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| number = ML16350A034
| number = ML16350A034
| issue date = 12/14/2016
| issue date = 12/14/2016
| title = Seabrook Station, Unit 1 - Component Design Bases Inspection Report 05000443/2016007
| title = Component Design Bases Inspection Report 05000443/2016007
| author name = Gray M
| author name = Gray M
| author affiliation = NRC/RGN-I/DRS/EB1
| author affiliation = NRC/RGN-I/DRS/EB1
| addressee name = McCartney E
| addressee name = Mccartney E
| addressee affiliation = NextEra Energy Seabrook, LLC
| addressee affiliation = NextEra Energy Seabrook, LLC
| docket = 05000443
| docket = 05000443
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=Text=
=Text=
{{#Wiki_filter:
{{#Wiki_filter:UNITED STATES NUCLEAR REGULATORY COMMISSION ber 14, 2016
[[Issue date::December 14, 2016]]


EA 16-238 Mr. Eric McCartney Site Vice President Seabrook Nuclear Power Plant NextEra Energy Seabrook, LLC c/o Mr. Kenneth Browne P.O. Box 300 Seabrook, NH 03874
==SUBJECT:==
SEABROOK STATION, UNIT 1 - COMPONENT DESIGN BASES INSPECTION REPORT 05000443/2016007


SUBJECT: SEABROOK STATION, UNIT 1 - COMPONENT DESIGN BASES INSPECTION REPORT 05000443/2016007
==Dear Mr. McCartney:==
On September 1, 2016 the U.S. Nuclear Regulatory Commission (NRC) completed an inspection at your Seabrook Station, Unit 1. On September 1 and October 5, 2016, the NRC discussed the interim results of this inspection with you and other members of your staff; and on November 10, 2016, the NRC discussed the final results of the inspection with you and other members of your staff. The results of this inspection are documented in the enclosed report.


==Dear Mr. McCartney:==
The inspection examined activities conducted under your license as they relate to safety and compliance with the Commissions rules and regulations and with the conditions of your license.
On September 1, 2016 the U.S. Nuclear Regulatory Commission (NRC) completed an inspection at your Seabrook Station, Unit 1. On September 1 and October 5, 2016, the NRC discussed the interim results of this inspection with you and other members of your staff; and on November 10, 2016, the NRC discussed the final results of the inspection with you and other members of your staff. The results of this inspection are documented in the enclosed report. The inspection examined activities conducted under your license as they relate to safety and compliance with the Commission's rules and regulations and with the conditions of your license. In conducting the inspection, the team examined the adequacy of selected components to mitigate postulated transients, initiating events, and design basis accidents. The inspection involved field walkdowns, examination of selected procedures, calculations and records, and interviews with station personnel.
 
In conducting the inspection, the team examined the adequacy of selected components to mitigate postulated transients, initiating events, and design basis accidents. The inspection involved field walkdowns, examination of selected procedures, calculations and records, and interviews with station personnel.
 
This report documents two NRC-identified findings, and both were of very low safety significance (Green). The findings were determined to be violations of NRC requirements.


This report documents two NRC-identified findings, and both were of very low safety significance (Green). The findings were determined to be violations of NRC requirements. However, because of the very low safety significance and because they were entered into your corrective action program, the NRC is treating these findings as non-cited violations (NCV) consistent with Section 2.3.2.a of the NRC's Enforcement Policy. If you contest any of the NCVs in this report, you should provide a response within 30 days of the date of this inspection report, with the basis for your denial, to the U.S. Nuclear Regulatory Commission, ATTN.:
However, because of the very low safety significance and because they were entered into your corrective action program, the NRC is treating these findings as non-cited violations (NCV)
consistent with Section 2.3.2.a of the NRCs Enforcement Policy. If you contest any of the NCVs in this report, you should provide a response within 30 days of the date of this inspection report, with the basis for your denial, to the U.S. Nuclear Regulatory Commission, ATTN.:
Document Control Desk, Washington DC, 20555-0001; with copies to the Regional Administrator, Region I; the Director, Office of Enforcement, U.S. Nuclear Regulatory Commission, Washington, DC 20555-0001; and the NRC Senior Resident Inspector at Seabrook Station.
Document Control Desk, Washington DC, 20555-0001; with copies to the Regional Administrator, Region I; the Director, Office of Enforcement, U.S. Nuclear Regulatory Commission, Washington, DC 20555-0001; and the NRC Senior Resident Inspector at Seabrook Station.


If you disagree with a cross-cutting aspect assignment in this report, you should provide a response within 30 days of the date of this inspection report, with the basis for your disagreement, to the U.S. Nuclear Regulatory Commission, ATTN: Document Control Desk, Washington, DC 20555-0001; with copies to the Regional Administrator, Region I; and the NRC Senior Resident Inspector at Seabrook Station. This letter, its enclosure, and your response (if any) will be made available for public inspection and copying at http://www.nrc.gov/reading-rm/adams.html and at the NRC Public Document Room in accordance with 10 CFR 2.390, "Public Inspections, Exemptions, Requests for Withholding."
If you disagree with a cross-cutting aspect assignment in this report, you should provide a response within 30 days of the date of this inspection report, with the basis for your disagreement, to the U.S. Nuclear Regulatory Commission, ATTN: Document Control Desk, Washington, DC 20555-0001; with copies to the Regional Administrator, Region I; and the NRC Senior Resident Inspector at Seabrook Station. This letter, its enclosure, and your response (if any) will be made available for public inspection and copying at http://www.nrc.gov/reading-rm/adams.html and at the NRC Public Document Room in accordance with 10 CFR 2.390, Public Inspections, Exemptions, Requests for Withholding.


Sincerely,/RA/ Mel Gray, Chief Engineering Branch 1 Division of Reactor Safety Docket No. 50-443 License No. NPF-86  
Sincerely,
/RA/
Mel Gray, Chief Engineering Branch 1 Division of Reactor Safety Docket No. 50-443 License No. NPF-86


===Enclosure:===
===Enclosure:===
Inspection Report 05000443/2016007  
Inspection Report 05000443/2016007 w/Attachment: Supplemental Information


===w/Attachment:===
REGION I==
Supplemental Information cc: Distribution via ListServ
Docket No: 50-443 License No: NPF-86 Report No: 05000443/2016007 Licensee: NextEra Energy Seabrook, LLC (NextEra)
Facility: Seabrook Station, Unit 1 Location: Seabrook, New Hampshire 03874 Inspection Period: August 1 through September 1, 2016 Inspectors: S. Pindale, Senior Reactor Inspector, Division of Reactor Safety (DRS) - Team Leader J. Richmond, Senior Reactor Inspector, DRS J. Schoppy, Senior Reactor Inspector, DRS M. Orr, Reactor Inspector, DRS S. Gardner, NRC Electrical Contractor W. Sherbin, NRC Mechanical Contractor Approved By: Mel Gray, Chief Engineering Branch 1 Division of Reactor Safety Enclosure


=SUMMARY=
=SUMMARY=
IR 05000443/2016007; 8/1/2016 - 9/1/2016; Seabrook Station, Unit 1; Component Design Bases Inspection. The report covers the Component Design Bases Inspection conducted by a team of four U.S. Nuclear Regulatory Commission (NRC) inspectors and two NRC contractors. Two findings of very low safety significance (Green) were identified. The significance of most findings is indicated by their color (Green, White, Yellow, Red) using Inspection Manual Chapter (IMC) 0609, "Significance Determination Process.Cross-cutting aspects associated with findings are determined using IMC 0310, "Components Within the Cross-Cutting Areas.The NRC's program for overseeing the safe operation of commercial nuclear power reactors is described in NUREG-1649, "Reactor Oversight Process," Revision 6, dated July 2016.
IR 05000443/2016007; 8/1/2016 - 9/1/2016; Seabrook Station, Unit 1; Component Design
 
Bases Inspection.
 
The report covers the Component Design Bases Inspection conducted by a team of four U.S. Nuclear Regulatory Commission (NRC) inspectors and two NRC contractors. Two findings of very low safety significance (Green) were identified. The significance of most findings is indicated by their color (Green, White, Yellow, Red) using Inspection Manual Chapter (IMC) 0609, Significance Determination Process. Cross-cutting aspects associated with findings are determined using IMC 0310, Components Within the Cross-Cutting Areas. The NRCs program for overseeing the safe operation of commercial nuclear power reactors is described in NUREG-1649, Reactor Oversight Process, Revision 6, dated July 2016.


===Cornerstone: Initiating Events===
===Cornerstone: Initiating Events===
: '''Green.'''
: '''Green.'''
The team identified a finding of very low safety significance, involving a non-cited violation of Title 10 of the Code of Federal Regulations, Part 50, Appendix B, Criterion XVI, "Corrective Action," for not performing corrective actions to preclude repetition of a significant condition adverse to quality. Specifically, in 2008, two of four primary component cooling water (PCCW) pump motors failed within a four month period due to a manufacturing defect. NextEra established but did not perform a corrective action to replace all four motors with re-wound motors, free of the identified manufacturing defect. Subsequently, in 2015, a third motor failure occurred due to the same manufacturing defect. NextEra's immediate corrective actions included entering this issue into their corrective action program (AR 2153536), implementing an electrical testing program that would provide an early indication of further degradation of the manufacturing defect until motor replacement, and completing a prompt operability determination to assess current PCCW system operability. This finding was more than minor because it was associated with the Equipment Performance attribute of the Initiating Events Cornerstone and adversely affected the cornerstone objective of limiting the likelihood of events that upset plant stability and challenge critical safety functions during power operations. In accordance with IMC 0609.04, "Initial Characterization of Findings," and Exhibit 1 of IMC 0609, Appendix A, "The Significance Determination Process for Findings At-Power," the team screened the finding for safety significance and determined that a detailed risk evaluation (DRE) was required because the finding involved a partial loss of a support system (PCCW pump 'B') that would increase the likelihood of an initiating event and impacted mitigating equipment (Item C - Support System Initiators of Exhibit 1). The DRE, performed by a Region I senior reactor analyst (SRA), concluded that the performance deficiency resulted in a change in core damage frequency of high E-7/yr, or very low safety significance (Green). The finding had a cross-cutting aspect in Problem Identification and Resolution (Resolution), because NextEra did not take effective corrective actions to address this issue in a timely manner commensurate with its safety significance. Specifically, NextEra did not perform motor replacements for susceptible installed PCCW motors within a reasonable due date as specified by the 2009 corrective action to preclude repetition (CAPR); and plant procedures, programs and resources were available for the decision-making process to schedule the motor replacement. (Section 1R21.2.1.3.1)
The team identified a finding of very low safety significance, involving a non-cited violation of Title 10 of the Code of Federal Regulations, Part 50, Appendix B, Criterion XVI,
Corrective Action, for not performing corrective actions to preclude repetition of a significant condition adverse to quality. Specifically, in 2008, two of four primary component cooling water (PCCW) pump motors failed within a four month period due to a manufacturing defect. NextEra established but did not perform a corrective action to replace all four motors with re-wound motors, free of the identified manufacturing defect.
 
Subsequently, in 2015, a third motor failure occurred due to the same manufacturing defect.
 
NextEras immediate corrective actions included entering this issue into their corrective action program (AR 2153536), implementing an electrical testing program that would provide an early indication of further degradation of the manufacturing defect until motor replacement, and completing a prompt operability determination to assess current PCCW system operability.
 
This finding was more than minor because it was associated with the Equipment Performance attribute of the Initiating Events Cornerstone and adversely affected the cornerstone objective of limiting the likelihood of events that upset plant stability and challenge critical safety functions during power operations. In accordance with IMC 0609.04, Initial Characterization of Findings, and Exhibit 1 of IMC 0609, Appendix A, The Significance Determination Process for Findings At-Power, the team screened the finding for safety significance and determined that a detailed risk evaluation (DRE) was required because the finding involved a partial loss of a support system (PCCW pump B) that would increase the likelihood of an initiating event and impacted mitigating equipment (Item C - Support System Initiators of Exhibit 1). The DRE, performed by a Region I senior reactor analyst (SRA), concluded that the performance deficiency resulted in a change in core damage frequency of high E-7/yr, or very low safety significance (Green).
 
The finding had a cross-cutting aspect in Problem Identification and Resolution (Resolution),
because NextEra did not take effective corrective actions to address this issue in a timely manner commensurate with its safety significance. Specifically, NextEra did not perform motor replacements for susceptible installed PCCW motors within a reasonable due date as specified by the 2009 corrective action to preclude repetition (CAPR); and plant procedures, programs and resources were available for the decision-making process to schedule the motor replacement. (Section 1R21.2.1.3.1)


===Cornerstone: Barrier Integrity===
===Cornerstone: Barrier Integrity===
: '''Green.'''
: '''Green.'''
The team identified a finding of very low safety significance, involving a non-cited violation of Seabrook Technical Specification Surveillance Requirement 4.0.5, "Surveillance Requirements for In-Service Inspection and Testing of American Society of Mechanical Engineers (ASME) Code Class 1, 2, and 3 Components.Specifically, the manual isolation valves for the atmospheric steam dump valves had an active safety function to close, in order to mitigate the radiological consequences of a steam generator tube rupture (SGTR) accident, but had not been placed in the Seabrook In-Service Test Program and tested, as required by the Technical Specifications and ASME Code. As a result, degraded valve performance could go uncorrected without adequate acceptance criteria to ensure that a SGTR would not result in an unacceptable increase in the consequences of that accident (e.g., a more than minor reduction in the margin between the postulated licensing basis radiological release and the regulatory limits). In response, NextEra entered the issue into their corrective action program (AR 2153195) and performed a preliminary assessment of the valves, which concluded that they were fully operable. This finding was more than minor because it was associated with the System, Structure, or Component (SSC), and Barrier Performance attribute of the Containment Barrier Cornerstone and adversely affected the cornerstone objective of ensuring the reliability of associated risk-important SSCs. The team determined that the finding was of very low safety significance (Green) because it was a deficiency confirmed not to represent an actual open pathway in the physical integrity of reactor containment and did not involve an actual reduction in function of hydrogen igniters in the reactor containment. The finding did not have a cross-cutting aspect because it was not considered indicative of current licensee performance. (Section 1R21.2.1.17)4
The team identified a finding of very low safety significance, involving a non-cited violation of Seabrook Technical Specification Surveillance Requirement 4.0.5, Surveillance Requirements for In-Service Inspection and Testing of American Society of Mechanical Engineers (ASME) Code Class 1, 2, and 3 Components. Specifically, the manual isolation valves for the atmospheric steam dump valves had an active safety function to close, in order to mitigate the radiological consequences of a steam generator tube rupture (SGTR)accident, but had not been placed in the Seabrook In-Service Test Program and tested, as required by the Technical Specifications and ASME Code. As a result, degraded valve performance could go uncorrected without adequate acceptance criteria to ensure that a SGTR would not result in an unacceptable increase in the consequences of that accident (e.g., a more than minor reduction in the margin between the postulated licensing basis radiological release and the regulatory limits). In response, NextEra entered the issue into their corrective action program (AR 2153195) and performed a preliminary assessment of the valves, which concluded that they were fully operable.
 
This finding was more than minor because it was associated with the System, Structure, or Component (SSC), and Barrier Performance attribute of the Containment Barrier Cornerstone and adversely affected the cornerstone objective of ensuring the reliability of associated risk-important SSCs. The team determined that the finding was of very low safety significance (Green) because it was a deficiency confirmed not to represent an actual open pathway in the physical integrity of reactor containment and did not involve an actual reduction in function of hydrogen igniters in the reactor containment. The finding did not have a cross-cutting aspect because it was not considered indicative of current licensee performance. (Section 1R21.2.1.17)


=REPORT DETAILS=
=REPORT DETAILS=


==REACTOR SAFETY==
==REACTOR SAFETY==
Cornerstones: Initiating Events, Mitigating Systems, and Barrier Integrity  1R21 Component Design Bases Inspection (IP 71111.21)
Cornerstones: Initiating Events, Mitigating Systems, and Barrier Integrity
  {{a|1R21}}
==1R21 Component Design Bases Inspection (IP 71111.21)==


===.1 Inspection Sample Selection Process===
===.1 Inspection Sample Selection Process===
The team selected risk significant components for review using information contained in the Seabrook Station, Unit 1 (Seabrook) Probabilistic Risk Assessment (PRA) and the NRC Standardized Plant Analysis Risk (SPAR) model for Seabrook. Additionally, the team referenced the Risk-Informed Inspection Notebook for Seabrook in the selection of potential components for review. In general, the selection process focused on components that had a risk achievement worth (RAW) factor greater than 1.3 or a risk reduction worth (RRW) factor greater than 1.005. The components selected were associated with both safety-related and non-safety-related systems and included a variety of components such as pumps, transformers, operator actions, electrical busses, and valves. The team initially compiled a list of components based on the risk factors previously mentioned. Additionally, the team reviewed the previous component design bases inspection (CDBI) reports (05000443/2007006, 05000443/2010006, and 05000443/2013008) and reviewed those components previously inspected. The team then performed a margin assessment to narrow the focus of the inspection to 17 components and 3 operating experience (OE) items. Several of the components, such as a containment building spray pump, the service water intake, and the steam generator (SG) atmospheric steam dump valve were selected based on large early release frequency (LERF) implications. The team's evaluation of possible low design margin included consideration of original design issues, margin reductions due to modifications, or margin reductions identified as a result of material condition/equipment reliability issues. The assessment also included items such as failed performance test results, corrective action history, repeated maintenance, Maintenance Rule (a)(1) status, operability reviews for degraded conditions, NRC resident inspector insights, system health reports, and industry OE. Finally, consideration was also given to the uniqueness and complexity of the design and the available defense-in-depth margins. The inspection performed by the team was conducted as outlined in NRC Inspection Procedure (IP) 71111.21. This inspection effort included walkdowns of selected components; interviews with operators, system engineers, and design engineers; and reviews of associated design documents and calculations to assess the adequacy of the components to meet design basis, licensing basis, and risk-informed beyond design basis requirements. Summaries of the reviews performed for each component and OE sample are discussed in the subsequent sections of this report. Documents reviewed for this inspection are listed in the Attachment.
 
The team selected risk significant components for review using information contained in the Seabrook Station, Unit 1 (Seabrook) Probabilistic Risk Assessment (PRA) and the NRC Standardized Plant Analysis Risk (SPAR) model for Seabrook. Additionally, the team referenced the Risk-Informed Inspection Notebook for Seabrook in the selection of potential components for review. In general, the selection process focused on components that had a risk achievement worth (RAW) factor greater than 1.3 or a risk reduction worth (RRW) factor greater than 1.005. The components selected were associated with both safety-related and non-safety-related systems and included a variety of components such as pumps, transformers, operator actions, electrical busses, and valves.
 
The team initially compiled a list of components based on the risk factors previously mentioned. Additionally, the team reviewed the previous component design bases inspection (CDBI) reports (05000443/2007006, 05000443/2010006, and 05000443/2013008) and reviewed those components previously inspected. The team then performed a margin assessment to narrow the focus of the inspection to 17 components and 3 operating experience (OE) items. Several of the components, such as a containment building spray pump, the service water intake, and the steam generator (SG) atmospheric steam dump valve were selected based on large early release frequency (LERF) implications. The teams evaluation of possible low design margin included consideration of original design issues, margin reductions due to modifications, or margin reductions identified as a result of material condition/equipment reliability issues. The assessment also included items such as failed performance test results, corrective action history, repeated maintenance, Maintenance Rule (a)(1) status, operability reviews for degraded conditions, NRC resident inspector insights, system health reports, and industry OE. Finally, consideration was also given to the uniqueness and complexity of the design and the available defense-in-depth margins. The inspection performed by the team was conducted as outlined in NRC Inspection Procedure (IP) 71111.21. This inspection effort included walkdowns of selected components; interviews with operators, system engineers, and design engineers; and reviews of associated design documents and calculations to assess the adequacy of the components to meet design basis, licensing basis, and risk-informed beyond design basis requirements. Summaries of the reviews performed for each component and OE sample are discussed in the subsequent sections of this report. Documents reviewed for this inspection are listed in the Attachment.


===.2 Results of Detailed Reviews===
===.2 Results of Detailed Reviews===
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No findings were identified.
No findings were identified.


===.2.1.3 'C' Primary Component Cooling Water Pump Motor (CC-P-11-C)===
===.2.1.3 C Primary Component Cooling Water Pump Motor (CC-P-11-C)===


====a. Inspection Scope====
====a. Inspection Scope====
The team reviewed the 'C' PCCW pump motor to verify that it was capable of performing its design basis function. The team reviewed design and licensing documents, including the UFSAR, the TSs and TRM, the DBD, drawings, and other design documents to determine the specific design functions. The team reviewed available short circuit current versus breaker interrupting capability as well as NextEra's evaluation of the breaker protective relay settings and breaker coordination study to verify adequate protection of the pump motor without interruption of service to other components during circuit overload or faulted conditions.
The team reviewed the C PCCW pump motor to verify that it was capable of performing its design basis function. The team reviewed design and licensing documents, including the UFSAR, the TSs and TRM, the DBD, drawings, and other design documents to determine the specific design functions. The team reviewed available short circuit current versus breaker interrupting capability as well as NextEras evaluation of the breaker protective relay settings and breaker coordination study to verify adequate protection of the pump motor without interruption of service to other components during circuit overload or faulted conditions.


The team also reviewed the load analysis and voltage drop calculation to confirm that adequate voltage was available at the PCCW pump motor terminals under degraded grid voltage conditions. Specifically, the team confirmed that the motor terminals supplied by the safety-related 4160 Vac bus E5 were operated within the motor design range of 3600 - 4400 Vac. Control logic and wiring diagrams and calculations that determined the available control voltage were reviewed to verify that the control of the PCCW motor supply breaker conformed to the design requirements. The team also reviewed test procedures and associated results to evaluate the current health of the pump motor and circuit. Finally, the team reviewed corrective action documents and system health reports to evaluate whether there were any adverse operating trends and to assess NextEra's ability to evaluate and correct problems.
The team also reviewed the load analysis and voltage drop calculation to confirm that adequate voltage was available at the PCCW pump motor terminals under degraded grid voltage conditions. Specifically, the team confirmed that the motor terminals supplied by the safety-related 4160 Vac bus E5 were operated within the motor design range of 3600 - 4400 Vac. Control logic and wiring diagrams and calculations that determined the available control voltage were reviewed to verify that the control of the PCCW motor supply breaker conformed to the design requirements. The team also reviewed test procedures and associated results to evaluate the current health of the pump motor and circuit. Finally, the team reviewed corrective action documents and system health reports to evaluate whether there were any adverse operating trends and to assess NextEra's ability to evaluate and correct problems.
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====b. Findings====
====b. Findings====


===1. Inadequate Corrective Action for Primary Closed Cooling Water Pump Motor Failure ===
===1. Inadequate Corrective Action for Primary Closed Cooling Water Pump Motor Failure===


=====Introduction:=====
=====Introduction:=====
The team identified a finding of very low safety significance (Green) involving a Non-Cited Violation (NCV) of 10 CFR Part 50, Appendix B, Criterion XVI, "Corrective Action," for not performing corrective actions to preclude repetition of a significant condition adverse to quality. Specifically, in 2008, two of four PCCW pump motors failed within a four month period due to a manufacturing defect. NextEra established but did not perform a corrective action to replace all four motors with re-wound motors, free of the identified manufacturing defect. Subsequently, in 2015, a third motor failure occurred due to the same manufacturing defect.  
The team identified a finding of very low safety significance (Green)involving a Non-Cited Violation (NCV) of 10 CFR Part 50, Appendix B, Criterion XVI, "Corrective Action," for not performing corrective actions to preclude repetition of a significant condition adverse to quality. Specifically, in 2008, two of four PCCW pump motors failed within a four month period due to a manufacturing defect. NextEra established but did not perform a corrective action to replace all four motors with re-wound motors, free of the identified manufacturing defect. Subsequently, in 2015, a third motor failure occurred due to the same manufacturing defect.


=====Description:=====
=====Description:=====
The PCCW system consists of two trains, with two 100 percent PCCW pumps in each train. The 'A' and 'C' pumps are in one train, while the 'B' and 'D' pumps are in the other train. The PCCW is the safety-related cooling system for reactor decay heat removal and safety-related engineered safety features. The relevant chronology of PCCW motor failures and replacements is as follows:   'A' Motor March 2009, replaced with Unit 2 spare (interim corrective action)   'B' Motor March 2009, replaced with Unit 2 spare (interim corrective action) June 2015, in-service failure; replaced with re-wound motor   'C' Motor November 2008, in-service failure; replaced with Unit 2 spare October 2012, replaced with re-wound motor (action to preclude recurrence)   'D' Motor July 2008, in-service failure; replaced with Unit 2 spare In 2008, when the 'C' and 'D' motors failed, NextEra initiated a root cause evaluation (RCE) in accordance with their Corrective Action Program, and documented the two motor failures as being significant in the associated RCE report. After the 'C' and 'D' motors failed, NextEra replaced them with Unit 2 spare motors. The failed motors were sent to a motor vendor for failure analysis and repair (re-wind). Based on the failure analysis, NextEra's RCE concluded that the failures were attributed to poor workmanship by the original motor manufacturer (i.e., a manufacturing defect). Specifically, the failure analysis determined that the coil insulation wrapping had air pockets (i.e., voids) between the wrapping and the coil wires (i.e., the insulation wrapping was not sufficiently tight). The voids, in turn, prevented adequate epoxy penetration, which resulted in poor thermal conductivity between the coil and the motor casing, and caused localized hot spots which accelerated insulation breakdown. Subsequently, the insulation breakdown resulted in turn-to-turn short circuits, which eventually resulted in a coil to ground short circuit (i.e., a ground-wall insulation failure) in both the 'C' and 'D' motors. The RCE determined that the 'C' and 'D' motors only had approximately 10 years of run-time each, but had a qualified life of 32 years.
The PCCW system consists of two trains, with two 100 percent PCCW pumps in each train. The A and C pumps are in one train, while the B and D pumps are in the other train. The PCCW is the safety-related cooling system for reactor decay heat removal and safety-related engineered safety features. The relevant chronology of PCCW motor failures and replacements is as follows:
* A Motor March 2009, replaced with Unit 2 spare (interim corrective action)
* B Motor March 2009, replaced with Unit 2 spare (interim corrective action)
June 2015, in-service failure; replaced with re-wound motor
* C Motor November 2008, in-service failure; replaced with Unit 2 spare October 2012, replaced with re-wound motor (action to preclude recurrence)
* D Motor July 2008, in-service failure; replaced with Unit 2 spare In 2008, when the C and D motors failed, NextEra initiated a root cause evaluation (RCE) in accordance with their Corrective Action Program, and documented the two motor failures as being significant in the associated RCE report. After the C and D motors failed, NextEra replaced them with Unit 2 spare motors. The failed motors were sent to a motor vendor for failure analysis and repair (re-wind). Based on the failure analysis, NextEra's RCE concluded that the failures were attributed to poor workmanship by the original motor manufacturer (i.e., a manufacturing defect). Specifically, the failure analysis determined that the coil insulation wrapping had air pockets (i.e., voids)between the wrapping and the coil wires (i.e., the insulation wrapping was not sufficiently tight). The voids, in turn, prevented adequate epoxy penetration, which resulted in poor thermal conductivity between the coil and the motor casing, and caused localized hot spots which accelerated insulation breakdown. Subsequently, the insulation breakdown resulted in turn-to-turn short circuits, which eventually resulted in a coil to ground short circuit (i.e., a ground-wall insulation failure) in both the C and D motors. The RCE determined that the C and D motors only had approximately 10 years of run-time each, but had a qualified life of 32 years.
 
