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#REDIRECT [[IR 05000482/2008006]]
{{Adams
| number = ML081350176
| issue date = 05/14/2008
| title = IR 05000482-08-006; 01/28/08 - 4/22/08; Wolf Creek Generating Station; Identification and Resolution of Problems
| author name = Smith L
| author affiliation = NRC/RGN-IV/DRS/EB2
| addressee name = Muench R
| addressee affiliation = Wolf Creek Nuclear Operating Corp
| docket = 05000482
| license number = NPF-042
| contact person =
| document report number = IR-08-006
| document type = Inspection Report, Letter
| page count = 32
}}
See also: [[see also::IR 05000482/2008006]]
 
=Text=
{{#Wiki_filter:UNITED STATES
                                NUC LE AR RE G ULATO RY CO M M I S S I O N
                                                R E GI ON I V
                                      612 EAST LAMAR BLVD , SU I TE 400
                                      AR LIN GTON , TEXAS 76011-4125
                                            May 14, 2008
Rick A. Muench, President and
  Chief Executive Officer
Wolf Creek Nuclear Operating Corporation
Burlington, KS 66839
SUBJECT: WOLF CREEK GENERATING STATION - NRC IDENTIFICATION AND
              RESOLUTION OF PROBLEMS INSPECTION REPORT 05000482/2008006
Dear Mr. Muench,
On February 29, 2008, the U.S. Nuclear Regulatory Commission (NRC) completed the onsite
portion of a team inspection at your Wolf Creek Generating Station. The enclosed inspection
report documents the inspection findings which were discussed on February 29, 2008, with you
and members of your staff, and telephonically on April 22, 2008.
This inspection reviewed activities conducted under your license as they relate to the
identification and resolution of problems, compliance with the Commission's rules and
regulations and the conditions of your operating license. Within these areas, the inspection
involved examination of selected procedures and representative records, observations of
activities, and interviews with personnel. The team reviewed cross-cutting aspects of NRC
findings and interviewed personnel regarding the condition of your safety conscious work
environment at Wolf Creek Nuclear Station.
The inspectors reviewed 224 condition reports, work orders, associated root and apparent
cause evaluations, and other supporting documentation to assess problem identification and
resolution activities. Overall, the team concluded that your program was generally effective in
identifying, evaluating, and correcting problems. However, the team identified a significant
number of longstanding equipment problems that were not being resolved in a timely manner.
The team concluded that you continue to have problems with corrective actions, and this is not
being effectively addressed.
Six findings were evaluated under the risk significance determination process as having very
low safety significance (Green). Four of these findings were determined to be violations of NRC
requirements. However, because these violations were of very low safety significance and the
issues were entered into your corrective action program, the NRC is treating these findings as
non-cited violations, consistent with Section VI.A.1 of the NRCs Enforcement Policy. The non-
cited violations are described in the subject inspection report. If you contest the violations or the
significance of the violations, you should provide a response within 30 days of the date of this
inspection report, with the basis for your denial, to the U. S. Nuclear Regulatory Commission,
ATTN: Document Control Desk, Washington, D.C. 20555-0001, with copies to the
 
Wolf Creek Nuclear Operating Corp.        -2-
Regional Administrator, U. S. Nuclear Regulatory Commission, Region IV, 611 Ryan Plaza
Drive, Suite 400, Arlington, Texas, 76011; the Director, Office of Enforcement, U.S. Nuclear
Regulatory Commission, Washington, D.C. 20555-0001; and the NRC resident inspector at the
Grand Gulf Nuclear Station facility.
In accordance with 10 CFR 2.390 of the NRC's Rules of Practice, a copy of this letter, its
enclosure, and your response 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). ADAMS is accessible from the NRC Web site at
http://www.nrc.gov/reading-rm/adams.html (the Public Electronic Reading Room).
                                            Sincerely,
                                            /RA/
                                            Linda J. Smith, Chief
                                            Engineering Branch 2
                                            Division of Reactor Safety
Docket: 50-482
License: NPF-42
Enclosure:
NRC Inspection Report 05000482/2008006
  w/attachments: 1. Supplemental Information
                  2. Information Request
cc w/enclosure:
Vice President Operations/Plant Manager              Office of the Governor
Wolf Creek Nuclear Operating Corp.                  State of Kansas
P.O. Box 411                                        Topeka, KS 66612
Burlington, KS 66839
                                                    Attorney General
Jay Silberg, Esq.                                    120 S.W. 10th Avenue, 2nd Floor
Pillsbury Winthrop Shaw Pittman LLP                  Topeka, KS 66612-1597
2300 N Street, NW
Washington, DC 20037                                County Clerk
                                                    Coffey County Courthouse
Supervisor Licensing                                110 South 6th Street
Wolf Creek Nuclear Operating Corp.                  Burlington, KS 66839-1798
P.O. Box 411
Burlington, KS 66839                                Chief, Radiation and Asbestos
                                                      Control Section
Chief Engineer                                      Kansas Department of Health and
Utilities Division                                    Environment
Kansas Corporation Commission                        Bureau of Air and Radiation
1500 SW Arrowhead Road                              1000 SW Jackson, Suite 310
Topeka, KS 66604-4027                                Topeka, KS 66612-1366
 
Wolf Creek Nuclear Operating Corp.        -3-
Electronic distribution by RIV:
Regional Administrator (Elmo.Collins@nrc.gov)
DRP Director (Dwight.Chamberlain@nrc.gov)
DRS Director (Roy.Caniano@nrc.gov)
DRS Deputy Director (Troy.Pruett@nrc.gov)
Senior Resident Inspector (Steve.Cochrum@nrc.gov)
Branch Chief, DRP/B (Vince.Gaddy@nrc.gov)
Senior Project Engineer, (Peter.Jayroe@nrc.gov)
Team Leader, DRP/TSS (Chuck.Paulk@nrc.gov)
RITS Coordinator (Marisa.Herrera@nrc.gov)
DRS STA (Dale.Powers@nrc.gov)
J. Adams, OEDO RIV Coordinator (John.Adams@nrc.gov)
ROPreports Resourse
WC Site Secretary (Shirley.Allen@nrc.gov)
SUNSI Review Completed: _NFO ___          ADAMS:  Yes  No        Initials: _NFO __
Publicly Available      Non-Publicly Available    Sensitive        Non-Sensitive
S:DRS:REPORTS\WC 2008006 PIR-proulx
SRI/EB2          RI/EB1          RI/PBB          RI/EB2        SRI/PBB          C/EB2
DLProulx        JPAdams        CHLong          HAAbuseini    SCochrum          LJSmith
/RA/            /E/            /E/            /E/            /E/              /RA/
4/28/08          4/25/08        4/25/08        4/25/08        4/25/08          5/13/08
C/DRP            C/EB2
VGGaddy          LJSmith
/RA/              /RA/
5/1/08            5/13/08
OFFICIAL RECORD COPY T=Telephone                  E=E-mail    F=Fax
 
                  U.S. NUCLEAR REGULATORY COMMISSION
                                    REGION IV
Docket:      50-482
License:    NPF-42
Report:      05000482/2008006
Licensee:    Wolf Creek Nuclear Operating Company
            .
Facility:    Wolf Creek Generating Station
Location:    P.O. Box 411
            Burlington, KS 66839
Dates:      January 28 through April 22, 2008
Inspectors:  D. Proulx, Senior Reactor Inspector (Team Leader)
            S. Cochrum, Senior Resident inspector
            H. Abuseini, Reactor Inspector
            J. Adams, Reactor Inspector
            C. Long, Resident Inspector
Approved By: Linda Joy Smith, Chief
            Engineering Branch 2
            Division of Reactor Safety
                                    -1-                        Enclosure
 
                                    SUMMARY OF FINDINGS
IR 05000482/2008006; 01/28/08 - 4/22/08; Wolf Creek Generating Station: Identification and
Resolution of Problems.
The report covered a 2-week period of inspection by two resident and three region-based
inspectors. Four Green non-cited violations and two Green findings were identified. The
significance of most findings is indicated by their color (Green, White, Yellow, or Red) using
Inspection Manual Chapter 0609, Significance Determination Process. Findings for which the
significance determination process does not apply may be Green or be assigned a severity level
after NRC management review. The NRC's program for overseeing the safe operation of
commercial nuclear power reactors is described in NUREG-1649, Reactor Oversight Process,
Revision 3, dated July 2000.
A.      Problem Identification and Resolution Results
        Cornerstone: NA
        *      The team reviewed approximately 224 risk significant issues, apparent and root
                cause analyses, and other related documents, to assess the effectiveness of the
                licensee=s problem identification and resolution processes and systems. The
                team concluded that although problems were consistently identified and entered
                into the corrective action program, several examples occurred during the
                assessment period, as well as five additional examples identified by the team, of
                failure to implement appropriate and timely corrective actions. Four examples
                were identified where ineffective use of operating experience led to issues
                occurred during the assessment period. Although no additional examples of
                missed operational experience were identified by the team, the licensee was not
                employing their formal tracking system (as required by procedure) for the review
                of operational experience.
                The licensee overall performed effective and critical self-assessments. However,
                the team noted because of the split between ownership of the condition report
                and work order systems, no formal trending of equipment issues was performed
                for items tracked only by work order. The team concluded that the licensee
                maintained an overall safety-conscious work environment, based on 28 selected
                interviews. Many individuals were not aware of the Ombudsman (employee
                concerns) programs ability to take nuclear safety issues and believed it to be a
                resource to resolve industrial safety concerns, coworker conflicts, personal
                issues, or human resources issues. Most workers stated that management was
                supportive of a safety conscious work environment. All the interviewees believed
                that potential safety issues were being addressed and there were no instances
                identified where individuals had experienced adverse actions for bringing safety
                issues to licensee management or the NRC.
                                            -2-                                      Enclosure
 
NRC-Identified and Self-Revealing Findings
      Cornerstone: Mitigating Systems
      *      Green. The team identified a non-cited violation of 10 CFR Part 50 Appendix B
              Criterion V, in which 21 scaffolds in 10 plant areas that were in contact with or
              closer to plant equipment than procedure allowed. The procedure required
              engineering evaluations did not contain any technical bases as to the
              acceptability of as built scaffolds. Subsequent engineering evaluation of each of
              the incorrect scaffolding installations confirmed that the configurations did not
              challenge operability. The NRC identified previous concerns with the erection of
              scaffolds, yet the licensee failed to take action to correct this issue.
              The team evaluated the significance of this finding using Phase 1 of Inspection
              Manual Chapter 0609, Appendix A, Significance Determination of Reactor
              Inspection Findings for At-Power Situations, and determined that the finding was
              of very low safety significance because the issue resulted in 21 unevaluated
              scaffolds which are likely not to challenge the ability of the plant to safely
              shutdown after an earthquake. As such, under Phase 1 screening, the deficiency
              is not related to a qualification or design deficiency, it did not represent a loss of
              safety function for a train or system as defined in the plant specific risk-informed
              inspection notebook, and did not screen as risk significant for seismic external
              events, because the affected systems were considered degraded, but operable.
              Using these inputs, the performance deficiency screened to Green. The team
              determined that the finding had a human performance crosscutting aspect in the
              area associated with decision making because the licensee failed to adopt a
              requirement to demonstrate that the proposed action is safe in order to proceed
              rather than a requirement to demonstrate that it is unsafe in order to disapprove
              the action. Specifically, Wolf Creek Generating Station did not conduct any
              review of engineering decisions to verify the validity of the underlying assumption
              that equipment and scaffolding could be in contact or closer than the established
              limit (H.1(b)) (Section 40A2.e(1)).
      *      Green. The team identified a finding because the licensee failed to take timely
              corrective actions to address a previously identified NRC finding.
              Finding 2007002-04 was issued because the licensee had failed to establish
              compensatory actions in response to the failure of all main annunciator board
              alarms. Failure to have compensatory measures inhibited the licensee in their
              efforts to determine the cause of the alarm failures. Corrective actions repaired
              the equipment that caused of the annunciator failure, but were unrelated to the
              failure to follow procedures and take compensatory measures.
              The team determined that this was a performance deficiency because the
              licensee had committed to take corrective actions in response to the previous
              non-cited violation but failed to do so in a timely manner. The inspectors
              determined that this violation was greater than minor because it met the intent of
              Manual Chapter 0612, Appendix E, Example 4.a., in that, there were several
              examples of the licensee failing to take corrective actions in response to NRC
                                            -3-                                        Enclosure
 
  identified non-cited violations and findings, indicating that the licensee routinely
  failed to perform engineering evaluations on similar issues. The inspectors
  performed a Phase I Significance Determination Process evaluation and
  determined that the violation was screened as being very low safety significance,
  Green, because all of the answers to the Phase I Worksheet Mitigating Systems
  Column were no. The team also determined that this finding has crosscutting
  aspects in the problem identification and resolution area associated with the
  corrective action program in that the licensee failed to implement timely or
  effective corrective actions (P.1(d) (Section 40A2.e (2)).
* Green. The team identified a violation of 10 CFR Part 50 Appendix B
  Criterion XVI because the licensee failed to take timely corrective actions to
  address a previously identified non-cited violation. Non-cited Violation 2007003-
  05 was issued because the licensee had failed to perform an operability
  evaluation following bearing replacement on the Train B emergency exhaust
  system fan. Corrective actions were not related to the missed performance of
  the operability evaluation, but the equipment failure.
  The team determined that this was a performance deficiency because the
  licensee had committed to take corrective actions in response to the previous
  non-cited violation but failed to do so in a timely manner. The inspectors
  determined that this violation was greater than minor because it met the intent of
  Manual Chapter 0612, Appendix E, Example 4.a. in that there were several
  examples of the licensee failing to take corrective actions in response to NRC
  identified non-cited violations and findings, indicating that The licensee routinely
  failed to perform engineering evaluations on similar issues. The inspectors
  performed a Phase I Significance Determination Process evaluation and
  determined that the violation was screened as being very low safety significance,
  Green, because all of the answers to the Phase I Worksheet Mitigating Systems
  Column were no. The team also determined that this finding has crosscutting
  aspects in the problem identification and resolution area associated with the
  corrective action program in that the licensee failed to implement timely or
  effective corrective actions. (P.1(d) (Section 40A2.e (3)).
* Green. The team identified a violation of 10 CFR Part 50 Appendix B
  Criterion XVI because the licensee failed to take timely corrective actions to
  address a previously identified finding. Finding 05000482/2008010 was issued
  because the licensee had failed to establish an acceptable monitoring frequency
  on their turbine driven auxiliary feedwater pump speed governor null-drift as
  recommended by a Part 21 report from Engine Systems, Inc. The corrective
  actions to establish the monitoring for the null-drift were not implemented.
  The team determined that this was a performance deficiency because the
  licensee had committed to take corrective actions in response to the previous
  non-cited violation but failed to do so in a timely manner. The team determined
  that this violation was greater than minor because it met the intent of Manual
  Chapter 0612, Appendix E, Example 4.a., in that, there were several examples of
  the licensee failing to take corrective actions in response to NRC identified non-
                                -4-                                        Enclosure
 
  cited violations and findings, indicating that The licensee routinely failed to
  perform engineering evaluations on similar issues. The team performed a
  Phase I Significance Determination Process evaluation and determined that the
  violation was screened as being very low safety significance, Green, because all
  of the answers to the Phase I Worksheet Mitigating Systems Column were no.
  The team also determined that this finding has crosscutting aspects in the
  problem identification and resolution area associated with the corrective action
  program in that the licensee failed to implement timely or effective corrective
  actions (P.1(d) (Section 40A2.e (4)).
* Green. The team identified a non-cited violation of 10 CFR Part 50, Appendix B,
  Criterion XVI, regarding the failure to identify and correct conditions adverse to
  quality associated with non-cited violation 2006-004-02 documented in Inspection
  Report 2006-004. Specifically, the licensee did not address in the apparent
  cause evaluation and corrective actions the failure to follow procedures for
  inspecting the transmitters resulting in an inadequate inspection of installed
  Barton pressure transmitters for known potential manufacturing defects which
  resulted in a previous violation of Administrative Procedure (AP) 28-011,
  Resolving Deficiencies Impacting SSCs, Revision 1. The licensee
  inappropriately credited transmitter inspections that occurred several years prior
  to receipt of the vendor recommendation as sufficient to resolve this issue.
  This finding was more than minor because it could reasonably be viewed a
  precursor to a significant event and affected the equipment performance attribute
  of the mitigating systems cornerstone and the cornerstone objective to ensure
  the availability, reliability, and capability of systems that respond to initiating
  events. Using Manual Chapter 0609, Significance Determination Process,
  Phase 1 worksheets, the inspectors determined that the finding is of very low
  significance because it did not represent an actual loss of a safety function or
  operability and was not potentially risk significant due to external events. The
  inspectors also determined that this finding has crosscutting aspects in the
  problem identification and resolution area associated with the corrective action
  program in that the licensee failed to identify the issue completely and thoroughly
  evaluate the problem such that the problem was resolved (P.1(a), P.1(c) (Section
  40A2.e (5)).
* Green. The team identified a finding for failure to implement corrective action for
  abandoned in place annunciator feed wiring deficiencies. Condition
  Report 2005-003275 was initiated because Cables ST-009 and ST-019 were
  field-spliced together to prevent electrical shocks such that the system
  configuration did not match the system drawing. Work Order 07-292004-000
  was initiated to correct this condition but was closed as unworkable. Condition
  Report 2005-003275 was closed to this closed work order even though the
  condition was not corrected, leaving the system in a condition not reflected in
  drawings or design documents. This configuration could result in further shocks,
  and further configuration control issues. The main annunciator system and its
  feeds are not safety-related, and therefore this performance deficiency is not a
  violation of NRC requirements.
                                  -5-                                        Enclosure
 
