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{{Adams
{{Adams
| number = ML13252A240
| number = ML13218B149
| issue date = 09/05/2013
| issue date = 08/06/2013
| title = Virgil C. Summer Nuclear Station, Unit 1 - Reply to Notice of Violation, EA-13-106, IR 05000395-13-009
| title = IR 05000395-13-009, 06/24/2013 - 07/31/2013, Virgil C. Summer Nuclear Station, Unit 1, NRC Inspection Report and Notice of Violation
| author name = Gatlin T D
| author name = Mccoy G
| author affiliation = South Carolina Electric & Gas Co
| author affiliation = NRC/RGN-II/DRP/RPB5
| addressee name =  
| addressee name = Gatlin T
| addressee affiliation = NRC/Document Control Desk, NRC/NRR
| addressee affiliation = South Carolina Electric & Gas Co
| docket = 05000395
| docket = 05000395
| license number = NPF-012
| license number = NPF-012
| contact person =  
| contact person =  
| case reference number = EA-13-106, IR-13-009
| case reference number = EA-13-106
| document type = Letter, Licensee Response to Notice of Violation
| document report number = IR-13-009
| page count = 5
| document type = Inspection Report, Letter, Notice of Violation
| page count = 14
}}
}}


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=Text=
=Text=
{{#Wiki_filter:Thomas D. GatlinVice President, Nuclear Operations803.345.4342A SCANA COMPANYSeptember 5, 2013U. S. Nuclear Regulatory CommissionATTN: Document Control DeskWashington, DC 20555-0001
{{#Wiki_filter:UNITED STATES ugust 6, 2013


==Dear Sir / Madam:==
==SUBJECT:==
Subject: VIRGIL C. SUMMER NUCLEAR STATION (VCSNS), UNIT 1DOCKET NO. 50-395OPERATING LICENSE NO. NPF-12REPLY TO NOTICE OF VIOLATION EA-13-106NRC INSPECTION REPORT NO. 05000395/2013009Reference:Gerald J. McCoy, NRC, letter to Thomas D. Gatlin, SCE&G, datedAugust 6, 2013, "NRC Inspection Report No. 05000395/2013009, NRC Office ofInvestigations Report 2-2012-041 and Notice of Violation"South Carolina Electric & Gas Company (SCE&G) acknowledges the receipt of the notice ofviolation dated August 6, 2013, for a Severity Level IV violation concerning deliberatemisconduct by contract employees, failure to follow plant procedural requirements by contractemployees, lack of oversight of contract workers, and inadequate corrective actions.SCE&G has reviewed the description of the subject violation and will not contest the violation.As requested, a reply to the notice of violation is provided in Attachment I.This letter contains NRC commitments as described in Attachment II of this submittal.If you have any questions, please contact Mr. Bruce L. Thompson at (803) 931-5042.Very truly yours,Thomas D.To GatlinTS/TDG/drAttachment I -Reply to Notice of Violation EA-1 3-106Attachment II -List of Regulatory Commitmentsc: K. B. MarshS. A. ByrneJ. B. ArchieN. S. CarnsJ. H. HamiltonJ. W. WilliamsW. M. CherryV. M. McCreeR. E. MartinM. N. BrowneP. LedbetterNRC Resident InspectorK. M. SuttonNSRCRTS (CR-13-03241)File (815.01)PRSF (RC-13-0138)Virgil C. Summer Station * Post Office Box 88. Jenkinsville, SC .29065 .F (803) 941-9776 Document Control DeskAttachment ICR-13-03241RC-1 3-0138Page 1 of 3ATTACHMENT IReply to Notice of Violation EA-13-106Following an NRC 01 investigation completed on May 2, 2013, and an in-office review, aviolation of NRC requirements was identified. In accordance with the NRC Enforcement Policyin effect at the time, the violation is listed below:10 CFR 50, Appendix B, Criterion V, states in part, that activities affecting quality shall beprescribed by documented instructions, procedures, or drawings of a type appropriate to thecircumstances and shall be accomplished in accordance with these instructions, procedures, ordrawings.EMP-391.003, "Installation of Electrical Supports," Revision 8, Change A, the procedure ofrecord for implementation of safety-related modification work associated with Work Order1201155-021, for Engineering Change Request 50780, provide instructions for installation ofelectrical equipment and conduits, and installation of toggle bolts in drywall for supports. Therevision added a new QC inspection hold point referenced step 7.2.4 (Cleaned holes) betweenthe steps when the holes are drilled to the necessary depth and the placement of the Hilti bolts.Contrary to the above, on July 16, 2012, three contract employees working for the licenseedeliberately failed to accomplish activities affecting quality in accordance with applicableprocedures. Specifically, the contract employees used a previous revision (Revision 8 insteadof Revision 8, Change A) of procedure EMP-391.003, "Installation of Electrical Supports", toimplement safety-related modification work associated with Work Order 1201155-021, forEngineering Change Request 50780, and back-dated the procedure to June 29, 2012, toindicate that the work was performed prior to implementation of the latest revision (Rev. 8,Change A) to the procedure dated July 10, 2012. Additionally, these contract employees failedto ensure inspection of work activities by the licensee's quality control personnel as required byEMP-391.003, Rev. 8, Change A.This is a Severity Level IV violation (Section 6.1, Reactor Operations).(1) Reason for the violationThe reason for the violation was determined to be insufficient management oversight ofcontract employee activities. More specifically, station and contract management didnot ensure appropriate procedures were followed.(2) The corrective steps that have been taken and the results achievedImmediate corrective actions were taken to verify field installation conditions met Document Control DeskAttachment ICR-13-03241RC-13-0138Page 2 of 3procedural requirements. There were no examples of substandard work found and postinspections were satisfactory. The three contract employees involved in this eventreceived substantial disciplinary action from their employer. All three workers'Personnel Access Data System records were updated with appropriate derogatoryinformation.Two department stand-downs were performed to address the event, the importance offollowing procedures and the importance of providing accurate documentation. Thedepartment stand-down conducted at the time of the event was not adequatelydocumented in the original condition report. The second stand-down was conducted onJuly 22, 2013, by contractor management and senior station management for currentcontract employees.An apparent cause evaluation (ACE) was performed to identify the cause for theprocedure violation. The ACE identified four apparent causes for this event:a. Procedure non-compliance by the workers,b. A production mentality versus a healthy regard for quality in performanceof procedures,c. Two workers and their lead chose to falsify the documents, andd. Supervision failed to convey a safety-conscious work environment.Corrective actions that resulted from the ACE are discussed below in Item Number 3.The contract company installed a new management team in the first quarter of 2013.This team focused on performing work activities in strict compliance with stationprocedures. The following improvements have been observed since this managementchange:a. Increased field observations and improvement in the quality ofobservation documentation,b. Hiring an additional staff member to provide oversight of observationsand corrective actions, andc. A closer working relationship between the contract company and thestation.(3) The corrective steps that will be takenThe following corrective actions have been documented in the corrective actionprogram to prevent reoccurrence of this event:a. Station personnel are to complete required computer based training forProcedure Use and Adherence (PU&A) to provide additional emphasison the procedural requirements for the station.b. Supplemental workforce targeted observations on PU&A will beconducted with a focus on place keeping and ensuring documentation is Document Control DeskAttachment ICR-13-03241RC-13-0138Page 3 of 3maintained current. The observations will be conducted over a six monthperiod with a total count goal of 20 PU&A observations each month.c. A communication to station personnel will be developed on the recentindustry trend documented in the NRC Information Notice 2013-15 -Willful Misconduct/Record Falsification and Nuclear Safety Culture.d. Accountability training will be developed and presented to supervisorsand above. The training will include case study examples of willful orcareless disregard behaviors not in compliance with expectationsestablished in 10CFR50.9 -Completeness and accuracy of informationand 1OCFR 50.5 -Deliberate misconduct.e. 1OCFR50.9 -Completeness and accuracy of information and 10CFR50.5 -Deliberate misconduct and the potential consequences for failureto comply will be reinforced annually to station personnel.(4) The date when full compliance will be achievedCompletion of corrective actions that will be taken are outlined in Attachment II of thissubmittal. Full compliance will be achieved by June 30, 2014.
VIRGIL C. SUMMER NUCLEAR STATION, UNIT 1 - NRC INSPECTION REPORT NO. 05000395/2013009, NRC OFFICE OF INVESTIGATIONS REPORT 2-2012-041 AND NOTICE OF VIOLATION


