past requests for additional information (RAIs). The team noted that this training discussed the historical types of RAIs received and addressed how to answer these questions in the original submittal, negating the need for the RAI. The number of NRC RAIs per license amendment request has gone down since implementation of the training, indicating that the licensee was providing more complete initial submittals. The team also reviewed the procedure that directs a project manager to inform the regulatory assurance department early in the project when a licensing action may be necessary and determine the timeline for getting an amendment approved. The team determined that this procedural guidance will aid in planning to ensure that requests are submitted with enough lead time for NRC review prior to the need for implementation of the amendment. | ||
The team discussed the quality and timeliness of licensing actions with the | The team discussed the quality and timeliness of licensing actions with the NRCs Project Manager for ANO and confirmed that performance were meeting the objectives established for this item. | ||
Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that the actions taken to address DB-18 were effective. Therefore, DB-18 is closed. | Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that the actions taken to address DB-18 were effective. Therefore, DB-18 is closed. | ||
DB-19 Provide Regulatory Assurance departmental training on development of NRC license amendment requests. (CR-ANO-C-2016-00203, CA-8) | DB-19 Provide Regulatory Assurance departmental training on development of NRC license amendment requests. (CR-ANO-C-2016-00203, CA-8) | ||
During the 95003 supplemental inspection, the NRC team assessed | During the 95003 supplemental inspection, the NRC team assessed ANOs performance in the area of license submittal quality, with a focus on the stations efforts to identify the extent of the problem and develop corrective actions. ANO identified a need to conduct training of personnel involved in licensing action submittals in order to ensure adequate quality and completeness of the submittals. | ||
The team reviewed the regulatory assurance departmental training on development of NRC license amendment requests. This training discussed the background of license amendments, technical specifications, and design basis | The team reviewed the regulatory assurance departmental training on development of NRC license amendment requests. This training discussed the background of license amendments, technical specifications, and design basis. | ||
The USA RAT&Q Program was developed to provide participants a shared, common program to train and qualify regulatory affairs employees. The team determined that this program will help to ensure that license amendment requests are consistent with applicable standards. The team discussed the quality and timeliness of licensing actions with the | It also discussed how to write successful license amendment requests using past license amendment requests and operating experience. The team noted that this training was given by a contractor with substantive experience in this field. The team noted that ANO has also joined the Utilities Service Alliance Agreement for the Regulatory Affairs Training and Qualification Program (US RAT&Q) in 2017. | ||
The USA RAT&Q Program was developed to provide participants a shared, common program to train and qualify regulatory affairs employees. The team determined that this program will help to ensure that license amendment requests are consistent with applicable standards. | |||
The team discussed the quality and timeliness of licensing actions with the NRCs Project Manager, and confirmed that performance were meeting the objectives established for this item. | |||
Based on the actions taken by the licensee the team concluded that the actions taken to address DB-19 were effective. Therefore, DB-19 is closed. | Based on the actions taken by the licensee the team concluded that the actions taken to address DB-19 were effective. Therefore, DB-19 is closed. | ||
NF-6 Revise procedure EN-OM-126, | NF-6 Revise procedure EN-OM-126, Management and Oversight of Supplemental Personnel, to ensure that supplemental employees receive the ANO Employee Handbook and are provided expectations for its use in a discussion by their manager. (CR-ANO-C-2015-02829, CA-28) | ||
During the 95003 supplemental inspection, the NRC team noted several issues involving the oversight of supplemental personnel. Procedure EN-OM-126, Management and Oversight of Supplemental Personnel, specified that the required reading list in Attachment 9.2 be filled out and assigned to each supplemental worker. The responsible manager decided whether the workers needed to read and understand each policy or program, or simply acknowledge awareness that a program or policy existed. The NRC team concluded that the program did not establish a minimum standard, nor was there a connection between this decision and the oversight plan. | |||
To evaluate the | To evaluate the licensees corrective action effectiveness, the team reviewed CR-ANO-C-2015-02829 CA-28; Procedure EN-OM-126-ANO-RC Revision 4; 9.1, Supplemental Personnel Expectations Brief Checklist, and 9.2, Supplemental Personnel Required Reading; the ANO Standards and Expectations Handbook, and Procedure EN-PL-100, Nuclear Excellence Model, Revision 8. The team performed interviews with the owners of this action item as well as personnel responsible for implementing the procedure and providing the briefs to incoming supplemental employees. The team reviewed five recently-completed Supplemental Personnel Expectations Brief Checklists and performed observations of the checklist brief as well as a brief regarding expectation for use of the Employee Handbook. | ||
The team concluded that actions to revise the Supplemental Personnel Expectations Brief Checklist to include supplemental personnel receiving an ANO Employee Handbook and a discussion by responsible management on the contents of the ANO Employee Handbook and expectations for use were effective. Specifically, the team concluded that Procedure EN-OM-126-ANO-RC, Revision 4, Attachment 9.1 was successfully implemented to ensure all incoming supplemental employees received an ANO Employee Handbook and a discussion on expectations for use. Supplemental Personnel Expectations Brief Checklists reviewed by the team were found to have followed the template provided in Attachment 9.1 and contained a section that included a brief by the | The team concluded that actions to revise the Supplemental Personnel Expectations Brief Checklist to include supplemental personnel receiving an ANO Employee Handbook and a discussion by responsible management on the contents of the ANO Employee Handbook and expectations for use were effective. Specifically, the team concluded that Procedure EN-OM-126-ANO-RC, Revision 4, Attachment 9.1 was successfully implemented to ensure all incoming supplemental employees received an ANO Employee Handbook and a discussion on expectations for use. Supplemental Personnel Expectations Brief Checklists reviewed by the team were found to have followed the template provided in Attachment 9.1 and contained a section that included a brief by the employees responsible manager on expectations for use of the ANO Employee Handbook. | ||
9.2 included the handbook was a required reading item for all supplemental personnel. During the review of this item, the team noted through observations and interviews that the individual supplemental | 9.2 included the handbook was a required reading item for all supplemental personnel. During the review of this item, the team noted through observations and interviews that the individual supplemental employees responsible manager (an Entergy employee) was usually not the person providing the ANO Employee Handbook expectations for use brief. Instead, a single supplemental employee gave most of the briefs, and these briefs were observed to be consistent and reasonably representative of ANO expectations. | ||
The team | The team was concerned that if actual Entergy managers were not giving the expectations brief, the briefer might be someone who was not knowledgeable of station management expectations. The minimum content of the briefings was also not provided in the procedure to ensure consistency. The licensee initiated CR-ANO-C-2017-2204 and CR-ANO-C-2017-2207 to address this issue. The team reviewed a draft Revision 5 to Procedure EN-OM-126-ANO-RC intended to address the teams concerns, which included changes to Attachment 9.1. These changes included a list of topics within the ANO Employee Handbook that must be briefed to all supplemental employees by either the responsible manager or their designee. | ||
The team concluded that the desired behaviors and outcomes, to reduce human performance related errors within the supplemental employee group and ensure performance standards and expectations for supplemental personnel were the same as the performance standards expected of the station staff, were achieved. | |||
The team also concluded that a standard template for specific content of the brief, as provided in the proposed procedure revision, would ensure the objectives of the brief continue to be met when a non-responsible manager is providing the brief to supplemental employees. | |||
The team also noted that ANO created a new, permanent organizational structure, consisting of one manager and 16 procedure writers, to maintain station procedures. The team determined that this new group provided a sufficient number of resources to maintain accurate, up-to-date procedures. Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that the actions taken to address PQ-6 were effective. Therefore, PQ-6 is closed. | Based on the actions taken by the licensee, data evaluated by the team, and observations performed onsite, the team concluded that the actions taken to address NF-6 were effective. Therefore, NF-6 is closed. | ||
PQ-6 Upgrade procedures classified as Safety Significant. (CR-ANO-C-2015-03033, CA-23) | |||
During the 95003 supplemental inspection, the NRC team agreed with ANOs assessment that the leadership team had not consistently provided the organizational structure, staff priorities, or dedicated resources to support high quality procedures and work instructions, and had not consistently applied current industry guidance for procedure content, structure, and human factoring. | |||
To evaluate the licensees corrective action effectiveness, the team verified that all safety significant procedures were updated to ANOs improved procedure quality standards, then graded against a checklist developed in part based on applicable industry standards for procedure writing. The team noted that the average grade after upgrading was above a 99 percent. For any procedures that did not score 100 percent, corrections were implemented before the upgrade was accepted. As part of the review, the team used the same checklist and independently performed grading of several current/issued licensee procedures. | |||
No significant issues were identified. | |||
The team also noted that ANO created a new, permanent organizational structure, consisting of one manager and 16 procedure writers, to maintain station procedures. The team determined that this new group provided a sufficient number of resources to maintain accurate, up-to-date procedures. | |||
Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that the actions taken to address PQ-6 were effective. Therefore, PQ-6 is closed. | |||
PQ-10 Review and/or validate station procedures with respect to gaps in use of notes and cautions, and ensure needed corrections are entered into the appropriate station processes for completion. (CR-ANO-2-2014-03507 CA-5, CA 8, CA-21, and CA-24; CR-ANO-C-2015-01566 CA-7 through CA-10) | PQ-10 Review and/or validate station procedures with respect to gaps in use of notes and cautions, and ensure needed corrections are entered into the appropriate station processes for completion. (CR-ANO-2-2014-03507 CA-5, CA 8, CA-21, and CA-24; CR-ANO-C-2015-01566 CA-7 through CA-10) | ||
During the 95003 supplemental inspection, the NRC team noted that procedure adherence problems had been identified in the root cause evaluations for the White unplanned scrams performance indicator and the two Yellow findings, but ANO did not perform any cause evaluation for procedure adherence problems. Corrective actions developed by ANO to improve procedure adherence were focused on establishing clear standards and improving procedure quality and human factoring. | During the 95003 supplemental inspection, the NRC team noted that procedure adherence problems had been identified in the root cause evaluations for the White unplanned scrams performance indicator and the two Yellow findings, but ANO did not perform any cause evaluation for procedure adherence problems. | ||
Corrective actions developed by ANO to improve procedure adherence were focused on establishing clear standards and improving procedure quality and human factoring. | |||
To evaluate the | To evaluate the licensees corrective action effectiveness, the team independently reviewed a sample of station procedures that had been upgraded to the new procedure quality standard to ensure that gaps in notes and cautions were corrected where necessary. As part of the review, the team verified that the use of notes and cautions was appropriate, that notes and cautions did not contain action steps, and that notes and cautions appeared in the appropriate locations in the procedures to support understanding relative to the step to be performed. The team determined that for the sample reviewed, all notes and cautions reviewed has been addressed appropriately. | ||
Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that the actions taken to address PQ-10 were effective. Therefore, PQ-10 is closed. | Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that the actions taken to address PQ-10 were effective. Therefore, PQ-10 is closed. | ||
PQ-11 Establish a periodic review and validation of station procedures. This will also support a systematic approach to revising the station procedures not included in other actions to the standards contained in the new writers | PQ-11 Establish a periodic review and validation of station procedures. This will also support a systematic approach to revising the station procedures not included in other actions to the standards contained in the new writers guide. | ||
During the 95003 supplemental inspection, the NRC team identified that several condition reports associated with the | |||
