IR 05000413/2016301: Difference between revisions

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=Text=
=Text=
{{#Wiki_filter:July 13, 2016
{{#Wiki_filter:UNITED STATES NUCLEAR REGULATORY COMMISSION uly 13, 2016


==SUBJECT:==
==SUBJECT:==
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A Simulator Fidelity Report is included in this report as Enclosure 3.
A Simulator Fidelity Report is included in this report as Enclosure 3.


The initial examination submittal was within the range of acceptability expected for a proposed examination. All examination changes agreed upon between the NRC and your staff were made according to NUREG-1021, "Operator Licensing Examination Standards for Power Reactors," Revision 10.
The initial examination submittal was within the range of acceptability expected for a proposed examination. All examination changes agreed upon between the NRC and your staff were made according to NUREG-1021, Operator Licensing Examination Standards for Power Reactors, Revision 10.


In accordance with 10 CFR 2.390 of the NRC's "Rules of Practice," a copy of this letter and its enclosures will be available electronically for public inspection in the NRC Public Document Room or from the Publicly Available Records (PARS) component of the NRC's document system (ADAMS). ADAMS is accessible from the NRC Website at http://www.nrc.gov/reading-rm.adams.html (the Public Electronic Reading Room). If you have any questions concerning this letter, please contact me at (404) 997-4551.
In accordance with 10 CFR 2.390 of the NRCs Rules of Practice, a copy of this letter and its enclosures will be available electronically for public inspection in the NRC Public Document Room or from the Publicly Available Records (PARS) component of the NRCs document system (ADAMS). ADAMS is accessible from the NRC Website at http://www.nrc.gov/reading-rm.adams.html (the Public Electronic Reading Room). If you have any questions concerning this letter, please contact me at (404) 997-4551.


Sincerely,
Sincerely,
/RA/ Gerald J. McCoy, Chief Operations Branch 1 Division of Reactor Safety Docket Nos: 50-413, 50-414  
/RA/
Gerald J. McCoy, Chief Operations Branch 1 Division of Reactor Safety Docket Nos: 50-413, 50-414 License Nos: NPF-35, NPF-52 Enclosures: 1. Report Details 2. Facility Comments and NRC Resolution 3. Simulator Fidelity Report


License Nos: NPF-35, NPF-52
_________________________  SUNSI REVIEW COMPLETE FORM 665 ATTACHED OFFICE RII:DRS RII:DRS RII:DRS RII:DRS SIGNATURE GXG MKM3 VIA EMAIL AXT6 VIA EMAIL SXS31 VIA EMAIL NAME GMCCOY MMEEKS ATOTH SSHAH DATE 7/13/2016 7/11/2016 7/11/016 7/11/2016 E-MAIL COPY? YES NO YES NO YES NO YES NO YES YES NO YES NO


Enclosures: 1. Report Details 2. Facility Comments and NRC Resolution  3. Simulator Fidelity Report
U.S. NUCLEAR REGULATORY COMMISSION
 
_________________________ SUNSI REVIEW COMPLETE FORM 665 ATTACHED OFFICE RII:DRS RII:DRS RII:DRS RII:DRS SIGNATURE GXG MKM3 VIA EMAIL AXT6 VIA EMAIL SXS31 VIA EMAIL NAME GMCCOY MMEEKS ATOTH SSHAH DATE 7/13/2016 7/11/2016 7/11/016 7/11/2016 E-MAIL COPY? YES NO YES NO YES NO YES NO YES YES NO YES NO Enclosure 1 U.S. NUCLEAR REGULATORY COMMISSION  


==REGION II==
==REGION II==
Docket No.: 50-413, 50-414 License No.: NPF-35, NPF-52 Report No.: 05000413/2016301, 05000414/2016301 Licensee: Duke Energy Carolinas, LLC Facility: Catawba Nuclear Station, Units 1 & 2 Location: York, SC 29745 Dates: Operating Test - May 16 - 19, 2016 Written Examination - May 26, 2016 Examiners: M. Meeks, Chief Examiner, Senior Operations Engineer J. A. Toth, Operations Engineer S. Shah, Operations Engineer Approved by: Gerald J. McCoy, Chief Operations Branch 1 Division of Reactor Safety Enclosure 1


Docket No.: 50-413, 50-414
=SUMMARY=
 
ER 05000413/2016301, 05000414/2016301; May 16 - 19, 2016 & May 26, 2016; Catawba
License No.: NPF-35, NPF-52
 
Report No.: 05000413/2016301, 05000414/2016301  
 
Licensee: Duke Energy Carolinas, LLC
 
Facility: Catawba Nuclear Station, Units 1 & 2
 
Location: York, SC 29745
 
Dates: Operating Test - May 16 - 19, 2016 Written Examination - May 26, 2016  
 
Examiners: M. Meeks, Chief Examiner, Senior Operations Engineer J. A. Toth, Operations Engineer S. Shah, Operations Engineer
 
Approved by: Gerald J. McCoy, Chief Operations Branch 1 Division of Reactor Safety


=SUMMARY=
Nuclear Station; Operator License Examinations.
ER 05000413/2016301, 05000414/2016301; May 16 - 19, 2016 & May 26, 2016; Catawba Nuclear Station; Operator License Examinations.


Nuclear Regulatory Commission (NRC) examiners conducted an initial examination in accordance with the guidelines in Revision 10 of NUREG-1021, "Operator Licensing Examination Standards for Power Reactors." This examination implemented the operator licensing requirements identified in 10 CFR §55.41, §55.43, and §55.45, as applicable.
Nuclear Regulatory Commission (NRC) examiners conducted an initial examination in accordance with the guidelines in Revision 10 of NUREG-1021, "Operator Licensing Examination Standards for Power Reactors." This examination implemented the operator licensing requirements identified in 10 CFR §55.41, §55.43, and §55.45, as applicable.


Members of the Catawba Nuclear Station staff developed both the operating tests and the written examination. The initial operating test, written Reactor Operator (RO) examination, and written Senior Reactor Operator (SRO) examination submittals met the quality guidelines contained in NUREG-1021.
Members of the Catawba Nuclear Station staff developed both the operating tests and the written examination. The initial operating test, written Reactor Operator (RO) examination, and written Senior Reactor Operator (SRO) examination submittals met the quality guidelines contained in NUREG-1021.
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====a. Inspection Scope====
====a. Inspection Scope====
The NRC evaluated the submitted operating test by combining the scenario events and Job Performance Measures (JPMs) in order to determine the percentage of submitted test items that required replacement or significant modification. The NRC also  
The NRC evaluated the submitted operating test by combining the scenario events and Job Performance Measures (JPMs) in order to determine the percentage of submitted test items that required replacement or significant modification. The NRC also evaluated the submitted written examination questions (Reactor Operator (RO) and Senior Reactor Operator (SRO) questions considered separately) in order to determine the percentage of submitted questions that required replacement or significant modification, or that clearly did not conform with the intent of the approved knowledge and ability (K/A) statement. Any questions that were deleted during the grading process, or for which the answer key had to be changed, were also included in the count of unacceptable questions. The percentage of submitted test items that were unacceptable was compared to the acceptance criteria of NUREG-1021, Operator Licensing Standards for Power Reactors.
 
evaluated the submitted written examination questions (Reactor Operator (RO) and Senior Reactor Operator (SRO) questions considered separately) in order to determine the percentage of submitted questions that required replacement or significant modification, or that clearly did not conform with the intent of the approved knowledge and ability (K/A) statement. Any questions that were deleted during the grading process, or for which the answer key had to be changed, were also included in the count of unacceptable questions. The percentage of submitted test items that were unacceptable was compared to the acceptance criteria of NUREG-1021, "Operator Licensing Standards for Power Reactors."