NextEra's 2008 RCE concluded that the Unit 2 motors could have the same manufacturing defect as the failed Unit 1 motors because they were manufactured in about the same time period as the failed Unit 1 motors. As an interim corrective action, until re-wound motors could be obtained and installed, the RCE determined that the A and B motors (the remaining Unit 1 motors still installed in the plant) should be replaced with Unit 2 spares by mid-2009. The RCE concluded that this was appropriate because the failed Unit 1 motors (C and D) had about 10 years of run-time before they failed, while the Unit 2 spares had zero run-time. This action was completed in March 2009 when the A and B motors were replaced with Unit 2 spares. In addition, the RCE required enhanced monitoring of the installed motors to detect any adverse trend in insulation degradation. The RCE identified a specific corrective action to preclude recurrence (CAPR), which was to replace all the motors with re-wound motors by December 2012, to ensure that the installed motors would not be susceptible to the identified manufacturing defect.
 
NextEra subsequently changed the motor replacement activity from an on-line activity to an outage activity, as a risk management action to reduce on-line maintenance risk.
 
During an outage in October 2012, NextEra replaced the C motor (which was a Unit 2 spare, installed in 2008) with a re-wound motor, and extended the CAPR due date to replace the remaining three motors with re-wound motors no later than December 15, 2015.
 
In June 2015, the B motor (a Unit 2 spare, installed in 2009) failed in-service, with similar symptoms to the two 2008 motor failures, and was replaced with a re-wound motor. NextEra's 2015 apparent cause evaluation (ACE) for this failure determined that this was the third occurrence of this type of failure since 2008. At that time, NextEra did not send the failed B motor (Unit 2 spare) out for failure analysis and instead, placed it in interim on-site storage. Although NextEra's ACE concluded that the B motor failure was due to untimely corrective action to replace the susceptible motors with re-wound motors, NextEra again extended the CAPR due date, to replace the remaining two motors with re-wound motors, to November 6, 2016. The team noted that the B motor only had about 3 years of run-time when it failed, and concluded that NextEra appeared to be relying on its enhanced monitoring of installed motors as the principle basis for continued operability.
 
NextEra's enhanced motor monitoring, scheduled at three year intervals, consisted of winding resistance tests, coil insulation to ground megger tests, polarization index tests, and surge comparison tests. Collectively, these tests were referred to as a Baker motor test (i.e., a set of different tests performed using a Baker Static Motor Analyzer Test Set).
 
The 2008 RCE referenced Electric Power Research Institute (EPRI) NP-7502, Electric Motor Predictive and Preventive Maintenance Guide, which recommended test periods of 12 to 18 months.


NextEra's 2008 RCE concluded that the Unit 2 motors could have the same manufacturing defect as the failed Unit 1 motors because they were manufactured in about the same time period as the failed Unit 1 motors. As an interim corrective action, until re-wound motors could be obtained and installed, the RCE determined that the 'A' and 'B' motors (the remaining Unit 1 motors still installed in the plant) should be replaced with Unit 2 spares by mid-2009. The RCE concluded that this was appropriate because the failed Unit 1 motors ('C' and 'D') had about 10 years of run-time before they failed, while the Unit 2 spares had zero run-time. This action was completed in March 2009 when the 'A' and 'B' motors were replaced with Unit 2 spares. In addition, the RCE required enhanced monitoring of the installed motors to detect any adverse trend in insulation degradation. The RCE identified a specific corrective action to preclude recurrence (CAPR), which was to replace all the motors with re-wound motors by December 2012, to ensure that the installed motors would not be susceptible to the identified manufacturing defect. NextEra subsequently changed the motor replacement activity from an on-line activity to an outage activity, as a risk management action to reduce on-line maintenance risk. During an outage in October 2012, NextEra replaced the 'C' motor (which was a Unit 2 spare, installed in 2008) with a re-wound motor, and extended the CAPR due date to replace the remaining three motors with re-wound motors no later than December 15, 2015. In June 2015, the 'B' motor (a Unit 2 spare, installed in 2009) failed in-service, with similar symptoms to the two 2008 motor failures, and was replaced with a re-wound motor. NextEra's 2015 apparent cause evaluation (ACE) for this failure determined that this was the third occurrence of this type of failure since 2008. At that time, NextEra did not send the failed 'B' motor (Unit 2 spare) out for failure analysis and instead, placed it in interim on-site storage. Although NextEra's ACE concluded that the 'B' motor failure was due to untimely corrective action to replace the susceptible motors with re-wound motors, NextEra again extended the CAPR due date, to replace the remaining two motors with re-wound motors, to November 6, 2016. The team noted that the 'B' motor only had about 3 years of run-time when it failed, and concluded that NextEra appeared to be relying on its enhanced monitoring of installed motors as the principle basis for continued operability. NextEra's enhanced motor monitoring, scheduled at three year intervals, consisted of winding resistance tests, coil insulation to ground megger tests, polarization index tests, and surge comparison tests. Collectively, these tests were referred to as a Baker motor test (i.e., a set of different tests performed using a Baker Static Motor Analyzer Test Set). The 2008 RCE referenced Electric Power Research Institute (EPRI) NP-7502, "Electric Motor Predictive and Preventive Maintenance Guide," which recommended test periods of 12 to 18 months. The team concluded that the Unit 2 motors were likely to be susceptible to the same manufacturing defect as the original Unit 1 'C' and 'D' motors because the 'B' motor was a Unit 2 spare installed in 2009 (short in-service period), had similar failure symptoms to the previous motor failures, was the same motor type, style and vendor as the failed Unit 1 motors, and was manufactured in about the same time period as the Unit 1 motors. The team further concluded that by postponing motor replacements by more than eight years after the first two failures, and more than four years beyond the initial December 2012 CAPR due date, NextEra had not adequately implemented corrective actions to prevent repetition for a significant condition adverse to quality, as required by regulation. In response to the team's conclusion, NextEra postulated that the 2015 ACE may have reached an incorrect apparent cause regarding the Unit 2 motor failure because the Unit 2 motors had been manufactured in 1977, while the Unit 1 motors had been manufactured in 1978, a year later. Based on the difference in manufacturing dates, NextEra initially believed that the Unit 2 motors were not susceptible to the same manufacturing defect as the Unit 1 motors. To demonstrate continued operability of the 'A' and 'D' motors (Unit 2 spares, installed in 2009 and 2008, respectively), NextEra performed the following:   Baker motor tests on the 'A' and 'D' motors, with satisfactory results; Sent the 'B' motor to the original motor manufacturer for failure analysis; and Completed a Prompt Operability Determination (POD) for the 'A' and 'D' motors. NextEra's POD stated that there was no evidence that any Unit 2 motor had a similar manufacturing defect to the failed Unit 1 motors, based on test and inspection results. NextEra referenced EPRI EL-5036-V16, "Handbook to Assess the Insulation of Large Rotating Machines," Section 6.5.2.1, "Assessment of Turn Insulation," which stated:   Turn insulation condition acceptable: If there are no failures from surge testing, no evidence of any of the aging mechanisms that could affect the turn insulation, and no significant operational or environmental changes that would affect aging, the turn insulation should perform reliably for at least the next few years. In addition, NextEra contacted the Baker Test Set vendor, whom NextEra described as a recognized industry expert in the field of motor testing. That vendor provided the following additional information regarding surge test capability:   Surge testing checks the turn-to-turn insulation (i.e., copper to copper) and can detect weakening copper insulation months before a failure that will manifest itself through weak insulation turning into a shorted turn, then burning through the ground-wall insulation in minutes at that point. Based on the EPRI technical reports, the team determined that the surge test was the only test that had the capability to detect insulation degradation within a coil winding (i.e., a turn-to-turn short) prior to a turn-to-turn short inside the coil winding becoming a coil to motor case short (i.e., a ground-wall insulation failure). The team also determined that the identified manufacturing defect in the Unit 1 motors appeared to constitute an aging mechanism that could affect the turn insulation. Therefore, the team concluded that NextEra's enhanced monitoring at a three-year interval was not sufficient to detect an adverse trend in turn-to-turn insulation, prior to an in-service failure. NextEra entered this issue in their corrective action program as AR 2153536. The POD for the 'A' and 'D' PCCW motors determined that the motors were degraded but operable, established compensatory measures to perform Baker motor testing quarterly until replaced, and assigned a motor replacement due date of December 28, 2016. The team reviewed NextEra's POD, compensatory measures, and planned corrective actions and concluded they were reasonable. NextEra received the failure analysis report for the 'B' motor (Unit 2 spare) from the original motor manufacturer, dated September 29, 2016. That vendor report confirmed that the Unit 2 motor failure was due to the same manufacturing defect as the previous two Unit 1 motor failures in 2008.  
The team concluded that the Unit 2 motors were likely to be susceptible to the same manufacturing defect as the original Unit 1 C and D motors because the B motor was a Unit 2 spare installed in 2009 (short in-service period), had similar failure symptoms to the previous motor failures, was the same motor type, style and vendor as the failed Unit 1 motors, and was manufactured in about the same time period as the Unit 1 motors. The team further concluded that by postponing motor replacements by more than eight years after the first two failures, and more than four years beyond the initial December 2012 CAPR due date, NextEra had not adequately implemented corrective actions to prevent repetition for a significant condition adverse to quality, as required by regulation.
 
In response to the team's conclusion, NextEra postulated that the 2015 ACE may have reached an incorrect apparent cause regarding the Unit 2 motor failure because the Unit 2 motors had been manufactured in 1977, while the Unit 1 motors had been manufactured in 1978, a year later. Based on the difference in manufacturing dates, NextEra initially believed that the Unit 2 motors were not susceptible to the same manufacturing defect as the Unit 1 motors. To demonstrate continued operability of the A and D motors (Unit 2 spares, installed in 2009 and 2008, respectively), NextEra performed the following:
* Baker motor tests on the A and D motors, with satisfactory results;
* Sent the B motor to the original motor manufacturer for failure analysis; and
* Completed a Prompt Operability Determination (POD) for the A and D motors.
 
NextEra's POD stated that there was no evidence that any Unit 2 motor had a similar manufacturing defect to the failed Unit 1 motors, based on test and inspection results.
 
NextEra referenced EPRI EL-5036-V16, Handbook to Assess the Insulation of Large Rotating Machines, Section 6.5.2.1, Assessment of Turn Insulation, which stated:
* Turn insulation condition acceptable: If there are no failures from surge testing, no evidence of any of the aging mechanisms that could affect the turn insulation, and no significant operational or environmental changes that would affect aging, the turn insulation should perform reliably for at least the next few years.
 
In addition, NextEra contacted the Baker Test Set vendor, whom NextEra described as a recognized industry expert in the field of motor testing. That vendor provided the following additional information regarding surge test capability:
* Surge testing checks the turn-to-turn insulation (i.e., copper to copper) and can detect weakening copper insulation months before a failure that will manifest itself through weak insulation turning into a shorted turn, then burning through the ground-wall insulation in minutes at that point.
 
Based on the EPRI technical reports, the team determined that the surge test was the only test that had the capability to detect insulation degradation within a coil winding (i.e., a turn-to-turn short) prior to a turn-to-turn short inside the coil winding becoming a coil to motor case short (i.e., a ground-wall insulation failure). The team also determined that the identified manufacturing defect in the Unit 1 motors appeared to constitute an aging mechanism that could affect the turn insulation. Therefore, the team concluded that NextEra's enhanced monitoring at a three-year interval was not sufficient to detect an adverse trend in turn-to-turn insulation, prior to an in-service failure.
 
NextEra entered this issue in their corrective action program as AR 2153536. The POD for the A and D PCCW motors determined that the motors were degraded but operable, established compensatory measures to perform Baker motor testing quarterly until replaced, and assigned a motor replacement due date of December 28, 2016. The team reviewed NextEra's POD, compensatory measures, and planned corrective actions and concluded they were reasonable.
 
NextEra received the failure analysis report for the B motor (Unit 2 spare) from the original motor manufacturer, dated September 29, 2016. That vendor report confirmed that the Unit 2 motor failure was due to the same manufacturing defect as the previous two Unit 1 motor failures in 2008.


=====Analysis:=====
=====Analysis:=====
As stated previously, NextEra considered the two motor failures in 2008 to be significant. Similarly, the team considered the presence of a manufacturing defect potentially affecting all PCCW motors to be a significant condition adverse to quality. In accordance with 10 CFR 50, Appendix B, Criterion XVI, in the case of significant conditions adverse to quality, measures shall assure that the cause of the condition is determined and corrective action taken to preclude repetition. The team determined that not precluding repetition of a significant condition adverse to quality was a performance deficiency that was reasonably within NextEra's ability to foresee and prevent. Specifically, in 2008, two PCCW pump motors failed due to a manufacturing defect. NextEra established a CAPR to replace all of the PCCW motors by December 2012 with re-wound motors, free of the identified manufacturing defect, but repeatedly delayed motor replacements. Subsequently, in 2015, seven years later, a third motor failure occurred due to the same manufacturing defect. This finding is more than minor because it was associated with the Equipment Performance attribute of the Initiating Events Cornerstone and adversely affected the cornerstone objective of limiting the likelihood of events that upset plant stability and challenge critical safety functions during power operations. In accordance with IMC 0609.04, "Initial Characterization of Findings," and Exhibit 1 of NRC IMC 0609 Appendix A, "The Significance Determination Process (SDP) for Findings At-Power," the team screened the finding for safety significance and determined that a detailed risk evaluation (DRE) was required because the finding involved a partial loss of a support system (PCCW pump 'B') that would increase the likelihood of an initiating event and impacts mitigating equipment (Item C - Support System Initiators of Exhibit 1). An NRC Region I SRA completed the DRE and estimated the increase in core damage frequency (CDF) associated with this performance deficiency to be in the high E-7 per year range or very low safety significance (Green). To complete the DRE, the SRA used the Systems Analysis Programs for Hands-On Evaluation (SAPHIRE) Revision 8.1.4, the Seabrook SPAR Model, Version 8.21 (limited use model, dated October 3, 2016), and guidance in Section 2.1 of Volume 1 of the Risk Assessment of Operational Events (RASP) Handbook for evaluating support system performance deficiencies. The SRA made the following assumptions and associated changes to the SPAR Model to estimate the internal risk contribution:  1) the exposure time for this issue was one year, inclusive of 68 hours of repair time; 2) for the one year period, PCCW pump motors A, B, and D were susceptible to the nonconforming condition relative to motor quality of construction and their associated mission time failure probabilities were increased using statistical analysis (i.e., a Bayesian update with a Jefferey's non-informative prior methodology) from a nominal value of 7.25E-5 to 2.6E-4; 3) the Seabrook SPAR model was modified to invoke support system initiating event estimates and associated 'A,' 'B' and 'D' PCCW pump initiating event frequencies were increased from their nominal value of 2.6E-2/year to 9.6E-2/year; 4) for the 68 hours of PCCW pump 'B' unavailability, basic event PCCW-MDP-FR-P11B was set to TRUE with the resulting PCCW pump common cause failure mission time probability increased from 2.67E-7 to 3.69E-3; 5) the 68-hour period also included the increased conditional failure probability for the other affected 'A' and 'D' motors to 2.6E-4 along with increased initiating event frequencies to 9.6E-2; and 6) truncation was set at 1E-11.
As stated previously, NextEra considered the two motor failures in 2008 to be significant. Similarly, the team considered the presence of a manufacturing defect potentially affecting all PCCW motors to be a significant condition adverse to quality. In accordance with 10 CFR 50, Appendix B, Criterion XVI, in the case of significant conditions adverse to quality, measures shall assure that the cause of the condition is determined and corrective action taken to preclude repetition.
 
The team determined that not precluding repetition of a significant condition adverse to quality was a performance deficiency that was reasonably within NextEra's ability to foresee and prevent. Specifically, in 2008, two PCCW pump motors failed due to a manufacturing defect. NextEra established a CAPR to replace all of the PCCW motors by December 2012 with re-wound motors, free of the identified manufacturing defect, but repeatedly delayed motor replacements. Subsequently, in 2015, seven years later, a third motor failure occurred due to the same manufacturing defect.
 
This finding is more than minor because it was associated with the Equipment Performance attribute of the Initiating Events Cornerstone and adversely affected the cornerstone objective of limiting the likelihood of events that upset plant stability and challenge critical safety functions during power operations. In accordance with IMC 0609.04, Initial Characterization of Findings, and Exhibit 1 of NRC IMC 0609 Appendix A, The Significance Determination Process (SDP) for Findings At-Power, the team screened the finding for safety significance and determined that a detailed risk evaluation (DRE) was required because the finding involved a partial loss of a support system (PCCW pump B) that would increase the likelihood of an initiating event and impacts mitigating equipment (Item C - Support System Initiators of Exhibit 1).


Based upon these modeling changes, the internal CDF risk contribution from the assumed one-year of exposure time, given the increased pump conditional failure probabilities, was 4E-7/year. An additional internal CDF risk increase of 3.3E-7/year was calculated associated with the unavailability of the 'B' PCCW pump due to its failure and repair time of 68 hours. The year-long dominant core damage sequences involved a loss of 'B' Loop of PCCW with a loss of seal cooling (seal stage 2 failure), failure of high pressure injection (HPI) and failure of reactor coolant system (RCS) cooldown. The two dominant core damage sequences while the 'B' PCCW pump was unavailable (68 hour repair time) involved total loss of PCCW with loss of seal cooling (seal stage 2 failure), failure of HPI and failure of RCS cooldown, along with a loss of alternate current (AC) Bus E5 with common cause failure of the 'A,' 'B' and 'D' PCCW pumps and RCP seal stage 2 failure.
An NRC Region I SRA completed the DRE and estimated the increase in core damage frequency (CDF) associated with this performance deficiency to be in the high E-7 per year range or very low safety significance (Green). To complete the DRE, the SRA used the Systems Analysis Programs for Hands-On Evaluation (SAPHIRE) Revision 8.1.4, the Seabrook SPAR Model, Version 8.21 (limited use model, dated October 3, 2016), and guidance in Section 2.1 of Volume 1 of the Risk Assessment of Operational Events (RASP) Handbook for evaluating support system performance deficiencies. The SRA made the following assumptions and associated changes to the SPAR Model to estimate the internal risk contribution: 1) the exposure time for this issue was one year, inclusive of 68 hours of repair time; 2) for the one year period, PCCW pump motors A, B, and D were susceptible to the nonconforming condition relative to motor quality of construction and their associated mission time failure probabilities were increased using statistical analysis (i.e., a Bayesian update with a Jeffereys non-informative prior methodology)from a nominal value of 7.25E-5 to 2.6E-4; 3) the Seabrook SPAR model was modified to invoke support system initiating event estimates and associated A, B and D PCCW pump initiating event frequencies were increased from their nominal value of 2.6E-2/year to 9.6E-2/year; 4) for the 68 hours of PCCW pump B unavailability, basic event PCCW-MDP-FR-P11B was set to TRUE with the resulting PCCW pump common cause failure mission time probability increased from 2.67E-7 to 3.69E-3; 5) the 68-hour period also included the increased conditional failure probability for the other affected A and D motors to 2.6E-4 along with increased initiating event frequencies to 9.6E-2; and 6)truncation was set at 1E-11.


The SRA noted that NextEra's internal risk estimate and dominant sequences were consistent with the SPAR model results. SRA review of external event contributions determined that other than fire, the high winds, flooding, and seismic events were not significant contributors to risk for this issue. The dominant fire contributions involved switchgear 'A' fires with a loss of Bus E5 and the unavailability of the 'B' Loop of PCCW. The estimated increase in external risk contribution due to these fire scenarios was in the low E-7/year range. As a result, the total of internal and external risk contributions was in the high E-7/year range or very low safety significance (Green). Based upon review of the dominant core damage sequences, LERF was not a risk consideration. This determination was consistent with NextEra's risk analysis. The finding had a cross-cutting aspect in Problem Identification and Resolution (Resolution), because NextEra did not take effective corrective actions to address this issue in a timely manner commensurate with its safety significance. Specifically, NextEra did not perform motor replacements for susceptible installed PCCW motors within a reasonable due date as specified by the 2009 CAPR; and plant procedures, programs and resources were available for the decision-making process to schedule the motor replacement. As a result, the PCCW 'B' motor failed on June 13, 2015. [P.3]  
Based upon these modeling changes, the internal CDF risk contribution from the assumed one-year of exposure time, given the increased pump conditional failure probabilities, was 4E-7/year. An additional internal CDF risk increase of 3.3E-7/year was calculated associated with the unavailability of the B PCCW pump due to its failure and repair time of 68 hours. The year-long dominant core damage sequences involved a loss of B Loop of PCCW with a loss of seal cooling (seal stage 2 failure), failure of high pressure injection (HPI) and failure of reactor coolant system (RCS) cooldown. The two dominant core damage sequences while the B PCCW pump was unavailable (68 hour repair time) involved total loss of PCCW with loss of seal cooling (seal stage 2 failure),failure of HPI and failure of RCS cooldown, along with a loss of alternate current (AC)
Bus E5 with common cause failure of the A, B and D PCCW pumps and RCP seal stage 2 failure.
 
The SRA noted that NextEras internal risk estimate and dominant sequences were consistent with the SPAR model results. SRA review of external event contributions determined that other than fire, the high winds, flooding, and seismic events were not significant contributors to risk for this issue. The dominant fire contributions involved switchgear A fires with a loss of Bus E5 and the unavailability of the B Loop of PCCW.
 
The estimated increase in external risk contribution due to these fire scenarios was in the low E-7/year range. As a result, the total of internal and external risk contributions was in the high E-7/year range or very low safety significance (Green). Based upon review of the dominant core damage sequences, LERF was not a risk consideration.
 
This determination was consistent with NextEras risk analysis.
 
The finding had a cross-cutting aspect in Problem Identification and Resolution (Resolution), because NextEra did not take effective corrective actions to address this issue in a timely manner commensurate with its safety significance. Specifically, NextEra did not perform motor replacements for susceptible installed PCCW motors within a reasonable due date as specified by the 2009 CAPR; and plant procedures, programs and resources were available for the decision-making process to schedule the motor replacement. As a result, the PCCW B motor failed on June 13, 2015. [P.3]


=====Enforcement:=====
=====Enforcement:=====
Title 10 CFR Part 50, Appendix B, Criterion XVI, "Corrective Action," requires, in part, that for significant conditions adverse to quality, measures shall assure that corrective action is taken to preclude repetition. Contrary to the above, NextEra established but did not perform corrective action to preclude repetition of a significant condition adverse to quality. Specifically, in 2008, two of four primary component cooling water (PCCW) pump motors failed within a four month period, due to a manufacturing defect. NextEra established a CAPR to replace all four motors with re-wound motors, free of the identified manufacturing defect, but that action was repeatedly delayed. As a result, a third motor failure occurred in 2015 from the same cause. NextEra entered this issue into their corrective action program as AR 2153536, performed a prompt operability determination, and implemented quarterly enhanced motor testing to provide an early indication of degradation associated with the identified manufacturing defect until the scheduled December 2016 motor replacement is completed. The NRC is treating this violation as an NCV, consistent with Section 2.3.2.a of the NRC Enforcement Policy, dated August 1, 2016, because this finding was of very low safety significance and was entered into NextEra's corrective action program (AR 2153536). (NCV 05000443/2016007-01, Inadequate Corrective Actions to Preclude Repetition of a Significant Condition Adverse to Quality) 2. Potential Missed Evaluation for an Adverse Condition for Reportability to the NRC  
Title 10 CFR Part 50, Appendix B, Criterion XVI, Corrective Action, requires, in part, that for significant conditions adverse to quality, measures shall assure that corrective action is taken to preclude repetition. Contrary to the above, NextEra established but did not perform corrective action to preclude repetition of a significant condition adverse to quality. Specifically, in 2008, two of four primary component cooling water (PCCW) pump motors failed within a four month period, due to a manufacturing defect. NextEra established a CAPR to replace all four motors with re-wound motors, free of the identified manufacturing defect, but that action was repeatedly delayed. As a result, a third motor failure occurred in 2015 from the same cause.
 
NextEra entered this issue into their corrective action program as AR 2153536, performed a prompt operability determination, and implemented quarterly enhanced motor testing to provide an early indication of degradation associated with the identified manufacturing defect until the scheduled December 2016 motor replacement is completed. The NRC is treating this violation as an NCV, consistent with Section 2.3.2.a of the NRC Enforcement Policy, dated August 1, 2016, because this finding was of very low safety significance and was entered into NextEra's corrective action program (AR 2153536). (NCV 05000443/2016007-01, Inadequate Corrective Actions to Preclude Repetition of a Significant Condition Adverse to Quality)
 
===2. Potential Missed Evaluation for an Adverse Condition for Reportability to the NRC===


=====Introduction:=====
=====Introduction:=====
The team identified an unresolved item (URI) to further review whether NextEra's evaluations associated with two PCCW pump motor failures in 2008 and one in 2015, and the associated conclusions not to report the conditions to the NRC, constituted a violation of NRC regulations.  
The team identified an unresolved item (URI) to further review whether NextEras evaluations associated with two PCCW pump motor failures in 2008 and one in 2015, and the associated conclusions not to report the conditions to the NRC, constituted a violation of NRC regulations.


=====Description:=====
=====Description:=====
As described in Section 1R21.2.1.3.1 above, the team reviewed two time periods where NextEra concluded that PCCW motor failures were the result of a manufacturing defect, however, these were not reported to the NRC. Specifically, a manufacturing defect was identified in a third-party failure analysis, dated January 21, 2009, following the failure of PCCW motors 'C' and 'D' in 2008. A third PCCW motor ('B') failure occurred due to the same manufacturing defect in June 2015. These failures appeared to occur from one common cause. During this inspection, the team questioned whether the reporting requirements of 10 CFR Part 21 (Part 21), "Reporting of Defects and Noncompliance," were satisfied, because no report was made to the NRC. In response to this concern, NextEra initiated AR 2153374, and initiated a substantial safety hazard (SSH) evaluation for the PCCW pump motor deviations in accordance with Part 21 and NextEra procedure LI-AA-102-1002, "Part 21 Reporting.NextEra subsequently completed the SSH determination, and concluded that the deviation (i.e., the manufacturing defect) constituted a defect that could contain an SSH. They notified the NRC in accordance with 10 CFR 21.21(d)(3)(i) reporting requirements on October 20, 2016, via fax (Event Notification 52310).
As described in Section 1R21.2.1.3.1 above, the team reviewed two time periods where NextEra concluded that PCCW motor failures were the result of a manufacturing defect, however, these were not reported to the NRC. Specifically, a manufacturing defect was identified in a third-party failure analysis, dated January 21, 2009, following the failure of PCCW motors C and D in 2008. A third PCCW motor (B) failure occurred due to the same manufacturing defect in June 2015. These failures appeared to occur from one common cause.
 
During this inspection, the team questioned whether the reporting requirements of 10 CFR Part 21 (Part 21), Reporting of Defects and Noncompliance, were satisfied, because no report was made to the NRC. In response to this concern, NextEra initiated AR 2153374, and initiated a substantial safety hazard (SSH) evaluation for the PCCW pump motor deviations in accordance with Part 21 and NextEra procedure LI-AA-102-1002, Part 21 Reporting. NextEra subsequently completed the SSH determination, and concluded that the deviation (i.e., the manufacturing defect) constituted a defect that could contain an SSH. They notified the NRC in accordance with 10 CFR 21.21(d)(3)(i)reporting requirements on October 20, 2016, via fax (Event Notification 52310).
 
Subsequent to the onsite inspection, and while evaluating NextEras compliance with Part 21 evaluation and reporting requirements, the NRC noted that 10 CFR 21.2(c)stated, in part, that evaluation of potential defects and appropriate reporting of defects under 10 CFR 50.72 and 50.73 satisfies the evaluation, notification, and reporting obligation to report defects under Part 21.
 
While the NRC recognized that NextEra had not made an NRC notification related to the identified PCCW motor manufacturing defect in accordance with 10 CFR 50.72, 50.73 or Part 21, the team did not review NextEras specific reportability evaluations with respect to 10 CFR 50.72 and 50.73. The team did note that NextEras Part 21 reviews, both in 2009 and 2015 did not specifically perform the evaluation specified in 10 CFR 21.21(a)(1) to determine whether the deviation in a basic component, which, on the basis of an evaluation, could create a substantial safety hazard.