Document Control DeskAttachment IICR-13-03241RC-13-0138Page 1 of 1ATTACHMENT IIList of Regulatory CommitmentsThe following table identifies those actions committed to by SCE&G, Virgil C. Summer NuclearStation in this document. Any other statements in this submittal are provided for informationpurposes and are not considered to be commitments. Please direct questions regarding thesecommitments to Mr. Bruce L Thompson, Manager, Nuclear Licensing, (803) 931-5042.-ITM.NT , K DU~C,. i ',.""',.. .: .,Station personnel are to complete required computer based training forProcedure Use and Adherence (PU&A) to provide additional emphasis September 30, 2013on the procedural requirements for the station.Supplemental workforce targeted observations on PU&A will beconducted with a focus on place keeping and ensuring documentationis maintained current. The observations will be conducted over a six June 30, 2014month period with a total count goal of 20 PU&A observations eachmonth.A communication to station personnel will be developed on the recentindustry trend documented in the NRC Information Notice 2013-15 -October 31, 2013Willful Misconduct/Record Falsification and Nuclear Safety Culture.Accountability training will be developed and presented to supervisorsand above. The training will include case study examples of willful orcareless disregard behaviors not in compliance with expectations June 30, 2014established in 1OCFR50.9 -Completeness and accuracy of informationand 1OCFR 50.5 -Deliberate misconduct.1 OCFR50.9 -Completeness and accuracy of information and 1 OCFR50.5 -Deliberate misconduct and the potential consequences for June 30, 2014failure to comply will be reinforced annually to station personnel.
==Dear Mr. Gatlin:==
On May 2, 2013, the Nuclear Regulatory Commissions (NRC) Office of Investigations completed an investigation (and in-office review) at Virgil C. Summer Nuclear Station Unit 1 to determine, in part, whether three contract employees deliberately failed to follow an applicable plant procedure and falsified a data sheet associated with safety-related electrical supports by backdating it to a date when the previous procedure (Rev. 8) was in effect. Based on the results of the investigation, the NRC concluded that these individuals deliberately failed to follow the electrical maintenance procedure EMP-391.003, Installation of Electrical Supports, Rev. 8, Change A, while implementing safety-related modification work associated with Work Order (WO) 120155-021 for Engineering Change Request (ECR) 50780. The results of the investigation were discussed on July 31, 2013 with you and other members of your staff. The enclosed inspection report presents the finding resulting from this investigation.
 