The NRC reviewed the licensee's examination security measures while preparing and administering the examinations in order to ensure compliance with 10 CFR §55.49, "Integrity of examinations and tests."
The NRC reviewed the licensees examination security measures while preparing and administering the examinations in order to ensure compliance with 10 CFR §55.49, Integrity of examinations and tests.


The NRC administered the operating tests during the period May 16 - 19, 2016. The NRC examiners evaluated four RO and seven SRO applicants using the guidelines contained in NUREG-1021. Members of the Catawba Nuclear Station training staff administered the written examination on May 26, 2016. Evaluations of applicants and reviews of associated documentation were performed to determine if the applicants, who applied for licenses to operate the Catawba Nuclear Station, met the requirements specified in 10 CFR Part 55, "Operators' Licenses."
The NRC administered the operating tests during the period May 16 - 19, 2016. The NRC examiners evaluated four RO and seven SRO applicants using the guidelines contained in NUREG-1021. Members of the Catawba Nuclear Station training staff administered the written examination on May 26, 2016. Evaluations of applicants and reviews of associated documentation were performed to determine if the applicants, who applied for licenses to operate the Catawba Nuclear Station, met the requirements specified in 10 CFR Part 55, Operators Licenses.


The NRC evaluated the performance or fidelity of the simulation facility during the preparation and conduct of the operating tests.
The NRC evaluated the performance or fidelity of the simulation facility during the preparation and conduct of the operating tests.
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No findings were identified.
No findings were identified.


The NRC developed the written examination sample plan outline. Members of the Catawba Nuclear Station training staff developed both the operating tests and the written examination. All examination material was developed in accordance with the guidelines contained in Revision 10 of NUREG-1021. The NRC examination team reviewed the proposed examination. Examination changes agreed upon between the NRC and the licensee were made per NUREG-1021 and incorporated into the final  
The NRC developed the written examination sample plan outline. Members of the Catawba Nuclear Station training staff developed both the operating tests and the written examination. All examination material was developed in accordance with the guidelines contained in Revision 10 of NUREG-1021. The NRC examination team reviewed the proposed examination. Examination changes agreed upon between the NRC and the licensee were made per NUREG-1021 and incorporated into the final version of the examination materials.
 
version of the examination materials.


The NRC determined, using NUREG-1021, that the licensee's initial examination submittal was within the range of acceptability expected for a proposed examination.
The NRC determined, using NUREG-1021, that the licensees initial examination submittal was within the range of acceptability expected for a proposed examination.


Three RO applicants and seven SRO applicants passed both the operating test and written examination. One RO applicant passed the operating test but did not pass the written examination. Two RO applicants and seven SRO applicants were issued licenses.
Three RO applicants and seven SRO applicants passed both the operating test and written examination. One RO applicant passed the operating test but did not pass the written examination. Two RO applicants and seven SRO applicants were issued licenses.
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Copies of all individual examination reports were sent to the facility Training Manager for evaluation of weaknesses and determination of appropriate remedial training.
Copies of all individual examination reports were sent to the facility Training Manager for evaluation of weaknesses and determination of appropriate remedial training.


The licensee submitted one post-examination comment concerning the operating test and four post-examination comments concerning t he written examination. A copy of the final written examination and answer key, with all changes incorporated, may be accessed not earlier than July 10, 2018, in the ADAMS system (ADAMS Accession Number(s) ML16166A099 and ML16166A102). A full copy of the licensee's post-examination comments may be accessed in the ADAMS system as ML16166A106.
The licensee submitted one post-examination comment concerning the operating test and four post-examination comments concerning the written examination. A copy of the final written examination and answer key, with all changes incorporated, may be accessed not earlier than July 10, 2018, in the ADAMS system (ADAMS Accession Number(s) ML16166A099 and ML16166A102). A full copy of the licensees post-examination comments may be accessed in the ADAMS system as ML16166A106.


{{a|4OA6}}
{{a|4OA6}}
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On June 28, 2016, the NRC examination team discussed the results of the examination with A. Honeggar, Operations Training Manager, and members of the Catawba Nuclear Station staff via telephone. The examiners asked the licensee if any of the examination material was proprietary. No proprietary information was identified.
On June 28, 2016, the NRC examination team discussed the results of the examination with A. Honeggar, Operations Training Manager, and members of the Catawba Nuclear Station staff via telephone. The examiners asked the licensee if any of the examination material was proprietary. No proprietary information was identified.


ATTACHMENT:
ATTACHMENT:  