Subsequent to the onsite inspection, and while evaluating NextEra's compliance with Part 21 evaluation and reporting requirements, the NRC noted that 10 CFR 21.2(c) stated, in part, that evaluation of potential defects and appropriate reporting of defects under 10 CFR 50.72 and 50.73 satisfies the evaluation, notification, and reporting obligation to report defects under Part 21. While the NRC recognized that NextEra had not made an NRC notification related to the identified PCCW motor manufacturing defect in accordance with 10 CFR 50.72, 50.73 or Part 21, the team did not review NextEra's specific reportability evaluations with respect to 10 CFR 50.72 and 50.73. The team did note that NextEra's Part 21 reviews, both in 2009 and 2015 did not specifically perform the evaluation specified in 10 CFR 21.21(a)(1) to determine whether the deviation in a basic component, which, on the basis of an evaluation, could create a substantial safety hazard. Since there appears to be overlapping reporting requirements among 10 CFR 50.72, 50.73 and 21.21, and the team did not specifically review NextEra's reportability considerations for 10 CFR 50.72 and 50.73, additional inspection is necessary in order to determine whether there was a violation of any of the three reporting regulations. Accordingly, this issue is being treated as an unresolved item (URI) pending further inspection by the NRC staff to determine whether not evaluating and reporting the manufacturing defect associated with the PCCW motors constituted a more than minor violation of NRC reportability regulations.  (URI 05000443/2016007-02, Potential Missed Evaluation and Reporting of an Adverse Condition to the NRC)
Since there appears to be overlapping reporting requirements among 10 CFR 50.72, 50.73 and 21.21, and the team did not specifically review NextEras reportability considerations for 10 CFR 50.72 and 50.73, additional inspection is necessary in order to determine whether there was a violation of any of the three reporting regulations.


===.2.1.4 'B' Emergency Diesel Generator (Electrical)===
Accordingly, this issue is being treated as an unresolved item (URI) pending further inspection by the NRC staff to determine whether not evaluating and reporting the manufacturing defect associated with the PCCW motors constituted a more than minor violation of NRC reportability regulations. (URI 05000443/2016007-02, Potential Missed Evaluation and Reporting of an Adverse Condition to the NRC)
 
===.2.1.4 B Emergency Diesel Generator (Electrical)===


====a. Inspection Scope====
====a. Inspection Scope====
The team inspected the 'B' emergency diesel generator (EDG) electrical systems to evaluate if they were capable of operating during design basis events. The team reviewed design and licensing documents, including the UFSAR, the TSs and TRM, the DBD, drawings, and other design documents to determine the specific design functions. The team reviewed loading and voltage regulation calculations, including the bases for brake horsepower values used, to verify that design bases and design assumptions have been appropriately translated into the design calculations. The team reviewed analyses, surveillance testing results, and maintenance history to assess EDG capability under required operating conditions. The team also reviewed calculations, operating procedures, and technical evaluations to verify that steady-state and transient loading were within design capabilities, adequate voltage would be present to start and operate connected loads, and operation at maximum allowed frequency would be within the design capabilities. The EDG load sequence time delay setpoints, calibration intervals, and results of last calibration were reviewed to determine if the results were consistent with the design requirements.
The team inspected the B emergency diesel generator (EDG) electrical systems to evaluate if they were capable of operating during design basis events. The team reviewed design and licensing documents, including the UFSAR, the TSs and TRM, the DBD, drawings, and other design documents to determine the specific design functions.


The team reviewed protection, coordination and short-circuit calculations to verify that the EDG was adequately protected with properly set protective devices during test mode and emergency operation under worst fault conditions. The team's review included the interfaces and interlocks associated with 4.16 kV Bus A5, including voltage protection schemes that initiate connection to the EDG to verify adequacy. The team interviewed system and design engineers and walked down the EDG to independently assess the material condition and to determine if the system alignment and operating environment were consistent with design assumptions. Finally, the team reviewed corrective action documents and system health reports to evaluate whether there were adverse operating trends and to assess NextEra's ability to evaluate and correct problems. In particular, the team reviewed the NextEra's response to three 1B EDG load excursions that occurred at various times over the last three years.
The team reviewed loading and voltage regulation calculations, including the bases for brake horsepower values used, to verify that design bases and design assumptions have been appropriately translated into the design calculations. The team reviewed analyses, surveillance testing results, and maintenance history to assess EDG capability under required operating conditions. The team also reviewed calculations, operating procedures, and technical evaluations to verify that steady-state and transient loading were within design capabilities, adequate voltage would be present to start and operate connected loads, and operation at maximum allowed frequency would be within the design capabilities. The EDG load sequence time delay setpoints, calibration intervals, and results of last calibration were reviewed to determine if the results were consistent with the design requirements.
 
The team reviewed protection, coordination and short-circuit calculations to verify that the EDG was adequately protected with properly set protective devices during test mode and emergency operation under worst fault conditions. The teams review included the interfaces and interlocks associated with 4.16 kV Bus A5, including voltage protection schemes that initiate connection to the EDG to verify adequacy. The team interviewed system and design engineers and walked down the EDG to independently assess the material condition and to determine if the system alignment and operating environment were consistent with design assumptions. Finally, the team reviewed corrective action documents and system health reports to evaluate whether there were adverse operating trends and to assess NextEra's ability to evaluate and correct problems. In particular, the team reviewed the NextEra's response to three 1B EDG load excursions that occurred at various times over the last three years.


====b. Findings====
====b. Findings====
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No findings were identified.
No findings were identified.


===.2.1.6 Solid State Protection System Logic Train 'A'===
===.2.1.6 Solid State Protection System Logic Train A===


====a. Inspection Scope====
====a. Inspection Scope====
The team inspected the solid state protection system (SSPS) 'A' train control panels and relays to determine if they were capable of meeting their design basis requirements. The team reviewed design and licensing documents, including TSs, drawings, and other design documents to determine the specific design functions. Specifically, the team inspected the design, testing, and operation of the SSPS and associated relays to determine if they could perform their design basis function to actuate the reactor trip breakers upon a valid reactor trip condition and actuate engineered safety features upon a valid initiation signal. The team reviewed functional logic diagrams, TSs, and vendor specifications to determine the performance requirements. The team reviewed maintenance, surveillance, and test procedures to determine whether the established acceptance limits were adequate to ensure reliable operation and to verify whether the equipment performed in accordance with design and licensing basis requirements, industry standards, and vendor specifications. The team also compared as-found and as-left inspection and test results to the established acceptance criteria in order to determine if the SSPS logic and relay test results met the established criteria. Additionally, the team interviewed system and design engineers and walked down accessible portions of the SSPS system (both installed in the plant and at NextEra's SSPS training and mockup facility) to independently assess the material condition of the system, and to determine if the system alignment and operating environment were consistent with design assumptions. Finally, the team reviewed corrective action documents and system health reports to determine if there were adverse trends and to assess NextEra's capability to evaluate and correct problems.
The team inspected the solid state protection system (SSPS) 'A' train control panels and relays to determine if they were capable of meeting their design basis requirements.
 
The team reviewed design and licensing documents, including TSs, drawings, and other design documents to determine the specific design functions. Specifically, the team inspected the design, testing, and operation of the SSPS and associated relays to determine if they could perform their design basis function to actuate the reactor trip breakers upon a valid reactor trip condition and actuate engineered safety features upon a valid initiation signal. The team reviewed functional logic diagrams, TSs, and vendor specifications to determine the performance requirements. The team reviewed maintenance, surveillance, and test procedures to determine whether the established acceptance limits were adequate to ensure reliable operation and to verify whether the equipment performed in accordance with design and licensing basis requirements, industry standards, and vendor specifications. The team also compared as-found and as-left inspection and test results to the established acceptance criteria in order to determine if the SSPS logic and relay test results met the established criteria.
 
Additionally, the team interviewed system and design engineers and walked down accessible portions of the SSPS system (both installed in the plant and at NextEra's SSPS training and mockup facility) to independently assess the material condition of the system, and to determine if the system alignment and operating environment were consistent with design assumptions. Finally, the team reviewed corrective action documents and system health reports to determine if there were adverse trends and to assess NextEra's capability to evaluate and correct problems.


====b. Findings====
====b. Findings====
Line 149: Line 245:


====a. Inspection Scope====
====a. Inspection Scope====
The team inspected the emergency feedwater (EFW) system recirculation common check valve, FWV-349, to verify that it was capable of meeting its design basis requirements. This check valve is normally closed, and is required to open when the EFW pumps are operating on minimum flow through their respective minimum flow valves. In addition, the check valve closes to provide backup protection to check valve FWV-351 (EFW pump turbine bearing oil cooler return line check valve). The team reviewed design and licensing documents, including the UFSAR, the TSs and TRM, the DBD, the In-Service Test (IST) basis document, drawings, and other design documents to determine the specific design functions. The team reviewed the corrective and preventive maintenance history, as well as test results, to ensure that the design basis and licensing requirements were met. The team reviewed the EFW recirculation piping calculations and related engineering evaluations to verify adequate pump minimum flow protection under all normal operating and design basis events. Additionally, the team interviewed engineers and conducted several walkdowns of the check valve and surrounding area to verify that the material condition and valve orientation were consistent with the design basis and plant drawings. Finally, the team reviewed corrective action documents and system health reports to evaluate whether there were adverse operating trends and to assess NextEra's ability to evaluate and correct problems.
The team inspected the emergency feedwater (EFW) system recirculation common check valve, FWV-349, to verify that it was capable of meeting its design basis requirements. This check valve is normally closed, and is required to open when the EFW pumps are operating on minimum flow through their respective minimum flow valves. In addition, the check valve closes to provide backup protection to check valve FWV-351 (EFW pump turbine bearing oil cooler return line check valve). The team reviewed design and licensing documents, including the UFSAR, the TSs and TRM, the DBD, the In-Service Test (IST) basis document, drawings, and other design documents to determine the specific design functions. The team reviewed the corrective and preventive maintenance history, as well as test results, to ensure that the design basis and licensing requirements were met.
 
The team reviewed the EFW recirculation piping calculations and related engineering evaluations to verify adequate pump minimum flow protection under all normal operating and design basis events. Additionally, the team interviewed engineers and conducted several walkdowns of the check valve and surrounding area to verify that the material condition and valve orientation were consistent with the design basis and plant drawings.
 
Finally, the team reviewed corrective action documents and system health reports to evaluate whether there were adverse operating trends and to assess NextEra's ability to evaluate and correct problems.


====b. Findings====
====b. Findings====
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No findings were identified.
No findings were identified.


===.2.1.9 'B' Train Service Water Return Isolation Motor-Operated Valve (1-SW-V19)===
===.2.1.9 B Train Service Water Return Isolation Motor-Operated Valve (1-SW-V19)===


====a. Inspection Scope====
====a. Inspection Scope====
The team inspected the 'B' Train Primary Auxiliary Building service water (SW) return isolation motor-operated valve (MOV), 1-SW-V19, to determine if the valve was capable of performing its design basis function. Valve 1-SW-V19 normally remains open to provide the SW return flow path to the circulating water discharge transition structure during all normal operating modes. The team reviewed design and licensing documents, including the UFSAR, the TSs, the DBD, the IST basis document, drawings, and other design documents to determine the specific design functions. Specifically, the team determined if the valve was capable of isolating the SW discharge flow path to the Atlantic Ocean as required upon receipt of a cooling tower actuation signal to prevent draining down of the cooling tower and maintaining cooling tower basin inventory following a design basis event. The team reviewed MOV diagnostic test results and stroke-timing test data to verify acceptance criteria were met. The team also evaluated whether the MOV safety functions, performance capability, and design margins were adequately monitored and maintained in accordance with NRC Generic Letter 96-05 guidance. The MOV weak link calculation was reviewed to ensure the ability of the valve to remain structurally functional while stroking under design basis conditions; and the team verified that the valve analysis used the maximum differential pressure expected across the valve during worst case operating conditions. Additionally, the team reviewed motor data and degraded voltage conditions to confirm that the MOV would have sufficient voltage and power available to perform its safety function at degraded voltage conditions. The team discussed the design, operation, and component history of the valve with engineering and operations staff and conducted walkdowns of 1-SW-V19 along with accessible SW system piping and components to assess material condition and determine if the installed configuration was consistent with plant drawings, procedures, and the design bases. Finally, the team reviewed corrective action documents to evaluate whether there were adverse operating trends and to assess NextEra's ability to evaluate and correct problems.
The team inspected the B Train Primary Auxiliary Building service water (SW) return isolation motor-operated valve (MOV), 1-SW-V19, to determine if the valve was capable of performing its design basis function. Valve 1-SW-V19 normally remains open to provide the SW return flow path to the circulating water discharge transition structure during all normal operating modes. The team reviewed design and licensing documents, including the UFSAR, the TSs, the DBD, the IST basis document, drawings, and other design documents to determine the specific design functions. Specifically, the team determined if the valve was capable of isolating the SW discharge flow path to the Atlantic Ocean as required upon receipt of a cooling tower actuation signal to prevent draining down of the cooling tower and maintaining cooling tower basin inventory following a design basis event. The team reviewed MOV diagnostic test results and stroke-timing test data to verify acceptance criteria were met. The team also evaluated whether the MOV safety functions, performance capability, and design margins were adequately monitored and maintained in accordance with NRC Generic Letter 96-05 guidance. The MOV weak link calculation was reviewed to ensure the ability of the valve to remain structurally functional while stroking under design basis conditions; and the team verified that the valve analysis used the maximum differential pressure expected across the valve during worst case operating conditions. Additionally, the team reviewed motor data and degraded voltage conditions to confirm that the MOV would have sufficient voltage and power available to perform its safety function at degraded voltage conditions. The team discussed the design, operation, and component history of the valve with engineering and operations staff and conducted walkdowns of 1-SW-V19 along with accessible SW system piping and components to assess material condition and determine if the installed configuration was consistent with plant drawings, procedures, and the design bases. Finally, the team reviewed corrective action documents to evaluate whether there were adverse operating trends and to assess NextEra's ability to evaluate and correct problems.


====b. Findings====
====b. Findings====
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====a. Inspection Scope====
====a. Inspection Scope====
The team inspected the SW intake to determine whether it could fulfill its design basis function of supplying cooling water to safety-related and non-safety-related systems during normal and accident conditions. The team reviewed applicable portions of the UFSAR, the TSs, the TRM, the DBD, drawings, and other design documents to identify the design basis requirements for the SW intake structure. Silting levels within the SW bay were reviewed to ensure proper SW pump operation. The team reviewed operating and alarm response procedures, SW pump surveillances, operating logs, and instrumentation to ensure that NextEra maintained and operated the SW intake SSC in accordance with the design and licensing basis.
The team inspected the SW intake to determine whether it could fulfill its design basis function of supplying cooling water to safety-related and non-safety-related systems during normal and accident conditions. The team reviewed applicable portions of the UFSAR, the TSs, the TRM, the DBD, drawings, and other design documents to identify the design basis requirements for the SW intake structure. Silting levels within the SW bay were reviewed to ensure proper SW pump operation. The team reviewed operating and alarm response procedures, SW pump surveillances, operating logs, and instrumentation to ensure that NextEra maintained and operated the SW intake SSC in accordance with the design and licensing basis. The team discussed the design, operation, and component history of the intake structure and related components with engineering and operations staff; and conducted several detailed walkdowns of accessible areas of the intake structure (including the intake transition structures) and associated components to assess configuration control and the material condition of risk-significant SSCs. Material condition of inaccessible areas was assessed by performing a review of periodic inspection reports performed by NextEra and their contractors. Finally, the team reviewed corrective action documents and system health reports to evaluate whether there were adverse operating trends and to assess NextEra's ability to evaluate and correct problems.
 
The team discussed the design, operation, and component history of the intake structure and related components with engineering and operations staff; and conducted several detailed walkdowns of accessible areas of the intake structure (including the intake transition structures) and associated components to assess configuration control and the material condition of risk-significant SSCs. Material condition of inaccessible areas was assessed by performing a review of periodic inspection reports performed by NextEra and their contractors. Finally, the team reviewed corrective action documents and system health reports to evaluate whether there were adverse operating trends and to assess NextEra's ability to evaluate and correct problems.


====b. Findings====
====b. Findings====
No findings were identified.
No findings were identified.


===.2.1.1 1 'B' Emergency Diesel Generator Fuel Oil Transfer Pump (1-DG-P-38-B)===
===.2.1.1 1 B Emergency Diesel Generator Fuel Oil Transfer Pump (1-DG-P-38-B)===


====a. Inspection Scope====
====a. Inspection Scope====
The team inspected the 'B' EDG fuel oil transfer pump to verify its capability to perform as required during design basis accident conditions for EDG operation. The positive displacement diesel fuel oil transfer pump transfers fuel from the 'B' diesel fuel oil storage tank to the 'B' diesel fuel oil day tank, with manual operator crossover alignment capability from and to the respective 'A' train tanks, if necessary. The team reviewed design and licensing documents, including the UFSAR, the TSs, the DBD, the IST basis document, drawings, and other design documents to determine the specific design functions. The team verified the capability of the fuel oil transfer pump to provide its design flowrate to support EDG operation. In addition, the team verified the basis for the pump's IST acceptance criteria, the basis of various setpoints associated with pump operation, and the availability of adequate net positive suction head during fuel oil transfer pump operation. The team reviewed the control schematic wiring diagram to ensure that the pump would function in accordance with the design basis requirements. Additionally, the team interviewed engineers and conducted walkdowns of both the 'A' and 'B' fuel oil transfer pumps and systems to verify material condition and pump alignment were consistent with the design basis and plant drawings. Further, the team reviewed NextEra's response to operating experience involving tornado missile protection of the systems' fuel oil tank vents. Finally, the team reviewed corrective action documents to evaluate whether there were any adverse operating trends and to assess NextEra's ability to evaluate and correct problems.
The team inspected the B EDG fuel oil transfer pump to verify its capability to perform as required during design basis accident conditions for EDG operation. The positive displacement diesel fuel oil transfer pump transfers fuel from the B diesel fuel oil storage tank to the B diesel fuel oil day tank, with manual operator crossover alignment capability from and to the respective A train tanks, if necessary. The team reviewed design and licensing documents, including the UFSAR, the TSs, the DBD, the IST basis document, drawings, and other design documents to determine the specific design functions. The team verified the capability of the fuel oil transfer pump to provide its design flowrate to support EDG operation. In addition, the team verified the basis for the pumps IST acceptance criteria, the basis of various setpoints associated with pump operation, and the availability of adequate net positive suction head during fuel oil transfer pump operation. The team reviewed the control schematic wiring diagram to ensure that the pump would function in accordance with the design basis requirements.
 
Additionally, the team interviewed engineers and conducted walkdowns of both the A and B fuel oil transfer pumps and systems to verify material condition and pump alignment were consistent with the design basis and plant drawings. Further, the team reviewed NextEras response to operating experience involving tornado missile protection of the systems fuel oil tank vents. Finally, the team reviewed corrective action documents to evaluate whether there were any adverse operating trends and to assess NextEra's ability to evaluate and correct problems.


====b. Findings====
====b. Findings====
No findings were identified.
No findings were identified.


===.2.1.1 2 'B' Emergency Diesel Generator Ventilation===
===.2.1.1 2 B Emergency Diesel Generator Ventilation===


====a. Inspection Scope====
====a. Inspection Scope====
The team inspected the 'B' EDG ventilation support system to verify its capability to perform as required during design basis accident conditions for EDG operation. The team reviewed design and licensing documents, including the UFSAR, the TSs and TRM, the DBD, drawings, and other design documents to determine the specific design functions. The team reviewed EDG test results and operating procedures to ensure the EDG ventilation support system was operating as designed, and verified appropriate maintenance was being performed on the system. The team also reviewed the EDG system procedures to determine if the ventilation system was being operated within the vendor design limits. The team reviewed the fan curve and worst-case environmental conditions to evaluate whether EDG fan capacity was sufficient to provide adequate flow for heat removal during design basis events. The team reviewed inspection and testing procedures to evaluate whether appropriate maintenance activities were being performed and reviewed past test results to determine if the fan was capable of removing the required heat load. The team conducted a walkdown of the EDG ventilation system and associated equipment and interviewed engineers regarding the maintenance and operation of the fan, in order to assess the material condition of the ventilation system. Finally, the team reviewed corrective action documents and system health reports to evaluate whether there were adverse operating trends and to assess NextEra's ability to evaluate and correct problems.
The team inspected the B EDG ventilation support system to verify its capability to perform as required during design basis accident conditions for EDG operation. The team reviewed design and licensing documents, including the UFSAR, the TSs and TRM, the DBD, drawings, and other design documents to determine the specific design functions. The team reviewed EDG test results and operating procedures to ensure the EDG ventilation support system was operating as designed, and verified appropriate maintenance was being performed on the system. The team also reviewed the EDG system procedures to determine if the ventilation system was being operated within the vendor design limits. The team reviewed the fan curve and worst-case environmental conditions to evaluate whether EDG fan capacity was sufficient to provide adequate flow for heat removal during design basis events. The team reviewed inspection and testing procedures to evaluate whether appropriate maintenance activities were being performed and reviewed past test results to determine if the fan was capable of removing the required heat load. The team conducted a walkdown of the EDG ventilation system and associated equipment and interviewed engineers regarding the maintenance and operation of the fan, in order to assess the material condition of the ventilation system. Finally, the team reviewed corrective action documents and system health reports to evaluate whether there were adverse operating trends and to assess NextEra's ability to evaluate and correct problems.


====b. Findings====
====b. Findings====
No findings were identified.
No findings were identified.


===.2.1.1 3 'B' Emergency Diesel Generator Jacket Water Cooling System===
===.2.1.1 3 B Emergency Diesel Generator Jacket Water Cooling System===


====a. Inspection Scope====
====a. Inspection Scope====
The team inspected the 'B' EDG jacket water (JW) cooling system to verify its capability to perform as required during design basis accident conditions for EDG operation. The team reviewed design and licensing documents, including the UFSAR, the TSs and TRM, the DBD, drawings, and other design documents to determine the specific design functions. The team reviewed EDG test results and operating procedures to ensure the EDG JW cooling system was operating as designed, and verified appropriate maintenance was being performed on the system. The team also reviewed the EDG system procedures to determine if the JW cooling system was being operated within the vendor design limits. The team reviewed the JW heat exchanger specification sheet and maintenance to evaluate whether the subsystem's capacity was sufficient to provide adequate heat removal for the EDG during design basis events. The team reviewed inspection and testing procedures to evaluate whether appropriate maintenance activities were being performed and reviewed past test results to determine if the cooling system was capable of removing the required heat load. The team conducted walkdowns of both the 'A' and 'B' EDGs, along with their respective JW cooling systems and associated equipment, prior to and after scheduled TS surveillance operational runs to assess the material condition of the equipment and systems. The team interviewed engineers and operators regarding the maintenance and operation of the associated components, and had the opportunity to observe NextEra staff's removal and replacement of the 'A' EDG's lubricating system prelube pump due to a shaft seal oil leak. Finally, the team reviewed corrective action documents to evaluate whether there were adverse operating trends and to assess NextEra's ability to evaluate and correct problems.
The team inspected the B EDG jacket water (JW) cooling system to verify its capability to perform as required during design basis accident conditions for EDG operation. The team reviewed design and licensing documents, including the UFSAR, the TSs and TRM, the DBD, drawings, and other design documents to determine the specific design functions. The team reviewed EDG test results and operating procedures to ensure the EDG JW cooling system was operating as designed, and verified appropriate maintenance was being performed on the system. The team also reviewed the EDG system procedures to determine if the JW cooling system was being operated within the vendor design limits. The team reviewed the JW heat exchanger specification sheet and maintenance to evaluate whether the subsystems capacity was sufficient to provide adequate heat removal for the EDG during design basis events. The team reviewed inspection and testing procedures to evaluate whether appropriate maintenance activities were being performed and reviewed past test results to determine if the cooling system was capable of removing the required heat load. The team conducted walkdowns of both the A and B EDGs, along with their respective JW cooling systems and associated equipment, prior to and after scheduled TS surveillance operational runs to assess the material condition of the equipment and systems. The team interviewed engineers and operators regarding the maintenance and operation of the associated components, and had the opportunity to observe NextEra staffs removal and replacement of the A EDGs lubricating system prelube pump due to a shaft seal oil leak. Finally, the team reviewed corrective action documents to evaluate whether there were adverse operating trends and to assess NextEra's ability to evaluate and correct problems.


====b. Findings====
====b. Findings====
No findings were identified.
No findings were identified.


===.2.1.1 4 'B' Containment Building Spray Pump (CBS-P-9B)===
===.2.1.1 4 B Containment Building Spray Pump (CBS-P-9B)===


====a. Inspection Scope====
====a. Inspection Scope====
The team inspected the 'B' containment building spray (CBS) pump to determine if it was capable of meeting its design basis functions. The team reviewed design and licensing documents, including the UFSAR, the TSs, the IST basis document, drawings, and other design documents to determine the specific design functions. Specifically, the team evaluated whether the 'B' CBS pump was capable of providing adequate flow to provide containment cooling and pressure reduction during postulated design basis scenarios.
The team inspected the B containment building spray (CBS) pump to determine if it was capable of meeting its design basis functions. The team reviewed design and licensing documents, including the UFSAR, the TSs, the IST basis document, drawings, and other design documents to determine the specific design functions. Specifically, the team evaluated whether the B CBS pump was capable of providing adequate flow to provide containment cooling and pressure reduction during postulated design basis scenarios.
 
The team reviewed the CBS system hydraulic analysis/calculations to determine whether the required total developed head, net positive suction head, and pump run-out conditions had been properly evaluated under all applicable design basis conditions.


The team reviewed the CBS system hydraulic analysis/calculations to determine whether the required total developed head, net positive suction head, and pump run-out conditions had been properly evaluated under all applicable design basis conditions. The adequacy of water supply sources to the pump, including an assessment of the potential for vortex conditions during pump operation, was also reviewed. The team reviewed system operating and emergency procedures to ensure they were consistent with the design requirements. The team reviewed pump IST procedures, test results, and trends in test data to determine whether pump performance was consistent with design basis assumptions; and verified IST acceptance criteria were appropriately correlated to accident analyses requirements. NextEra's actions and response to NRC Bulletin No. 88-04, "Potential Safety-Related Pump Loss" were reviewed to ensure they were consistent with Next Era's response to the Bulletin.
The adequacy of water supply sources to the pump, including an assessment of the potential for vortex conditions during pump operation, was also reviewed. The team reviewed system operating and emergency procedures to ensure they were consistent with the design requirements. The team reviewed pump IST procedures, test results, and trends in test data to determine whether pump performance was consistent with design basis assumptions; and verified IST acceptance criteria were appropriately correlated to accident analyses requirements. NextEras actions and response to NRC Bulletin No. 88-04, Potential Safety-Related Pump Loss were reviewed to ensure they were consistent with Next Eras response to the Bulletin.


The team conducted a walkdown of the accessible portions of the pump and associated piping components and interviewed engineers regarding the maintenance and operation of the components, in order to assess the material condition of the CBS system. Finally, the team reviewed corrective action documents and system health reports to evaluate whether there were adverse operating trends and to assess NextEra's ability to evaluate and correct problems.
The team conducted a walkdown of the accessible portions of the pump and associated piping components and interviewed engineers regarding the maintenance and operation of the components, in order to assess the material condition of the CBS system. Finally, the team reviewed corrective action documents and system health reports to evaluate whether there were adverse operating trends and to assess NextEra's ability to evaluate and correct problems.
Line 220: Line 322:
No findings were identified.
No findings were identified.