During this inspection, the NRC staff examined activities conducted under your license as they relate to public health, safety and the conditions of your license. Within these areas, the inspection consisted of selected examination of procedures and representative records, observations of activities, and interviews with personnel.
 
Based on a review of the facts and circumstances in this case, the NRC has determined that a Severity Level IV violation of NRC requirements occurred. The violation was evaluated in accordance with the NRC Enforcement Policy. The current Enforcement Policy is included on the NRCs Web site at http://www.nrc.gov/about-nrc/regulatory/enforcement/enfore.pol.html The violation is cited in the enclosed Notice of Violation (Notice) and the circumstances surrounding it are described in detail in the subject inspection report. The violation is being cited in the Notice due to the deliberate misconduct aspects, the fact that of the three contract (two electricians and a lead electrician) employees failed to follow the plant procedural requirements, the lack of oversight of contract workers and inadequate corrective actions. You are required to respond to this letter and should follow the instructions specified in the enclosed Notice when preparing your response.
 
In light of the above, the NRC requests that your response address corrective actions that have or will be implemented to ensure adequate oversight of contract workers and provide additional details of training for all contract and SCE&G employees to prevent similar issues with procedural compliance in the future.
 
In accordance with 10 CFR 2.390 of the NRC's "Rules of Practice," a copy of this letter, its enclosures, and your response, will be made available electronically for public inspection in the NRC Public Document Room or from the NRC's Agencywide Documents Access and Management System (ADAMS), accessible from the NRC Web site at http://www.nrc.gov/reading-rm/adams.html. To the extent possible, your response should not include any personal privacy or proprietary, information so that it can be made available to the public without redaction.
 
Sincerely,
/RA/
Gerald J. McCoy, Chief Reactor Projects Branch 5 Division of Reactor Projects Docket No.: 50-395 License No.: NPF-12 cc w/encl: (See page 3)
 
===Enclosures:===
1. Notice of Violation 2. Inspection Report 05000395/2013009 w/Attachment: Supplemental Information 3. OI Synopsis, Investigation 2-2012-041
 
SUNSI REVIEW COMPLETE FORM 665 TTACHED OFFICE RII:DRP RII:DRP RII:DRP RII:DRP RII:DRP RII:DRP SIGNATURE Via email Via email Via email BDB /RA/ GJM /RA/ CFE /RA/
NAME JReece SNinh ECoffman BBishop GMcCoy CEvans DATE  07/25/2013 07/25/2013 07/25/2013 08/01/2013 08/04/2013 07/24/2013 E-MAIL COPY? YES NO YES NO YES NO YES NO YES NO YES NO
 
REGION II==
Docket No. 50-395 License No. NPF-12 Report No. 05000395/2013009 Licensee: South Carolina Electric & Gas (SCE&G) Company Facility: Virgil C. Summer Nuclear Station, Unit 1 Location: P.O. Box 88 Jenkinsville, SC 29065 Dates: June 24, 2013 through July 31, 2013 Inspectors: J. Reece, Senior Resident Inspector S. Ninh, Senior Project Engineer E. Coffman, Resident Inspector B. Bishop, Project Engineer Approved by: Gerald J. McCoy, Chief Reactor Projects Branch 5 Division of Reactor Projects Enclosure 2
 
=SUMMARY OF FINDINGS=
IR 05000395/2013009; 06/24/2013 - 07/31/2013; Virgil C. Summer Nuclear Station Unit 1; Plant
 
Modifications The report covered an in-office review of NRC Office of Investigations (OI) Report No. 2-2010-029 by resident inspectors, a senior project engineer and a project engineer. One Severity Level IV violation was identified. The significance of most findings is indicated by their color (Green, White, Yellow, Red) using IMC 0609, Significance Determination Process. Findings for which the Significance Determination Process does not apply may be Green or be assigned a severity level after NRC management review. The NRCs program for overseeing the safe operation of commercial nuclear power reactors is described in NUREG-1649, Reactor Oversight Process Revision 4, dated December 2006.
 
===Cornerstone: Mitigating Systems===
 
Severity Level IV: The licensee identified a violation of 10 CFR 50, Appendix B, Criterion V, instructions, procedures, or drawings, when it was determined that the contract employees failed to complete the electrical maintenance procedure EMP-391.003, Installation of Electrical Supports, Rev. 8, Change A, and falsified a data sheet associated with safety-related electrical supports by backdating it to a date when the previous (Rev.8) was in effect. The licensee took substantial disciplinary actions and entered the deficiency into the corrective action program for resolution as CR -12-03100.
 
The failure to follow procedure issue was a performance deficiency and it would be considered a minor under the reactor oversight process (ROP) because the quality control personnel subsequently inspected the pull box; the components had been installed properly and could have performed their safety-related function. A review of other work performed by these contract employees did not identify any other issues. This minor finding was not warranted to be documented in a quarterly inspection report in accordance with IMC 0612. However, with respect to deliberate misconduct aspects, failure to provide complete and accurate information regarding completion of the electrical maintenance procedure EMP-391.003, Installation of Electrical Supports, Rev. 8, Change A, was a performance deficiency. This issue was dispositioned using traditional enforcement due to the deliberate misconduct aspects of the performance deficiency. Furthermore, the failure to provide complete and accurate information has the potential to impact the NRCs ability to perform its regulatory function. These individuals deliberately violated the requirements in the revised electrical maintenance procedure EMP-391-003, Rev. 8, Change A, on July 16, 2013, in that they failed to follow the procedural requirements to obtain a quality control inspection after the holes were drilled in the concrete wall and then back-dated the procedure to June 29, 2012, to indicate that the work was performed prior to implementation of Rev. 8, Change A, which had an effective date of July 10, 2012. In accordance with the guidance in Section 6.1, Reactor Operations of the Enforcement Policy, this issue is a Severity Level IV violation because it involved information that the NRC required to be maintained by a licensee that was incomplete or inaccurate and of more than minor safety significance. No cross-cutting aspect was identified because this performance deficiency was dispositioned using traditional enforcement.
 