=SUPPLEMENTARY INFORMATION=
=SUPPLEMENTARY INFORMATION=


KEY POINTS OF CONTACT  
KEY POINTS OF CONTACT
===Licensee personnel===
===Licensee personnel===
: [[contact::K. Alcorn]], Operations Training Supervisor (ILT)  
: [[contact::K. Alcorn]], Operations Training Supervisor (ILT)
: [[contact::S. Andrews]], Senior Nuclear Engineer  
: [[contact::S. Andrews]], Senior Nuclear Engineer
: [[contact::C. Bigham]], Organizational Effectiveness Director  
: [[contact::C. Bigham]], Organizational Effectiveness Director
: [[contact::B. Boyette]], NRC Exam Developer  
: [[contact::B. Boyette]], NRC Exam Developer
: [[contact::R. Exley]], ILT Lead Instructor  
: [[contact::R. Exley]], ILT Lead Instructor
: [[contact::B. Haynes]], Assistant Operations Manager (Training)  
: [[contact::B. Haynes]], Assistant Operations Manager (Training)
: [[contact::K. Henderson]], Site Vice President  
: [[contact::K. Henderson]], Site Vice President
: [[contact::A. Honeggar]], Operations Training Manager  
: [[contact::A. Honeggar]], Operations Training Manager
: [[contact::W. Jarman]], Assistant Operations Manager (Shift)  
: [[contact::W. Jarman]], Assistant Operations Manager (Shift)
: [[contact::B. Leonard]], Training Manager  
: [[contact::B. Leonard]], Training Manager
: [[contact::R. Miller]], NRC exam developer  
: [[contact::R. Miller]], NRC exam developer
: [[contact::T. Simril]], Plant Manager  
: [[contact::T. Simril]], Plant Manager
: [[contact::S. Tripi]], Operations Training Supervisor (NLOCT/exam development)  
: [[contact::S. Tripi]], Operations Training Supervisor (NLOCT/exam development)
: [[contact::B. Webster]], Operations Training Supervisor (LOCT)
: [[contact::B. Webster]], Operations Training Supervisor (LOCT)
===NRC personnel===
===NRC personnel===
: [[contact::A. Hutto]], Senior Resident Inspector
: [[contact::A. Hutto]], Senior Resident Inspector
FACILITY POST-EXAMINATION COMMENTS AND NRC RESOLUTIONS
FACILITY POST-EXAMINATION COMMENTS AND NRC RESOLUTIONS
A complete text of the licensee's post-examination comments can be found in ADAMS under
A complete text of the licensees post-examination comments can be found in ADAMS under
Accession Number ML16166A106.
Accession Number ML16166A106.
Item Question 17, K/A W/E11EG2.4.20
Item
Comment The licensee recommends that that two correct answers ("A" and "B") be accepted for this this
Question 17, K/A W/E11EG2.4.20
Comment
The licensee recommends that that two correct answers (A and B) be accepted for this this
question as both answers are correct based on conflicting information contained within a
question as both answers are correct based on conflicting information contained within a
procedure note and the Operations governing document for EP/AP implementation.
procedure note and the Operations governing document for EP/AP implementation.
1. EP/1/A/5000/ECA-1.1 (Loss of Emergency Coolant Recirculation) contains a note which states "An invalid SPDS orange path may briefly exist between opening NS suction
1. EP/1/A/5000/ECA-1.1 (Loss of Emergency Coolant Recirculation) contains a note which
states An invalid SPDS orange path may briefly exist between opening NS suction
valve from sump and starting NS pump. FR-Z.1 should not be entered unless NS pump
valve from sump and starting NS pump. FR-Z.1 should not be entered unless NS pump
fails to start.2. The purpose of this note is to prevent a
fails to start.
crew from needlessly transitioning to a CSF procedure while attempting to restore the ability to align for Cold Leg Recirculation. 3. The signal generated is actually valid as the logic for this condition is met due to the alignment specified by this procedure (see attached logic diagram). 4. OMP 1-7 (Emergency/Abnormal Procedure Implementation Guidelines) states that an SPDS signal is only "invalid" if caused by an instrument malfunction or computer related failure (see attached note). Since this document governs all Emergency and Abnormal Procedures, this guidance would apply to ECA-1.1. 5. Operations Department management has determined that the orange SPDS signal that is generated is technically VALID, however current wording of the note in ECA-1.1 states
2. The purpose of this note is to prevent a crew from needlessly transitioning to a CSF
to consider it invalid. Ultimately the reason for the note is to ensure that an unnecessary transition to FR-Z.1 is not made. A procedure change request has been generated to
procedure while attempting to restore the ability to align for Cold Leg Recirculation.
modify this note (in ECA-1.1), to remove the
3. The signal generated is actually valid as the logic for this condition is met due to the
term "invalid", in order to eliminate the conflict discovered during this exam.
alignment specified by this procedure (see attached logic diagram).
4. OMP 1-7 (Emergency/Abnormal Procedure Implementation Guidelines) states that an
SPDS signal is only invalid if caused by an instrument malfunction or computer related
failure (see attached note). Since this document governs all Emergency and Abnormal
Procedures, this guidance would apply to ECA-1.1.
5. Operations Department management has determined that the orange SPDS signal that
is generated is technically VALID, however current wording of the note in ECA-1.1 states
to consider it invalid. Ultimately the reason for the note is to ensure that an unnecessary
transition to FR-Z.1 is not made. A procedure change request has been generated to
modify this note (in ECA-1.1), to remove the term invalid, in order to eliminate the
conflict discovered during this exam.
NRC Resolution
NRC Resolution
The licensee's recommendation was rejected.
The licensees recommendation was rejected.
The NRC recognized the licensee's contention that conflicting guidance existed between the NOTE in EOP ECA-1.1 and the referenced NOTE
The NRC recognized the licensees contention that conflicting guidance existed between the
in the administrative procedure OMP 1-7. The OMP 1-7 NOTE is included in a section that details generic "rules of usage" for implementation of the critical safety function determination process. Specifically, the NOTE is listed before a step that details how operators are required to "validate" the critical safety
NOTE in EOP ECA-1.1 and the referenced NOTE in the administrative procedure OMP 1-7.
The OMP 1-7 NOTE is included in a section that details generic rules of usage for
implementation of the critical safety function determination process. Specifically, the NOTE is
listed before a step that details how operators are required to validate the critical safety
function status before transitioning to any Critical Safety Function (CSF) procedure. A later
function status before transitioning to any Critical Safety Function (CSF) procedure. A later
bulleted step states, "If a valid red path is encountered -" and then provides the applicable
bulleted step states, If a valid red path is encountered and then provides the applicable
guidance to the operators on how to transition to the applicable CSF procedure.
guidance to the operators on how to transition to the applicable CSF procedure.
Therefore, correct application of the NOTE in ECA-1.1 before step 7.d. would be to recognize that the momentary "invalid" orange path should not be used as a directive to transition to the
Therefore, correct application of the NOTE in ECA-1.1 before step 7.d. would be to recognize
that the momentary invalid orange path should not be used as a directive to transition to the
orange path CSF procedure. This NOTE in ECA-1.1 is specific to the conditions in that
orange path CSF procedure. This NOTE in ECA-1.1 is specific to the conditions in that
procedure and takes precedence over any general "rules of usage" guidance provided in
procedure and takes precedence over any general rules of usage guidance provided in
administrative conduct-of-operations procedures. Furthermore, the stem of the first part question statement directs the applicant to ans
 
wer the question statement "Per ECA-1.1," and not as a general question, or per OMP 1-7. This statement strongly ties the first part question statement to the ECA-1.1 procedure steps, NOTEs, and CAUTION statements in opposition to any other procedural guidance that may not be considered exclusively internally consistent.
administrative conduct-of-operations procedures. Furthermore, the stem of the first part
question statement directs the applicant to answer the question statement Per ECA-1.1, and
not as a general question, or per OMP 1-7. This statement strongly ties the first part question
statement to the ECA-1.1 procedure steps, NOTEs, and CAUTION statements in opposition to
any other procedural guidance that may not be considered exclusively internally consistent.
There are other cases in the Westinghouse emergency operating procedures where specific
There are other cases in the Westinghouse emergency operating procedures where specific
NOTES or CAUTIONS override more general usage guidance. For example, in Catawba
NOTES or CAUTIONS override more general usage guidance. For example, in Catawba
emergency operating procedure EP/1/A/5000/E-3, "Steam Generator Tube Rupture," there is a CAUTION statement at step 8 RNO that stated: "NC T-Cold indication in ruptured loop may cause an invalid Integrity Status Tree condition.This statement is very similar to the NOTE
emergency operating procedure EP/1/A/5000/E-3, Steam Generator Tube Rupture, there is a
CAUTION statement at step 8 RNO that stated: NC T-Cold indication in ruptured loop may
cause an invalid Integrity Status Tree condition. This statement is very similar to the NOTE
listed in ECA-1.1 in that it applies only to a specific condition during performance of a specified
listed in ECA-1.1 in that it applies only to a specific condition during performance of a specified
procedure; that is, performance of this particular procedure at this step may result in an "invalid"
procedure; that is, performance of this particular procedure at this step may result in an invalid
critical safety function status.
critical safety function status.
The NRC acknowledges that the facility licensee
The NRC acknowledges that the facility licensee has initiated its processes for enhancing the
has initiated its processes for enhancing the clarity and consistency of the procedural guidance in question.  
clarity and consistency of the procedural guidance in question.
 
However, as given, Question 17 has only one technically correct answer, and the NRC
However, as given, Question 17 has only one technically correct answer, and the NRC determined that no change to the official answer key was warranted in accordance with NUREG-1021.  
determined that no change to the official answer key was warranted in accordance with
 
