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| document type = CORRESPONDENCE-LETTERS, INCOMING CORRESPONDENCE
| document type = CORRESPONDENCE-LETTERS, INCOMING CORRESPONDENCE
| page count = 13
| page count = 13
| project =
| stage = Other
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See also: [[followed by::IR 05000335/1996017]]


=Text=
=Text=
{{#Wiki_filter:CATEGORY 1 REGULATORY
{{#Wiki_filter:CATEGORY 1 REGULATORY INFORMATION DISTRIBUTION SYSTEM           (RIDS)
INFORMATION
ACCESSION NBR:9702030207           DOC.DATE: 97/01/28     NOTARIZED: NO             DOCKET  I ACIL:50-335 St. Lucie Plant, Unit 1, Florida             Power   & Light   Co.     05000335 AUTEUR.NAME           AUTHOR AFFILIATION LUNKETT,T.F.       Florida   Power 6 Light Co.
DISTRIBUTION
RECIP.NAME           RECIPIENT AFFILIATION Document Control Branch (Document         Control Desk)
SYSTEM (RIDS)ACCESSION NBR:9702030207
 
DOC.DATE: 97/01/28 NOTARIZED:
==SUBJECT:==
NO ACIL:50-335
Responds     to NRC 961223 ltr re violations noted in insp rept 50-335/96-17.Corrective actions:FPL has adopted policy of verbatim compliance with procedural instructions at St Lucie plant.
St.Lucie Plant, Unit 1, Florida Power&Light Co.AUTEUR.NAME
DISTRIBUTION CODE: ZEOZD         COPIES RECEIVED:LTR i       ENCL   t SIZE:     l0 TITLE: General (50 Dkt)-Insp Rept/Notice of           Violation   Response E
AUTHOR AFFILIATION
NOTES:
LUNKETT,T.F.
RECIPIENT            COPIES            RECIPIENT           COPIES ID CODE/NAME         LTTR ENCL      ID CODE/NAME        LTTR ENCL PD2-3 PD                 1    1    WIENS,L.                  1    1 INTERNAL: ACRS                       2    2    AEOD/SPD/RAB              1     1 1     1     DEDRO                    1     1 1     1     NRR/DISP/PIPB            1     1 1     1     NRR/DRPM/PECB            1     1 NRR/DRPM/PERB            1     1     NUDOCS-ABSTRACT          1     1 OE DIR                    1    1    OGC/HDS3                  1    1 RGN2    FILE  01        1    1 TERNAL: LITCO BRYCEPJ H            1    1    NOAC                      1    1              D NRC PDR                  1    1 N
Florida Power 6 Light Co.RECIP.NAME
N OTE TO ALL "RIDS" RECIPIENTS:
RECIPIENT AFFILIATION
PLEASE HELP US TO REDUCE WASTE! CONTACT THE DOCUMENT CONTROL DESK, ROOM OWFN  SD-5(EXT. 4l5-2083) TO ELIMINATE YOUR NAME FROM DISTRIBUTION LISTS FOR DOCUMENTS YOU DON'T NEED!
Document Control Branch (Document Control Desk)SUBJECT: Responds to NRC 961223 ltr re violations
TOTAL NUMBER OF COPIES REQUIRED: LTTR            19  ENCL    19
noted in insp rept 50-335/96-17.Corrective
 
actions:FPL
r.<
has adopted policy of verbatim compliance
Florida Powers Light Company, i.u. Box128, Fort Pierce. FL34954-0120 January 28, 1997
with procedural
@PL L-9716 10 CFR 2.201 U. S. Nuclear Regulatory Commission Attn: Document Control Desk Washington, D. C. 20555 Re:      St. Lucie Unit 1 Docket No. 50-335 Reply to a Notice of Violation Florida Power and Light Company has reviewed the subject Notice of Violation and, pursuant to 10 CFR 2.201, the responses to the violations are attached.
instructions
The subject inspection report was dated December 23, 1996, with a response to the Notice of Violation required within 30 days of that date, i.e., by January 22, 1997. FPL received Integrated Inspection Report No. 96-17 on December 30, 1996. The seven day delay in the receipt of the inspection report and Notice of Violation by FPL was discussed with Caudle A.
at St Lucie plant.DISTRIBUTION
Julian (USNRC/Region IQ and Edward Weinkam (FPL) on January 9, 1997. In accordance with the response relief discussed in the Notice of Violation, Mr. Julian granted an extension to the required response date.
CODE: ZEOZD COPIES RECEIVED:LTR
Very truly yours, T. F. Plunkett President Nuclear Division TFP/JAS/EJW Attachment cc:     Regional Administrator, USNRC, Region II Senior Resident Inspector, USNRC, St. Lucie Plant 9702030207 970%28 PDR     ADOCK 05000335 8                     PDR an FPL Group company
i ENCL t SIZE: l0 TITLE: General (50 Dkt)-Insp Rept/Notice
 
of Violation Response NOTES: DOCKET I 05000335 E RECIPIENT ID CODE/NAME PD2-3 PD INTERNAL: ACRS NRR/DRPM/PERB
L-97416 Attachment Technical Specification 6.8.1.a, requires that written procedures shall be established, implemented and maintained covering the activities recommended in appendix A of Regulatory Guide 1.33, Revision 2, February 1978. Appendix A, paragraph 7 of RG 1.33 requires procedures for calibration of area, process, portable and airborne radiation monitors.
OE DIR RGN2 FILE 01 TERNAL: LITCO BRYCEPJ H NRC PDR COPIES LTTR ENCL 1 1 2 2 1 1 1 1 1 1 1 1 1 1 1 1 1 1 1 1 RECIPIENT ID CODE/NAME WIENS,L.AEOD/SPD/RAB
I&C Procedure No 1-1220053, "Calibration of the Control Room Outside Air Intake Monitors," Rev 2, dated September 15, 1994, provides instructions for calibrating the control room outside air intake radiation monitors.
DEDRO NRR/DISP/PIPB
Step 7.1 of I&C Procedure no 1-1220053, states a completed copy of this procedure shall be maintained in the plant files in accordance with QI 17-PR/PSL-1, "Quality Assurance Records."
NRR/DRPM/PECB
Step 7.2 states a copy of the assay report for the radiation check sources and data sheets associated with this procedure should be retained and included as a calibration package upon completion.
NUDOCS-ABSTRACT
if Step 9.3.10, of I&C Procedure No 1-1220053, required, in part, that the high if voltage is adjusted more than 50 volts, or a new detector is installed or monitor cannot be adjusted to within   J 10% tolerance go to step 9.4 New Calibration.
OGC/HDS3 NOAC COPIES LTTR ENCL 1 1 1 1 1 1 1 1 1 1 1 1 1 1 1 1 D N N OTE TO ALL"RIDS" RECIPIENTS:
Step 9.4, of I&C Procedure No 1-1220053, described the process for performing a primary calibration and required, in part, the performance of a high voltage plateau for determining operating voltage for the detector. The procedure also required the introduction of known radioactive gas in various activity levels to develop an efficiency curve in pCi/cc vs cpm for the new detector. At least 4 points were required on the graph.
PLEASE HELP US TO REDUCE WASTE!CONTACT THE DOCUMENT CONTROL DESK, ROOM OWFN SD-5(EXT.4l5-2083)TO ELIMINATE YOUR NAME FROM DISTRIBUTION
Contrary to the above, on April 11, 1995, the licensee replaced the detector for the Unit 1 RE-26-47 Control Room Outside Air Intake Monitor and failed to adequately perform the primary calibration in accordance with I&C Procedure No 1-1220053, in that; the licensee failed to develop an efficiency curve with at least four calibration points of known quantities of radioactive material as required by step 9.4 of the procedure; and the licensee failed to maintain calibration documentation as required by steps 7.1 and 7.2 of procedure.
LISTS FOR DOCUMENTS YOU DON'T NEED!TOTAL NUMBER OF COPIES REQUIRED: LTTR 19 ENCL 19
 