=REPORT DETAILS=
 
==REACTOR SAFETY==
Cornerstones: Initiating Events, Mitigating Systems, Barrier Integrity
{{a|1R18}}
==1R18 Plant Modifications==
 
====a. Inspection Scope====
The inspectors reviewed the OI summary and transcripts of interviews conducted by OI investigators related to plant modifications conducted by the contract employees as well as 10 CFR 50 Appendix B requirements, license conditions, Technical Specifications, procedures and the UFSAR to determine if violations of regulatory requirements occurred.
 
====b. Findings====
 
=====Introduction:=====
The licensee identified a violation of 10 CFR 50, Appendix B, Criterion V, instructions, procedures, or drawings, when it was determined that the contract employees failed to complete an applicable plant procedure and falsified a data sheet associated with safety-related electrical supports by backdating it to a date when the previous (Rev.8) was in effect.
 
=====Description:=====
On July 16, 2012, three contract electricians installed pull box PB-CS189 using procedure EMP-391-003 Rev. 8 as part of Work Order (WO) 201155-021 -
Alternate Seal Injection Modification (ECR 50780). This procedure had been updated to Rev. 8, Change A, effective July 10, 2012. The electricians backdated the completed procedure to June 29, 2012 to indicate that the procedure had been performed while the previous revision (Rev. 8) was still in effect. Backdating the completed procedure enabled the electricians to complete the entire job without reaching a quality control hold point, which was required by the latest revision (Rev. 8, Change A). Consequently, the quality control inspection required by the effective version of the procedure was not performed between when the mounting holes were drilled and before the mounting bolts were installed.
 
This issue was immediately brought to the NRCs attention by the licensee and this issue was entered in the licensees corrective action program (CAP) as CR-12-03100. The licensee and contractor immediately initiated their investigation.
 
Region II OI investigation was initiated on August 22, 2012, to determine if a contract electrician at V. C. Summer Nuclear Station, Unit 1, employed by Shaw Industry, did willfully violate electrical maintenance procedure EMP-391.003, Installation of Electrical Supports, Rev. 8, Change A, while implementing safety-related modification work associated with Work Order (WO) 1201155-021 for Engineering Change Request (ECR)50780.
 
On May 2, 2013, Region II OI issued a report and concluded, based upon the evidence developed during the investigation, that a contract electrician at V.C. Summer Nuclear Station Unit 1, deliberately failed to follow an applicable procedure and falsified a data sheet associated with safety-related electrical supports by backdating it to a date when the previous revision (Rev. 8) was in effect. Additionally, the OI investigation determined that another contract electrician and a lead electrician deliberately directed the contract electrician to falsify the data sheet associated with safety-related electrical supports.
 
The inspectors reviewed the OI transcripts, licensees condition reports, and evidence obtained during the OI investigation. The inspectors agreed with the OIs conclusion that these individuals deliberately violated the requirements in the revised procedure EMP-391.003, Rev. 8, Change A, on July 16, 2013, in that they failed to follow the procedural requirements to obtain a quality control inspection after the holes were drilled and then back-dated the procedure to June 29, 2012, to indicate that the work was performed prior to implementation of Rev. 8, Change A, which had an effective date of July 10, 2012.
 
The licensee took disciplinary actions and entered the deficiency into the corrective action program for resolution as CR -12-03100. These three contract employees were subsequently terminated and the pertinent data was placed in Personnel Access Data System. However, the inspectors determined that corrective actions were not adequate to address oversight of contract workers and additional training of all contract employees and SCE&G employees to prevent similar issues with procedural compliance in the future.
 
=====Analysis:=====
The failure to follow procedure was a performance deficiency and it would be considered a minor under the reactor oversight process (ROP) because the quality control personnel subsequently inspected the pull box; the components had been installed properly and could have performed their safety-related function. A review of other work performed by these contract employees did not identify any other issues.
 
This minor finding was not warranted to be documented in a quarterly inspection report in accordance with IMC 0612. However, with respect to deliberate misconduct aspects, failure to provide complete and accurate information regarding completion of the electrical maintenance procedure EMP-391.003, Installation of Electrical Supports, Rev.
 
8, Change A, was a performance deficiency. This issue was dispositioned using traditional enforcement due to the deliberate misconduct aspects of the performance deficiency. Furthermore, the failure to provide complete and accurate information has the potential to impact the NRCs ability to perform its regulatory function. These individuals deliberately violated the requirements in the revised electrical maintenance procedure EMP-391-003, Rev. 8, Change A, on July 16, 2013, in that they failed to follow the procedural requirements to obtain a quality control inspection after the holes were drilled in a concrete wall and then back-dated the procedure to June 29, 2012, to indicate that the work was performed prior to implementation of Rev. 8, Change A, which had an effective date of July 10, 2012. In accordance with the guidance in Section 6.1, Reactor Operations of the Enforcement Policy, this issue is a Severity Level IV violation because it involved information that the NRC required to be maintained by a licensee that was incomplete or inaccurate and of more than minor safety significance. The violation is being cited in the Notice because the deliberate misconduct aspects, the
 
nature of the three contract (two electricians and a lead electrician) employees failure to follow the plant procedural requirements, lack of oversight contract works and inadequate corrective actions in accordance with the NRCs Enforcement Policy in effect at the time of the violation. No cross-cutting aspect was identified because this performance deficiency was dispositioned using traditional enforcement.
 
