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| number = ML11133A339
| number = ML11133A339
| issue date = 05/13/2011
| issue date = 05/13/2011
| title = Fort Calhoun Station - NRC Temporary Instruction 2515/183 Inspection Report 05000285/2011010
| title = NRC Temporary Instruction 2515/183 Inspection Report 05000285/2011010
| author name = Clark J A
| author name = Clark J
| author affiliation = NRC/RGN-IV/DRP/RPB-E
| author affiliation = NRC/RGN-IV/DRP/RPB-E
| addressee name = Bannister D J
| addressee name = Bannister D
| addressee affiliation = Omaha Public Power District
| addressee affiliation = Omaha Public Power District
| docket = 05000285
| docket = 05000285
Line 18: Line 18:


=Text=
=Text=
{{#Wiki_filter:
{{#Wiki_filter:U N IT E D S TA TE S N U C LE AR R E GU LA TOR Y C OM MI S S I ON May 13, 2011
[[Issue date::May 13, 2011]]


Mr. David J. Bannister, Vice President and Chief Nuclear Officer Omaha Public Power District Fort Calhoun Station FC-2-4 P.O. Box 550 Fort Calhoun, NE 68023-0550
==SUBJECT:==
Fort Calhoun Station - NRC TEMPORARY INSTRUCTION 2515/183 INSPECTION REPORT 05000285/2011010


SUBJECT: Fort Calhoun Station NRC TEMPORARY INSTRUCTION 2515/183 INSPECTION REPORT 05000285/2011010
==Dear Mr. Bannister:==
On April 29, 2011, the U.S. Nuclear Regulatory Commission (NRC) completed an inspection at your Fort Calhoun Station, using Temporary Instruction 2515/183, Follow-up to the Fukushima Daiichi Nuclear Station Fuel Damage Event. The enclosed inspection report documents the inspection results which were discussed on April 29, 2011, with you and other members of your staff.


==Dear Mr. Bannister:==
The objective of this inspection was to assess the adequacy of actions taken at the Fort Calhoun Station in response to the Fukushima Daiichi Nuclear Station fuel damage event. The results from this inspection, along with the results from similar inspections at other operating commercial nuclear plants in the United States, will be used to evaluate the United States nuclear industrys readiness to respond to a similar event. These results will also help the NRC to determine if additional regulatory actions are warranted.
On April 29, 2011, the U.S. Nuclear Regulatory Commission (NRC) completed an inspection at your Fort Calhoun StationFollow-up to the Fukushima inspection results which were discussed on April 29, 2011, with you and other members of your staff. The objective of this inspection was to assess the adequacy of actions taken at the Fort Calhoun Station in response to the Fukushima Daiichi Nuclear Station fuel damage event. The results from this inspection, along with the results from similar inspections at other operating commercial nuclear plants in the United States, will be used to evaluate the United States to a similar event. These results will also help the NRC to determine if additional regulatory actions are warranted. All of the potential issues and observations identified by this inspection are contained in this ocess will further evaluate any issues to determine if they are regulatory findings or violations. Any resulting findings or violations will be documented by the NRC in a separate report. You are not required to respond to this letter. In accordance wenclosure will be made available electronically for public inspection in the NRC Public Document Room or from the Publicly Available Records document system (ADAMS), accessible from the NRC Web site at http://www.nrc.gov/reading-rm/adams.html (the Public Electronic Reading Room).
 
All of the potential issues and observations identified by this inspection are contained in this report. The NRCs Reactor Oversight Process will further evaluate any issues to determine if they are regulatory findings or violations. Any resulting findings or violations will be documented by the NRC in a separate report. You are not required to respond to this letter.
 
In accordance with 10 CFR 2.390 of the NRCs Rules of Practice, a copy of this letter and its enclosure will be made available electronically for public inspection in the NRC Public Document Room or from the Publicly Available Records component of NRCs document system (ADAMS), accessible from the NRC Web site at http://www.nrc.gov/reading-rm/adams.html (the Public Electronic Reading Room).


Omaha Public Power District - 2 -  
Omaha Public Power District -2-


Sincerely,/RA/ Jeffrey A. Clark Chief, Project Branch E Division of Reactor Projects Docket: 50-285 License: DPR-40  
Sincerely,
/RA/
Jeffrey A. Clark Chief, Project Branch E Division of Reactor Projects Docket: 50-285 License: DPR-40


===Enclosure:===
===Enclosure:===
NRC Inspection Report 05000285/2011010  
NRC Inspection Report 05000285/2011010 w/attachment: Supplemental Information


===w/attachment:===
REGION IV==
Supplemental Information cc w/encl: Distribution via ListServe Omaha Public Power District - 3 - Electronic distribution by RIV: Regional Administrator (Elmo.Collins@nrc.gov) Deputy Regional Administrator (Art.Howell@nrc.gov) DRP Director (Kriss.Kennedy@nrc.gov) DRP Deputy Director (Troy.Pruett@nrc.gov) DRS Director (Anton.Vegel@nrc.gov) DRS Deputy Director (Vacant) Senior Resident Inspector (John.Kirkland@nrc.gov) Resident Inspector (Jacob.Wingebach@nrc.gov) Branch Chief, DRP/E (Jeff.Clark@nrc.gov) Senior Project Engineer, DRP/E (Ray.Azua@nrc.gov) Project Engineer (Jim.Melfi@nrc.gov) Project Engineer (Chris.Smith@nrc.gov) FCS Administrative Assistant (Berni.Madison@nrc.gov) Public Affairs Officer (Victor.Dricks@nrc.gov) Public Affairs Officer (Lara.Uselding@nrc.gov) Branch Chief, DRS/TSB (Michael.Hay@nrc.gov) Project Manager (Lynnea.Wilkins@nrc.gov) RITS Coordinator (Marisa.Herrera@nrc.gov) Regional Counsel (Karla.Fuller@nrc.gov) NRR/DIRS/IRIB (Timothy.Kobetz@nrc.gov) Congressional Affairs Officer (Jenny.Weil@nrc.gov) OEMail Resource ROPreports RIV/ETA:OEDO (Stephanie.Bush-Goddard@nrc.gov) DRS/TSB STA (Dale.Powers@nrc.gov)  R:\_REACTORS/TI-183/FCS 2011-010 TI JCK.docx ADAMS ML SUNSI Rev Compl Yes No ADAMS Yes No Reviewer Initials JCK Publicly Avail Yes No Sensitive Yes No Sens. Type Initials JCK SRI:DRP/E DRS/TSB C:DRP/PBE JCKirkland EARuesch JAClark RVA - E /RA/ /RVA for/ 05/11/2011 05/10/2011 05/12/2011 OFFICIAL RECORD COPY T=Telephone E=E-mail F=Fax Enclosure U. S. NUCLEAR REGULATORY COMMISSION REGION IV Docket: 05000285 License: DPR-40 Report: 05000285/2011010 Licensee: Omaha Public Power District Facility: Fort Calhoun Station Location: 9610 Power Lane Blair, NE 68008 Dates: March 23 through April 29, 2011 Inspectors: J. Kirkland, Senior Resident Inspector A. Fairbanks, Reactor Inspector Approved By: Jeffrey Clark, Chief, Project Branch E Division of Reactor Projects Enclosure  
Docket: 05000285 License: DPR-40 Report: 05000285/2011010 Licensee: Omaha Public Power District Facility: Fort Calhoun Station Location: 9610 Power Lane Blair, NE 68008 Dates: March 23 through April 29, 2011 Inspectors: J. Kirkland, Senior Resident Inspector A. Fairbanks, Reactor Inspector Approved By: Jeffrey Clark, Chief, Project Branch E Division of Reactor Projects-1- Enclosure


=SUMMARY OF FINDINGS=
=SUMMARY OF FINDINGS=
IR 05000285/2011010, 03/23/2011 04/29/2011; Fort Calhoun Station Temporary Instruction 2515/183 - Follow-up to the Fukushima Daiichi Nuclear Station Fuel Damage Event This report covers an announced temporary instruction inspection. The inspection was overseeing the safe operation of commercial nuclear power reactors is described in NUREG-
IR 05000285/2011010, 03/23/2011 - 04/29/2011; Fort Calhoun Station Temporary
 
Instruction 2515/183 - Follow-up to the Fukushima Daiichi Nuclear Station Fuel Damage Event This report covers an announced temporary instruction inspection. The inspection was conducted by Resident and Region IV inspectors. The NRCs program for overseeing the safe operation of commercial nuclear power reactors is described in NUREG-1649, Reactor Oversight Process, Revision 4, dated December 2006.