r.<
'-97-016 turb ~s nt
Florida Powers Light Company, i.u.Box128, Fort Pierce.FL34954-0120
    >nlv " a k~tirp n   'E n(ntinn This is a Severity Level IV violation (Supplement IV) applicable to Unit 1 only.
@PL January 28, 1997 L-9716 10 CFR 2.201 U.S.Nuclear Regulatory
: 1.     FPL concurs with the violation.
Commission
2.
Attn: Document Control Desk Washington, D.C.20555 Re: St.Lucie Unit 1 Docket No.50-335 Reply to a Notice of Violation Florida Power and Light Company has reviewed the subject Notice of Violation and, pursuant to 10 CFR 2.201, the responses to the violations
The cause of the violation was personnel error on the part of a utility Instrument and Control (1&C) Technician who failed to strictly adhere to an approved plant procedure (1-1220053) requiring the performance and documentation of a primary calibration of the Control Room Outside Air Intake Radiation Monitor (RE-26-47). The technician did not demonstrate a thorough awareness of the importance and the specific requirements related to the implementation of the calibration procedure.
are attached.The subject inspection
A.       Since the time of this violation (April 1995) FPL has adopted a policy of verbatim compliance with procedural instructions at St. Lucie Plant. The policy applies to all plant personnel and is currently incorporated in the St. Lucie Plant Quality Instructions.
report was dated December 23, 1996, with a response to the Notice of Violation required within 30 days of that date, i.e., by January 22, 1997.FPL received Integrated
B.       The Control Room Outside Air Intake Monitor (RE-26-47) was removed from service on January 6, 1997, pending the performance of a primary calibration of the instrument, and a redundant channel (RE-26-46) was selected for use.
Inspection
C.       A primary calibration was performed using revised I&C Procedure 1-1220053, and a functional test was completed for Control Room Outside Air Intake Monitor RE-26-47. The monitor was returned to service on January 21, 1997.
Report No.96-17 on December 30, 1996.The seven day delay in the receipt of the inspection
4.
report and Notice of Violation by FPL was discussed with Caudle A.Julian (USNRC/Region
A.       The current site philosophy regarding verbatim compliance and procedural adherence was reinforced to the I&C personnel involved in this event, which actually occurred in April 1995.
IQ and Edward Weinkam (FPL)on January 9, 1997.In accordance
B.       Since the time of this violation (April 1995) FPL has implemented several key actions to improve personnel performance, including procedure adherence, at St. Lucie Plant. These actions have included increased management oversight,
with the response relief discussed in the Notice of Violation, Mr.Julian granted an extension to the required response date.Very truly yours, T.F.Plunkett President Nuclear Division TFP/JAS/EJW
 
Attachment
L-97-016 Attachment reinforcement of management expectations at the supervisory level, and development of guidelines for assessing and improving employee performance.
cc: Regional Administrator, USNRC, Region II Senior Resident Inspector, USNRC, St.Lucie Plant 9702030207
FPL is continuing to reinforce high standards of personal accountability, including procedural adherence, to plant personnel at St. Lucie.
970%28 PDR ADOCK 05000335 8 PDR an FPL Group company  
C.      This violation will be incorporated into the events training program materials for St. Lucie maintenance personnel to reinforce the expectation for verbatim procedure compliance and the importance of maintaining documentation as required by procedures. This action will be completed by March 31, 1997.
L-97416 Attachment
: 5. Full Compliance was achieved on January 21, 1997, with the completion of Item 3C, above.
Technical Specification
Technical Specification 6.8.1.a, requires that written procedures shall be established, implemented and maintained covering the activities recommended in appendix A of Regulatory Guide 1.33, Revision 2, February 1978. Appendix A, paragraph 7 of RG 1.33 requires procedures for calibration of area, process, portable and airborne radiation monitors.
6.8.1.a, requires that written procedures
ISAAC Procedure No 1-1220053, "Calibration of the Control Room Outside Air Intake Monitors," Rev 2, dated September 15, 1994, provides instructions for calibrating the control room outside air intake radiation monitors.
shall be established, implemented
Contrary to the above, the procedure for calibrating the control room outside air intake radiation monitors was inadequate, in that, on April 11, 1995, the procedure did not provide sufficient guidance for the documentation of instrument calibration. The calibration records necessary to provide sufficient documentation to demonstrate that a primary calibration had been performed were not clearly specified by the procedure.
and maintained
This is a Severity Level IV violation (Supplement IV) applicable to Unit    1 only.
covering the activities
1 ~  FPL concurs with the violation.
recommended
 