(CR-ANO-C-2015-00850, CA-55) | |||
During the 95003 supplemental inspection, the NRC team identified that several condition reports associated with the licensees initial procedure quality evaluation were closed without addressing the procedural deficiencies identified by the assessment teams. The NRC team also noted examples from field observations where an operator experienced difficulty with an unclear step in a procedure, and where maintenance technicians continued to use procedures that required the use of drawings that were no longer available. | |||
To evaluate the licensees corrective action effectiveness, the team reviewed the version of Procedure 1000.006, Procedure Control, that had been approved by the licensees Closure Review Challenge Board process (Revision 69). The team also reviewed the current version of this procedure (Revision 70). The team noted that the current procedure revision included important improvements. | |||
The procedure required all operating procedures and beyond design basis guidelines, with the exception of emergency operating procedures (which are validated under different requirements), to be validated every 5 revisions, with some minor exceptions. Exceptions are recorded into the corrective action program with actions to either perform the validation as soon as possible, or document the reasoning for exemption. In addition, the current procedure revision also requires an update/validation every 5 years regardless of revision number. These procedure validations will be performed by the newly established procedure quality group discussed in item PQ-6 above. | |||
Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that the actions taken to address PQ-11 were effective. Therefore, PQ-11 is closed. | Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that the actions taken to address PQ-11 were effective. Therefore, PQ-11 is closed. | ||
===.4 Actions to Address Equipment Reliability and Engineering Program Deficiencies=== | ===.4 Actions to Address Equipment Reliability and Engineering Program Deficiencies=== | ||
PH-1 For open Site Integrated Plant Database (SIPD) items, ensure management sponsors and project managers are assigned to verify database content is updated. This action supports effective decision making by ensuring the accuracy and completeness of existing SIPD records. (CR-ANO-C-2015-02831, CA-26 and CA-27) | |||
During the 95003 supplemental inspection, the NRC team determined that ANOs implementation of the SIPD process lacked long-range planning, was difficult to manage, and lacked the engineering resources to fulfill the SIPD process requirements. The licensee identified that there was no mechanism to assure that issues which had not been fully approved were addressed in a timely manner. ANO had 1745 issues in the process, and a recovery team reconciliation subsequently closed 1350 as being already complete or no longer needed. Many items lacked management sponsors or project leads, or lacked information needed to proceed through the process. | |||
To evaluate the | To evaluate the licensees corrective action effectiveness, the team reviewed: | ||
* CR-ANO-C-2015-02831, CAs-26 and 27 | |||
* Procedure EN-FAP-PM-001, Asset Management Plan Development and Control, Revision 2 | |||
* Procedure EN-FAP-PM-002, Project Initiation, Segmentation and Funding, Revision 1 The team reviewed CR-ANO-2015-02831 CA-26 and CA-27 and verified the above actions where completed. The team noted that the licensee took actions to ensure that for open Unit Reliability Team (URT) and non-URT category site integrated planning database (SIPD) items that are left open, management sponsors and project managers are assigned to each project to ensure specific assigned oversight for every project. Each management sponsor was assigned action items to review assigned SIPD entries and make revisions as necessary to ensure requirements of EN-FAP-PM-002 were met. Additionally, management sponsors were assigned to ensure that URT items are presented to the Engineering Change Review Group (ECRG) for approval. | |||
Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that the actions taken to address PH-1 were effective. Therefore, PH-1 is closed. | |||
PH-2 Perform a review of the Site Integrated Plant Database (SIPD) database from 2007 to present to identify PM or equipment reliability projects related to critical equipment that have been cancelled without mitigation strategies. (CR-ANO-C-2015-02834 CA-138) | |||
During the 95003 supplemental inspection, the NRC team identified that the SIPD process for making capital improvements was ineffective. Only work needing approval and funding for the next outage was addressed. This contributed to the relatively low outage expenditures, and was a contributing factor to equipment reliability challenges. | |||
The team reviewed the plant health program training material and the results of the | To evaluate the licensees corrective action effectiveness, the team reviewed: | ||
* CR-ANO-C-2015-02834, CA-138 | |||
* Procedure EN-FAP-PM-001, Asset Management Plan Development and Control, Revision 2 | |||
* Procedure EN-FAP-PM-002, Project Initiation, Segmentation and Funding, Revision 1 The team noted that the licensee performed a review of the SIPD database from 2007 to the present to identify preventive maintenance or equipment reliability projects related to critical equipment that have been cancelled without mitigation strategies. Additionally, the licensee generated conditions reports for any conditions identified from this review, which included the following condition reports for SIPD for non-critical systems. The team verified that each of these items was re-entered into the SIPD system to address the equipment reliability issue. | |||
* CR-ANO-C-2016-05303, ANO-1 circulating water internal pipe recoat (new SIPD 502) | |||
* CR-ANO-C-2016-05304, replace eight molded (new SIPD 3769) | |||
* CR-ANO-C-2016-05305, remove 2BS-3A and 2BS-3B check valve internals (new SIPD 6075) | |||
Based on the actions taken by the licensee and data evaluated by the team, the team concluded that the actions taken to address PH-2 were effective. | |||
Therefore, PH-2 is closed. | |||
PH-10 Develop educational materials for the plant heath process including SIPD processing. Include a detailed flowchart, workbook, and detailed presentation materials. Deliver the presentation to system, component, and program engineers and to selected supervisory personnel. Have the workbook completed by personnel following the presentation. (CR-ANO-C-2015-03029, CA-11) | |||
During the licensees recovery project evaluations, ANO identified weaknesses with the organizations ability to identify, prioritize, fund, and implement modifications and other capital improvements required to address equipment issues in a timely manner. ANO determined that employees did not understand how to process an issue through the SIPD process from initial identification to implementation of a modification. During the 95003 supplemental inspection, the NRC team concluded the SIPD processes were complex and burdensome, and did not produce an overall plan that considered risk in the prioritization of activities. | |||
To evaluate the licensees corrective action effectiveness, the team reviewed: | |||
* CR-ANO-C-2015-03029, CA-11 | |||
* Procedure EN-DC-336-ANO-RC, Plant Health Committee, Rev. 2 | |||
* Plant health program training material The team noted that the licensee developed educational materials for the plant health process, including SIPD processing. The training material included a detailed flowchart, workbook, and detailed presentation materials. The team confirmed that the training material was presented to systems, components, and program engineers and to selected supervisory personnel, and that attendees completed the workbook following the training. The licensee considered that 80 percent of the selected population completing the training was a success criteria. | |||
The team reviewed the plant health program training material and the results of the licensees effectiveness review for CR-ANO-C-2015-03029 CA-11. The team noted that the training material was presented to approximately 140 preselected individuals in systems, components, programs, and design engineering, as well as maintenance supervisors and staff, ANO superintendents, and ALARA personnel, with 90 percent of the individuals returning completed workbooks. | |||
Based on the actions taken by the licensee data evaluated by the team, and observation performed onsite the team concluded that the actions taken to address PH-10 were effective. Therefore, PH-10 is closed. | Based on the actions taken by the licensee data evaluated by the team, and observation performed onsite the team concluded that the actions taken to address PH-10 were effective. Therefore, PH-10 is closed. | ||
===.5 Actions to Address Safety Culture Issues=== | ===.5 Actions to Address Safety Culture Issues=== | ||
CO-1 Revise procedure EN-FAP-OM-011, Corporate Oversight Model, to include station nuclear safety culture output from the Nuclear Safety Culture Monitoring Panel (NSCMP) as inputs to the Oversight Analysis Meeting and Oversight Review Board. (CR-ANO-C-2015-02836, CA-18 and CA-19) | |||
During the recovery project evaluations, the licensee determined that some specific safety performance and regulatory information was not provided to corporate leaders through their performance monitoring processes. In addition, the communication of safety performance challenges between corporate and site leaders were ineffective at arresting the decline. During the 95003 supplemental inspection, the NRC team determined that, while nuclear safety remained a priority, actions to balance competing priorities, manage problems, and prioritize workload had resulted in reduced safety margins. | |||
To evaluate the | To evaluate the licensees corrective action effectiveness, the team reviewed: | ||
* CR-ANO-C-2015-02836, CAs-18 and 19 | |||
* Procedure EN-FAP-OM-011 Corporate Oversight Model, Revision 15 | |||
* Procedure EN-FAP-OM-002 Management Review Meetings, Revision 6 The team verified that Revision 18 to Procedure EN-FAP-OM-011 included requirements to ensure that Nuclear Safety Culture Monitoring Panel output and performance indicators were included in the discussions that take place in the Oversight Analysis Meeting (OAM), which is a corporate level meeting that takes place once per trimester. The procedure also specifies that the Performance Manager will brief the senior corporate leadership team on OAM conclusions. It is required that this brief will include a summary of the output from the stations Nuclear Safety Culture Monitoring Panel meeting minutes and report. This brief is conducted in preparation for the Oversight Review Board, which is a corporate level meeting that addresses plant performance and determines the corporate oversight categorization. | |||
Based on the actions taken by the licensee and data evaluated by the team, the team concluded that the actions taken to address | Based on the actions taken by the licensee and data evaluated by the team, the team concluded that the actions taken to address CO-1 were effective. | ||
To evaluate the licensee | Therefore, CO-1 is closed. | ||
LF-5 Provide supervisory training on nuclear safety culture (NSC) and safety conscious work environment. (CR-ANO-C-2015-02829, CA-29) | |||
During the 95003 supplemental inspection, the NRC team identified that the NSCMP did not identify weaknesses or a declining trend in NSC until receiving the results of the external safety culture assessments (i.e., 2014 Synergy Safety Culture Survey and 2015 Third Party Nuclear Safety Culture Assessment). The NRC team concluded that prior to spring 2015, the NSCMP did not demonstrate a rigorous, consistent process for evaluating the available information concerning ANOs safety culture. The NRC team concluded that a lack of specific training for NSCMP members and guidance regarding how to assess the sites safety culture contributed to assessment results that were overly subjective. | |||
To evaluate the licensees corrective action effectiveness, the team reviewed CR-ANO-C-2015-02829, CA-29, and the Nuclear Safety Culture training provided by a third party for supervisors and above. It included case studies to engage leaders in examples of nuclear safety culture and safety conscious work environment. It also presented opportunities to discuss the unintended consequences of incorrect behaviors. The team concluded that the scope of the training was appropriate, the instructors were experienced in the subject matter, and the topics were delivered in a manner that created practical learning through interactive case studies. The team verified that 100 percent of the supervisors and above that were identified to take the training completed the course. The team also reviewed the annual training covering nuclear safety culture and safety conscience work environment, and noted that training on nuclear safety culture is part of the supervisor training program for initial training of new supervisors. | |||
Based on the actions taken by the licensee and data evaluated by the team, the team concluded that the actions taken to address LF-5 were effective. | |||
Therefore, LF-5 is closed. | |||
SC-15 Raise the priority and visibility of nuclear safety culture at the fleet level by revising the Corporate Oversight Model to include station NSC output from the Nuclear Safety Culture Monitoring Panel as input to fleet oversight analysis meetings and oversight review boards. (CR-ANO-C-2015-02836, CA-18 and CA-20) | |||
During the licensees recovery project evaluations, the licensee determined that some specific safety performance and regulatory information was not provided to corporate leaders through their performance monitoring processes. In addition, the communication of safety performance challenges between corporate and site leaders were ineffective at arresting the decline. During the 95003 supplemental inspection, the NRC team determined that, while nuclear safety remained a priority, actions to balance competing priorities, manage problems, and prioritize workload resulted in reduced safety margins. | |||