          The failure to implement corrective actions for an identified configuration control
          issue is a performance deficiency. This item affects the mitigating systems
          cornerstone. The team determined that this violation was greater than minor
          because it met the intent of Manual Chapter 0612, Appendix E, Example 4.a. in
          that there were several examples of the licensee failing to take corrective actions
          in response to findings, indicating that The licensee routinely failed to perform
          engineering evaluations on similar issues. The team performed a Phase I
          Significance Determination Process evaluation and determined that the violation
          was screened as being very low safety significance, Green, because all of the
          answers to the Phase I Worksheet Mitigating Systems Column were no. The
          team also determined that this finding has crosscutting aspects in the problem
          identification and resolution area associated with the corrective action program in
          that the licensee failed to implement timely or effective corrective actions. (P.1(d)
          (Section 40A2.e (6)).
B. Licensee-Identified Violations
  None
                                        -6-                                        Enclosure
 
                                        REPORT DETAILS
4    OTHER ACTIVITIES (OA)
4OA2 Problem Identification and Resolution (71152B)
      The inspectors based the following conclusions, in part, on a review of issues that were
      identified in the assessment period, which ranged from January 1, 2006, (the last
      biennial problem identification and resolution inspection) to December 15, 2007. The
      issues discussed in this report are divided into two groups. The first group (current
      issues) included problems identified during the assessment period where at least one
      performance deficiency occurred during the assessment period. The second group
      (historical issues) included issues that were identified during the assessment period
      where all the performance deficiencies occurred prior to the assessment period.
  a.  Assessment of Corrective Action Program Effectiveness
  1. Inspection Scope
      The team reviewed items selected across the seven cornerstones of safety to determine
      if problems were being properly identified, characterized, and entered into the corrective
      action program for evaluation and resolution. Specifically, the team selected and
      reviewed approximately 224 condition reports (CRs) from those issued between
      January 1, 2006 and December 15, 2007. The team also performed field walkdowns of
      selected systems and equipment. Additionally, the team reviewed a sample of
      self-assessments, trending reports and metrics, system health reports, and various other
      documents related to the corrective action program.
      The team evaluated condition reports, work orders, and operability evaluations to assess
      the licensees threshold for identifying problems, entering them into the corrective action
      program, and the ability to evaluate the importance of adverse conditions. Also, the
      licensees efforts in establishing the scope of problems were evaluated by reviewing
      selected logs, work requests, self-assessments results, audits, system health reports,
      action plans, and results from surveillance tests and preventive maintenance tasks. The
      team reviewed work requests and attended the licensees daily meetings to assess the
      reporting threshold, prioritization efforts, and significance determination process, as well
      as observing the interfaces with the operability assessment and work control processes.
      The team reviewed a sample of condition reports, apparent cause evaluations, and root
      cause evaluations performed during this period to ascertain whether the licensee
      properly considered the full extent of cause and extent of condition for problems, as well
      as assessing generic implications and previous occurrences. The team assessed the
      timeliness and effectiveness of corrective actions, completed or planned, and looked for
      additional examples of similar problems.
      The team also conducted interviews with plant personnel to identify other processes that
      may exist where problems may be identified and addressed outside the corrective action
      program.
                                            -7-                                        Enclosure
 
    A review of the auxiliary feedwater system was performed for a 5-year period to
    determine whether problems were being effectively addressed. The team conducted a
    walkdown of this system to assess whether problems were identified and entered into
    the work order process.
2.  Assessments
(a) Assessment - Effectiveness of Problem Identification
    The team concluded that problems were generally identified and documented in
    accordance with the licensees corrective action program guidance and NRC
    requirements. The licensee was identifying problems at an appropriately low threshold
    and entering them into the corrective action program, with two isolated exceptions.
    The team noted that two current examples occurred where the licensee did not always
    completely identify problems and document them in the corrective action program.
    Current Issues
    *      The licensee failed to promptly identify the non-conservative methodology for
          calculating vortexing in the refueling water storage tank suction to the
          containment spray pumps (non-cited violation (NCV) 05000482/2007006-02).
    *      The licensee failed to promptly identify that the technical specification
          surveillance for battery intercell resistance verified battery operability
          (NCV 05000482/2007006-04).
(b) Assessment - Effectiveness of Prioritization and Evaluation of Issues
    The team assessed the licensees effectiveness of prioritization and evaluation of issues
    entered into the corrective action program, including technical evaluation, operability
    assessments and extent of condition reviews. The inspectors concluded that the
    licensee was generally effective in prioritization and evaluation of issues with several
    exceptions. Four current and two historical examples of evaluation problems included:
    Current Issues
    *      The licensee failed to evaluate the extent of condition of similar components
          when a Train A emergency service water screen wash valve had failed. Upon
          later examination of a similar Train B emergency service water screen wash
          valve, the valve was found to have similar corrosion, and was degraded but
          operable (NCV 2007005-02).
    *      The licensee failed to perform an adequate common cause evaluation for failure
          of the Emergency Diesel Generator A electronic speed control card, as required
          by Technical Specification 3.8.1. Upon proper evaluation, the condition was
          found to exist on Emergency Diesel Generator B as well (NCV 2007005-03).
                                        -8-                                          Enclosure
 
    *        The licensee failed to adequately evaluate boric acid deposits (and subsequent
            wastage) at the base of the refueling water storage tank and take action to
            correct for 9 years (NCV 2007006-03).
    *        The team identified a green non-cited violation of 10 CFR 50 Appendix B
            Criterion V, in which 21 scaffolds in 10 plant areas that were in contact with or
            closer to plant equipment than the procedure allowed. The procedure required
            engineering evaluations which did not contain any technical bases as to the
            acceptability of as built scaffolds, which indicated inadequate and untimely
            evaluations of identified condition (Section 40A2.e(1)).
    Historical Issues
    *        The licensee failed to properly evaluate the long term affect of axial shaft
            movement for a component cooling water pump with respect to post accident
            conditions, resulting in the issue not being addressed for 18 years (Finding (FIN)
            05000482/2006010).
    *        The licensee failed to properly evaluate and determine the cause of reactor
            coolant pump thermal barrier cooling water outlet isolation valves going closed.
            Multiple opportunities existed for the licensee to evaluate and correct this
            condition, which could have challenged the reactor coolant pump seal boundary
            (NCV 2007003-03).
    The team reviewed the root cause evaluation and apparent cause evaluation
    procedures, as well as samples of both types of evaluations. The qualifications records
    for the root cause evaluators were also reviewed. The team concluded that Wolf Creek
    Generating Station had a good root cause determination process and effectively
    implemented these processes. A variety of root cause analysis methodologies were
    utilized in a team setting, and in general, were able to determine the cause for the
    specific problem. Appropriate corrective actions were identified to address each cause.
    External operating experience and off-site expertise were generally appropriately utilized
    in their evaluations, with the above exceptions.
(c) Assessment - Effectiveness of Corrective Actions
    The inspectors reviewed plant records, primarily CRs and work orders, to verify that
    corrective actions were developed and implemented. Additionally, the inspectors
    reviewed a sample of CRs that addressed past NRC identified violations for each
    cornerstone to ensure that the corrective actions adequately addressed the issues as
    described in the inspection reports. The inspectors also reviewed a sample of corrective
    actions closed to other CRs, work orders, or tracking programs to ensure that corrective
    actions were still appropriate and timely.
    The team identified five new examples of longstanding problems that have not been
    effectively resolved. The nature and extent of these examples demonstrated that the
    corrective actions were either not sufficiently broad or were not timely. This is in addition
                                          -9-                                        Enclosure
 
to similar issues identified previously in the assessment period. A number of NRC
identified violations were not corrected. Current and historical examples included:
Current Issues
*        The licensee failed to provide adequate corrective actions for repeat occurrences
        of failure to properly isolate sump pump motors prior to work, resulting in
        identification that the circuits were unintentionally energized (NCV 2006003-01).
*        The licensee failed to provide adequate corrective actions for multiple
        occurrences of foreign material in the spent fuel pool. The licensee failed to
        identify the source of the material, resulting in repeat occurrences of this issue
        (NCV 2006010-03).
*        The licensee failed to provide adequate corrective actions for elevated vibration
        levels on the Train B emergency exhaust system fan. The condition was not
        corrected because the licensee did not identify that the fan was not adequately
        lubricated (NCV 2007003-04).
*        The licensee failed to provide timely corrective actions for elevated vibration
        levels on the charging pump balance line. Because of the failure to correct this
        condition, the balancing line cracked rendering the charging pump inoperable.
        This condition was permitted to exist for extended period of time without
        correction, resulting in failure (FIN 2007006).
*        The team identified a Green finding because the licensee failed to establish
        corrective actions for a violation previously identified in an NCV associated with
        missed compensatory actions during an extended period when the main
        annunciator board failed (Section 4OA2.e(2)).
*        The team identified a Green NCV for failure to establish corrective actions for a
        violation previously identified in an NCV, with respect to a failure to perform an
        operability evaluation following bearing replacement on the Train B emergency
        exhaust system fan (Section 4OA2.e(3)).
*        The team identified a Green NCV for failure to establish corrective actions for a
        violation previously identified in an NRC finding associated with establishing an
        acceptable monitoring frequency for their turbine driven auxiliary feedwater pump
        speed governor null-drift (Section 4OA2.e(4)).
*        The team identified a Green NCV for failure to take corrective actions for
        NCV 2006-004-02. Specifically, the licensee did not address in the apparent
        cause evaluation and corrective actions the failure to follow procedures resulting
        in an inadequate inspection of installed Barton pressure transmitters for known
        potential manufacturing defects which resulted in a previous violation
        (Section 4OA2.e(5)).
                                      - 10 -                                      Enclosure
 
    *      The team identified a Green finding for failure to correct sewage treatment plant
            annunciator feed deficiencies. Condition Report 2005-003275 was initiated to
            correct discrepancies between the as-build configuration and drawings, but was
            closed with no corrective action implemented (Section 40A2.e(6)).
b.  Assessment of the Use of Operating Experience (OE)
1. Inspection Scope
    The team examined the licensee's program for reviewing industry operating experience,
    including reviewing the governing procedure and self-assessments and interviewing the
    OE program owner. A sample of operating experience notification documents that had
    been issued during the assessment period were reviewed to assess whether the
    licensee had appropriately evaluated the notification for relevance to the facility. The
    team also then examined whether the licensee had entered those items into their
    corrective action program and assigned actions to address the issues. The team
    reviewed a sample of root cause evaluations and significant CRs to verify if the licensee
    had appropriately included industry operating experience.
2. Assessment
    Overall, the team determined that the licensee had appropriately evaluated industry
    operating experience for relevance to the facility, and had entered applicable items in the
    corrective action program. The team concluded that the licensee was also evaluating
    industry operating experience when performing root cause and apparent cause
    evaluations. The team concluded that ineffective use of operating experience resulted in
    four issues that occurred during the assessment period. The team identified no
    additional examples. Current examples of inadequate use of operating experience
    included:
    *      Ineffective use of operating experience contributed to the failure to follow
            procedure with respect to a reactor vessel head lift, which violated height
            requirements. This issue had also occurred during a previous refueling outage
            (NCV 2006005-01).
    *      Ineffective use of operating experience contributed to the failure to establish
            appropriate procedures for testing of the turbine-drive auxiliary feedwater pump.
            The licensee did not implement a 10 CFR Part 21 notification to ensure that a
            null voltage drift in the controller did not adversely affect the governor
            (FIN 2006010).
    *      Ineffective use of operating experience contributed to the failure to establish
            appropriate procedures to inspect submerged cables with the potential for cable
            degradation (NCV 2006010-04).
                                          - 11 -                                      Enclosure
 
    *        Ineffective use of operating experience (vendor recommendation) contributed to
              the failure to inspect for a potential defect in emergency diesel generator
              governor control cards (FIN 2007005).
c.  Assessment of Self-Assessments and Audits
1. Inspection Scope
    The inspectors reviewed a sample of licensee self assessments and audits to assess
    whether the licensee was regularly identifying performance trends and effectively
    addressing them. The team also reviewed audit reports to assess the effectiveness of
    assessments in specific areas. The specific self-assessment documents reviewed are
    listed in the Attachment.
2. Assessment
    The team concluded that the licensee had a good self-assessment process, but was still
    making progress towards implementing the process as it was intended. The team
    concluded that trending processes required improvement
    Current Issue
    *    The licensee did not have an effective, formal program for trending equipment
        failures documented in work orders that do not have a corresponding condition
        report.
d.  Assessment of Safety Conscious Work Environment
1.  Inspection Scope
    The team interviewed 28 members of the plant staff, which represented a cross-section
    of functional organizations and supervisory and nonsupervisory personnel, to assess the
    establishment of a safety conscious work environment (SCWE) at Wolf Creek
    Generating Station. In this context, a SCWE refers to an environment in which
    employees feel free to raise safety concerns, both to their management and to the NRC,
    without fear of retaliation. The typical interview questions were similar to those listed in
    the appendix, Suggested Questions for Use in Discussions with Licensee Individuals
    Concerning PI&R [Problem Identification and Resolution] Issues, to NRC Inspection
    Procedure 71152. During interviews, document reviews, and observations of activities
    relevant to the Identification and Resolution of Problems inspection, the inspectors
    looked for evidence that suggested plant employees were reluctant to raise safety
    concerns. The team reviewed procedures and training materials used to implement the
    safety conscious work environment and safety culture programs at the site, and
    discussed them with the site Employee Concerns Program coordinator(Ombudsman).
    The team also interviewed the Employee Concerns Program coordinator (Ombudsman)
    and reviewed selected files from closed employee concerns.
                                            - 12 -                                    Enclosure
 
  2.  Assessment
      The team concluded that the licensee maintained an overall safety-conscious work
      environment, based on 28 selected interviews. Many individuals were not aware of the
      Ombudsman (employee concerns) programs ability to take nuclear safety issues and
      believed it to be a resource to resolve industrial safety concerns, coworker conflicts,
      personal issues, or human resources issues. Most workers stated that management
      was supportive of a safety conscious work environment but most could not define safety
      conscious work environment. However, all the interviewees believed that potential
      safety issues were being addressed and there were no instances identified where
      individuals had experienced adverse actions for bringing safety issues to licensee
      management or the NRC.
      Current Issues
      *      The majority of the interviewees made comments regarding the lack of
              knowledge of the employee concerns program and purpose. All were
              knowledgeable of the Ombudsman but did not associate him with the employee
              concerns program, but believed him to be a resource to resolve industrial safety
              concerns, coworker conflicts, personal issues, or human resources issues.
      *      More than half of the interviewees were not comfortable or lacked knowledge
              with inputting a condition report into PILOT (corrective action database) and
              would rather provide the concern to management for input, but did not believe
              safety issues were not being identified
      *      More than half of the interviewees were not aware of Wolf Creek Generating
              Station SCWE policy or guidance.
      *      The team received isolated comments about training weeks being used for not
              job specific training, the lack of qualified staff to allow for additional training
              during the workday and the routine use of overtime to ensure minimum staffing
              for crews.
      *      The interviewees all believed that potential safety issues were being addressed
              and there were no instances identified where individuals had experienced
              adverse actions for bringing safety issues to licensee management or the NRC.
  e. Specific Issues Identified During This Inspection
(1)  Failure to Correct Procedure Deviations to Demonstrate Seismic Acceptability
      Introduction. On January 31, 2008, the team identified a Green NCV of 10 CFR Part 50,
      Appendix B, Criterion V, in which, 21 scaffolds in 10 plant areas that were in contact with
      or closer to plant equipment than procedure allowed. The procedure required
      engineering evaluations which did not contain any technical bases as to the acceptability
      of as built scaffolds.
                                            - 13 -                                          Enclosure
 