=INSPECTION SCOPE=
=INSPECTION SCOPE=
The intent of the temporary instruction is to be a high-level look at the industfor events that may exceed the design basis for a plant. The focus of the temporary instruction design basis events, typically bounded by securcapability to mitigate station blackout mitigate internal and external flooding events required by station design, and
 
: (4) assessing the thoroughness of the lidowns and inspections of important equipment needed to during seismic events possible for the site. If necessary, a more specific follow-up inspection will be performed at a later date.
The intent of the temporary instruction is to be a high-level look at the industrys preparedness for events that may exceed the design basis for a plant. The focus of the temporary instruction was on
: (1) assessing the licensees capability to mitigate conditions that result from beyond design basis events, typically bounded by security threats,
: (2) assessing the licensees capability to mitigate station blackout conditions,
: (3) assessing the licensees capability to mitigate internal and external flooding events required by station design, and
: (4) assessing the thoroughness of the licensees walkdowns and inspections of important equipment needed to mitigate fire and flood events to identify the potential that the equipments function could be lost during seismic events possible for the site. If necessary, a more specific follow-up inspection will be performed at a later date.


==INSPECTION RESULTS==
==INSPECTION RESULTS==
The following table documents the NRC inspection at the Fort Calhoun Station performed in accordance with Temporary Instruction 2515/183. The numbering system in the table corresponds to the inspection items in the temporary instruction.
The following table documents the NRC inspection at the Fort Calhoun Station performed in accordance with Temporary Instruction 2515/183. The numbering system in the table corresponds to the inspection items in the temporary instruction.


3.01 beyond design basis events, typically bounded by security threats, committed to as part of NRC Security Order Section B.5.b issued February 25, 2002, and severe accident management guidelines and as required by Title 10 of the Code of Federal Regulations (10 CFR) 50.54(hh). Use   If Inspection Procedure 71111.05T was recently performed at the facility the inspectors should review the inspection results and findings to identify any other potential areas of inspection. Particular emphasis should be placed on strategies related to the spent fuel pool. The inspection should include, but not be limited to, an assessment of any licensee actions to: Licensee Action Describe what the licensee did to test or inspect equipment. a. Verify through test or inspection that equipment is available and functional. Active equipment shall be tested and passive equipment shall be walked down and inspected. It is not expected that permanently installed equipment that is tested under an existing regulatory testing program be retested. This review should be done for a reasonable sample of mitigating strategies/equipment. Station personnel conducted an severe accident management guideline and operational contingency action guideline. The operational contingency action guideline procedures and equipment committed under NRC Security Order Section B.5.b. Active components were tested. Inspection and verification activities conducted in this section included validation of the procedural guidance associated with the components, which are also described in Section b of this table (these procedures and comments will not be repeated in Section b of this table). Describe inspector actions taken to confirm equipment readiness (e.g., observed a test, reviewed test results, discussed actions, reviewed records, etc.).
03.01 Assess the licensees capability to mitigate conditions that result from beyond design basis events, typically bounded by security threats, committed to as part of NRC Security Order Section B.5.b issued February 25, 2002, and severe accident management guidelines and as required by Title 10 of the Code of Federal Regulations (10 CFR) 50.54(hh). Use Inspection Procedure 71111.05T, Fire Protection (Triennial), Section 02.03 and 03.03 as a guideline. If Inspection Procedure 71111.05T was recently performed at the facility the inspectors should review the inspection results and findings to identify any other potential areas of inspection. Particular emphasis should be placed on strategies related to the spent fuel pool. The inspection should include, but not be limited to, an assessment of any licensee actions to:
Licensee Action             Describe what the licensee did to test or inspect equipment.
 
a. Verify through test or           Station personnel conducted an inspection of equipment that is identified in the stations inspection that equipment is       severe accident management guideline and operational contingency action guideline. The available and functional. Active    operational contingency action guideline is the stations response procedure which identifies equipment shall be tested and      procedures and equipment committed under NRC Security Order Section B.5.b. Active passive equipment shall be          components were tested. Inspection and verification activities conducted in this section walked down and inspected. It      included validation of the procedural guidance associated with the components, which are is not expected that                also described in Section b of this table (these procedures and comments will not be permanently installed equipment    repeated in Section b of this table).
 
that is tested under an existing regulatory testing program be retested.


The inspectors reviewed the test results, records, and discussed actions with several plant operators. The inspectors verified that all active equipment credited in the severe accident management guideline and operational contingency action guideline procedures were located, stored, and maintained per station procedures. Specifically, the inspectors independently reviewed the contents of staged equipment throughout the plant. Additionally, the inspectors reviewed test results for the B.5.b fire truck.
Describe inspector actions taken to confirm equipment readiness (e.g., observed a test, This review should be done for      reviewed test results, discussed actions, reviewed records, etc.).
a reasonable sample of mitigating strategies/equipment.


Discuss general results including corrective actions by licensee. Condition Reports were written for any deficiencies and for any procedure or material enhancements that were discovered. Specific vulnerabilities and deficiencies noted were:
The inspectors reviewed the test results, records, and discussed actions with several plant operators. The inspectors verified that all active equipment credited in the severe accident management guideline and operational contingency action guideline procedures were located, stored, and maintained per station procedures. Specifically, the inspectors independently reviewed the contents of staged equipment throughout the plant.
: (1) severe accident management guideline equipment is not maintained through a preventive maintenance process actions were assigned to develop regular inventories, inspections, and tests as appropriate;
 
Additionally, the inspectors reviewed test results for the B.5.b fire truck.
 
Discuss general results including corrective actions by licensee.
 
Condition Reports were written for any deficiencies and for any procedure or material enhancements that were discovered. Specific vulnerabilities and deficiencies noted were:
: (1) severe accident management guideline equipment is not maintained through a preventive maintenance process -actions were assigned to develop regular inventories, inspections, and tests as appropriate;
: (2) one method of venting containment (personnel airlock door window removal) was not determined to be viable, however additional compensatory measures and capabilities have been identified;
: (2) one method of venting containment (personnel airlock door window removal) was not determined to be viable, however additional compensatory measures and capabilities have been identified;
: (3) one method of providing reactor coolant system makeup from the spent fuel pool was not determined to be credible-multiple alternate paths exist and improved procedure guidance may make this path credible again;
: (3) one method of providing reactor coolant system makeup from the spent fuel pool was not determined to be credible-multiple alternate paths exist and improved procedure guidance may make this path credible again;
: (4) one degraded component, fire pump FP-154, is credited in the flow path for three of the methods of using fire protection water to reduce offsite releases however, many alternatives exist and this equipment was previously identified and is scheduled for repair in early June, 2011; and
: (4) one degraded component, fire pump FP-154, is credited in the flow path for three of the methods of using fire protection water to reduce offsite releases however, many alternatives exist and this equipment was previously identified and is scheduled for repair in early June, 2011; and
: (5) several procedure changes as identified in condition reports to provide enhancements and correct minor editorial changes (including plant labeling). Licensee Action   to verify that procedures are in place and can be executed (e.g. walkdowns, demonstrations, tests, etc.) b. Verify through walkdowns or demonstration that procedures to implement the strategies associated with B.5.b and 10 CFR 50.54(hh) are in place and are executable. Licensees may choose not to connect or operate permanently installed In addition to the procedure validations and walkthroughs that were performed in conjunction with the equipment inspections in section 1a of this table, additional procedures were exercised in response to this area of inspection. Severe accident management guideline and operational contingency action guideline entry and diagnostic sections, as well as decision-making guidance, were verified through a detailed tabletop exercise to ensure that the procedures were executable. Additional procedure walkdowns were conducted for procedures which were implemented through the guidance in the severe accident management guideline or operational contingency action guideline guidance.
: (5) several procedure changes as identified in condition reports to provide enhancements and correct minor editorial changes (including plant labeling).
 
Licensee Action         Describe the licensees actions to verify that procedures are in place and can be executed (e.g. walkdowns, demonstrations, tests, etc.)
 
b. Verify through walkdowns or   In addition to the procedure validations and walkthroughs that were performed in demonstration that procedures  conjunction with the equipment inspections in section 1a of this table, additional procedures to implement the strategies    were exercised in response to this area of inspection. Severe accident management associated with B.5.b and 10  guideline and operational contingency action guideline entry and diagnostic sections, as CFR 50.54(hh) are in place and well as decision-making guidance, were verified through a detailed tabletop exercise to are executable. Licensees may  ensure that the procedures were executable. Additional procedure walkdowns were choose not to connect or      conducted for procedures which were implemented through the guidance in the severe operate permanently installed  accident management guideline or operational contingency action guideline guidance.
 
equipment during this Describe inspector actions and the sample strategies reviewed. Assess whether verification.
 
procedures were in place and could be used as intended.
 