To evaluate the licensees corrective action effectiveness, the team reviewed CR-ANO-C-2015-02836, CAs-18 and 20. The team verified that Procedure EN-FAP-OM-011 was revised to ensure that Nuclear Safety Culture Monitoring Panel output and performance indicators are included in the discussions that take place in the Oversight Analysis Meeting OAM), which is a corporate level meeting that takes place once per trimester. The procedure also specifies that the Performance Manager will brief the senior corporate leadership team on OAM conclusions. It is required that this brief include a summary of the output from the stations Nuclear Safety Culture Meeting Minutes and Report. This brief is in preparation for the Oversight Review Board, which is a corporate level meeting that addresses plant performance and determines the corporate oversight categorization. | |||
The team also verified that Procedure EN-FAP-OM-002 was revised to require that nuclear safety culture status and regulatory performance be a topic at the Operational Excellence Management Review Meeting, which is a site level meeting with the purpose of gaining alignment around gaps in site performance and actions to improve performance. The operational excellence management review meeting agenda is provided as a template document. Regulatory slides were relocated to earlier in the template presentation, and revised slides were added that focus on nuclear safety culture status and regulatory performance. | The team also verified that Procedure EN-FAP-OM-002 was revised to require that nuclear safety culture status and regulatory performance be a topic at the Operational Excellence Management Review Meeting, which is a site level meeting with the purpose of gaining alignment around gaps in site performance and actions to improve performance. The operational excellence management review meeting agenda is provided as a template document. Regulatory slides were relocated to earlier in the template presentation, and revised slides were added that focus on nuclear safety culture status and regulatory performance. | ||
Line 226: | Line 401: | ||
===.6 Service Water System Self-Assessment=== | ===.6 Service Water System Self-Assessment=== | ||
SW-1 To ensure conditions adverse to quality are identified and resolved, ANO will conduct a focused self-assessment of the Units 1 and 2 service water (SW)systems in accordance with station procedures and NRC Inspection Procedure 93810, Service Water System Operational Performance Inspection. (CR-ANO-C-2016-00614, CA-23) | |||
During the 95003 supplemental inspection, the NRC team identified several issues with the SW system, including that ANO was not monitoring and correcting biofouling-induced flow blockages in the SW system, had limited monitoring points for microbiologically-induced corrosion, and had errors in the process for monitoring SW system piping corrosion loss. The NRC team determined that ANO did not have an adequate assessment of system performance problems or a holistic plan to correct the problems and causes. | |||
The team concluded that the focused self-assessment was completed in a manner that was consistent with the guidance in NRC inspection procedure 93810, and the samples selected were appropriate to allow a thorough assessment of the system in each unit. The findings demonstrated that the review had adequate technical rigor, the recommendations were appropriate, and problems were appropriately entered into the corrective action program. The team of 10 reviewers included a mix of Entergy employees and external personnel with appropriate qualifications and experience to support the scope of the evaluation. The team conducted interviews with the service water system engineer, the self-assessment team leader, and the Manager, Design and Programs Engineering, to discuss the material history of the system, degradation mechanisms, and previous actions to address those challenges. These discussions focused on pitting corrosion, piping occlusion, flow degradation, and component functionality. | The licensees progress in implementing action SW-1 was previously reviewed in November and December 2016 in NRC inspection report 05000313/2016008 and 05000368/2016009 (ADAMS Accession No. ML17059D000) to assess how the focused self-assessment of the service water system was being performed while the assessment was in progress. This action was not closed pending completion of the assessment, review of the assessment report, and the development of a plan to address the findings and recommendations from the final report. | ||
The team reviewed the focused self-assessment report Service Water System Operational Performance Inspection, documented in LO-ALO-2016-00078 and NUENERGY report NUI-EOI-ANO SWS SA 2016-01; the Service Water System Improvement Plan; Condition Reports CR-ANO-C-2016-00614; Work Tracker WT-WTANO-2017-00198; and the CRP Action Effectiveness Summary for SW-1. | |||
The team compared the recommendations and problems identified in the self-assessment to the actions in the Service Water System Improvement Plan to verify that the actions needed to address material condition challenges and equipment reliability were included in the plan and were scheduled for completion in an appropriate time frame based on the current conditions and safety significance. The team also verified that design documentation issues were entered into the corrective action program for resolution. | |||
The team concluded that the focused self-assessment was completed in a manner that was consistent with the guidance in NRC inspection procedure 93810, and the samples selected were appropriate to allow a thorough assessment of the system in each unit. The findings demonstrated that the review had adequate technical rigor, the recommendations were appropriate, and problems were appropriately entered into the corrective action program. The team of 10 reviewers included a mix of Entergy employees and external personnel with appropriate qualifications and experience to support the scope of the evaluation. | |||
The team conducted interviews with the service water system engineer, the self-assessment team leader, and the Manager, Design and Programs Engineering, to discuss the material history of the system, degradation mechanisms, and previous actions to address those challenges. These discussions focused on pitting corrosion, piping occlusion, flow degradation, and component functionality. | |||
The licensee provided a marked-up drawing that depicted all of the piping that had previously been replaced and the pipe replacements included in the Service Water System Improvement Plan. | The licensee provided a marked-up drawing that depicted all of the piping that had previously been replaced and the pipe replacements included in the Service Water System Improvement Plan. | ||
The team concluded that the licensee understood the degradation mechanisms for service water system piping and components, which involved a combination of microbiologically-influenced corrosion (MIC) and galvanic corrosion. As noted in the NUENERGY report, | The team concluded that the licensee understood the degradation mechanisms for service water system piping and components, which involved a combination of microbiologically-influenced corrosion (MIC) and galvanic corrosion. As noted in the NUENERGY report, ANOs reliance on chemical treatment was insufficient alone to prevent MIC. Therefore, the licensee adopted actions to improve the non-destructive examinations of piping. Planned actions included upgrading their service water piping risk model using industry best practices and adopting new technology to allow inspecting large sections of pipe such that the scope of MIC monitoring would be larger and more risk-informed. | ||
Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that the actions taken to address SW-1 were effective. Therefore, SW-1 is closed. | |||
{{a|4OA6}} | {{a|4OA6}} | ||
==4OA6 Meetings, Including Exit== | ==4OA6 Meetings, Including Exit== | ||
===Exit Meeting Summary=== | |||
On June 5, 2017, the inspectors presented the inspection results to Mr. Terry Evans, General Manager Plant Operations, and other members of the licensee staff. The licensee acknowledged the issues presented. The licensee confirmed that any proprietary information reviewed by the inspectors had been returned or destroyed. | On June 5, 2017, the inspectors presented the inspection results to Mr. Terry Evans, General Manager Plant Operations, and other members of the licensee staff. The licensee acknowledged the issues presented. The licensee confirmed that any proprietary information reviewed by the inspectors had been returned or destroyed. | ||
=SUPPLEMENTAL INFORMATION= | =SUPPLEMENTAL INFORMATION= | ||
Line 248: | Line 433: | ||
===Licensee Personnel=== | ===Licensee Personnel=== | ||
: [[contact::R. Anderson]], Site Vice President | : [[contact::R. Anderson]], Site Vice President | ||
: [[contact::T. Arnold]], Recovery Manager | : [[contact::T. Arnold]], Recovery Manager | ||
: [[contact::L. Blocker]], Recovery Director | : [[contact::L. Blocker]], Recovery Director | ||
: [[contact::P. Butler]], Design Engineering Manager | : [[contact::P. Butler]], Design Engineering Manager | ||
: [[contact::B. Daiber]], Engineering Programs and Components Manager | : [[contact::B. Daiber]], Engineering Programs and Components Manager | ||
: [[contact::D. Edgell]], Recovery Manager | : [[contact::D. Edgell]], Recovery Manager | ||
: [[contact::A. Martin]], Unit 2 Shift Manager | : [[contact::A. Martin]], Unit 2 Shift Manager | ||
: [[contact::P. McCray]], Senior Manager Site Projects | : [[contact::P. McCray]], Senior Manager Site Projects | ||
: [[contact::N. Mosher]], Regulatory Assurance | : [[contact::N. Mosher]], Regulatory Assurance | ||
: [[contact::E. Nicholson]], Performance Improvement Manager | : [[contact::E. Nicholson]], Performance Improvement Manager | ||
: [[contact::B. Patrick]], Maintenance Manager | : [[contact::B. Patrick]], Maintenance Manager | ||
: [[contact::S. Pyle]], Regulatory Assurance Manager | : [[contact::S. Pyle]], Regulatory Assurance Manager | ||
: [[contact::F. Shewmake]], Unit 2 Operations Manager | : [[contact::F. Shewmake]], Unit 2 Operations Manager | ||
: [[contact::M. Skartvedt]], System Engineering Manager | : [[contact::M. Skartvedt]], System Engineering Manager | ||
: [[contact::G. Stephenson]], Acting Corrective Action Program Manager | : [[contact::G. Stephenson]], Acting Corrective Action Program Manager | ||
: [[contact::G. Sullins]], Regulatory and Performance Improvement Director | : [[contact::G. Sullins]], Regulatory and Performance Improvement Director | ||
: [[contact::J. Toben]], Nuclear Safety Culture Manager | : [[contact::J. Toben]], Nuclear Safety Culture Manager | ||
: [[contact::D. Vogt]], Operations Manager | : [[contact::D. Vogt]], Operations Manager | ||
: [[contact::T. Wengert]], Project Manager, Division of Operating Reactor Licensing, Office of Nuclear Reactor Regulation | NRC | ||
: [[contact::T. Wengert]], Project Manager, Division of Operating Reactor Licensing, Office of Nuclear Reactor | |||
Regulation | |||
==LIST OF CONFIRMATORY ACTION LETTER ITEMS CLOSED AND DISCUSSED== | ==LIST OF CONFIRMATORY ACTION LETTER ITEMS CLOSED AND DISCUSSED== | ||
Closed Significant Performance Deficiency FP-2 | |||
Closed Identifying, Assessing and Correcting Performance Deficiencies CA-1 | ===Closed=== | ||
Significant Performance Deficiency FP-2 (Section 4OA5.1) | |||
FP-7 (Section 4OA5.1) | |||
FP-9 (Section 4OA5.1) | |||
VO-5 (Section 4OA5.1) | |||
VO-6 (Section 4OA5.1) | |||
VO-11 (Section 4OA5.1) | |||
VO-21/DM-9 (Section 4OA5.1) | |||
DM-10 (Section 4OA5.1) | |||
Attachment 1 | |||
===Closed=== | |||
Identifying, Assessing and Correcting Performance Deficiencies CA-1 (Section 4OA5.2) | |||
CA-4 (Section 4OA5.2) | |||
CA-13 (Section 4OA5.2) | |||
CO-2 (Section 4OA5.2) | |||
PM-10 (Section 4OA5.2) | |||
Human Performance DB-18 (Section 4OA5.3) | |||
DB-19 (Section 4OA5.3) | |||
NF-6 (Section 4OA5.3) | |||
PQ-6 (Section 4OA5.3) | |||
PQ-10 (Section 4OA5.3) | |||
PQ-11 (Section 4OA5.3) | |||
Equipment Reliability and Engineering Programs PH-1 (Section 4OA5.4) | |||
PH-2 (Section 4OA5.4) | |||
PH-10 (Section 4OA5.4) | |||
Safety Culture CO-1 (Section 4OA5.5) | |||
LF-5 (Section 4OA5.5) | |||
SC-15 (Section 4OA5.5) | |||
Service Water System Self-Assessment SW-1 (Section 4OA5.6) | |||
===Discussed=== | |||
Identifying, Assessing and Correcting Performance Deficiencies CA-6 (Section 4OA5.2) | |||
==LIST OF DOCUMENTS REVIEWED== | ==LIST OF DOCUMENTS REVIEWED== | ||
}} | }} |
Latest revision as of 06:08, 3 November 2019
ML17195A478 | |
Person / Time | |
---|---|
Site: | Arkansas Nuclear |
Issue date: | 07/14/2017 |
From: | O'Keefe C NRC/RGN-IV/DRP/RPB-E |
To: | Richard Anderson Entergy Operations |
O'Keefe C | |
References | |
EA-14-008, EA-14-088, EA-16-124 IR 2017011 | |
Download: ML17195A478 (50) | |
Text
uly 14, 2017
SUBJECT:
ARKANSAS NUCLEAR ONE - NRC CONFIRMATORY ACTION LETTER (EA-16-124) FOLLOW-UP INSPECTION REPORT 05000313/2017011 AND 05000368/2017011
Dear Mr. Anderson:
On June 5, 2017, the U.S. Nuclear Regulatory Commission (NRC) inspection team reviewed your progress in implementing the specific actions from the ANO Comprehensive Recovery Plan that were committed to in a Confirmatory Action Letter (CAL) dated June 17, 2016 (NRCs Agencywide Documents Access and Management System (ADAMS) Accession No.
ML16169A193) (EA-16-124). The team discussed the results of this inspection with Mr. Terry Evans, General Manager Plant Operations, and other members of your staff. The team documented the results of this inspection in the enclosed inspection report.
The team reviewed Arkansas Nuclear Ones (ANO) progress in implementing the ANO Comprehensive Recovery Plan, focusing on 28 actions that ANO management had concluded were complete and had been determined to be effective. The inspection included a review of corrective actions to address the finding of substantial safety significance (Yellow) involving the failure to adequately approve the design and to load test a temporary lift assembly (EA-14-008)
and the finding of substantial safety significance (Yellow) involving requirements for flood mitigation (EA-14-088). The attached report documents the basis for closing 27 of the 28 CAL actions inspected, as well as observations related to the stations progress in addressing the action that was not sufficiently complete and effective to close at this time. The NRC will further review your development and implementation of corrective actions for these risk-significant findings during future inspections.
The NRC inspectors did not identify any findings or violations of more than minor significance. This letter, its enclosure, and your response (if any) will be made available for public inspection and copying at http://www.nrc.gov/reading-rm/adams.html and at the NRC Public Document Room in accordance with 10 CFR 2.390, Public Inspections, Exemptions, Requests for Withholding.