Description. On January 31, 2008, the team identified 21 scaffolds in 10 areas of the
plant that exceeded the limit of 2 inches between erected scaffolding and safety
equipment which is established in Administrative Procedure (AP) 14A-003, Scaffold
Construction and Use. Procedure AP 14A-003, Step F.4.2, states that if the gap was
less than 2 inches, that engineering was required to evaluate the scaffold. The team
requested the engineering evaluations for all the scaffolds. The evaluation contained on
the associated scaffolding request form that had an engineers signature and a box
checked Yes for Scaffolding is required to be seismically qualified. The team
questioned engineering if there were any other technical bases or formal documentation
for the scaffolds. The team reviewed generic Scaffold Construction
Calculation XX-C-018, Evaluation of Seismically Qualified Scaffolding and could not
locate the acceptability of having scaffolding closer than 2 inches or in contact with
safety equipment. The inspectors met with plant management to discuss the concerns
on February 1. Plant management informed the inspector that engineering judgment
was an acceptable criterion to establish the adequacy of the scaffolds. Wolf Creek
Generating Station did not have any technical justification such that interactions between
safety equipment and the scaffolding would not cause equipment damage.
Wolf Creek Generating Station subsequently re-evaluated the scaffolds of concern. On
February 4, inspectors reviewed the re-evaluated scaffolds documentation. One set of
scaffold were acceptable because the equipment in contact with the scaffold was
nitrogen lines used for testing in the electrical penetration room, and wood planking still
in contact with or closer than 2 inches to the electrical penetrations were non-safety
cables. One of the scaffolds was moved, such as the scaffold that was threaded through
an electrical cable tray. However, the scaffolds in contact with or closer than the 2 inch
limit were informally justified along two principles. First, if the safety equipment was a
cable tray, instrument air line, or heating, ventilation, and air conditioning (HVAC)
ducting, engineering stated that contact during an earthquake would be acceptable
because the scaffold would support the equipment or that such equipment was flexible
and could tolerate contact. Second, if the safety equipment was a pipe, engineering
stated that contact during an earthquake would be acceptable because piping is robust
and would not be damaged. In consultation with a senior engineer from the Office of
Nuclear Reactor Regulations Engineering Mechanics Branch, the inspectors judged
these evaluations not to be sufficient to demonstrate that the equipment would not be
damaged during an earthquake.
The scaffolding in the Containment Spray Rooms A and B, the 1988 pipe chase, the
Residual Heat Removal Heat Exchanger A room, both electrical penetration rooms, the
2047 HVAC room, Emergency Exhaust Fan Room A, Emergency Diesel Generator
Room A, and Auxiliary Feedwater Pump Room A were not moved. One scaffold in the
2047 HVAC room was removed, as well as scaffolding in one of the electrical
penetration rooms. Scaffolding in the Emergency Diesel Generator Room A received
additional bracing to prevent flexing in the direction of the air start line. However, the
inspectors judged that none of these examples would prevent the safe shutdown of Wolf
Creek Generating Station because these systems were degraded, but operable.. During
a further meeting on February 20, Wolf Creek Generating Station engineering was able
to show that one of the scaffolds of concern on the 2047 of the auxiliary building was
                                    - 14 -                                      Enclosure
 
partially not a concern because while the scaffold was in contact with an air line, the line
served only pneumatic tools used during maintenance and not any safety related or risk
significant equipment. Nonetheless, this particular scaffold was in contact with two
electrical cable trays.
Analysis. The failure to follow AP 14A-003 to evaluate the clearance between
scaffolding and safety equipment per procedure is a performance deficiency. The
inspectors determined that this finding was more than minor because it is consistent with
Manual Chapter (MC) 0612, Appendix E, example 4.a in that Wolf Creek Generating
Station consistently failed to evaluate scaffolding that exceeded the 2 inch acceptance
criteria.
The inspectors evaluated the significance of this finding using Phase 1 of Inspection
Manual Chapter (IMC) 0609, Appendix A, Significance Determination of Reactor
Inspection Findings for At-Power Situations, and determined that the finding was of very
low safety significance because the issue resulted in 21 unevaluated scaffolds which are
likely not to challenge the ability of the plant to safely shutdown after an earthquake. As
such, under Phase 1 screening, the deficiency is not related to a qualification or design
deficiency, it did not represent a loss of safety function for a train or system as defined in
the plant specific risk-informed inspection notebook, and did not screen as risk
significant for seismic external events, because the affected systems were considered
degraded but operable. Using these inputs, the performance deficiency screened to
Green. The inspectors also determined that the finding had a human performance
crosscutting aspect in the area associated with decision making because the licensee
failed to adopt a requirement to demonstrate that the proposed action is safe in order to
proceed rather than a requirement to demonstrate that it is unsafe in order to disapprove
the action. Specifically, Wolf Creek did not conduct any review of engineering decisions
to verify the validity of the underlying assumption that equipment and scaffolding could
be in contact or closer than the established limit (H.1(b)).
Enforcement. Part 50 of Title 10 of the Code of Federal Regulations, Appendix B,
Criterion V, Instructions, Procedures, and Drawings requires, in part that activities
affecting quality be prescribed by procedures appropriate to the circumstances and shall
be accomplished according to these procedures. Wolf Creek Generating Station
AP 14A-003, Scaffold Construction and Use, Revision 14, implements the seismic
design requirements contained in Calculation XX-C-18 for scaffolds in safety related
areas and establishes acceptance criteria.
Contrary to the above, from November 13, 2003 to February 4, 2008, the licensee did
not construct 21 scaffolds in safety related plant areas in accordance with AP 14A-003.
Specifically, Wolf Creek Generating Station did not modify the scaffolds or evaluate the
deviations with appropriate acceptance criteria to demonstrate that the seismic design
bases remained valid. This issue and the corrective actions are being tracked by Wolf
Creek Generating Station in CR 2008-000383. Because the violation was of very low
safety significance and the issue was captured in the licensees corrective action
program as CR 2008-000118, this violation is being treated as a NCV consistent with
Section VI.A of the NRC Enforcement Policy: NCV 05000482/2008006-01, Twenty-one
examples of failure to follow seismic requirements of scaffolding procedure.
                                      - 15 -                                      Enclosure
 
(2) Failure to Implement Corrective Actions to Correct a Finding Associated with
    Compensatory Measures following Main Annunciator Failure.
    Introduction. The team identified a Green finding because the licensee failed to
    establish corrective actions for a violation previously identified in an NCV associated with
    missed compensatory actions during an extended period when the main annunciator
    board failed.
    Description. NRC inspectors had previously issued NCV 2007002-04 to document an
    NCV in that the licensee failed to establish compensatory actions during an extended
    period when the main annunciator board failed. The licensee initiated CR 2007-000362
    to place this issue into the corrective action program to correct the NCV. The team
    noted that the corrective actions in the CR only addressed the hardware failure and not
    the failure to establish compensatory measures, and therefore, were not appropriate to
    the circumstances. The team determined that the licensee had not established any
    corrective action plan to address this NCV and considered this to be a performance
    deficiency, although the main annunciator is not a safety related system.
    Analysis. The failure to establish corrective actions for each aspect of NCV 2007002-04
    is a performance deficiency. This violation is considered to be greater than minor
    because it meets the intent of MC 0612, Appendix E, Example 4.a, in that there are
    multiple examples of a failure to establish corrective actions associated with NCVs and
    findings, indicating that The licensee routinely failed to perform engineering evaluations
    on similar issues. The team performed a Phase I SDP evaluation and determined that
    the violation is of very low safety significance, Green, because all of the answers to the
    Phase I Worksheet Mitigating Systems Column were no. This finding has a
    cross-cutting aspect in the area of corrective action program because the licensee failed
    to put all aspects of NCV 2007002-04 into their corrective action program (P.1(d)).
    Enforcement. Although the licensee failed to identify corrective actions to address the
    lack of compensatory actions associated with the failure of their main annunciator board,
    the main annunciator system is not safety-related, and thus was not a violation of NRC
    requirements. This finding was placed in the corrective action program as
    CR 2008-000777. Finding 05000482/2008006-02, Failure to take corrective action for
    missed compensatory measures.
(3) Failure to Implement Corrective Actions for a Missed Operability Assessment
    Introduction. The team identified a Green NCV of 10 CFR Part 50, Appendix B,
    Criterion XVI because the licensee failed to establish corrective actions for a violation
    previously identified in an NCV, with respect to a failure to perform an operability
    evaluation following bearing replacement on the Train B emergency exhaust system fan.
    Description. NRC inspectors had previously issued NCV 2007003-05 to document a
    non-cited violation where the licensee failed to perform an operability evaluation
    following bearing replacement on the Train B emergency exhaust system fan. The
    licensee initiated CR 2007-002411-0 place this issue into the corrective action program
                                        - 16 -                                    Enclosure
 
    to correct the NCV. The team noted that the corrective actions in the CR only addressed
    the hardware failure and not the failure to perform an operability evaluation, and
    therefore, were not appropriate to the circumstances. The team determined that the
    licensee had not established any corrective action plan to address this NCV and
    considered this to be a performance deficiency.
    Analysis. The failure to take corrective action to establish corrective actions for each
    aspect of NCV 2007003-05 is a performance deficiency. This finding is considered to be
    greater than minor because it meets the intent of MC 0612, Appendix E, Example 4.a, in
    that there are multiple examples of a failure to establish corrective actions associated
    with NRC NCVs and findings, indicating that The licensee routinely failed to perform
    engineering evaluations on similar issues. The team performed a Phase I Significance
    Determination Process (SDP) evaluation and determined that the violation is of very low
    safety significance, Green, because all of the answers to the Phase I Worksheet
    Mitigating Systems Column were no. This violation has a problem identification and
    resolution cross-cutting aspect in the area of corrective action program because the
    licensee failed to put all aspects of NCV 2007003-05 into their corrective action program
    (P.1(d)).
    Enforcement. Part 50 of Title 10 of the Code of Federal Regulations, Appendix B,
    Criterion XVI requires conditions adverse to quality to be promptly identified and
    corrected. Contrary to this requirement, the licensee failed to identify corrective actions
    to address where the licensee failed to perform an operability evaluation following
    bearing replacement on the Train B emergency exhaust system fan. Because this
    finding is of very low safety significance and was entered into the licensees corrective
    action program as CR 2008-000777, this violation is being treated as a non-cited
    violation in accordance with Section VI.A.1 of the Enforcement Policy:
    NCV 05000482/2008006-03, Failure to take corrective actions for missed operability
    assessment.
(4) Failure to Correct Finding Associated with Auxilary Feedwater Pump Governor Null
    Setting
    Introduction. The team identified a Green NCV of 10 CFR Part 50, Appendix B,
    Criterion XVI when the licensee failed to establish corrective actions for a violation
    previously identified in an NRC finding associated with establishing an acceptable
    monitoring frequency for their turbine driven auxiliary feedwater (AFW) pump speed
    governor null-drift.
    Description. NRC inspectors had previously issued FIN 2006010 to document their
    determination that the licensee had failed to establish an acceptable monitoring
    frequency for their turbine driven AFW pump speed governor null-drift as recommended
    by a Part 21 report from Engine Systems, Inc. The licensee initiated CR 2005-002241 to
    place this issue into the corrective action program to correct the NCV. The team noted
    that the corrective action in the CR again did not establish a monitoring frequency for the
    turbine driven AFW pump speed governor null-drift, and therefore, was not appropriate
    to the circumstances. The team determined that the licensee had not established a
                                          - 17 -                                    Enclosure
 
    corrective action plan to address this finding and considered this to be a performance
    deficiency.
    Analysis. The failure to establish corrective actions for each aspect of FIN 2006010 is a
    performance deficiency. This finding is considered to be greater than minor because it
    meets the intent of MC 0612, Appendix E, Example 4.a, in that there are multiple
    examples of a failure to establish corrective actions associated with NRC NCVs and
    findings, indicating that The licensee routinely failed to perform engineering evaluations
    on similar issues. The inspectors performed a Phase I SDP evaluation and determined
    that the violation is of very low safety significance, Green, because all of the answers to
    the Phase I Worksheet Mitigating Systems Column were no. This violation has a
    problem identification and resolution cross-cutting aspect in the area of corrective action
    program because the licensee failed to put all aspects of FIN 2006010 into the corrective
    action program (P.1(d)).
    Enforcement. Part 50 of Title 10 of the Code of Federal Regulations, Appendix B,
    Criterion XVI requires that conditions adverse to quality are promptly identified and
    corrected. Contrary to this requirement, the licensee failed to identify corrective actions
    to address the lack of an acceptable monitoring frequency on their turbine driven AFW
    pump speed governor null-drift. Because this finding is of very low safety significance
    and was entered into the licensees corrective action program as CR 2008-000777 this
    violation is being treated as an NCV in accordance with Section VI.A.1 of the
    Enforcement Policy: NCV 05000482/2008006-04, Failure to take timely corrective
    actions to establish monitoring frequency for AFW Pump null set drift.
(5) Failure to Take Timely Corrective Action for Barton Transmitter Defects
    Introduction. The team identified a Green NCV of 10 CFR Part 50, Appendix B,
    Criterion XVI, for failure to identify and correct conditions adverse quality associated with
    NRC NCV 2006-004-02 documented in Inspection Report 2006-004. Specifically, the
    licensee did not address in the apparent cause evaluation and corrective actions the
    failure to follow procedures resulting in an inadequate inspection of installed Barton
    pressure transmitters for known potential manufacturing defects which resulted in a
    previous violation.
    Description. On May 18, 2006, PRIME Measurement Products issued a Nuclear
    Industry Advisory that Barton Model 763 and 763A gage pressure transmitters and
    Model 764 differential pressure transmitters may have defective external lead-wire
    connectors. The advisory described a defect where the insulated portions of the wires in
    the connectors may not be embedded deeply enough into the epoxy potting used to
    structurally support the soldered wire connections and establish a seal to protect the
    solder connections from shorting. The advisory warned that shorting of conductors
    could occur in an electrically conductive accident environment. The advisory stated the
    affected transmitters were manufactured after May 1982 and shipped from the factory
    prior to April 1, 2006. Transmitters manufactured prior to June 1982 and assembled with
    heat shrinking embedded in the epoxy potting were not subject to the concerns of the
    PRIME advisory. PRIME recommended that all connectors in transmitters manufactured
    after May 1982 be inspected for exposure of the external lead wire conductors at the
                                          - 18 -                                    Enclosure
 
surface of the connector and that any transmitter with exposed conductors should be
considered defective and replaced. Because of the design and configuration of the
transmitters, the inspections would necessitate the connector be unscrewed from the
transmitter and the external lead wires flexed 90 degrees to ensure the insulated
portions of the wires are securely embedded in the epoxy potting material. On June 21,
2006, following inspection of warehouse stock potentially affected by the PRIME
advisory, Callaway plant made a 10 CFR Part 21 report notifying the NRC of defects in
Barton pressure transmitters.
Wolf Creek Generating Station determined that the affected Barton models were used
onsite with a total of 39 safety-related transmitters installed. System engineering
performed an operability evaluation to assess if any of the installed transmitters were
defective. As part of the operability justification basis, system engineering referred to
previous inspections performed by instrumentation and control technicians under Work
Request 00077-93. These inspections were performed in 1993 and were in response to
Westinghouse Letter SAP-92-182 that identified the potential for damage to lead wire
insulation on Barton pressure transmitters. The letter identified a potential defect caused
by lead wire rubbing against the internal threads of the housing boss, resulting in
insulation damage. Westinghouse recommended that each transmitter be inspected for
wire insulation damage; however, this only required inspection at the entrance to the
transmitter housing. Work Request 00077-93 contained steps to inspect the transmitters
addressed in the Westinghouse letter, which included removing the conduit flex cable
and conduit connector and inspecting the transmitter lead wire at point of exit from the
transmitter housing. The inspection criteria established in the work order only required
that the wire insulation be smooth, unblemished, and free of nicks. Specifically, the work
order did not contain the requirements to unscrew the connector from the transmitter and
that the external lead wires be flexed 90 degrees to ensure the insulated portions of the
wires are securely embedded in the epoxy potting material as recommended in the
current PRIME advisory.
The licensee performed inspections on June 27, 2006, of two Barton pressure
transmitters affected by the PRIME advisory that were not included in the scope of the
1993 inspections. The resident inspector observed the inspections of these two
transmitters. In both cases, the inspection revealed that the transmitters were
assembled with heat shrinking embedded in the epoxy potting and, therefore, not subject
to the advisory. However, the inspectors questioned how the 1993 inspections could
identify the defective condition. Specifically, the inspectors questioned how the previous
inspections could take credit to identify the insulated portions of the wires were securely
embedded in the epoxy potting material, since the connectors were not unscrewed from
the transmitter and the external lead wires were not flexed 90 degrees. Additionally, the
inspectors noted that the lead wires and epoxy potting are inaccessible without removal
of the connector; therefore, the recommended inspection could not be completed.
                                    - 19 -                                      Enclosure
 