This review should be done for a reasonable sample of mitigating strategies/equipment. The inspectors reviewed all the severe accident procedures and guidelines to ensure that the appropriate equipment, training, staging, and time lines could be followed. The inspectors determined that the licensees procedures were in place, effective, had been recently trained on, and could be implemented as intended. The inspectors walked down several strategies with plant operators to ensure that the operators knew where the equipment was located, how to operate the equipment, and the ease of use of the equipment.
 
Discuss general results including corrective actions by licensee.
 
No deficiencies or weaknesses were identified by the licensee other than those identified in Section 1a of this table.
 
Licensee Action          Describe the licensees actions and conclusions regarding training and qualifications of operators and support staff.
 
c. Verify the training and          The licensee verified the current training and qualification for operators and support staff to qualifications of operators and  ensure all training requirements had been completed. This verification included all the support staff needed to      members of the Emergency Response Organization who are responsible for implementing implement the procedures and      sections and/or guidance identified in the stations response to sections 1a and 1b of this work instructions are current for table. The verification also included some offsite response agencies. The number of activities related to Security    qualified personnel and qualification/training requirements for security personnel was also Order Section B.5.b and severe    verified.
 
accident management guidelines as required by 10 CFR 50.54 (hh).
 
Describe inspector actions and the sample strategies reviewed to assess training and qualifications of operators and support staff.
 
The inspectors reviewed the training records of all plant and licensed operators and of all emergency response roster personnel to ensure that they were current with their training window. The inspectors interviewed personnel to ensure they knew where the equipment was located, how to operate the equipment, the ease of use of the equipment, and could complete the procedures as written.
 
Discuss general results including corrective actions by licensee.
 
The licensee identified that some licensed operators were missing some training requirements from Rotation 11-1, and some severe accident management guideline training has exceeded the 3-year requirement for some licensed operators. Condition Report 2011-2132 was written to ensure training is scheduled as soon as possible after the current refueling outage.
 
Licensee Action          Describe the licensees actions and conclusions regarding applicable agreements and contracts are in place.
 
d. Verify that any applicable      All contracts and agreements associated with the severe accident management guideline; agreements and contracts are in  the operational contingency action guideline; the stations radiological emergency response place and are capable of        plan; and the stations security plan was verified by direct contact with each organization.
 
meeting the conditions needed    Communication with each agency verified that the terms of the agreement or contract were to mitigate the consequences of  current, that any committed equipment was verified to be available, and that the contact these events.
 
information for each agency was correct.
 
This review should be done for a reasonable sample of          For a sample of mitigating strategies involving contracts or agreements with offsite entities, mitigating strategies/equipment. describe inspectors actions to confirm agreements and contracts are in place and current (e.g., confirm that offsite fire assistance agreement is in place and current).
 
The inspectors confirmed that agreements with offsite responders are current and the equipment and capabilities of the offsite responders remain valid. Specifically, the inspectors reviewed the contracts with two vendors supplying emergency diesel generators, and two fire departments.
 
Discuss general results including corrective actions by licensee.
 
No deficiencies or weaknesses were identified with the applicable agreements or contracts.
 
The licensee did identify that the operational contingency action guideline would need to be updated to identify new equipment purchases associated with operational contingency action guideline response contracts.


equipment during this verification. This review should be done for a reasonable sample of mitigating strategies/equipment. Describe inspector actions and the sample strategies reviewed. Assess whether procedures were in place and could be used as intended. The inspectors reviewed all the severe accident procedures and guidelines to ensure that the appropriate equipment, training, staging, and time lines could be followed. The recently trained on, and could be implemented as intended. The inspectors walked down several strategies with plant operators to ensure that the operators knew where the equipment was located, how to operate the equipment, and the ease of use of the equipment. Discuss general results including corrective actions by licensee. No deficiencies or weaknesses were identified by the licensee other than those identified in Section 1a of this table. Licensee Action  operators and support staff. c. Verify the training and qualifications of operators and the support staff needed to implement the procedures and work instructions are current for activities related to Security Order Section B.5.b and severe accident management guidelines as required by 10 CFR 50.54 (hh).
Licensee Action          Document the corrective action report number and briefly summarize problems noted by the licensee that have significant potential to prevent the success of any existing mitigating strategy.


The licensee verified the current training and qualification for operators and support staff to ensure all training requirements had been completed. This verification included all members of the Emergency Response Organization who are responsible for implementing sections and/of this table. The verification also included some offsite response agencies. The number of qualified personnel and qualification/training requirements for security personnel was also verified.
e. Review any open corrective      The licensee generated five condition reports related to the licensees capability to mitigate action documents to assess      conditions that result from beyond design basis events. They did not identify any issues problems with mitigating        that would impact the mitigating capabilities of the strategies per the severe accident strategy implementation          management guidelines of B.5.b procedures.


Describe inspector actions and the sample strategies reviewed to assess training and qualifications of operators and support staff. The inspectors reviewed the training records of all plant and licensed operators and of all emergency response roster personnel to ensure that they were current with their training window. The inspectors interviewed personnel to ensure they knew where the equipment was located, how to operate the equipment, the ease of use of the equipment, and could complete the procedures as written. Discuss general results including corrective actions by licensee. The licensee identified that some licensed operators were missing some training requirements from Rotation 11-1, and some severe accident management guideline training has exceeded the 3-year requirement for some licensed operators. Condition  Report 2011-2132 was written to ensure training is scheduled as soon as possible after the current refueling outage. Licensee Action  contracts are in place. d. Verify that any applicable agreements and contracts are in place and are capable of meeting the conditions needed to mitigate the consequences of these events. This review should be done for a reasonable sample of mitigating strategies/equipment. All contracts and agreements associated with the severe accident management guideline; the operational contingency action guideline; radiological emergency response plan; security plan was verified by direct contact with each organization. Communication with each agency verified that the terms of the agreement or contract were current, that any committed equipment was verified to be available, and that the contact information for each agency was correct. For a sample of mitigating strategies involving contracts or agreements with offsite entities, describe inspectors actions to confirm agreements and contracts are in place and current (e.g., confirm that offsite fire assistance agreement is in place and current).
identified by the licensee.


The inspectors confirmed that agreements with offsite responders are current and the equipment and capabilities of the offsite responders remain valid. Specifically, the inspectors reviewed the contracts with two vendors supplying emergency diesel generators, and two fire departments. Discuss general results including corrective actions by licensee. No deficiencies or weaknesses were identified with the applicable agreements or contracts. The licensee did identify that the operational contingency action guideline would need to be updated to identify new equipment purchases associated with operational contingency action guideline response contracts. Licensee Action  Document the corrective action report number and briefly summarize problems noted by the licensee that have significant potential to prevent the success of any existing mitigating strategy. e. Review any open corrective action documents to assess problems with mitigating strategy implementation identified by the licensee. Assess the impact of the problem on the mitigating capability and the remaining capability that is not impacted. The licensee generated five conditions that result from beyond design basis events. They did not identify any issues that would impact the mitigating capabilities of the strategies per the severe accident management guidelines of B.5.b procedures.
Condition Report 2011-2078 identified that all fire brigade gear was not present in the fire Assess the impact of the brigade storage area. This condition report was written to perform gear inventory once all problem on the mitigating gear has been returned, and to use the loss of gear as an OE topic in the next fire brigade capability and the remaining rotation capability that is not impacted.


Condition Report 2011-2078 identified that all fire brigade gear was not present in the fire brigade storage area. This condition report was written to perform gear inventory once all gear has been returned, and to use the loss of gear as an OE topic in the next fire brigade rotation Condition Report 2011-2102 identified deficiencies in the severe accident management guideline procedures. These were:
Condition Report 2011-2102 identified deficiencies in the severe accident management guideline procedures. These were:
: (1) spent fuel pool cooling pumps as a potential source of makeup water to the reactor coolant system;
: (1) spent fuel pool cooling pumps as a potential source of makeup water to the reactor coolant system;
: (2) flooding the containment cooling and filtering units with containment spray; and
: (2) flooding the containment cooling and filtering units with containment spray; and
: (3) jumper installation for establishing a containment vent path were determined to be not viable. This Condition Report was written to revise the severe accident management guideline procedures.
: (3) jumper installation for establishing a containment vent path were determined to be not viable. This Condition Report was written to revise the severe accident management guideline procedures.