in appendix A of Regulatory
I  97-016 Attachment 2.
Guide 1.33, Revision 2, February 1978.Appendix A, paragraph 7 of RG 1.33 requires procedures
The cause of the violation was personnel error, in that sufficient guidance regarding required documentation records was not incorporated during the original development of Prouxiure 1-1220053, "Calibration of the Control Room Outside Air Intake Monitors," which was written in 1989. Specifically, high voltage and primary curve plots were not properly identified as records which were required to be maintained following the performance of a primary calibration on this instrumentation.
for calibration
3.
of area, process, portable and airborne radiation monitors.I&C Procedure No 1-1220053,"Calibration
A.      I&C Procedure 1-1220053, "Calibration of the Control Room Outside Air Intake Monitor's" was revised to more clearly specify the requirements for maintaining sufficient documentation as a record when a primary calibration has been performed. The procedure change was approved on January 10, 1997.
of the Control Room Outside Air Intake Monitors," Rev 2, dated September 15, 1994, provides instructions
B.      The Control Room Outside Air Intake Monitor (RE-26-47) was removed from service on January 6, 1997, and a redundant channel (RE-26-46) was selected for use. A primary calibration was subsequently performed using revised I&C procedure 1-1220053 and the monitor was returned to service January 21, 1997.
for calibrating
4.
the control room outside air intake radiation monitors.Step 7.1 of I&C Procedure no 1-1220053, states a completed copy of this procedure shall be maintained
A.      FPL has identified several additional procedures for review which are currently being used by I&C to calibrate and functionally test radiation monitoring instrumentation. These procedures will be reviewed to ensure that proper guidance is included to describe the documentation required to be maintained as a quality record. This action will be completed by February 28, 1997.
in the plant files in accordance
B.      Recent self assessment activities performed by FPL have identified that procedural improvements are necessary to improve the level of detail provided in plant procedures. FPL has initiated actions to address the weaknesses which were identified by the above self assessment and to ensure that current procedure upgrade initiatives are adequately supported, staffed and directed.
with QI 17-PR/PSL-1,"Quality Assurance Records." Step 7.2 states a copy of the assay report for the radiation check sources and data sheets associated
: 5. Full compliance was achieved January    10, 1997, with the completion of Item 3A, above.
with this procedure should be retained and included as a calibration
 
package upon completion.
L-97-016 Attachment 5lialatioiij Technical Specification 6.3.1 states each member of the unit staff shall meet or exceed the minimum qualifications of ANSI/ANS-3.1-1978.
Step 9.3.10, of I&C Procedure No 1-1220053, required, in part, that if the high voltage is adjusted more than 50 volts, or a new detector is installed or if monitor cannot be adjusted to within J 10%tolerance go to step 9.4 New Calibration.
Technical Specification 6.4.1 states a retraining and replacement training program for the unit staff shall be maintained under the direction of the Training Manager and shall meet or exceed the requirements and recommendations of Section 5.5 of ANSUANS-3.1 1978 and 10 CFR Part 55 and the supplemental requirement specified in Sections A and C of Enclosure 1 of the March 28, 1980 NRC letter to all licensees, and shall include familiarization with relevant industry operational experience.
Step 9.4, of I&C Procedure No 1-1220053, described the process for performing
Licensee procedure QI 2-PR/PSL-2, "Indoctrination and Training of St Lucie Plant Personnel," revision 23, dated October 23, 1996, states the instruction shall apply but not be limited to training in several general areas, including 6.0 Job Specific Technical Training.
a primary calibration
Section 4.1, states the Training Manager shall be responsible to the Plant General Manager for the establishment and coordination of training activities as required by St.
and required, in part, the performance
Lucie Plant Technical Specifications, Section 6.4 and as required to meet regulatory
of a high voltage plateau for determining
                                                                                                'equirements.
operating voltage for the detector.The procedure also required the introduction
Section 4.3.2 states that department heads shall be responsible for approving department personnel qualification standards, appropriate for the duties to be performed.
of known radioactive
Section 4.3.3 states that Department Heads shall ensure that personnel performing activities affecting quality receive departmental training commensurate with the work performed prior to performing those activities or are performing those activities under the supervision of a trained individual until the required training is complete.
gas in various activity levels to develop an efficiency
Contrary to the above, on July 1, 1996, licensee personnel assigned I&C personnel the responsibilities to calibrate Unit 1 plant radiation monitoring instrumentation utilized to perform certain plant process controls, radiological monitoring and continuous effluent monitoring functions that were not fully trained and qualified to perform those functions in accordance with the licensee s training program.
curve in pCi/cc vs cpm for the new detector.At least 4 points were required on the graph.Contrary to the above, on April 11, 1995, the licensee replaced the detector for the Unit 1 RE-26-47 Control Room Outside Air Intake Monitor and failed to adequately
This is a Severity Level IV violation (Supplement IV) applicable to Unit    1 only,
perform the primary calibration
 
in accordance
with I&C Procedure No 1-1220053, in that;the licensee failed to develop an efficiency
curve with at least four calibration
points of known quantities
of radioactive
material as required by step 9.4 of the procedure;
and the licensee failed to maintain calibration
documentation
as required by steps 7.1 and 7.2 of procedure.  
'-97-016 turb~s nt>nlv" a k~tirp n'E n(ntinn This is a Severity Level IV violation (Supplement
IV)applicable
to Unit 1 only.1.FPL concurs with the violation.
2.The cause of the violation was personnel error on the part of a utility Instrument
and Control (1&C)Technician
who failed to strictly adhere to an approved plant procedure (1-1220053)
requiring the performance
and documentation
of a primary calibration
of the Control Room Outside Air Intake Radiation Monitor (RE-26-47).
The technician
did not demonstrate
a thorough awareness of the importance
and the specific requirements
related to the implementation
of the calibration
procedure.
A.Since the time of this violation (April 1995)FPL has adopted a policy of verbatim compliance
with procedural
instructions
at St.Lucie Plant.The policy applies to all plant personnel and is currently incorporated
in the St.Lucie Plant Quality Instructions.
B.The Control Room Outside Air Intake Monitor (RE-26-47)
was removed from service on January 6, 1997, pending the performance
of a primary calibration
of the instrument, and a redundant channel (RE-26-46)
was selected for use.C.A primary calibration
was performed using revised I&C Procedure 1-1220053, and a functional
test was completed for Control Room Outside Air Intake Monitor RE-26-47.The monitor was returned to service on January 21, 1997.4.A.The current site philosophy
regarding verbatim compliance
and procedural
adherence was reinforced
to the I&C personnel involved in this event, which actually occurred in April 1995.B.Since the time of this violation (April 1995)FPL has implemented
several key actions to improve personnel performance, including procedure adherence, at St.Lucie Plant.These actions have included increased management
oversight,
L-97-016 Attachment
L-97-016 Attachment
reinforcement
: 1. FPL concurs with the violation.
of management
2.
expectations
The cause of this violation was the ineffective transfer of accountability for the Unit 1 radiation monitoring instrumentation from Chemistry and Health Physics Departments to the I&C Department prior to ensuring that the affected I&C personnel had completed all appropriate training qualifications. Training for the subject I&C personnel had been scheduled to be implemented and was postponed by the I&C system supervisor due to work priorities. A subsequent verification was not made by I&C supervision to verify that personnel had been fully trained prior to receiving responsibility for the above instrumentation.
at the supervisory
A.     A revised schedule was implemented for the completion of the specific training and qualification required for I&C personnel responsible for performing radiation monitor calibration and testing. The above training for these personnel will be completed by March 31, 1997, following a review of the associated I&C procedures.
level, and development
B.      A supervisor's meeting was held by the I&C Department head to address and emphasize the requirements for obtaining prior department head approval of changes to scheduled training and ensuring that all personnel are properly and currently trained to perform the tasks which they are assigned. I&C personnel performing radiation monitoring calibrations, and functional checks were required to work under additional supervisory oversight pending the completion of the appropriate qualification training.
of guidelines
C.     Appropriate Training personnel were counseled on the importance of informing management when training or qualification requirements are not being adequately met.
for assessing and improving employee performance.
4.
FPL is continuing
A.     The required training and qualification of I&C personnel responsible for performing calibration and testing of radiation monitoring instrumentation will
to reinforce high standards of personal accountability, including procedural
 