    Procedure AP 28-011 requires that, during the operability determination process, a
    reasonable expectation must exist that the structure, system or component (SSC) is
    operable and that the prompt determination process will support that expectation.
    Contrary to this requirement, reasonable expectation was not established because the
    1993 inspections did not support the engineering judgment used based on the 1993
    inspections which did not look at epoxy defects.
    A review of the inspections performed in 1993 revealed 14 of 39 installed Barton
    pressure transmitters manufactured without heat shrinking embedded in the epoxy
    potting and, therefore, potentially affected by the PRIME advisory. The licensee
    corrective actions to date have only inspected several spare lead wire assemblies in
    warehouse stock and two installed transmitters that were not originally inspected in
    1993. The licensee also plans to replace 10 transmitters that were identified without
    heat shrinking. However, no evaluation or corrective actions address the failure to follow
    AP 28-011, Resolving Deficiencies Impacting SSCs, Revision 1.
    Analysis. The failure to evaluate and implement appropriate corrective actions for a
    condition adverse to quality was a performance deficiency. This finding was more than
    minor because it could reasonably be viewed a precursor to a significant event and
    affected the equipment performance attribute of the mitigating systems cornerstone and
    the cornerstone objective to ensure the availability, reliability, and capability of systems
    that respond to initiating events. Using MC 0609, Significance Determination Process,
    Phase 1 worksheets, the inspectors determined that the finding is of very low
    significance because it did not represent an actual loss of a safety function or operability
    and was not potentially risk significant due to external events. The inspectors also
    determined that this finding has crosscutting aspects in the problem identification and
    resolution area associated with the corrective action program in that the licensee failed
    to identify the issue completely and thoroughly evaluate the problem such that the
    problem was resolved (P.1(a), P.1(c)).
    Enforcement. Part 50 of Title10 of the Code of Federal Regulations, Appendix B,
    Criterion XVI, Corrective Action, requires, in part, that measures be established to
    assure that conditions adverse to quality are promptly identified and corrected. Contrary
    to this, on January 16, 2007, the licensee failed to identify and correct the failure to
    follow AP 28-011 which resulted in an inadequate inspection of installed Barton pressure
    transmitters for known potential manufacturing. Because the violation was of very low
    safety significance and has been entered into the licensees Corrective Action Program
    as Condition Report 2008-000777, this violation is being treated as an NCV, consistent
    with Section VI.A of the Enforcement Policy: NCV 05000482/2008006-05, Failure to
    take timely corrective action to correct Barton transmitter defects.
(6) Failure to Take Corrective Actions to Correct Annunciator Feed Deficiencies
    Introduction. The team identified a Green finding for failure to correct sewage treatment
    plant annunciator feed deficiencies. Condition Report 2005-003275 was initiated to
    correct discrepancies between the as-build configuration and drawings, but was closed
    with no corrective action implemented.
                                        - 20 -                                        Enclosure
 
Description. In 2005, a sewage treatment process plant was being decommissioned
when workers kept complaining of electric shocks while digging in the vicinity of the
sewage treatment plant. When it was investigated by the electrician, the electrician
found that because Cable ST009 (extending between the local junction box at the
sewage treatment plant area and the main Control Room Board RL013-RL014)
(Drawings E-1142 and E-1146) was still connected to the daisy chained control room
125vdc annunciator alarm power supplies disconnected Cable ST019 from the local
junction box (extending between the local junction box and the local lift station) and
shorted out and spliced Cable ST009 in order to prevent shocks and control room
annunciator alarms. The electrician performed this modification without documenting
this action.
Condition Report 2005-003275 was initiated to identify problems with abandoned in
place sewage treatment plant equipment on Drawings E-1005-ST01, ST02, ST03, ST05
and ST06. This condition report indicated that the equipment was removed and not
abandoned in place. In order to prevent power supply and control room alarm problems,
the condition report requested that the condition be corrected to reflect the field
configuration. The condition report also recommended that Cable ST009 be removed
from Terminal TB2 (87,88) or be used for the lift station that was still required to pump
sewage to a lagoon outside the plant. There were no corrective actions to this condition
report. However the electrician was directed to perform Work
Order (WO) 07-292004-000. This WO directed the electrician to ensure that
Cables ST009, S016 and ST019 are installed in accordance with Drawings E-1005-
ST03 and ST06. The WO summary concluded that the work was not workable because
Cable ST019 had been removed, and thus the WO was closed. Because
WO 07-292004-000, was closed the licensee inappropriately closed CR 2005-003275 to
the WO, without reviewing the results to determine if the condition had been properly
corrected. The failure to correct this condition is a finding.
Analysis. The failure to implement corrective actions for an identified configuration
control issue is a performance deficiency. This item affects the mitigating systems
cornerstone. The team determined that this violation was greater than minor because it
met the intent of MC 0612, Appendix E, Example 4.a., in that, there were several
examples of the licensee failing to take corrective actions in response to findings,
indicating that The licensee routinely failed to perform engineering evaluations on
similar issues. The team performed a Phase I SDP evaluation and determined that the
violation was screened as being very low safety significance, Green, because all of the
answers to the Phase I Worksheet Mitigating Systems Column were no. The team also
determined that this finding has crosscutting aspects in the problem identification and
resolution area associated with the corrective action program in that the licensee failed
to implement timely or effective corrective actions. (P.1(d)).
Enforcement. The main annunciator system and its feeds are not safety-related, and
therefore this performance deficiency is not a violation of NRC requirements. This
finding was placed in the corrective action system as CR 2008-000778.
Finding 05000482/2008006-06, Failure to take timely corrective actions to correct
annunciator feed deficiencies.
                                    - 21 -                                      Enclosure
 
4OA6 Management Meetings
    On February 29, 2008, an exit meeting was conducted on the last day of the onsite
    inspection. The tentative results of the inspection were discussed with Mr. R. Muench
    and other members of the staff. The licensee confirmed that no proprietary information
    was handled during this inspection.
    On April 22, 2008, a telephonic re-exit was conducted with Mr. W. Muilenburg to discuss
    the final categorization of six issues and cross-cutting aspects of the findings.
ATTACHMENTS: 1. Supplemental Information
                2. Information request
                                          - 22 -                                      Enclosure
 
                                    ATTACHMENT 1
                              SUPPLEMENTAL INFORMATION
                                  KEY POINTS OF CONTACT
Licensee Personnel
D. Erbe, Manager, Security
R. Flannigan, Manager, Regulatory Affairs
S. Henry, Manager, Operations
D. Hooper, Supervisor, Licensing
T. Krause, Manager, Quality
R. Muench, President and CEO
W. Muilenburg, Licensing
E. Peterson, Ombudsman
L. Ratzlaff, Manager, Support
E. Ray, Manager, Chemistry
A. Stull, Vice President and Chief Administrative Manager
M. Sunseri, Vice President Operations and Plant Manager
J. Yunk, Manager, Human Resources
NRC Personnel
D. Proulx, Team Leader, Senior Reactor Inspector
S. Cochrum, Senior Resident Inspector
C. Long, Resident Inspector
H. Abuseini, Reactor Inspector
J. Adams, Reactor Inspector
                    LIST OF ITEMS OPENED, CLOSED, AND DISCUSSED
Opened and Closed
05000482/2008006-01                  NCV                  Twenty-One Examples of Failure to
                                                          Follow Seismic Requirements of
                                                          Scaffolding Procedure
                                                          (Section 4OA2.e (1))
05000482/2008006-02                  FIN                Failure to Take Corrective Action For
                                                          Missed Compensatory Measures
                                                          (Section 4OA2.e (2))
05000482/2008006-03                  NCV                  Failure to Take Corrective Actions
                                                          For Missed Operability Evaluation
                                                          (Section 4OA2.e (3))
                                          A1-1                                Attachment 1
 
05000482/2008006-04                  NCV                  Failure to Take Timely Corrective
                                                          Action To Establish Monitoring
                                                          Frequency Of AFW Pump Governor
                                                          Null Set Drift (Section 4OA2.e (4))
05000482/2008006-05                  NCV                  Failure to Take Timely Corrective
                                                          Action to Correct Barton Transmitter
                                                          Defects (Section 4OA2.e (5))
05000482/2008006-06                  FIN                  Failure to Take Timely Corrective
                                                          Action to Correct Annunciator Feed
                                                          Configuration Deficiencies
                                                          (Section 4OA2.e (6))
                            LIST OF DOCUMENTS REVIEWED
Procedures:
AI 28A-001, Root Cause Analysis, Revision 5
AI 28A-005, Common Cause Analysis, Revision 0
AI 28E-007, PIR Trending and Analysis, Revision 4A
AI 28A-006 Apparent Cause Evaluations Rev.3
AP 14A-003, Scaffold Construction and Use, Revision 14
AP 26C-004, Technical Specification Operability, Revision 16
AP 28A-100, Condition Reports, Revision 4.
AP 20E-001, Industry Operating Experience Program, Revision 9.
AP 28-011, Resolving Deficiencies Impacting SSCs, Revision 1A.
AP 16C-006, MPAC Work Request Work Order Process Controls, Revision 11A.
AP 22C-002, Work Controls, Revision 16
AP 28-007, Nonconformance Control, Revision 4
AP 28-001, Operability Evaluations, Revision 15
OFN AF-025, Unit Limitations, Revision 26
ALR 00-103E, Heater Drn Tk Dump, Revision 11A
ALR 00-120B, MVP A Suct Press Lo, Revision 10
ALR 00-110B, SG C Lev Dev, Revision 6
SYS AF-121, Heater Drain Pump Operation, Revision 12
STS AL-103, TDAFW Inservice Pump Test, Revision 43
Drawings:
E-1146, Wiring Diagram Surge Tank Control Panel 1ST01J, Rev.12
E-1005-ST06, Schematic Diagram Surge Tank Control Panel, Rev.12
E-1005-ST01, Schematic Rate (DR) Filter No.1 Control Panel (1ST01F), Rev.7
E-1005-ST02, Schematic Diagram Design Rate (DR) Filter No.2 Control Panel (1ST02F), Rev.7
E-1005-ST03, Schematic Diagram Lift Station No.1 (1ST01S), Rev.8
E-1005-ST05, Schematic Diagram Sewage Treatment Plant Control Panel (IST02J), Rev.6
                                        A1-2                                    Attachment 1
 
E-1449, External Wiring Diagram Annunciator Input/Output Cabinet RK0445C4, Rev.10
E-1442, External Wiring Diagram Main Control Board RL013-14 PT.2, Rev. J
Reports
0102-2007, Vibration Analysis Report: DPEM01B/Safety Injection Pump Motor, June 15, 2007
0103-2007, Vibration Analysis Report: CGG02B/FB Emergency Exhaust Fan, July 3, 2007
Calculation
XX-C-018, Evaluation of Seismically Qualified Scaffolding, Revision 01
Operational Experience Reports
10 CFR Part 21 Report 2006-10-00 concerning Weld Repairs on Sulzer Pumps dated
September 21, 2006
10 CFR Part 21 Report concerning 3 and 4 Borg Warner Check Valves, dated May 17, 2007
10 CFR Part 21 Report concerning Rosemount Nuclear Instruments, dated April 6, 2007
NRC Information Notice 2006-05 Evaluation, POSSIBLE DEFECT IN BUSSMANN KWN-R
AND KTN-R FUSES
NRC Information Notice 2006-06 Evaluation, LOSS OF OFFSITE POWER AND STATION
BLACKOUT ARE MORE PROBABLE DURING SUMMER PERIOD
NRC Information Notice 2006-08 Evaluation, SECONDARY PIPING RUPTURE AT THE
MIHAMA POWER STATION IN JAPAN
NRC Information Notice 2006-09 Evaluation, PERFORMANCE OF NRC-LICENSED
INDIVIDUALS WHILE ON DUTY WITH RESPECT TO CONTROL ROOM ATTENTIVENESS
NRC Information Notice 2007-01, Recent Operating Experience Concerning Hydrostatic
Barriers
NRC Information Notice 2007-29, Temporary Scaffolding Affects Operability of Safety-Related
Equipment
Westinghouse NSAL-07-02, Revised Seismic Level for Type A200 Size 1 and Size 2 Motor
Starters and Contactors, dated July 25, 2007
ASCO Safety Notice, Potential manufacturing non-conformance of plunger tubes used in
certain ASCO NH series hydrometer pumps and kits, dated September 18, 2006
NRC Regulatory Issue Summary 2007-21, Adherence to Licensed Power Limits
                                          A1-3                                Attachment 1
 
Self Assessments and Audits
Auxiliary Feedwater System Health Report
February 2007 Corrective Action Program Health Index
March 2007 Corrective Action Program Health Index
May 2007 Corrective Action Program Health Index
June 2007 Corrective Action Program Health Index
November 2007 Corrective Action Program Health Index
Audit Report K-643, Corrective Action, dated May 26, 2007
Safety Conscious Work Environment Self-Assessment, dated December 21, 2007
Nuclear Industry Evaluation Program (NIEP) of Wolf Creek Generating
  Stations Quality Organization, dated August 22, 2008
Miscellaneous
USAR Section 3.7B, Seismic Design
USAR Section 9.4.3, Auxiliary Building
Operability Evaluation, XX-06-003, Revision 1
Work Orders
05-274442-000      07-292004-000      07-300768-006      06-286540-000 07-062648-000
05-274442-001      06-290862-000      06-290525-001      06-286541-000 07-061866-000
05-274442-002      06-289721-000      06-289589-000      06-289735-000
07-294638-000      08-302410-000      08-302131-001      06-289736-000
04-267785-011      07-301313-000      07-300862-000      06-285693-000
07-297313-000      07-300768-003      05-279097-000      06-289831-000
Condition Reports
2008-000118        2006-000058        2006-000325        2006-001838  2007-002662
2008-000383        2005-002241        2006-000375        2006-001866  2007-003088
2008-000341        2006-000366        2006-000377        2006-001906  2007-003759
2006-000761        2004-002685        2006-000385        2006-002527  2007-002753
2006-000441        2004-002684        2006-000456        2006-003055  2007-000362
2006-000815        2006-000007        2006-000603        2006-003088  2007-001352
2006-003154        2006-000023        2006-000703        2006-003105  2007-002411
2005-002149        2006-000056        2006-000757        2007-000221  2005-002770
2004-001224        2006-000068        2006-000761        2007-000826  2007-002742
2006-000674        2006-000128        2006-000786        2007-000879  2007-002742
2006-000646        2006-000138        2006-000803        2007-001002  2007-002580
2005-001648        2006-000145        2006-001046        2007-001189  2007-004700
2005-001722        2006-000162        2005-002844        2007-001626  2005-002241
2006-000753        2006-000165        2006-001127        2007-002753  2005-001490
2003-000969        2006-000167        2006-001709        2007-002411  2005-001843
2004-002613        2006-000218        2006-001724        2007-001692  2005-001968
2006-000648        2006-000318        2006-001754        2007-002477  2005-001981
                                          A1-4                            Attachment 1
 
2005-003322        2006-000808 2006-003721 2007-000004 2007-000298
2006-000298        2006-000806 2007-004744 2007-000302 2005-000824
2006-000348        2007-002599 2007-002974 2006-000360 2006-002668
2006-000648        2007-002492 2007-004702 2006-000361 2006-000448
2006-000757        2007-000597 2007-004674 2006-000434 2006-002385
2006-000815        2007-002601 2007-003704 2006-001663 2007-001805
2006-000895        2007-000206 2007-004657 2006-000560 2007-002028
2006-000938        2006-000390 2007-004629 2006-000139 2007-002042
2006-001376        2006-000043 2007-004608 2006-000551 2007-002082
2006-001499        2006-000080 2007-004606 2006-002468 2007-002287
2006-002030        2006-000269 2007-004601 2006-000589 2007-002740
2007-000280        2006-000057 2006-002066 2006-000483 2007-002781
2007-000368        2006-000060 2006-002159 2005-000257 2007-002929
2007-000543        2006-000072 2007-004576 2007-003759 2007-002952
2007-000589        2006-000075 2007-004389 2007-003345 2007-003007
2007-001352        2006-000819 2007-003896 2007-003037 2007-003009
2007-002742        2006-000156 2007-003293 2007-003003 2007-003128
2007-003039        2006-000203 2007-001497 2007-003000 2007-003130
2007-003124        2006-000241 2007-000930 2007-002966 2007-003347
2007-003416        2006-000295 2006-000267 2005-003275 2007-003542
2007-003613        2005-000322 2006-000327 2007-002790 2007-003649
2007-002339        2007-004733 2006-000938 2007-003295 2007-003669
2007-002291        2008-000155 2007-004643 2007-000661 2007-003671
2007-002597        2006-000477 2006-002321 2007-000941
Scaffolding Requests
08-S0039            07-S0140    07-S0153    04-S0067    06-S0079
08-S0044            08-S0013    06-S6014    00-S0109    04-S9010
08-S0036            06-S0080    06-S6677    04-S0008    04-S0076
08-S0031            07-S0151    06-S6681    04-S0073    00-S0111
08-S0009            07-S0030    07-S0135    00-S0096    03-S0155
07-S0146            08-S0066    04-S9002    07-S0144
                                A1-5                  Attachment 1
 
                                          ATTACHMENT 2
                                      INFORMATION REQUEST
                                        Information Request
                                          December 19, 2007
                  Wolf Creek Problem Identification and Resolution Inspection
                          IP 71152; Inspection Report 05000482/2008-006
The inspection will cover the period of January 1, 2006 and December 15, 2007. All requested
information should be limited to this period unless otherwise specified. The information may be
provided in either electronic or paper media or a combination of these. Information provided in
electronic media may be in the form of e-mail attachment(s), CDs, thumb drives, 3 1/2 inch floppy
disks, or posted on the Certrec website. The agency has document viewing capability for MS
Word, Excel, Power Point, and Adobe Acrobat (.pdf) text files.
Please provide the following information to David Proulx by December 28, 2007:
Note: On summary lists please include a description of problem, status, initiating date, and
        owner organization. Summary list of all condition reports of significant conditions
        adverse to quality opened or closed during the period
1.      Summary list of all condition reports which were generated during the period
2.      A list of all corrective action documents that subsume or "roll-up" one or more smaller
        issues for the period
3.      Summary list of all condition reports which were down-graded or up-graded in
        significance during the period
4.      List of all root cause analyses completed during the period
5.      List of root cause analyses planned, but not complete at end of the period
6.      List of all apparent cause analyses completed during the period
7.      List of plant safety issues raised or addressed by the employee concerns program
        during the period
8.      List of action items generated or addressed by the plant safety review committees during
        the period
9.      All quality assurance audits and surveillances of corrective action activities completed
        during the period
10.    A list of all quality assurance audits and surveillances scheduled for completion during
        the period, but which were not completed
                                              A2-1                                  Attachment 2
 