Condition Report 2011-2132 identified that some licensed operators are missing some training requirements from Rotation 11-1, and some severe accident management guideline training has exceeded the 3-year requirement for some licensed operators. This condition report was written to ensure training is scheduled as soon as possible after the current refueling outage. Condition Report 2011-2164 identified that one method of venting containment described in the operational contingency action guideline, was not viable. This condition report was written to remove the procedure which described the process for venting containment by removing the personnel airlock-door sight glass. It was noted that there are other methods of venting containment described in the operational contingency action guideline. Condition Report 2011-2165 identified that severe accident management guideline equipment is not maintained or inventoried on a routine basis. This Condition Report was written to create an inventory and preventive maintenance program. 03.02 Assess mitigate station blackout Temporary Instruction 2515/120, -Plant Action Item A- a guideline. It is not intended that Temporary Instruction 2515/120 be completely re-inspected. The inspection should include, but not be limited to, an assessment of any licensee actions to: Licensee Action  a station blackout event. a. Verify through walkdowns and inspection that all required materials are adequate and properly staged, tested, and maintained. The licensee verified its capability to respond to a station blackout events through plant walkdowns and by performance of a station blackout scenario in the simulator. In addition, the licensee verified that all the required staged equipment was accounted for or available.
Condition Report 2011-2132 identified that some licensed operators are missing some training requirements from Rotation 11-1, and some severe accident management guideline training has exceeded the 3-year requirement for some licensed operators. This condition report was written to ensure training is scheduled as soon as possible after the current refueling outage.


The licensee reviewed 10 CFR 50.63, Regulatory Guide 1.155 and NUMARC 87-00 to ensure its basis for actions for a station blackout. Fort Calhounstation blackout is reliant upon availability of one of three offsite power sources (161KV, 345KV, or 13.8KV) or availability of either diesel generator. However, the heat sink can be maintained throughout this event as long as a water source is available, since the station has an installed diesel engine-driven auxiliary feed water pump, a steam-driven emergency feedwater pump, and the ability to relieve steam through main steam-safety valves without power. Instrument air or backup nitrogen accumulators provide motive force to maintain system alignments during the time without ac power to the station. Describe inspector actions to verify equipment is available and useable.
Condition Report 2011-2164 identified that one method of venting containment described in the operational contingency action guideline, was not viable. This condition report was written to remove the procedure which described the process for venting containment by removing the personnel airlock-door sight glass. It was noted that there are other methods of venting containment described in the operational contingency action guideline.


The inspectors walked down diesel generator 2 looking for deficiencies that might call into question the operability of the diesel (diesel generator 1 was out of service for maintenance during a refueling outage). Additionally, the inspectors walked down the diesel-driven auxiliary feedwater pump, FW-54. The inspectors reviewed the most recent surveillance test data for each diesel generator and FW-54, and searched through the corrective action program database for items that could impact the operability of this equipment. Discuss general results including corrective actions by licensee. No vulnerabilities were discovered; however, the licensee identified the following enhancements:
Condition Report 2011-2165 identified that severe accident management guideline equipment is not maintained or inventoried on a routine basis. This Condition Report was written to create an inventory and preventive maintenance program.
 
03.02 Assess the licensees capability to mitigate station blackout conditions, as required by 10 CFR 50.63, Loss of All Alternating Current Power, and station design, is functional and valid. Refer to Temporary Instruction 2515/120, Inspection of Implementation of Station Blackout Rule Multi-Plant Action Item A-22 as a guideline. It is not intended that Temporary Instruction 2515/120 be completely re-inspected. The inspection should include, but not be limited to, an assessment of any licensee actions to:
Licensee Action            Describe the licensees actions to verify the adequacy of equipment needed to mitigate a station blackout event.
 
a. Verify through walkdowns and      The licensee verified its capability to respond to a station blackout events through plant inspection that all required      walkdowns and by performance of a station blackout scenario in the simulator. In addition, materials are adequate and        the licensee verified that all the required staged equipment was accounted for or available.
 
properly staged, tested, and The licensee reviewed 10 CFR 50.63, Regulatory Guide 1.155 and NUMARC 87-00 to maintained.
 
ensure its basis for actions for a station blackout. Fort Calhouns response to station blackout is reliant upon availability of one of three offsite power sources (161KV, 345KV, or 13.8KV) or availability of either diesel generator. However, the heat sink can be maintained
 
throughout this event as long as a water source is available, since the station has an installed diesel engine-driven auxiliary feed water pump, a steam-driven emergency feedwater pump, and the ability to relieve steam through main steam-safety valves without power. Instrument air or backup nitrogen accumulators provide motive force to maintain system alignments during the time without ac power to the station.
 
Describe inspector actions to verify equipment is available and useable.
 
The inspectors walked down diesel generator 2 looking for deficiencies that might call into question the operability of the diesel (diesel generator 1 was out of service for maintenance during a refueling outage). Additionally, the inspectors walked down the diesel-driven auxiliary feedwater pump, FW-54. The inspectors reviewed the most recent surveillance test data for each diesel generator and FW-54, and searched through the corrective action program database for items that could impact the operability of this equipment.
 
Discuss general results including corrective actions by licensee.
 
No vulnerabilities were discovered; however, the licensee identified the following enhancements:
: (1) isolation of reactor coolant pump seal bleed-off flow will prolong reactor cooling system inventory;
: (1) isolation of reactor coolant pump seal bleed-off flow will prolong reactor cooling system inventory;
: (2) step to secure radiological releases due to loss of monitor power;
: (2) step to secure radiological releases due to loss of monitor power;
: (3) step to refer to the operational contingency action guideline for more rapid deployment of materials before engineering release order is activated; and
: (3) step to refer to the operational contingency action guideline for more rapid deployment of materials before engineering release order is activated; and
: (4) ability to black-startel generators needs improved engineering guidance and procedures to accomplish this task. Licensee Action b. Demonstrate through walkdowns that procedures for response to an station blackout are executable. operating procedures: EOP--20, -- procedures were demonstrated in the simulator using scenario-based validation. Emergency Operating Procedure EOP-07 was also walked down in the plant by an operating crew, as were any attachments for restoring power via offsite power and or diesel generators. Describe inspector actions to assess whether procedures were in place and could be used as intended. The inspectors performed an independent walkdown of EOP-07 to verify that the procedures were executable. Additionally, the inspectors interviewed operators regarding the strategies involved in implementing the station blackout procedure. Discuss general results including corrective actions by licensee. The licensee identified that there should be a step to isolate reactor coolant pump controlled bleed-off to maximize reactor coolant system inventory for a sustained loss of power, and a step should be added to secure radiological releases, as there would be no sample pump for the stack monitor and no dilution flow following a loss of power. 03.03 Inspection Procedure . The inspection should include, but not be limited to, an assessment of any licensee actions to verify through walkdowns and inspections that all required materials and equipment are adequate and properly staged. These walkdowns and inspections shall include verification that accessible doors, barriers, and penetration seals are functional.
: (4) ability to black-start the emergency diesel generators needs improved engineering guidance and procedures to accomplish this task.
 
Licensee Action Describe the licensees actions to verify the capability to mitigate an SBO event.
 
b. Demonstrate through               Fort Calhouns response to station blackout is contained primarily in two emergency walkdowns that procedures for     operating procedures: EOP-07, Station Blackout, and EOP-20, Functional Recovery response to an station blackout    Procedure, Resource Section MVA-AC, Maintenance of Vital Auxiliaries - AC. These two are executable.
 
procedures were demonstrated in the simulator using scenario-based validation.
 
Emergency Operating Procedure EOP-07 was also walked down in the plant by an operating crew, as were any attachments for restoring power via offsite power and or diesel generators.
 
Describe inspector actions to assess whether procedures were in place and could be used as intended.
 
The inspectors performed an independent walkdown of EOP-07 to verify that the procedures were executable. Additionally, the inspectors interviewed operators regarding the strategies involved in implementing the station blackout procedure.


Licensee Action  flooding events. a. Verify through walkdowns and inspection that all required materials are adequate and properly staged, tested, and maintained. Inspections were performed of the equipment required for protection against external of installation of flood protection barriers in doorways and openings to vital areas up to a level of 1,014 feet above mean sea level. This level is consistent with the design basis for for installation of these barriers is contained in the abnormal and emergency procedures associated with flooding, and were found to be adequate by station personnel. All equipment required for sandbagging was functionally tested or inspected, and found to be adequate, staged, and available. This consists of two sandbagging machines stored in the warehouse area, 27,000 sandbags stored in the warehouse, and adequate sand stored onsite. Temporary barriers (flood doors) were physically installed in each location identified in the flooding response procedures. All barriers were successfully installed and found to be fully functional, and no significant deficiencies were noted during the installation of these barriers. Describe inspector actions to verify equipment is available and useable. Assess whether procedures were in place and could be used as intended. The inspectors reviewed the Updated Safety Analysis Report to verify that procedures were implemented to satisfy the license basis flood level. The inspectors performed independent walkdowns of the areas where external flooding could result in the biggest impact. The inspectors reviewed the procedures involved in sandbagging and floodgate installation, observed the installation of some floodgates, and reviewed photographs of the other floodgates installed. Additionally, the inspectors reviewed several recent event notices regarding flooding penetration vulnerabilities, and walked down these particular vulnerabilities to ensure the licensee had corrected these penetration vulnerabilities. Discuss general results including corrective actions by licensee.
Discuss general results including corrective actions by licensee.