adherence, to plant personnel at St.Lucie.C.This violation will be incorporated
L-97-016 Attachment be completed by March 31, 1997. Additional supervisory oversight is being provided until the above training has been completed.
into the events training program materials for St.Lucie maintenance
B.      St. Lucie Training Department implemented a program in which the managers of each department are informed, on a weekly basis, of training which is scheduled for their personnel. As part of this process, weekly attendance is presented to the department managers, who are notified of any individuals who have not attended the scheduled training.
personnel to reinforce the expectation
C. The St. Lucie Maintenance Manager required that department heads review and concur with any changes to scheduled training and ensure that personnel in their departments are fully qualified to perform the tasks which they have been assigned.
for verbatim procedure compliance
D.      Training Department guidelines and administrative requirements will be enhanced to require that qualification training be completed for individuals who are performing new tasks, and to better define the responsibility for ensuring that training is achieved prior to the transfer of task accountability. This action will be completed by March 31, 1997.
and the importance
E.     A recent FPL self-assessment initiative recognized that the transfer of responsibilities at St. Lucie was not always properly evaluated prior to implementing site organizational changes. FPL has since initiated action to address the weaknesses identified in the "Change Management" process at St.
of maintaining
Lucie and ensure that the impact of future organizational change is properly assessed, so that the definition of responsibilities, adequate training, and resources are in place prior to implementing such changes,
documentation
: 5. Full compliance will be achieved by March 31, 1997, with the completion of the training described in Item 4A, above.
as required by procedures.
Technical Specification 6,8.1.a requires that written procedures be established, implemented, and maintained covering the activities recommended in Appendix A of Regulatory Guide 1.33, Revision 2, February, 1978. Appendix A, paragraph l.d includes administrative procedures for procedural adherence. Procedure QI 5-PR/PSL-1, Revision 73, "Preparation, Revision, Review/Approval Of Procedures," section 5.14.1 requires verbatim compliance to procedures by all personnel.
This action will be completed by March 31, 1997.5.Full Compliance
 
was achieved on January 21, 1997, with the completion
0 L-97-016 Attachment Operating Surveillance Procedure 64.01, Revision 16, "Reactor Engineering Periodic Tests, Checks and Calibrations," Appendix 7, "Reactivity Deviation From Design,"
of Item 3C, above.Technical Specification
required that reactivity deviation results be documented in the Unit 1 Plant Physics Curve Book, Figure B.3, "Reactivity Deviation Log," upon completion of the determination of reactivity defect.
6.8.1.a, requires that written procedures
Contrary to the above, the reactivity deviation calculation performed on October 8, 1996, was not documented in the Unit 1 Plant Physics Curve Book. This resulted in operators using an incorrect reactivity deviation in two Shutdown Margin Verifications performed on October 31 and November 1, 1996.
shall be established, implemented
This is a Severity Level  IV violation (Supplement I) applicable  to Unit 1 only.
and maintained
Bespot&
covering the activities
: 1. FPL concurs with the violation.
recommended
2.
in appendix A of Regulatory
The cause of the violation was personnel error on the part of Reactor Engineering personnel who failed to update the Unit 1 Plant Physics Curve Book in accordance with procedural requirements following performance of a monthly surveillance. The procedure violation occurred when the Plant Physics Curve Book was not immediately updated with the current data after the reactivity deviation value was calculated as required by Operating Surveillance Procedure (OSP) 64.01. The Reactor Engineer performing the surveillance failed to execute proper follow-up and verify that the data was properly recorded in the Plant Physics Curve Book prior to closing the corresponding surveillance procedure.
Guide 1.33, Revision 2, February 1978.Appendix A, paragraph 7 of RG 1.33 requires procedures
3.
for calibration
A.     A Condition Report (CR) was written on November 5, 1996, to evaluate the cause of the event  and to determine the appropriate corrective actions.
of area, process, portable and airborne radiation monitors.ISAAC Procedure No 1-1220053,"Calibration
B.     The Unit 1 Control Room plant physics data was updated to reflect the current value for reactivity deviation, in accordance with procedure, following discovery of the above condition on November 5, 1996.
of the Control Room Outside Air Intake Monitors," Rev 2, dated September 15, 1994, provides instructions
C.     A review of the Plant Physics Curve Books for both St. Lucie Units    1 and 2
for calibrating
 