=====Enforcement:=====
10 CFR 50, Appendix B, Criterion V, states in part, that activities affecting quality shall be prescribed by documented instructions, procedures, or drawings of a type appropriate to the circumstances and shall be accomplished in accordance with these instructions, procedures, or drawings.
 
EMP-391.003, Installation of Electrical Supports, Revision 8, Change A, is the procedure of record for implementation of safety-related modification work associated with Work Order 1201155-021, for Engineering Change Request 50780.
 
Contrary to the above, on July 16, 2012, three contract employees working for the licensee deliberately failed to accomplish activities affecting quality in accordance with applicable procedures. Specifically, the contract employees used a previous revision (Revision 8 instead of Revision 8, Change A) of procedure EMP-391.003, Installation of Electrical Supports, to implement safety-related modification work associated with Work Order 1201155-021, for Engineering Change Request 50780, and back-dated the procedure to June 29, 2012, to indicate that the work was performed prior to implementation of the latest revision (Rev. 8, Change A) to the procedure dated July 10, 2012. Additionally, these contract employees failed to ensure inspection of work activities by the licensees quality control personnel as required by EMP-391.003 Rev. 8, Change A.
 
The violation is being cited because of the deliberate aspects, and because the three contract employees deliberately violated an applicable procedure and falsified a data sheet associated with safety-related electrical supports by backdating it to a date when the previous (Rev.8) was in effect, in accordance with Section 6.1.d of the NRCs Enforcement Policy in effect at the time of the violation: VIO 05000395/2013009-01, Installation of a modification using a superseded version of a procedure.
 
{{a|4OA6}}
==4OA6 Meetings, Including Exit==
 
===Exit Meeting Summary===
 
On July 31, 2013, the results of this inspection were presented to Mr. Gatlin, Site Vice-President, and other members of the licensee staff, who acknowledged the findings. No proprietary information was provided or examined during the inspection.
 
=SUPPLEMENTAL INFORMATION=
 
KEY POINTS OF CONTACT
Licensee
: [[contact::T. Gatlin]], Vice President, Nuclear Operations
: [[contact::B. Thompson]], Manager, Nuclear Licensing
: [[contact::M. Browne]], Manager, Quality Systems
: [[contact::E. Lynch]], Outage Management
: [[contact::L. Bennett]], Manager, Business Services
: [[contact::L. Evans]], Director, Chicago Bridge and Iron Company
: [[contact::S. Dunn]], Manager, Chicago Bridge and Iron Company
: [[contact::F. Joy]], Employee Concerns Program
NRC
: [[contact::G. McCoy]], Chief, Division of Reactor Projects (DRP), Reactor Projects Branch 5 (RPB5)
: [[contact::J. Reece]], Senior Resident Inspector
: [[contact::E. Coffman]], Resident Inspector
: [[contact::S. Ninh]], Senior Project Engineer, DRP, RPB5
: [[contact::B. Bishop]], Project Engineer, DRP, RPB5
LIST OF ITEMS OPENED, CLOSED, AND REVIEWED
Opened
05000395/2013009-01                  VIO    Installation of a modification using a superseded
version of a procedure
Official Use Only - OI Investigation Information
SYNOPSIS
This investigation was initiated by the
: [[contact::U.S. Nuclear Regulatory Commission (NRC)]], Office of
Investigations (OI), Region II (RII), on August 22, 2012, to determine whether a contract
electrician employed by Shaw Power Services Division (Shaw) at South Carolina Electric and
Gas Inc., (SCE&G), Virgil C. Summer Nuclear Station (Summer) willfully failed to follow
applicable procedures and falsified a data sheet associated with safety related electrical
supports. Additionally, OI:RII sought to determine whether another contract electrician and a
lead electrician willfully directed the contract electrician to falsify the data sheet associated with
safety related electrical supports.
Based on the evidence developed during this investigation, OI:RII substantiated that a contract
electrician at V.C Summer deliberately failed to follow applicable procedures and falsified a data
sheet associated with safety related electrical supports. Additionally, it was determined that
another contract electrician and a lead electrician deliberately directed the contract electrician to
falsify the data sheet associated with safety related electrical supports.
Approved for release by Oscar DeMiranda
NOT FOR PUBLIC DISCLOSURE WITHOUT APPROVAL OF
SPECIAL AGENT IN CHAGE, OFFICE OF INVESTIGATIONS, REGION 11
Official Use Only - OI Investigation Information
Case No. 2-2012-041                                                              Enclosure 3
}}
}}

Latest revision as of 15:47, 20 December 2019

IR 05000395-13-009, 06/24/2013 - 07/31/2013, Virgil C. Summer Nuclear Station, Unit 1, NRC Inspection Report and Notice of Violation
ML13218B149
Person / Time
Site: Summer South Carolina Electric & Gas Company icon.png
Issue date: 08/06/2013
From: Gerald Mccoy
NRC/RGN-II/DRP/RPB5
To: Gatlin T
South Carolina Electric & Gas Co
References
EA-13-106 IR-13-009
Download: ML13218B149 (14)