NUREG-1021.
Item
Item
Question 28, K/A 003K5.02
Question 28, K/A 003K5.02
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The licensee recommends that this question be removed from the exam as no correct answer to
The licensee recommends that this question be removed from the exam as no correct answer to
part 1 is listed.
part 1 is listed.
1. Part 1 of this question is technically correct concerning the loss of a Reactor Coolant Pump with no other plant transient in progress. 2. With the given conditions, a Reactor trip will occur based on P-8 (Single Loop Loss of Flow Reactor Trip > 48%) resulting in a fluctuation of all S/G levels. 3. Post exam simulator analysis revealed that the identified S/G level (1C) would actually begin to shrink first and at a faster rate but not to a lower level when compared with
1. Part 1 of this question is technically correct concerning the loss of a Reactor Coolant
other S/Gs. 4. The question did not specify a detailed time frame for analysis. "Initially" is open to interpretation as the applicable S/G level varies considerably within a relatively short
Pump with no other plant transient in progress.
period of time (as compared to other S/G levels). 5. The listed answer is technically incorrect. The other available answer is also technically incorrect as S/G swell will not occur.
2. With the given conditions, a Reactor trip will occur based on P-8 (Single Loop Loss of
Flow Reactor Trip > 48%) resulting in a fluctuation of all S/G levels.
3. Post exam simulator analysis revealed that the identified S/G level (1C) would actually
begin to shrink first and at a faster rate but not to a lower level when compared with
other S/Gs.
4. The question did not specify a detailed time frame for analysis. Initially is open to
interpretation as the applicable S/G level varies considerably within a relatively short
period of time (as compared to other S/G levels).
5. The listed answer is technically incorrect. The other available answer is also technically
incorrect as S/G swell will not occur.
NRC Resolution
NRC Resolution
The licensee's recommendation was rejected.
The licensees recommendation was rejected.
The first part question statement specifically asks that applicant to determine whether the initial
The first part question statement specifically asks that applicant to determine whether the initial
Steam Generator (S/G) water level trend in the idle reactor coolant loop will be of the S/G level  
Steam Generator (S/G) water level trend in the idle reactor coolant loop will be of the S/G level
"shrink[ing] lower" or "swell[ing] higher" as compared to the other S/G levels in the reactor
shrink[ing] lower or swell[ing] higher as compared to the other S/G levels in the reactor
coolant loops with operating reactor coolant pumps. The given time frame in the question is specified as "- initially - after the 1C NC [reactor coolant] pump trips.Therefore, the
coolant loops with operating reactor coolant pumps. The given time frame in the question is
question is asking the applicant to determine the initial 1C S/G level trend immediately after the 1C NC pump trips, as compared to the operating loop S/G level trends.
specified as initially after the 1C NC [reactor coolant] pump trips. Therefore, the
question is asking the applicant to determine the initial 1C S/G level trend immediately after the
1C NC pump trips, as compared to the operating loop S/G level trends.
As detailed in the simulator traces provided by the facility licensee, immediately after the 1C NC
As detailed in the simulator traces provided by the facility licensee, immediately after the 1C NC
pump trips, the 1C S/G level begins to lower below the other loops' S/G levels. There is a short
pump trips, the 1C S/G level begins to lower below the other loops S/G levels. There is a short
period where the other loops' S/G levels begin to increase (swell), just before the reactor trip
period where the other loops S/G levels begin to increase (swell), just before the reactor trip
occurs. For a time period of approximately 16 seconds after the NC pump trips, the 1C S/G level is lower, and lowering faster, than the other S/Gs. Therefore, the simulator data clearly demonstrates that the initial 1C S/G level trend after the 1C NC pump trips is characterized by
occurs. For a time period of approximately 16 seconds after the NC pump trips, the 1C S/G
1C S/G level "shrink[ing] lower."
level is lower, and lowering faster, than the other S/Gs. Therefore, the simulator data clearly
 
demonstrates that the initial 1C S/G level trend after the 1C NC pump trips is characterized by
Therefore, as given, Question 28 has only one technically correct answer, and the NRC determined that no change to the official answer key was warranted in accordance with NUREG-1021.  
1C S/G level shrink[ing] lower.
 
Therefore, as given, Question 28 has only one technically correct answer, and the NRC
Item  Question 50, K/A 063A1.01
determined that no change to the official answer key was warranted in accordance with
NUREG-1021.
Item
Question 50, K/A 063A1.01
Comment
Comment
The licensee recommends that question 50 be deleted from the exam due to not having enough information in the stem of the question in order to answer it correctly.
The licensee recommends that question 50 be deleted from the exam due to not having enough
1. The stem of the question states that battery 1EBA is supplying AC vital bus 1ERPA through inverter 1EIA without a battery charger connected. Even though this would be
information in the stem of the question in order to answer it correctly.
1. The stem of the question states that battery 1EBA is supplying AC vital bus 1ERPA
through inverter 1EIA without a battery charger connected. Even though this would be
the lineup if a battery charger were to fail, it does not provide a complete load profile for
the lineup if a battery charger were to fail, it does not provide a complete load profile for
this battery. 1EBA would be supplying 1EDA and Panelboard 1EPA as well as other loads (see system drawing). 2. The question stem also states that only the voltage range of 125 VDC to 120 VDC is taken into account. Battery discharge tests in the plant suggest that the battery would
this battery. 1EBA would be supplying 1EDA and Panelboard 1EPA as well as other
only be in this voltage range for mere seconds (see 1EBA discharge test data sheet). 3. Due to the short duration of being in the specified voltage range and the unknown load profile for the specific battery listed, it is the opinion of CNS that there is not enough information to answer this question correctly and it should be deleted from the exam.  
loads (see system drawing).
 
2. The question stem also states that only the voltage range of 125 VDC to 120 VDC is
taken into account. Battery discharge tests in the plant suggest that the battery would
only be in this voltage range for mere seconds (see 1EBA discharge test data sheet).
3. Due to the short duration of being in the specified voltage range and the unknown load
profile for the specific battery listed, it is the opinion of CNS that there is not enough
information to answer this question correctly and it should be deleted from the exam.
NRC Resolution
NRC Resolution
The licensee's recommendation was accepted.
The licensees recommendation was accepted.
During the development of this question, the facility licensee and the NRC agreed upon adding a plant-specific battery and a plant-specific bus to the question stem as follows: "Vital battery 1EBA is supplying 1ERPA through inverter 1EIA without a battery charger on line.The intent
During the development of this question, the facility licensee and the NRC agreed upon adding
a plant-specific battery and a plant-specific bus to the question stem as follows: Vital battery
1EBA is supplying 1ERPA through inverter 1EIA without a battery charger on line. The intent
of this editorial modification was to simplify the electrical plant line-up in question for the
of this editorial modification was to simplify the electrical plant line-up in question for the
applicants. The question then asks the applicants to determine the trend of battery current flow and battery discharge rate as battery terminal voltage decreased from 125 VDC to 120 VDC.  
applicants. The question then asks the applicants to determine the trend of battery current flow
 
and battery discharge rate as battery terminal voltage decreased from 125 VDC to 120 VDC.
However, as detailed by the licensee, the actual electrical line-up is more complicated than intended by the exam writers and reviewers. In actuality, the isolated battery 1EBA would be
However, as detailed by the licensee, the actual electrical line-up is more complicated than
intended by the exam writers and reviewers. In actuality, the isolated battery 1EBA would be
supplying various other loads that are not supported by the question stem.
supplying various other loads that are not supported by the question stem.
Therefore, the question unintentionally presented an unclear stem that did not provide all of the
Therefore, the question unintentionally presented an unclear stem that did not provide all of the
necessary information needed to elicit the correct answer. Furthermore, given the additional
necessary information needed to elicit the correct answer. Furthermore, given the additional
complexity of the electrical circuit to be analyzed in order to answer the question (albeit
complexity of the electrical circuit to be analyzed in order to answer the question (albeit
unintentionally), it is arguable whether the ques
unintentionally), it is arguable whether the question as given would be operationally valid as a
tion as given would be operationally valid as a test item from the standpoint of the reactor operator job requirements.
test item from the standpoint of the reactor operator job requirements.
Therefore, the NRC agreed with the facility licensee, and deleted Question 50 from the written
Therefore, the NRC agreed with the facility licensee, and deleted Question 50 from the written
examination in accordance with NUREG-1021 ES-403 section D.1.b.
examination in accordance with NUREG-1021 ES-403 section D.1.b.
 