===.2.1.1 5 'B' Safety Injection Pump (SI-P-6B)===
===.2.1.1 5 B Safety Injection Pump (SI-P-6B)===


====a. Inspection Scope====
====a. Inspection Scope====
The team inspected the 'B' safety injection (SI) pump, SI-P-6B, to determine if it was capable of performing its design basis functions. The team reviewed design and licensing documents, including the UFSAR, the TSs, the DBD, the IST basis document, drawings, and other design documents to determine the specific design functions. Specifically, the team evaluated whether the 'B' SI pump was capable of providing adequate flow to provide core cooling during postulated design basis scenarios. The team reviewed the SI system hydraulic analysis/calculations to determine whether the required total developed head, net positive suction head, and pump run-out conditions had been properly evaluated under all applicable design basis conditions. The adequacy of water supply sources to the pump, including an assessment of the potential for vortex conditions during pump operation, was also reviewed. The team reviewed system operating and emergency procedures to ensure they were consistent with the design requirements. The team also reviewed pump IST procedures, test results, and trends in test data to determine whether pump performance was consistent with design basis assumptions; and verified IST acceptance criteria were appropriately correlated to accident analyses requirements. NextEra's actions and response to NRC Bulletin No. 88-04, "Potential Safety-Related Pump Loss" were reviewed to ensure they were consistent with NextEra's response to the Bulletin. The team conducted a walkdown of the accessible portions of the pump and associated piping/components and interviewed engineers regarding the maintenance and operation of the components, in order to assess the material condition of the SI system. Finally, the team reviewed corrective action documents and system health reports to evaluate whether there were adverse operating trends and to assess NextEra's ability to evaluate and correct problems.
The team inspected the B safety injection (SI) pump, SI-P-6B, to determine if it was capable of performing its design basis functions. The team reviewed design and licensing documents, including the UFSAR, the TSs, the DBD, the IST basis document, drawings, and other design documents to determine the specific design functions.
 
Specifically, the team evaluated whether the B SI pump was capable of providing adequate flow to provide core cooling during postulated design basis scenarios. The team reviewed the SI system hydraulic analysis/calculations to determine whether the required total developed head, net positive suction head, and pump run-out conditions had been properly evaluated under all applicable design basis conditions. The adequacy of water supply sources to the pump, including an assessment of the potential for vortex conditions during pump operation, was also reviewed. The team reviewed system operating and emergency procedures to ensure they were consistent with the design requirements. The team also reviewed pump IST procedures, test results, and trends in test data to determine whether pump performance was consistent with design basis assumptions; and verified IST acceptance criteria were appropriately correlated to accident analyses requirements. NextEras actions and response to NRC Bulletin No. 88-04, Potential Safety-Related Pump Loss were reviewed to ensure they were consistent with NextEras response to the Bulletin.
 
The team conducted a walkdown of the accessible portions of the pump and associated piping/components and interviewed engineers regarding the maintenance and operation of the components, in order to assess the material condition of the SI system. Finally, the team reviewed corrective action documents and system health reports to evaluate whether there were adverse operating trends and to assess NextEra's ability to evaluate and correct problems.


====b. Findings====
====b. Findings====
No findings identified.
No findings identified.


===.2.1.1 6 'B' Containment Building Spray System Heat Exchanger (1-CBS-E-16-B)===
===.2.1.1 6 B Containment Building Spray System Heat Exchanger (1-CBS-E-16-B)===


====a. Inspection Scope====
====a. Inspection Scope====
The team inspected the 'B' CBS system heat exchanger (1-CBS-E-16-B) to evaluate its ability to meet its design basis requirement to provide cooling water to the CBS system during postulated accident conditions. The team reviewed design and licensing documents, including the UFSAR, the TSs, drawings, and other design documents to determine the specific design functions. The team reviewed applicable operating and emergency procedures to determine whether NextEra properly translated design input into the procedures. The team reviewed completed surveillance test results, inspections, and system walkdown reports to ensure that NextEra appropriately addressed potential adverse trends or conditions. The team reviewed the maintenance history, design changes, calculations, design specifications, drawings, and surveillance tests to ensure that the heat exchanger condition and heat removal capability were consistent with accident analyses assumptions. The team conducted several walkdowns of the accessible portions of the heat exchanger and associated piping/components, and interviewed engineers regarding the maintenance and operation of the components, in order to assess the material condition and operating environment of the CBS system. Finally, the team reviewed corrective action documents and system health reports to evaluate whether there were adverse operating trends and to assess NextEra's ability to evaluate and correct problems.
The team inspected the B CBS system heat exchanger (1-CBS-E-16-B) to evaluate its ability to meet its design basis requirement to provide cooling water to the CBS system during postulated accident conditions. The team reviewed design and licensing documents, including the UFSAR, the TSs, drawings, and other design documents to determine the specific design functions. The team reviewed applicable operating and emergency procedures to determine whether NextEra properly translated design input into the procedures. The team reviewed completed surveillance test results, inspections, and system walkdown reports to ensure that NextEra appropriately addressed potential adverse trends or conditions. The team reviewed the maintenance history, design changes, calculations, design specifications, drawings, and surveillance tests to ensure that the heat exchanger condition and heat removal capability were consistent with accident analyses assumptions. The team conducted several walkdowns of the accessible portions of the heat exchanger and associated piping/components, and interviewed engineers regarding the maintenance and operation of the components, in order to assess the material condition and operating environment of the CBS system. Finally, the team reviewed corrective action documents and system health reports to evaluate whether there were adverse operating trends and to assess NextEra's ability to evaluate and correct problems.


====b. Findings====
====b. Findings====
Line 239: Line 345:


====a. Inspection Scope====
====a. Inspection Scope====
The team inspected the air-operated SG atmospheric steam dump valve (ASDV), 1-MS-PV-3002, to verify its ability to meet the design basis requirements in response to postulated transient and accident events. The team reviewed design and licensing documents, including UFSAR, TSs, drawings, and other design documents to determine the specific design functions. The team verified that instrument setpoints were properly translated into system procedures and tests, and reviewed diagnostic and valve stroke test results to verify whether acceptance criteria were met. The team reviewed selected calculations to determine whether design inputs and assumptions were accurate and justified. The team reviewed the ASDV's backup nitrogen supply system to determine if the as-built configuration and operating procedures satisfied design assumptions. The team reviewed the ASDV's maintenance, test results, and functional history, and interviewed the air-operated valve and main steam system engineers to assess whether the ASDV was properly maintained and operated. In addition, the team walked down accessible portions of the ASDV and associated piping and components in order to independently assess the material condition and configuration of the SG pressure relief system. Finally, the team reviewed corrective action documents and system health reports to determine if there were adverse trends and to assess NextEra's capability to evaluate and correct problems.
The team inspected the air-operated SG atmospheric steam dump valve (ASDV),1-MS-PV-3002, to verify its ability to meet the design basis requirements in response to postulated transient and accident events. The team reviewed design and licensing documents, including UFSAR, TSs, drawings, and other design documents to determine the specific design functions. The team verified that instrument setpoints were properly translated into system procedures and tests, and reviewed diagnostic and valve stroke test results to verify whether acceptance criteria were met. The team reviewed selected calculations to determine whether design inputs and assumptions were accurate and justified. The team reviewed the ASDV's backup nitrogen supply system to determine if the as-built configuration and operating procedures satisfied design assumptions. The team reviewed the ASDV's maintenance, test results, and functional history, and interviewed the air-operated valve and main steam system engineers to assess whether the ASDV was properly maintained and operated. In addition, the team walked down accessible portions of the ASDV and associated piping and components in order to independently assess the material condition and configuration of the SG pressure relief system. Finally, the team reviewed corrective action documents and system health reports to determine if there were adverse trends and to assess NextEra's capability to evaluate and correct problems.


====b. Findings====
====b. Findings====
Failure to Perform Required ASME In-Service Testing of Manual Isolation Valves for the Atmospheric Steam Dump Valves  
Failure to Perform Required ASME In-Service Testing of Manual Isolation Valves for the         Atmospheric Steam Dump Valves


=====Introduction:=====
=====Introduction:=====
The team identified a finding of very low safety significance (Green) involving an NCV of TS Surveillance Requirement (SR) 4.0.5, "Surveillance Requirements for In-Service Inspection and Testing of American Society of Mechanical Engineers (ASME) Code Class 1, 2, and 3 Components," for the failure to perform testing in accordance with the ASME Operation and Maintenance (OM) Code for four manual valves which had active safety functions. Specifically, the SG tube rupture (SGTR) accident analysis and the emergency operating procedures relied upon an operator manual action to locally close a manual isolation valve to mitigate the consequences of a failed open ASDV on a faulted SG during a SGTR accident. However, those isolation valves were incorrectly designated as passive valves. As a result, the valves had not been placed in the Seabrook IST Program and tested, as required by the TS and ASME OM Code.  
The team identified a finding of very low safety significance (Green)involving an NCV of TS Surveillance Requirement (SR) 4.0.5, Surveillance Requirements for In-Service Inspection and Testing of American Society of Mechanical Engineers (ASME) Code Class 1, 2, and 3 Components, for the failure to perform testing in accordance with the ASME Operation and Maintenance (OM) Code for four manual valves which had active safety functions. Specifically, the SG tube rupture (SGTR) accident analysis and the emergency operating procedures relied upon an operator manual action to locally close a manual isolation valve to mitigate the consequences of a failed open ASDV on a faulted SG during a SGTR accident.
 
However, those isolation valves were incorrectly designated as passive valves. As a result, the valves had not been placed in the Seabrook IST Program and tested, as required by the TS and ASME OM Code.


=====Description:=====
=====Description:=====
During plant walk downs, the team observed that two of the four ASDV manual isolation valves (1-MS-V-5 and 35) had material deficiency tags that stated "valve has indication of seat leakage," identified during ASDV testing in December 2011. In follow-up, the team reviewed the associated ARs 1717292 and 1717294, which were both closed to unplanned work orders. NextEra's operability determination, performed in 2011, stated that the "slight leakage would not impact offsite dose and is bounded by analysis.However, during this inspection, NextEra staff were unable to provide any basis for their 2011 determination that the observed leakage was bounded by analysis and would not have had an impact on offsite dose during a SGTR event. NextEra reviewed the open work orders and valve history, and determined that no work, repairs, or other corrective actions had been performed on either valve since 2011 to correct the identified leakage, other than routine quarterly ASDV valve testing which also stroked the isolation valves.
During plant walk downs, the team observed that two of the four ASDV manual isolation valves (1-MS-V-5 and 35) had material deficiency tags that stated valve has indication of seat leakage, identified during ASDV testing in December 2011.
 
In follow-up, the team reviewed the associated ARs 1717292 and 1717294, which were both closed to unplanned work orders. NextEra's operability determination, performed in 2011, stated that the slight leakage would not impact offsite dose and is bounded by analysis. However, during this inspection, NextEra staff were unable to provide any basis for their 2011 determination that the observed leakage was bounded by analysis and would not have had an impact on offsite dose during a SGTR event. NextEra reviewed the open work orders and valve history, and determined that no work, repairs, or other corrective actions had been performed on either valve since 2011 to correct the identified leakage, other than routine quarterly ASDV valve testing which also stroked the isolation valves.
 
NextEras IST surveillance test procedure OX1430.04, Main Steam System Valve Operability Tests, performed a quarterly full stroke exercise test of each ASDV, as required by the OM Code. The test procedure closed the isolation valve associated with each ASDV, stroked the ASDV, then re-opened the isolation valve. The test procedure also performed a leak tightness check of the isolation valve by observing the discharge silencer outlet for the presence of steam flow. The leak tightness acceptance criteria stated:
* A SAT reading is an absence of steam leak-by from the ASDV isolation.
* Steam flow greater than minor wisps is an UNSAT.
* An UNSAT requires initiation of a work request to document the condition.
 
The team reviewed the test results of the isolation valve leak tightness checks performed in December 2011 (original documentation of seat leakage), the quarterly tests performed in 2014 and in 2015, and the most recent test performed in June 2016, to evaluate the current material conditions of the isolation valves. All of the test results were satisfactory, indicating that the observed steam leakage was not greater than a minor wisp. Although operators stroked the isolation valves each quarter, as part of the ASDV IST test, the team determined that procedure OX1430.04 did not contain acceptance criteria regarding the ability to fully close the isolation valves. Based on the documented qualitative seat leakage checks performed in 2014 thru 2016, the team concluded that the valve seat leakages observed in 2011 were not current issues and that the valves appeared to be reasonable leak tight.
 
The UFSAR Section 15.6.3, Steam Generator Tube Rupture, assumed the ASDV on the faulted SG would fail open (i.e., worst case single active failure for the event) and the operators would terminate the radiological release by locally manually closing the ASDV isolation valve within 20 minutes. Emergency operating procedure E-3, Steam Generator Tube Rupture, Step 3, Isolate Flow from Ruptured SG, directed operators to locally close the ASDV isolation valve if the ASDV could not be closed. Procedure SM 7.20, Time Critical Operator Action Program, Figure 5.1 Item 3, Locally Isolate Failed Open ASDV to Minimize SGTR Radiological Consequences, verified that the time critical task could be performed within the 20 minute time requirement assumed in the SGTR analysis. Therefore, the team concluded that during a SGTR event, the normally open manual valves in question would have an active safety function to close.
 
The UFSAR Section 3.9(B).3.2., Pump and Valve Operability Assurance, in part, stated that valves identified as active, which must perform a mechanical motion during the course of performing their safety function in mitigating the consequences of a postulated event, were listed in Table 3.9(B)-27. The team identified that the ASDV isolation valves 1-MS-V-5, 21, 35, and 49 were not listed in the active valve list. Therefore, the team concluded that the UFSAR's active valve list did not list all valves relied upon to change position to mitigate the consequences of design basis accidents or relied upon in execution of the emergency operating procedures.
 
The team identified that the ASDV isolation valves 1-MS-V-5, 21, 35, and 49 were not included in NextEra's IST Program. OM ISTA-1100, in part, required valves which change position to mitigate the consequences of an accident to be in scope of the OM Code IST requirements. Section ISTC-1300 of the ASME OM, in part, required NextEra to categorize and list each valve to be tested and establish acceptance criteria. The OM Code further required that valves shall be designated as either Category A, seat leakage limited to a specific maximum value, or Category B, seat leakage inconsequential.


NextEra's IST surveillance test procedure OX1430.04, "Main Steam System Valve Operability Tests," performed a quarterly full stroke exercise test of each ASDV, as required by the OM Code. The test procedure closed the isolation valve associated with each ASDV, stroked the ASDV, then re-opened the isolation valve. The test procedure also performed a leak tightness check of the isolation valve by observing the discharge silencer outlet for the presence of steam flow. The leak tightness acceptance criteria stated:  A SAT reading is an absence of steam leak-by from the ASDV isolation. Steam flow greater than minor wisps is an UNSAT. An UNSAT requires initiation of a work request to document the condition. The team reviewed the test results of the isolation valve leak tightness checks performed in December 2011 (original documentation of seat leakage), the quarterly tests performed in 2014 and in 2015, and the most recent test performed in June 2016, to evaluate the current material conditions of the isolation valves. All of the test results were satisfactory, indicating that the observed steam leakage was not greater than a minor wisp. Although operators stroked the isolation valves each quarter, as part of the ASDV IST test, the team determined that procedure OX1430.04 did not contain acceptance criteria regarding the ability to fully close the isolation valves. Based on the documented qualitative seat leakage checks performed in 2014 thru 2016, the team concluded that the valve seat leakages observed in 2011 were not current issues and that the valves appeared to be reasonable leak tight. The UFSAR Section 15.6.3, "Steam Generator Tube Rupture," assumed the ASDV on the faulted SG would fail open (i.e., worst case single active failure for the event) and the operators would terminate the radiological release by locally manually closing the ASDV isolation valve within 20 minutes. Emergency operating procedure E-3, "Steam Generator Tube Rupture," Step 3, "Isolate Flow from Ruptured SG," directed operators to locally close the ASDV isolation valve if the ASDV could not be closed. Procedure SM 7.20, "Time Critical Operator Action Program," Figure 5.1 Item 3, "Locally Isolate Failed Open ASDV to Minimize SGTR Radiological Consequences," verified that the time critical task could be performed within the 20 minute time requirement assumed in the SGTR analysis. Therefore, the team concluded that during a SGTR event, the normally open manual valves in question would have an active safety function to close. The UFSAR Section 3.9(B).3.2., "Pump and Valve Operability Assurance," in part, stated that valves identified as active, which must perform a mechanical motion during the course of performing their safety function in mitigating the consequences of a postulated event, were listed in Table 3.9(B)-27. The team identified that the ASDV isolation valves 1-MS-V-5, 21, 35, and 49 were not listed in the active valve list. Therefore, the team concluded that the UFSAR's active valve list did not list all valves relied upon to change position to mitigate the consequences of design basis accidents or relied upon in execution of the emergency operating procedures. The team identified that the ASDV isolation valves 1-MS-V-5, 21, 35, and 49 were not included in NextEra's IST Program. OM ISTA-1100, in part, required valves which change position to mitigate the consequences of an accident to be in scope of the OM Code IST requirements. Section ISTC-1300 of the ASME OM, in part, required NextEra to categorize and list each valve to be tested and establish acceptance criteria. The OM Code further required that valves shall be designated as either Category A, seat leakage limited to a specific maximum value, or Category B, seat leakage inconsequential. ISTC-3540 required manual valves be exercised every 5 years. In addition, ISTC-5210, in part, required NextEra to immediately declare a valve inoperable if it failed to exhibit the required change of position during a valve exercise test. In response, NextEra stated that the valves had been considered to be passive, with no active safety function, because they were not listed in the UFSAR active valve list. As such, they had not been placed in the IST Program. As a consequence of not being in the IST Program, NextEra had also not determined whether seat leakage would be inconsequential (Category B) or whether seat leakage needed to be limited to a specific maximum value (Category A), as required by the OM Code. NextEra entered this deficiency into their corrective action program as AR 2153195, and verified that the valves had been satisfactorily exercised, as required by the ASME OM Code, during the last surveillance of the ASDVs, performed on June 23, 2016.
ISTC-3540 required manual valves be exercised every 5 years. In addition, ISTC-5210, in part, required NextEra to immediately declare a valve inoperable if it failed to exhibit the required change of position during a valve exercise test.


NextEra preliminarily assessed seat leakage requirements for the ASDV isolation valves using calculation NAI-1131-001, "SGTR Radiological Analysis with Alternate Source Term.NextEra determined that the radiological analysis assumed the isolation valves were leak tight because the analysis had not quantified or evaluated any specific leakage value for those valves. In addition, NextEra preliminarily determined that there was approximately a 13 percent margin between regulatory limit, at the design basis exclusion area boundary, and the results of the radiological consequence analysis. Based on the results of the qualitative leakage checks performed quarterly, NextEra concluded that the valves were currently sufficiently leak tight, such that there was no significant reduction in the radiological release margin. The team reviewed NextEra's evaluations and determined that their conclusions regarding current operability were reasonable.  
In response, NextEra stated that the valves had been considered to be passive, with no active safety function, because they were not listed in the UFSAR active valve list. As such, they had not been placed in the IST Program. As a consequence of not being in the IST Program, NextEra had also not determined whether seat leakage would be inconsequential (Category B) or whether seat leakage needed to be limited to a specific maximum value (Category A), as required by the OM Code. NextEra entered this deficiency into their corrective action program as AR 2153195, and verified that the valves had been satisfactorily exercised, as required by the ASME OM Code, during the last surveillance of the ASDVs, performed on June 23, 2016.
 
NextEra preliminarily assessed seat leakage requirements for the ASDV isolation valves using calculation NAI-1131-001, SGTR Radiological Analysis with Alternate Source Term. NextEra determined that the radiological analysis assumed the isolation valves were leak tight because the analysis had not quantified or evaluated any specific leakage value for those valves. In addition, NextEra preliminarily determined that there was approximately a 13 percent margin between regulatory limit, at the design basis exclusion area boundary, and the results of the radiological consequence analysis.
 
Based on the results of the qualitative leakage checks performed quarterly, NextEra concluded that the valves were currently sufficiently leak tight, such that there was no significant reduction in the radiological release margin. The team reviewed NextEra's evaluations and determined that their conclusions regarding current operability were reasonable.


=====Analysis:=====
=====Analysis:=====
The team determined the failure to conduct valve testing in accordance with the IST Program, for valves which had an active safety function, was a performance deficiency. Specifically, degraded valve performance could go uncorrected without adequate acceptance criteria to ensure that a SGTR would not result in an unacceptable increase in the consequences of that accident (i.e., a more than minor reduction in the margin between the postulated licensing basis radiological release and the regulatory limits). As a result of this performance deficiency, unacceptable valve leakage was identified in 2011 without corrective actions being performed, other than to initiate a work order, which did not result in further evaluation or repairs. The team did note that recent valve testing indicated that the current leakage was acceptable.
The team determined the failure to conduct valve testing in accordance with the IST Program, for valves which had an active safety function, was a performance deficiency. Specifically, degraded valve performance could go uncorrected without adequate acceptance criteria to ensure that a SGTR would not result in an unacceptable increase in the consequences of that accident (i.e., a more than minor reduction in the margin between the postulated licensing basis radiological release and the regulatory limits). As a result of this performance deficiency, unacceptable valve leakage was identified in 2011 without corrective actions being performed, other than to initiate a work order, which did not result in further evaluation or repairs. The team did note that recent valve testing indicated that the current leakage was acceptable.


This finding is more than minor because it was associated with the SSC and Barrier Performance attribute of the Containment Barrier Cornerstone and adversely affected the cornerstone objective of ensuring the reliability of associated risk-important SSCs. The team performed an SDP screening, in accordance with NRC IMC 0609, Appendix A, "SDP for Findings At-Power.The finding screened as very low safety significance (Green) because it was a deficiency confirmed not to represent an actual open pathway in the physical integrity of reactor containment and did not involve an actual reduction in function of hydrogen igniters in the reactor containment. The finding did not have a cross-cutting aspect because it was not considered to be indicative of current licensee performance. Specifically, UFSAR Table 3.9(B)-27, "Active Valve List," listed those valves which were required to mechanically change position to mitigate the consequences of an event, and had been established more than 3 years ago. The team determined that NextEra had not had a reasonable opportunity to identify this issue (i.e., an active valve not on the list) within the last 3 years.  
This finding is more than minor because it was associated with the SSC and Barrier Performance attribute of the Containment Barrier Cornerstone and adversely affected the cornerstone objective of ensuring the reliability of associated risk-important SSCs.
 
The team performed an SDP screening, in accordance with NRC IMC 0609, Appendix A, SDP for Findings At-Power. The finding screened as very low safety significance (Green) because it was a deficiency confirmed not to represent an actual open pathway in the physical integrity of reactor containment and did not involve an actual reduction in function of hydrogen igniters in the reactor containment.
 
The finding did not have a cross-cutting aspect because it was not considered to be indicative of current licensee performance. Specifically, UFSAR Table 3.9(B)-27, Active Valve List, listed those valves which were required to mechanically change position to mitigate the consequences of an event, and had been established more than 3 years ago. The team determined that NextEra had not had a reasonable opportunity to identify this issue (i.e., an active valve not on the list) within the last 3 years.


=====Enforcement:=====
=====Enforcement:=====
Seabrook TS SR 4.0.5, in part, required NextEra to perform IST of ASME Code Class 2 valves with active safety functions, in accordance with the ASME OM Code. Specifically, ASME OM Section ISTA-1100, in part, required valves which change position to mitigate the consequences of an accident to be in scope of the OM testing requirements. Section ISTC-1300, in part, required NextEra to categorize and list each valve to be tested and establish acceptance criteria. Section ISTC-5210, in part, required NextEra to immediately declare a valve inoperable if it failed to exhibit the required change of position during a valve exercise test. Contrary to the above, since 1990 (original construction) until present, four main steam system manual isolation valves, which were designated as ASME Code Class 2 valves and had active safety functions, were not tested in accordance with IST Program requirements. Specifically, isolation valves, which were required to be manually closed to mitigate the consequences of a failed open ASDV during a SGTR accident, were not designated as IST Program valves, seat leakage had not been categorized, and the valve test procedure did not have established acceptance criteria to verify valve operability, as required by the ASME OM Code. NextEra's short-term corrective actions included entering the issue into their corrective action program and performing a preliminary operability assessment of the valves. The NRC is treating this violation as an NCV, consistent with Section 2.3.2.a of the NRC Enforcement Policy, dated August 1, 2016, because this finding was of very low safety significance and was entered into NextEra's corrective action program (AR 2153195). (NCV 05000443/2016007-03, Failure to Perform Required ASME In-Service Testing for Manual Isolation Valves for the Atmospheric Steam Dump Valve Block Valves)
Seabrook TS SR 4.0.5, in part, required NextEra to perform IST of ASME Code Class 2 valves with active safety functions, in accordance with the ASME OM Code. Specifically, ASME OM Section ISTA-1100, in part, required valves which change position to mitigate the consequences of an accident to be in scope of the OM testing requirements. Section ISTC-1300, in part, required NextEra to categorize and list each valve to be tested and establish acceptance criteria. Section ISTC-5210, in part, required NextEra to immediately declare a valve inoperable if it failed to exhibit the required change of position during a valve exercise test.
 
Contrary to the above, since 1990 (original construction) until present, four main steam system manual isolation valves, which were designated as ASME Code Class 2 valves and had active safety functions, were not tested in accordance with IST Program requirements. Specifically, isolation valves, which were required to be manually closed to mitigate the consequences of a failed open ASDV during a SGTR accident, were not designated as IST Program valves, seat leakage had not been categorized, and the valve test procedure did not have established acceptance criteria to verify valve operability, as required by the ASME OM Code. NextEras short-term corrective actions included entering the issue into their corrective action program and performing a preliminary operability assessment of the valves. The NRC is treating this violation as an NCV, consistent with Section 2.3.2.a of the NRC Enforcement Policy, dated August 1, 2016, because this finding was of very low safety significance and was entered into NextEra's corrective action program (AR 2153195). (NCV 05000443/2016007-03, Failure to Perform Required ASME In-Service Testing for Manual Isolation Valves for the Atmospheric Steam Dump Valve Block Valves)


===.2.2 Review of Industry Operating Experience and Generic Issues (3 samples)===
===.2.2 Review of Industry Operating Experience and Generic Issues (3 samples)===
The team reviewed selected operating experience (OE) issues for applicability to the Seabrook Station. The team performed a detailed review of the OE issues listed below to verify that NextEra had appropriately assessed potential applicability to site equipment and initiated corrective actions when necessary.
The team reviewed selected operating experience (OE) issues for applicability to the Seabrook Station. The team performed a detailed review of the OE issues listed below to verify that NextEra had appropriately assessed potential applicability to site equipment and initiated corrective actions when necessary.


===.2.2.1 NRC Information Notice 2014-03, Turbine-Driven Auxiliary Feedwater Pump Overspeed Trip Mechanism Issues===
===.2.2.1 NRC Information Notice 2014-03, Turbine-Driven Auxiliary Feedwater Pump Overspeed===
 
Trip Mechanism Issues


====a. Inspection Scope====
====a. Inspection Scope====
The team assessed NextEra's applicability review and disposition of NRC Information Notice (IN) 2014-03, "Turbine-Driven Auxiliary Feedwater Pump Overspeed Trip Mechanism Issues.This IN discussed industry OE related to improper adjustments of control mechanisms that led to inoperability of turbine-driven auxiliary feedwater pumps. The team reviewed NextEra's evaluations of the IN to determine whether they appropriately considered the applicable details of the IN and whether potential vulnerabilities were identified and corrected. Additionally, the team reviewed the Seabrook overspeed trip mechanism design with respect to the in-plant configuration and operating history and whether Seabrook was vulnerable to the concerns identified in the IN. The team also performed several walkdowns of turbine driven EFW pump, EFW overspeed trip mechanism, and supporting SSCs; reviewed system corrective action reports; reviewed maintenance and inspection records; reviewed operating and maintenance procedures; and interviewed design engineers to independently evaluate the relevant aspects of the design and configuration of Seabrook's turbine driven EFW pump.
The team assessed NextEras applicability review and disposition of NRC Information Notice (IN) 2014-03, Turbine-Driven Auxiliary Feedwater Pump Overspeed Trip Mechanism Issues. This IN discussed industry OE related to improper adjustments of control mechanisms that led to inoperability of turbine-driven auxiliary feedwater pumps.
 