The licensee identified a need to provide a more formal flood penetration inspection and formalized in one response procedure, but is located in several other procedures, and these procedures only specifically identify permanently installed equipment. The station utilizes installed sump instrumentation and equipment, along with preventative compensatory measures when activities present an increased risk to internal flooding. This condition is captured in Condition Report 2011-2324 for which an action plan was developed, which includes the following:  creation of an engineering design basis for internal flooding, designation and procurement of protection equipment, and formalization of the procedures for protecting the site from internal flooding.
The licensee identified that there should be a step to isolate reactor coolant pump controlled bleed-off to maximize reactor coolant system inventory for a sustained loss of power, and a step should be added to secure radiological releases, as there would be no sample pump for the stack monitor and no dilution flow following a loss of power.


03.04 Assess  site. Assess the licthe corrective action program and any immediate actions taken). As a minimum, the licensee should have performed walkdowns and inspections of important equipment (permanent and temporary) such as storage tanks, plant water intake structures, and fire and flood response equipment; and developed mitigating strategies to cope with the loss of that important function. Use Inspection Procedure  Licensee Action  potential impact of seismic events on the availability of equipment used in fire and flooding mitigation strategies.
03.03 Assess the licensees capability to mitigate internal and external flooding events required by station design. Refer to Inspection Procedure 71111.01, Adverse Weather Protection, Section 02.04, Evaluate Readiness to Cope with External Flooding as a guideline. The inspection should include, but not be limited to, an assessment of any licensee actions to verify through walkdowns and inspections that all required materials and equipment are adequate and properly staged.


a. Verify through walkdowns that all required materials are adequate and properly staged, tested, and maintained. Mitigation equipment and strategies were analyzed and inspections of plant equipment were conducted. In many cases, the mitigating equipment had previously been identified and inspected in Sections 03.01 and 03.03 of this temporary instruction. Describprocedures were in place and could be used as intended.
These walkdowns and inspections shall include verification that accessible doors, barriers, and penetration seals are functional.


The inspectors reviewed the Updated Safety Analysis Report to determine the maximum flood level for the site and the required equipment to combat fires and floods. The procedures, including natural and destructive phenomena procedures. The inspectors independently walked down the licand to ensure that the procedures could be accomplished as written. These walkdowns included contingency response equipment, all external watertight doors, the walls of all external buildings for signs of degradation, the fire protection system diesel pumps, and the fire main header. The equipment was either seismically restrained or located in seismic structures.
Licensee Action      Describe the licensees actions to verify the capability to mitigate existing design basis flooding events.
 
a. Verify through walkdowns and Inspections were performed of the equipment required for protection against external inspection that all required flooding in response to this temporary instruction. The stations response strategy consists materials are adequate and  of installation of flood protection barriers in doorways and openings to vital areas up to a properly staged, tested, and level of 1,014 feet above mean sea level. This level is consistent with the design basis for maintained.
 
the stations flooding program as defined in the Updated Safety Analysis Report. Guidance for installation of these barriers is contained in the abnormal and emergency procedures associated with flooding, and were found to be adequate by station personnel. All equipment required for sandbagging was functionally tested or inspected, and found to be adequate, staged, and available. This consists of two sandbagging machines stored in the warehouse area, 27,000 sandbags stored in the warehouse, and adequate sand stored onsite. Temporary barriers (flood doors) were physically installed in each location identified in the flooding response procedures. All barriers were successfully installed and found to be fully functional, and no significant deficiencies were noted during the installation of these barriers.
 
Describe inspector actions to verify equipment is available and useable. Assess whether procedures were in place and could be used as intended.
 
The inspectors reviewed the Updated Safety Analysis Report to verify that procedures were implemented to satisfy the license basis flood level. The inspectors performed independent walkdowns of the areas where external flooding could result in the biggest impact. The inspectors reviewed the procedures involved in sandbagging and floodgate installation, observed the installation of some floodgates, and reviewed photographs of the other floodgates installed. Additionally, the inspectors reviewed several recent event notices regarding flooding penetration vulnerabilities, and walked down these particular vulnerabilities to ensure the licensee had corrected these penetration vulnerabilities.
 
Discuss general results including corrective actions by licensee.
 
The licensee identified a need to provide a more formal flood penetration inspection and maintenance program. The licensees mitigation strategy for internal flooding is not formalized in one response procedure, but is located in several other procedures, and these procedures only specifically identify permanently installed equipment. The station utilizes installed sump instrumentation and equipment, along with preventative compensatory measures when activities present an increased risk to internal flooding. This condition is captured in Condition Report 2011-2324 for which an action plan was developed, which includes the following: creation of an engineering design basis for internal flooding, designation and procurement of protection equipment, and formalization of the procedures for protecting the site from internal flooding.
 
03.04 Assess the thoroughness of the licensees walkdowns and inspections of important equipment needed to mitigate fire and flood events to identify the potential that the equipments function could be lost during seismic events possible for the site. Assess the licensees development of any new mitigating strategies for identified vulnerabilities (e.g., entered it in to the corrective action program and any immediate actions taken). As a minimum, the licensee should have performed walkdowns and inspections of important equipment (permanent and temporary) such as storage tanks, plant water intake structures, and fire and flood response equipment; and developed mitigating strategies to cope with the loss of that important function. Use Inspection Procedure 71111.21, Component Design Basis Inspection, Appendix 3, Component Walkdown Considerations, as a guideline to assess the thoroughness of the licensees walkdowns and inspections.
 
Licensee Action            Describe the licensees actions to assess the potential impact of seismic events on the availability of equipment used in fire and flooding mitigation strategies.
 
a. Verify through walkdowns that      Mitigation equipment and strategies were analyzed and inspections of plant equipment all required materials are        were conducted. In many cases, the mitigating equipment had previously been identified adequate and properly staged,      and inspected in Sections 03.01 and 03.03 of this temporary instruction.
 
tested, and maintained.
 
Describe inspectors actions to verify equipment is available and useable. Assess whether procedures were in place and could be used as intended.
 
The inspectors reviewed the Updated Safety Analysis Report to determine the maximum flood level for the site and the required equipment to combat fires and floods. The inspectors reviewed the licensees fire protection program and flooding mitigation procedures, including natural and destructive phenomena procedures. The inspectors independently walked down the licensees equipment to ensure it was available and usable and to ensure that the procedures could be accomplished as written. These walkdowns included contingency response equipment, all external watertight doors, the walls of all external buildings for signs of degradation, the fire protection system diesel pumps, and the fire main header. The equipment was either seismically restrained or located in seismic structures.


Discuss general results including corrective actions by licensee. Briefly summarize any new mitigating strategies identified by the licensee as a result of their reviews.
Discuss general results including corrective actions by licensee. Briefly summarize any new mitigating strategies identified by the licensee as a result of their reviews.


specification for electrical systems. Specifically, Technical Specification 2.7 does not specify any required off site or emergency power sources below 300°F. Additionally, the licensee identified the need to provide guidance when and how to safely purge hydrogen gas from the main generator during or following an emergency event.
The inspectors determined the need to further review the licensees technical specification for electrical systems. Specifically, Technical Specification 2.7 does not specify any required off site or emergency power sources below 300°F. Additionally, the licensee identified the need to provide guidance when and how to safely purge hydrogen gas from the main generator during or following an emergency event.


===Exit Meeting Summary===
===Exit Meeting Summary===
On April 29, 2011, the inspectors presented the inspection results to Mr. D. Bannister, Chief Nuclear Officer, and other members of licensee management. The inspectors asked the licensee whether any materials examined during the inspection should be considered proprietary. No proprietary information was identified.
On April 29, 2011, the inspectors presented the inspection results to Mr. D. Bannister, Chief Nuclear Officer, and other members of licensee management. The inspectors asked the licensee whether any materials examined during the inspection should be considered proprietary. No proprietary information was identified.
A-1 Attachment


=SUPPLEMENTAL INFORMATION=
=SUPPLEMENTAL INFORMATION=


==KEY POINTS OF CONTACT==
==KEY POINTS OF CONTACT==
Licensee  
 
: [[contact::R. Acker]], Licensing Engineer  
Licensee
: [[contact::S. Baughn]], Manager, Nuclear Licensing  
: [[contact::R. Acker]], Licensing Engineer
: [[contact::A. Berck]], Supervisor, Emergency Planning  
: [[contact::S. Baughn]], Manager, Nuclear Licensing
: [[contact::S. Gebers]], Manager, Emergency Planning, Health Physics and Administration  
: [[contact::A. Berck]], Supervisor, Emergency Planning
: [[contact::T. Giebelhausen]], Manager, Operations Training and Simulator  
: [[contact::S. Gebers]], Manager, Emergency Planning, Health Physics and Administration
: [[contact::J. Goddell]], Division Manager, Nuclear Performance Improvement and Support  
: [[contact::T. Giebelhausen]], Manager, Operations Training and Simulator
: [[contact::D. Guinn]], Supervisor, Regulatory Compliance  
: [[contact::J. Goddell]], Division Manager, Nuclear Performance Improvement and Support
: [[contact::T. Nellenbach]], Division Mmanager, Nuclear Operations  
: [[contact::D. Guinn]], Supervisor, Regulatory Compliance
: [[contact::T. Nellenbach]], Division Mmanager, Nuclear Operations
 
==LIST OF DOCUMENTS REVIEWED==
==LIST OF DOCUMENTS REVIEWED==
The following is a list of documents reviewed during the inspection.
 