Item
Item
Question 75, K/A G2.4.43
Question 75, K/A G2.4.43
 
Comment
Comment  The licensee recommends that the Exam Key be changed to list the correct answer as "C" (approved exam listed "D" as correct answer).
The licensee recommends that the Exam Key be changed to list the correct answer as C
1. Several CNS procedures list the sound powered phone circuit power supply for each unit, but omit information concerning a permanent cross-tie installed per NSM 50307. 2. Post exam review identified conflicting information concerning split versus cross-tied power supplies. 3. CNS Engineering staff has verified that a previously installed modification tied sound powered phone circuits together ensuring availability from the opposite unit following a
(approved exam listed D as correct answer).
loss of one unit's essential "B" train power (see attached email and NSM). 4. Per the listed conditions, the emergency sound power phone circuit will be available, via
1. Several CNS procedures list the sound powered phone circuit power supply for each
Unit 2 power supply. Answer "D" is techni
unit, but omit information concerning a permanent cross-tie installed per NSM 50307.
cally incorrect. Answer "C" is technically
2. Post exam review identified conflicting information concerning split versus cross-tied
power supplies.
3. CNS Engineering staff has verified that a previously installed modification tied sound
powered phone circuits together ensuring availability from the opposite unit following a
loss of one units essential B train power (see attached email and NSM).
4. Per the listed conditions, the emergency sound power phone circuit will be available, via
Unit 2 power supply. Answer D is technically incorrect. Answer C is technically
correct.
correct.
NRC Resolution
NRC Resolution
The licensee's recommendation was accepted.
The licensees recommendation was accepted.
During written exam development, the technical reference used to support Question 75 was
During written exam development, the technical reference used to support Question 75 was
Note 1 of Enclosure 4.9, "Emergency Communications," of procedure OP/1/A/6100/020, which
Note 1 of Enclosure 4.9, Emergency Communications, of procedure OP/1/A/6100/020, which
stated:
stated:
The emergency sound powered phone circuit receives backup, emergency power from the "B" train essential switchgear. If the "B" Train essential
The emergency sound powered phone circuit receives backup, emergency
power from the B train essential switchgear. If the B Train essential
switchgear is de-energized concurrent with a loss of offsite power, the
switchgear is de-energized concurrent with a loss of offsite power, the
emergency sound powered phone circuit will be inoperable.
emergency sound powered phone circuit will be inoperable.
Accordingly, the exam writers wrote an operationally valid question that provided a loss of the "B" train essential switchgear concurrent with a loss of offsite power in the stem, in order to test the application of this plant condition to the availability of the emergency sound powered phone
Accordingly, the exam writers wrote an operationally valid question that provided a loss of the
circuit.  
B train essential switchgear concurrent with a loss of offsite power in the stem, in order to test
 
the application of this plant condition to the availability of the emergency sound powered phone
However, as detailed by the facility licensee, there was an installed plant modification (NSM 50307) that was identified during post-exam review that provides for a permanent cross-tie installation for the emergency sound powered phone circuit. The existence of this electrical cross-tie negates the technical accuracy of the referenced procedural NOTE used in the question development. This newly discovered technical information supports a change in the
circuit.
question answer key from "D" to "C.There is no other conflicting information in the question stem or distractors.  
However, as detailed by the facility licensee, there was an installed plant modification (NSM
 
50307) that was identified during post-exam review that provides for a permanent cross-tie
Therefore, the NRC agreed with the facility licensee, and changed the answer for Question 75 from "D" to "C" in accordance with NUREG-1021 ES-403 section D.1.b.
installation for the emergency sound powered phone circuit. The existence of this electrical
cross-tie negates the technical accuracy of the referenced procedural NOTE used in the
question development. This newly discovered technical information supports a change in the
question answer key from D to C. There is no other conflicting information in the question
stem or distractors.
Therefore, the NRC agreed with the facility licensee, and changed the answer for Question 75
from D to C in accordance with NUREG-1021 ES-403 section D.1.b.
Item
Item
Job Performance Measure "F," Shift Operating Condenser Circulating Water Pumps
Job Performance Measure F, Shift Operating Condenser Circulating Water Pumps
Comment
Comment
The licensee recommends that step 7 be changed to remove the "Critical Step" designation.
The licensee recommends that step 7 be changed to remove the Critical Step designation.
1. The as submitted JPM F (Shift Operating RC (Condenser Circulating Water) Pumps by placing 1D RC Pump in service and securing 1B RC Pump) step 7 is labeled as a critical
1. The as submitted JPM F (Shift Operating RC (Condenser Circulating Water) Pumps by
step. 2. The purpose of securing the pump by closing its discharge valve is to prevent exposing the pump suction line from the discharge pressure of the remaining running pumps. In
placing 1D RC Pump in service and securing 1B RC Pump) step 7 is labeled as a critical
this case that would be RC pumps 1A, 1C, and 1
step.
: [[contact::D. 3. If the step for closing the discharge valve were not performed and the 1B RC pump were secured by just depressing the OFF pushbutton]], then the discharge valve would
2. The purpose of securing the pump by closing its discharge valve is to prevent exposing
automatically close in approximately 50 seconds. This would allow the discharge pressure of the remaining running pumps to be introduced to the suction of the 1B RC
the pump suction line from the discharge pressure of the remaining running pumps. In
pump for those 50 seconds. 4. According to the engineering department (Mike Classe - Manager Nuclear Engineering), the maximum discharge pressure of any running pump would be from the 2C RC pump  
this case that would be RC pumps 1A, 1C, and 1D.
(~66 PSIG at an operating temperature of 105-110 degrees F).
3. If the step for closing the discharge valve were not performed and the 1B RC pump were
secured by just depressing the OFF pushbutton, then the discharge valve would
automatically close in approximately 50 seconds. This would allow the discharge
pressure of the remaining running pumps to be introduced to the suction of the 1B RC
pump for those 50 seconds.
4. According to the engineering department (Mike Classe - Manager Nuclear Engineering),
the maximum discharge pressure of any running pump would be from the 2C RC pump
        (~66 PSIG at an operating temperature of 105-110 degrees F).
The suction piping for this system is Pipe Spec 150.4 seen in the chart (provided by the
The suction piping for this system is Pipe Spec 150.4 seen in the chart (provided by the
licensee). For a conservative temperature of 200 degrees F, the maximum design pressure for the suction piping would be 215 PSI
licensee). For a conservative temperature of 200 degrees F, the maximum design pressure for
: [[contact::G. Therefore]], having the suction piping subjected to design discharge pressure for a short duration of time is of no major consequence, and should
the suction piping would be 215 PSI
: [[contact::G. Therefore]], having the suction piping subjected to design
discharge pressure for a short duration of time is of no major consequence, and should
therefore not be credited as a critical step. The critical part of securing 1B RC pump is to
therefore not be credited as a critical step. The critical part of securing 1B RC pump is to
depress the OFF pushbutton and verify the discharge valve is closed, and therefore step 8 of
depress the OFF pushbutton and verify the discharge valve is closed, and therefore step 8 of
the JPM should remain the critical step.
the JPM should remain the critical step.
NRC Resolution
NRC Resolution
The licensee's recommendation was accepted.  
The licensees recommendation was accepted.
 
As described in the facility licensees recommendation, there are no adverse consequences to
As described in the facility licensee's recommendation, there are no adverse consequences to subjecting the suction piping to pump discharge pressure for a short period of time. Therefore, this newly discovered technical information supports changing the designation of JPM step 7
subjecting the suction piping to pump discharge pressure for a short period of time. Therefore,
from "critical" to "non critical.Based on the design of the JPM, the interlock between the
this newly discovered technical information supports changing the designation of JPM step 7
from critical to non critical. Based on the design of the JPM, the interlock between the
discharge valve closing resulting in an automatic pump trip was defeated; however, the interlock
discharge valve closing resulting in an automatic pump trip was defeated; however, the interlock
between manually tripping the pump causing an automatic closure of the discharge valve was
between manually tripping the pump causing an automatic closure of the discharge valve was
not defeated. As a result of this newly discovered technical information, the NRC determined that manually securing the RC pump remained a critical step in successfully completing the JPM
not defeated. As a result of this newly discovered technical information, the NRC determined
overall, but manually closing the discharge valve before manually securing the RC pump was evaluated as not being a critical step in the JPM.  
that manually securing the RC pump remained a critical step in successfully completing the JPM
 
overall, but manually closing the discharge valve before manually securing the RC pump was
Therefore, the NRC agreed with the licensee to change the designation of JPM step 7 to non-
evaluated as not being a critical step in the JP
critical in accordance with NUREG-1021, and all of the applicants' performance on this JPM
: [[contact::M.
was evaluated accordingly.  
Therefore]], the NRC agreed with the licensee to change the designation of JPM step 7 to non-
 
critical in accordance with NUREG-1021, and all of the applicants performance on this JPM
was evaluated accordingly.
SIMULATOR FIDELITY REPORT
SIMULATOR FIDELITY REPORT
Facility Licensee: Catawba Nuclear Station
Facility Licensee: Catawba Nuclear Station
Facility Docket No.: 50-413, 50-414
Facility Docket No.: 50-413, 50-414
 