The team reviewed NextEras evaluations of the IN to determine whether they appropriately considered the applicable details of the IN and whether potential vulnerabilities were identified and corrected. Additionally, the team reviewed the Seabrook overspeed trip mechanism design with respect to the in-plant configuration and operating history and whether Seabrook was vulnerable to the concerns identified in the IN. The team also performed several walkdowns of turbine driven EFW pump, EFW overspeed trip mechanism, and supporting SSCs; reviewed system corrective action reports; reviewed maintenance and inspection records; reviewed operating and maintenance procedures; and interviewed design engineers to independently evaluate the relevant aspects of the design and configuration of Seabrooks turbine driven EFW pump.


====b. Findings====
====b. Findings====
No findings were identified.
No findings were identified.


===.2.2.2 NRC Information Notice 2015-05, Inoperability of Auxiliary and Emergency Feedwater Auto-Start Circuits on Loss of Main Feedwater Pumps===
===.2.2.2 NRC Information Notice 2015-05, Inoperability of Auxiliary and Emergency Feedwater===
 
Auto-Start Circuits on Loss of Main Feedwater Pumps


====a. Inspection Scope====
====a. Inspection Scope====
The team reviewed NextEra's evaluation of NRC IN 2015-05, "Inoperability of Auxiliary and Emergency Feedwater Auto-Start Circuits on Loss of Main Feedwater Pumps.This IN described a design vulnerability identified at several plants which could prevent the EFW system from automatically starting as intended when one main feedwater pump was in a standby or reset mode (e.g., pump running but not injecting). Specifically, the team reviewed the EFW system auto-start logic circuitry to independently evaluate whether the described vulnerability existed. In addition, the team assessed NextEra's evaluation to determine whether it had appropriately considered the applicable details described in the IN and whether NextEra had identified and corrected any potential vulnerabilities.
The team reviewed NextEra's evaluation of NRC IN 2015-05, Inoperability of Auxiliary and Emergency Feedwater Auto-Start Circuits on Loss of Main Feedwater Pumps. This IN described a design vulnerability identified at several plants which could prevent the EFW system from automatically starting as intended when one main feedwater pump was in a standby or reset mode (e.g., pump running but not injecting). Specifically, the team reviewed the EFW system auto-start logic circuitry to independently evaluate whether the described vulnerability existed. In addition, the team assessed NextEra's evaluation to determine whether it had appropriately considered the applicable details described in the IN and whether NextEra had identified and corrected any potential vulnerabilities.


====b. Findings====
====b. Findings====
No findings were identified.
No findings were identified.


===.2.2.3 NRC Information Notice 2014-04, Potential for Teflon Material Degradation in Containment Penetrations, Mechanical Seals and Other Components===
===.2.2.3 NRC Information Notice 2014-04, Potential for Teflon Material Degradation in===
 
Containment Penetrations, Mechanical Seals and Other Components


====a. Inspection Scope====
====a. Inspection Scope====
The team assessed NextEra's applicability review and disposition of NRC IN 2014-04, "Potential for Teflon Material Degradation in Containment Penetrations, Mechanical Seals and Other Components," with specific focus in the area of containment penetration seals. This IN discussed industry OE regarding environmental qualifications (i.e., qualifications to ensure that equipment will be capable of withstanding the ambient conditions under an accident scenario) of particular components containing Teflon which analyses had determined would receive failure threshold doses during a design basis accident. Specifically, containment penetration seals for both safety related and non-Class 1E electrical system cabling must be capable of maintaining pressure-boundary function for containment integrity. Independent testing revealed that Teflon used in containment penetration seals is not qualified for postulated loss of coolant accident radiation environments due to a tendency to embrittle and deteriorate. The team reviewed NextEra's actions, reviews and response to the IN; and verified material lists, vendor material properties, and design of the feedthrough and the seal construction of the electrical penetration assemblies.
The team assessed NextEras applicability review and disposition of NRC IN 2014-04, Potential for Teflon Material Degradation in Containment Penetrations, Mechanical Seals and Other Components, with specific focus in the area of containment penetration seals. This IN discussed industry OE regarding environmental qualifications (i.e.,
qualifications to ensure that equipment will be capable of withstanding the ambient conditions under an accident scenario) of particular components containing Teflon which analyses had determined would receive failure threshold doses during a design basis accident. Specifically, containment penetration seals for both safety related and non-Class 1E electrical system cabling must be capable of maintaining pressure-boundary function for containment integrity. Independent testing revealed that Teflon used in containment penetration seals is not qualified for postulated loss of coolant accident radiation environments due to a tendency to embrittle and deteriorate.
 
The team reviewed NextEras actions, reviews and response to the IN; and verified material lists, vendor material properties, and design of the feedthrough and the seal construction of the electrical penetration assemblies.


====b. Findings====
====b. Findings====
Line 298: Line 443:
====b. Findings====
====b. Findings====
No findings were identified.
No findings were identified.
{{a|4OA6}}
==4OA6 Meetings, including Exit==


{{a|4OA6}}
On September 1 and October 5, 2016, the team presented interim inspection results to Mr. Eric McCartney, Site Vice President, and other members of the Seabrook staff.
==4OA6 Meetings, including Exit==
 
On September 1 and October 5, 2016, the team presented interim inspection results to Mr. Eric McCartney, Site Vice President, and other members of the Seabrook staff. Following the completion of additional inspection and follow-up activities, the team presented the final inspection results via telephone to Mr. Eric McCartney, Site Vice President, and other members of the Seabrook staff on November 10, 2016. The team verified that no proprietary information was documented in the report.
Following the completion of additional inspection and follow-up activities, the team presented the final inspection results via telephone to Mr. Eric McCartney, Site Vice President, and other members of the Seabrook staff on November 10, 2016. The team verified that no proprietary information was documented in the report.


ATTACHMENT  
ATTACHMENT


=SUPPLEMENTAL INFORMATION=
=SUPPLEMENTAL INFORMATION=


==KEY POINTS OF CONTACT==
==KEY POINTS OF CONTACT==
Exelon Personnel
 
: [[contact::S. Ball]], System Engineer  
Exelon Personnel
: [[contact::R. Belanger]], Senior Mechanical Design Engineer  
: [[contact::S. Ball]], System Engineer
: [[contact::P. Brangiel]], System Engineer  
: [[contact::R. Belanger]], Senior Mechanical Design Engineer
: [[contact::A. Dundin]], Operations  
: [[contact::P. Brangiel]], System Engineer
: [[contact::H. Ham]], Mechanical Supervisor  
: [[contact::A. Dundin]], Operations
: [[contact::D. Kelsey]], Superintendent, Mechanical and Maintenance Services  
: [[contact::H. Ham]], Mechanical Supervisor
: [[contact::J. Klempa]], System Engineer  
: [[contact::D. Kelsey]], Superintendent, Mechanical and Maintenance Services
: [[contact::M. Lee]], Mechanical Design Engineer  
: [[contact::J. Klempa]], System Engineer
: [[contact::E. Mathews]], System Engineer  
: [[contact::M. Lee]], Mechanical Design Engineer
: [[contact::B. Matte]], Electrical Design Engineer  
: [[contact::E. Mathews]], System Engineer
: [[contact::R. Parry]], Engineering Supervisor  
: [[contact::B. Matte]], Electrical Design Engineer
: [[contact::J. Porozinski]], Programs Electrical Engineer  
: [[contact::R. Parry]], Engineering Supervisor
: [[contact::C. Thomas]], Senior Licensing Engineer
: [[contact::J. Porozinski]], Programs Electrical Engineer
: [[contact::C. Thomas]], Senior Licensing Engineer
 
==LIST OF ITEMS==
==LIST OF ITEMS==


Line 327: Line 476:


===Opened and Closed===
===Opened and Closed===
: 05000443/2016007-01 NCV Inadequate Corrective Actions to Preclude Repetition of a Significant Condition Adverse to Quality (Section 1R21.2.1.3.1)
: 05000443/2016007-01                 NCV         Inadequate Corrective Actions to Preclude Repetition of a Significant Condition Adverse to Quality (Section 1R21.2.1.3.1)
: 05000443/2016007-02 URI Potential Missed Evaluation and Reporting of an Adverse Condition to the NRC (Section 1R21.2.1.3.2)
: 05000443/2016007-02                 URI         Potential Missed Evaluation and Reporting of an Adverse Condition to the NRC (Section 1R21.2.1.3.2)
: 05000443/2016007-03 NCV Failure to Perform Required ASME In-Service Testing of Manual Isolation Valves for the Atmospheric Steam Dump Valve Block Valves (Section 1R21.2.1.17)
: 05000443/2016007-03                 NCV         Failure to Perform Required ASME In-
Service Testing of Manual Isolation Valves for the Atmospheric Steam Dump Valve Block Valves (Section 1R21.2.1.17)


==LIST OF DOCUMENTS REVIEWED==
==LIST OF DOCUMENTS REVIEWED==
===Calculations===
 
& Engineering Evaluations 07-014, Seabrook Plant Tank Vortexing Analysis, Revision B 1-CBS-E-16B Boric Acid Leak Screening (AR 1901566), 9/4/13 32-5050140, Integrated ECCS and CBS Model Using RELAP, Revision 0 4.3.04-17F, SI Pumps NPSHa, Revision 3 4.3.05-31F, RWST Vortex Studies, Revision 3 4.3.5.10F, CBS Hydraulic Analysis, Revision 10 4.3.5.60F, CBS Pump, Technical Specification Flow Rate, Revision 1 6.01.47.11, EDG Building Heating and Ventilating: FOST Rooms and Stairways, Revision 0 6.01.47.12, EDG Building Heating and Ventilating: Verification of DGB Vent Air Flow and Space Temperatures, Revision 0 737-19, EFW Pump - Total Dynamic Head, Revision 3 737-60, EFW Pump Recirculation Pressure Drop, Revision 0 760-13, EDG Fuel Oil Transfer Pump NPSH, Revision 0 9763-3-ED-00-01-F, Calculation of Short Circuit Currents, Revision 9 9763-3-ED-00-01-F, Short Circuit Currents, Revision 9 9763-3-ED-00-02-F Voltage Regulation (Voltage Drop), Revision 14 9763-3-ED-00-02-F, Voltage Regulation, Revision 10 9763-3-ED-00-27-F, Unit Substation Load Study, Revision 11 9763-3-ED-00-27-F, Unit Substation Load Study, Revision 11 9763-3-ED-00-31-F, 480V Coordination, Revision 4 9763-3-ED-00-31-F, 480V Overcurrent Coordination, Revision 4 9763-3-ED-00-46-F, Failure of Non-Class 1E Loads on Class 1E Buses, Revision 6 9763-3-ED-00-83-F, Diesel Generator Loading, Revision 11 9763-5-SP-00-04-F, ASDV Backup Air Supply, Revision 0 BACC Preliminary ASME Bolting Evaluation (AR
: 598072; 1-CBS-E-16B), 1/16/13
: CD-42, Missile Shield Design, Revision 0 C-S-1-20801, Emergency Feedwater System Flow Study, Revision 1 C-S-1-23704, Allowable Leakage from Safety Related Air Supplies, Revision 3 C-S-1-28009, Primary Component Cooling Water After SPU, Revision 0 C-S-1-69031, CST Valve Room Heating, Revision 0 C-S-1-80904, MOV Calculation Results 1-SW-V-19 Valve, Revision 3 C-S-1-83803, ASME Section XI IST Pump Evaluation, Revision 0 C-S-1-E-0161, DG Maximum Allowable Fuel Oil Consumption Rate, Revision 18
: DCR 94-0027, Condensate Storage Tank Valve Room Heater, Revision 0
: EC 283274, Alternate Materials for SW Traveling Water Screens 1-SW-SR-2-A, Revision 4
: ECA 08802575, EFW Recirculation Line Upgrade to ASME III, Revision C
: EE-08-026, NRC Generic Letter 2008-01 Response, Managing Gas Accumulation in Emergency Core Cooling, Decay Heat Removal, and Containment Spray Systems, 10/8/08
: EE-88-019, Evaluation of NRC Bulletin 88-04, 12/5/88
: EE-88-019, NRC Bulletin 88-04 Minimum Flow Design Concerns Evaluation, 12/9/88
: EE-92-29, Tornado Barrier Evaluation, 10/20/92
: EE-98-006, IST Pump Surveillance Requirements, Revision 12
: EE-99032, Maximum Allowable Gas Bubble Size at ECCS High Points, Revision 5 FP50259, Seismic Calculation, SI Accumulator Tank, Revision 0 FP52801, Seismic Calculation, Refueling Water Storage Tank, Revision K
: NAI-1131-001, SGTR Radiological Analysis with Alternate Source Term, Revision 2
: NCR 94/1743C, Support No. 4612-SG-21 Non Conformance Report, 6/23/86
: PCR 02152545, Expedited Revision to SW Screen Wash Operation Procedure, 8/27/16
: SBC-507, Tornado Missile Evaluation for Diesel Generator Day/Storage Tank Vents, Revision 0
: SBC-535, ECCS Performance during Post-LOCA Conditions, Revision 7
: SS-EV-980002, Evaluation of ECCS High Points, Revisions 3 and 4
: TP-7, Moderate Energy Line Break Study, Revision 5
: Corrective Action Program Action Requests/Condition Reports
: 0002866
: 0008593
: 0391222
: 0576832
: 0576890
: 0583721
: 1602027
: 1639198
: 1717292
: 1717294
: 1719149
: 1730597
: 1755485
: 1755485
: 1798909
: 1813412
: 1813413
: 1863954
: 1877098
: 1895334
: 1901566
: 1904080
: 1907316
: 1923505
: 1924003
: 1928933
: 1929316
: 1932975
: 1936543
: 1937037
: 1949919
: 1950364
: 1953567
: 1962235
: 1977965
: 1990215
: 2000848
: 2003027
: 2013591
: 2019188
: 2025660
: 2036004
: 2049375
: 2053980
: 2060616
: 2061399
: 2069228
: 2078983
: 2083282
: 2095568
: 2099999
: 2129160
: 2129354
: 2131375
: 2131882
: 2134292
: 2144968
: 2145929
: 2146404*
: 2147158*
: 2147201*
: 2147302*
: 2147363*
: 2147387
: 2147448*
: 2147855*
: 2147884*
: 2147918
: 2147989*
: 2148025*
: 2148121*
: 2148423
: 2148678
: 2148791*
: 2148967
: 2149208*
: 2149210*
: 2149211*
: 2149233*
: 2149258*
: 2149259*
: 2149260*
: 2149337*
: 2149356*
: 2149377
: 2149400
: 2149618
: 2149631
: 2149761
: 2149771
: 2149801
: 2149962
: 2150021
: 2150503*
: 2150553
: 2150568*
: 2150637
: 2150923*
: 2151042
: 2151052
: 2151226*
: 2151285
: 2151298
: 2152265*
: 2152360
: 2151390*
: 2151394*
: 2152545
: 2152811*
: 2152879
: 2152974
: 2152986*
: 2153072
: 2153194*
: 2153256
: 2153374*
: 2153393
: 2153536* 9-01406 *AR generated as a result of this inspection
===Design and Licensing Basis Documents===
: ASME OM Code, 2004 Edition
: DBD-CC-01, Design Basis Document, Primary Component Cooling Water System, Revision 5
: DBD-DAH-01, Design Basis Document, DG Building Heating/Ventilating Systems, Revision 3
: DBD-DG-01, Design Basis Document, Emergency Diesel Generator, Revision 5
: DBD-ED-06, Design Basis Document, 480 Vac System, Revision 0
: DBD-EFW-01, Design Basis Document, Emergency Feedwater System, Revision 7
: DBD-SW-01, Design Basis Document, Service Water System, Revision 7 IEEE 273, Protective Relay Applications to Power Transformers, 1967 IEEE 288, Induction Motor Protection, 1969
: SD-10, System Design Description for Diesel Generator - Mechanical Systems, Revision 3
: SD-23, System Design Description for Primary Component Cooling Water System, Revision 4
: SD-24B-1, System Design Description for Station Service Water System, Revision 6
: SD-75, System Design Description for 480V Distribution, Revision 6
: SD-76, System Design Description for Diesel Generator (Electrical), Revision 2 SITR, ASME In-Service Test 10-Year Plan, Revision 23 UFSAR, Revision 17
===Drawings===
: 11869533, Sht. 1, Colt Industries Jacket Coolant Schematic, Revision 0
: 11869533, Sht. 2, Colt Industries Jacket Coolant Legend, Revision 0 1193E64, Tank-Accumulator 1350 cu. ft., Revision 5 1-74-06-32218 D1A, Setting Plan for Containment Spray Heat Exchangers, Revision 7 1-CBS-B20233, Containment Spray System, Revision 38 1-CC-B20204, Primary Component Cooling Loop 'A' Overview, Revision 4 1-CC-B20209, Primary Component Cooling Thermal Barrier Loop, Revision 13 1-CC-D20205, Primary Component Cooling Loop 'A' Detail, Revision 25 1-DG-B20461, DG Cooling Water System Train 'A' Detail, Revision 22 1-DG-B20464, DG Fuel Oil System Train B Detail, Revision 19 1-DG-B20466, DG Cooling Water System Train B Detail, Revision 22 1-FW-D20688, Emergency Feedwater System Details, Revision 20 1-IA-B20647, Instrument Air Bottle Supply, Revision 20 1-MS-D20581, Main Steam System, Revision 21 1-NHY-202069, DG Building Plans Above Grade General Arrangement, Revision 16 1-NHY-309718, Unit Aux Transformer Three-Line Diagram, Revision 7 1-NHY-310002, Unit 1 Electrical Distribution One-Line Diagram, Revision 43 1-NHY-310002, Unit Electrical Distribution One Line Diagram, Revision 43 1-NHY-310004, 13800V Switchgear Bus 1-1 One-Line Diagram, Revision 16 1-NHY-310007, 4160V Switchgear Bus 1-E5 One-Line Diagram, Revision 21 1-NHY-310010 Sht. 1, Diesel Generator
: DG-1B One-Line Diagram, Revision 15 1-NHY-310010 Sht. 2, Diesel Generator
: DG-1B One-Line Diagram, Revision 4 1-NHY-310013, Unit Substation E-51 and E-52 One-Line Diagram, Revision 22 1-NHY-310014, 480V Unit Substation Buses 1-E61 and 1-E62 One-Line Diagram, Revision 19 1-NHY-310024, Sht. 1, MCC E512 One-Line Diagram, Revision 29 1-NHY-310057, Sht. 2, MCC E512 One-Line Diagram, Revision 16 1-NHY-310071, Auxiliary Transformers One-Line Diagram, Revision 12 1-NHY-310102 Sht. A74a, 4160V Bus I-E6 DG1B Three-Line Diagram, Revision 12 1-NHY-310102 Sht. A74c, 4160V Bus I-E6 DG1B Close Schematic, Revision 13 1-NHY-310102 Sht. A74d, 4160V Bus I-E6 DG1B Trip Schematic, Revision 8 1-NHY-310102 Sht. G18/2f, Control Wiring Diagram DG 1B Governor Control, Revision 6 1-NHY-310231, Motor Load List 1-EDE-US-61, Revision 5 1-NHY-310231, Sht. 103a-f, MCC E512 Motor Load List, Revision 19 1-NHY-310895 Sht. A59a, PCCW Pump 1-P-11C Three line Diagram, Revision 4 1-NHY-310895 Sht. A59b, PCCW Pump 1-P-11C Close Schematic, Revision 8 1-NHY-310895 Sht. A59c, PCCW Pump 1-P-11C Trip Schematic, Revision 4 1-NHY-310895 Sht. A59d, PCCW Pump 1-P-11C Protection Scheme, Revision 2 1-NHY-310956,
: RM-SKD-60 Schematic, Revision 3 1-NHY-503471, EDG Room Supply Air Fans, Exhaust Air Dampers Logic Diagram, Revision 10 1-NHY-503472, EDG Room Exhaust Fans Logic Diagram, Revision 10 1-NHY-503586, P-37B Emergency Feed Logic Diagram, Revision 8 1-NHY-503674, V-395 Steam Supply to Emergency Feed Pump, Revision 8 1-NHY-503684, V-394 Steam Supply to Emergency Feed Pump, Revision 12 
: 1-NHY-503685, V-393 Steam Supply to Emergency Feed Pump, Revision 13 1-NHY-506403,
: DG-1A Diesel Engine Air Cooler Water Control Loop Diagram, Revision 15 1-NHY-506404,
: DG-1A Diesel Engine Jacket Water Control Loop Diagram, Revision 20 1-NHY-506405,
: DG-1B Diesel Engine Air Cooler Water Control Loop Diagram, Revision 13 1-NHY-506406,
: DG-1B Diesel Engine Jacket Water Control Loop Diagram, Revision 20 1-NHY-506555, Emergency Feed Pump Steam Isolation Valve Control Loop, Revision 26 1-NHY-506586,
: MS-PV-3002 Control Loop Diagram, Revision 6 1-SW-B20792, Service Water System Nuclear Overview, Revision 6 1-SW-B20794, Service Water System Nuclear Detail, Revision 37 1-SW-B20795, Service Water System Nuclear Detail, Revision 43 1-SW-B20796, Service Water System Nuclear Detail, Revision 6 1-SW-D20795, Service Water System Nuclear Detail, Revision 45 2450D09, Sht. 8, Remote Shutdown Panel Wiring Diagram, Revision 1 9763-F-101087, Service and Circulating Water Pumphouse Concrete, Revision 2 9763-F-410724, Component Cooling System Piping Isometric, Revision 4 9763-F-414601, Feedwater Piping Erection Isometric 1-FW-4610-5, Revision 1 FP50157, SI Pump Outline, Revision 6 FP97829, 4" Bolted Bonnet Swing Check Valve Forged, Revision 4
: G25161, 24" Type 7620 Valve Limitorque
: SMB-0-15-H4BC Rotary Actuator, Revision G H90172-2, Drive Assembly for
: TWS 54T Westinghouse Reducer, Revision 3
: ILD-1-MS-PO3002, Sht. 1,
: MS-P-3002 Steam Generator Pressure Loop Diagram, Revision 1
: ILD-1-MS-PO3002, Sht. 2&3,
: MS-P-3002 Steam Generator Pressure Loop Diagram, Revision 0 PID 1-CBA-B20303, Control Building Air Handling, Revision 23 PID 1-DAH-B20624, Diesel Generator Building Air Handling, Revision 7
: PID-1-CBS-B20233, Containment Spray System, Revision 38
: PID-1-SI-D2-0445, SI System Overview, Revision 4
: PID-1-SI-D2-0446, SI System, Intermediate Head Injection System Details, Revision 16
: PID-1-SI-D2-0450, SI System Low Head Injection System (Accumulator) Detail, Revision 13
: SCS-5155, Outline Type NB3DBS-187 Delaval IMO Pump, Revision C
: Functional, Surveillance and Modification Acceptance Testing
: 4031881301, SI System Relief Valve Pressure Test, performed 10/17/15
: 4031881302,
: PM-Rebuild Spare Accumulator Relief Valve, performed 10/10/15 EDG JW Cooler
: DG-E-42A 2015 Thermal Performance Test Results, performed 9/16/15 EDG JW Cooler
: DG-E-42B 2015 Thermal Performance Test Results, performed 9/27/15 ES1801.009, EFW Turbine Overspeed Test - Using Auxiliary Steam, performed 10/31/15 OS1412.09, PCCW Monthly Flow Check, performed 7/5/16 OS1426.25, DG 1B Cooling Water and Air Start System Valves Surveillance, performed 5/2/16 OX1400.02, 18-Month Remote Safe Shutdown System Operability, performed 11/3/15
: OX1405.07, Train 'A' SI Pump Test (Group B Pump Test), performed 3/21/16 OX1405.09,
: SI 18 Month Accumulator Outlet Valve Test, performed 10/21/15 OX1405.12, SI Accumulator Cold Shutdown Valve Stroke, performed 10/1/15 OX1405.13, Train 'A' SI Comprehensive Pump Test, performed 10/1/15 OX1406.02, Containment Spray Pump and Valve Quarterly Operability, 18-Month Position Indication and Comprehensive Pump Testing, performed 5/23/16 OX1412.01, PCCW Train 'A' Quarterly Operability, 18 Month Position Indication and Comprehensive Pump Testing, performed 4/20/16, performed 7/21/14   
: OX1416.04, Service Water Quarterly Pump and Discharge Valve Test and Comprehensive Pump Test, performed 12/19/14, 3/30/16, 5/12/16, and 7/1/16 OX1416.04, Service Water Quarterly Pump and Discharge Valve Test and Comprehensive Pump Test, performed 3/30/16 and 7/1/16 OX1416.06, Service Water Discharge Valves Quarterly Test and 18-Month Position Verification, performed 3/10/16 and 5/26/16 OX1426.05, DG 1B Monthly Operability Surveillance, performed 6/27/16 OX1426.05, DG 1B Monthly Operability Surveillance, performed 6/28/16 OX1426.33, DG FO Transfer Pumps Flow Verification 18-Month Surveillance, performed 1/30/15 OX1436.02, Turbine Driven EFW Pump Quarterly/Monthly Valve Alignment, performed 6/22/16 OX1436.03, Electric Driven EFW Pump Operability Test, performed 11/6/15 OX1436.13, Turbine Driven EFW Pump Post Cold Shutdown or Post Maintenance Surveillance and Comprehensive Pump Test, performed 11/12/15 OX1456.02, ECCS Monthly System Verification, performed 6/18/16, 7/20/16, and 8/24/16
: Non-Destructive Examinations
: EFW 37A/01A Erosion/Corrosion Program UT Examination Report, performed 4/2/08
: EFW 37A/01B Erosion/Corrosion Program UT Examination Report, performed 4/2/08
: EFW 37A/02A Erosion/Corrosion Program UT Examination Report, performed 4/22/08
: EFW 37A/02B Erosion/Corrosion Program UT Examination Report, performed 4/2/08
: EFW 37B/03A Erosion/Corrosion Program UT Examination Report, performed 4/3/08
: EFW 37B/03B Erosion/Corrosion Program UT Examination Report, performed 4/3/08
: EFW 37B/04A Erosion/Corrosion Program UT Examination Report, performed 4/3/08
: EFW 37B/04B Erosion/Corrosion Program UT Examination Report, performed 4/3/08 PD041546.1, ECT Inspection of EDG Jacket Water Cooler E-42A, performed March 2015 PD041548.1, ECT Inspection of EDG Jacket Water Cooler E-42B, performed March/April 2015
===Miscellaneous===
: 1-DG-TCV-7B-1 Jacket Coolant Temperature Control Valve Corrective and Preventive Maintenance History, 11/15/89 through 3/27/13 1-SW-OT-019 IST Power-Operated Valve Data Logs, 3/15/11 through 5/9/16 9763-006-128-1, Specification for Alternating Current Induction Motors, Revision 5 9763-006-238-5, Specification for Primary Component Cooling Water Pumps, Revision 6
: ACR-95-354, PTW Indicating Light Over-Heating, Revision 0
: ACR-95-376, PTW Indicating Light Over-Heating, Revision 0 Baker Static and Dynamic Tests, PCCW pump motors, 6/10/10 - 9/6/16 CC Basis Document, Maintenance Rule Performance Report, Revision 0 DG 'A' and 'B' Cooling Water Heat Exchanger Fouling Factors Data Sheets, 2000 through 2015 EC0002548, EDG Speed Transmitter Replacement, Revision 2 EC272577, Diesel Generator Tachometer Relay Replacement, Revision 0 ED Basis Document, Maintenance Rule Performance Report, Revision 0
: EE-00-004, Maintenance Rule Performance Criteria for SSPS Input Relays, Revision 0
: EE-94-09, Micro-Switch PTW Safety-Related Indication Light Evaluation, 4/23/94 e-mail, to D. Collamore from M. Mudawar, Westinghouse, 8/23/16 e-mail, to D. Samara, Westinghouse, from J. Sobotka, Seabrook, 1/28/09 e-mail, to D. Samara, Westinghouse, from M. Kamenic, Westinghouse, 1/29/09 Herguth Laboratories, Inc., Oil Analysis, 1-SW-P-41BU - Motor Upper Bearing, 12/28/11 Letter,
: NYN-88166, PSNH to USNRC, Supplemental Response to NRC Bulletin 88-04, 12/30/88 
: Order 65369, TSI Electrical Equipment Fluid Analysis Report, April 25, 2016 POD, 2016 CDBI, Non-Conservatism in DAH Calculations, Revision 0 (AR 2150398) POD, 2016 CDBI, SI Pump Minimum Flow Differs Between Vendors, Revision 1 (AR 2150032) Report N-4006-FA, Schulz Failure Analysis of
: CC-P-11, 2/12/09 Report N-4007-FA, Schulz Failure Analysis of Westinghouse motor, 3S-78, 2/1/09 Report
: TP-7, Moderate Energy Line Break Study, Revision 5 SM 7.20, Time Critical Operator Action Program, Revision 9 Solid State Protection System Walkdown Report, 4/19/16
: SW-V-19 Close Time Trend Data Sheets, 3/1/12 through 5/26/16 Technical Specifications and Commitment Logs, Revision 151 Traces,
: EDG-B Generator Output, 10/29/14 and 8/24/15
===Procedures===
: 36180, Structural Monitoring Program, Revision 6
: B6769, Containment Spray Heat Exchanger 'B' Outlet Temperature High, Revision 2 D4252, PCCW Head Tank 'A' Level High, Revision 4 D4254, PCCW Head Tank 'A' Level High, Revision 4 D5478, Diesel Building A Sump Level High, Revision 4 D5479, Diesel Building B Sump Level High, Revision 3 D5502, SW Train 'B' Strainer DP Hi, Revision 8 D5562, SW Traveling Screen 'B' Fail to Rotate, Revision 3 D5563, SW Traveling Screen 'B' Clogged, Revision 3 D8485, CST North Valve Room Temperature Low, Revision 1 E-0, Reactor Trip or Safety Injection, Revision 50 E-0, Reactor Trip or Safety Injection, Revision 50 E-1, Loss of Reactor or Secondary Coolant, Revision 41 E-3, Steam Generator Tube Rupture Emergency Operating Procedure, Revision 42 E-3, Steam Generator Tube Rupture, Revision 42
: ECA-0.0, Loss of All AC Power, Revision 48
: ECA-0.0, Loss of All AC Power, Revision 48
: EDI 30560, Boric Acid Evaluations, Revision 0
: EN-AA-203-1001, Operability Determination/Functionality Assessments, Revision 22
: ES-1.1, SI Termination, Revision 36 ES1850.001, Check Valve Performance Monitoring Program, Revision 10 EX1806.001, RPS and ESFAS Response Time Summation Procedure, Revision 10
: LI-AA-102-1002, Part 21 Reporting, Revision 10 LN0557.20, Verification of Class 1A and 1N Overcurrent Protection - 480V MCC, Revision 20 LS0557.09, 480 Volt Motor Control Center Inspection, Testing and PM, Revision 9 LS0563.26, Unit Substation and 5KV Switchgear Ground Voltage Relay PM, Revision 2
: LS0563.34, Unit Substation Undervoltage Relay Inspection, Test and PM, Revision 6 LS0564.34, 4160 Volt Static Motor Testing, Revision 6 LS0564.38, 4160 Volt Dynamic Motor Monitoring, Revision 0 LX0556.07, 60-Month PM of 125 VDC K-Line Breakers, Revision 21 MA 7.3, Testing and Inspection of 1E Protective Devices, Revision 26
: MA-AA-100-1002, Scaffold Installation, Modification, and Removal Requests, Revision 4
: MM-UA-54 A-1, SW Train 'A' Pressure Lo, Revision 5
: MM-UA-54 A-2, Tower Actuation 'A' Train, Revision 5
: MM-UA-55 A-1, SW Train 'B' Pressure Lo, Revision 5 
: MS0517.10, Insulation Removal, Installation and Repair, Revision 8 MS0519.84, Velan Bolted Bonnet Check Valve Style I Hanger Type Maintenance, Revision 7 MS0523.01, Terry Turbine Maintenance, Revision 12 ON1017.01, Service Water Screen Wash Operation, Revision 14 ON1034.05, Operation of Condensate Storage Tank Heating System, Revision 4 ON1044.02, Oil/Water Separation System Operation, Revision 12 ON1046.71, Unit Auxiliary Transformer Auxiliaries Operation, Revision 6 ON1046.73, 13.8KV Operation, Revision 0 ON1090.13, Response to Natural Phenomena Affecting Plant Operations, Revision 10
: OP-AA-100-1000, Conduct of Operations, Revision 18
: OP-AA-102-1002, Seasonal Readiness, Revision 13 Operator Aid 93-014, B-ASDV Local Operation, Revision 48 OS1005.05, Safety Injection System Operation, Revision 28 OS1006.01, Fill and Vent of CBS and RHR System 'A' Train, Revision 11 OS1006.02, Fill and Vent of CBS and RHR System 'B' Train, Revision 11 OS1006.04, Operation of the Containment Spray System, Revision 24 OS1006.04, Operation of the Containment Spray System, Revision 25 OS1012.03, Primary Component Cooling Water Loop A Operation, Revision 23 OS1016.03, Service Water Train 'A' Operation, Revision 17 OS1016.04, Service Water Train 'B' Operation, Revision 20 OS1016.04, Service Water Train B Operation, Revision 20 OS1016.05, Service Water Cooling Tower Operation, Revision 33
: OS1016.11, Contingency Ocean Pump Restoration for SW Work Activities with Ocean Service Water Pumps Not in Service, Revision 7 OS1023.54, Diesel Generator Building Ventilation System Operation, Revision 11 OS1026.09, Operation of DG 1B, Revision 30 OS1026.09, Operation of DG 1B, Revision 30 OS1026.11, Operating DG 1B Jacket Cooling Water System, Revision 10 OS1026.13, Operating the DG 1B Fuel Oil System, Revision 15 OS1036.01, Aligning the Emergency Feedwater System for Automatic Initiation, Revision 20 OS1036.03, Resetting the Steam Driven EFW Pump Trip Valve, Revision 5 OS1036.04, Emergency Feed Water Pump 'B' Operation, Revision 3 OS1046.06, 4.16KV Operation, Revision 8 OS1046.07, Vital 480 Volt Operation, Revision 23 OS1046.07, Vital 480 Volt Operation, Revision 23 OS1046.17, 480V Unit Substation and Motor Control Center Breaker Operation, Revision 23 OS1046.63,
: MCC-612 Maintenance Procedure, Revision 3 OS1090.09, Station Cold Weather Operations, Revision 3 OS1200.03, Severe Weather Conditions, Revision 27
: OS1212.01, PCCW System Malfunction, Revision 13 OS1216.01, Degraded Ultimate Heat Sink, Revision 23 OS1246.02, Degraded Vital AC Power, Revision 17 OS1412.09, PCCW Monthly Flow Check, Revision 9 OS1430.05, ASDV 18-Month Local Valve Stroke, Revision 5 OX1400.02, 18-Month Remote Safe Shutdown System Operability Surveillance, Revision 11 OX1416.01, Service Water System Fill and Vent, Revision 19 OX1416.04, SW Quarterly Pump/Discharge Valve Test/Comprehensive Pump Test, Revision 20 OX1416.05, Service Water Cooling Tower Operation, Revision 33 
: OX1426.31, EDG 1B Interlock Test and Startup/Standby Surveillance, Revision 11 OX1436.02, Turbine Driven EFW Pump Quarterly and Monthly Valve Alignment, Revision 25
: OX1436.13, Turbine Driven EFW Pump Post-Cold Shutdown or Post-Maintenance Surveillance and Comprehensive Pump Test, Revision 29 OX1446.03, Electrical Bus Weekly Operability, Revision 12 OX1456.02, ECCS Monthly System Verification, Revision 18 OX1456.86, Operability Testing Of IST Pumps, Revision 11
: PEG-210, Containment Building Spray System Performance Monitoring, Revision 3
: PEG-268, Heat Exchanger and NRC
: GL 89-13 Program, Revision 2
: PI-AA-100-1005, Root Cause Evaluations, Revision 15
: PI-AA-100-1007, Apparent Cause Evaluations, Revision 16
: PI-AA-104-1000, Condition Reporting, Revision 10
: Vendor Technical Manuals and Specifications 1-74-06-32216, Containment Spray Heat Exchanger Specification Sheet, 2/16/77
: DAH-FN-26-B, Vane-axial Fan Matrix, Revision 0 Envirex Traveling Water Screen Service Manual, July 1978
: FP 31673 G192-7, ITE MCC Instruction Manual, Revision 0
: FP 55381-008, Solid State Protection System Technical Manual, Revision 0
: FP 72826-010, Atmospheric Dump Valve Maintenance Manual, Revision A FP22420, SW Traveling Water Screens Field Service Manual, Revision 8 FP22574, Operation and Maintenance Manual EDG System- Volume 1, Revision 0 FP22575, Operation and Maintenance Manual EDG System- Volume 2, Revision 0 FP23830, Operation and Maintenance Manual EDG System- Volume 3, Revision 0 FP25224, Service Water Pumps Installation and Operation Manual, Revision 6 FP25277, Governor Modification Instruction Manual, Revision 0 FP31123, ITE Ground Fault Protective System, Revision 0 FP31444, 480V Unit Substation Instruction Manual, Revision 4 FP32882, Unit Auxiliary Transformer Manual, Revision 0 FP36521, Documentation for Rewind of
: CC-P-11 S/N 2S-78, Revision 3 FP51326, Motor Data- Primary Component Cooling Water Pump, Revision 3 FP52764, Containment Spray Pumps Manual, Revision 0 FP52930, SI Pump Manual, Revision 6
: FP52979, Sprayco Vendor Manual, Revision 1 FP53167, Installation, Operation, and Maintenance Instructions for Containment Spray and Spent Fuel Pool Heat Exchangers, Revision 5 FP53455, Primary Component Cooling Water Pump, Revision 2 FP91957, Velan Maintenance Manual for 21/2" - 24" Forged Bonnet Gate and Globe Valves and Bolted Cover Check Valves, Revision 25 NPRDS No. C470-1, EDG System Operation and Maintenance Manual, Revision A NPRDS No. C515-6, Electrical Penetration Installation and Maintenance Manual, Revision B NPRDS No. D055-1, Transamerica Delaval Instruction Manual, FO Transfer Pump, June 1980 Specification No. 9763-006-207-2, Water Traveling Screens for SW System, Revision 0
===Operating Experience===
: 00583721, Review of NRC
: IN 2010-20 TD AFW Pumps Repetitive Failures, 12/16/10
: 01952530, Review NRC
: IN 2014-03 for Applicability at Seabrook, 10/30/14
: AR 01735316, Terry Turbine Governor Valve Failed Evaluation, Revision 0 OE24451 and OE24647, Degradation of EFW Recirculation Piping, Revision 0
: Preventive Maintenance and Inspections
: 40201028-01, SW Forebay FME Closeout Inspection, 4/12/14
: 40256986, SW Inspection Vault #1 SR Vault Visual Inspection for Structural Integrity, 9/21/12
: 40258444, Visual Inspection for Structural Integrity, 10/10/13
: 40258445, Visual Inspection for Structural Integrity, 10/10/13
: 40258447, SW Switchgear Room 'B' Visual Inspection for Structural Integrity, 8/26/14
: 40258448, SW Building Entrance Area Visual Inspection for Structural Integrity, 8/21/14
: 40258449, SW Fan Room Visual Inspection for Structural Integrity, 11/19/14
: 40258450, SW Fan Room Visual Inspection for Structural Integrity, 8/26/14
: 40258452, SW Building Entrance Area Visual Inspection for Structural Integrity, 11/19/14
: 40258453, SW Exterior Walls - Visual Inspection for Structural Integrity, 3/23/16
: 40278384, Intake Transition Structure - Visual Inspection for Structural Integrity, 12/2/14
: 40312339-01, SW Forebay FME Closeout Inspection, 10/23/15
: 40425509, SW Roof Area - Visual Inspection for Structural Integrity, 2/1/16 IS1640.191,
: FW-F-4279 EFW Pump Recirculation Flow Indication Calibration, 3/24/16 UCC Project No. 01-05290.25, SW Intake Structure - Circulating Water Intake Structure - Offshore Intakes and Discharge Structure Inspections, Revision 0
: System Health Reports, Walkdown Reports, and Trending 1-CBS-P-9BPIB, 1-CBS-P-9B Pump Inboard Bearing, 5/29/14 - 5/23/16 1-CBS-P-9BPOB, 1-CBS-P-9B Pump Outboard Bearing, 5/29/14 - 5/23/16 1-SW-P-41BL Motor Lower Bearing Oil Sample Analysis Trending, 12/31/09 - 6/30/16 1-SW-P-41BU Motor Upper Bearing Oil Sample Analysis Trending, 6/25/14 - 6/30/16 Containment Spray System Walkdown Report, 6/27/16 IST Trending, CBS Pump Vibrations, Differential Pressure and Flow, 2010 - 2015 IST Trending, SI Pump Vibrations, Differential Pressure and Flow, 2010 - 2015 OX1436.02 IST Check Valve Exercise Log (FW-V349), 1/26/01 - 11/12/15
: OX1436.03 IST Check Valve Exercise Log (FW-V349), 1/11/01 - 11/6/15 Service Water Pump House Level TS Log Reading, 3/3/16 - 3/12/16; 7/18/16 - 7/26/16 Service Water Pump House Room Temperature Trend, 7/1/15 - 8/31/15; 6/30/16 - 7/26/16 System Health Report, Containment Building Spray, 2Q-2016 System Health Report, Electrical Distribution, 2Q-2016 System Health Report, Emergency Diesel Generator, 2Q-2016 System Health Report, Emergency Feedwater, 1Q-2016 System Health Report, Main Steam, 2Q-2016 System Health Report, Primary Component Cooling Water, 2Q-2016 System Health Report, Reactor Protection, 1Q-2016 System Health Report, Service Water, 1Q-2016 System Health Report, Transformers/Switchyard, 2Q-2016
===Work Orders===
: 00438268
: 00538350
: 00588206
: 00604463
: 00604570
: 00606164
: 00627699
: 00717526
: 00717527
: 01172699
: 01187171
: 01194338
: 01194339
: 40062763
: 40089861
: 40099689
: 40118090
: 40118091
: 40185564
: 40201028
: 40204193
: 40204194
: 223242
: 40244045
: 40262966
: 40273391
: 40279878
: 40279922
: 40280594
: 285521
: 40295589
: 40302221
: 40302256
: 40303768
: 40303769
: 40310710
: 40310712
: 40311105
: 40312227
: 40312339
: 40312389
: 40312943
: 40314204
: 40314211
: 40314624
: 40315406
: 40315447
: 40316812
: 40318813
: 40331498
: 40352713
: 40373276
: 40383618
: 40383652
: 40383751
: 40386196
: 40394121
: 40395423
: 40398697
: 40399582
: 40402704
: 40404023
: 40407940
: 40410561
: 40414313
: 40422971
: 40433400
: 40441339
: 40456150 40463920
==LIST OF ACRONYMS==
: [[AC]] [[Alternating Current]]
: [[ACE]] [[Apparent Cause Evaluation]]
: [[ADAMS]] [[Agencywide Documents Access and Management System]]
: [[AR]] [[Action Request]]
: [[ASDV]] [[Atmospheric Steam Dump Valve]]
: [[ASME]] [[American Society of Mechanical Engineers]]
: [[CAPR]] [[Corrective Action to Preclude Repetition]]
: [[CBS]] [[Containment Building Spray]]
: [[CDBI]] [[Component Design Bases Inspection]]
: [[CDF]] [[Core Damage Frequency]]
: [[CFR]] [[Code of Federal Regulations]]
: [[DBD]] [[Design Basis Document]]
: [[DRE]] [[Detailed Risk Evaluation]]
: [[DRS]] [[Division of Reactor Safety]]
: [[EDG]] [[Emergency Diesel Generator]]
: [[EFW]] [[Emergency Feedwater]]
: [[EPRI]] [[Electric Power Research Institute]]
: [[HPI]] [[High Pressure Injection]]
: [[IMC]] [[Inspection Manual Chapter]]
: [[IN]] [[Information Notice]]
: [[IP]] [[Inspection Procedure]]
: [[IST]] [[In-Service Test]]
: [[JW]] [[Jacket Water kV Kilovolt]]
: [[LERF]] [[Large Early Release Frequency]]
: [[MCC]] [[Motor Control Center]]
: [[MOV]] [[Motor-Operated Valve]]
: [[NCV]] [[Non-Cited Violation]]
: [[NPSH]] [[Net Positive Suction Head]]
: [[NRC]] [[Nuclear Regulatory Commission]]
: [[OE]] [[Operating Experience]]
: [[OM]] [[Operation and Maintenance]]
: [[PCCW]] [[Primary Component Cooling Water]]
: [[POD]] [[Prompt Operability Determination]]
: [[PRA]] [[Probabilistic Risk Assessment]]
: [[RASP]] [[Risk Assessment of Operational Events]]
: [[RAW]] [[Risk Achievement Worth]]
: [[RCE]] [[Root Cause Evaluation]]
: [[RCS]] [[Reactor Coolant System]]
: [[RRW]] [[Risk Reduction Worth]]
: [[SAPHIR]] [[E Systems Analysis Programs for Hands-On Evaluation]]
: [[SDP]] [[Significance Determination Process]]
: [[SG]] [[Steam Generator]]
: [[SGTR]] [[Steam Generator Tube Rupture]]
: [[SI]] [[Safety Injection]]
: [[SPAR]] [[Standardized Plant Analysis Report]]
: [[SR]] [[Surveillance Requirement]]
: [[SRA]] [[Senior Reactor Analyst]]
: [[SSC]] [[System, Structure, or Component]]
: [[SSH]] [[Substantial Safety Hazard]]
: [[SSPS]] [[Solid State Protection System]]
: [[SW]] [[Service Water]]
: [[TRM]] [[Technical Requirements Manual]]
: [[TS]] [[Technical Specification]]
: [[UAT]] [[Unit Auxiliary Transformer]]
: [[UFSAR]] [[Updated Final Safety Analysis Report]]
: [[URI]] [[Unresolved Item Vac  Volts, Alternating Current]]
}}
}}