11.  All corrective action activity reports, functional area self-assessments, and non-NRC
      third party assessments completed during the period
12.  Corrective action performance trending/tracking information generated during the period
      and broken down by functional organization
13.  Current revisions of corrective action program procedures
14.  A listing of all external events evaluated for applicability at Wolf Creek during the period
15.  Action requests or other actions generated for each of the items below:
I.    A.      Part 21 Reports:
      B.      NRC Information Notices:
      C.      All LERs issued by Wolf Creek during the period
      D.      NCVs and Violations issued to Wolf Creek during the period (including licensee
              identified violations)
I.    Safeguards event logs for the period.
II.  Radiation protection event logs.
III.  Current system health reports or similar information.
IV.  Current system health reports or similar information for the Auxiliary Feedwater (AFW)
      system.
V.    Current predictive performance summary reports or similar information for the AFW
      system.
VI.  Summary list of all Condition Reports generated for the AFW systems for the past 5
      years.
VII.  Corrective action effectiveness review reports generated during the period.
VIII. List of risk significant components and systems (in descending order of importance).
                                            A2-2                                    Attachment 2
}}

Latest revision as of 17:42, 14 November 2019

IR 05000482-08-006; 01/28/08 - 4/22/08; Wolf Creek Generating Station; Identification and Resolution of Problems
ML081350176
Person / Time
Site: Wolf Creek Wolf Creek Nuclear Operating Corporation icon.png
Issue date: 05/14/2008
From: Laura Smith
NRC/RGN-IV/DRS/EB2
To: Muench R
Wolf Creek
References
IR-08-006
Download: ML081350176 (32)


See also: IR 05000482/2008006

Text

UNITED STATES

NUC LE AR RE G ULATO RY CO M M I S S I O N

R E GI ON I V

612 EAST LAMAR BLVD , SU I TE 400

AR LIN GTON , TEXAS 76011-4125

May 14, 2008

Rick A. Muench, President and

Chief Executive Officer

Wolf Creek Nuclear Operating Corporation

Burlington, KS 66839

SUBJECT: WOLF CREEK GENERATING STATION - NRC IDENTIFICATION AND

RESOLUTION OF PROBLEMS INSPECTION REPORT 05000482/2008006

Dear Mr. Muench,

On February 29, 2008, the U.S. Nuclear Regulatory Commission (NRC) completed the onsite

portion of a team inspection at your Wolf Creek Generating Station. The enclosed inspection

report documents the inspection findings which were discussed on February 29, 2008, with you

and members of your staff, and telephonically on April 22, 2008.

This inspection reviewed activities conducted under your license as they relate to the

identification and resolution of problems, compliance with the Commission's rules and

regulations and the conditions of your operating license. Within these areas, the inspection

involved examination of selected procedures and representative records, observations of

activities, and interviews with personnel. The team reviewed cross-cutting aspects of NRC

findings and interviewed personnel regarding the condition of your safety conscious work

environment at Wolf Creek Nuclear Station.

The inspectors reviewed 224 condition reports, work orders, associated root and apparent

cause evaluations, and other supporting documentation to assess problem identification and

resolution activities. Overall, the team concluded that your program was generally effective in

identifying, evaluating, and correcting problems. However, the team identified a significant

number of longstanding equipment problems that were not being resolved in a timely manner.

The team concluded that you continue to have problems with corrective actions, and this is not

being effectively addressed.

Six findings were evaluated under the risk significance determination process as having very

low safety significance (Green). Four of these findings were determined to be violations of NRC

requirements. However, because these violations were of very low safety significance and the

issues were entered into your corrective action program, the NRC is treating these findings as

non-cited violations, consistent with Section VI.A.1 of the NRCs Enforcement Policy. The non-

cited violations are described in the subject inspection report. If you contest the violations or the

significance of the violations, you should provide a response within 30 days of the date of this

inspection report, with the basis for your denial, to the U. S. Nuclear Regulatory Commission,

ATTN: Document Control Desk, Washington, D.C. 20555-0001, with copies to the

Wolf Creek Nuclear Operating Corp. -2-

Regional Administrator, U. S. Nuclear Regulatory Commission, Region IV, 611 Ryan Plaza

Drive, Suite 400, Arlington, Texas, 76011; the Director, Office of Enforcement, U.S. Nuclear

Regulatory Commission, Washington, D.C. 20555-0001; and the NRC resident inspector at the

Grand Gulf Nuclear Station facility.

In accordance with 10 CFR 2.390 of the NRC's Rules of Practice, a copy of this letter, its

enclosure, and your response 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). ADAMS is accessible from the NRC Web site at

http://www.nrc.gov/reading-rm/adams.html (the Public Electronic Reading Room).

Sincerely,

/RA/

Linda J. Smith, Chief

Engineering Branch 2

Division of Reactor Safety

Docket: 50-482

License: NPF-42

Enclosure:

NRC Inspection Report 05000482/2008006

w/attachments: 1. Supplemental Information

2. Information Request

cc w/enclosure:

Vice President Operations/Plant Manager Office of the Governor

Wolf Creek Nuclear Operating Corp. State of Kansas

P.O. Box 411 Topeka, KS 66612

Burlington, KS 66839

Attorney General

Jay Silberg, Esq. 120 S.W. 10th Avenue, 2nd Floor

Pillsbury Winthrop Shaw Pittman LLP Topeka, KS 66612-1597

2300 N Street, NW

Washington, DC 20037 County Clerk

Coffey County Courthouse

Supervisor Licensing 110 South 6th Street

Wolf Creek Nuclear Operating Corp. Burlington, KS 66839-1798

P.O. Box 411

Burlington, KS 66839 Chief, Radiation and Asbestos

Control Section

Chief Engineer Kansas Department of Health and

Utilities Division Environment

Kansas Corporation Commission Bureau of Air and Radiation

1500 SW Arrowhead Road 1000 SW Jackson, Suite 310

Topeka, KS 66604-4027 Topeka, KS 66612-1366

Wolf Creek Nuclear Operating Corp. -3-

Electronic distribution by RIV:

Regional Administrator (Elmo.Collins@nrc.gov)

DRP Director (Dwight.Chamberlain@nrc.gov)

DRS Director (Roy.Caniano@nrc.gov)

DRS Deputy Director (Troy.Pruett@nrc.gov)

Senior Resident Inspector (Steve.Cochrum@nrc.gov)

Branch Chief, DRP/B (Vince.Gaddy@nrc.gov)

Senior Project Engineer, (Peter.Jayroe@nrc.gov)

Team Leader, DRP/TSS (Chuck.Paulk@nrc.gov)

RITS Coordinator (Marisa.Herrera@nrc.gov)

DRS STA (Dale.Powers@nrc.gov)

J. Adams, OEDO RIV Coordinator (John.Adams@nrc.gov)

ROPreports Resourse

WC Site Secretary (Shirley.Allen@nrc.gov)

SUNSI Review Completed: _NFO ___ ADAMS: Yes No Initials: _NFO __

Publicly Available Non-Publicly Available Sensitive Non-Sensitive

S:DRS:REPORTS\WC 2008006 PIR-proulx

SRI/EB2 RI/EB1 RI/PBB RI/EB2 SRI/PBB C/EB2

DLProulx JPAdams CHLong HAAbuseini SCochrum LJSmith

/RA/ /E/ /E/ /E/ /E/ /RA/

4/28/08 4/25/08 4/25/08 4/25/08 4/25/08 5/13/08

C/DRP C/EB2

VGGaddy LJSmith

/RA/ /RA/

5/1/08 5/13/08

OFFICIAL RECORD COPY T=Telephone E=E-mail F=Fax

U.S. NUCLEAR REGULATORY COMMISSION

REGION IV

Docket: 50-482

License: NPF-42

Report: 05000482/2008006

Licensee: Wolf Creek Nuclear Operating Company

.

Facility: Wolf Creek Generating Station

Location: P.O. Box 411

Burlington, KS 66839

Dates: January 28 through April 22, 2008

Inspectors: D. Proulx, Senior Reactor Inspector (Team Leader)

S. Cochrum, Senior Resident inspector

H. Abuseini, Reactor Inspector

J. Adams, Reactor Inspector

C. Long, Resident Inspector

Approved By: Linda Joy Smith, Chief

Engineering Branch 2

Division of Reactor Safety

-1- Enclosure

SUMMARY OF FINDINGS

IR 05000482/2008006; 01/28/08 - 4/22/08; Wolf Creek Generating Station: Identification and

Resolution of Problems.

The report covered a 2-week period of inspection by two resident and three region-based

inspectors. Four Green non-cited violations and two Green findings were identified. The

significance of most findings is indicated by their color (Green, White, Yellow, or Red) using

Inspection Manual Chapter 0609, Significance Determination Process. Findings for which the

significance determination process does not apply may be Green or be assigned a severity level

after NRC management review. The NRC's program for overseeing the safe operation of

commercial nuclear power reactors is described in NUREG-1649, Reactor Oversight Process,

Revision 3, dated July 2000.

A. Problem Identification and Resolution Results

Cornerstone: NA

  • The team reviewed approximately 224 risk significant issues, apparent and root

cause analyses, and other related documents, to assess the effectiveness of the

licensee=s problem identification and resolution processes and systems. The

team concluded that although problems were consistently identified and entered

into the corrective action program, several examples occurred during the

assessment period, as well as five additional examples identified by the team, of

failure to implement appropriate and timely corrective actions. Four examples

were identified where ineffective use of operating experience led to issues

occurred during the assessment period. Although no additional examples of

missed operational experience were identified by the team, the licensee was not

employing their formal tracking system (as required by procedure) for the review

of operational experience.

The licensee overall performed effective and critical self-assessments. However,

the team noted because of the split between ownership of the condition report

and work order systems, no formal trending of equipment issues was performed

for items tracked only by work order. The team concluded that the licensee

maintained an overall safety-conscious work environment, based on 28 selected

interviews. Many individuals were not aware of the Ombudsman (employee

concerns) programs ability to take nuclear safety issues and believed it to be a

resource to resolve industrial safety concerns, coworker conflicts, personal

issues, or human resources issues. Most workers stated that management was

supportive of a safety conscious work environment. All the interviewees believed

that potential safety issues were being addressed and there were no instances

identified where individuals had experienced adverse actions for bringing safety

issues to licensee management or the NRC.

-2- Enclosure

NRC-Identified and Self-Revealing Findings

Cornerstone: Mitigating Systems

Criterion V, in which 21 scaffolds in 10 plant areas that were in contact with or

closer to plant equipment than procedure allowed. The procedure required

engineering evaluations did not contain any technical bases as to the

acceptability of as built scaffolds. Subsequent engineering evaluation of each of

the incorrect scaffolding installations confirmed that the configurations did not

challenge operability. The NRC identified previous concerns with the erection of

scaffolds, yet the licensee failed to take action to correct this issue.

The team evaluated the significance of this finding using Phase 1 of Inspection

Manual Chapter 0609, Appendix A, Significance Determination of Reactor

Inspection Findings for At-Power Situations, and determined that the finding was

of very low safety significance because the issue resulted in 21 unevaluated

scaffolds which are likely not to challenge the ability of the plant to safely

shutdown after an earthquake. As such, under Phase 1 screening, the deficiency

is not related to a qualification or design deficiency, it did not represent a loss of

safety function for a train or system as defined in the plant specific risk-informed

inspection notebook, and did not screen as risk significant for seismic external

events, because the affected systems were considered degraded, but operable.

Using these inputs, the performance deficiency screened to Green. The team

determined that the finding had a human performance crosscutting aspect in the

area associated with decision making because the licensee failed to adopt a

requirement to demonstrate that the proposed action is safe in order to proceed

rather than a requirement to demonstrate that it is unsafe in order to disapprove

the action. Specifically, Wolf Creek Generating Station did not conduct any

review of engineering decisions to verify the validity of the underlying assumption

that equipment and scaffolding could be in contact or closer than the established

limit (H.1(b)) (Section 40A2.e(1)).

  • Green. The team identified a finding because the licensee failed to take timely

corrective actions to address a previously identified NRC finding.

Finding 2007002-04 was issued because the licensee had failed to establish

compensatory actions in response to the failure of all main annunciator board

alarms. Failure to have compensatory measures inhibited the licensee in their

efforts to determine the cause of the alarm failures. Corrective actions repaired

the equipment that caused of the annunciator failure, but were unrelated to the

failure to follow procedures and take compensatory measures.

The team determined that this was a performance deficiency because the

licensee had committed to take corrective actions in response to the previous

non-cited violation but failed to do so in a timely manner. The inspectors

determined that this violation was greater than minor because it met the intent of

Manual Chapter 0612, Appendix E, Example 4.a., in that, there were several

examples of the licensee failing to take corrective actions in response to NRC

-3- Enclosure

identified non-cited violations and findings, indicating that the licensee routinely

failed to perform engineering evaluations on similar issues. The inspectors

performed a Phase I Significance Determination Process evaluation and

determined that the violation was screened as being very low safety significance,

Green, because all of the answers to the Phase I Worksheet Mitigating Systems

Column were no. The team also determined that this finding has crosscutting

aspects in the problem identification and resolution area associated with the

corrective action program in that the licensee failed to implement timely or

effective corrective actions (P.1(d) (Section 40A2.e (2)).

Criterion XVI because the licensee failed to take timely corrective actions to

address a previously identified non-cited violation. Non-cited Violation 2007003-

05 was issued because the licensee had failed to perform an operability

evaluation following bearing replacement on the Train B emergency exhaust

system fan. Corrective actions were not related to the missed performance of

the operability evaluation, but the equipment failure.

The team determined that this was a performance deficiency because the

licensee had committed to take corrective actions in response to the previous

non-cited violation but failed to do so in a timely manner. The inspectors

determined that this violation was greater than minor because it met the intent of

Manual Chapter 0612, Appendix E, Example 4.a. in that there were several

examples of the licensee failing to take corrective actions in response to NRC

identified non-cited violations and findings, indicating that The licensee routinely

failed to perform engineering evaluations on similar issues. The inspectors

performed a Phase I Significance Determination Process evaluation and

determined that the violation was screened as being very low safety significance,

Green, because all of the answers to the Phase I Worksheet Mitigating Systems

Column were no. The team also determined that this finding has crosscutting

aspects in the problem identification and resolution area associated with the

corrective action program in that the licensee failed to implement timely or

effective corrective actions. (P.1(d) (Section 40A2.e (3)).

Criterion XVI because the licensee failed to take timely corrective actions to

address a previously identified finding. Finding 05000482/2008010 was issued

because the licensee had failed to establish an acceptable monitoring frequency

on their turbine driven auxiliary feedwater pump speed governor null-drift as

recommended by a Part 21 report from Engine Systems, Inc. The corrective

actions to establish the monitoring for the null-drift were not implemented.

The team determined that this was a performance deficiency because the

licensee had committed to take corrective actions in response to the previous

non-cited violation but failed to do so in a timely manner. The team determined

that this violation was greater than minor because it met the intent of Manual

Chapter 0612, Appendix E, Example 4.a., in that, there were several examples of

the licensee failing to take corrective actions in response to NRC identified non-

-4- Enclosure

cited violations and findings, indicating that The licensee routinely failed to

perform engineering evaluations on similar issues. The team performed a

Phase I Significance Determination Process evaluation and determined that the

violation was screened as being very low safety significance, Green, because all

of the answers to the Phase I Worksheet Mitigating Systems Column were no.

The team also determined that this finding has crosscutting aspects in the

problem identification and resolution area associated with the corrective action

program in that the licensee failed to implement timely or effective corrective

actions (P.1(d) (Section 40A2.e (4)).

Criterion XVI, regarding the failure to identify and correct conditions adverse to

quality associated with non-cited violation 2006-004-02 documented in Inspection

Report 2006-004. Specifically, the licensee did not address in the apparent

cause evaluation and corrective actions the failure to follow procedures for

inspecting the transmitters resulting in an inadequate inspection of installed

Barton pressure transmitters for known potential manufacturing defects which

resulted in a previous violation of Administrative Procedure (AP)28-011,

Resolving Deficiencies Impacting SSCs, Revision 1. The licensee

inappropriately credited transmitter inspections that occurred several years prior

to receipt of the vendor recommendation as sufficient to resolve this issue.

This finding was more than minor because it could reasonably be viewed a

precursor to a significant event and affected the equipment performance attribute

of the mitigating systems cornerstone and the cornerstone objective to ensure

the availability, reliability, and capability of systems that respond to initiating

events. Using Manual Chapter 0609, Significance Determination Process,

Phase 1 worksheets, the inspectors determined that the finding is of very low

significance because it did not represent an actual loss of a safety function or

operability and was not potentially risk significant due to external events. The

inspectors also determined that this finding has crosscutting aspects in the

problem identification and resolution area associated with the corrective action

program in that the licensee failed to identify the issue completely and thoroughly

evaluate the problem such that the problem was resolved (P.1(a), P.1(c) (Section

40A2.e (5)).