the control room outside air intake radiation monitors.Contrary to the above, the procedure for calibrating
I 97-016 Attachment BepLy  tomHoticeafYialatian was performed to ensure that no additional missing data existed. No other missing data was identified during the review.
the control room outside air intake radiation monitors was inadequate, in that, on April 11, 1995, the procedure did not provide sufficient
4, A. Reactor Engineering performed a self assessment of the process in place for updating information in the Plant Physics Curve Books. As a result of this assessment, a detailed verification checklist was developed for use in performing the Plant Physics Curve Book updates.
guidance for the documentation
B. The Reactor Engineering Schedule of Periodic Tests and Reports, AP-0010127, was revised to require that a weekly review of the Plant Physics Curve Book be performed to verify that reactor physics data contained in the book are current.
of instrument
C. A meeting  was held with the responsible Reactor Engineering personnel, the President of the Nuclear Division and the Vice President of Nuclear Engineering to discuss this event and the expectations of FPL management with regard to personnel performance.
calibration.
D. The personnel involved in the failure to properly update the reactivity deviation information received appropriate disciplinary action in accordance with FPL policy.
The calibration
: 5.     Full compliance was achieved on November 5, 1996, with the completion of Item 3B, above.}}
records necessary to provide sufficient
documentation
to demonstrate
that a primary calibration
had been performed were not clearly specified by the procedure.
This is a Severity Level IV violation (Supplement
IV)applicable
to Unit 1 only.1~FPL concurs with the violation.
I 97-016 Attachment
2.The cause of the violation was personnel error, in that sufficient
guidance regarding required documentation
records was not incorporated
during the original development
of Prouxiure 1-1220053,"Calibration
of the Control Room Outside Air Intake Monitors," which was written in 1989.Specifically, high voltage and primary curve plots were not properly identified
as records which were required to be maintained
following the performance
of a primary calibration
on this instrumentation.
3.A.I&C Procedure 1-1220053,"Calibration
of the Control Room Outside Air Intake Monitor's" was revised to more clearly specify the requirements
for maintaining
sufficient
documentation
as a record when a primary calibration
has been performed.
The procedure change was approved on January 10, 1997.B.The Control Room Outside Air Intake Monitor (RE-26-47)
was removed from service on January 6, 1997, and a redundant channel (RE-26-46)
was selected for use.A primary calibration
was subsequently
performed using revised I&C procedure 1-1220053 and the monitor was returned to service January 21, 1997.4.A.FPL has identified
several additional
procedures
for review which are currently being used by I&C to calibrate and functionally
test radiation monitoring
instrumentation.
These procedures
will be reviewed to ensure that proper guidance is included to describe the documentation
required to be maintained
as a quality record.This action will be completed by February 28, 1997.B.Recent self assessment
activities
performed by FPL have identified
that procedural
improvements
are necessary to improve the level of detail provided in plant procedures.
FPL has initiated actions to address the weaknesses
which were identified
by the above self assessment
and to ensure that current procedure upgrade initiatives
are adequately
supported, staffed and directed.5.Full compliance
was achieved January 10, 1997, with the completion
of Item 3A, above.  
L-97-016 Attachment
5lialatioiij
Technical Specification
6.3.1 states each member of the unit staff shall meet or exceed the minimum qualifications
of ANSI/ANS-3.1-1978.
Technical Specification
6.4.1 states a retraining
and replacement
training program for the unit staff shall be maintained
under the direction of the Training Manager and shall meet or exceed the requirements
and recommendations
of Section 5.5 of ANSUANS-3.1 1978 and 10 CFR Part 55 and the supplemental
requirement
specified in Sections A and C of Enclosure 1 of the March 28, 1980 NRC letter to all licensees, and shall include familiarization
with relevant industry operational
experience.
Licensee procedure QI 2-PR/PSL-2,"Indoctrination
and Training of St Lucie Plant Personnel," revision 23, dated October 23, 1996, states the instruction
shall apply but not be limited to training in several general areas, including 6.0 Job Specific Technical Training.Section 4.1, states the Training Manager shall be responsible
to the Plant General Manager for the establishment
and coordination
of training activities
as required by St.Lucie Plant Technical Specifications, Section 6.4 and as required to meet regulatory
'equirements.
Section 4.3.2 states that department
heads shall be responsible
for approving department
personnel qualification
standards, appropriate
for the duties to be performed.
Section 4.3.3 states that Department
Heads shall ensure that personnel performing
activities
affecting quality receive departmental
training commensurate
with the work performed prior to performing
those activities
or are performing
those activities
under the supervision
of a trained individual
until the required training is complete.Contrary to the above, on July 1, 1996, licensee personnel assigned I&C personnel the responsibilities
to calibrate Unit 1 plant radiation monitoring
instrumentation
utilized to perform certain plant process controls, radiological
monitoring
and continuous
effluent monitoring
functions that were not fully trained and qualified to perform those functions in accordance
with the licensee s training program.This is a Severity Level IV violation (Supplement
IV)applicable
to Unit 1 only,
L-97-016 Attachment
1.FPL concurs with the violation.
2.The cause of this violation was the ineffective
transfer of accountability
for the Unit 1 radiation monitoring
instrumentation
from Chemistry and Health Physics Departments
to the I&C Department
prior to ensuring that the affected I&C personnel had completed all appropriate
training qualifications.
Training for the subject I&C personnel had been scheduled to be implemented
and was postponed by the I&C system supervisor
due to work priorities.
A subsequent
verification
was not made by I&C supervision
to verify that personnel had been fully trained prior to receiving responsibility
for the above instrumentation.
A.A revised schedule was implemented
for the completion
of the specific training and qualification
required for I&C personnel responsible
for performing
radiation monitor calibration
and testing.The above training for these personnel will be completed by March 31, 1997, following a review of the associated
I&C procedures.
B.A supervisor's
meeting was held by the I&C Department
head to address and emphasize the requirements
for obtaining prior department
head approval of changes to scheduled training and ensuring that all personnel are properly and currently trained to perform the tasks which they are assigned.I&C personnel performing
radiation monitoring
calibrations, and functional
checks were required to work under additional
supervisory
oversight pending the completion
of the appropriate
qualification
training.C.Appropriate
Training personnel were counseled on the importance
of informing management
when training or qualification
requirements
are not being adequately
met.4.A.The required training and qualification
of I&C personnel responsible
for performing
calibration
and testing of radiation monitoring
instrumentation
will
L-97-016 Attachment
be completed by March 31, 1997.Additional
supervisory
oversight is being provided until the above training has been completed.
B.St.Lucie Training Department
implemented
a program in which the managers of each department
are informed, on a weekly basis, of training which is scheduled for their personnel.
As part of this process, weekly attendance
is presented to the department
managers, who are notified of any individuals
who have not attended the scheduled training.C.The St.Lucie Maintenance
Manager required that department
heads review and concur with any changes to scheduled training and ensure that personnel in their departments
are fully qualified to perform the tasks which they have been assigned.D.Training Department
guidelines
and administrative
requirements
will be enhanced to require that qualification
training be completed for individuals
who are performing
new tasks, and to better define the responsibility
for ensuring that training is achieved prior to the transfer of task accountability.
This action will be completed by March 31, 1997.E.A recent FPL self-assessment
initiative
recognized
that the transfer of responsibilities
at St.Lucie was not always properly evaluated prior to implementing
site organizational
changes.FPL has since initiated action to address the weaknesses
identified
in the"Change Management" process at St.Lucie and ensure that the impact of future organizational
change is properly assessed, so that the definition
of responsibilities, adequate training, and resources are in place prior to implementing
such changes, 5.Full compliance
will be achieved by March 31, 1997, with the completion
of the training described in Item 4A, above.Technical Specification
6,8.1.a requires that written procedures
be established, implemented, and maintained
covering the activities
recommended
in Appendix A of Regulatory
Guide 1.33, Revision 2, February, 1978.Appendix A, paragraph l.d includes administrative
procedures
for procedural
adherence.
Procedure QI 5-PR/PSL-1, Revision 73,"Preparation, Revision, Review/Approval
Of Procedures," section 5.14.1 requires verbatim compliance
to procedures
by all personnel.
0 L-97-016 Attachment
Operating Surveillance
Procedure 64.01, Revision 16,"Reactor Engineering
Periodic Tests, Checks and Calibrations," Appendix 7,"Reactivity
Deviation From Design," required that reactivity
deviation results be documented
in the Unit 1 Plant Physics Curve Book, Figure B.3,"Reactivity
Deviation Log," upon completion
of the determination
of reactivity
defect.Contrary to the above, the reactivity
deviation calculation
performed on October 8, 1996, was not documented
in the Unit 1 Plant Physics Curve Book.This resulted in operators using an incorrect reactivity
deviation in two Shutdown Margin Verifications
performed on October 31 and November 1, 1996.This is a Severity Level IV violation (Supplement
I)applicable
to Unit 1 only.Bespot&1.FPL concurs with the violation.
2.The cause of the violation was personnel error on the part of Reactor Engineering
personnel who failed to update the Unit 1 Plant Physics Curve Book in accordance
with procedural
requirements
following performance
of a monthly surveillance.
The procedure violation occurred when the Plant Physics Curve Book was not immediately
updated with the current data after the reactivity
deviation value was calculated
as required by Operating Surveillance
Procedure (OSP)64.01.The Reactor Engineer performing
the surveillance
failed to execute proper follow-up and verify that the data was properly recorded in the Plant Physics Curve Book prior to closing the corresponding
surveillance
procedure.
3.A.A Condition Report (CR)was written on November 5, 1996, to evaluate the cause of the event and to determine the appropriate
corrective
actions.B.The Unit 1 Control Room plant physics data was updated to reflect the current value for reactivity
deviation, in accordance
with procedure, following discovery of the above condition on November 5, 1996.C.A review of the Plant Physics Curve Books for both St.Lucie Units 1 and 2
I 97-016 Attachment
BepLy tomHoticeafYialatian
was performed to ensure that no additional
missing data existed.No other missing data was identified
during the review.4, A.Reactor Engineering
performed a self assessment
of the process in place for updating information
in the Plant Physics Curve Books.As a result of this assessment, a detailed verification
checklist was developed for use in performing
the Plant Physics Curve Book updates.B.The Reactor Engineering
Schedule of Periodic Tests and Reports, AP-0010127, was revised to require that a weekly review of the Plant Physics Curve Book be performed to verify that reactor physics data contained in the book are current.C.A meeting was held with the responsible
Reactor Engineering
personnel, the President of the Nuclear Division and the Vice President of Nuclear Engineering
to discuss this event and the expectations
of FPL management
with regard to personnel performance.
D.The personnel involved in the failure to properly update the reactivity
deviation information
received appropriate
disciplinary
action in accordance
with FPL policy.5.Full compliance
was achieved on November 5, 1996, with the completion
of Item 3B, above.
}}