Text

UNITED STATES ugust 6, 2013

SUBJECT:

VIRGIL C. SUMMER NUCLEAR STATION, UNIT 1 - NRC INSPECTION REPORT NO. 05000395/2013009, NRC OFFICE OF INVESTIGATIONS REPORT 2-2012-041 AND NOTICE OF VIOLATION

Dear Mr. Gatlin:

On May 2, 2013, the Nuclear Regulatory Commissions (NRC) Office of Investigations completed an investigation (and in-office review) at Virgil C. Summer Nuclear Station Unit 1 to determine, in part, whether three contract employees deliberately failed to follow an applicable plant procedure and falsified a data sheet associated with safety-related electrical supports by backdating it to a date when the previous procedure (Rev. 8) was in effect. Based on the results of the investigation, the NRC concluded that these individuals deliberately failed to follow the electrical maintenance procedure EMP-391.003, Installation of Electrical Supports, Rev. 8, Change A, while implementing safety-related modification work associated with Work Order (WO) 120155-021 for Engineering Change Request (ECR) 50780. The results of the investigation were discussed on July 31, 2013 with you and other members of your staff. The enclosed inspection report presents the finding resulting from this investigation.

During this inspection, the NRC staff examined activities conducted under your license as they relate to public health, safety and the conditions of your license. Within these areas, the inspection consisted of selected examination of procedures and representative records, observations of activities, and interviews with personnel.

Based on a review of the facts and circumstances in this case, the NRC has determined that a Severity Level IV violation of NRC requirements occurred. The violation was evaluated in accordance with the NRC Enforcement Policy. The current Enforcement Policy is included on the NRCs Web site at http://www.nrc.gov/about-nrc/regulatory/enforcement/enfore.pol.html The violation is cited in the enclosed Notice of Violation (Notice) and the circumstances surrounding it are described in detail in the subject inspection report. The violation is being cited in the Notice due to the deliberate misconduct aspects, the fact that of the three contract (two electricians and a lead electrician) employees failed to follow the plant procedural requirements, the lack of oversight of contract workers and inadequate corrective actions. You are required to respond to this letter and should follow the instructions specified in the enclosed Notice when preparing your response.

In light of the above, the NRC requests that your response address corrective actions that have or will be implemented to ensure adequate oversight of contract workers and provide additional details of training for all contract and SCE&G employees to prevent similar issues with procedural compliance in the future.

In accordance with 10 CFR 2.390 of the NRC's "Rules of Practice," a copy of this letter, its enclosures, and your response, will be made available electronically for public inspection in the NRC Public Document Room or from the NRC's Agencywide Documents Access and Management System (ADAMS), accessible from the NRC Web site at http://www.nrc.gov/reading-rm/adams.html. To the extent possible, your response should not include any personal privacy or proprietary, information so that it can be made available to the public without redaction.

Sincerely,

/RA/

Gerald J. McCoy, Chief Reactor Projects Branch 5 Division of Reactor Projects Docket No.: 50-395 License No.: NPF-12 cc w/encl: (See page 3)

Enclosures:

1. Notice of Violation 2. Inspection Report 05000395/2013009 w/Attachment: Supplemental Information 3. OI Synopsis, Investigation 2-2012-041

SUNSI REVIEW COMPLETE FORM 665 TTACHED OFFICE RII:DRP RII:DRP RII:DRP RII:DRP RII:DRP RII:DRP SIGNATURE Via email Via email Via email BDB /RA/ GJM /RA/ CFE /RA/

NAME JReece SNinh ECoffman BBishop GMcCoy CEvans DATE 07/25/2013 07/25/2013 07/25/2013 08/01/2013 08/04/2013 07/24/2013 E-MAIL COPY? YES NO YES NO YES NO YES NO YES NO YES NO

REGION II==

Docket No. 50-395 License No. NPF-12 Report No. 05000395/2013009 Licensee: South Carolina Electric & Gas (SCE&G) Company Facility: Virgil C. Summer Nuclear Station, Unit 1 Location: P.O. Box 88 Jenkinsville, SC 29065 Dates: June 24, 2013 through July 31, 2013 Inspectors: J. Reece, Senior Resident Inspector S. Ninh, Senior Project Engineer E. Coffman, Resident Inspector B. Bishop, Project Engineer Approved by: Gerald J. McCoy, Chief Reactor Projects Branch 5 Division of Reactor Projects Enclosure 2

SUMMARY OF FINDINGS

IR 05000395/2013009; 06/24/2013 - 07/31/2013; Virgil C. Summer Nuclear Station Unit 1; Plant

Modifications The report covered an in-office review of NRC Office of Investigations (OI) Report No. 2-2010-029 by resident inspectors, a senior project engineer and a project engineer. One Severity Level IV violation was identified. The significance of most findings is indicated by their color (Green, White, Yellow, Red) using IMC 0609, Significance Determination Process. Findings for which the Significance Determination Process does not apply may be Green or be assigned a severity level after NRC management review. The NRCs program for overseeing the safe operation of commercial nuclear power reactors is described in NUREG-1649, Reactor Oversight Process Revision 4, dated December 2006.

Cornerstone: Mitigating Systems

Severity Level IV: The licensee identified a violation of 10 CFR 50, Appendix B, Criterion V, instructions, procedures, or drawings, when it was determined that the contract employees failed to complete the electrical maintenance procedure EMP-391.003, Installation of Electrical Supports, Rev. 8, Change A, and falsified a data sheet associated with safety-related electrical supports by backdating it to a date when the previous (Rev.8) was in effect. The licensee took substantial disciplinary actions and entered the deficiency into the corrective action program for resolution as CR -12-03100.