Operating Test Administered: May 16 - 19, 2016
Operating Test Administered: May 16 - 19, 2016
This form is to be used only to report observations. These observations do not constitute audit
This form is to be used only to report observations. These observations do not constitute audit or inspection findings and, without further verification and review in accordance with Inspection
or inspection findings and, without further verification and review in accordance with Inspection
Procedure 71111.11 are not indicative of noncompliance with 10 CFR 55.46. No licensee
Procedure 71111.11 are not indicative of noncompliance with 10 CFR 55.46. No licensee
action is required in response to these observations.
action is required in response to these observations.
No simulator fidelity or configuration issues were identified.
No simulator fidelity or configuration issues were identified.
3
}}
}}

Latest revision as of 15:16, 4 December 2019

NRC Operator License Examination Report 05000413/2016301 and 05000414/2016301, May 16 19, 2016 and May 26, 2016
ML16197A258
Person / Time
Site: Catawba  Duke Energy icon.png
Issue date: 07/13/2016
From: Gerald Mccoy
Division of Reactor Safety II
To: Henderson K
Duke Energy Carolinas
References
ER 2016301
Download: ML16197A258 (15)


Text

UNITED STATES NUCLEAR REGULATORY COMMISSION uly 13, 2016

SUBJECT:

CATAWBA NUCLEAR STATION - NRC OPERATOR LICENSE EXAMINATION REPORT 05000413/2016301 AND 05000414/2016301

Dear Mr. Henderson:

During the period May 16 - 19, 2016, the Nuclear Regulatory Commission (NRC) administered operating tests to employees of your company who had applied for licenses to operate the Catawba Nuclear Station. At the conclusion of the tests, the examiners discussed preliminary findings related to the operating tests and the written examination submittal with those members of your staff identified in the enclosed report. The written examination was administered by your staff on May 26, 2016.

Three Reactor Operator (RO) and seven Senior Reactor Operator (SRO) applicants passed both the operating test and written examination. One RO applicant failed the written examination. There were four post-administration comments concerning the written examination and one post-administration comment concerning the operating test. These comments, and the NRC resolution of these comments, are summarized in Enclosure 2.

A Simulator Fidelity Report is included in this report as Enclosure 3.

The initial examination submittal was within the range of acceptability expected for a proposed examination. All examination changes agreed upon between the NRC and your staff were made according to NUREG-1021, Operator Licensing Examination Standards for Power Reactors, Revision 10.

In accordance with 10 CFR 2.390 of the NRCs Rules of Practice, a copy of this letter and its enclosures will be available electronically for public inspection in the NRC Public Document Room or from the Publicly Available Records (PARS) component of the NRCs document system (ADAMS). ADAMS is accessible from the NRC Website at http://www.nrc.gov/reading-rm.adams.html (the Public Electronic Reading Room). If you have any questions concerning this letter, please contact me at (404) 997-4551.

Sincerely,

/RA/

Gerald J. McCoy, Chief Operations Branch 1 Division of Reactor Safety Docket Nos: 50-413, 50-414 License Nos: NPF-35, NPF-52 Enclosures: 1. Report Details 2. Facility Comments and NRC Resolution 3. Simulator Fidelity Report

_________________________ SUNSI REVIEW COMPLETE FORM 665 ATTACHED OFFICE RII:DRS RII:DRS RII:DRS RII:DRS SIGNATURE GXG MKM3 VIA EMAIL AXT6 VIA EMAIL SXS31 VIA EMAIL NAME GMCCOY MMEEKS ATOTH SSHAH DATE 7/13/2016 7/11/2016 7/11/016 7/11/2016 E-MAIL COPY? YES NO YES NO YES NO YES NO YES YES NO YES NO

U.S. NUCLEAR REGULATORY COMMISSION

REGION II

Docket No.: 50-413, 50-414 License No.: NPF-35, NPF-52 Report No.: 05000413/2016301, 05000414/2016301 Licensee: Duke Energy Carolinas, LLC Facility: Catawba Nuclear Station, Units 1 & 2 Location: York, SC 29745 Dates: Operating Test - May 16 - 19, 2016 Written Examination - May 26, 2016 Examiners: M. Meeks, Chief Examiner, Senior Operations Engineer J. A. Toth, Operations Engineer S. Shah, Operations Engineer Approved by: Gerald J. McCoy, Chief Operations Branch 1 Division of Reactor Safety Enclosure 1

SUMMARY

ER 05000413/2016301, 05000414/2016301; May 16 - 19, 2016 & May 26, 2016; Catawba

Nuclear Station; Operator License Examinations.

Nuclear Regulatory Commission (NRC) examiners conducted an initial examination in accordance with the guidelines in Revision 10 of NUREG-1021, "Operator Licensing Examination Standards for Power Reactors." This examination implemented the operator licensing requirements identified in 10 CFR §55.41, §55.43, and §55.45, as applicable.

Members of the Catawba Nuclear Station staff developed both the operating tests and the written examination. The initial operating test, written Reactor Operator (RO) examination, and written Senior Reactor Operator (SRO) examination submittals met the quality guidelines contained in NUREG-1021.

The NRC administered the operating tests during the period May 16 - 19, 2016. Members of the Catawba Nuclear Station training staff administered the written examination on May 26, 2016. Three RO and seven SRO applicants passed both the operating test and written examination. One RO applicant passed the operating test, but did not pass the written examination. Nine applicants were issued licenses commensurate with the level of examination administered. The issuance of a license for one RO applicant has been delayed pending final resolution of any further appeals that may impact the licensing decision.

There were five post-examination comments.

No findings were identified.

REPORT DETAILS

OTHER ACTIVITIES

4OA5 Operator Licensing Examinations

a. Inspection Scope

The NRC evaluated the submitted operating test by combining the scenario events and Job Performance Measures (JPMs) in order to determine the percentage of submitted test items that required replacement or significant modification. The NRC also evaluated the submitted written examination questions (Reactor Operator (RO) and Senior Reactor Operator (SRO) questions considered separately) in order to determine the percentage of submitted questions that required replacement or significant modification, or that clearly did not conform with the intent of the approved knowledge and ability (K/A) statement. Any questions that were deleted during the grading process, or for which the answer key had to be changed, were also included in the count of unacceptable questions. The percentage of submitted test items that were unacceptable was compared to the acceptance criteria of NUREG-1021, Operator Licensing Standards for Power Reactors.

The NRC reviewed the licensees examination security measures while preparing and administering the examinations in order to ensure compliance with 10 CFR §55.49, Integrity of examinations and tests.

The NRC administered the operating tests during the period May 16 - 19, 2016. The NRC examiners evaluated four RO and seven SRO applicants using the guidelines contained in NUREG-1021. Members of the Catawba Nuclear Station training staff administered the written examination on May 26, 2016. Evaluations of applicants and reviews of associated documentation were performed to determine if the applicants, who applied for licenses to operate the Catawba Nuclear Station, met the requirements specified in 10 CFR Part 55, Operators Licenses.

The NRC evaluated the performance or fidelity of the simulation facility during the preparation and conduct of the operating tests.

b. Findings

No findings were identified.