Latest revision as of 18:48, 19 December 2019

Component Design Bases Inspection Report 05000443/2016007
ML16350A034
Person / Time
Site: Seabrook NextEra Energy icon.png
Issue date: 12/14/2016
From: Mel Gray
Engineering Region 1 Branch 1
To: Mccartney E
NextEra Energy Seabrook
References
EA 16-238 IR 2016007
Download: ML16350A034 (43)


Text

UNITED STATES NUCLEAR REGULATORY COMMISSION ber 14, 2016

SUBJECT:

SEABROOK STATION, UNIT 1 - COMPONENT DESIGN BASES INSPECTION REPORT 05000443/2016007

Dear Mr. McCartney:

On September 1, 2016 the U.S. Nuclear Regulatory Commission (NRC) completed an inspection at your Seabrook Station, Unit 1. On September 1 and October 5, 2016, the NRC discussed the interim results of this inspection with you and other members of your staff; and on November 10, 2016, the NRC discussed the final results of the inspection with you and other members of your staff. The results of this inspection are documented in the enclosed report.

The inspection examined activities conducted under your license as they relate to safety and compliance with the Commissions rules and regulations and with the conditions of your license.

In conducting the inspection, the team examined the adequacy of selected components to mitigate postulated transients, initiating events, and design basis accidents. The inspection involved field walkdowns, examination of selected procedures, calculations and records, and interviews with station personnel.

This report documents two NRC-identified findings, and both were of very low safety significance (Green). The findings were determined to be violations of NRC requirements.

However, because of the very low safety significance and because they were entered into your corrective action program, the NRC is treating these findings as non-cited violations (NCV)

consistent with Section 2.3.2.a of the NRCs Enforcement Policy. If you contest any of the NCVs in this report, you should provide a response within 30 days of the date of this inspection report, with the basis for your denial, to the U.S. Nuclear Regulatory Commission, ATTN.:

Document Control Desk, Washington DC, 20555-0001; with copies to the Regional Administrator, Region I; the Director, Office of Enforcement, U.S. Nuclear Regulatory Commission, Washington, DC 20555-0001; and the NRC Senior Resident Inspector at Seabrook Station.

If you disagree with a cross-cutting aspect assignment in this report, you should provide a response within 30 days of the date of this inspection report, with the basis for your disagreement, to the U.S. Nuclear Regulatory Commission, ATTN: Document Control Desk, Washington, DC 20555-0001; with copies to the Regional Administrator, Region I; and the NRC Senior Resident Inspector at Seabrook Station. This letter, its enclosure, and your response (if any) will be made available for public inspection and copying at http://www.nrc.gov/reading-rm/adams.html and at the NRC Public Document Room in accordance with 10 CFR 2.390, Public Inspections, Exemptions, Requests for Withholding.

Sincerely,

/RA/

Mel Gray, Chief Engineering Branch 1 Division of Reactor Safety Docket No. 50-443 License No. NPF-86

Enclosure:

Inspection Report 05000443/2016007 w/Attachment: Supplemental Information

REGION I==

Docket No: 50-443 License No: NPF-86 Report No: 05000443/2016007 Licensee: NextEra Energy Seabrook, LLC (NextEra)

Facility: Seabrook Station, Unit 1 Location: Seabrook, New Hampshire 03874 Inspection Period: August 1 through September 1, 2016 Inspectors: S. Pindale, Senior Reactor Inspector, Division of Reactor Safety (DRS) - Team Leader J. Richmond, Senior Reactor Inspector, DRS J. Schoppy, Senior Reactor Inspector, DRS M. Orr, Reactor Inspector, DRS S. Gardner, NRC Electrical Contractor W. Sherbin, NRC Mechanical Contractor Approved By: Mel Gray, Chief Engineering Branch 1 Division of Reactor Safety Enclosure

SUMMARY

IR 05000443/2016007; 8/1/2016 - 9/1/2016; Seabrook Station, Unit 1; Component Design

Bases Inspection.

The report covers the Component Design Bases Inspection conducted by a team of four U.S. Nuclear Regulatory Commission (NRC) inspectors and two NRC contractors. Two findings of very low safety significance (Green) were identified. The significance of most findings is indicated by their color (Green, White, Yellow, Red) using Inspection Manual Chapter (IMC) 0609, Significance Determination Process. Cross-cutting aspects associated with findings are determined using IMC 0310, Components Within the Cross-Cutting Areas. The NRCs program for overseeing the safe operation of commercial nuclear power reactors is described in NUREG-1649, Reactor Oversight Process, Revision 6, dated July 2016.

Cornerstone: Initiating Events

Green.

The team identified a finding of very low safety significance, involving a non-cited violation of Title 10 of the Code of Federal Regulations, Part 50, Appendix B, Criterion XVI,

Corrective Action, for not performing corrective actions to preclude repetition of a significant condition adverse to quality. Specifically, in 2008, two of four primary component cooling water (PCCW) pump motors failed within a four month period due to a manufacturing defect. NextEra established but did not perform a corrective action to replace all four motors with re-wound motors, free of the identified manufacturing defect.

Subsequently, in 2015, a third motor failure occurred due to the same manufacturing defect.

NextEras immediate corrective actions included entering this issue into their corrective action program (AR 2153536), implementing an electrical testing program that would provide an early indication of further degradation of the manufacturing defect until motor replacement, and completing a prompt operability determination to assess current PCCW system operability.

This finding was more than minor because it was associated with the Equipment Performance attribute of the Initiating Events Cornerstone and adversely affected the cornerstone objective of limiting the likelihood of events that upset plant stability and challenge critical safety functions during power operations. In accordance with IMC 0609.04, Initial Characterization of Findings, and Exhibit 1 of IMC 0609, Appendix A, The Significance Determination Process for Findings At-Power, the team screened the finding for safety significance and determined that a detailed risk evaluation (DRE) was required because the finding involved a partial loss of a support system (PCCW pump B) that would increase the likelihood of an initiating event and impacted mitigating equipment (Item C - Support System Initiators of Exhibit 1). The DRE, performed by a Region I senior reactor analyst (SRA), concluded that the performance deficiency resulted in a change in core damage frequency of high E-7/yr, or very low safety significance (Green).

The finding had a cross-cutting aspect in Problem Identification and Resolution (Resolution),

because NextEra did not take effective corrective actions to address this issue in a timely manner commensurate with its safety significance. Specifically, NextEra did not perform motor replacements for susceptible installed PCCW motors within a reasonable due date as specified by the 2009 corrective action to preclude repetition (CAPR); and plant procedures, programs and resources were available for the decision-making process to schedule the motor replacement. (Section 1R21.2.1.3.1)

Cornerstone: Barrier Integrity

Green.

The team identified a finding of very low safety significance, involving a non-cited violation of Seabrook Technical Specification Surveillance Requirement 4.0.5, Surveillance Requirements for In-Service Inspection and Testing of American Society of Mechanical Engineers (ASME) Code Class 1, 2, and 3 Components. Specifically, the manual isolation valves for the atmospheric steam dump valves had an active safety function to close, in order to mitigate the radiological consequences of a steam generator tube rupture (SGTR)accident, but had not been placed in the Seabrook In-Service Test Program and tested, as required by the Technical Specifications and ASME Code. As a result, degraded valve performance could go uncorrected without adequate acceptance criteria to ensure that a SGTR would not result in an unacceptable increase in the consequences of that accident (e.g., a more than minor reduction in the margin between the postulated licensing basis radiological release and the regulatory limits). In response, NextEra entered the issue into their corrective action program (AR 2153195) and performed a preliminary assessment of the valves, which concluded that they were fully operable.

This finding was more than minor because it was associated with the System, Structure, or Component (SSC), and Barrier Performance attribute of the Containment Barrier Cornerstone and adversely affected the cornerstone objective of ensuring the reliability of associated risk-important SSCs. The team determined that the finding was of very low safety significance (Green) because it was a deficiency confirmed not to represent an actual open pathway in the physical integrity of reactor containment and did not involve an actual reduction in function of hydrogen igniters in the reactor containment. The finding did not have a cross-cutting aspect because it was not considered indicative of current licensee performance. (Section 1R21.2.1.17)

REPORT DETAILS

REACTOR SAFETY

Cornerstones: Initiating Events, Mitigating Systems, and Barrier Integrity

1R21 Component Design Bases Inspection (IP 71111.21)

.1 Inspection Sample Selection Process

The team selected risk significant components for review using information contained in the Seabrook Station, Unit 1 (Seabrook) Probabilistic Risk Assessment (PRA) and the NRC Standardized Plant Analysis Risk (SPAR) model for Seabrook. Additionally, the team referenced the Risk-Informed Inspection Notebook for Seabrook in the selection of potential components for review. In general, the selection process focused on components that had a risk achievement worth (RAW) factor greater than 1.3 or a risk reduction worth (RRW) factor greater than 1.005. The components selected were associated with both safety-related and non-safety-related systems and included a variety of components such as pumps, transformers, operator actions, electrical busses, and valves.

The team initially compiled a list of components based on the risk factors previously mentioned. Additionally, the team reviewed the previous component design bases inspection (CDBI) reports (05000443/2007006, 05000443/2010006, and 05000443/2013008) and reviewed those components previously inspected. The team then performed a margin assessment to narrow the focus of the inspection to 17 components and 3 operating experience (OE) items. Several of the components, such as a containment building spray pump, the service water intake, and the steam generator (SG) atmospheric steam dump valve were selected based on large early release frequency (LERF) implications. The teams evaluation of possible low design margin included consideration of original design issues, margin reductions due to modifications, or margin reductions identified as a result of material condition/equipment reliability issues. The assessment also included items such as failed performance test results, corrective action history, repeated maintenance, Maintenance Rule (a)(1) status, operability reviews for degraded conditions, NRC resident inspector insights, system health reports, and industry OE. Finally, consideration was also given to the uniqueness and complexity of the design and the available defense-in-depth margins. The inspection performed by the team was conducted as outlined in NRC Inspection Procedure (IP) 71111.21. This inspection effort included walkdowns of selected components; interviews with operators, system engineers, and design engineers; and reviews of associated design documents and calculations to assess the adequacy of the components to meet design basis, licensing basis, and risk-informed beyond design basis requirements. Summaries of the reviews performed for each component and OE sample are discussed in the subsequent sections of this report. Documents reviewed for this inspection are listed in the Attachment.