: Inclusion on this list does not imply that the NRC inspectors reviewed the documents in their entirety but rather that selected sections of portions of the documents were evaluated as part of the overall inspection effort.
: Inclusion of a document on this list does not imply NRC acceptance of the document or any part of it, unless this is stated in the body of the inspection report.
: 03.01 Assess design basis events
: Number Description or Title Revision
: SAMG-ABBREV Abbreviation 0
: SAMG-ASSINST Assessment of Instrumentation and Equipment for Severe Accident Management 0
: SAMG-BD-B Core Badly Damaged and Containment Bypassed (BD/B) 5
: SAMG-BD-CC Core Badly Damaged and Containment Closed and Cooled (BD/CC) 5
: SAMG-BD-CH Core Badly Damaged and Containment Challenged (BD/CH) 5
: SAMG-BD-I Core Badly Damaged and Containment Impaired (BD/I) 5
: SAMG-CALCAID Calculation Aids 3
: SAMG-EX-B Ex-Vessel and containment Bypassed  (EX/B) 5
: SAMG-EX-CC Ex-Vessel and Containment Closed and Cooled (EX/CC) 5 
: Attachment Number Description or Title Revision
: SAMG-EX-CH Ex-Vessel and Containment Challenged (EX/CH) 5
: SAMG-EX-I Ex-Vessel and containment Impaired (EX/I) 5
: SAMG-GLOSSARY Glossary 0
: SAMG-INTRO Introduction 0
: SAMG-PHASE 1 Initial Diagnosis 1
: SAMG-PHASE 2 Verification of Diagnosis 0
: SAMG-RESTOR Restoration 3
: SAMG-RESTORATT Restoration Attachments 2
: OCAG-1 Operational Contingency Action Guideline 13
===Condition Reports===
: 2011-2078 2011-2102 2011-2132 2011-2150 2011-2164 2011-2165
: 03.02 Assess
: Number Description or Title Revision
: EOP-07 Station Blackout 14
: EOP-20 Functional Recovery Procedure 24 EOP/AOP Attachments EOP/AOP Attachments 29
===Condition Reports===
: 2011-2110 2011-2305
: 03.03 required by station design
: Number Description or Title Date / Revision
: USAR-2.7 Hydrology 11
: PE-RR-AE-1001 Floodgate Installation and Removal 2
: GM-RR-AE-1002 Flood Control Preparedness for Sandbagging 9
===Condition Reports===
: 2011-0609 2011-2072 2011-2324 2011-2331 2011-2336 2011-2338 2011-2348 2011-2352 2011-2355 2011-2380 2011-2386 2011-2448 2011-2451 2011-2470 2011-2471 2011-2520 2011-2531 2011-2532   
: Attachment 03.04 Assess important equipment needed to mitigate fire and flood events to identify the
: Number Description or Title Date / Revision
: AOP-01 Acts of Nature 26
: AOP-06 Fire Emergency 24
===Condition Reports===
: 2011-2341 2011-2562
}}
}}

Latest revision as of 20:35, 12 November 2019

NRC Temporary Instruction 2515/183 Inspection Report 05000285/2011010
ML11133A339
Person / Time
Site: Fort Calhoun Omaha Public Power District icon.png
Issue date: 05/13/2011
From: Clark J
NRC/RGN-IV/DRP/RPB-E
To: Bannister D
Omaha Public Power District
References
IR-11-010
Download: ML11133A339 (20)


Text

U N IT E D S TA TE S N U C LE AR R E GU LA TOR Y C OM MI S S I ON May 13, 2011

SUBJECT:

Fort Calhoun Station - NRC TEMPORARY INSTRUCTION 2515/183 INSPECTION REPORT 05000285/2011010

Dear Mr. Bannister:

On April 29, 2011, the U.S. Nuclear Regulatory Commission (NRC) completed an inspection at your Fort Calhoun Station, using Temporary Instruction 2515/183, Follow-up to the Fukushima Daiichi Nuclear Station Fuel Damage Event. The enclosed inspection report documents the inspection results which were discussed on April 29, 2011, with you and other members of your staff.

The objective of this inspection was to assess the adequacy of actions taken at the Fort Calhoun Station in response to the Fukushima Daiichi Nuclear Station fuel damage event. The results from this inspection, along with the results from similar inspections at other operating commercial nuclear plants in the United States, will be used to evaluate the United States nuclear industrys readiness to respond to a similar event. These results will also help the NRC to determine if additional regulatory actions are warranted.

All of the potential issues and observations identified by this inspection are contained in this report. The NRCs Reactor Oversight Process will further evaluate any issues to determine if they are regulatory findings or violations. Any resulting findings or violations will be documented by the NRC in a separate report. You are not required to respond to this letter.

In accordance with 10 CFR 2.390 of the NRCs Rules of Practice, a copy of this letter and its enclosure will be made available electronically for public inspection in the NRC Public Document Room or from the Publicly Available Records component of NRCs document system (ADAMS), accessible from the NRC Web site at http://www.nrc.gov/reading-rm/adams.html (the Public Electronic Reading Room).

Omaha Public Power District -2-

Sincerely,

/RA/

Jeffrey A. Clark Chief, Project Branch E Division of Reactor Projects Docket: 50-285 License: DPR-40

Enclosure:

NRC Inspection Report 05000285/2011010 w/attachment: Supplemental Information

REGION IV==

Docket: 05000285 License: DPR-40 Report: 05000285/2011010 Licensee: Omaha Public Power District Facility: Fort Calhoun Station Location: 9610 Power Lane Blair, NE 68008 Dates: March 23 through April 29, 2011 Inspectors: J. Kirkland, Senior Resident Inspector A. Fairbanks, Reactor Inspector Approved By: Jeffrey Clark, Chief, Project Branch E Division of Reactor Projects-1- Enclosure

SUMMARY OF FINDINGS

IR 05000285/2011010, 03/23/2011 - 04/29/2011; Fort Calhoun Station Temporary

Instruction 2515/183 - Follow-up to the Fukushima Daiichi Nuclear Station Fuel Damage Event This report covers an announced temporary instruction inspection. The inspection was conducted by Resident and Region IV inspectors. The NRCs program for overseeing the safe operation of commercial nuclear power reactors is described in NUREG-1649, Reactor Oversight Process, Revision 4, dated December 2006.

INSPECTION SCOPE

The intent of the temporary instruction is to be a high-level look at the industrys preparedness for events that may exceed the design basis for a plant. The focus of the temporary instruction was on

(1) assessing the licensees capability to mitigate conditions that result from beyond design basis events, typically bounded by security threats,
(2) assessing the licensees capability to mitigate station blackout conditions,
(3) assessing the licensees capability to mitigate internal and external flooding events required by station design, and
(4) assessing the thoroughness of the licensees walkdowns and inspections of important equipment needed to mitigate fire and flood events to identify the potential that the equipments function could be lost during seismic events possible for the site. If necessary, a more specific follow-up inspection will be performed at a later date.

INSPECTION RESULTS

The following table documents the NRC inspection at the Fort Calhoun Station performed in accordance with Temporary Instruction 2515/183. The numbering system in the table corresponds to the inspection items in the temporary instruction.