  • Green. The team identified a finding for failure to implement corrective action for

abandoned in place annunciator feed wiring deficiencies. Condition

Report 2005-003275 was initiated because Cables ST-009 and ST-019 were

field-spliced together to prevent electrical shocks such that the system

configuration did not match the system drawing. Work Order 07-292004-000

was initiated to correct this condition but was closed as unworkable. Condition

Report 2005-003275 was closed to this closed work order even though the

condition was not corrected, leaving the system in a condition not reflected in

drawings or design documents. This configuration could result in further shocks,

and further configuration control issues. The main annunciator system and its

feeds are not safety-related, and therefore this performance deficiency is not a

violation of NRC requirements.

-5- Enclosure

The failure to implement corrective actions for an identified configuration control

issue is a performance deficiency. This item affects the mitigating systems

cornerstone. The team determined that this violation was greater than minor

because it met the intent of Manual Chapter 0612, Appendix E, Example 4.a. in

that there were several examples of the licensee failing to take corrective actions

in response to findings, indicating that The licensee routinely failed to perform

engineering evaluations on similar issues. The team performed a Phase I

Significance Determination Process evaluation and determined that the violation

was screened as being very low safety significance, Green, because all of the

answers to the Phase I Worksheet Mitigating Systems Column were no. The

team also determined that this finding has crosscutting aspects in the problem

identification and resolution area associated with the corrective action program in

that the licensee failed to implement timely or effective corrective actions. (P.1(d)

(Section 40A2.e (6)).

B. Licensee-Identified Violations

None

-6- Enclosure

REPORT DETAILS

4 OTHER ACTIVITIES (OA)

4OA2 Problem Identification and Resolution (71152B)

The inspectors based the following conclusions, in part, on a review of issues that were

identified in the assessment period, which ranged from January 1, 2006, (the last

biennial problem identification and resolution inspection) to December 15, 2007. The

issues discussed in this report are divided into two groups. The first group (current

issues) included problems identified during the assessment period where at least one

performance deficiency occurred during the assessment period. The second group

(historical issues) included issues that were identified during the assessment period

where all the performance deficiencies occurred prior to the assessment period.

a. Assessment of Corrective Action Program Effectiveness

1. Inspection Scope

The team reviewed items selected across the seven cornerstones of safety to determine

if problems were being properly identified, characterized, and entered into the corrective

action program for evaluation and resolution. Specifically, the team selected and

reviewed approximately 224 condition reports (CRs) from those issued between

January 1, 2006 and December 15, 2007. The team also performed field walkdowns of

selected systems and equipment. Additionally, the team reviewed a sample of

self-assessments, trending reports and metrics, system health reports, and various other

documents related to the corrective action program.

The team evaluated condition reports, work orders, and operability evaluations to assess

the licensees threshold for identifying problems, entering them into the corrective action

program, and the ability to evaluate the importance of adverse conditions. Also, the

licensees efforts in establishing the scope of problems were evaluated by reviewing

selected logs, work requests, self-assessments results, audits, system health reports,

action plans, and results from surveillance tests and preventive maintenance tasks. The

team reviewed work requests and attended the licensees daily meetings to assess the

reporting threshold, prioritization efforts, and significance determination process, as well

as observing the interfaces with the operability assessment and work control processes.

The team reviewed a sample of condition reports, apparent cause evaluations, and root

cause evaluations performed during this period to ascertain whether the licensee

properly considered the full extent of cause and extent of condition for problems, as well

as assessing generic implications and previous occurrences. The team assessed the

timeliness and effectiveness of corrective actions, completed or planned, and looked for

additional examples of similar problems.

The team also conducted interviews with plant personnel to identify other processes that

may exist where problems may be identified and addressed outside the corrective action

program.

-7- Enclosure

A review of the auxiliary feedwater system was performed for a 5-year period to

determine whether problems were being effectively addressed. The team conducted a

walkdown of this system to assess whether problems were identified and entered into

the work order process.

2. Assessments

(a) Assessment - Effectiveness of Problem Identification

The team concluded that problems were generally identified and documented in

accordance with the licensees corrective action program guidance and NRC

requirements. The licensee was identifying problems at an appropriately low threshold

and entering them into the corrective action program, with two isolated exceptions.

The team noted that two current examples occurred where the licensee did not always

completely identify problems and document them in the corrective action program.

Current Issues

  • The licensee failed to promptly identify the non-conservative methodology for

calculating vortexing in the refueling water storage tank suction to the

containment spray pumps (non-cited violation (NCV)05000482/2007006-02).

  • The licensee failed to promptly identify that the technical specification

surveillance for battery intercell resistance verified battery operability

(NCV 05000482/2007006-04).

(b) Assessment - Effectiveness of Prioritization and Evaluation of Issues

The team assessed the licensees effectiveness of prioritization and evaluation of issues

entered into the corrective action program, including technical evaluation, operability

assessments and extent of condition reviews. The inspectors concluded that the

licensee was generally effective in prioritization and evaluation of issues with several

exceptions. Four current and two historical examples of evaluation problems included:

Current Issues

  • The licensee failed to evaluate the extent of condition of similar components

when a Train A emergency service water screen wash valve had failed. Upon

later examination of a similar Train B emergency service water screen wash

valve, the valve was found to have similar corrosion, and was degraded but

operable (NCV 2007005-02).

  • The licensee failed to perform an adequate common cause evaluation for failure

of the Emergency Diesel Generator A electronic speed control card, as required

by Technical Specification 3.8.1. Upon proper evaluation, the condition was

found to exist on Emergency Diesel Generator B as well (NCV 2007005-03).

-8- Enclosure

  • The licensee failed to adequately evaluate boric acid deposits (and subsequent

wastage) at the base of the refueling water storage tank and take action to

correct for 9 years (NCV 2007006-03).

Criterion V, in which 21 scaffolds in 10 plant areas that were in contact with or

closer to plant equipment than the procedure allowed. The procedure required

engineering evaluations which did not contain any technical bases as to the

acceptability of as built scaffolds, which indicated inadequate and untimely

evaluations of identified condition (Section 40A2.e(1)).

Historical Issues

  • The licensee failed to properly evaluate the long term affect of axial shaft

movement for a component cooling water pump with respect to post accident

conditions, resulting in the issue not being addressed for 18 years (Finding (FIN)

05000482/2006010).

  • The licensee failed to properly evaluate and determine the cause of reactor

coolant pump thermal barrier cooling water outlet isolation valves going closed.

Multiple opportunities existed for the licensee to evaluate and correct this

condition, which could have challenged the reactor coolant pump seal boundary

(NCV 2007003-03).

The team reviewed the root cause evaluation and apparent cause evaluation

procedures, as well as samples of both types of evaluations. The qualifications records

for the root cause evaluators were also reviewed. The team concluded that Wolf Creek

Generating Station had a good root cause determination process and effectively

implemented these processes. A variety of root cause analysis methodologies were

utilized in a team setting, and in general, were able to determine the cause for the

specific problem. Appropriate corrective actions were identified to address each cause.

External operating experience and off-site expertise were generally appropriately utilized

in their evaluations, with the above exceptions.

(c) Assessment - Effectiveness of Corrective Actions

The inspectors reviewed plant records, primarily CRs and work orders, to verify that

corrective actions were developed and implemented. Additionally, the inspectors

reviewed a sample of CRs that addressed past NRC identified violations for each

cornerstone to ensure that the corrective actions adequately addressed the issues as

described in the inspection reports. The inspectors also reviewed a sample of corrective

actions closed to other CRs, work orders, or tracking programs to ensure that corrective

actions were still appropriate and timely.

The team identified five new examples of longstanding problems that have not been

effectively resolved. The nature and extent of these examples demonstrated that the

corrective actions were either not sufficiently broad or were not timely. This is in addition

-9- Enclosure

to similar issues identified previously in the assessment period. A number of NRC

identified violations were not corrected. Current and historical examples included:

Current Issues

  • The licensee failed to provide adequate corrective actions for repeat occurrences

of failure to properly isolate sump pump motors prior to work, resulting in

identification that the circuits were unintentionally energized (NCV 2006003-01).

  • The licensee failed to provide adequate corrective actions for multiple

occurrences of foreign material in the spent fuel pool. The licensee failed to

identify the source of the material, resulting in repeat occurrences of this issue

(NCV 2006010-03).

  • The licensee failed to provide adequate corrective actions for elevated vibration

levels on the Train B emergency exhaust system fan. The condition was not

corrected because the licensee did not identify that the fan was not adequately

lubricated (NCV 2007003-04).

  • The licensee failed to provide timely corrective actions for elevated vibration

levels on the charging pump balance line. Because of the failure to correct this

condition, the balancing line cracked rendering the charging pump inoperable.

This condition was permitted to exist for extended period of time without

correction, resulting in failure (FIN 2007006).

  • The team identified a Green finding because the licensee failed to establish

corrective actions for a violation previously identified in an NCV associated with

missed compensatory actions during an extended period when the main

annunciator board failed (Section 4OA2.e(2)).

  • The team identified a Green NCV for failure to establish corrective actions for a

violation previously identified in an NCV, with respect to a failure to perform an

operability evaluation following bearing replacement on the Train B emergency

exhaust system fan (Section 4OA2.e(3)).

  • The team identified a Green NCV for failure to establish corrective actions for a

violation previously identified in an NRC finding associated with establishing an

acceptable monitoring frequency for their turbine driven auxiliary feedwater pump

speed governor null-drift (Section 4OA2.e(4)).

  • The team identified a Green NCV for failure to take corrective actions for

NCV 2006-004-02. Specifically, the licensee did not address in the apparent

cause evaluation and corrective actions the failure to follow procedures resulting

in an inadequate inspection of installed Barton pressure transmitters for known

potential manufacturing defects which resulted in a previous violation

(Section 4OA2.e(5)).

- 10 - Enclosure

  • The team identified a Green finding for failure to correct sewage treatment plant

annunciator feed deficiencies. Condition Report 2005-003275 was initiated to

correct discrepancies between the as-build configuration and drawings, but was

closed with no corrective action implemented (Section 40A2.e(6)).

b. Assessment of the Use of Operating Experience (OE)

1. Inspection Scope

The team examined the licensee's program for reviewing industry operating experience,

including reviewing the governing procedure and self-assessments and interviewing the

OE program owner. A sample of operating experience notification documents that had

been issued during the assessment period were reviewed to assess whether the

licensee had appropriately evaluated the notification for relevance to the facility. The

team also then examined whether the licensee had entered those items into their

corrective action program and assigned actions to address the issues. The team

reviewed a sample of root cause evaluations and significant CRs to verify if the licensee

had appropriately included industry operating experience.

2. Assessment

Overall, the team determined that the licensee had appropriately evaluated industry

operating experience for relevance to the facility, and had entered applicable items in the

corrective action program. The team concluded that the licensee was also evaluating

industry operating experience when performing root cause and apparent cause

evaluations. The team concluded that ineffective use of operating experience resulted in

four issues that occurred during the assessment period. The team identified no

additional examples. Current examples of inadequate use of operating experience

included:

  • Ineffective use of operating experience contributed to the failure to follow

procedure with respect to a reactor vessel head lift, which violated height

requirements. This issue had also occurred during a previous refueling outage

(NCV 2006005-01).

  • Ineffective use of operating experience contributed to the failure to establish

appropriate procedures for testing of the turbine-drive auxiliary feedwater pump.

The licensee did not implement a 10 CFR Part 21 notification to ensure that a

null voltage drift in the controller did not adversely affect the governor

(FIN 2006010).

  • Ineffective use of operating experience contributed to the failure to establish

appropriate procedures to inspect submerged cables with the potential for cable

degradation (NCV 2006010-04).

- 11 - Enclosure

  • Ineffective use of operating experience (vendor recommendation) contributed to

the failure to inspect for a potential defect in emergency diesel generator

governor control cards (FIN 2007005).

c. Assessment of Self-Assessments and Audits

1. Inspection Scope

The inspectors reviewed a sample of licensee self assessments and audits to assess

whether the licensee was regularly identifying performance trends and effectively

addressing them. The team also reviewed audit reports to assess the effectiveness of

assessments in specific areas. The specific self-assessment documents reviewed are

listed in the Attachment.

2. Assessment

The team concluded that the licensee had a good self-assessment process, but was still

making progress towards implementing the process as it was intended. The team

concluded that trending processes required improvement

Current Issue

  • The licensee did not have an effective, formal program for trending equipment

failures documented in work orders that do not have a corresponding condition

report.

d. Assessment of Safety Conscious Work Environment

1. Inspection Scope

The team interviewed 28 members of the plant staff, which represented a cross-section

of functional organizations and supervisory and nonsupervisory personnel, to assess the

establishment of a safety conscious work environment (SCWE) at Wolf Creek

Generating Station. In this context, a SCWE refers to an environment in which

employees feel free to raise safety concerns, both to their management and to the NRC,

without fear of retaliation. The typical interview questions were similar to those listed in

the appendix, Suggested Questions for Use in Discussions with Licensee Individuals

Concerning PI&R [Problem Identification and Resolution] Issues, to NRC Inspection

Procedure 71152. During interviews, document reviews, and observations of activities

relevant to the Identification and Resolution of Problems inspection, the inspectors

looked for evidence that suggested plant employees were reluctant to raise safety

concerns. The team reviewed procedures and training materials used to implement the

safety conscious work environment and safety culture programs at the site, and

discussed them with the site Employee Concerns Program coordinator(Ombudsman).

The team also interviewed the Employee Concerns Program coordinator (Ombudsman)

and reviewed selected files from closed employee concerns.

- 12 - Enclosure

2. Assessment

The team concluded that the licensee maintained an overall safety-conscious work

environment, based on 28 selected interviews. Many individuals were not aware of the

Ombudsman (employee concerns) programs ability to take nuclear safety issues and

believed it to be a resource to resolve industrial safety concerns, coworker conflicts,

personal issues, or human resources issues. Most workers stated that management

was supportive of a safety conscious work environment but most could not define safety

conscious work environment. However, all the interviewees believed that potential

safety issues were being addressed and there were no instances identified where

individuals had experienced adverse actions for bringing safety issues to licensee

management or the NRC.

Current Issues

  • The majority of the interviewees made comments regarding the lack of

knowledge of the employee concerns program and purpose. All were

knowledgeable of the Ombudsman but did not associate him with the employee

concerns program, but believed him to be a resource to resolve industrial safety

concerns, coworker conflicts, personal issues, or human resources issues.

  • More than half of the interviewees were not comfortable or lacked knowledge

with inputting a condition report into PILOT (corrective action database) and

would rather provide the concern to management for input, but did not believe

safety issues were not being identified

  • More than half of the interviewees were not aware of Wolf Creek Generating

Station SCWE policy or guidance.

  • The team received isolated comments about training weeks being used for not

job specific training, the lack of qualified staff to allow for additional training

during the workday and the routine use of overtime to ensure minimum staffing

for crews.

  • The interviewees all believed that potential safety issues were being addressed

and there were no instances identified where individuals had experienced

adverse actions for bringing safety issues to licensee management or the NRC.

e. Specific Issues Identified During This Inspection

(1) Failure to Correct Procedure Deviations to Demonstrate Seismic Acceptability

Introduction. On January 31, 2008, the team identified a Green NCV of 10 CFR Part 50,

Appendix B, Criterion V, in which, 21 scaffolds in 10 plant areas that were in contact with

or closer to plant equipment than procedure allowed. The procedure required

engineering evaluations which did not contain any technical bases as to the acceptability

of as built scaffolds.

- 13 - Enclosure

Description. On January 31, 2008, the team identified 21 scaffolds in 10 areas of the

plant that exceeded the limit of 2 inches between erected scaffolding and safety

equipment which is established in Administrative Procedure (AP) 14A-003, Scaffold

Construction and Use. Procedure AP 14A-003, Step F.4.2, states that if the gap was

less than 2 inches, that engineering was required to evaluate the scaffold. The team

requested the engineering evaluations for all the scaffolds. The evaluation contained on

the associated scaffolding request form that had an engineers signature and a box

checked Yes for Scaffolding is required to be seismically qualified. The team

questioned engineering if there were any other technical bases or formal documentation

for the scaffolds. The team reviewed generic Scaffold Construction

Calculation XX-C-018, Evaluation of Seismically Qualified Scaffolding and could not

locate the acceptability of having scaffolding closer than 2 inches or in contact with

safety equipment. The inspectors met with plant management to discuss the concerns

on February 1. Plant management informed the inspector that engineering judgment

was an acceptable criterion to establish the adequacy of the scaffolds. Wolf Creek

Generating Station did not have any technical justification such that interactions between

safety equipment and the scaffolding would not cause equipment damage.