The NRC developed the written examination sample plan outline. Members of the Catawba Nuclear Station training staff developed both the operating tests and the written examination. All examination material was developed in accordance with the guidelines contained in Revision 10 of NUREG-1021. The NRC examination team reviewed the proposed examination. Examination changes agreed upon between the NRC and the licensee were made per NUREG-1021 and incorporated into the final version of the examination materials.

The NRC determined, using NUREG-1021, that the licensees initial examination submittal was within the range of acceptability expected for a proposed examination.

Three RO applicants and seven SRO applicants passed both the operating test and written examination. One RO applicant passed the operating test but did not pass the written examination. Two RO applicants and seven SRO applicants were issued licenses.

One RO applicant passed the operating test, but passed the written examination with overall scores between 80% and 82%. This applicant was issued a letter stating that they passed the examination and issuance of their license has been delayed pending any written examination appeals that may impact the licensing decision for their application.

Copies of all individual examination reports were sent to the facility Training Manager for evaluation of weaknesses and determination of appropriate remedial training.

The licensee submitted one post-examination comment concerning the operating test and four post-examination comments concerning the written examination. A copy of the final written examination and answer key, with all changes incorporated, may be accessed not earlier than July 10, 2018, in the ADAMS system (ADAMS Accession Number(s) ML16166A099 and ML16166A102). A full copy of the licensees post-examination comments may be accessed in the ADAMS system as ML16166A106.

4OA6 Meetings, Including Exit

Exit Meeting Summary

On May 24, 2016, the NRC examination team discussed generic issues associated with the operating test with K. Henderson, Site Vice President, and members of the Catawba Nuclear Station staff via telephone.

On June 28, 2016, the NRC examination team discussed the results of the examination with A. Honeggar, Operations Training Manager, and members of the Catawba Nuclear Station staff via telephone. The examiners asked the licensee if any of the examination material was proprietary. No proprietary information was identified.

ATTACHMENT:

SUPPLEMENTARY INFORMATION

KEY POINTS OF CONTACT

Licensee personnel

K. Alcorn, Operations Training Supervisor (ILT)
S. Andrews, Senior Nuclear Engineer
C. Bigham, Organizational Effectiveness Director
B. Boyette, NRC Exam Developer
R. Exley, ILT Lead Instructor
B. Haynes, Assistant Operations Manager (Training)
K. Henderson, Site Vice President
A. Honeggar, Operations Training Manager
W. Jarman, Assistant Operations Manager (Shift)
B. Leonard, Training Manager
R. Miller, NRC exam developer
T. Simril, Plant Manager
S. Tripi, Operations Training Supervisor (NLOCT/exam development)
B. Webster, Operations Training Supervisor (LOCT)

NRC personnel

A. Hutto, Senior Resident Inspector

FACILITY POST-EXAMINATION COMMENTS AND NRC RESOLUTIONS

A complete text of the licensees post-examination comments can be found in ADAMS under

Accession Number ML16166A106.

Item

Question 17, K/A W/E11EG2.4.20

Comment

The licensee recommends that that two correct answers (A and B) be accepted for this this

question as both answers are correct based on conflicting information contained within a

procedure note and the Operations governing document for EP/AP implementation.

1. EP/1/A/5000/ECA-1.1 (Loss of Emergency Coolant Recirculation) contains a note which

states An invalid SPDS orange path may briefly exist between opening NS suction

valve from sump and starting NS pump. FR-Z.1 should not be entered unless NS pump

fails to start.

2. The purpose of this note is to prevent a crew from needlessly transitioning to a CSF

procedure while attempting to restore the ability to align for Cold Leg Recirculation.

3. The signal generated is actually valid as the logic for this condition is met due to the

alignment specified by this procedure (see attached logic diagram).

4. OMP 1-7 (Emergency/Abnormal Procedure Implementation Guidelines) states that an

SPDS signal is only invalid if caused by an instrument malfunction or computer related

failure (see attached note). Since this document governs all Emergency and Abnormal

Procedures, this guidance would apply to ECA-1.1.

5. Operations Department management has determined that the orange SPDS signal that

is generated is technically VALID, however current wording of the note in ECA-1.1 states

to consider it invalid. Ultimately the reason for the note is to ensure that an unnecessary

transition to FR-Z.1 is not made. A procedure change request has been generated to

modify this note (in ECA-1.1), to remove the term invalid, in order to eliminate the

conflict discovered during this exam.

NRC Resolution

The licensees recommendation was rejected.

The NRC recognized the licensees contention that conflicting guidance existed between the

NOTE in EOP ECA-1.1 and the referenced NOTE in the administrative procedure OMP 1-7.

The OMP 1-7 NOTE is included in a section that details generic rules of usage for

implementation of the critical safety function determination process. Specifically, the NOTE is

listed before a step that details how operators are required to validate the critical safety

function status before transitioning to any Critical Safety Function (CSF) procedure. A later

bulleted step states, If a valid red path is encountered and then provides the applicable

guidance to the operators on how to transition to the applicable CSF procedure.

Therefore, correct application of the NOTE in ECA-1.1 before step 7.d. would be to recognize

that the momentary invalid orange path should not be used as a directive to transition to the

orange path CSF procedure. This NOTE in ECA-1.1 is specific to the conditions in that

procedure and takes precedence over any general rules of usage guidance provided in

administrative conduct-of-operations procedures. Furthermore, the stem of the first part

question statement directs the applicant to answer the question statement Per ECA-1.1, and

not as a general question, or per OMP 1-7. This statement strongly ties the first part question

statement to the ECA-1.1 procedure steps, NOTEs, and CAUTION statements in opposition to

any other procedural guidance that may not be considered exclusively internally consistent.

There are other cases in the Westinghouse emergency operating procedures where specific

NOTES or CAUTIONS override more general usage guidance. For example, in Catawba

emergency operating procedure EP/1/A/5000/E-3, Steam Generator Tube Rupture, there is a

CAUTION statement at step 8 RNO that stated: NC T-Cold indication in ruptured loop may

cause an invalid Integrity Status Tree condition. This statement is very similar to the NOTE

listed in ECA-1.1 in that it applies only to a specific condition during performance of a specified

procedure; that is, performance of this particular procedure at this step may result in an invalid

critical safety function status.

The NRC acknowledges that the facility licensee has initiated its processes for enhancing the

clarity and consistency of the procedural guidance in question.

However, as given, Question 17 has only one technically correct answer, and the NRC

determined that no change to the official answer key was warranted in accordance with

NUREG-1021.

Item

Question 28, K/A 003K5.02

Comment

The licensee recommends that this question be removed from the exam as no correct answer to

part 1 is listed.

1. Part 1 of this question is technically correct concerning the loss of a Reactor Coolant

Pump with no other plant transient in progress.

2. With the given conditions, a Reactor trip will occur based on P-8 (Single Loop Loss of

Flow Reactor Trip > 48%) resulting in a fluctuation of all S/G levels.

3. Post exam simulator analysis revealed that the identified S/G level (1C) would actually

begin to shrink first and at a faster rate but not to a lower level when compared with

other S/Gs.

4. The question did not specify a detailed time frame for analysis. Initially is open to

interpretation as the applicable S/G level varies considerably within a relatively short

period of time (as compared to other S/G levels).

5. The listed answer is technically incorrect. The other available answer is also technically

incorrect as S/G swell will not occur.

NRC Resolution

The licensees recommendation was rejected.

The first part question statement specifically asks that applicant to determine whether the initial

Steam Generator (S/G) water level trend in the idle reactor coolant loop will be of the S/G level

shrink[ing] lower or swell[ing] higher as compared to the other S/G levels in the reactor

coolant loops with operating reactor coolant pumps. The given time frame in the question is

specified as initially after the 1C NC [reactor coolant] pump trips. Therefore, the

question is asking the applicant to determine the initial 1C S/G level trend immediately after the

1C NC pump trips, as compared to the operating loop S/G level trends.