03.01 Assess the licensees capability to mitigate conditions that result from beyond design basis events, typically bounded by security threats, committed to as part of NRC Security Order Section B.5.b issued February 25, 2002, and severe accident management guidelines and as required by Title 10 of the Code of Federal Regulations (10 CFR) 50.54(hh). Use Inspection Procedure 71111.05T, Fire Protection (Triennial), Section 02.03 and 03.03 as a guideline. If Inspection Procedure 71111.05T was recently performed at the facility the inspectors should review the inspection results and findings to identify any other potential areas of inspection. Particular emphasis should be placed on strategies related to the spent fuel pool. The inspection should include, but not be limited to, an assessment of any licensee actions to:

Licensee Action Describe what the licensee did to test or inspect equipment.

a. Verify through test or Station personnel conducted an inspection of equipment that is identified in the stations inspection that equipment is severe accident management guideline and operational contingency action guideline. The available and functional. Active operational contingency action guideline is the stations response procedure which identifies equipment shall be tested and procedures and equipment committed under NRC Security Order Section B.5.b. Active passive equipment shall be components were tested. Inspection and verification activities conducted in this section walked down and inspected. It included validation of the procedural guidance associated with the components, which are is not expected that also described in Section b of this table (these procedures and comments will not be permanently installed equipment repeated in Section b of this table).

that is tested under an existing regulatory testing program be retested.

Describe inspector actions taken to confirm equipment readiness (e.g., observed a test, This review should be done for reviewed test results, discussed actions, reviewed records, etc.).

a reasonable sample of mitigating strategies/equipment.

The inspectors reviewed the test results, records, and discussed actions with several plant operators. The inspectors verified that all active equipment credited in the severe accident management guideline and operational contingency action guideline procedures were located, stored, and maintained per station procedures. Specifically, the inspectors independently reviewed the contents of staged equipment throughout the plant.

Additionally, the inspectors reviewed test results for the B.5.b fire truck.

Discuss general results including corrective actions by licensee.

Condition Reports were written for any deficiencies and for any procedure or material enhancements that were discovered. Specific vulnerabilities and deficiencies noted were:

(1) severe accident management guideline equipment is not maintained through a preventive maintenance process -actions were assigned to develop regular inventories, inspections, and tests as appropriate;
(2) one method of venting containment (personnel airlock door window removal) was not determined to be viable, however additional compensatory measures and capabilities have been identified;
(3) one method of providing reactor coolant system makeup from the spent fuel pool was not determined to be credible-multiple alternate paths exist and improved procedure guidance may make this path credible again;
(4) one degraded component, fire pump FP-154, is credited in the flow path for three of the methods of using fire protection water to reduce offsite releases however, many alternatives exist and this equipment was previously identified and is scheduled for repair in early June, 2011; and
(5) several procedure changes as identified in condition reports to provide enhancements and correct minor editorial changes (including plant labeling).

Licensee Action Describe the licensees actions to verify that procedures are in place and can be executed (e.g. walkdowns, demonstrations, tests, etc.)

b. Verify through walkdowns or In addition to the procedure validations and walkthroughs that were performed in demonstration that procedures conjunction with the equipment inspections in section 1a of this table, additional procedures to implement the strategies were exercised in response to this area of inspection. Severe accident management associated with B.5.b and 10 guideline and operational contingency action guideline entry and diagnostic sections, as CFR 50.54(hh) are in place and well as decision-making guidance, were verified through a detailed tabletop exercise to are executable. Licensees may ensure that the procedures were executable. Additional procedure walkdowns were choose not to connect or conducted for procedures which were implemented through the guidance in the severe operate permanently installed accident management guideline or operational contingency action guideline guidance.

equipment during this Describe inspector actions and the sample strategies reviewed. Assess whether verification.

procedures were in place and could be used as intended.

This review should be done for a reasonable sample of mitigating strategies/equipment. The inspectors reviewed all the severe accident procedures and guidelines to ensure that the appropriate equipment, training, staging, and time lines could be followed. The inspectors determined that the licensees procedures were in place, effective, had been recently trained on, and could be implemented as intended. The inspectors walked down several strategies with plant operators to ensure that the operators knew where the equipment was located, how to operate the equipment, and the ease of use of the equipment.

Discuss general results including corrective actions by licensee.

No deficiencies or weaknesses were identified by the licensee other than those identified in Section 1a of this table.

Licensee Action Describe the licensees actions and conclusions regarding training and qualifications of operators and support staff.

c. Verify the training and The licensee verified the current training and qualification for operators and support staff to qualifications of operators and ensure all training requirements had been completed. This verification included all the support staff needed to members of the Emergency Response Organization who are responsible for implementing implement the procedures and sections and/or guidance identified in the stations response to sections 1a and 1b of this work instructions are current for table. The verification also included some offsite response agencies. The number of activities related to Security qualified personnel and qualification/training requirements for security personnel was also Order Section B.5.b and severe verified.

accident management guidelines as required by 10 CFR 50.54 (hh).

Describe inspector actions and the sample strategies reviewed to assess training and qualifications of operators and support staff.

The inspectors reviewed the training records of all plant and licensed operators and of all emergency response roster personnel to ensure that they were current with their training window. The inspectors interviewed personnel to ensure they knew where the equipment was located, how to operate the equipment, the ease of use of the equipment, and could complete the procedures as written.

Discuss general results including corrective actions by licensee.

The licensee identified that some licensed operators were missing some training requirements from Rotation 11-1, and some severe accident management guideline training has exceeded the 3-year requirement for some licensed operators. Condition Report 2011-2132 was written to ensure training is scheduled as soon as possible after the current refueling outage.

Licensee Action Describe the licensees actions and conclusions regarding applicable agreements and contracts are in place.

d. Verify that any applicable All contracts and agreements associated with the severe accident management guideline; agreements and contracts are in the operational contingency action guideline; the stations radiological emergency response place and are capable of plan; and the stations security plan was verified by direct contact with each organization.

meeting the conditions needed Communication with each agency verified that the terms of the agreement or contract were to mitigate the consequences of current, that any committed equipment was verified to be available, and that the contact these events.

information for each agency was correct.

This review should be done for a reasonable sample of For a sample of mitigating strategies involving contracts or agreements with offsite entities, mitigating strategies/equipment. describe inspectors actions to confirm agreements and contracts are in place and current (e.g., confirm that offsite fire assistance agreement is in place and current).

The inspectors confirmed that agreements with offsite responders are current and the equipment and capabilities of the offsite responders remain valid. Specifically, the inspectors reviewed the contracts with two vendors supplying emergency diesel generators, and two fire departments.

Discuss general results including corrective actions by licensee.

No deficiencies or weaknesses were identified with the applicable agreements or contracts.

The licensee did identify that the operational contingency action guideline would need to be updated to identify new equipment purchases associated with operational contingency action guideline response contracts.

Licensee Action Document the corrective action report number and briefly summarize problems noted by the licensee that have significant potential to prevent the success of any existing mitigating strategy.

e. Review any open corrective The licensee generated five condition reports related to the licensees capability to mitigate action documents to assess conditions that result from beyond design basis events. They did not identify any issues problems with mitigating that would impact the mitigating capabilities of the strategies per the severe accident strategy implementation management guidelines of B.5.b procedures.

identified by the licensee.

Condition Report 2011-2078 identified that all fire brigade gear was not present in the fire Assess the impact of the brigade storage area. This condition report was written to perform gear inventory once all problem on the mitigating gear has been returned, and to use the loss of gear as an OE topic in the next fire brigade capability and the remaining rotation capability that is not impacted.

Condition Report 2011-2102 identified deficiencies in the severe accident management guideline procedures. These were:

(1) spent fuel pool cooling pumps as a potential source of makeup water to the reactor coolant system;
(2) flooding the containment cooling and filtering units with containment spray; and
(3) jumper installation for establishing a containment vent path were determined to be not viable. This Condition Report was written to revise the severe accident management guideline procedures.

Condition Report 2011-2132 identified that some licensed operators are missing some training requirements from Rotation 11-1, and some severe accident management guideline training has exceeded the 3-year requirement for some licensed operators. This condition report was written to ensure training is scheduled as soon as possible after the current refueling outage.

Condition Report 2011-2164 identified that one method of venting containment described in the operational contingency action guideline, was not viable. This condition report was written to remove the procedure which described the process for venting containment by removing the personnel airlock-door sight glass. It was noted that there are other methods of venting containment described in the operational contingency action guideline.

Condition Report 2011-2165 identified that severe accident management guideline equipment is not maintained or inventoried on a routine basis. This Condition Report was written to create an inventory and preventive maintenance program.