Sincerely,
/RA/
Neil OKeefe, Chief Project Branch E Division of Reactor Projects Docket Nos.: 05000313, 05000368 License Nos.: DPR-51, NPF-6
Enclosure:
Inspection Report 05000313/2017011 and 05000368/2017011 w/ Attachments:
1. Supplemental Information 2. Confirmatory Action Letter Item Status
REGION IV==
Docket(s): 05000313; 05000368 License: DPR-51; NPF-6 Report: 05000313/2017011; 05000368/2017011 Licensee: Entergy Operations, Inc.
Facility: Arkansas Nuclear One, Units 1 and 2 Location: Junction of Highway 64 West and Highway 333 South Russellville, Arkansas Dates: May 22 through June 5, 2017 Team Lead: C. Young, Senior Project Engineer Inspectors: C. Alldredge, Enforcement Specialist C. Jewett, Project Engineer C. Henderson, Resident Inspector M. Tobin, Resident Inspector Approved By: N. OKeefe Chief, Project Branch E Division of Reactor Projects
SUMMARY
IR 05000313/2017011; 05000368/2017011; 05/22/2017 - 06/05/2017; Arkansas Nuclear One,
Units 1 and 2; Confirmatory Action Letter Follow-up Inspection.
The inspection activities described in this report were performed between May 22, 2017, and June 5, 2017, by inspectors from the NRCs Region IV office, the resident inspector at Cooper Nuclear Station, and the resident inspector at Arkansas Nuclear One (ANO). The NRCs program for overseeing the safe operation of commercial nuclear power reactors is described in NUREG-1649, Reactor Oversight Process, dated July 2016.
The team reviewed 28 actions from the ANO Comprehensive Recovery Plan involving commitments made in a Confirmatory Action Letter (EA-16-124). The team concluded that 27 of the actions reviewed were complete and were effective in achieving the associated performance improvement objectives. The team also concluded that one action was not sufficiently complete and effective to close at this time.
No findings were identified.
REPORT DETAILS
OTHER ACTIVITIES (OA)
4OA5 Other Activities
Confirmatory Action Letter Follow-up (IP 92702)
.1 Actions to Address Significant Performance Deficiencies
DM-10 Revise procedure EN-WM-104, On-Line Risk Assessment, to include guidance for classifying as high risk those work activities involving a credible risk concern with unacceptable consequences and first-of-a-kind or first-in-a-while activities.
(CR-ANO-C-2014-02318 CA-14)
During the 95003 supplemental inspection, the NRC team noted that ANOs extent of cause review for the RCE associated with the stator drop event focused on the identification of site-wide weaknesses similar to the causes of the stator drop event, including assessing whether technical/administrative procedures provided insufficient guidance to identify and address items with potentially high consequences. ANOs extent of cause review concluded that procedure changes were needed to improve guidance to ensure the identification and management of risk items with potentially high consequences. The NRC 95003 team identified issues that were indicative of continued deficiencies in risk knowledge and recognition at the station, and that actions to improve knowledge of risk were missed in the assignment of corrective actions for the Decision Making and Risk Management Fundamental Problem Area (FPA). In response, ANO revised the Decision Making and Risk Management Area Action Plan (AAP)to add actions DM-5 through DM-11, including DM-10, which included a previously identified extent of cause corrective action from the RCE. Additionally, the NRC 95003 team noted examples of placing undue confidence in vendor expertise, such as during the Unit 1 reactor bottom-mounted instrument nozzle peening project, that were similar to those that contributed to the stator drop event.
To evaluate the licensees corrective action effectiveness, the team reviewed CR-ANO-C-2014-02318 CA-14 and the corresponding revisions to Procedure EN-WM-104, On-Line Risk Assessment. The team performed interviews with the owners of this action as well as personnel responsible for implementing the procedures. Overall, the team concluded that the procedure revisions were effective. However, the team noted that the format of added requirements in 9.3, including terminology for the criteria of consequences and probability, was inconsistent with that of the other existing categories. The team observed that this had the potential to result in inconsistent application of the new guidance. The licensee initiated CR-ANO-C-2017-02305 and CR-HQN-2017-00790 to address this concern and evaluate further enhancement to the revised procedure.
Based on the actions taken by the licensee, information evaluated by the team, and observations performed on site, the team concluded that the actions taken to address DM-10 were effective. Therefore, DM-10 is closed.
FP-2 Develop internal flooding [i.e., protection from flooding sources inside the plant]
design basis documentation so configuration control is defined and maintained.
(CR-ANO-C-2014-00259, CA-248)
- Develop an engineering report and flood protection drawings similar to the fire protection drawings to clearly document the flooding design basis and credited flood protection features (credited internal flood protection features and credited operator actions).
- Update the design requirement in the Flooding Upper Level Document.
- Assign unique equipment identification to each flood protection feature and boundary.
During the 95003 supplemental inspection, the NRC team concluded that the licensee used appropriate processes in the development of the root causes for the Yellow flood protection findings, including not having detailed design requirements of flooding features. The corrective action associated with FP-2 was developed to address the internal flooding aspect of this root cause.
During the NRCs first review of FP-2 in Inspection Report 05000313/2016008 and 05000368/2016008 (ADAMS Accession No. ML17059D000), the team found that the licensee had developed an effective process for clearly identifying and documenting internal flood protection features. The team found that related corrective actions CA-230, 231, 232, 233, 234, 235, 236, 237, and 238 were scheduled to be completed on or after the end of that inspection. These actions were associated with standards performance deficiencies identified during a focused self-assessment of ANOs treatment of high energy line breaks (HELB)and medium energy line breaks (MELB) as documented in CR-ANO-C-2015-2309. The team had concluded that corrective actions to address these deficiencies could potentially impact the internal flood protections features and that action FP-2 should remain open.
The licensee noted that the above referenced corrective actions overlapped with actions being taken to address CAL item DB-11. Since the remaining FP-2 actions did not directly involve flood protection, but were related to the implementation of the engineering programs for HELB/MELB protection, the licensee recommended reviewing completion of the remaining element of FP-2 under DB-11. The NRC agreed and plans review ANO performance of HELB/MELB protection under DB-11 during a future inspection. Based on the actions taken by the licensee, information previously evaluated by the NRC, and observations performed on site, the team concluded that the actions taken to address FP-2 were effective. Therefore, FP-2 is closed.
FP-7 Perform walkdowns of all credited internal flood protection features, and document the results in an engineering report. (CR-ANO-C-2014-00259, CA-82)
During the 95003 supplemental inspection, the NRC team acknowledged that one of the contributing causes associated with the Yellow flood protection findings was that Entergy personnel provided inadequate oversight of outside design agency activities related to Fukushima walkdowns, and as a result, failed to identify the missing and degraded flood protection features that were part of those findings. The licensee initiated the corrective action included in item FP-7 to walk down the credited internal flood protection features to ensure adequate protection from internally generated flood events.
During the NRCs first review of FP-7 in Inspection Report 05000313/2016008 and 05000368/2016008 (ADAMS Accession No. ML17059D000), the team determined that the licensee had completed walkdowns of all accessible areas that contained internal flood protection features and had initiated a corrective action to track one area that was inaccessible at power to be completed during an outage. The team also found that the licensee provided adequate oversight of the follow-up walkdowns to ensure that the Fukushima Near-Term Task Force Recommendation 2.3 was properly implemented and all identified comments were addressed. However, the team found that the justification documented in a due date extension for corrective action CA-112 (which called for verification that silicone foam internal flood seals have been upgraded or modified to watertight seals) left it unclear whether the walkdowns of all credited internal flood protection features had been performed and whether all deficiencies had been identified, documented, and evaluated in the corrective action process. The team concluded that action FP-7 should remain open and that this action will be reviewed in a future inspection.
To evaluate the licensees corrective action effectiveness, the team reviewed CR-ANO-C-2014-00259 CA-82, 18, and 112. The team noted that the CA-112 due date extension request referenced by the previous inspection team stated that the full scope of the seals/locations that require upgrade or modification are not yet known The team determined that this request had been documented in April 2016, at which time CA-82 (which tracked the completion of the action to perform walkdowns of all credited internal flood protection features and document the results in an engineering report) had not been completed. The team verified that all credited internal flood protection features were examined and that CA-82 was subsequently completed in June 2016. In addition, the team reviewed CR-ANO-C-2015-01929, which was initiated in June 2015 as a roll-up for internal flood mitigation issues identified as part of the Flood Mitigation Project. The team determined that a list of all internal flood barriers, including identification of which ones need improved flood seals, was developed under corrective action CA-15. The team verified that this action was completed in December 2016.
The team also determined that the action being performed by the licensee under CR-ANO-C-2014-00259 CA-112 as noted above is being included in the licensees actions to address CAL item FP-8, which will be reviewed by the NRC during a future inspection.
Based on the actions taken by the licensee, information evaluated by the team, and observations performed on site, the team concluded that the actions taken to address FP-7 were effective. Therefore, FP-7 is closed.
FP-9 Establish the Program Notebook and initial Program Health Report for flood protection in accordance with procedure EN-DC-143, Engineering Health Reports, to identify, communicate, prioritize and drive resolution of issues that challenge an effective flood protection strategy including performance indicators, initial color rating (Red or Yellow), and action plan. (CR-ANO-C-2014-00259, CA-210)
Following the stator drop event, ANO performed two RCEs using a cross-functional team with both internal and external team members that had experience in various subjects. From these RCEs, the 95003 NRC inspection team determined that 388 corrective actions were initiated as part of the stations flood protection recovery efforts. To provide sustainability of the corrective actions, ANO established the new External and Internal Flood Protection Program that included quarterly Program Health Reports and Plant Health Committee oversight.
To evaluate the licensees corrective action effectiveness, the team reviewed the following information:
- CR-ANO-C-2014-00259, corrective action CA-210
- Procedure EN-DC-329-ANO-RC, Engineering Programs Control and Oversight, Revision 2
- Procedure EN-DC-143, Engineering Health Reports, Revision 19
- Program Health Report, Passive Barriers Program, 2017Q1
- LO-ALO-2016-49, Flood Protection Program Focused Self-Assessment The team performed interviews with the owners of this action as well as personnel responsible for implementing the program. The team determined that the licensee has established the program notebook, program health reports, and action plan for the Passive Barriers Program in accordance with station procedures. The team further determined that this program was being implemented according to station procedures, which included identifying, communicating, prioritizing, and resolving flood protection related issues, as well as consideration of the impact of planned modifications on flood protection features.
Based on the actions taken by the licensee, information evaluated by the team, and observations performed on site, the team concluded that the actions taken to address FP-9 were effective. Therefore, FP-9 is closed.
VO-5 Develop and implement a process for monitoring of supplemental oversight plan compliance. (CR-ANO-C-2014-02318, CA-13)
During the 95003 supplemental inspection, the NRC team noted several issues involving the oversight of supplemental personnel. Procedure EN-OM-126, Management and Oversight of Supplemental Personnel, required the development of a supplemental oversight plan using the checklist in Attachment 9.3. The NRC team noted that their sample of oversight plans approved by ANO for four Unit 2 outage projects were vague and did not meet the intent of the procedure.
To evaluate the licensees corrective action effectiveness, the team reviewed CR-ANO-C-2015-02838 CA-013 and Procedure EN-OM-126-ANO-RC, Management and Oversight of Supplemental Personnel, Revision 4, 9.3, Vendor Oversight Plan, Attachment 9.7, Oversight Plan Scorecard, and Attachment 9.8, Oversight Plan Field Verification Scorecard.
The team performed interviews with the owners of this action item as well as personnel responsible for implementing the procedure. The team reviewed five recent vendor oversight plans and their associated verification scorecards. The team also observed a maintenance supervisor performing the field verification process for four ongoing projects at the site.
The team concluded that actions to develop and implement a process for the monitoring of supplemental oversight plan compliance were effective because Procedure EN-OM-126-ANO-RC, Revision 4, Attachments 9.7 and 9.8 were being effectively implemented to ensure vendor oversight plans are established in accordance with the licensees standard. The Vendor Oversight Trend Data Metric and the Oversight Plan Field Verification Scorecards show that positive performance results were being demonstrated based on observations made as part of the rapid trending process and human performance error rate data.
Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that the actions taken to address VO-5 were effective. Therefore, VO-5 is closed.
VO-6 Establish specific templates/guidance/examples to support consistent development of supplemental oversight plans. (CR-ANO-C-2014-02318, CA-168)
During the 95003 supplemental inspection, the NRC team noted several issues involving the oversight of supplemental personnel. Procedure EN-OM-126, Management and Oversight of Supplemental Personnel, required the development of a supplemental oversight plan using the checklist in Attachment 9.3. The checklist appropriately required the identification of specific areas of concern and required a plan to address each of those areas. However, there was insufficient guidance to develop an adequate oversight plan or to specify how oversight should be adjusted when areas of concern were present.
To evaluate the licensees corrective action effectiveness, the team reviewed CR-ANO-C-2014-02318 CA-168 and Procedure EN-OM-126-ANO-RC, Management and Oversight of Supplemental Personnel, Revision 4, 9.3, Vendor Oversight Plan, Attachment 9.7, Oversight Plan Scorecard, and Attachment 9.8, Oversight Plan Field Verification Scorecard.
The team performed interviews with the owners of this action item as well as personnel responsible for implementing the procedure. The team reviewed five recent vendor oversight plans and their associated verification scorecards. The team also followed a maintenance supervisor performing the field verification process for four ongoing projects at the site.
The team concluded that actions to establish specific templates, guidance, and examples to support consistent development of supplemental oversight plans were effective. Specifically, Procedure EN-OM-126-ANO-RC, Revision 4, 9.3 was successfully implemented to ensure vendor oversight plans were written to the new standard, modeled directly from the template, and contained adequate guidance and detail to develop the vendor oversight plan and address areas of concerns. The Vendor Oversight Plans reviewed by the team were found to have followed the template provided in Attachment 9.3 and contained the scope and detail to provide adequate vendor oversight for the tasks assigned.
Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that the actions taken to address VO-6 were effective. Therefore, VO-6 is closed.
VO-11 Revise the Supplemental Personnel Expectations Brief Checklist to include supplemental personnel receiving a site employee handbook and a discussion by responsible management on the site employee handbook and expectations for use. (CR-ANO-C-2015-02829, CA-28)
During the 95003 supplemental inspection, the NRC team noted several issues involving the oversight of supplemental personnel. Procedure EN-OM-126 specified that the required reading list in Attachment 9.2 be filled out and assigned to each supplemental worker. The responsible manager was required to decide whether the workers needed to read and understand each policy or program, or simply acknowledge awareness that a program or policy existed.
The NRC team concluded that the program did not establish a minimum standard, nor was there a connection between this decision and the oversight plan.
To evaluate the licensees corrective action effectiveness, the team reviewed CR-ANO-C-2015-02829 CA-28; Procedure EN-OM-126-ANO-RC, Management and Oversight of Supplemental Personnel, Revision 4, Attachment 9.1, Supplemental Personnel Expectations Brief Checklist, and Attachment 9.2, Supplemental Personnel Required Reading; ANO Standards and Expectations Handbook; and Procedure EN-PL-100, Nuclear Excellence Model, Revision 8.
The team performed interviews with the owners of this action item as well as personnel responsible for implementing the procedure and providing the briefs to incoming supplemental employees. The team reviewed five recently completed Supplemental Personnel Expectations Brief Checklists and performed observations of the checklist brief as well as a brief regarding expectation for use of the Employee Handbook.
The team concluded that actions to revise the Supplemental Personnel Expectations Brief Checklist to include supplemental personnel receiving a site employee handbook and a discussion by responsible management on the site employee handbook and expectations for use were effective. Specifically, Procedure EN-OM-126-ANO-RC, Revision 4, Attachment 9.1 was successfully implemented to ensure all incoming supplemental employees received a site employee handbook and a discussion on expectations for use. Supplemental Personnel Expectations Brief Checklists reviewed by the team were found to have followed the template provided in Attachment 9.1 and contained a section that included a brief by the employees responsible manager on expectations for use of the site employee handbook. Attachment 9.2 included the handbook as a required reading item for all supplemental personnel.
During the review of this item, the team noted through observations and interviews that the individual supplemental employees responsible manager was usually not the person providing the employee handbook expectations for use brief. The licensee initiated CR-ANO-C-2017-2204 and CR-ANO-C-2017-2207 to address this issue. The team reviewed corrective actions to address this concern in draft Revision 5 to Procedure EN-OM-126-ANO-RC. These changes included mandatory topics within the ANO Standards and Expectations handbook to be included in a brief for all supplemental employees, and the brief must be performed by either the responsible manager or their designee.
The team concluded that the desired behaviors and outcomes to reduce human performance related errors within the supplemental employee group and ensure performance standards and expectations for supplemental personnel are the same as the high performance standards expected of the station staff were achieved. Further, the team concluded that a standard template for specific content of the brief, as provided in the proposed procedure revision, would ensure the objectives of the brief continue to be met when a non-responsible manager is providing the brief to supplemental employees.
Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that the actions taken to address VO-11 were effective. Therefore, VO-11 is closed.
VO-21 Develop and implement recurring training for project management personnel on DM-9 risk recognition and conservative decision making. (CR-ANO-C-2014-02318, CA-60)
ANO found during their second Root Cause Evaluation for the stator drop event that the corrective action plan developed and implemented for CR-ANO-C-2012-0596, Conservative Assumptions in Decision Making (H.1.b)
Substantive Cross-Cutting Issue, was not effective in changing behaviors of personnel involved in high risk decisions (including project management). During the 95003 supplemental inspection, the NRC team noted multiple indications of deficient risk management practices and concluded that ANO had failed to recognize the need to develop and implement corrective actions to improve knowledge and recognition of risk.
To evaluate the licensees corrective action effectiveness, the team reviewed CR-ANO-C-2014-02318 CA-060; Procedure EN-OM-126-ANO-RC, Revision 4, 9.3, Vendor Oversight Plan; training module ASCBT-ADM-RISKMGMT, Risk Management Fundamentals and Conservative Decision Making for Project Management; and Procedure EN-TQ-130, Project Management Training Program, Revision 0. The team performed interviews with the owners of this action item as well as project managers who have completed this course and the subsequent refresher training. The team reviewed the risk management course against the requirements of EN-TQ-130 to ensure the computer-based training program was consistent with procedure requirements and was appropriate to address previously-identified shortcomings.
The NRC team also reviewed all current ANO project manager qualifications to ensure they completed and were up-to-date with the computer-based training course.
The NRC team concluded that actions to develop and implement recurring training for project management personnel on risk recognition and conservative decision making were effective because computer-based training ASCBT-ADM-RISKMGMT, Risk Management Fundamentals and conservative Decision Making for Project Management, was successfully implemented to ensure project managers use appropriate knowledge and recognition of risk when planning and implementing projects. The team identified that Procedure EN-TQ-130, Revision 0, allowed the continued training of the project managers to be fulfilled via avenues other than the computer-based training. The licensee initiated CR-HQN-2017-00744 to track corrective actions to ensure the procedure reflects the intent to have the project managers complete the computer-based training as the minimum standard.
Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that the actions taken to address VO-21/DM-9 were effective. Therefore, VO-21 and DM-9 are closed.
.2 Actions to Address Identifying, Assessing, and Correcting Performance Deficiencies
CA-1 Establish Corrective Action Program (CAP) content in the ANO Employee Handbook to include behaviors for prompt identification of conditions into CAP.
(CR-ANO-C-2015-01240, CA-64)
ANO found during their initial Root Cause Evaluation for the stator drop event that key CAP values and behaviors were not in a handbook to support daily reference by employees and reinforcement by leaders. During the 95003 supplemental inspection, the NRC team noted all ANO personnel and contractors expressed a willingness to identify and enter issues into the CAP by writing CRs and that there was widespread familiarity with how to write a CR. However, some personnel expressed skepticism regarding whether CRs were appropriately prioritized and resolved in a timely manner.
To evaluate the licensees corrective action effectiveness, the team reviewed:
- CR-ANO-C-2015-01240, CA-64
- CR-ANO-C-2015-02829, CA-27
- EN-PL-100, Nuclear Excellence Model, Revision 8
- ANO Standards and Expectations Handbook, Revisions 0 and 1
- Draft Entergy Nuclear Excellence Model Handbook The team determined that the ANO Standards and Expectations Handbook included sufficient information to include behaviors for prompt identification of conditions into the CAP. At the time of this inspection, Entergy was in the process of creating a corporate-level employee handbook (called the Nuclear Excellence Model) that would be distributed throughout the fleet. The team evaluated whether the same level of detail was integrated into the Entergy corporate handbook. The team determined that the new handbook was written at a higher level, but that it still contained an adequate level of detail regarding the expectations of CAP behaviors for identifying issues.
The team evaluated CAP data since the inception of the ANO handbook and determined that the number of condition reports written was showing an increasing trend, including department level upward trends from line organizations such as Operations, Engineering, and Maintenance. The team noted that a perceived strength reported by respondents to the ANO 2017 Nuclear Safety Culture Survey was the willingness to report problems to supervision and use the CAP/CR process. The team also reviewed Nuclear Professional what it looks like (WILL) sheet observation data, which also showed that personnel demonstrate a low threshold for reporting problems.
Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that the actions taken to address CA-1 were effective. Therefore, CA-1 is closed.
CA-4 Develop and implement initial and continuing CAP training for station employees, apparent and root cause evaluators (ACE/RCE), responsible managers (including corrective action review board (CARB) and condition review group (CRG) members), department performance improvement coordinators (DPICs),operating experience (OE) specialists and points of contact, and performance improvement personnel. (CR-ANO-C-2015-01240 CA-74 through CA-81)
During the 95003 supplemental inspection, the NRC team noted a lack of understanding regarding how the CAP process works once a CR is initiated among many workers at ANO. Existing station-wide training focused on how to use the stations software to initiate a CR, but did not fully address the rest of the CAP processes. Although all personnel reported receiving feedback when a CR they wrote was closed, the feedback was typically an automated email indicating the CR had been closed without providing details regarding what was done in response to the problem.
To evaluate the licensees corrective action effectiveness, the team reviewed:
- CR-ANO-C-2015-01240, CAs-74 through 81
- CR-ANO-C-2014-02698, CAs-10, 15, 18, 20, 26, 28, and 29
- CR-HQN-E-2014-00291, CAs-09 through 11, 13 and 14 The team reviewed the initial and continuing CAP training that was developed and implemented for station employees, ACE/RCE evaluators, responsible managers (including CARB and CRG members), DPICs, OE specialists and points of contact, and performance improvement personnel. The team reviewed lesson plans and class rosters and determined that the training addressed the lack of understanding regarding how the CAP process works.
The team noted that the licensee documented that 100 percent of the population of station personnel received CAP training. The team noted that the number of condition reports written per year was increasing, and that willingness to report problems to supervision and willingness to identify and pursue resolution of problems were perceived by respondents as strengths in the licensees 2017 Safety Culture Survey. The team verified that all DPICs, responsible managers, performance improvement personnel, OE Specialists and Points of Contact successfully completed this training completed the training The team noted that since November 2016, the number of CRs being upgraded from non-adverse to adverse was trending down. The Recovery Performance Indicator, a metric that monitors effectiveness review failures, average grade for OE evaluations, OE responses within a due date, missed opportunities, and industry consolidated event system (ICES) reporting grade, has been consistently green since August 2016. The team also found that all of the target population of cause evaluators also received training, and that cause evaluation quality improved since there has not been a cause evaluation rejected by the CARB since July 2016.
Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that the actions taken to address CA-4 were effective. Therefore, CA-4 is closed.
CA-6 Implement training, benchmarking, process improvements, and monitoring/feedback to improve the rigor, attention to detail, and overall quality of operability determinations and functionality assessments. (CR-ANO-C-2015-01240, CA-14, CA-20, and CA-28)
ANO noted during their initial RCE for the stator drop event that rigor and attention to detail were not always evident in the documentation associated with operability determinations and functionality assessments. During the 95003 supplemental inspection, the NRC team determined that while the CRG ensured operability/functionality reviews were performed, they did not always ensure the reviews were performed in a timely manner as required by procedure EN-LI-102-ANO-RC, Corrective Action Program.