The failure to follow procedure issue was a performance deficiency and it would be considered a minor under the reactor oversight process (ROP) because the quality control personnel subsequently inspected the pull box; the components had been installed properly and could have performed their safety-related function. A review of other work performed by these contract employees did not identify any other issues. This minor finding was not warranted to be documented in a quarterly inspection report in accordance with IMC 0612. However, with respect to deliberate misconduct aspects, failure to provide complete and accurate information regarding completion of the electrical maintenance procedure EMP-391.003, Installation of Electrical Supports, Rev. 8, Change A, was a performance deficiency. This issue was dispositioned using traditional enforcement due to the deliberate misconduct aspects of the performance deficiency. Furthermore, the failure to provide complete and accurate information has the potential to impact the NRCs ability to perform its regulatory function. These individuals deliberately violated the requirements in the revised electrical maintenance procedure EMP-391-003, Rev. 8, Change A, on July 16, 2013, in that they failed to follow the procedural requirements to obtain a quality control inspection after the holes were drilled in the concrete wall and then back-dated the procedure to June 29, 2012, to indicate that the work was performed prior to implementation of Rev. 8, Change A, which had an effective date of July 10, 2012. In accordance with the guidance in Section 6.1, Reactor Operations of the Enforcement Policy, this issue is a Severity Level IV violation because it involved information that the NRC required to be maintained by a licensee that was incomplete or inaccurate and of more than minor safety significance. No cross-cutting aspect was identified because this performance deficiency was dispositioned using traditional enforcement.

REPORT DETAILS

REACTOR SAFETY

Cornerstones: Initiating Events, Mitigating Systems, Barrier Integrity

1R18 Plant Modifications

a. Inspection Scope

The inspectors reviewed the OI summary and transcripts of interviews conducted by OI investigators related to plant modifications conducted by the contract employees as well as 10 CFR 50 Appendix B requirements, license conditions, Technical Specifications, procedures and the UFSAR to determine if violations of regulatory requirements occurred.

b. Findings

Introduction:

The licensee identified a violation of 10 CFR 50, Appendix B, Criterion V, instructions, procedures, or drawings, when it was determined that the contract employees failed to complete an applicable plant procedure and falsified a data sheet associated with safety-related electrical supports by backdating it to a date when the previous (Rev.8) was in effect.

Description:

On July 16, 2012, three contract electricians installed pull box PB-CS189 using procedure EMP-391-003 Rev. 8 as part of Work Order (WO) 201155-021 -

Alternate Seal Injection Modification (ECR 50780). This procedure had been updated to Rev. 8, Change A, effective July 10, 2012. The electricians backdated the completed procedure to June 29, 2012 to indicate that the procedure had been performed while the previous revision (Rev. 8) was still in effect. Backdating the completed procedure enabled the electricians to complete the entire job without reaching a quality control hold point, which was required by the latest revision (Rev. 8, Change A). Consequently, the quality control inspection required by the effective version of the procedure was not performed between when the mounting holes were drilled and before the mounting bolts were installed.

This issue was immediately brought to the NRCs attention by the licensee and this issue was entered in the licensees corrective action program (CAP) as CR-12-03100. The licensee and contractor immediately initiated their investigation.

Region II OI investigation was initiated on August 22, 2012, to determine if a contract electrician at V. C. Summer Nuclear Station, Unit 1, employed by Shaw Industry, did willfully violate electrical maintenance procedure EMP-391.003, Installation of Electrical Supports, Rev. 8, Change A, while implementing safety-related modification work associated with Work Order (WO) 1201155-021 for Engineering Change Request (ECR)50780.

On May 2, 2013, Region II OI issued a report and concluded, based upon the evidence developed during the investigation, that a contract electrician at V.C. Summer Nuclear Station Unit 1, deliberately failed to follow an applicable procedure and falsified a data sheet associated with safety-related electrical supports by backdating it to a date when the previous revision (Rev. 8) was in effect. Additionally, the OI investigation determined that another contract electrician and a lead electrician deliberately directed the contract electrician to falsify the data sheet associated with safety-related electrical supports.

The inspectors reviewed the OI transcripts, licensees condition reports, and evidence obtained during the OI investigation. The inspectors agreed with the OIs conclusion that these individuals deliberately violated the requirements in the revised procedure EMP-391.003, Rev. 8, Change A, on July 16, 2013, in that they failed to follow the procedural requirements to obtain a quality control inspection after the holes were drilled and then back-dated the procedure to June 29, 2012, to indicate that the work was performed prior to implementation of Rev. 8, Change A, which had an effective date of July 10, 2012.

The licensee took disciplinary actions and entered the deficiency into the corrective action program for resolution as CR -12-03100. These three contract employees were subsequently terminated and the pertinent data was placed in Personnel Access Data System. However, the inspectors determined that corrective actions were not adequate to address oversight of contract workers and additional training of all contract employees and SCE&G employees to prevent similar issues with procedural compliance in the future.

Analysis:

The failure to follow procedure was a performance deficiency and it would be considered a minor under the reactor oversight process (ROP) because the quality control personnel subsequently inspected the pull box; the components had been installed properly and could have performed their safety-related function. A review of other work performed by these contract employees did not identify any other issues.

This minor finding was not warranted to be documented in a quarterly inspection report in accordance with IMC 0612. However, with respect to deliberate misconduct aspects, failure to provide complete and accurate information regarding completion of the electrical maintenance procedure EMP-391.003, Installation of Electrical Supports, Rev.