.2 Results of Detailed Reviews

.2.1 Results of Detailed Component Reviews (17 samples)

.2.1.1 480 Volt Bus E61 (EDE-US-61)

a. Inspection Scope

The team inspected the 480 Volts, alternating current (Vac) vital unit substation (EDE-US-61) to determine if it was capable of performing its design basis functions. The team reviewed design and licensing documents, including the updated final safety analysis report (UFSAR), the technical specifications (TS) and technical requirements manual (TRM), the system design basis document (DBD), drawings, and other design documents to determine the specific design functions. Specifically, the team evaluated whether the bus and associated supply transformer were capable of transferring supplied power to downstream loads following a postulated accident. The team also reviewed electrical distribution calculations, including load flow, voltage drop, short-circuit, and electrical protection coordination to evaluate the adequacy and appropriateness of design assumptions; and determined if substation capacity and voltages remained within acceptable values under design basis conditions. Electrical overcurrent protective relay settings for the substation supply breaker and selected load center breakers were reviewed to determine if the trip setpoints would ensure the ability of the supplied equipment to perform its design basis safety functions and provide adequate load center protection during fault conditions. Additionally, the team reviewed maintenance and test results, interviewed system and design engineers, and conducted field walkdowns to assess the material condition of the load center. Finally, the team reviewed corrective action documents and system health reports to evaluate whether there were any adverse operating trends and to assess NextEra's ability to evaluate and correct problems.

b. Findings

No findings were identified.

.2.1.2 Motor Control Center E512

a. Inspection Scope

The team inspected the 480 Vac motor control center (MCC) E512 to assess whether it was capable of performing its design basis functions. The team reviewed design and licensing documents, including TSs, DBD, and selected drawings and calculations to determine specific design functions. The team reviewed electrical distribution calculations including load flow, voltage drop, short-circuit, overcurrent protection, and circuit breaker trip coordination to evaluate the adequacy and appropriateness of design assumptions. The team compared the MCC's capacity rating to assumed design loading conditions to evaluate whether the worst case loading exceeded the MCC's capacity.

The team also evaluated whether load voltages would remain above minimum acceptable values under worst case conditions. The team compared the overcurrent trip settings for selected load breakers to the MCC supply breaker to verify whether there was adequate coordination to ensure that a load fault would not result in a loss of the MCC. The team reviewed operating procedures to assess whether design limitations could be exceeded during MCC cross-tie operation and to verify whether adequate separation would be maintained between electrical divisions, consistent with design and TS requirements. The team reviewed maintenance and test results, interviewed system and design engineers, and conducted field walkdowns to verify whether the MCC alignment and breaker positions were consistent with design drawings, and to independently assess material conditions. Finally, the team reviewed a sample of corrective action documents and system health reports to determine if there were any adverse trends and to assess NextEra's capability to evaluate and correct problems.

b. Findings

No findings were identified.

.2.1.3 C Primary Component Cooling Water Pump Motor (CC-P-11-C)

a. Inspection Scope

The team reviewed the C PCCW pump motor to verify that it was capable of performing its design basis function. The team reviewed design and licensing documents, including the UFSAR, the TSs and TRM, the DBD, drawings, and other design documents to determine the specific design functions. The team reviewed available short circuit current versus breaker interrupting capability as well as NextEras evaluation of the breaker protective relay settings and breaker coordination study to verify adequate protection of the pump motor without interruption of service to other components during circuit overload or faulted conditions.

The team also reviewed the load analysis and voltage drop calculation to confirm that adequate voltage was available at the PCCW pump motor terminals under degraded grid voltage conditions. Specifically, the team confirmed that the motor terminals supplied by the safety-related 4160 Vac bus E5 were operated within the motor design range of 3600 - 4400 Vac. Control logic and wiring diagrams and calculations that determined the available control voltage were reviewed to verify that the control of the PCCW motor supply breaker conformed to the design requirements. The team also reviewed test procedures and associated results to evaluate the current health of the pump motor and circuit. Finally, the team reviewed corrective action documents and system health reports to evaluate whether there were any adverse operating trends and to assess NextEra's ability to evaluate and correct problems.

b. Findings

1. Inadequate Corrective Action for Primary Closed Cooling Water Pump Motor Failure

Introduction:

The team identified a finding of very low safety significance (Green)involving a Non-Cited Violation (NCV) of 10 CFR Part 50, Appendix B, Criterion XVI, "Corrective Action," for not performing corrective actions to preclude repetition of a significant condition adverse to quality. Specifically, in 2008, two of four PCCW pump motors failed within a four month period due to a manufacturing defect. NextEra established but did not perform a corrective action to replace all four motors with re-wound motors, free of the identified manufacturing defect. Subsequently, in 2015, a third motor failure occurred due to the same manufacturing defect.

Description:

The PCCW system consists of two trains, with two 100 percent PCCW pumps in each train. The A and C pumps are in one train, while the B and D pumps are in the other train. The PCCW is the safety-related cooling system for reactor decay heat removal and safety-related engineered safety features. The relevant chronology of PCCW motor failures and replacements is as follows:

  • A Motor March 2009, replaced with Unit 2 spare (interim corrective action)
  • B Motor March 2009, replaced with Unit 2 spare (interim corrective action)

June 2015, in-service failure; replaced with re-wound motor

  • C Motor November 2008, in-service failure; replaced with Unit 2 spare October 2012, replaced with re-wound motor (action to preclude recurrence)
  • D Motor July 2008, in-service failure; replaced with Unit 2 spare In 2008, when the C and D motors failed, NextEra initiated a root cause evaluation (RCE) in accordance with their Corrective Action Program, and documented the two motor failures as being significant in the associated RCE report. After the C and D motors failed, NextEra replaced them with Unit 2 spare motors. The failed motors were sent to a motor vendor for failure analysis and repair (re-wind). Based on the failure analysis, NextEra's RCE concluded that the failures were attributed to poor workmanship by the original motor manufacturer (i.e., a manufacturing defect). Specifically, the failure analysis determined that the coil insulation wrapping had air pockets (i.e., voids)between the wrapping and the coil wires (i.e., the insulation wrapping was not sufficiently tight). The voids, in turn, prevented adequate epoxy penetration, which resulted in poor thermal conductivity between the coil and the motor casing, and caused localized hot spots which accelerated insulation breakdown. Subsequently, the insulation breakdown resulted in turn-to-turn short circuits, which eventually resulted in a coil to ground short circuit (i.e., a ground-wall insulation failure) in both the C and D motors. The RCE determined that the C and D motors only had approximately 10 years of run-time each, but had a qualified life of 32 years.

NextEra's 2008 RCE concluded that the Unit 2 motors could have the same manufacturing defect as the failed Unit 1 motors because they were manufactured in about the same time period as the failed Unit 1 motors. As an interim corrective action, until re-wound motors could be obtained and installed, the RCE determined that the A and B motors (the remaining Unit 1 motors still installed in the plant) should be replaced with Unit 2 spares by mid-2009. The RCE concluded that this was appropriate because the failed Unit 1 motors (C and D) had about 10 years of run-time before they failed, while the Unit 2 spares had zero run-time. This action was completed in March 2009 when the A and B motors were replaced with Unit 2 spares. In addition, the RCE required enhanced monitoring of the installed motors to detect any adverse trend in insulation degradation. The RCE identified a specific corrective action to preclude recurrence (CAPR), which was to replace all the motors with re-wound motors by December 2012, to ensure that the installed motors would not be susceptible to the identified manufacturing defect.

NextEra subsequently changed the motor replacement activity from an on-line activity to an outage activity, as a risk management action to reduce on-line maintenance risk.

During an outage in October 2012, NextEra replaced the C motor (which was a Unit 2 spare, installed in 2008) with a re-wound motor, and extended the CAPR due date to replace the remaining three motors with re-wound motors no later than December 15, 2015.

In June 2015, the B motor (a Unit 2 spare, installed in 2009) failed in-service, with similar symptoms to the two 2008 motor failures, and was replaced with a re-wound motor. NextEra's 2015 apparent cause evaluation (ACE) for this failure determined that this was the third occurrence of this type of failure since 2008. At that time, NextEra did not send the failed B motor (Unit 2 spare) out for failure analysis and instead, placed it in interim on-site storage. Although NextEra's ACE concluded that the B motor failure was due to untimely corrective action to replace the susceptible motors with re-wound motors, NextEra again extended the CAPR due date, to replace the remaining two motors with re-wound motors, to November 6, 2016. The team noted that the B motor only had about 3 years of run-time when it failed, and concluded that NextEra appeared to be relying on its enhanced monitoring of installed motors as the principle basis for continued operability.

NextEra's enhanced motor monitoring, scheduled at three year intervals, consisted of winding resistance tests, coil insulation to ground megger tests, polarization index tests, and surge comparison tests. Collectively, these tests were referred to as a Baker motor test (i.e., a set of different tests performed using a Baker Static Motor Analyzer Test Set).

The 2008 RCE referenced Electric Power Research Institute (EPRI) NP-7502, Electric Motor Predictive and Preventive Maintenance Guide, which recommended test periods of 12 to 18 months.

The team concluded that the Unit 2 motors were likely to be susceptible to the same manufacturing defect as the original Unit 1 C and D motors because the B motor was a Unit 2 spare installed in 2009 (short in-service period), had similar failure symptoms to the previous motor failures, was the same motor type, style and vendor as the failed Unit 1 motors, and was manufactured in about the same time period as the Unit 1 motors. The team further concluded that by postponing motor replacements by more than eight years after the first two failures, and more than four years beyond the initial December 2012 CAPR due date, NextEra had not adequately implemented corrective actions to prevent repetition for a significant condition adverse to quality, as required by regulation.

In response to the team's conclusion, NextEra postulated that the 2015 ACE may have reached an incorrect apparent cause regarding the Unit 2 motor failure because the Unit 2 motors had been manufactured in 1977, while the Unit 1 motors had been manufactured in 1978, a year later. Based on the difference in manufacturing dates, NextEra initially believed that the Unit 2 motors were not susceptible to the same manufacturing defect as the Unit 1 motors. To demonstrate continued operability of the A and D motors (Unit 2 spares, installed in 2009 and 2008, respectively), NextEra performed the following:

  • Baker motor tests on the A and D motors, with satisfactory results;
  • Sent the B motor to the original motor manufacturer for failure analysis; and

NextEra's POD stated that there was no evidence that any Unit 2 motor had a similar manufacturing defect to the failed Unit 1 motors, based on test and inspection results.

NextEra referenced EPRI EL-5036-V16, Handbook to Assess the Insulation of Large Rotating Machines, Section 6.5.2.1, Assessment of Turn Insulation, which stated:

  • Turn insulation condition acceptable: If there are no failures from surge testing, no evidence of any of the aging mechanisms that could affect the turn insulation, and no significant operational or environmental changes that would affect aging, the turn insulation should perform reliably for at least the next few years.

In addition, NextEra contacted the Baker Test Set vendor, whom NextEra described as a recognized industry expert in the field of motor testing. That vendor provided the following additional information regarding surge test capability:

  • Surge testing checks the turn-to-turn insulation (i.e., copper to copper) and can detect weakening copper insulation months before a failure that will manifest itself through weak insulation turning into a shorted turn, then burning through the ground-wall insulation in minutes at that point.

Based on the EPRI technical reports, the team determined that the surge test was the only test that had the capability to detect insulation degradation within a coil winding (i.e., a turn-to-turn short) prior to a turn-to-turn short inside the coil winding becoming a coil to motor case short (i.e., a ground-wall insulation failure). The team also determined that the identified manufacturing defect in the Unit 1 motors appeared to constitute an aging mechanism that could affect the turn insulation. Therefore, the team concluded that NextEra's enhanced monitoring at a three-year interval was not sufficient to detect an adverse trend in turn-to-turn insulation, prior to an in-service failure.

NextEra entered this issue in their corrective action program as AR 2153536. The POD for the A and D PCCW motors determined that the motors were degraded but operable, established compensatory measures to perform Baker motor testing quarterly until replaced, and assigned a motor replacement due date of December 28, 2016. The team reviewed NextEra's POD, compensatory measures, and planned corrective actions and concluded they were reasonable.

NextEra received the failure analysis report for the B motor (Unit 2 spare) from the original motor manufacturer, dated September 29, 2016. That vendor report confirmed that the Unit 2 motor failure was due to the same manufacturing defect as the previous two Unit 1 motor failures in 2008.

Analysis:

As stated previously, NextEra considered the two motor failures in 2008 to be significant. Similarly, the team considered the presence of a manufacturing defect potentially affecting all PCCW motors to be a significant condition adverse to quality. In accordance with 10 CFR 50, Appendix B, Criterion XVI, in the case of significant conditions adverse to quality, measures shall assure that the cause of the condition is determined and corrective action taken to preclude repetition.

The team determined that not precluding repetition of a significant condition adverse to quality was a performance deficiency that was reasonably within NextEra's ability to foresee and prevent. Specifically, in 2008, two PCCW pump motors failed due to a manufacturing defect. NextEra established a CAPR to replace all of the PCCW motors by December 2012 with re-wound motors, free of the identified manufacturing defect, but repeatedly delayed motor replacements. Subsequently, in 2015, seven years later, a third motor failure occurred due to the same manufacturing defect.

This finding is more than minor because it was associated with the Equipment Performance attribute of the Initiating Events Cornerstone and adversely affected the cornerstone objective of limiting the likelihood of events that upset plant stability and challenge critical safety functions during power operations. In accordance with IMC 0609.04, Initial Characterization of Findings, and Exhibit 1 of NRC IMC 0609 Appendix A, The Significance Determination Process (SDP) for Findings At-Power, the team screened the finding for safety significance and determined that a detailed risk evaluation (DRE) was required because the finding involved a partial loss of a support system (PCCW pump B) that would increase the likelihood of an initiating event and impacts mitigating equipment (Item C - Support System Initiators of Exhibit 1).

An NRC Region I SRA completed the DRE and estimated the increase in core damage frequency (CDF) associated with this performance deficiency to be in the high E-7 per year range or very low safety significance (Green). To complete the DRE, the SRA used the Systems Analysis Programs for Hands-On Evaluation (SAPHIRE) Revision 8.1.4, the Seabrook SPAR Model, Version 8.21 (limited use model, dated October 3, 2016), and guidance in Section 2.1 of Volume 1 of the Risk Assessment of Operational Events (RASP) Handbook for evaluating support system performance deficiencies. The SRA made the following assumptions and associated changes to the SPAR Model to estimate the internal risk contribution: 1) the exposure time for this issue was one year, inclusive of 68 hours7.87037e-4 days <br />0.0189 hours <br />1.124339e-4 weeks <br />2.5874e-5 months <br /> of repair time; 2) for the one year period, PCCW pump motors A, B, and D were susceptible to the nonconforming condition relative to motor quality of construction and their associated mission time failure probabilities were increased using statistical analysis (i.e., a Bayesian update with a Jeffereys non-informative prior methodology)from a nominal value of 7.25E-5 to 2.6E-4; 3) the Seabrook SPAR model was modified to invoke support system initiating event estimates and associated A, B and D PCCW pump initiating event frequencies were increased from their nominal value of 2.6E-2/year to 9.6E-2/year; 4) for the 68 hours7.87037e-4 days <br />0.0189 hours <br />1.124339e-4 weeks <br />2.5874e-5 months <br /> of PCCW pump B unavailability, basic event PCCW-MDP-FR-P11B was set to TRUE with the resulting PCCW pump common cause failure mission time probability increased from 2.67E-7 to 3.69E-3; 5) the 68-hour period also included the increased conditional failure probability for the other affected A and D motors to 2.6E-4 along with increased initiating event frequencies to 9.6E-2; and 6)truncation was set at 1E-11.

Based upon these modeling changes, the internal CDF risk contribution from the assumed one-year of exposure time, given the increased pump conditional failure probabilities, was 4E-7/year. An additional internal CDF risk increase of 3.3E-7/year was calculated associated with the unavailability of the B PCCW pump due to its failure and repair time of 68 hours7.87037e-4 days <br />0.0189 hours <br />1.124339e-4 weeks <br />2.5874e-5 months <br />. The year-long dominant core damage sequences involved a loss of B Loop of PCCW with a loss of seal cooling (seal stage 2 failure), failure of high pressure injection (HPI) and failure of reactor coolant system (RCS) cooldown. The two dominant core damage sequences while the B PCCW pump was unavailable (68 hour7.87037e-4 days <br />0.0189 hours <br />1.124339e-4 weeks <br />2.5874e-5 months <br /> repair time) involved total loss of PCCW with loss of seal cooling (seal stage 2 failure),failure of HPI and failure of RCS cooldown, along with a loss of alternate current (AC)

Bus E5 with common cause failure of the A, B and D PCCW pumps and RCP seal stage 2 failure.

The SRA noted that NextEras internal risk estimate and dominant sequences were consistent with the SPAR model results. SRA review of external event contributions determined that other than fire, the high winds, flooding, and seismic events were not significant contributors to risk for this issue. The dominant fire contributions involved switchgear A fires with a loss of Bus E5 and the unavailability of the B Loop of PCCW.

The estimated increase in external risk contribution due to these fire scenarios was in the low E-7/year range. As a result, the total of internal and external risk contributions was in the high E-7/year range or very low safety significance (Green). Based upon review of the dominant core damage sequences, LERF was not a risk consideration.

This determination was consistent with NextEras risk analysis.

The finding had a cross-cutting aspect in Problem Identification and Resolution (Resolution), because NextEra did not take effective corrective actions to address this issue in a timely manner commensurate with its safety significance. Specifically, NextEra did not perform motor replacements for susceptible installed PCCW motors within a reasonable due date as specified by the 2009 CAPR; and plant procedures, programs and resources were available for the decision-making process to schedule the motor replacement. As a result, the PCCW B motor failed on June 13, 2015. [P.3]

Enforcement:

Title 10 CFR Part 50, Appendix B, Criterion XVI, Corrective Action, requires, in part, that for significant conditions adverse to quality, measures shall assure that corrective action is taken to preclude repetition. Contrary to the above, NextEra established but did not perform corrective action to preclude repetition of a significant condition adverse to quality. Specifically, in 2008, two of four primary component cooling water (PCCW) pump motors failed within a four month period, due to a manufacturing defect. NextEra established a CAPR to replace all four motors with re-wound motors, free of the identified manufacturing defect, but that action was repeatedly delayed. As a result, a third motor failure occurred in 2015 from the same cause.

NextEra entered this issue into their corrective action program as AR 2153536, performed a prompt operability determination, and implemented quarterly enhanced motor testing to provide an early indication of degradation associated with the identified manufacturing defect until the scheduled December 2016 motor replacement is completed. The NRC is treating this violation as an NCV, consistent with Section 2.3.2.a of the NRC Enforcement Policy, dated August 1, 2016, because this finding was of very low safety significance and was entered into NextEra's corrective action program (AR 2153536). (NCV 05000443/2016007-01, Inadequate Corrective Actions to Preclude Repetition of a Significant Condition Adverse to Quality)

2. Potential Missed Evaluation for an Adverse Condition for Reportability to the NRC

Introduction:

The team identified an unresolved item (URI) to further review whether NextEras evaluations associated with two PCCW pump motor failures in 2008 and one in 2015, and the associated conclusions not to report the conditions to the NRC, constituted a violation of NRC regulations.

Description:

As described in Section 1R21.2.1.3.1 above, the team reviewed two time periods where NextEra concluded that PCCW motor failures were the result of a manufacturing defect, however, these were not reported to the NRC. Specifically, a manufacturing defect was identified in a third-party failure analysis, dated January 21, 2009, following the failure of PCCW motors C and D in 2008. A third PCCW motor (B) failure occurred due to the same manufacturing defect in June 2015. These failures appeared to occur from one common cause.

During this inspection, the team questioned whether the reporting requirements of 10 CFR Part 21 (Part 21), Reporting of Defects and Noncompliance, were satisfied, because no report was made to the NRC. In response to this concern, NextEra initiated AR 2153374, and initiated a substantial safety hazard (SSH) evaluation for the PCCW pump motor deviations in accordance with Part 21 and NextEra procedure LI-AA-102-1002, Part 21 Reporting. NextEra subsequently completed the SSH determination, and concluded that the deviation (i.e., the manufacturing defect) constituted a defect that could contain an SSH. They notified the NRC in accordance with 10 CFR 21.21(d)(3)(i)reporting requirements on October 20, 2016, via fax (Event Notification 52310).

Subsequent to the onsite inspection, and while evaluating NextEras compliance with Part 21 evaluation and reporting requirements, the NRC noted that 10 CFR 21.2(c)stated, in part, that evaluation of potential defects and appropriate reporting of defects under 10 CFR 50.72 and 50.73 satisfies the evaluation, notification, and reporting obligation to report defects under Part 21.

While the NRC recognized that NextEra had not made an NRC notification related to the identified PCCW motor manufacturing defect in accordance with 10 CFR 50.72, 50.73 or Part 21, the team did not review NextEras specific reportability evaluations with respect to 10 CFR 50.72 and 50.73. The team did note that NextEras Part 21 reviews, both in 2009 and 2015 did not specifically perform the evaluation specified in 10 CFR 21.21(a)(1) to determine whether the deviation in a basic component, which, on the basis of an evaluation, could create a substantial safety hazard.

Since there appears to be overlapping reporting requirements among 10 CFR 50.72, 50.73 and 21.21, and the team did not specifically review NextEras reportability considerations for 10 CFR 50.72 and 50.73, additional inspection is necessary in order to determine whether there was a violation of any of the three reporting regulations.

Accordingly, this issue is being treated as an unresolved item (URI) pending further inspection by the NRC staff to determine whether not evaluating and reporting the manufacturing defect associated with the PCCW motors constituted a more than minor violation of NRC reportability regulations. (URI 05000443/2016007-02, Potential Missed Evaluation and Reporting of an Adverse Condition to the NRC)

.2.1.4 B Emergency Diesel Generator (Electrical)

a. Inspection Scope

The team inspected the B emergency diesel generator (EDG) electrical systems to evaluate if they were capable of operating during design basis events. The team reviewed design and licensing documents, including the UFSAR, the TSs and TRM, the DBD, drawings, and other design documents to determine the specific design functions.

The team reviewed loading and voltage regulation calculations, including the bases for brake horsepower values used, to verify that design bases and design assumptions have been appropriately translated into the design calculations. The team reviewed analyses, surveillance testing results, and maintenance history to assess EDG capability under required operating conditions. The team also reviewed calculations, operating procedures, and technical evaluations to verify that steady-state and transient loading were within design capabilities, adequate voltage would be present to start and operate connected loads, and operation at maximum allowed frequency would be within the design capabilities. The EDG load sequence time delay setpoints, calibration intervals, and results of last calibration were reviewed to determine if the results were consistent with the design requirements.

The team reviewed protection, coordination and short-circuit calculations to verify that the EDG was adequately protected with properly set protective devices during test mode and emergency operation under worst fault conditions. The teams review included the interfaces and interlocks associated with 4.16 kV Bus A5, including voltage protection schemes that initiate connection to the EDG to verify adequacy. The team interviewed system and design engineers and walked down the EDG to independently assess the material condition and to determine if the system alignment and operating environment were consistent with design assumptions. Finally, the team reviewed corrective action documents and system health reports to evaluate whether there were adverse operating trends and to assess NextEra's ability to evaluate and correct problems. In particular, the team reviewed the NextEra's response to three 1B EDG load excursions that occurred at various times over the last three years.

b. Findings

No findings were identified.

.2.1.5 Unit Auxiliary Transformer X-2A (1-ED-X-2-A)

a. Inspection Scope

The team inspected the X-2A unit auxiliary transformer (UAT) to verify it was capable of performing its design basis function. The team reviewed design and licensing documents, including the UFSAR, drawings, and other design documents to determine the specific design functions. The team also reviewed the system one-line diagram and vendor descriptions to verify that the loadings on the UAT and the associated circuit breakers were within the corresponding transformer and switchgear design ratings. The team reviewed the design assumptions and calculations related to the short-circuit currents, voltage drops and protective relay settings associated with the equipment to verify that output voltage was adequate and the settings were appropriate to meet design requirements. The team also reviewed a sample of completed maintenance activities and test results to verify that the high and low voltage cable feeders had sufficient capacity to supply the current and voltage requirements of the associated substation during normal and postulated accident conditions. The team interviewed engineers and walked down the UAT to independently assess the material condition and to determine if the system alignment and operating environment were consistent with design assumptions. Finally, the team reviewed corrective action documents and system health reports to evaluate whether there were adverse operating trends and to assess NextEra's ability to evaluate and correct problems.

b. Findings

No findings were identified.

.2.1.6 Solid State Protection System Logic Train A

a. Inspection Scope

The team inspected the solid state protection system (SSPS) 'A' train control panels and relays to determine if they were capable of meeting their design basis requirements.

The team reviewed design and licensing documents, including TSs, drawings, and other design documents to determine the specific design functions. Specifically, the team inspected the design, testing, and operation of the SSPS and associated relays to determine if they could perform their design basis function to actuate the reactor trip breakers upon a valid reactor trip condition and actuate engineered safety features upon a valid initiation signal. The team reviewed functional logic diagrams, TSs, and vendor specifications to determine the performance requirements. The team reviewed maintenance, surveillance, and test procedures to determine whether the established acceptance limits were adequate to ensure reliable operation and to verify whether the equipment performed in accordance with design and licensing basis requirements, industry standards, and vendor specifications. The team also compared as-found and as-left inspection and test results to the established acceptance criteria in order to determine if the SSPS logic and relay test results met the established criteria.

Additionally, the team interviewed system and design engineers and walked down accessible portions of the SSPS system (both installed in the plant and at NextEra's SSPS training and mockup facility) to independently assess the material condition of the system, and to determine if the system alignment and operating environment were consistent with design assumptions. Finally, the team reviewed corrective action documents and system health reports to determine if there were adverse trends and to assess NextEra's capability to evaluate and correct problems.

b. Findings

No findings were identified.

.2.1.7 Emergency Feedwater System Recirculation Common Check Valve FWV-349

a. Inspection Scope

The team inspected the emergency feedwater (EFW) system recirculation common check valve, FWV-349, to verify that it was capable of meeting its design basis requirements. This check valve is normally closed, and is required to open when the EFW pumps are operating on minimum flow through their respective minimum flow valves. In addition, the check valve closes to provide backup protection to check valve FWV-351 (EFW pump turbine bearing oil cooler return line check valve). The team reviewed design and licensing documents, including the UFSAR, the TSs and TRM, the DBD, the In-Service Test (IST) basis document, drawings, and other design documents to determine the specific design functions. The team reviewed the corrective and preventive maintenance history, as well as test results, to ensure that the design basis and licensing requirements were met.

The team reviewed the EFW recirculation piping calculations and related engineering evaluations to verify adequate pump minimum flow protection under all normal operating and design basis events. Additionally, the team interviewed engineers and conducted several walkdowns of the check valve and surrounding area to verify that the material condition and valve orientation were consistent with the design basis and plant drawings.

Finally, the team reviewed corrective action documents and system health reports to evaluate whether there were adverse operating trends and to assess NextEra's ability to evaluate and correct problems.

b. Findings

No findings were identified.

.2.1.8 Safety Injection Accumulator 9A

a. Inspection Scope

The team reviewed the design, testing, and operation of the No. 9A safety injection accumulator to determine whether it could perform its design basis function as a source of borated water, pressurized with nitrogen, in the event of a design basis accident. The team reviewed design and licensing documents, including the UFSAR, the TSs, the drawings, and other design documents to determine the specific design functions.