As detailed in the simulator traces provided by the facility licensee, immediately after the 1C NC

pump trips, the 1C S/G level begins to lower below the other loops S/G levels. There is a short

period where the other loops S/G levels begin to increase (swell), just before the reactor trip

occurs. For a time period of approximately 16 seconds after the NC pump trips, the 1C S/G

level is lower, and lowering faster, than the other S/Gs. Therefore, the simulator data clearly

demonstrates that the initial 1C S/G level trend after the 1C NC pump trips is characterized by

1C S/G level shrink[ing] lower.

Therefore, as given, Question 28 has only one technically correct answer, and the NRC

determined that no change to the official answer key was warranted in accordance with

NUREG-1021.

Item

Question 50, K/A 063A1.01

Comment

The licensee recommends that question 50 be deleted from the exam due to not having enough

information in the stem of the question in order to answer it correctly.

1. The stem of the question states that battery 1EBA is supplying AC vital bus 1ERPA

through inverter 1EIA without a battery charger connected. Even though this would be

the lineup if a battery charger were to fail, it does not provide a complete load profile for

this battery. 1EBA would be supplying 1EDA and Panelboard 1EPA as well as other

loads (see system drawing).

2. The question stem also states that only the voltage range of 125 VDC to 120 VDC is

taken into account. Battery discharge tests in the plant suggest that the battery would

only be in this voltage range for mere seconds (see 1EBA discharge test data sheet).

3. Due to the short duration of being in the specified voltage range and the unknown load

profile for the specific battery listed, it is the opinion of CNS that there is not enough

information to answer this question correctly and it should be deleted from the exam.

NRC Resolution

The licensees recommendation was accepted.

During the development of this question, the facility licensee and the NRC agreed upon adding

a plant-specific battery and a plant-specific bus to the question stem as follows: Vital battery

1EBA is supplying 1ERPA through inverter 1EIA without a battery charger on line. The intent

of this editorial modification was to simplify the electrical plant line-up in question for the

applicants. The question then asks the applicants to determine the trend of battery current flow

and battery discharge rate as battery terminal voltage decreased from 125 VDC to 120 VDC.

However, as detailed by the licensee, the actual electrical line-up is more complicated than

intended by the exam writers and reviewers. In actuality, the isolated battery 1EBA would be

supplying various other loads that are not supported by the question stem.

Therefore, the question unintentionally presented an unclear stem that did not provide all of the

necessary information needed to elicit the correct answer. Furthermore, given the additional

complexity of the electrical circuit to be analyzed in order to answer the question (albeit

unintentionally), it is arguable whether the question as given would be operationally valid as a

test item from the standpoint of the reactor operator job requirements.

Therefore, the NRC agreed with the facility licensee, and deleted Question 50 from the written

examination in accordance with NUREG-1021 ES-403 section D.1.b.

Item

Question 75, K/A G2.4.43

Comment

The licensee recommends that the Exam Key be changed to list the correct answer as C

(approved exam listed D as correct answer).

1. Several CNS procedures list the sound powered phone circuit power supply for each

unit, but omit information concerning a permanent cross-tie installed per NSM 50307.

2. Post exam review identified conflicting information concerning split versus cross-tied

power supplies.

3. CNS Engineering staff has verified that a previously installed modification tied sound

powered phone circuits together ensuring availability from the opposite unit following a

loss of one units essential B train power (see attached email and NSM).

4. Per the listed conditions, the emergency sound power phone circuit will be available, via

Unit 2 power supply. Answer D is technically incorrect. Answer C is technically

correct.

NRC Resolution

The licensees recommendation was accepted.

During written exam development, the technical reference used to support Question 75 was

Note 1 of Enclosure 4.9, Emergency Communications, of procedure OP/1/A/6100/020, which

stated:

The emergency sound powered phone circuit receives backup, emergency

power from the B train essential switchgear. If the B Train essential

switchgear is de-energized concurrent with a loss of offsite power, the

emergency sound powered phone circuit will be inoperable.

Accordingly, the exam writers wrote an operationally valid question that provided a loss of the

B train essential switchgear concurrent with a loss of offsite power in the stem, in order to test

the application of this plant condition to the availability of the emergency sound powered phone

circuit.

However, as detailed by the facility licensee, there was an installed plant modification (NSM

50307) that was identified during post-exam review that provides for a permanent cross-tie

installation for the emergency sound powered phone circuit. The existence of this electrical

cross-tie negates the technical accuracy of the referenced procedural NOTE used in the

question development. This newly discovered technical information supports a change in the

question answer key from D to C. There is no other conflicting information in the question

stem or distractors.

Therefore, the NRC agreed with the facility licensee, and changed the answer for Question 75

from D to C in accordance with NUREG-1021 ES-403 section D.1.b.

Item

Job Performance Measure F, Shift Operating Condenser Circulating Water Pumps

Comment

The licensee recommends that step 7 be changed to remove the Critical Step designation.

1. The as submitted JPM F (Shift Operating RC (Condenser Circulating Water) Pumps by

placing 1D RC Pump in service and securing 1B RC Pump) step 7 is labeled as a critical

step.

2. The purpose of securing the pump by closing its discharge valve is to prevent exposing

the pump suction line from the discharge pressure of the remaining running pumps. In

this case that would be RC pumps 1A, 1C, and 1D.

3. If the step for closing the discharge valve were not performed and the 1B RC pump were

secured by just depressing the OFF pushbutton, then the discharge valve would

automatically close in approximately 50 seconds. This would allow the discharge

pressure of the remaining running pumps to be introduced to the suction of the 1B RC

pump for those 50 seconds.

4. According to the engineering department (Mike Classe - Manager Nuclear Engineering),

the maximum discharge pressure of any running pump would be from the 2C RC pump

(~66 PSIG at an operating temperature of 105-110 degrees F).

The suction piping for this system is Pipe Spec 150.4 seen in the chart (provided by the

licensee). For a conservative temperature of 200 degrees F, the maximum design pressure for

the suction piping would be 215 PSI

G. Therefore, having the suction piping subjected to design

discharge pressure for a short duration of time is of no major consequence, and should

therefore not be credited as a critical step. The critical part of securing 1B RC pump is to

depress the OFF pushbutton and verify the discharge valve is closed, and therefore step 8 of

the JPM should remain the critical step.

NRC Resolution

The licensees recommendation was accepted.

As described in the facility licensees recommendation, there are no adverse consequences to

subjecting the suction piping to pump discharge pressure for a short period of time. Therefore,

this newly discovered technical information supports changing the designation of JPM step 7

from critical to non critical. Based on the design of the JPM, the interlock between the

discharge valve closing resulting in an automatic pump trip was defeated; however, the interlock

between manually tripping the pump causing an automatic closure of the discharge valve was

not defeated. As a result of this newly discovered technical information, the NRC determined

that manually securing the RC pump remained a critical step in successfully completing the JPM

overall, but manually closing the discharge valve before manually securing the RC pump was

evaluated as not being a critical step in the JP

M.

Therefore, the NRC agreed with the licensee to change the designation of JPM step 7 to non-

critical in accordance with NUREG-1021, and all of the applicants performance on this JPM

was evaluated accordingly.

SIMULATOR FIDELITY REPORT

Facility Licensee: Catawba Nuclear Station

Facility Docket No.: 50-413, 50-414

Operating Test Administered: May 16 - 19, 2016

This form is to be used only to report observations. These observations do not constitute audit

or inspection findings and, without further verification and review in accordance with Inspection

Procedure 71111.11 are not indicative of noncompliance with 10 CFR 55.46. No licensee

action is required in response to these observations.

No simulator fidelity or configuration issues were identified.

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