Wolf Creek Generating Station subsequently re-evaluated the scaffolds of concern. On

February 4, inspectors reviewed the re-evaluated scaffolds documentation. One set of

scaffold were acceptable because the equipment in contact with the scaffold was

nitrogen lines used for testing in the electrical penetration room, and wood planking still

in contact with or closer than 2 inches to the electrical penetrations were non-safety

cables. One of the scaffolds was moved, such as the scaffold that was threaded through

an electrical cable tray. However, the scaffolds in contact with or closer than the 2 inch

limit were informally justified along two principles. First, if the safety equipment was a

cable tray, instrument air line, or heating, ventilation, and air conditioning (HVAC)

ducting, engineering stated that contact during an earthquake would be acceptable

because the scaffold would support the equipment or that such equipment was flexible

and could tolerate contact. Second, if the safety equipment was a pipe, engineering

stated that contact during an earthquake would be acceptable because piping is robust

and would not be damaged. In consultation with a senior engineer from the Office of

Nuclear Reactor Regulations Engineering Mechanics Branch, the inspectors judged

these evaluations not to be sufficient to demonstrate that the equipment would not be

damaged during an earthquake.

The scaffolding in the Containment Spray Rooms A and B, the 1988 pipe chase, the

Residual Heat Removal Heat Exchanger A room, both electrical penetration rooms, the

2047 HVAC room, Emergency Exhaust Fan Room A, Emergency Diesel Generator

Room A, and Auxiliary Feedwater Pump Room A were not moved. One scaffold in the

2047 HVAC room was removed, as well as scaffolding in one of the electrical

penetration rooms. Scaffolding in the Emergency Diesel Generator Room A received

additional bracing to prevent flexing in the direction of the air start line. However, the

inspectors judged that none of these examples would prevent the safe shutdown of Wolf

Creek Generating Station because these systems were degraded, but operable.. During

a further meeting on February 20, Wolf Creek Generating Station engineering was able

to show that one of the scaffolds of concern on the 2047 of the auxiliary building was

- 14 - Enclosure

partially not a concern because while the scaffold was in contact with an air line, the line

served only pneumatic tools used during maintenance and not any safety related or risk

significant equipment. Nonetheless, this particular scaffold was in contact with two

electrical cable trays.

Analysis. The failure to follow AP 14A-003 to evaluate the clearance between

scaffolding and safety equipment per procedure is a performance deficiency. The

inspectors determined that this finding was more than minor because it is consistent with

Manual Chapter (MC) 0612, Appendix E, example 4.a in that Wolf Creek Generating

Station consistently failed to evaluate scaffolding that exceeded the 2 inch acceptance

criteria.

The inspectors evaluated the significance of this finding using Phase 1 of Inspection

Manual Chapter (IMC) 0609, Appendix A, Significance Determination of Reactor

Inspection Findings for At-Power Situations, and determined that the finding was of very

low safety significance because the issue resulted in 21 unevaluated scaffolds which are

likely not to challenge the ability of the plant to safely shutdown after an earthquake. As

such, under Phase 1 screening, the deficiency is not related to a qualification or design

deficiency, it did not represent a loss of safety function for a train or system as defined in

the plant specific risk-informed inspection notebook, and did not screen as risk

significant for seismic external events, because the affected systems were considered

degraded but operable. Using these inputs, the performance deficiency screened to

Green. The inspectors also determined that the finding had a human performance

crosscutting aspect in the area associated with decision making because the licensee

failed to adopt a requirement to demonstrate that the proposed action is safe in order to

proceed rather than a requirement to demonstrate that it is unsafe in order to disapprove

the action. Specifically, Wolf Creek did not conduct any review of engineering decisions

to verify the validity of the underlying assumption that equipment and scaffolding could

be in contact or closer than the established limit (H.1(b)).

Enforcement. Part 50 of Title 10 of the Code of Federal Regulations, Appendix B,

Criterion V, Instructions, Procedures, and Drawings requires, in part that activities

affecting quality be prescribed by procedures appropriate to the circumstances and shall

be accomplished according to these procedures. Wolf Creek Generating Station

AP 14A-003, Scaffold Construction and Use, Revision 14, implements the seismic

design requirements contained in Calculation XX-C-18 for scaffolds in safety related

areas and establishes acceptance criteria.

Contrary to the above, from November 13, 2003 to February 4, 2008, the licensee did

not construct 21 scaffolds in safety related plant areas in accordance with AP 14A-003.

Specifically, Wolf Creek Generating Station did not modify the scaffolds or evaluate the

deviations with appropriate acceptance criteria to demonstrate that the seismic design

bases remained valid. This issue and the corrective actions are being tracked by Wolf

Creek Generating Station in CR 2008-000383. Because the violation was of very low

safety significance and the issue was captured in the licensees corrective action

program as CR 2008-000118, this violation is being treated as a NCV consistent with

Section VI.A of the NRC Enforcement Policy: NCV 05000482/2008006-01, Twenty-one

examples of failure to follow seismic requirements of scaffolding procedure.

- 15 - Enclosure

(2) Failure to Implement Corrective Actions to Correct a Finding Associated with

Compensatory Measures following Main Annunciator Failure.

Introduction. The team identified a Green finding because the licensee failed to

establish corrective actions for a violation previously identified in an NCV associated with

missed compensatory actions during an extended period when the main annunciator

board failed.

Description. NRC inspectors had previously issued NCV 2007002-04 to document an

NCV in that the licensee failed to establish compensatory actions during an extended

period when the main annunciator board failed. The licensee initiated CR 2007-000362

to place this issue into the corrective action program to correct the NCV. The team

noted that the corrective actions in the CR only addressed the hardware failure and not

the failure to establish compensatory measures, and therefore, were not appropriate to

the circumstances. The team determined that the licensee had not established any

corrective action plan to address this NCV and considered this to be a performance

deficiency, although the main annunciator is not a safety related system.

Analysis. The failure to establish corrective actions for each aspect of NCV 2007002-04

is a performance deficiency. This violation is considered to be greater than minor

because it meets the intent of MC 0612, Appendix E, Example 4.a, in that there are

multiple examples of a failure to establish corrective actions associated with NCVs and

findings, indicating that The licensee routinely failed to perform engineering evaluations

on similar issues. The team performed a Phase I SDP evaluation and determined that

the violation is of very low safety significance, Green, because all of the answers to the

Phase I Worksheet Mitigating Systems Column were no. This finding has a

cross-cutting aspect in the area of corrective action program because the licensee failed

to put all aspects of NCV 2007002-04 into their corrective action program (P.1(d)).

Enforcement. Although the licensee failed to identify corrective actions to address the

lack of compensatory actions associated with the failure of their main annunciator board,

the main annunciator system is not safety-related, and thus was not a violation of NRC

requirements. This finding was placed in the corrective action program as

CR 2008-000777. Finding 05000482/2008006-02, Failure to take corrective action for

missed compensatory measures.

(3) Failure to Implement Corrective Actions for a Missed Operability Assessment

Introduction. The team identified a Green NCV of 10 CFR Part 50, Appendix B,

Criterion XVI because the licensee failed to establish corrective actions for a violation

previously identified in an NCV, with respect to a failure to perform an operability

evaluation following bearing replacement on the Train B emergency exhaust system fan.

Description. NRC inspectors had previously issued NCV 2007003-05 to document a

non-cited violation where the licensee failed to perform an operability evaluation

following bearing replacement on the Train B emergency exhaust system fan. The

licensee initiated CR 2007-002411-0 place this issue into the corrective action program

- 16 - Enclosure

to correct the NCV. The team noted that the corrective actions in the CR only addressed

the hardware failure and not the failure to perform an operability evaluation, and

therefore, were not appropriate to the circumstances. The team determined that the

licensee had not established any corrective action plan to address this NCV and

considered this to be a performance deficiency.

Analysis. The failure to take corrective action to establish corrective actions for each

aspect of NCV 2007003-05 is a performance deficiency. This finding is considered to be

greater than minor because it meets the intent of MC 0612, Appendix E, Example 4.a, in

that there are multiple examples of a failure to establish corrective actions associated

with NRC NCVs and findings, indicating that The licensee routinely failed to perform

engineering evaluations on similar issues. The team performed a Phase I Significance

Determination Process (SDP) evaluation and determined that the violation is of very low

safety significance, Green, because all of the answers to the Phase I Worksheet

Mitigating Systems Column were no. This violation has a problem identification and

resolution cross-cutting aspect in the area of corrective action program because the

licensee failed to put all aspects of NCV 2007003-05 into their corrective action program

(P.1(d)).

Enforcement. Part 50 of Title 10 of the Code of Federal Regulations, Appendix B,

Criterion XVI requires conditions adverse to quality to be promptly identified and

corrected. Contrary to this requirement, the licensee failed to identify corrective actions

to address where the licensee failed to perform an operability evaluation following

bearing replacement on the Train B emergency exhaust system fan. Because this

finding is of very low safety significance and was entered into the licensees corrective

action program as CR 2008-000777, this violation is being treated as a non-cited

violation in accordance with Section VI.A.1 of the Enforcement Policy:

NCV 05000482/2008006-03, Failure to take corrective actions for missed operability

assessment.

(4) Failure to Correct Finding Associated with Auxilary Feedwater Pump Governor Null

Setting

Introduction. The team identified a Green NCV of 10 CFR Part 50, Appendix B,

Criterion XVI when the licensee failed to establish corrective actions for a violation

previously identified in an NRC finding associated with establishing an acceptable

monitoring frequency for their turbine driven auxiliary feedwater (AFW) pump speed

governor null-drift.

Description. NRC inspectors had previously issued FIN 2006010 to document their

determination that the licensee had failed to establish an acceptable monitoring

frequency for their turbine driven AFW pump speed governor null-drift as recommended

by a Part 21 report from Engine Systems, Inc. The licensee initiated CR 2005-002241 to

place this issue into the corrective action program to correct the NCV. The team noted

that the corrective action in the CR again did not establish a monitoring frequency for the

turbine driven AFW pump speed governor null-drift, and therefore, was not appropriate

to the circumstances. The team determined that the licensee had not established a

- 17 - Enclosure

corrective action plan to address this finding and considered this to be a performance

deficiency.

Analysis. The failure to establish corrective actions for each aspect of FIN 2006010 is a

performance deficiency. This finding is considered to be greater than minor because it

meets the intent of MC 0612, Appendix E, Example 4.a, in that there are multiple

examples of a failure to establish corrective actions associated with NRC NCVs and

findings, indicating that The licensee routinely failed to perform engineering evaluations

on similar issues. The inspectors performed a Phase I SDP evaluation and determined

that the violation is of very low safety significance, Green, because all of the answers to

the Phase I Worksheet Mitigating Systems Column were no. This violation has a

problem identification and resolution cross-cutting aspect in the area of corrective action

program because the licensee failed to put all aspects of FIN 2006010 into the corrective

action program (P.1(d)).

Enforcement. Part 50 of Title 10 of the Code of Federal Regulations, Appendix B,

Criterion XVI requires that conditions adverse to quality are promptly identified and

corrected. Contrary to this requirement, the licensee failed to identify corrective actions

to address the lack of an acceptable monitoring frequency on their turbine driven AFW

pump speed governor null-drift. Because this finding is of very low safety significance

and was entered into the licensees corrective action program as CR 2008-000777 this

violation is being treated as an NCV in accordance with Section VI.A.1 of the

Enforcement Policy: NCV 05000482/2008006-04, Failure to take timely corrective

actions to establish monitoring frequency for AFW Pump null set drift.

(5) Failure to Take Timely Corrective Action for Barton Transmitter Defects

Introduction. The team identified a Green NCV of 10 CFR Part 50, Appendix B,

Criterion XVI, for failure to identify and correct conditions adverse quality associated with

NRC NCV 2006-004-02 documented in Inspection Report 2006-004. Specifically, the

licensee did not address in the apparent cause evaluation and corrective actions the

failure to follow procedures resulting in an inadequate inspection of installed Barton

pressure transmitters for known potential manufacturing defects which resulted in a

previous violation.

Description. On May 18, 2006, PRIME Measurement Products issued a Nuclear

Industry Advisory that Barton Model 763 and 763A gage pressure transmitters and

Model 764 differential pressure transmitters may have defective external lead-wire

connectors. The advisory described a defect where the insulated portions of the wires in

the connectors may not be embedded deeply enough into the epoxy potting used to

structurally support the soldered wire connections and establish a seal to protect the

solder connections from shorting. The advisory warned that shorting of conductors

could occur in an electrically conductive accident environment. The advisory stated the

affected transmitters were manufactured after May 1982 and shipped from the factory

prior to April 1, 2006. Transmitters manufactured prior to June 1982 and assembled with

heat shrinking embedded in the epoxy potting were not subject to the concerns of the

PRIME advisory. PRIME recommended that all connectors in transmitters manufactured

after May 1982 be inspected for exposure of the external lead wire conductors at the

- 18 - Enclosure

surface of the connector and that any transmitter with exposed conductors should be

considered defective and replaced. Because of the design and configuration of the

transmitters, the inspections would necessitate the connector be unscrewed from the

transmitter and the external lead wires flexed 90 degrees to ensure the insulated

portions of the wires are securely embedded in the epoxy potting material. On June 21,

2006, following inspection of warehouse stock potentially affected by the PRIME

advisory, Callaway plant made a 10 CFR Part 21 report notifying the NRC of defects in

Barton pressure transmitters.

Wolf Creek Generating Station determined that the affected Barton models were used

onsite with a total of 39 safety-related transmitters installed. System engineering

performed an operability evaluation to assess if any of the installed transmitters were

defective. As part of the operability justification basis, system engineering referred to

previous inspections performed by instrumentation and control technicians under Work

Request 00077-93. These inspections were performed in 1993 and were in response to

Westinghouse Letter SAP-92-182 that identified the potential for damage to lead wire

insulation on Barton pressure transmitters. The letter identified a potential defect caused

by lead wire rubbing against the internal threads of the housing boss, resulting in

insulation damage. Westinghouse recommended that each transmitter be inspected for

wire insulation damage; however, this only required inspection at the entrance to the

transmitter housing. Work Request 00077-93 contained steps to inspect the transmitters

addressed in the Westinghouse letter, which included removing the conduit flex cable

and conduit connector and inspecting the transmitter lead wire at point of exit from the

transmitter housing. The inspection criteria established in the work order only required

that the wire insulation be smooth, unblemished, and free of nicks. Specifically, the work

order did not contain the requirements to unscrew the connector from the transmitter and

that the external lead wires be flexed 90 degrees to ensure the insulated portions of the

wires are securely embedded in the epoxy potting material as recommended in the

current PRIME advisory.

The licensee performed inspections on June 27, 2006, of two Barton pressure

transmitters affected by the PRIME advisory that were not included in the scope of the

1993 inspections. The resident inspector observed the inspections of these two

transmitters. In both cases, the inspection revealed that the transmitters were

assembled with heat shrinking embedded in the epoxy potting and, therefore, not subject

to the advisory. However, the inspectors questioned how the 1993 inspections could

identify the defective condition. Specifically, the inspectors questioned how the previous

inspections could take credit to identify the insulated portions of the wires were securely

embedded in the epoxy potting material, since the connectors were not unscrewed from

the transmitter and the external lead wires were not flexed 90 degrees. Additionally, the

inspectors noted that the lead wires and epoxy potting are inaccessible without removal

of the connector; therefore, the recommended inspection could not be completed.

- 19 - Enclosure

Procedure AP 28-011 requires that, during the operability determination process, a

reasonable expectation must exist that the structure, system or component (SSC) is

operable and that the prompt determination process will support that expectation.

Contrary to this requirement, reasonable expectation was not established because the

1993 inspections did not support the engineering judgment used based on the 1993

inspections which did not look at epoxy defects.

A review of the inspections performed in 1993 revealed 14 of 39 installed Barton

pressure transmitters manufactured without heat shrinking embedded in the epoxy

potting and, therefore, potentially affected by the PRIME advisory. The licensee

corrective actions to date have only inspected several spare lead wire assemblies in

warehouse stock and two installed transmitters that were not originally inspected in

1993. The licensee also plans to replace 10 transmitters that were identified without

heat shrinking. However, no evaluation or corrective actions address the failure to follow

AP 28-011, Resolving Deficiencies Impacting SSCs, Revision 1.

Analysis. The failure to evaluate and implement appropriate corrective actions for a

condition adverse to quality was a performance deficiency. This finding was more than

minor because it could reasonably be viewed a precursor to a significant event and

affected the equipment performance attribute of the mitigating systems cornerstone and

the cornerstone objective to ensure the availability, reliability, and capability of systems

that respond to initiating events. Using MC 0609, Significance Determination Process,

Phase 1 worksheets, the inspectors determined that the finding is of very low

significance because it did not represent an actual loss of a safety function or operability

and was not potentially risk significant due to external events. The inspectors also

determined that this finding has crosscutting aspects in the problem identification and

resolution area associated with the corrective action program in that the licensee failed

to identify the issue completely and thoroughly evaluate the problem such that the

problem was resolved (P.1(a), P.1(c)).

Enforcement. Part 50 of Title10 of the Code of Federal Regulations, Appendix B,

Criterion XVI, Corrective Action, requires, in part, that measures be established to

assure that conditions adverse to quality are promptly identified and corrected. Contrary

to this, on January 16, 2007, the licensee failed to identify and correct the failure to

follow AP 28-011 which resulted in an inadequate inspection of installed Barton pressure

transmitters for known potential manufacturing. Because the violation was of very low

safety significance and has been entered into the licensees Corrective Action Program

as Condition Report 2008-000777, this violation is being treated as an NCV, consistent

with Section VI.A of the Enforcement Policy: NCV 05000482/2008006-05, Failure to

take timely corrective action to correct Barton transmitter defects.