Latest revision as of 10:06, 16 November 2019

Responds to NRC 961223 Ltr Re Violations Noted in Insp Rept 50-335/96-17.Corrective Actions:Fpl Has Adopted Policy of Verbatim Compliance with Procedural Instructions at St Lucie Plant
ML17229A211
Person / Time
Site: Saint Lucie NextEra Energy icon.png
Issue date: 01/28/1997
From: Plunkett T
FLORIDA POWER & LIGHT CO.
To:
NRC OFFICE OF INFORMATION RESOURCES MANAGEMENT (IRM)
References
L-97-016, L-97-16, NUDOCS 9702030207
Download: ML17229A211 (13)


Text

CATEGORY 1 REGULATORY INFORMATION DISTRIBUTION SYSTEM (RIDS)

ACCESSION NBR:9702030207 DOC.DATE: 97/01/28 NOTARIZED: NO DOCKET I ACIL:50-335 St. Lucie Plant, Unit 1, Florida Power & Light Co. 05000335 AUTEUR.NAME AUTHOR AFFILIATION LUNKETT,T.F. Florida Power 6 Light Co.

RECIP.NAME RECIPIENT AFFILIATION Document Control Branch (Document Control Desk)

SUBJECT:

Responds to NRC 961223 ltr re violations noted in insp rept 50-335/96-17.Corrective actions:FPL has adopted policy of verbatim compliance with procedural instructions at St Lucie plant.

DISTRIBUTION CODE: ZEOZD COPIES RECEIVED:LTR i ENCL t SIZE: l0 TITLE: General (50 Dkt)-Insp Rept/Notice of Violation Response E

NOTES:

RECIPIENT COPIES RECIPIENT COPIES ID CODE/NAME LTTR ENCL ID CODE/NAME LTTR ENCL PD2-3 PD 1 1 WIENS,L. 1 1 INTERNAL: ACRS 2 2 AEOD/SPD/RAB 1 1 1 1 DEDRO 1 1 1 1 NRR/DISP/PIPB 1 1 1 1 NRR/DRPM/PECB 1 1 NRR/DRPM/PERB 1 1 NUDOCS-ABSTRACT 1 1 OE DIR 1 1 OGC/HDS3 1 1 RGN2 FILE 01 1 1 TERNAL: LITCO BRYCEPJ H 1 1 NOAC 1 1 D NRC PDR 1 1 N

N OTE TO ALL "RIDS" RECIPIENTS:

PLEASE HELP US TO REDUCE WASTE! CONTACT THE DOCUMENT CONTROL DESK, ROOM OWFN SD-5(EXT. 4l5-2083) TO ELIMINATE YOUR NAME FROM DISTRIBUTION LISTS FOR DOCUMENTS YOU DON'T NEED!

TOTAL NUMBER OF COPIES REQUIRED: LTTR 19 ENCL 19

r.<

Florida Powers Light Company, i.u. Box128, Fort Pierce. FL34954-0120 January 28, 1997

@PL L-9716 10 CFR 2.201 U. S. Nuclear Regulatory Commission Attn: Document Control Desk Washington, D. C. 20555 Re: St. Lucie Unit 1 Docket No. 50-335 Reply to a Notice of Violation Florida Power and Light Company has reviewed the subject Notice of Violation and, pursuant to 10 CFR 2.201, the responses to the violations are attached.

The subject inspection report was dated December 23, 1996, with a response to the Notice of Violation required within 30 days of that date, i.e., by January 22, 1997. FPL received Integrated Inspection Report No. 96-17 on December 30, 1996. The seven day delay in the receipt of the inspection report and Notice of Violation by FPL was discussed with Caudle A.

Julian (USNRC/Region IQ and Edward Weinkam (FPL) on January 9, 1997. In accordance with the response relief discussed in the Notice of Violation, Mr. Julian granted an extension to the required response date.

Very truly yours, T. F. Plunkett President Nuclear Division TFP/JAS/EJW Attachment cc: Regional Administrator, USNRC, Region II Senior Resident Inspector, USNRC, St. Lucie Plant 9702030207 970%28 PDR ADOCK 05000335 8 PDR an FPL Group company

L-97416 Attachment Technical Specification 6.8.1.a, requires that written procedures shall be established, implemented and maintained covering the activities recommended in appendix A of Regulatory Guide 1.33, Revision 2, February 1978. Appendix A, paragraph 7 of RG 1.33 requires procedures for calibration of area, process, portable and airborne radiation monitors.