To evaluate the licensees corrective action effectiveness, the team reviewed:
- CR-ANO-C-2015-01284, CAs-13, 14, 20 and 28
- COPD-28, Operations Performance Tracking Program, Revisions 16 and 17
- A sample of 11 graded operability evaluations The team evaluated the corrective actions and effectiveness criteria established by the licensee for implementing benchmarking, process improvements, and monitoring/feedback to improve the rigor, attention to detail, and overall quality of operability determinations and functionality assessments. The effectiveness criteria was based on the results of operability and functionality evaluation sample grading methods originally established by industry experts and later refined by licensee monitoring. The grading failure criteria was based on weak justification of an operability evaluation, an incorrect operability call (i.e. an evaluation result of operable/functional when the correct result should have been inoperable/non-functional), or an accumulation of failures to meet other administrative requirements. This effectiveness criteria that was developed for this action was also used to determine the effectiveness of corrective actions to ensure CRs that bypassed the control room received operability/functionality reviews.
The team performed interviews with the owners of this action item as well as personnel responsible for implementing the procedures, observed the sampling process for operability/functionality grading, and reviewed a sample 11 graded operability/functionality evaluations. The team identified the following:
- The licensees process did not include verification as to whether appropriate actions were completed in response to grading feedback in cases where a revision to the operability/functionality evaluation was needed. The team identified that, in CR-ANO-1-2017-00729, the licensee failed to re-evaluate the operability of equipment impacted by a non-functional flood barrier after the initial operability evaluation had been graded as a failure. The licensee entered this deficiency into their corrective action program as CR-ANO-1-2017-01717, CR-ANO-C-2017-02181, and CR-ANO-C-2017-02234. The licensee updated station procedure COPD-028 to ensure that when a new version of an operability/functionality evaluation is required by the grading process, the resulting revision(s) are completed and re-graded. The licensee also completed a re-evaluation for the example identified by the team.
- The majority of operability evaluations sampled by the licensees process to ensure quality included evaluations where only an immediate operability determination was warranted. This type of evaluation is all that is performed for issues that are straightforward. The licensees process did not focus their samples of operability evaluations on issues that required a more complex review (i.e., prompt operability determinations). The team performed an independent review of an additional sample of five prompt operability evaluations. One of these, which had previously been graded as satisfactory, was found to meet the licensees criteria for grading as a failure. The licensee entered these issues into their CAP as CR-ANO-C-2017-02181, CR-ANO-C-2017-02234, and CR-ANO-C-2017-02278. In response, the licensee conducted a self-assessment in which all 2017 year-to-date prompt operability evaluations were reviewed. This review resulted in the identification of an additional three operability evaluations graded as failures by the licensee. As corrective action, the licensee revised procedure COPD-028 to ensure that on a weekly (preferred) or biweekly basis all operability evaluations and engineering input associated with prompt determinations are reviewed.
- The team noted that the grading process was subject to subjectivity, and the team identified inconsistencies in grading results. The team identified an additional example of an operability evaluation that met the criteria to have been graded as failure instead of satisfactory. The licensee entered these issues into their CAP as CR-ANO-1-2017-01737, CR-ANO-C-2017-02181, and CR-ANO-C-2017-02234. The licensee updated Procedure COPD-028 to ensure that on a monthly basis the operability program owner or individuals designated by operations management review metrics and grading feedback to identify common issues and ensure grading consistency.
- The team concluded that the licensee did not have adequate criteria to demonstrate the effectiveness of corrective actions to ensure CRs that bypassed the control room received an operability/functionality assessment. When the 95003 inspection team identified examples where CRs requiring operability or functionality reviews were bypassing the control room review, ANO implemented an action that modified their program software to prevent any CRs from bypassing the control room.
This action was subsequently replaced with the station procedure EN-OP-115-03, Shift Turnover and Relief, Revision 2 section 5.0 step 11. This step requires that, The off-going shift manager (or designated senior reactor operator (SRO) will review all CRs written on their watch to ensure no operability issues are missed. In response, the licensee performed a self-assessment, which sampled approximately 127 CRs from a total of 769 CRs that had bypassed the control room. This self-assessment identified one example, CR-ANO-1-2017-01073, that did not receive an operability/functionality assessment as required, and operability was immediately assessed for the condition. The licensee entered this deficiency into their CAP as CR-ANO-C-2017-02265.
Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that action CA-6 should remain open. This action will be reviewed in a future inspection after the licensee: completes corrective action to address the teams concerns described above; determines that sufficient additional monitoring has been conducted to effectively monitor performance; and concludes that sustained improvement has been demonstrated for each of the elements of the expected outcome for operability determinations and functionality assessments from the CAP Area Action Plan.
CA-13 Establish an Operating Experience (OE) mentor to review OE responses and provide critical feedback. (CR-ANO-C-2015-02832, CA-26)
During the 95003 supplemental inspection, the NRC team found that the OE screening process identified OE reports that were applicable to the site for which corrective actions were required to be implemented (i.e., Level A1) and OE that was applicable to the site with adequate barriers already in place (i.e., Level 2).
The NRC team identified several examples in which barriers were credited that had not effectively been verified or validated in the OE responses or by the Condition Review Group. When the NRC team checked, some credited barriers would not have been effective.
To evaluate the licensees corrective action effectiveness, the team reviewed:
- CR-ANO-C-2015-02832, CA-26
- EN-OE-100, Operating Experience Program, Revision 27
- PI-003, Operating Experience Desk Guide, Revision 0
- OE program health recovery metric data
- A sample of nine OE evaluations that received management review The team found that the licensee assigned an OE mentor for the OE program for a period of six months. The critical functions of the OE mentor included:
1. reviews of OE evaluations at the station; 2. provided critical feedback to OE evaluators; 3. monitor OE program metrics and provide recommendations for actions to improve OE program effectiveness; and 4. provided critical feedback to licensee management on the OE program implementation.
The team performed interviews with the owners of this action item as well as personnel responsible for implementing the procedures. The team noted that the OE program health recovery metric consisted of effectiveness review failures for the previous three month period, percent of OE responses that pass Event Report Review Board for the month, percent of OE responses performed within their due date for the previous three months, number of missed opportunities identified for the previous three months, and Consolidated Event System reporting criteria as determined by an industry performance monitoring group.
Additionally, the team sampled seven OE evaluations that had received management review and were identified as not applicable to ANO, as well as two OE evaluations of NRC Information Notices. The team did not identify any issues of concern with the OE evaluations sampled.
Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that the actions taken to address CA-13 were effective. Therefore, CA-13 is closed.
CO-2 Revise procedure EN-FAP-OM-002, Management Review Meetings, to prioritize review of Nuclear Safety Culture status and regulatory performance to the operational excellence management review meeting agenda.
(CR-ANO-C-2015-02836, CA-20)
ANO identified in their Root Cause Evaluation report CR-ANO-C-2015-2829, Leadership Fundamentals, that leaders focused on day-to-day business without having a clear long-term strategy for performance review and problem identification and resolution. One of the licensees corrective actions was to establish an external nuclear safety culture (NSC) observer role to monitor behaviors during performance meetings and provide constructive feedback.
During the 95003 supplemental inspection, the NRC team concluded that the feedback provided by the external NSC observer added value. However, the inspectors identified two cases where meeting members were unaware of the NSC observers role or the NSC observer failed to address an ambiguous safety culture message delivered to the ANO staff by a senior ANO manager.
To evaluate the licensees corrective action effectiveness, the team reviewed:
- CR-ANO-C-2015-02836, CAs-20 and 21
- Procedure EN-FAP-OM-002, Management Review Meetings
- March 2016 Management Review Meeting Presentation The team noted that Procedure EN-FAP-OM-002 was revised to require that nuclear safety culture status and regulatory performance be a topic at the Operational Excellence Management Review Meeting, which is a senior management meeting that includes station and corporate-level personnel with the purpose of gaining alignment around gaps in site performance and actions to improve performance. The operational excellence management review meeting agenda is provided as a template document. Regulatory slides were relocated to earlier in the template presentation, and revised slides were added that focus on nuclear safety culture status and regulatory performance.
Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that the actions taken to address CO-2 were effective. Therefore, CO-2 is closed.
PM-10 Reestablish the Preventive Maintenance (PM) Program health report for a period of at least 12 months. (CR-ANO-C-2015-02834, CA-127)
The Predictive Maintenance and the Component System Monitoring Programs at ANO provide feedback to the PM Program. During the 95003 supplemental inspection, the NRC team found trend data from these programs to be missing or incorrect and determined that the Predictive Maintenance and Component and System Monitoring Programs failed to inform the station of ineffective aspects of the PM Program. Adverse conditions identified by the NRC 95003 team indicated weaknesses in implementation of performance monitoring and the PM Programs.
To evaluate the licensees corrective action effectiveness, the team reviewed:
- CR-ANO-C-2015-02834, CA-127
- Quarterly PM program health reports for a 12-month period
- PM program performance indicators The team performed interviews with the owners of this action item as well as personnel responsible for implementing the procedures. The NRC team also reviewed PM health reports generated during a 12-month period and metric data and indicators monitoring PM program health. The PM program health report included indicators grouped in four major categories: program personnel, program infrastructure, program implementation, and equipment related to plant performance. Examples of these indicators were: equipment reliability indicators, critical component failures, critical preventive maintenance, timeliness of first-time high critical PM performance, preventive maintenance feedback, and preventive maintenance change requests greater than 60 days. Additionally, each metric had appropriate thresholds and associated actions to be taken when thresholds were exceeded. The team concluded that the licensee implemented appropriate methods to monitor the health of PM program implementation.
Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that the actions taken to address PM-10 were effective. Therefore, PM-10 is closed.
.3 Actions to Address Human Performance Issues
DB-18 Re-baseline expectations for supporting information for NRC license amendment requests or relief requests based on past requests for additional information.
(CR-ANO-C-2016-00203, CA-6 and CA-15)
During the 95003 supplemental inspection, the NRC team assessed ANOs performance in the area of license submittal quality, with a focus on the stations efforts to identify the extent of the problem and develop corrective actions. While corrective actions to improve the licensing action submittal process were established in the licensees Comprehensive Recovery Plan, those actions to improve the regulatory assurance departments internal processes were not yet complete. ANO acknowledged that the level of supporting information in years past may not be sufficient to support current licensing actions. ANO initiated corrective actions to re-baseline expectations for the level of detail in licensing action submittals.
To evaluate the licensees corrective action effectiveness, the team reviewed training provided to re-baseline expectations for NRC license amendment requests based on past requests for additional information (RAIs). The team noted that this training discussed the historical types of RAIs received and addressed how to answer these questions in the original submittal, negating the need for the RAI. The number of NRC RAIs per license amendment request has gone down since implementation of the training, indicating that the licensee was providing more complete initial submittals. The team also reviewed the procedure that directs a project manager to inform the regulatory assurance department early in the project when a licensing action may be necessary and determine the timeline for getting an amendment approved. The team determined that this procedural guidance will aid in planning to ensure that requests are submitted with enough lead time for NRC review prior to the need for implementation of the amendment.
The team discussed the quality and timeliness of licensing actions with the NRCs Project Manager for ANO and confirmed that performance were meeting the objectives established for this item.
Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that the actions taken to address DB-18 were effective. Therefore, DB-18 is closed.
DB-19 Provide Regulatory Assurance departmental training on development of NRC license amendment requests. (CR-ANO-C-2016-00203, CA-8)
During the 95003 supplemental inspection, the NRC team assessed ANOs performance in the area of license submittal quality, with a focus on the stations efforts to identify the extent of the problem and develop corrective actions. ANO identified a need to conduct training of personnel involved in licensing action submittals in order to ensure adequate quality and completeness of the submittals.
The team reviewed the regulatory assurance departmental training on development of NRC license amendment requests. This training discussed the background of license amendments, technical specifications, and design basis.
It also discussed how to write successful license amendment requests using past license amendment requests and operating experience. The team noted that this training was given by a contractor with substantive experience in this field. The team noted that ANO has also joined the Utilities Service Alliance Agreement for the Regulatory Affairs Training and Qualification Program (US RAT&Q) in 2017.