(6) Failure to Take Corrective Actions to Correct Annunciator Feed Deficiencies

Introduction. The team identified a Green finding for failure to correct sewage treatment

plant annunciator feed deficiencies. Condition Report 2005-003275 was initiated to

correct discrepancies between the as-build configuration and drawings, but was closed

with no corrective action implemented.

- 20 - Enclosure

Description. In 2005, a sewage treatment process plant was being decommissioned

when workers kept complaining of electric shocks while digging in the vicinity of the

sewage treatment plant. When it was investigated by the electrician, the electrician

found that because Cable ST009 (extending between the local junction box at the

sewage treatment plant area and the main Control Room Board RL013-RL014)

(Drawings E-1142 and E-1146) was still connected to the daisy chained control room

125vdc annunciator alarm power supplies disconnected Cable ST019 from the local

junction box (extending between the local junction box and the local lift station) and

shorted out and spliced Cable ST009 in order to prevent shocks and control room

annunciator alarms. The electrician performed this modification without documenting

this action.

Condition Report 2005-003275 was initiated to identify problems with abandoned in

place sewage treatment plant equipment on Drawings E-1005-ST01, ST02, ST03, ST05

and ST06. This condition report indicated that the equipment was removed and not

abandoned in place. In order to prevent power supply and control room alarm problems,

the condition report requested that the condition be corrected to reflect the field

configuration. The condition report also recommended that Cable ST009 be removed

from Terminal TB2 (87,88) or be used for the lift station that was still required to pump

sewage to a lagoon outside the plant. There were no corrective actions to this condition

report. However the electrician was directed to perform Work

Order (WO) 07-292004-000. This WO directed the electrician to ensure that

Cables ST009, S016 and ST019 are installed in accordance with Drawings E-1005-

ST03 and ST06. The WO summary concluded that the work was not workable because

Cable ST019 had been removed, and thus the WO was closed. Because

WO 07-292004-000, was closed the licensee inappropriately closed CR 2005-003275 to

the WO, without reviewing the results to determine if the condition had been properly

corrected. The failure to correct this condition is a finding.

Analysis. The failure to implement corrective actions for an identified configuration

control issue is a performance deficiency. This item affects the mitigating systems

cornerstone. The team determined that this violation was greater than minor because it

met the intent of MC 0612, Appendix E, Example 4.a., in that, there were several

examples of the licensee failing to take corrective actions in response to findings,

indicating that The licensee routinely failed to perform engineering evaluations on

similar issues. The team performed a Phase I SDP evaluation and determined that the

violation was screened as being very low safety significance, Green, because all of the

answers to the Phase I Worksheet Mitigating Systems Column were no. The team also

determined that this finding has crosscutting aspects in the problem identification and

resolution area associated with the corrective action program in that the licensee failed

to implement timely or effective corrective actions. (P.1(d)).

Enforcement. The main annunciator system and its feeds are not safety-related, and

therefore this performance deficiency is not a violation of NRC requirements. This

finding was placed in the corrective action system as CR 2008-000778.

Finding 05000482/2008006-06, Failure to take timely corrective actions to correct

annunciator feed deficiencies.

- 21 - Enclosure

4OA6 Management Meetings

On February 29, 2008, an exit meeting was conducted on the last day of the onsite

inspection. The tentative results of the inspection were discussed with Mr. R. Muench

and other members of the staff. The licensee confirmed that no proprietary information

was handled during this inspection.

On April 22, 2008, a telephonic re-exit was conducted with Mr. W. Muilenburg to discuss

the final categorization of six issues and cross-cutting aspects of the findings.

ATTACHMENTS: 1. Supplemental Information

2. Information request

- 22 - Enclosure

ATTACHMENT 1

SUPPLEMENTAL INFORMATION

KEY POINTS OF CONTACT

Licensee Personnel

D. Erbe, Manager, Security

R. Flannigan, Manager, Regulatory Affairs

S. Henry, Manager, Operations

D. Hooper, Supervisor, Licensing

T. Krause, Manager, Quality

R. Muench, President and CEO

W. Muilenburg, Licensing

E. Peterson, Ombudsman

L. Ratzlaff, Manager, Support

E. Ray, Manager, Chemistry

A. Stull, Vice President and Chief Administrative Manager

M. Sunseri, Vice President Operations and Plant Manager

J. Yunk, Manager, Human Resources

NRC Personnel

D. Proulx, Team Leader, Senior Reactor Inspector

S. Cochrum, Senior Resident Inspector

C. Long, Resident Inspector

H. Abuseini, Reactor Inspector

J. Adams, Reactor Inspector

LIST OF ITEMS OPENED, CLOSED, AND DISCUSSED

Opened and Closed

05000482/2008006-01 NCV Twenty-One Examples of Failure to

Follow Seismic Requirements of

Scaffolding Procedure

(Section 4OA2.e (1))05000482/2008006-02 FIN Failure to Take Corrective Action For

Missed Compensatory Measures

(Section 4OA2.e (2))05000482/2008006-03 NCV Failure to Take Corrective Actions

For Missed Operability Evaluation

(Section 4OA2.e (3))

A1-1 Attachment 1

05000482/2008006-04 NCV Failure to Take Timely Corrective

Action To Establish Monitoring

Frequency Of AFW Pump Governor

Null Set Drift (Section 4OA2.e (4))05000482/2008006-05 NCV Failure to Take Timely Corrective

Action to Correct Barton Transmitter

Defects (Section 4OA2.e (5))05000482/2008006-06 FIN Failure to Take Timely Corrective

Action to Correct Annunciator Feed

Configuration Deficiencies

(Section 4OA2.e (6))

LIST OF DOCUMENTS REVIEWED

Procedures:

AI 28A-001, Root Cause Analysis, Revision 5

AI 28A-005, Common Cause Analysis, Revision 0

AI 28E-007, PIR Trending and Analysis, Revision 4A

AI 28A-006 Apparent Cause Evaluations Rev.3

AP 14A-003, Scaffold Construction and Use, Revision 14

AP 26C-004, Technical Specification Operability, Revision 16

AP 28A-100, Condition Reports, Revision 4.

AP 20E-001, Industry Operating Experience Program, Revision 9.

AP 28-011, Resolving Deficiencies Impacting SSCs, Revision 1A.

AP 16C-006, MPAC Work Request Work Order Process Controls, Revision 11A.

AP 22C-002, Work Controls, Revision 16

AP 28-007, Nonconformance Control, Revision 4

AP 28-001, Operability Evaluations, Revision 15

OFN AF-025, Unit Limitations, Revision 26

ALR 00-103E, Heater Drn Tk Dump, Revision 11A

ALR 00-120B, MVP A Suct Press Lo, Revision 10

ALR 00-110B, SG C Lev Dev, Revision 6

SYS AF-121, Heater Drain Pump Operation, Revision 12

STS AL-103, TDAFW Inservice Pump Test, Revision 43

Drawings:

E-1146, Wiring Diagram Surge Tank Control Panel 1ST01J, Rev.12

E-1005-ST06, Schematic Diagram Surge Tank Control Panel, Rev.12

E-1005-ST01, Schematic Rate (DR) Filter No.1 Control Panel (1ST01F), Rev.7

E-1005-ST02, Schematic Diagram Design Rate (DR) Filter No.2 Control Panel (1ST02F), Rev.7

E-1005-ST03, Schematic Diagram Lift Station No.1 (1ST01S), Rev.8

E-1005-ST05, Schematic Diagram Sewage Treatment Plant Control Panel (IST02J), Rev.6

A1-2 Attachment 1

E-1449, External Wiring Diagram Annunciator Input/Output Cabinet RK0445C4, Rev.10

E-1442, External Wiring Diagram Main Control Board RL013-14 PT.2, Rev. J

Reports

0102-2007, Vibration Analysis Report: DPEM01B/Safety Injection Pump Motor, June 15, 2007

0103-2007, Vibration Analysis Report: CGG02B/FB Emergency Exhaust Fan, July 3, 2007

Calculation

XX-C-018, Evaluation of Seismically Qualified Scaffolding, Revision 01

Operational Experience Reports

10 CFR Part 21 Report 2006-10-00 concerning Weld Repairs on Sulzer Pumps dated

September 21, 2006

10 CFR Part 21 Report concerning 3 and 4 Borg Warner Check Valves, dated May 17, 2007

10 CFR Part 21 Report concerning Rosemount Nuclear Instruments, dated April 6, 2007

NRC Information Notice 2006-05 Evaluation, POSSIBLE DEFECT IN BUSSMANN KWN-R

AND KTN-R FUSES

NRC Information Notice 2006-06 Evaluation, LOSS OF OFFSITE POWER AND STATION

BLACKOUT ARE MORE PROBABLE DURING SUMMER PERIOD

NRC Information Notice 2006-08 Evaluation, SECONDARY PIPING RUPTURE AT THE

MIHAMA POWER STATION IN JAPAN

NRC Information Notice 2006-09 Evaluation, PERFORMANCE OF NRC-LICENSED

INDIVIDUALS WHILE ON DUTY WITH RESPECT TO CONTROL ROOM ATTENTIVENESS

NRC Information Notice 2007-01, Recent Operating Experience Concerning Hydrostatic

Barriers

NRC Information Notice 2007-29, Temporary Scaffolding Affects Operability of Safety-Related

Equipment

Westinghouse NSAL-07-02, Revised Seismic Level for Type A200 Size 1 and Size 2 Motor

Starters and Contactors, dated July 25, 2007

ASCO Safety Notice, Potential manufacturing non-conformance of plunger tubes used in

certain ASCO NH series hydrometer pumps and kits, dated September 18, 2006

NRC Regulatory Issue Summary 2007-21, Adherence to Licensed Power Limits

A1-3 Attachment 1

Self Assessments and Audits

Auxiliary Feedwater System Health Report

February 2007 Corrective Action Program Health Index

March 2007 Corrective Action Program Health Index

May 2007 Corrective Action Program Health Index

June 2007 Corrective Action Program Health Index

November 2007 Corrective Action Program Health Index

Audit Report K-643, Corrective Action, dated May 26, 2007

Safety Conscious Work Environment Self-Assessment, dated December 21, 2007

Nuclear Industry Evaluation Program (NIEP) of Wolf Creek Generating

Stations Quality Organization, dated August 22, 2008

Miscellaneous

USAR Section 3.7B, Seismic Design

USAR Section 9.4.3, Auxiliary Building

Operability Evaluation, XX-06-003, Revision 1

Work Orders

05-274442-000 07-292004-000 07-300768-006 06-286540-000 07-062648-000

05-274442-001 06-290862-000 06-290525-001 06-286541-000 07-061866-000

05-274442-002 06-289721-000 06-289589-000 06-289735-000

07-294638-000 08-302410-000 08-302131-001 06-289736-000

04-267785-011 07-301313-000 07-300862-000 06-285693-000

07-297313-000 07-300768-003 05-279097-000 06-289831-000

Condition Reports

2008-000118 2006-000058 2006-000325 2006-001838 2007-002662

2008-000383 2005-002241 2006-000375 2006-001866 2007-003088

2008-000341 2006-000366 2006-000377 2006-001906 2007-003759

2006-000761 2004-002685 2006-000385 2006-002527 2007-002753

2006-000441 2004-002684 2006-000456 2006-003055 2007-000362

2006-000815 2006-000007 2006-000603 2006-003088 2007-001352

2006-003154 2006-000023 2006-000703 2006-003105 2007-002411

2005-002149 2006-000056 2006-000757 2007-000221 2005-002770

2004-001224 2006-000068 2006-000761 2007-000826 2007-002742

2006-000674 2006-000128 2006-000786 2007-000879 2007-002742

2006-000646 2006-000138 2006-000803 2007-001002 2007-002580

2005-001648 2006-000145 2006-001046 2007-001189 2007-004700

2005-001722 2006-000162 2005-002844 2007-001626 2005-002241

2006-000753 2006-000165 2006-001127 2007-002753 2005-001490

2003-000969 2006-000167 2006-001709 2007-002411 2005-001843

2004-002613 2006-000218 2006-001724 2007-001692 2005-001968

2006-000648 2006-000318 2006-001754 2007-002477 2005-001981

A1-4 Attachment 1

2005-003322 2006-000808 2006-003721 2007-000004 2007-000298

2006-000298 2006-000806 2007-004744 2007-000302 2005-000824

2006-000348 2007-002599 2007-002974 2006-000360 2006-002668

2006-000648 2007-002492 2007-004702 2006-000361 2006-000448

2006-000757 2007-000597 2007-004674 2006-000434 2006-002385

2006-000815 2007-002601 2007-003704 2006-001663 2007-001805

2006-000895 2007-000206 2007-004657 2006-000560 2007-002028

2006-000938 2006-000390 2007-004629 2006-000139 2007-002042

2006-001376 2006-000043 2007-004608 2006-000551 2007-002082

2006-001499 2006-000080 2007-004606 2006-002468 2007-002287

2006-002030 2006-000269 2007-004601 2006-000589 2007-002740

2007-000280 2006-000057 2006-002066 2006-000483 2007-002781

2007-000368 2006-000060 2006-002159 2005-000257 2007-002929

2007-000543 2006-000072 2007-004576 2007-003759 2007-002952

2007-000589 2006-000075 2007-004389 2007-003345 2007-003007

2007-001352 2006-000819 2007-003896 2007-003037 2007-003009

2007-002742 2006-000156 2007-003293 2007-003003 2007-003128

2007-003039 2006-000203 2007-001497 2007-003000 2007-003130

2007-003124 2006-000241 2007-000930 2007-002966 2007-003347

2007-003416 2006-000295 2006-000267 2005-003275 2007-003542

2007-003613 2005-000322 2006-000327 2007-002790 2007-003649

2007-002339 2007-004733 2006-000938 2007-003295 2007-003669

2007-002291 2008-000155 2007-004643 2007-000661 2007-003671

2007-002597 2006-000477 2006-002321 2007-000941

Scaffolding Requests

08-S0039 07-S0140 07-S0153 04-S0067 06-S0079

08-S0044 08-S0013 06-S6014 00-S0109 04-S9010

08-S0036 06-S0080 06-S6677 04-S0008 04-S0076

08-S0031 07-S0151 06-S6681 04-S0073 00-S0111

08-S0009 07-S0030 07-S0135 00-S0096 03-S0155

07-S0146 08-S0066 04-S9002 07-S0144

A1-5 Attachment 1

ATTACHMENT 2

INFORMATION REQUEST

Information Request

December 19, 2007

Wolf Creek Problem Identification and Resolution Inspection

IP 71152; Inspection Report 05000482/2008-006

The inspection will cover the period of January 1, 2006 and December 15, 2007. All requested

information should be limited to this period unless otherwise specified. The information may be

provided in either electronic or paper media or a combination of these. Information provided in

electronic media may be in the form of e-mail attachment(s), CDs, thumb drives, 3 1/2 inch floppy

disks, or posted on the Certrec website. The agency has document viewing capability for MS

Word, Excel, Power Point, and Adobe Acrobat (.pdf) text files.

Please provide the following information to David Proulx by December 28, 2007:

Note: On summary lists please include a description of problem, status, initiating date, and

owner organization. Summary list of all condition reports of significant conditions

adverse to quality opened or closed during the period

1. Summary list of all condition reports which were generated during the period

2. A list of all corrective action documents that subsume or "roll-up" one or more smaller

issues for the period

3. Summary list of all condition reports which were down-graded or up-graded in

significance during the period

4. List of all root cause analyses completed during the period

5. List of root cause analyses planned, but not complete at end of the period

6. List of all apparent cause analyses completed during the period

7. List of plant safety issues raised or addressed by the employee concerns program

during the period

8. List of action items generated or addressed by the plant safety review committees during

the period

9. All quality assurance audits and surveillances of corrective action activities completed

during the period

10. A list of all quality assurance audits and surveillances scheduled for completion during

the period, but which were not completed

A2-1 Attachment 2

11. All corrective action activity reports, functional area self-assessments, and non-NRC

third party assessments completed during the period

12. Corrective action performance trending/tracking information generated during the period

and broken down by functional organization

13. Current revisions of corrective action program procedures

14. A listing of all external events evaluated for applicability at Wolf Creek during the period

15. Action requests or other actions generated for each of the items below:

I. A. Part 21 Reports:

B. NRC Information Notices:

C. All LERs issued by Wolf Creek during the period

D. NCVs and Violations issued to Wolf Creek during the period (including licensee

identified violations)

I. Safeguards event logs for the period.

II. Radiation protection event logs.

III. Current system health reports or similar information.

IV. Current system health reports or similar information for the Auxiliary Feedwater (AFW)

system.

V. Current predictive performance summary reports or similar information for the AFW

system.

VI. Summary list of all Condition Reports generated for the AFW systems for the past 5

years.

VII. Corrective action effectiveness review reports generated during the period.

VIII. List of risk significant components and systems (in descending order of importance).

A2-2 Attachment 2