I&C Procedure No 1-1220053, "Calibration of the Control Room Outside Air Intake Monitors," Rev 2, dated September 15, 1994, provides instructions for calibrating the control room outside air intake radiation monitors.

Step 7.1 of I&C Procedure no 1-1220053, states a completed copy of this procedure shall be maintained in the plant files in accordance with QI 17-PR/PSL-1, "Quality Assurance Records."

Step 7.2 states a copy of the assay report for the radiation check sources and data sheets associated with this procedure should be retained and included as a calibration package upon completion.

if Step 9.3.10, of I&C Procedure No 1-1220053, required, in part, that the high if voltage is adjusted more than 50 volts, or a new detector is installed or monitor cannot be adjusted to within J 10% tolerance go to step 9.4 New Calibration.

Step 9.4, of I&C Procedure No 1-1220053, described the process for performing a primary calibration and required, in part, the performance of a high voltage plateau for determining operating voltage for the detector. The procedure also required the introduction of known radioactive gas in various activity levels to develop an efficiency curve in pCi/cc vs cpm for the new detector. At least 4 points were required on the graph.

Contrary to the above, on April 11, 1995, the licensee replaced the detector for the Unit 1 RE-26-47 Control Room Outside Air Intake Monitor and failed to adequately perform the primary calibration in accordance with I&C Procedure No 1-1220053, in that; the licensee failed to develop an efficiency curve with at least four calibration points of known quantities of radioactive material as required by step 9.4 of the procedure; and the licensee failed to maintain calibration documentation as required by steps 7.1 and 7.2 of procedure.

'-97-016 turb ~s nt

>nlv " a k~tirp n 'E n(ntinn This is a Severity Level IV violation (Supplement IV) applicable to Unit 1 only.

1. FPL concurs with the violation.

2.

The cause of the violation was personnel error on the part of a utility Instrument and Control (1&C) Technician who failed to strictly adhere to an approved plant procedure (1-1220053) requiring the performance and documentation of a primary calibration of the Control Room Outside Air Intake Radiation Monitor (RE-26-47). The technician did not demonstrate a thorough awareness of the importance and the specific requirements related to the implementation of the calibration procedure.

A. Since the time of this violation (April 1995) FPL has adopted a policy of verbatim compliance with procedural instructions at St. Lucie Plant. The policy applies to all plant personnel and is currently incorporated in the St. Lucie Plant Quality Instructions.

B. The Control Room Outside Air Intake Monitor (RE-26-47) was removed from service on January 6, 1997, pending the performance of a primary calibration of the instrument, and a redundant channel (RE-26-46) was selected for use.

C. A primary calibration was performed using revised I&C Procedure 1-1220053, and a functional test was completed for Control Room Outside Air Intake Monitor RE-26-47. The monitor was returned to service on January 21, 1997.

4.

A. The current site philosophy regarding verbatim compliance and procedural adherence was reinforced to the I&C personnel involved in this event, which actually occurred in April 1995.

B. Since the time of this violation (April 1995) FPL has implemented several key actions to improve personnel performance, including procedure adherence, at St. Lucie Plant. These actions have included increased management oversight,

L-97-016 Attachment reinforcement of management expectations at the supervisory level, and development of guidelines for assessing and improving employee performance.

FPL is continuing to reinforce high standards of personal accountability, including procedural adherence, to plant personnel at St. Lucie.

C. This violation will be incorporated into the events training program materials for St. Lucie maintenance personnel to reinforce the expectation for verbatim procedure compliance and the importance of maintaining documentation as required by procedures. This action will be completed by March 31, 1997.

5. Full Compliance was achieved on January 21, 1997, with the completion of Item 3C, above.

Technical Specification 6.8.1.a, requires that written procedures shall be established, implemented and maintained covering the activities recommended in appendix A of Regulatory Guide 1.33, Revision 2, February 1978. Appendix A, paragraph 7 of RG 1.33 requires procedures for calibration of area, process, portable and airborne radiation monitors.

ISAAC Procedure No 1-1220053, "Calibration of the Control Room Outside Air Intake Monitors," Rev 2, dated September 15, 1994, provides instructions for calibrating the control room outside air intake radiation monitors.

Contrary to the above, the procedure for calibrating the control room outside air intake radiation monitors was inadequate, in that, on April 11, 1995, the procedure did not provide sufficient guidance for the documentation of instrument calibration. The calibration records necessary to provide sufficient documentation to demonstrate that a primary calibration had been performed were not clearly specified by the procedure.

This is a Severity Level IV violation (Supplement IV) applicable to Unit 1 only.

1 ~ FPL concurs with the violation.

I 97-016 Attachment 2.

The cause of the violation was personnel error, in that sufficient guidance regarding required documentation records was not incorporated during the original development of Prouxiure 1-1220053, "Calibration of the Control Room Outside Air Intake Monitors," which was written in 1989. Specifically, high voltage and primary curve plots were not properly identified as records which were required to be maintained following the performance of a primary calibration on this instrumentation.

3.

A. I&C Procedure 1-1220053, "Calibration of the Control Room Outside Air Intake Monitor's" was revised to more clearly specify the requirements for maintaining sufficient documentation as a record when a primary calibration has been performed. The procedure change was approved on January 10, 1997.

B. The Control Room Outside Air Intake Monitor (RE-26-47) was removed from service on January 6, 1997, and a redundant channel (RE-26-46) was selected for use. A primary calibration was subsequently performed using revised I&C procedure 1-1220053 and the monitor was returned to service January 21, 1997.

4.

A. FPL has identified several additional procedures for review which are currently being used by I&C to calibrate and functionally test radiation monitoring instrumentation. These procedures will be reviewed to ensure that proper guidance is included to describe the documentation required to be maintained as a quality record. This action will be completed by February 28, 1997.

B. Recent self assessment activities performed by FPL have identified that procedural improvements are necessary to improve the level of detail provided in plant procedures. FPL has initiated actions to address the weaknesses which were identified by the above self assessment and to ensure that current procedure upgrade initiatives are adequately supported, staffed and directed.

5. Full compliance was achieved January 10, 1997, with the completion of Item 3A, above.

L-97-016 Attachment 5lialatioiij Technical Specification 6.3.1 states each member of the unit staff shall meet or exceed the minimum qualifications of ANSI/ANS-3.1-1978.

Technical Specification 6.4.1 states a retraining and replacement training program for the unit staff shall be maintained under the direction of the Training Manager and shall meet or exceed the requirements and recommendations of Section 5.5 of ANSUANS-3.1 1978 and 10 CFR Part 55 and the supplemental requirement specified in Sections A and C of Enclosure 1 of the March 28, 1980 NRC letter to all licensees, and shall include familiarization with relevant industry operational experience.