The USA RAT&Q Program was developed to provide participants a shared, common program to train and qualify regulatory affairs employees. The team determined that this program will help to ensure that license amendment requests are consistent with applicable standards.
The team discussed the quality and timeliness of licensing actions with the NRCs Project Manager, and confirmed that performance were meeting the objectives established for this item.
Based on the actions taken by the licensee the team concluded that the actions taken to address DB-19 were effective. Therefore, DB-19 is closed.
NF-6 Revise procedure EN-OM-126, Management and Oversight of Supplemental Personnel, to ensure that supplemental employees receive the ANO Employee Handbook and are provided expectations for its use in a discussion by their manager. (CR-ANO-C-2015-02829, CA-28)
During the 95003 supplemental inspection, the NRC team noted several issues involving the oversight of supplemental personnel. Procedure EN-OM-126, Management and Oversight of Supplemental Personnel, specified that the required reading list in Attachment 9.2 be filled out and assigned to each supplemental worker. The responsible manager decided whether the workers needed to read and understand each policy or program, or simply acknowledge awareness that a program or policy existed. The NRC team concluded that the program did not establish a minimum standard, nor was there a connection between this decision and the oversight plan.
To evaluate the licensees corrective action effectiveness, the team reviewed CR-ANO-C-2015-02829 CA-28; Procedure EN-OM-126-ANO-RC Revision 4; 9.1, Supplemental Personnel Expectations Brief Checklist, and 9.2, Supplemental Personnel Required Reading; the ANO Standards and Expectations Handbook, and Procedure EN-PL-100, Nuclear Excellence Model, Revision 8. The team performed interviews with the owners of this action item as well as personnel responsible for implementing the procedure and providing the briefs to incoming supplemental employees. The team reviewed five recently-completed Supplemental Personnel Expectations Brief Checklists and performed observations of the checklist brief as well as a brief regarding expectation for use of the Employee Handbook.
The team concluded that actions to revise the Supplemental Personnel Expectations Brief Checklist to include supplemental personnel receiving an ANO Employee Handbook and a discussion by responsible management on the contents of the ANO Employee Handbook and expectations for use were effective. Specifically, the team concluded that Procedure EN-OM-126-ANO-RC, Revision 4, Attachment 9.1 was successfully implemented to ensure all incoming supplemental employees received an ANO Employee Handbook and a discussion on expectations for use. Supplemental Personnel Expectations Brief Checklists reviewed by the team were found to have followed the template provided in Attachment 9.1 and contained a section that included a brief by the employees responsible manager on expectations for use of the ANO Employee Handbook.
9.2 included the handbook was a required reading item for all supplemental personnel. During the review of this item, the team noted through observations and interviews that the individual supplemental employees responsible manager (an Entergy employee) was usually not the person providing the ANO Employee Handbook expectations for use brief. Instead, a single supplemental employee gave most of the briefs, and these briefs were observed to be consistent and reasonably representative of ANO expectations.
The team was concerned that if actual Entergy managers were not giving the expectations brief, the briefer might be someone who was not knowledgeable of station management expectations. The minimum content of the briefings was also not provided in the procedure to ensure consistency. The licensee initiated CR-ANO-C-2017-2204 and CR-ANO-C-2017-2207 to address this issue. The team reviewed a draft Revision 5 to Procedure EN-OM-126-ANO-RC intended to address the teams concerns, which included changes to Attachment 9.1. These changes included a list of topics within the ANO Employee Handbook that must be briefed to all supplemental employees by either the responsible manager or their designee.
The team concluded that the desired behaviors and outcomes, to reduce human performance related errors within the supplemental employee group and ensure performance standards and expectations for supplemental personnel were the same as the performance standards expected of the station staff, were achieved.
The team also concluded that a standard template for specific content of the brief, as provided in the proposed procedure revision, would ensure the objectives of the brief continue to be met when a non-responsible manager is providing the brief to supplemental employees.
Based on the actions taken by the licensee, data evaluated by the team, and observations performed onsite, the team concluded that the actions taken to address NF-6 were effective. Therefore, NF-6 is closed.
PQ-6 Upgrade procedures classified as Safety Significant. (CR-ANO-C-2015-03033, CA-23)
During the 95003 supplemental inspection, the NRC team agreed with ANOs assessment that the leadership team had not consistently provided the organizational structure, staff priorities, or dedicated resources to support high quality procedures and work instructions, and had not consistently applied current industry guidance for procedure content, structure, and human factoring.
To evaluate the licensees corrective action effectiveness, the team verified that all safety significant procedures were updated to ANOs improved procedure quality standards, then graded against a checklist developed in part based on applicable industry standards for procedure writing. The team noted that the average grade after upgrading was above a 99 percent. For any procedures that did not score 100 percent, corrections were implemented before the upgrade was accepted. As part of the review, the team used the same checklist and independently performed grading of several current/issued licensee procedures.
No significant issues were identified.
The team also noted that ANO created a new, permanent organizational structure, consisting of one manager and 16 procedure writers, to maintain station procedures. The team determined that this new group provided a sufficient number of resources to maintain accurate, up-to-date procedures.
Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that the actions taken to address PQ-6 were effective. Therefore, PQ-6 is closed.
PQ-10 Review and/or validate station procedures with respect to gaps in use of notes and cautions, and ensure needed corrections are entered into the appropriate station processes for completion. (CR-ANO-2-2014-03507 CA-5, CA 8, CA-21, and CA-24; CR-ANO-C-2015-01566 CA-7 through CA-10)
During the 95003 supplemental inspection, the NRC team noted that procedure adherence problems had been identified in the root cause evaluations for the White unplanned scrams performance indicator and the two Yellow findings, but ANO did not perform any cause evaluation for procedure adherence problems.
Corrective actions developed by ANO to improve procedure adherence were focused on establishing clear standards and improving procedure quality and human factoring.
To evaluate the licensees corrective action effectiveness, the team independently reviewed a sample of station procedures that had been upgraded to the new procedure quality standard to ensure that gaps in notes and cautions were corrected where necessary. As part of the review, the team verified that the use of notes and cautions was appropriate, that notes and cautions did not contain action steps, and that notes and cautions appeared in the appropriate locations in the procedures to support understanding relative to the step to be performed. The team determined that for the sample reviewed, all notes and cautions reviewed has been addressed appropriately.
Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that the actions taken to address PQ-10 were effective. Therefore, PQ-10 is closed.
PQ-11 Establish a periodic review and validation of station procedures. This will also support a systematic approach to revising the station procedures not included in other actions to the standards contained in the new writers guide.
(CR-ANO-C-2015-00850, CA-55)
During the 95003 supplemental inspection, the NRC team identified that several condition reports associated with the licensees initial procedure quality evaluation were closed without addressing the procedural deficiencies identified by the assessment teams. The NRC team also noted examples from field observations where an operator experienced difficulty with an unclear step in a procedure, and where maintenance technicians continued to use procedures that required the use of drawings that were no longer available.
To evaluate the licensees corrective action effectiveness, the team reviewed the version of Procedure 1000.006, Procedure Control, that had been approved by the licensees Closure Review Challenge Board process (Revision 69). The team also reviewed the current version of this procedure (Revision 70). The team noted that the current procedure revision included important improvements.
The procedure required all operating procedures and beyond design basis guidelines, with the exception of emergency operating procedures (which are validated under different requirements), to be validated every 5 revisions, with some minor exceptions. Exceptions are recorded into the corrective action program with actions to either perform the validation as soon as possible, or document the reasoning for exemption. In addition, the current procedure revision also requires an update/validation every 5 years regardless of revision number. These procedure validations will be performed by the newly established procedure quality group discussed in item PQ-6 above.
Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that the actions taken to address PQ-11 were effective. Therefore, PQ-11 is closed.
.4 Actions to Address Equipment Reliability and Engineering Program Deficiencies
PH-1 For open Site Integrated Plant Database (SIPD) items, ensure management sponsors and project managers are assigned to verify database content is updated. This action supports effective decision making by ensuring the accuracy and completeness of existing SIPD records. (CR-ANO-C-2015-02831, CA-26 and CA-27)
During the 95003 supplemental inspection, the NRC team determined that ANOs implementation of the SIPD process lacked long-range planning, was difficult to manage, and lacked the engineering resources to fulfill the SIPD process requirements. The licensee identified that there was no mechanism to assure that issues which had not been fully approved were addressed in a timely manner. ANO had 1745 issues in the process, and a recovery team reconciliation subsequently closed 1350 as being already complete or no longer needed. Many items lacked management sponsors or project leads, or lacked information needed to proceed through the process.
To evaluate the licensees corrective action effectiveness, the team reviewed:
- CR-ANO-C-2015-02831, CAs-26 and 27
- Procedure EN-FAP-PM-001, Asset Management Plan Development and Control, Revision 2
- Procedure EN-FAP-PM-002, Project Initiation, Segmentation and Funding, Revision 1 The team reviewed CR-ANO-2015-02831 CA-26 and CA-27 and verified the above actions where completed. The team noted that the licensee took actions to ensure that for open Unit Reliability Team (URT) and non-URT category site integrated planning database (SIPD) items that are left open, management sponsors and project managers are assigned to each project to ensure specific assigned oversight for every project. Each management sponsor was assigned action items to review assigned SIPD entries and make revisions as necessary to ensure requirements of EN-FAP-PM-002 were met. Additionally, management sponsors were assigned to ensure that URT items are presented to the Engineering Change Review Group (ECRG) for approval.
Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that the actions taken to address PH-1 were effective. Therefore, PH-1 is closed.
PH-2 Perform a review of the Site Integrated Plant Database (SIPD) database from 2007 to present to identify PM or equipment reliability projects related to critical equipment that have been cancelled without mitigation strategies. (CR-ANO-C-2015-02834 CA-138)
During the 95003 supplemental inspection, the NRC team identified that the SIPD process for making capital improvements was ineffective. Only work needing approval and funding for the next outage was addressed. This contributed to the relatively low outage expenditures, and was a contributing factor to equipment reliability challenges.
To evaluate the licensees corrective action effectiveness, the team reviewed:
- CR-ANO-C-2015-02834, CA-138
- Procedure EN-FAP-PM-001, Asset Management Plan Development and Control, Revision 2
- Procedure EN-FAP-PM-002, Project Initiation, Segmentation and Funding, Revision 1 The team noted that the licensee performed a review of the SIPD database from 2007 to the present to identify preventive maintenance or equipment reliability projects related to critical equipment that have been cancelled without mitigation strategies. Additionally, the licensee generated conditions reports for any conditions identified from this review, which included the following condition reports for SIPD for non-critical systems. The team verified that each of these items was re-entered into the SIPD system to address the equipment reliability issue.
- CR-ANO-C-2016-05303, ANO-1 circulating water internal pipe recoat (new SIPD 502)
- CR-ANO-C-2016-05304, replace eight molded (new SIPD 3769)
- CR-ANO-C-2016-05305, remove 2BS-3A and 2BS-3B check valve internals (new SIPD 6075)
Based on the actions taken by the licensee and data evaluated by the team, the team concluded that the actions taken to address PH-2 were effective.
Therefore, PH-2 is closed.
PH-10 Develop educational materials for the plant heath process including SIPD processing. Include a detailed flowchart, workbook, and detailed presentation materials. Deliver the presentation to system, component, and program engineers and to selected supervisory personnel. Have the workbook completed by personnel following the presentation. (CR-ANO-C-2015-03029, CA-11)
During the licensees recovery project evaluations, ANO identified weaknesses with the organizations ability to identify, prioritize, fund, and implement modifications and other capital improvements required to address equipment issues in a timely manner. ANO determined that employees did not understand how to process an issue through the SIPD process from initial identification to implementation of a modification. During the 95003 supplemental inspection, the NRC team concluded the SIPD processes were complex and burdensome, and did not produce an overall plan that considered risk in the prioritization of activities.
To evaluate the licensees corrective action effectiveness, the team reviewed:
- CR-ANO-C-2015-03029, CA-11
- Procedure EN-DC-336-ANO-RC, Plant Health Committee, Rev. 2
- Plant health program training material The team noted that the licensee developed educational materials for the plant health process, including SIPD processing. The training material included a detailed flowchart, workbook, and detailed presentation materials. The team confirmed that the training material was presented to systems, components, and program engineers and to selected supervisory personnel, and that attendees completed the workbook following the training. The licensee considered that 80 percent of the selected population completing the training was a success criteria.