03.02 Assess the licensees capability to mitigate station blackout conditions, as required by 10 CFR 50.63, Loss of All Alternating Current Power, and station design, is functional and valid. Refer to Temporary Instruction 2515/120, Inspection of Implementation of Station Blackout Rule Multi-Plant Action Item A-22 as a guideline. It is not intended that Temporary Instruction 2515/120 be completely re-inspected. The inspection should include, but not be limited to, an assessment of any licensee actions to:

Licensee Action Describe the licensees actions to verify the adequacy of equipment needed to mitigate a station blackout event.

a. Verify through walkdowns and The licensee verified its capability to respond to a station blackout events through plant inspection that all required walkdowns and by performance of a station blackout scenario in the simulator. In addition, materials are adequate and the licensee verified that all the required staged equipment was accounted for or available.

properly staged, tested, and The licensee reviewed 10 CFR 50.63, Regulatory Guide 1.155 and NUMARC 87-00 to maintained.

ensure its basis for actions for a station blackout. Fort Calhouns response to station blackout is reliant upon availability of one of three offsite power sources (161KV, 345KV, or 13.8KV) or availability of either diesel generator. However, the heat sink can be maintained

throughout this event as long as a water source is available, since the station has an installed diesel engine-driven auxiliary feed water pump, a steam-driven emergency feedwater pump, and the ability to relieve steam through main steam-safety valves without power. Instrument air or backup nitrogen accumulators provide motive force to maintain system alignments during the time without ac power to the station.

Describe inspector actions to verify equipment is available and useable.

The inspectors walked down diesel generator 2 looking for deficiencies that might call into question the operability of the diesel (diesel generator 1 was out of service for maintenance during a refueling outage). Additionally, the inspectors walked down the diesel-driven auxiliary feedwater pump, FW-54. The inspectors reviewed the most recent surveillance test data for each diesel generator and FW-54, and searched through the corrective action program database for items that could impact the operability of this equipment.

Discuss general results including corrective actions by licensee.

No vulnerabilities were discovered; however, the licensee identified the following enhancements:

(1) isolation of reactor coolant pump seal bleed-off flow will prolong reactor cooling system inventory;
(2) step to secure radiological releases due to loss of monitor power;
(3) step to refer to the operational contingency action guideline for more rapid deployment of materials before engineering release order is activated; and
(4) ability to black-start the emergency diesel generators needs improved engineering guidance and procedures to accomplish this task.

Licensee Action Describe the licensees actions to verify the capability to mitigate an SBO event.

b. Demonstrate through Fort Calhouns response to station blackout is contained primarily in two emergency walkdowns that procedures for operating procedures: EOP-07, Station Blackout, and EOP-20, Functional Recovery response to an station blackout Procedure, Resource Section MVA-AC, Maintenance of Vital Auxiliaries - AC. These two are executable.

procedures were demonstrated in the simulator using scenario-based validation.

Emergency Operating Procedure EOP-07 was also walked down in the plant by an operating crew, as were any attachments for restoring power via offsite power and or diesel generators.

Describe inspector actions to assess whether procedures were in place and could be used as intended.

The inspectors performed an independent walkdown of EOP-07 to verify that the procedures were executable. Additionally, the inspectors interviewed operators regarding the strategies involved in implementing the station blackout procedure.

Discuss general results including corrective actions by licensee.

The licensee identified that there should be a step to isolate reactor coolant pump controlled bleed-off to maximize reactor coolant system inventory for a sustained loss of power, and a step should be added to secure radiological releases, as there would be no sample pump for the stack monitor and no dilution flow following a loss of power.

03.03 Assess the licensees capability to mitigate internal and external flooding events required by station design. Refer to Inspection Procedure 71111.01, Adverse Weather Protection, Section 02.04, Evaluate Readiness to Cope with External Flooding as a guideline. The inspection should include, but not be limited to, an assessment of any licensee actions to verify through walkdowns and inspections that all required materials and equipment are adequate and properly staged.

These walkdowns and inspections shall include verification that accessible doors, barriers, and penetration seals are functional.

Licensee Action Describe the licensees actions to verify the capability to mitigate existing design basis flooding events.

a. Verify through walkdowns and Inspections were performed of the equipment required for protection against external inspection that all required flooding in response to this temporary instruction. The stations response strategy consists materials are adequate and of installation of flood protection barriers in doorways and openings to vital areas up to a properly staged, tested, and level of 1,014 feet above mean sea level. This level is consistent with the design basis for maintained.

the stations flooding program as defined in the Updated Safety Analysis Report. Guidance for installation of these barriers is contained in the abnormal and emergency procedures associated with flooding, and were found to be adequate by station personnel. All equipment required for sandbagging was functionally tested or inspected, and found to be adequate, staged, and available. This consists of two sandbagging machines stored in the warehouse area, 27,000 sandbags stored in the warehouse, and adequate sand stored onsite. Temporary barriers (flood doors) were physically installed in each location identified in the flooding response procedures. All barriers were successfully installed and found to be fully functional, and no significant deficiencies were noted during the installation of these barriers.

Describe inspector actions to verify equipment is available and useable. Assess whether procedures were in place and could be used as intended.

The inspectors reviewed the Updated Safety Analysis Report to verify that procedures were implemented to satisfy the license basis flood level. The inspectors performed independent walkdowns of the areas where external flooding could result in the biggest impact. The inspectors reviewed the procedures involved in sandbagging and floodgate installation, observed the installation of some floodgates, and reviewed photographs of the other floodgates installed. Additionally, the inspectors reviewed several recent event notices regarding flooding penetration vulnerabilities, and walked down these particular vulnerabilities to ensure the licensee had corrected these penetration vulnerabilities.

Discuss general results including corrective actions by licensee.

The licensee identified a need to provide a more formal flood penetration inspection and maintenance program. The licensees mitigation strategy for internal flooding is not formalized in one response procedure, but is located in several other procedures, and these procedures only specifically identify permanently installed equipment. The station utilizes installed sump instrumentation and equipment, along with preventative compensatory measures when activities present an increased risk to internal flooding. This condition is captured in Condition Report 2011-2324 for which an action plan was developed, which includes the following: creation of an engineering design basis for internal flooding, designation and procurement of protection equipment, and formalization of the procedures for protecting the site from internal flooding.

03.04 Assess the thoroughness of the licensees walkdowns and inspections of important equipment needed to mitigate fire and flood events to identify the potential that the equipments function could be lost during seismic events possible for the site. Assess the licensees development of any new mitigating strategies for identified vulnerabilities (e.g., entered it in to the corrective action program and any immediate actions taken). As a minimum, the licensee should have performed walkdowns and inspections of important equipment (permanent and temporary) such as storage tanks, plant water intake structures, and fire and flood response equipment; and developed mitigating strategies to cope with the loss of that important function. Use Inspection Procedure 71111.21, Component Design Basis Inspection, Appendix 3, Component Walkdown Considerations, as a guideline to assess the thoroughness of the licensees walkdowns and inspections.

Licensee Action Describe the licensees actions to assess the potential impact of seismic events on the availability of equipment used in fire and flooding mitigation strategies.

a. Verify through walkdowns that Mitigation equipment and strategies were analyzed and inspections of plant equipment all required materials are were conducted. In many cases, the mitigating equipment had previously been identified adequate and properly staged, and inspected in Sections 03.01 and 03.03 of this temporary instruction.

tested, and maintained.

Describe inspectors actions to verify equipment is available and useable. Assess whether procedures were in place and could be used as intended.

The inspectors reviewed the Updated Safety Analysis Report to determine the maximum flood level for the site and the required equipment to combat fires and floods. The inspectors reviewed the licensees fire protection program and flooding mitigation procedures, including natural and destructive phenomena procedures. The inspectors independently walked down the licensees equipment to ensure it was available and usable and to ensure that the procedures could be accomplished as written. These walkdowns included contingency response equipment, all external watertight doors, the walls of all external buildings for signs of degradation, the fire protection system diesel pumps, and the fire main header. The equipment was either seismically restrained or located in seismic structures.

Discuss general results including corrective actions by licensee. Briefly summarize any new mitigating strategies identified by the licensee as a result of their reviews.

The inspectors determined the need to further review the licensees technical specification for electrical systems. Specifically, Technical Specification 2.7 does not specify any required off site or emergency power sources below 300°F. Additionally, the licensee identified the need to provide guidance when and how to safely purge hydrogen gas from the main generator during or following an emergency event.

Exit Meeting Summary

On April 29, 2011, the inspectors presented the inspection results to Mr. D. Bannister, Chief Nuclear Officer, and other members of licensee management. The inspectors asked the licensee whether any materials examined during the inspection should be considered proprietary. No proprietary information was identified.

SUPPLEMENTAL INFORMATION

KEY POINTS OF CONTACT

Licensee

R. Acker, Licensing Engineer
S. Baughn, Manager, Nuclear Licensing
A. Berck, Supervisor, Emergency Planning
S. Gebers, Manager, Emergency Planning, Health Physics and Administration
T. Giebelhausen, Manager, Operations Training and Simulator
J. Goddell, Division Manager, Nuclear Performance Improvement and Support
D. Guinn, Supervisor, Regulatory Compliance
T. Nellenbach, Division Mmanager, Nuclear Operations

LIST OF DOCUMENTS REVIEWED