Licensee procedure QI 2-PR/PSL-2, "Indoctrination and Training of St Lucie Plant Personnel," revision 23, dated October 23, 1996, states the instruction shall apply but not be limited to training in several general areas, including 6.0 Job Specific Technical Training.

Section 4.1, states the Training Manager shall be responsible to the Plant General Manager for the establishment and coordination of training activities as required by St.

Lucie Plant Technical Specifications, Section 6.4 and as required to meet regulatory

'equirements.

Section 4.3.2 states that department heads shall be responsible for approving department personnel qualification standards, appropriate for the duties to be performed.

Section 4.3.3 states that Department Heads shall ensure that personnel performing activities affecting quality receive departmental training commensurate with the work performed prior to performing those activities or are performing those activities under the supervision of a trained individual until the required training is complete.

Contrary to the above, on July 1, 1996, licensee personnel assigned I&C personnel the responsibilities to calibrate Unit 1 plant radiation monitoring instrumentation utilized to perform certain plant process controls, radiological monitoring and continuous effluent monitoring functions that were not fully trained and qualified to perform those functions in accordance with the licensee s training program.

This is a Severity Level IV violation (Supplement IV) applicable to Unit 1 only,

L-97-016 Attachment

1. FPL concurs with the violation.

2.

The cause of this violation was the ineffective transfer of accountability for the Unit 1 radiation monitoring instrumentation from Chemistry and Health Physics Departments to the I&C Department prior to ensuring that the affected I&C personnel had completed all appropriate training qualifications. Training for the subject I&C personnel had been scheduled to be implemented and was postponed by the I&C system supervisor due to work priorities. A subsequent verification was not made by I&C supervision to verify that personnel had been fully trained prior to receiving responsibility for the above instrumentation.

A. A revised schedule was implemented for the completion of the specific training and qualification required for I&C personnel responsible for performing radiation monitor calibration and testing. The above training for these personnel will be completed by March 31, 1997, following a review of the associated I&C procedures.

B. A supervisor's meeting was held by the I&C Department head to address and emphasize the requirements for obtaining prior department head approval of changes to scheduled training and ensuring that all personnel are properly and currently trained to perform the tasks which they are assigned. I&C personnel performing radiation monitoring calibrations, and functional checks were required to work under additional supervisory oversight pending the completion of the appropriate qualification training.

C. Appropriate Training personnel were counseled on the importance of informing management when training or qualification requirements are not being adequately met.

4.

A. The required training and qualification of I&C personnel responsible for performing calibration and testing of radiation monitoring instrumentation will

L-97-016 Attachment be completed by March 31, 1997. Additional supervisory oversight is being provided until the above training has been completed.

B. St. Lucie Training Department implemented a program in which the managers of each department are informed, on a weekly basis, of training which is scheduled for their personnel. As part of this process, weekly attendance is presented to the department managers, who are notified of any individuals who have not attended the scheduled training.

C. The St. Lucie Maintenance Manager required that department heads review and concur with any changes to scheduled training and ensure that personnel in their departments are fully qualified to perform the tasks which they have been assigned.

D. Training Department guidelines and administrative requirements will be enhanced to require that qualification training be completed for individuals who are performing new tasks, and to better define the responsibility for ensuring that training is achieved prior to the transfer of task accountability. This action will be completed by March 31, 1997.

E. A recent FPL self-assessment initiative recognized that the transfer of responsibilities at St. Lucie was not always properly evaluated prior to implementing site organizational changes. FPL has since initiated action to address the weaknesses identified in the "Change Management" process at St.

Lucie and ensure that the impact of future organizational change is properly assessed, so that the definition of responsibilities, adequate training, and resources are in place prior to implementing such changes,

5. Full compliance will be achieved by March 31, 1997, with the completion of the training described in Item 4A, above.

Technical Specification 6,8.1.a requires that written procedures be established, implemented, and maintained covering the activities recommended in Appendix A of Regulatory Guide 1.33, Revision 2, February, 1978. Appendix A, paragraph l.d includes administrative procedures for procedural adherence. Procedure QI 5-PR/PSL-1, Revision 73, "Preparation, Revision, Review/Approval Of Procedures," section 5.14.1 requires verbatim compliance to procedures by all personnel.

0 L-97-016 Attachment Operating Surveillance Procedure 64.01, Revision 16, "Reactor Engineering Periodic Tests, Checks and Calibrations," Appendix 7, "Reactivity Deviation From Design,"

required that reactivity deviation results be documented in the Unit 1 Plant Physics Curve Book, Figure B.3, "Reactivity Deviation Log," upon completion of the determination of reactivity defect.

Contrary to the above, the reactivity deviation calculation performed on October 8, 1996, was not documented in the Unit 1 Plant Physics Curve Book. This resulted in operators using an incorrect reactivity deviation in two Shutdown Margin Verifications performed on October 31 and November 1, 1996.

This is a Severity Level IV violation (Supplement I) applicable to Unit 1 only.

Bespot&

1. FPL concurs with the violation.

2.

The cause of the violation was personnel error on the part of Reactor Engineering personnel who failed to update the Unit 1 Plant Physics Curve Book in accordance with procedural requirements following performance of a monthly surveillance. The procedure violation occurred when the Plant Physics Curve Book was not immediately updated with the current data after the reactivity deviation value was calculated as required by Operating Surveillance Procedure (OSP) 64.01. The Reactor Engineer performing the surveillance failed to execute proper follow-up and verify that the data was properly recorded in the Plant Physics Curve Book prior to closing the corresponding surveillance procedure.

3.

A. A Condition Report (CR) was written on November 5, 1996, to evaluate the cause of the event and to determine the appropriate corrective actions.

B. The Unit 1 Control Room plant physics data was updated to reflect the current value for reactivity deviation, in accordance with procedure, following discovery of the above condition on November 5, 1996.

C. A review of the Plant Physics Curve Books for both St. Lucie Units 1 and 2

I 97-016 Attachment BepLy tomHoticeafYialatian was performed to ensure that no additional missing data existed. No other missing data was identified during the review.

4, A. Reactor Engineering performed a self assessment of the process in place for updating information in the Plant Physics Curve Books. As a result of this assessment, a detailed verification checklist was developed for use in performing the Plant Physics Curve Book updates.

B. The Reactor Engineering Schedule of Periodic Tests and Reports, AP-0010127, was revised to require that a weekly review of the Plant Physics Curve Book be performed to verify that reactor physics data contained in the book are current.

C. A meeting was held with the responsible Reactor Engineering personnel, the President of the Nuclear Division and the Vice President of Nuclear Engineering to discuss this event and the expectations of FPL management with regard to personnel performance.

D. The personnel involved in the failure to properly update the reactivity deviation information received appropriate disciplinary action in accordance with FPL policy.

5. Full compliance was achieved on November 5, 1996, with the completion of Item 3B, above.