The team reviewed the plant health program training material and the results of the licensees effectiveness review for CR-ANO-C-2015-03029 CA-11. The team noted that the training material was presented to approximately 140 preselected individuals in systems, components, programs, and design engineering, as well as maintenance supervisors and staff, ANO superintendents, and ALARA personnel, with 90 percent of the individuals returning completed workbooks.
Based on the actions taken by the licensee data evaluated by the team, and observation performed onsite the team concluded that the actions taken to address PH-10 were effective. Therefore, PH-10 is closed.
.5 Actions to Address Safety Culture Issues
CO-1 Revise procedure EN-FAP-OM-011, Corporate Oversight Model, to include station nuclear safety culture output from the Nuclear Safety Culture Monitoring Panel (NSCMP) as inputs to the Oversight Analysis Meeting and Oversight Review Board. (CR-ANO-C-2015-02836, CA-18 and CA-19)
During the recovery project evaluations, the licensee determined that some specific safety performance and regulatory information was not provided to corporate leaders through their performance monitoring processes. In addition, the communication of safety performance challenges between corporate and site leaders were ineffective at arresting the decline. During the 95003 supplemental inspection, the NRC team determined that, while nuclear safety remained a priority, actions to balance competing priorities, manage problems, and prioritize workload had resulted in reduced safety margins.
To evaluate the licensees corrective action effectiveness, the team reviewed:
- CR-ANO-C-2015-02836, CAs-18 and 19
- Procedure EN-FAP-OM-011 Corporate Oversight Model, Revision 15
- Procedure EN-FAP-OM-002 Management Review Meetings, Revision 6 The team verified that Revision 18 to Procedure EN-FAP-OM-011 included requirements to ensure that Nuclear Safety Culture Monitoring Panel output and performance indicators were included in the discussions that take place in the Oversight Analysis Meeting (OAM), which is a corporate level meeting that takes place once per trimester. The procedure also specifies that the Performance Manager will brief the senior corporate leadership team on OAM conclusions. It is required that this brief will include a summary of the output from the stations Nuclear Safety Culture Monitoring Panel meeting minutes and report. This brief is conducted in preparation for the Oversight Review Board, which is a corporate level meeting that addresses plant performance and determines the corporate oversight categorization.
Based on the actions taken by the licensee and data evaluated by the team, the team concluded that the actions taken to address CO-1 were effective.
Therefore, CO-1 is closed.
LF-5 Provide supervisory training on nuclear safety culture (NSC) and safety conscious work environment. (CR-ANO-C-2015-02829, CA-29)
During the 95003 supplemental inspection, the NRC team identified that the NSCMP did not identify weaknesses or a declining trend in NSC until receiving the results of the external safety culture assessments (i.e., 2014 Synergy Safety Culture Survey and 2015 Third Party Nuclear Safety Culture Assessment). The NRC team concluded that prior to spring 2015, the NSCMP did not demonstrate a rigorous, consistent process for evaluating the available information concerning ANOs safety culture. The NRC team concluded that a lack of specific training for NSCMP members and guidance regarding how to assess the sites safety culture contributed to assessment results that were overly subjective.
To evaluate the licensees corrective action effectiveness, the team reviewed CR-ANO-C-2015-02829, CA-29, and the Nuclear Safety Culture training provided by a third party for supervisors and above. It included case studies to engage leaders in examples of nuclear safety culture and safety conscious work environment. It also presented opportunities to discuss the unintended consequences of incorrect behaviors. The team concluded that the scope of the training was appropriate, the instructors were experienced in the subject matter, and the topics were delivered in a manner that created practical learning through interactive case studies. The team verified that 100 percent of the supervisors and above that were identified to take the training completed the course. The team also reviewed the annual training covering nuclear safety culture and safety conscience work environment, and noted that training on nuclear safety culture is part of the supervisor training program for initial training of new supervisors.
Based on the actions taken by the licensee and data evaluated by the team, the team concluded that the actions taken to address LF-5 were effective.
Therefore, LF-5 is closed.
SC-15 Raise the priority and visibility of nuclear safety culture at the fleet level by revising the Corporate Oversight Model to include station NSC output from the Nuclear Safety Culture Monitoring Panel as input to fleet oversight analysis meetings and oversight review boards. (CR-ANO-C-2015-02836, CA-18 and CA-20)
During the licensees recovery project evaluations, the licensee determined that some specific safety performance and regulatory information was not provided to corporate leaders through their performance monitoring processes. In addition, the communication of safety performance challenges between corporate and site leaders were ineffective at arresting the decline. During the 95003 supplemental inspection, the NRC team determined that, while nuclear safety remained a priority, actions to balance competing priorities, manage problems, and prioritize workload resulted in reduced safety margins.
To evaluate the licensees corrective action effectiveness, the team reviewed CR-ANO-C-2015-02836, CAs-18 and 20. The team verified that Procedure EN-FAP-OM-011 was revised to ensure that Nuclear Safety Culture Monitoring Panel output and performance indicators are included in the discussions that take place in the Oversight Analysis Meeting OAM), which is a corporate level meeting that takes place once per trimester. The procedure also specifies that the Performance Manager will brief the senior corporate leadership team on OAM conclusions. It is required that this brief include a summary of the output from the stations Nuclear Safety Culture Meeting Minutes and Report. This brief is in preparation for the Oversight Review Board, which is a corporate level meeting that addresses plant performance and determines the corporate oversight categorization.
The team also verified that Procedure EN-FAP-OM-002 was revised to require that nuclear safety culture status and regulatory performance be a topic at the Operational Excellence Management Review Meeting, which is a site level meeting with the purpose of gaining alignment around gaps in site performance and actions to improve performance. The operational excellence management review meeting agenda is provided as a template document. Regulatory slides were relocated to earlier in the template presentation, and revised slides were added that focus on nuclear safety culture status and regulatory performance.
Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that the actions taken to address SC-15 were effective. Therefore, SC-15 is closed.
.6 Service Water System Self-Assessment
SW-1 To ensure conditions adverse to quality are identified and resolved, ANO will conduct a focused self-assessment of the Units 1 and 2 service water (SW)systems in accordance with station procedures and NRC Inspection Procedure 93810, Service Water System Operational Performance Inspection. (CR-ANO-C-2016-00614, CA-23)
During the 95003 supplemental inspection, the NRC team identified several issues with the SW system, including that ANO was not monitoring and correcting biofouling-induced flow blockages in the SW system, had limited monitoring points for microbiologically-induced corrosion, and had errors in the process for monitoring SW system piping corrosion loss. The NRC team determined that ANO did not have an adequate assessment of system performance problems or a holistic plan to correct the problems and causes.
The licensees progress in implementing action SW-1 was previously reviewed in November and December 2016 in NRC inspection report 05000313/2016008 and 05000368/2016009 (ADAMS Accession No. ML17059D000) to assess how the focused self-assessment of the service water system was being performed while the assessment was in progress. This action was not closed pending completion of the assessment, review of the assessment report, and the development of a plan to address the findings and recommendations from the final report.
The team reviewed the focused self-assessment report Service Water System Operational Performance Inspection, documented in LO-ALO-2016-00078 and NUENERGY report NUI-EOI-ANO SWS SA 2016-01; the Service Water System Improvement Plan; Condition Reports CR-ANO-C-2016-00614; Work Tracker WT-WTANO-2017-00198; and the CRP Action Effectiveness Summary for SW-1.
The team compared the recommendations and problems identified in the self-assessment to the actions in the Service Water System Improvement Plan to verify that the actions needed to address material condition challenges and equipment reliability were included in the plan and were scheduled for completion in an appropriate time frame based on the current conditions and safety significance. The team also verified that design documentation issues were entered into the corrective action program for resolution.
The team concluded that the focused self-assessment was completed in a manner that was consistent with the guidance in NRC inspection procedure 93810, and the samples selected were appropriate to allow a thorough assessment of the system in each unit. The findings demonstrated that the review had adequate technical rigor, the recommendations were appropriate, and problems were appropriately entered into the corrective action program. The team of 10 reviewers included a mix of Entergy employees and external personnel with appropriate qualifications and experience to support the scope of the evaluation.
The team conducted interviews with the service water system engineer, the self-assessment team leader, and the Manager, Design and Programs Engineering, to discuss the material history of the system, degradation mechanisms, and previous actions to address those challenges. These discussions focused on pitting corrosion, piping occlusion, flow degradation, and component functionality.
The licensee provided a marked-up drawing that depicted all of the piping that had previously been replaced and the pipe replacements included in the Service Water System Improvement Plan.
The team concluded that the licensee understood the degradation mechanisms for service water system piping and components, which involved a combination of microbiologically-influenced corrosion (MIC) and galvanic corrosion. As noted in the NUENERGY report, ANOs reliance on chemical treatment was insufficient alone to prevent MIC. Therefore, the licensee adopted actions to improve the non-destructive examinations of piping. Planned actions included upgrading their service water piping risk model using industry best practices and adopting new technology to allow inspecting large sections of pipe such that the scope of MIC monitoring would be larger and more risk-informed.
Based on the actions taken by the licensee, data evaluated by the team, and observations performed on site, the team concluded that the actions taken to address SW-1 were effective. Therefore, SW-1 is closed.
4OA6 Meetings, Including Exit
Exit Meeting Summary
On June 5, 2017, the inspectors presented the inspection results to Mr. Terry Evans, General Manager Plant Operations, and other members of the licensee staff. The licensee acknowledged the issues presented. The licensee confirmed that any proprietary information reviewed by the inspectors had been returned or destroyed.
SUPPLEMENTAL INFORMATION
KEY POINTS OF CONTACT
Licensee Personnel
- R. Anderson, Site Vice President
- T. Arnold, Recovery Manager
- L. Blocker, Recovery Director
- P. Butler, Design Engineering Manager
- B. Daiber, Engineering Programs and Components Manager
- D. Edgell, Recovery Manager
- A. Martin, Unit 2 Shift Manager
- P. McCray, Senior Manager Site Projects
- N. Mosher, Regulatory Assurance
- E. Nicholson, Performance Improvement Manager
- B. Patrick, Maintenance Manager
- S. Pyle, Regulatory Assurance Manager
- F. Shewmake, Unit 2 Operations Manager
- M. Skartvedt, System Engineering Manager
- G. Stephenson, Acting Corrective Action Program Manager
- G. Sullins, Regulatory and Performance Improvement Director
- J. Toben, Nuclear Safety Culture Manager
- D. Vogt, Operations Manager
NRC
- T. Wengert, Project Manager, Division of Operating Reactor Licensing, Office of Nuclear Reactor
Regulation
LIST OF CONFIRMATORY ACTION LETTER ITEMS CLOSED AND DISCUSSED
Closed
Significant Performance Deficiency FP-2 (Section 4OA5.1)
FP-7 (Section 4OA5.1)
FP-9 (Section 4OA5.1)
VO-5 (Section 4OA5.1)
VO-6 (Section 4OA5.1)
VO-11 (Section 4OA5.1)
VO-21/DM-9 (Section 4OA5.1)
DM-10 (Section 4OA5.1)
Attachment 1
Closed
Identifying, Assessing and Correcting Performance Deficiencies CA-1 (Section 4OA5.2)
CA-4 (Section 4OA5.2)
CA-13 (Section 4OA5.2)
CO-2 (Section 4OA5.2)
PM-10 (Section 4OA5.2)
Human Performance DB-18 (Section 4OA5.3)
DB-19 (Section 4OA5.3)
NF-6 (Section 4OA5.3)
PQ-6 (Section 4OA5.3)
PQ-10 (Section 4OA5.3)
PQ-11 (Section 4OA5.3)
Equipment Reliability and Engineering Programs PH-1 (Section 4OA5.4)
PH-2 (Section 4OA5.4)
PH-10 (Section 4OA5.4)
Safety Culture CO-1 (Section 4OA5.5)
LF-5 (Section 4OA5.5)
SC-15 (Section 4OA5.5)
Service Water System Self-Assessment SW-1 (Section 4OA5.6)
Discussed
Identifying, Assessing and Correcting Performance Deficiencies CA-6 (Section 4OA5.2)