8, Change A, was a performance deficiency. This issue was dispositioned using traditional enforcement due to the deliberate misconduct aspects of the performance deficiency. Furthermore, the failure to provide complete and accurate information has the potential to impact the NRCs ability to perform its regulatory function. These individuals deliberately violated the requirements in the revised electrical maintenance procedure EMP-391-003, Rev. 8, Change A, on July 16, 2013, in that they failed to follow the procedural requirements to obtain a quality control inspection after the holes were drilled in a concrete wall and then back-dated the procedure to June 29, 2012, to indicate that the work was performed prior to implementation of Rev. 8, Change A, which had an effective date of July 10, 2012. In accordance with the guidance in Section 6.1, Reactor Operations of the Enforcement Policy, this issue is a Severity Level IV violation because it involved information that the NRC required to be maintained by a licensee that was incomplete or inaccurate and of more than minor safety significance. The violation is being cited in the Notice because the deliberate misconduct aspects, the

nature of the three contract (two electricians and a lead electrician) employees failure to follow the plant procedural requirements, lack of oversight contract works and inadequate corrective actions in accordance with the NRCs Enforcement Policy in effect at the time of the violation. No cross-cutting aspect was identified because this performance deficiency was dispositioned using traditional enforcement.

Enforcement:

10 CFR 50, Appendix B, Criterion V, states in part, that activities affecting quality shall be prescribed by documented instructions, procedures, or drawings of a type appropriate to the circumstances and shall be accomplished in accordance with these instructions, procedures, or drawings.

EMP-391.003, Installation of Electrical Supports, Revision 8, Change A, is the procedure of record for implementation of safety-related modification work associated with Work Order 1201155-021, for Engineering Change Request 50780.

Contrary to the above, on July 16, 2012, three contract employees working for the licensee deliberately failed to accomplish activities affecting quality in accordance with applicable procedures. Specifically, the contract employees used a previous revision (Revision 8 instead of Revision 8, Change A) of procedure EMP-391.003, Installation of Electrical Supports, to implement safety-related modification work associated with Work Order 1201155-021, for Engineering Change Request 50780, and back-dated the procedure to June 29, 2012, to indicate that the work was performed prior to implementation of the latest revision (Rev. 8, Change A) to the procedure dated July 10, 2012. Additionally, these contract employees failed to ensure inspection of work activities by the licensees quality control personnel as required by EMP-391.003 Rev. 8, Change A.

The violation is being cited because of the deliberate aspects, and because the three contract employees deliberately violated an applicable procedure and falsified a data sheet associated with safety-related electrical supports by backdating it to a date when the previous (Rev.8) was in effect, in accordance with Section 6.1.d of the NRCs Enforcement Policy in effect at the time of the violation: VIO 05000395/2013009-01, Installation of a modification using a superseded version of a procedure.

4OA6 Meetings, Including Exit

Exit Meeting Summary

On July 31, 2013, the results of this inspection were presented to Mr. Gatlin, Site Vice-President, and other members of the licensee staff, who acknowledged the findings. No proprietary information was provided or examined during the inspection.

SUPPLEMENTAL INFORMATION

KEY POINTS OF CONTACT

Licensee

T. Gatlin, Vice President, Nuclear Operations
B. Thompson, Manager, Nuclear Licensing
M. Browne, Manager, Quality Systems
E. Lynch, Outage Management
L. Bennett, Manager, Business Services
L. Evans, Director, Chicago Bridge and Iron Company
S. Dunn, Manager, Chicago Bridge and Iron Company
F. Joy, Employee Concerns Program

NRC

G. McCoy, Chief, Division of Reactor Projects (DRP), Reactor Projects Branch 5 (RPB5)
J. Reece, Senior Resident Inspector
E. Coffman, Resident Inspector
S. Ninh, Senior Project Engineer, DRP, RPB5
B. Bishop, Project Engineer, DRP, RPB5

LIST OF ITEMS OPENED, CLOSED, AND REVIEWED

Opened

05000395/2013009-01 VIO Installation of a modification using a superseded

version of a procedure

Official Use Only - OI Investigation Information

SYNOPSIS

This investigation was initiated by the

U.S. Nuclear Regulatory Commission (NRC), Office of

Investigations (OI), Region II (RII), on August 22, 2012, to determine whether a contract

electrician employed by Shaw Power Services Division (Shaw) at South Carolina Electric and

Gas Inc., (SCE&G), Virgil C. Summer Nuclear Station (Summer) willfully failed to follow

applicable procedures and falsified a data sheet associated with safety related electrical

supports. Additionally, OI:RII sought to determine whether another contract electrician and a

lead electrician willfully directed the contract electrician to falsify the data sheet associated with

safety related electrical supports.

Based on the evidence developed during this investigation, OI:RII substantiated that a contract

electrician at V.C Summer deliberately failed to follow applicable procedures and falsified a data

sheet associated with safety related electrical supports. Additionally, it was determined that

another contract electrician and a lead electrician deliberately directed the contract electrician to

falsify the data sheet associated with safety related electrical supports.

Approved for release by Oscar DeMiranda

NOT FOR PUBLIC DISCLOSURE WITHOUT APPROVAL OF

SPECIAL AGENT IN CHAGE, OFFICE OF INVESTIGATIONS, REGION 11

Official Use Only - OI Investigation Information

Case No. 2-2012-041 Enclosure 3