Specifically, the team reviewed design calculations, drawings, and vendor specifications, including tank sizing, and level uncertainty analysis to evaluate the adequacy and appropriateness of design assumptions and operating limits.

The team interviewed system and design engineers, and reviewed test records and tank pressure boundary tests (and results) to determine whether maintenance and testing were adequate to ensure reliable operation, and to evaluate whether those activities were performed in accordance with regulatory requirements, industry standards, and vendor recommendations. The team also reviewed accumulator pressure and level trends to ensure the accumulator was maintained in accordance with design and TS requirements. As an extension of the accumulator, the team assessed the maintenance and operation of the related accumulator discharge isolation and discharge check valves. Finally, the team reviewed corrective action documents and system health reports to evaluate whether there were adverse operating trends and to assess NextEra's ability to evaluate and correct problems.

b. Findings

No findings were identified.

.2.1.9 B Train Service Water Return Isolation Motor-Operated Valve (1-SW-V19)

a. Inspection Scope

The team inspected the B Train Primary Auxiliary Building service water (SW) return isolation motor-operated valve (MOV), 1-SW-V19, to determine if the valve was capable of performing its design basis function. Valve 1-SW-V19 normally remains open to provide the SW return flow path to the circulating water discharge transition structure during all normal operating modes. The team reviewed design and licensing documents, including the UFSAR, the TSs, the DBD, the IST basis document, drawings, and other design documents to determine the specific design functions. Specifically, the team determined if the valve was capable of isolating the SW discharge flow path to the Atlantic Ocean as required upon receipt of a cooling tower actuation signal to prevent draining down of the cooling tower and maintaining cooling tower basin inventory following a design basis event. The team reviewed MOV diagnostic test results and stroke-timing test data to verify acceptance criteria were met. The team also evaluated whether the MOV safety functions, performance capability, and design margins were adequately monitored and maintained in accordance with NRC Generic Letter 96-05 guidance. The MOV weak link calculation was reviewed to ensure the ability of the valve to remain structurally functional while stroking under design basis conditions; and the team verified that the valve analysis used the maximum differential pressure expected across the valve during worst case operating conditions. Additionally, the team reviewed motor data and degraded voltage conditions to confirm that the MOV would have sufficient voltage and power available to perform its safety function at degraded voltage conditions. The team discussed the design, operation, and component history of the valve with engineering and operations staff and conducted walkdowns of 1-SW-V19 along with accessible SW system piping and components to assess material condition and determine if the installed configuration was consistent with plant drawings, procedures, and the design bases. Finally, the team reviewed corrective action documents to evaluate whether there were adverse operating trends and to assess NextEra's ability to evaluate and correct problems.

b. Findings

No findings were identified.

.2.1.1 0 Service Water Intake

a. Inspection Scope

The team inspected the SW intake to determine whether it could fulfill its design basis function of supplying cooling water to safety-related and non-safety-related systems during normal and accident conditions. The team reviewed applicable portions of the UFSAR, the TSs, the TRM, the DBD, drawings, and other design documents to identify the design basis requirements for the SW intake structure. Silting levels within the SW bay were reviewed to ensure proper SW pump operation. The team reviewed operating and alarm response procedures, SW pump surveillances, operating logs, and instrumentation to ensure that NextEra maintained and operated the SW intake SSC in accordance with the design and licensing basis. The team discussed the design, operation, and component history of the intake structure and related components with engineering and operations staff; and conducted several detailed walkdowns of accessible areas of the intake structure (including the intake transition structures) and associated components to assess configuration control and the material condition of risk-significant SSCs. Material condition of inaccessible areas was assessed by performing a review of periodic inspection reports performed by NextEra and their contractors. Finally, the team reviewed corrective action documents and system health reports to evaluate whether there were adverse operating trends and to assess NextEra's ability to evaluate and correct problems.

b. Findings

No findings were identified.

.2.1.1 1 B Emergency Diesel Generator Fuel Oil Transfer Pump (1-DG-P-38-B)

a. Inspection Scope

The team inspected the B EDG fuel oil transfer pump to verify its capability to perform as required during design basis accident conditions for EDG operation. The positive displacement diesel fuel oil transfer pump transfers fuel from the B diesel fuel oil storage tank to the B diesel fuel oil day tank, with manual operator crossover alignment capability from and to the respective A train tanks, if necessary. The team reviewed design and licensing documents, including the UFSAR, the TSs, the DBD, the IST basis document, drawings, and other design documents to determine the specific design functions. The team verified the capability of the fuel oil transfer pump to provide its design flowrate to support EDG operation. In addition, the team verified the basis for the pumps IST acceptance criteria, the basis of various setpoints associated with pump operation, and the availability of adequate net positive suction head during fuel oil transfer pump operation. The team reviewed the control schematic wiring diagram to ensure that the pump would function in accordance with the design basis requirements.

Additionally, the team interviewed engineers and conducted walkdowns of both the A and B fuel oil transfer pumps and systems to verify material condition and pump alignment were consistent with the design basis and plant drawings. Further, the team reviewed NextEras response to operating experience involving tornado missile protection of the systems fuel oil tank vents. Finally, the team reviewed corrective action documents to evaluate whether there were any adverse operating trends and to assess NextEra's ability to evaluate and correct problems.

b. Findings

No findings were identified.

.2.1.1 2 B Emergency Diesel Generator Ventilation

a. Inspection Scope

The team inspected the B EDG ventilation support system to verify its capability to perform as required during design basis accident conditions for EDG operation. The team reviewed design and licensing documents, including the UFSAR, the TSs and TRM, the DBD, drawings, and other design documents to determine the specific design functions. The team reviewed EDG test results and operating procedures to ensure the EDG ventilation support system was operating as designed, and verified appropriate maintenance was being performed on the system. The team also reviewed the EDG system procedures to determine if the ventilation system was being operated within the vendor design limits. The team reviewed the fan curve and worst-case environmental conditions to evaluate whether EDG fan capacity was sufficient to provide adequate flow for heat removal during design basis events. The team reviewed inspection and testing procedures to evaluate whether appropriate maintenance activities were being performed and reviewed past test results to determine if the fan was capable of removing the required heat load. The team conducted a walkdown of the EDG ventilation system and associated equipment and interviewed engineers regarding the maintenance and operation of the fan, in order to assess the material condition of the ventilation system. Finally, the team reviewed corrective action documents and system health reports to evaluate whether there were adverse operating trends and to assess NextEra's ability to evaluate and correct problems.

b. Findings

No findings were identified.

.2.1.1 3 B Emergency Diesel Generator Jacket Water Cooling System

a. Inspection Scope

The team inspected the B EDG jacket water (JW) cooling system to verify its capability to perform as required during design basis accident conditions for EDG operation. The team reviewed design and licensing documents, including the UFSAR, the TSs and TRM, the DBD, drawings, and other design documents to determine the specific design functions. The team reviewed EDG test results and operating procedures to ensure the EDG JW cooling system was operating as designed, and verified appropriate maintenance was being performed on the system. The team also reviewed the EDG system procedures to determine if the JW cooling system was being operated within the vendor design limits. The team reviewed the JW heat exchanger specification sheet and maintenance to evaluate whether the subsystems capacity was sufficient to provide adequate heat removal for the EDG during design basis events. The team reviewed inspection and testing procedures to evaluate whether appropriate maintenance activities were being performed and reviewed past test results to determine if the cooling system was capable of removing the required heat load. The team conducted walkdowns of both the A and B EDGs, along with their respective JW cooling systems and associated equipment, prior to and after scheduled TS surveillance operational runs to assess the material condition of the equipment and systems. The team interviewed engineers and operators regarding the maintenance and operation of the associated components, and had the opportunity to observe NextEra staffs removal and replacement of the A EDGs lubricating system prelube pump due to a shaft seal oil leak. Finally, the team reviewed corrective action documents to evaluate whether there were adverse operating trends and to assess NextEra's ability to evaluate and correct problems.

b. Findings

No findings were identified.

.2.1.1 4 B Containment Building Spray Pump (CBS-P-9B)

a. Inspection Scope

The team inspected the B containment building spray (CBS) pump to determine if it was capable of meeting its design basis functions. The team reviewed design and licensing documents, including the UFSAR, the TSs, the IST basis document, drawings, and other design documents to determine the specific design functions. Specifically, the team evaluated whether the B CBS pump was capable of providing adequate flow to provide containment cooling and pressure reduction during postulated design basis scenarios.

The team reviewed the CBS system hydraulic analysis/calculations to determine whether the required total developed head, net positive suction head, and pump run-out conditions had been properly evaluated under all applicable design basis conditions.

The adequacy of water supply sources to the pump, including an assessment of the potential for vortex conditions during pump operation, was also reviewed. The team reviewed system operating and emergency procedures to ensure they were consistent with the design requirements. The team reviewed pump IST procedures, test results, and trends in test data to determine whether pump performance was consistent with design basis assumptions; and verified IST acceptance criteria were appropriately correlated to accident analyses requirements. NextEras actions and response to NRC Bulletin No. 88-04, Potential Safety-Related Pump Loss were reviewed to ensure they were consistent with Next Eras response to the Bulletin.

The team conducted a walkdown of the accessible portions of the pump and associated piping components and interviewed engineers regarding the maintenance and operation of the components, in order to assess the material condition of the CBS system. Finally, the team reviewed corrective action documents and system health reports to evaluate whether there were adverse operating trends and to assess NextEra's ability to evaluate and correct problems.

b. Findings

No findings were identified.

.2.1.1 5 B Safety Injection Pump (SI-P-6B)

a. Inspection Scope

The team inspected the B safety injection (SI) pump, SI-P-6B, to determine if it was capable of performing its design basis functions. The team reviewed design and licensing documents, including the UFSAR, the TSs, the DBD, the IST basis document, drawings, and other design documents to determine the specific design functions.

Specifically, the team evaluated whether the B SI pump was capable of providing adequate flow to provide core cooling during postulated design basis scenarios. The team reviewed the SI system hydraulic analysis/calculations to determine whether the required total developed head, net positive suction head, and pump run-out conditions had been properly evaluated under all applicable design basis conditions. The adequacy of water supply sources to the pump, including an assessment of the potential for vortex conditions during pump operation, was also reviewed. The team reviewed system operating and emergency procedures to ensure they were consistent with the design requirements. The team also reviewed pump IST procedures, test results, and trends in test data to determine whether pump performance was consistent with design basis assumptions; and verified IST acceptance criteria were appropriately correlated to accident analyses requirements. NextEras actions and response to NRC Bulletin No. 88-04, Potential Safety-Related Pump Loss were reviewed to ensure they were consistent with NextEras response to the Bulletin.

The team conducted a walkdown of the accessible portions of the pump and associated piping/components and interviewed engineers regarding the maintenance and operation of the components, in order to assess the material condition of the SI system. Finally, the team reviewed corrective action documents and system health reports to evaluate whether there were adverse operating trends and to assess NextEra's ability to evaluate and correct problems.

b. Findings

No findings identified.

.2.1.1 6 B Containment Building Spray System Heat Exchanger (1-CBS-E-16-B)

a. Inspection Scope

The team inspected the B CBS system heat exchanger (1-CBS-E-16-B) to evaluate its ability to meet its design basis requirement to provide cooling water to the CBS system during postulated accident conditions. The team reviewed design and licensing documents, including the UFSAR, the TSs, drawings, and other design documents to determine the specific design functions. The team reviewed applicable operating and emergency procedures to determine whether NextEra properly translated design input into the procedures. The team reviewed completed surveillance test results, inspections, and system walkdown reports to ensure that NextEra appropriately addressed potential adverse trends or conditions. The team reviewed the maintenance history, design changes, calculations, design specifications, drawings, and surveillance tests to ensure that the heat exchanger condition and heat removal capability were consistent with accident analyses assumptions. The team conducted several walkdowns of the accessible portions of the heat exchanger and associated piping/components, and interviewed engineers regarding the maintenance and operation of the components, in order to assess the material condition and operating environment of the CBS system. Finally, the team reviewed corrective action documents and system health reports to evaluate whether there were adverse operating trends and to assess NextEra's ability to evaluate and correct problems.

b. Findings

No findings were identified.

.2.1.1 7 Steam Generator Atmospheric Steam Dump Valve 1-MS-PV-3002

a. Inspection Scope

The team inspected the air-operated SG atmospheric steam dump valve (ASDV),1-MS-PV-3002, to verify its ability to meet the design basis requirements in response to postulated transient and accident events. The team reviewed design and licensing documents, including UFSAR, TSs, drawings, and other design documents to determine the specific design functions. The team verified that instrument setpoints were properly translated into system procedures and tests, and reviewed diagnostic and valve stroke test results to verify whether acceptance criteria were met. The team reviewed selected calculations to determine whether design inputs and assumptions were accurate and justified. The team reviewed the ASDV's backup nitrogen supply system to determine if the as-built configuration and operating procedures satisfied design assumptions. The team reviewed the ASDV's maintenance, test results, and functional history, and interviewed the air-operated valve and main steam system engineers to assess whether the ASDV was properly maintained and operated. In addition, the team walked down accessible portions of the ASDV and associated piping and components in order to independently assess the material condition and configuration of the SG pressure relief system. Finally, the team reviewed corrective action documents and system health reports to determine if there were adverse trends and to assess NextEra's capability to evaluate and correct problems.

b. Findings

Failure to Perform Required ASME In-Service Testing of Manual Isolation Valves for the Atmospheric Steam Dump Valves

Introduction:

The team identified a finding of very low safety significance (Green)involving an NCV of TS Surveillance Requirement (SR) 4.0.5, Surveillance Requirements for In-Service Inspection and Testing of American Society of Mechanical Engineers (ASME) Code Class 1, 2, and 3 Components, for the failure to perform testing in accordance with the ASME Operation and Maintenance (OM) Code for four manual valves which had active safety functions. Specifically, the SG tube rupture (SGTR) accident analysis and the emergency operating procedures relied upon an operator manual action to locally close a manual isolation valve to mitigate the consequences of a failed open ASDV on a faulted SG during a SGTR accident.

However, those isolation valves were incorrectly designated as passive valves. As a result, the valves had not been placed in the Seabrook IST Program and tested, as required by the TS and ASME OM Code.

Description:

During plant walk downs, the team observed that two of the four ASDV manual isolation valves (1-MS-V-5 and 35) had material deficiency tags that stated valve has indication of seat leakage, identified during ASDV testing in December 2011.

In follow-up, the team reviewed the associated ARs 1717292 and 1717294, which were both closed to unplanned work orders. NextEra's operability determination, performed in 2011, stated that the slight leakage would not impact offsite dose and is bounded by analysis. However, during this inspection, NextEra staff were unable to provide any basis for their 2011 determination that the observed leakage was bounded by analysis and would not have had an impact on offsite dose during a SGTR event. NextEra reviewed the open work orders and valve history, and determined that no work, repairs, or other corrective actions had been performed on either valve since 2011 to correct the identified leakage, other than routine quarterly ASDV valve testing which also stroked the isolation valves.

NextEras IST surveillance test procedure OX1430.04, Main Steam System Valve Operability Tests, performed a quarterly full stroke exercise test of each ASDV, as required by the OM Code. The test procedure closed the isolation valve associated with each ASDV, stroked the ASDV, then re-opened the isolation valve. The test procedure also performed a leak tightness check of the isolation valve by observing the discharge silencer outlet for the presence of steam flow. The leak tightness acceptance criteria stated:

  • A SAT reading is an absence of steam leak-by from the ASDV isolation.
  • Steam flow greater than minor wisps is an UNSAT.
  • An UNSAT requires initiation of a work request to document the condition.

The team reviewed the test results of the isolation valve leak tightness checks performed in December 2011 (original documentation of seat leakage), the quarterly tests performed in 2014 and in 2015, and the most recent test performed in June 2016, to evaluate the current material conditions of the isolation valves. All of the test results were satisfactory, indicating that the observed steam leakage was not greater than a minor wisp. Although operators stroked the isolation valves each quarter, as part of the ASDV IST test, the team determined that procedure OX1430.04 did not contain acceptance criteria regarding the ability to fully close the isolation valves. Based on the documented qualitative seat leakage checks performed in 2014 thru 2016, the team concluded that the valve seat leakages observed in 2011 were not current issues and that the valves appeared to be reasonable leak tight.

The UFSAR Section 15.6.3, Steam Generator Tube Rupture, assumed the ASDV on the faulted SG would fail open (i.e., worst case single active failure for the event) and the operators would terminate the radiological release by locally manually closing the ASDV isolation valve within 20 minutes. Emergency operating procedure E-3, Steam Generator Tube Rupture, Step 3, Isolate Flow from Ruptured SG, directed operators to locally close the ASDV isolation valve if the ASDV could not be closed. Procedure SM 7.20, Time Critical Operator Action Program, Figure 5.1 Item 3, Locally Isolate Failed Open ASDV to Minimize SGTR Radiological Consequences, verified that the time critical task could be performed within the 20 minute time requirement assumed in the SGTR analysis. Therefore, the team concluded that during a SGTR event, the normally open manual valves in question would have an active safety function to close.

The UFSAR Section 3.9(B).3.2., Pump and Valve Operability Assurance, in part, stated that valves identified as active, which must perform a mechanical motion during the course of performing their safety function in mitigating the consequences of a postulated event, were listed in Table 3.9(B)-27. The team identified that the ASDV isolation valves 1-MS-V-5, 21, 35, and 49 were not listed in the active valve list. Therefore, the team concluded that the UFSAR's active valve list did not list all valves relied upon to change position to mitigate the consequences of design basis accidents or relied upon in execution of the emergency operating procedures.

The team identified that the ASDV isolation valves 1-MS-V-5, 21, 35, and 49 were not included in NextEra's IST Program. OM ISTA-1100, in part, required valves which change position to mitigate the consequences of an accident to be in scope of the OM Code IST requirements. Section ISTC-1300 of the ASME OM, in part, required NextEra to categorize and list each valve to be tested and establish acceptance criteria. The OM Code further required that valves shall be designated as either Category A, seat leakage limited to a specific maximum value, or Category B, seat leakage inconsequential.

ISTC-3540 required manual valves be exercised every 5 years. In addition, ISTC-5210, in part, required NextEra to immediately declare a valve inoperable if it failed to exhibit the required change of position during a valve exercise test.

In response, NextEra stated that the valves had been considered to be passive, with no active safety function, because they were not listed in the UFSAR active valve list. As such, they had not been placed in the IST Program. As a consequence of not being in the IST Program, NextEra had also not determined whether seat leakage would be inconsequential (Category B) or whether seat leakage needed to be limited to a specific maximum value (Category A), as required by the OM Code. NextEra entered this deficiency into their corrective action program as AR 2153195, and verified that the valves had been satisfactorily exercised, as required by the ASME OM Code, during the last surveillance of the ASDVs, performed on June 23, 2016.

NextEra preliminarily assessed seat leakage requirements for the ASDV isolation valves using calculation NAI-1131-001, SGTR Radiological Analysis with Alternate Source Term. NextEra determined that the radiological analysis assumed the isolation valves were leak tight because the analysis had not quantified or evaluated any specific leakage value for those valves. In addition, NextEra preliminarily determined that there was approximately a 13 percent margin between regulatory limit, at the design basis exclusion area boundary, and the results of the radiological consequence analysis.

Based on the results of the qualitative leakage checks performed quarterly, NextEra concluded that the valves were currently sufficiently leak tight, such that there was no significant reduction in the radiological release margin. The team reviewed NextEra's evaluations and determined that their conclusions regarding current operability were reasonable.

Analysis:

The team determined the failure to conduct valve testing in accordance with the IST Program, for valves which had an active safety function, was a performance deficiency. Specifically, degraded valve performance could go uncorrected without adequate acceptance criteria to ensure that a SGTR would not result in an unacceptable increase in the consequences of that accident (i.e., a more than minor reduction in the margin between the postulated licensing basis radiological release and the regulatory limits). As a result of this performance deficiency, unacceptable valve leakage was identified in 2011 without corrective actions being performed, other than to initiate a work order, which did not result in further evaluation or repairs. The team did note that recent valve testing indicated that the current leakage was acceptable.

This finding is more than minor because it was associated with the SSC and Barrier Performance attribute of the Containment Barrier Cornerstone and adversely affected the cornerstone objective of ensuring the reliability of associated risk-important SSCs.

The team performed an SDP screening, in accordance with NRC IMC 0609, Appendix A, SDP for Findings At-Power. The finding screened as very low safety significance (Green) because it was a deficiency confirmed not to represent an actual open pathway in the physical integrity of reactor containment and did not involve an actual reduction in function of hydrogen igniters in the reactor containment.

The finding did not have a cross-cutting aspect because it was not considered to be indicative of current licensee performance. Specifically, UFSAR Table 3.9(B)-27, Active Valve List, listed those valves which were required to mechanically change position to mitigate the consequences of an event, and had been established more than 3 years ago. The team determined that NextEra had not had a reasonable opportunity to identify this issue (i.e., an active valve not on the list) within the last 3 years.

Enforcement:

Seabrook TS SR 4.0.5, in part, required NextEra to perform IST of ASME Code Class 2 valves with active safety functions, in accordance with the ASME OM Code. Specifically, ASME OM Section ISTA-1100, in part, required valves which change position to mitigate the consequences of an accident to be in scope of the OM testing requirements. Section ISTC-1300, in part, required NextEra to categorize and list each valve to be tested and establish acceptance criteria. Section ISTC-5210, in part, required NextEra to immediately declare a valve inoperable if it failed to exhibit the required change of position during a valve exercise test.

Contrary to the above, since 1990 (original construction) until present, four main steam system manual isolation valves, which were designated as ASME Code Class 2 valves and had active safety functions, were not tested in accordance with IST Program requirements. Specifically, isolation valves, which were required to be manually closed to mitigate the consequences of a failed open ASDV during a SGTR accident, were not designated as IST Program valves, seat leakage had not been categorized, and the valve test procedure did not have established acceptance criteria to verify valve operability, as required by the ASME OM Code. NextEras short-term corrective actions included entering the issue into their corrective action program and performing a preliminary operability assessment of the valves. The NRC is treating this violation as an NCV, consistent with Section 2.3.2.a of the NRC Enforcement Policy, dated August 1, 2016, because this finding was of very low safety significance and was entered into NextEra's corrective action program (AR 2153195). (NCV 05000443/2016007-03, Failure to Perform Required ASME In-Service Testing for Manual Isolation Valves for the Atmospheric Steam Dump Valve Block Valves)

.2.2 Review of Industry Operating Experience and Generic Issues (3 samples)

The team reviewed selected operating experience (OE) issues for applicability to the Seabrook Station. The team performed a detailed review of the OE issues listed below to verify that NextEra had appropriately assessed potential applicability to site equipment and initiated corrective actions when necessary.

.2.2.1 NRC Information Notice 2014-03, Turbine-Driven Auxiliary Feedwater Pump Overspeed

Trip Mechanism Issues

a. Inspection Scope

The team assessed NextEras applicability review and disposition of NRC Information Notice (IN) 2014-03, Turbine-Driven Auxiliary Feedwater Pump Overspeed Trip Mechanism Issues. This IN discussed industry OE related to improper adjustments of control mechanisms that led to inoperability of turbine-driven auxiliary feedwater pumps.

The team reviewed NextEras evaluations of the IN to determine whether they appropriately considered the applicable details of the IN and whether potential vulnerabilities were identified and corrected. Additionally, the team reviewed the Seabrook overspeed trip mechanism design with respect to the in-plant configuration and operating history and whether Seabrook was vulnerable to the concerns identified in the IN. The team also performed several walkdowns of turbine driven EFW pump, EFW overspeed trip mechanism, and supporting SSCs; reviewed system corrective action reports; reviewed maintenance and inspection records; reviewed operating and maintenance procedures; and interviewed design engineers to independently evaluate the relevant aspects of the design and configuration of Seabrooks turbine driven EFW pump.

b. Findings

No findings were identified.

.2.2.2 NRC Information Notice 2015-05, Inoperability of Auxiliary and Emergency Feedwater

Auto-Start Circuits on Loss of Main Feedwater Pumps

a. Inspection Scope

The team reviewed NextEra's evaluation of NRC IN 2015-05, Inoperability of Auxiliary and Emergency Feedwater Auto-Start Circuits on Loss of Main Feedwater Pumps. This IN described a design vulnerability identified at several plants which could prevent the EFW system from automatically starting as intended when one main feedwater pump was in a standby or reset mode (e.g., pump running but not injecting). Specifically, the team reviewed the EFW system auto-start logic circuitry to independently evaluate whether the described vulnerability existed. In addition, the team assessed NextEra's evaluation to determine whether it had appropriately considered the applicable details described in the IN and whether NextEra had identified and corrected any potential vulnerabilities.

b. Findings

No findings were identified.

.2.2.3 NRC Information Notice 2014-04, Potential for Teflon Material Degradation in

Containment Penetrations, Mechanical Seals and Other Components

a. Inspection Scope

The team assessed NextEras applicability review and disposition of NRC IN 2014-04, Potential for Teflon Material Degradation in Containment Penetrations, Mechanical Seals and Other Components, with specific focus in the area of containment penetration seals. This IN discussed industry OE regarding environmental qualifications (i.e.,

qualifications to ensure that equipment will be capable of withstanding the ambient conditions under an accident scenario) of particular components containing Teflon which analyses had determined would receive failure threshold doses during a design basis accident. Specifically, containment penetration seals for both safety related and non-Class 1E electrical system cabling must be capable of maintaining pressure-boundary function for containment integrity. Independent testing revealed that Teflon used in containment penetration seals is not qualified for postulated loss of coolant accident radiation environments due to a tendency to embrittle and deteriorate.

The team reviewed NextEras actions, reviews and response to the IN; and verified material lists, vendor material properties, and design of the feedthrough and the seal construction of the electrical penetration assemblies.

b. Findings

No findings were identified.

OTHER ACTIVITIES

4OA2 Identification and Resolution of Problems (IP 71152)

a. Inspection Scope

The team reviewed a sample of problems that NextEra had previously identified and entered into the corrective action program. The team reviewed these issues to verify an appropriate threshold for identifying issues and to evaluate the effectiveness of corrective actions. In addition, ARs written on issues identified during the inspection, were reviewed to verify adequate problem identification and incorporation of the problem into the corrective action program. The specific corrective action documents that were sampled and reviewed by the team are listed in the Attachment.

b. Findings

No findings were identified.

4OA6 Meetings, including Exit

On September 1 and October 5, 2016, the team presented interim inspection results to Mr. Eric McCartney, Site Vice President, and other members of the Seabrook staff.

Following the completion of additional inspection and follow-up activities, the team presented the final inspection results via telephone to Mr. Eric McCartney, Site Vice President, and other members of the Seabrook staff on November 10, 2016. The team verified that no proprietary information was documented in the report.

ATTACHMENT

SUPPLEMENTAL INFORMATION

KEY POINTS OF CONTACT

Exelon Personnel

S. Ball, System Engineer
R. Belanger, Senior Mechanical Design Engineer
P. Brangiel, System Engineer
A. Dundin, Operations
H. Ham, Mechanical Supervisor
D. Kelsey, Superintendent, Mechanical and Maintenance Services
J. Klempa, System Engineer
M. Lee, Mechanical Design Engineer
E. Mathews, System Engineer
B. Matte, Electrical Design Engineer
R. Parry, Engineering Supervisor
J. Porozinski, Programs Electrical Engineer
C. Thomas, Senior Licensing Engineer

LIST OF ITEMS

OPENED, CLOSED AND DISCUSSED

Opened and Closed

05000443/2016007-01 NCV Inadequate Corrective Actions to Preclude Repetition of a Significant Condition Adverse to Quality (Section 1R21.2.1.3.1)
05000443/2016007-02 URI Potential Missed Evaluation and Reporting of an Adverse Condition to the NRC (Section 1R21.2.1.3.2)
05000443/2016007-03 NCV Failure to Perform Required ASME In-

Service Testing of Manual Isolation Valves for the Atmospheric Steam Dump Valve Block Valves (Section 1R21.2.1.17)

LIST OF DOCUMENTS REVIEWED